Exhibits 
Supplemental Declaration – Exhibits 
This includes just those relevant to GHS and the ongoing conspiracy engaged in by Dan O'Dowd, Craig Franklin, and other Senior Vice Presidents from 1997 until today.  

I, Melinda Pillsbury Foster, am over the age of majority, and inhabit the Republic of California, Tulare county, am a party to this action, and do state, declare that this declaration is true, correct and complete and not meant to mislead. 

1. Annexed here to and marked as Exhibit 1, is a true and exact copy, from others in my custody, for December 1, 1996 “Franklin Pay Stubs.” Exhibit includes check still attached with .00 as amount paid. Exhibit shows three garnishments from taxing authorities 'DD' in amounts year to date of $18,365.42, $26,099.18, $128,416.18. Second page 6/15/93 pay statement with voided check with the garnishment noted and signed by O'Dowd, these facts are referenced herein as though set forth in full. 

5. Annexed hereto and marked as Exhibit 5, a true and exact copy of the original in my possession of the “Substitute Stock Option Agreement, January 1998,” a true and exact copy of the original that is in my possession, which was written by Ruth Fisher, Esq., Bar No. 93769 for Dan O'Dowd, President of Green Hills Software and signed January 18, 1998 by O'Dowd, Hightower, and Franklin. Agreement grants stock options in amount of 600,000 to Franklin. 

This is the case filed by Glenn Hightower, who was the Venture Capitalist who funded Green Hills Software, Inc.  Dan defrauded him, this carried out by Craig, and Craig had defrauded Melinda, this handled by Dan.


They called it their, "Throw Momma From the Train" Strategy 

7. Annexed hereto and marked as Exhibit 7, Nos a, b., c, d, and e, are true and exact copies of the originals in my possession of the following court documents: 

[a.] Glenn Hightower vs. Daniel O'Dowd, Case No. BS 053127, Superior Court of the State of California for the County of Los Angeles, September 17, 1998, DECLARATION OF WAYNE B. WEISMAN FILED BY APPLICANT GLENN HIGHTOWER IN SUPPORT OF APPLICATION FOR PRELIMINARY INJUNCTION”

[b.] “Glenn Hightower vs. Daniel O'Dowd, Case No. BS 053127, Superior Court of the State of California for the County of Los Angeles, HIGHTOWER'S OPPOSITION TO O'DOWD'S MOTION FOR ORDER DISSOLVING PRELIMINARY INJUNCTION, December 15, 1999, Filing Date September 2, 1998; 

[c.] Glenn Hightower vs. Daniel O'Dowd, Case No. BS 053127Superior Court of the State of California for the County of Los Angeles, RESPONSE TO OBJECTION TO (PROPOSED FIRST MODIFIED INJUNCTION, December 15, 1999; September 17, 1998

[d.] “Glenn Hightower vs. Daniel O'Dowd, Case No. BS 053127, In the Court of Appeal of the State of California, Second Appellate District, REMITITUR,” Copy of original order, opinion or decision entered in the above-entitled cause of July 1, 1999 and that this order, opinion or decision has now become final, signed by Joseph A. Lane, Clerk, September 3, 1999. Opinion Hightower is likely to prevail if there is proof of unlawful action by O'Dowd. 

[e.] AMERICAN ARBITRATION ASSOCIATION No. 72Y 180 0960 98, a true and exact copy of the originals that are in my possession, which is a series of documents generated by the law suit filed by Hightower against Dan O'Dowd over O'Dowd's exercise of their sudden death partnership agreement on January, 1998. Decision that unlawful action is not proved.  


The Divorce


Normally, the divorce would not be relevant to the business action - but in this case, because of the conspiracy being carried out by Dan and Craig, it was.  Dan is equally responsible for all of Craig's actions against me, my son, Arthur, and other family members.  

10. Annexed hereto and marked as Exhibit 10, a true and exact copy of the original in my possession of the “Divorce Judgment, August 16,1999,” a true and exact copy of the original that is in my possession, which I obtained from the Superior Court of Santa Barbara in the process of my divorce from Craig Franklin, Case No. 222675.  

