Tuesday, July 27, 2010 3:29:27 PM
Mr. xxxxxx (AKA Will or Wilbur Nichols),
You are hereby notified by eFUEL EFN, Corp., that the attached cease and desist letter the position of the Company as to actions by you in regard to eFUEL and associated and contracted parties. Govern yourself accordingly.
Craig A. Huffman, Esquire
Managing Partner
DSLG, PA
13680 Wright Circle
Tampa, Florida 33626
Firm Phone (888) 435-7280
e-mail: Craig@dslgpa.com
July 21, 2010
John xxx (AKA “Will Nichols”)
and/or xxxxxxxx@yahoo.com
Re: Cease and Desist from Tortious Interference This firm represents eFUEL EFN, Corporation and I-Nex Solutions, Inc. Those companies have received communications from companies and persons that they are in contractual privity with, including Extreme Synergy, Inc., as well as other parties related. The nature and volume of your contacts, along with the malicious tenor of your communications are perceived as threatening to the contractual relationship between the parties. By request of the parties and our client companies, you are hereby being notified that we consider your continuous communications and threats to parties involved to be tortuous interference with the contractual relationship between the parties. Both eFUEL and I-Nex will take a course of litigation against you if you do not immediately cease and desist from such tortuous communications with related parties. While we acknowledge a public right to verify information which may be contained in public announcement concerning a public company, when your actions are ones which are malicious and are perceived by those receiving them as such they are tortuous and actionable. You are hereby on notice, and warned, that if you do not immediately cease and desist, you will be pursued in all legal manner to which such party is entitled. In the opinion of my clients you have interfered with existing business and contractual relationships. Further, it appears that you have crossed the legal threshold for harassment. This notice to you is being made in conformity with Florida law and any action which would be filed against you shall be dealt with under Florida law in a Florida court under existing jurisdiction law. The parties shall seek all compensatory damages, and punitive damages which we shall be entitled. We will seek damages for the pursuit of all personal properties, holdings, accounts, and matters which can be seized. You may contact me through the above if you have any questions about this cease and desist demand. Otherwise govern yourself accordingly. Sincerely,
Craig A. Huffman, Esquire
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