IN THE CIRCUIT COURT OF THE SECOND JUDICIAL CIRCUIT, IN AND FOR LEON COUNTY, FLORIDA MINA MAR GROUP, INC. (Canada), (MMG) MINA MAR MARKETING GROUP (Delaware Company) (MMMG) MIRO ZECEVIC and ANDREA ZECEVIC Plaintiffs, DOES 1-4, as users and or information Providers of http://investorshub.com, Defendants. SUBPOENA TO PRODUCE THINGS WITHOUT DEPOSITION THE STATE OF FLORIDA Investorshub.com, Inc. Corporation Service Company 1201 Hays Street Tallahassee, FL 32301 YOU ARE COMMANDED to appear at the Law Offices of Messer, Caparello & Self, P.A., 2618 Centennial Place, Tallahassee, Florida, 32308, in Leon County, Florida, on October 4, 2010, and to have with you at that time and place the following: See attached Appendix These items will be inspected and may be copied at that time. You will not be required to surrender the original items. You may comply with this subpoena by providing legible copies of the items to be produced to the attorney whose name appears on this subpoena on or before the scheduled date of production. You may condition the preparation of the copies upon the payment, in advance of the reasonable cost of preparation. You may mail or deliver the copies to the attorney whose name appears on this subpoena and thereby eliminate your appearance at the time and place specified above. You have the right to object to the production pursuant to this subpoena at anytime before production by giving written notice to the attorney whose name appears on this subpoena. If you fail to: appear as specified; or furnish the records instead of appearing as provided above; or object to this subpoena, you may be in contempt of court. You are subpoenaed by the attorney whose name appears on this subpoena and unless excused from this subpoena by this attorney or the Court, you shall respond to this subpoena as directed. DATED this ___day of September, 2010. DOCUMENT REQUESTS Any and all documents that identify the name, mailing address, and electronic mail address of the individuals that utilize the following user names while posting on intemet forums maintained at http://investorshub.com: 1. Fire Lane 2. MARINE-i 3. strongtower 4. Stratey 5. Jim Bishop 6. itlogic 7. universaltrader For purposes of this Subpoena: "You" means the person or organization being subpoenaed and any of your businesses, companies, and any representative thereof, and any other person employed by, acting or purporting to act on any of your behalf. "Document" means any written material, computer data or input or output, tape or recording, or "document" or "tangible thing" as those terms are used in Florida Rule of Civil Procedure 1.350(a). Different versions of the same document, handwritten notes or notations in any form, drafts of documents and documents with handwritten notations or marks not found in the original or on other copies are documents. 'Relating to" means containing, showing, relating to or referring in any way, directly or indirectly, to, and is meant to include, among other things, matters that are or were underlying, supporting or connected. It also includes documents now or previously attached or appended to, or used in the preparation of any document called for by each request. "Person" means any natural person, corporation, firm, partnership, unincorporated association, trust or any other legal, business, or governmental entity. "Representative" or "representatives" used with reference to a person means (a) officers, directors, partners, associates, employees, servants, agents, and subsidiaries of such persons; and (b) other persons or legal or business entities acting on behalf of, or in concert with, such persons, including, without limitation, management consultants, financial advisors, lawyers, accountants, and any other persons of any description retained or employed by such person for business, financial or political reasons of any kind. "And" as well as "or" shall be construed either disjunctively or conjunctively as necessary to bring within the scope of this request documents that might otherwise be construed to be outside its scope; and, as used herein, the singular shall include the plural and the plural shall include the singular except as the context may otherwise require. INSTRUCTIONS Unless other-wise indicated, the documents covered by this subpoena include all documents which have come into existence or have been used by you at any time. If any document covered by this request is withtheld by reason of a claim of privilege, a written list is to be furnished identifying each such document for which the privilege is claimed together with the following information: (a) the date of the document; (b) the names of its author(s) or preparer(s) and an identification of employment and title of each such person; (c) the-names of each person who was sent or furnished with the document or received, viewed, or has had custody of the document, together with an identification of each such person; (d) a brief description of the document; (e) a statement of the basis for the claim of privilege; and (f) the paragraph of this request to which the document relates. In the case of a document relating in any way to a meeting or to any other conversation, all participants in the meeting or conversation are to be identified. Documents shall be produced as they are kept in the ordinary course of business or in response to each category of this request.