11. Annexed hereto and marked as Exhibit 11, a true and exact copy of the original in my possession of the “Morgan Pillsbury – Franklin Transcript” a true and exact copy of the original that is in my possession, which I obtained from Morgan Pillsbury in late 1999. The document is transcribed from a tape made by Morgan Pillsbury during a conversation she had with Craig Franklin in October 1999 while he was attending a conference in Atlanta Georgia and she was at her apartment in Jersey City, New Jersey.

  (In this recording Craig gloated about the conspiracy while regretting it had not worked as well as planned.)


12 Annexed hereto and marked as Exhibit 12, a true and exact copy of the original in my possession of the “Porter 1999 Contingency Agreement” a true and exact copy of the original that is in my possession, which I received from Todd Porter on September 10, 1999 by fax before he began work on the law suit against Green Hills Software.  
(This was the agreement we had.  Todd Porter (Bar No.148993)  was persuaded to change sides and forced me to sign an agreement which detached his compensation from the outcome.  He sprang this on me just before I signed, without advising me of how it would impact any settlement.)

13. Annexed hereto and marked as Exhibit 13, a true and exact copy of the original in my possession of the “Pillsbury-Foster v GHS, Inc., Daniel O'Dowd, Jacqueline Misho, and Does 1 – 100, Superior Court of the State of California, County of Santa Barbara, Case No. 233136, 2nd Amended Complaint for (1) Battery, (2) Fraud/Conspiracy to commit Fraud (3) Declaratory Relief” a true and exact copy of the original that is in my possession, which was filed by Porter against GHS and principals. 
(I can only urge you NOT to use him as your legal counsel.  He is working only to fatten his own bottom line.  

14. Annexed hereto and marked as Exhibit 14, a true and exact copy of the original in my possession of the “Graph of GHS Finances 1982 – 2007,” a true and exact copy of the original that is in my possession, which is located on the GHS website, a true and exact copy of the original in my possession, showing the extent to which the O'Dowds profited from their possession of 97% of GHS.  

15. Annexed hereto and marked as Exhibit 15, a true and exact copy of the original in my possession of the “Morgan Pillsbury Deposition,” March, 2001, a true and exact copy of the original that is in my possession, which was taken pursuant to Case No. 233136, Pillsbury-Foster v. Craig Franklin, GHS, Inc., Daniel O'Dowd, Jacqueline Misho, and Does 1 – 100, Superior Court of the State of California, County of Santa Barbara, Case No. 233136, 2nd Amended Complaint for (1) Battery, (2) Fraud/Conspiracy to commit Fraud (3) Declaratory Relief” a true and exact copy of the original that is in my possession, which was filed by Porter against GHS.

(Yes, this is the deposition which Morgan never certified.  Therefore, GHS broke the law by handing it over to John Fund.  But the company was about to blow through the roof economically with the preferential treatment the Bush Administration was to provide for doing them this favor.  They REALLY needed John Fund, NeoCon Operative. )

16. Annexed hereto and marked as Exhibit 16, a true and exact copy of the original in my possession of the “GHS Settlement Agreement” a true and exact copy of the original that is in my possession, written by GHS and presented to Pillsbury-Foster for signing in March, 2001.  

17. Annexed hereto and marked as Exhibit 17, a true and exact copy of the original in my possession of the “Daniel O'Dowd Deposition, January 9, 2001,” a true and exact copy of the original that is in my possession, which was taken pursuant to Case No. 233136, Pillsbury-Foster v. Craig Franklin, GHS, Inc., Daniel O'Dowd, Jacqueline Misho, and Does 1 – 100, Superior Court of the State of California, County of Santa Barbara, Case, 2nd Amended Complaint for (1) Battery, (2) Fraud/Conspiracy to commit Fraud (3) Declaratory Relief” a true and exact copy of the original that is in my possession.

18. Annexed hereto and marked as Exhibit 18, a true and exact copy of the original in my possession of the “Ayn Declaration, 1999,” a true and exact copy of the original in my possession, written by my daughter, Ayn Pillsbury.  

19. Annexed hereto and marked as Exhibit 19, a true and exact copy of the original in my possession of the “Pillsbury-Foster Declaration I, 2009,” a true and exact copy of the original that is in my possession, which was written documenting events pursuant to Cases Nos. 222675 & 233136, Franklin v. Pillsbury-Foster & Pillsbury-Foster v. Craig Franklin, GHS, Inc., Daniel O'Dowd, Jacqueline Misho, and Does 1 – 100, Superior Court of the State of California, County of Santa Barbara, Case No. 233136, 2nd Amended Complaint for (1) Battery, (2) Fraud/Conspiracy to commit Fraud (3) Declaratory Relief” a true and exact copy of the original in my possession.

20. Annexed hereto and marked as Exhibit 20, a true and exact copy of the original in my possession of the “Morgan Pillsbury Gell Affidavit I, 2009,” a true and exact copy of the original that is in my possession, which was written documenting events pursuant to Cases Nos. 222675 & 233136, Franklin v. Pillsbury-Foster & Pillsbury-Foster v. Craig Franklin, GHS, Inc., Daniel O'Dowd, Jacqueline Misho, and Does 1 – 100, Superior Court of the State of California, County of Santa Barbara, Case No. 233136, 2nd Amended Complaint for (1) Battery, (2) Fraud/Conspiracy to commit Fraud (3) Declaratory Relief,” a true and exact copy of the original in my possession.

21. . Annexed hereto and marked as Exhibit 21, a true and exact copy of the original in my possession of the “ Arthur Foster Affidavit, 2009,” a true and exact copy of the original that is in my possession, which was written documenting Craig Franklin's intentional manipulation of Arthur Foster, resulting in a suicide attempt on March 22, 1998, a true and exact copy of the original in my possession. 

22. Annexed hereto and marked as Exhibit 22, a true and exact copy of the original in my possession of the “Brown & Associates,” a true and exact copy of the original that is in my possession, which was written documenting Craig Franklin's inability to cope with his tax problems in 1996, a true and exact copy of the original in my possession. 

23. Annexed hereto and marked as Exhibit 23, a true and exact copy of the original in my possession of the “Ron Foster, Notarized Document,” a true and exact copy of the original that is in my possession, which was signed by Ron Foster, giving up all paternal rights to our children, in 1998, a true and exact copy of the original in my possession. 

24. Annexed hereto and marked as Exhibit 24, a true and exact copy of the original in my possession of the “Franklin Wills, 1989 and 1991,” true and exact copies of the originals that are in my possession, written by Sterling Franklin, brother to Craig and an attorney, true and exact copies of the originals in my possession. 

25. Annexed hereto and marked as Exhibit 25, a true and exact copy of the original in my possession of the “Faxed letter to Dan O'Dowd,” true and exact copy of the original in my possession, written by myself to O'Dowd regarding the tax levies, March 6, 1997, true and exact copy of the original in my possession. 

26. Annexed hereto and marked as Exhibit 26, a true and exact copy of the original in my possession of the “Franklin Incest Porn,” a true and exact copy of the original in my possession, found by the PI, Steve Rauch, I hired to discover Craig's address along with other items with Franklin's name on them, these facts are referenced herein as though set forth in full.  

27. Annexed hereto and marked as Exhibit 27, a true and exact copy of the original in my possession of “Morgan Pillsbury Gell Affidavit II, 2009,” a true and exact copy of the original in my possession, signed by Morgan Pillsbury Gell August 31, 2009, these facts are referenced herein as though set forth in full. 

28. Annexed hereto and marked as Exhibit 28, a true and exact copy of the original in my possession of “Pillsbury-Foster Declaration II, 2009,” a true and exact copy of the original in my possession, signed by Melinda Pillsbury-Foster, August 31, 2009, these facts are referenced herein as though set forth in full. 

29. Annexed hereto and marked as Exhibit 29, a true and exact copy of the original in my possession of “Anne Fisher Emails, 1999 - 2009,” a true and exact copy of the originals in my possession, these facts are referenced herein as though set forth in full. 
29a - Anne Fisher Letter – Regarding Morgan 
29b -Anne Fisher Letters – Scott arrested for attempted murder 
  29
30. Annexed hereto and marked as Exhibit 30, a true and exact copy of the original in my possession of “Exhibit 30 - Pillsbury-Foster letter to Fisher, September, 2009,” a true and exact copy of the original in my possession, these facts are referenced herein as though set forth in full. 

31. Annexed hereto and marked as Exhibit 31, a true and exact copy of the original in my possession of “Pillsbury-Foster Declaration Jonathan Scott Franklin,” a true and exact copy of the originals in my possession, these facts are referenced herein as though set forth in full. 

32. Annexed hereto and marked as Exhibit 33, a true and exact copy of the original in my possession of “Craig Franklin Match.com profile,” a true and exact copy of the originals in my possession, these facts are referenced herein as though set forth in full. 

33. Annexed hereto and marked as Exhibit 34, true and exact copies of the originals in my possession of “Craig Franklin – Pillsbury-Foster Marriage License and Certificate, 1987,” true and exact copies of the originals in my possession, these facts are referenced herein as though set forth in full.

34. Annexed hereto and marked as Exhibit 34, true and exact copies of the originals in my possession of “Police Report, Santa Barbara, Franklin & Misho, 2009,” true and exact copies of the originals in my possession, these facts are referenced herein as though set forth in full.

35. Annexed hereto and marked as Exhibit 35, true and exact copies of the originals in my possession of “Police Report, Santa Barbara, GHS, O'Dowd, Franklin, 2009,” true and exact copies of the originals in my possession, these facts are referenced herein as though set forth in full.

36. Annexed hereto and marked as Exhibit 36, true and exact copies of the originals in my possession of “Porter Motion, April 2, 2001,” true and exact copies of the originals in my possession, these facts are referenced herein as though set forth in full.

37. Annexed hereto and marked as Exhibit 37, a, b, c, d, e, f, g, h, i, true and exact copies of the originals in my possession of “GHS Correspondence,” true and exact copies of the originals in my possession, these facts are referenced herein as though set forth in full.
a. Annexed hereto and marked as Exhibit 37a, true and exact copies of the originals in my possession of “GHS Correspondence, GHS Option Extension, March 12, 2006,” true and exact copy of the original in my possession, these facts are referenced herein as though set forth in full. 
b. Annexed hereto and marked as Exhibit 37b, true and exact copies of the originals in my possession of “GHS Correspondence, 2003 Loan,” true and exact copies of the originals in my possession, these facts are referenced herein as though set forth in full. 
c. Annexed hereto and marked as Exhibit 37c, true and exact copies of the originals in my possession of “GHS Correspondence, Buynak Loan Payment Demand, March 6, 2008,” true and exact copies of the originals in my possession, these facts are referenced herein as though set forth in full.
d. Annexed hereto and marked as Exhibit 37d, true and exact copies of the originals in my possession of “GHS Correspondence, Franklin Demand for Paternity Test,” true and exact copies of the originals in my possession, these facts are referenced herein as though set forth in full.
e. Annexed hereto and marked as Exhibit 37e, true and exact copies of the originals in my possession of “GHS Correspondence, Revocation of POA, O'Dowd, June 12, 2008,” true and exact copies of the originals in my possession, these facts are referenced herein as though set forth in full.
f. Annexed hereto and marked as Exhibit 37f, true and exact copies of the originals in my possession of “GHS Correspondence, Alfred Jordan Letters,” true and exact copies of the originals in my possession, these facts are referenced herein as though set forth in full.
g. Annexed hereto and marked as Exhibit 37g, true and exact copies of the originals in my possession of “GHS Correspondence, Hughes,” true and exact copies of the originals in my possession, these facts are referenced herein as though set forth in full.
h. Annexed hereto and marked as Exhibit 37h, true and exact copies of the originals in my possession of “GHS Correspondence - Heider Offer letter,” a true and exact copy of the original in my possession, these facts are referenced herein as though set forth in full.
i. Annexed hereto and marked as Exhibit 37i, true and exact copies of the originals in my possession of “GHS Correspondence – Buynak Letter Criminal Complaint, August 14, 2009,” a true and exact copy of the original in my possession, these facts are referenced herein as though set forth in full.
j. Annexed hereto and marked as Exhibit 37j, true and exact copies of the originals in my possession of “GHS Correspondence – MPF response to Loan Demand, March 11, 2008,” a true and exact copy of the original in my possession, these facts are referenced herein as though set forth in full.

38. Annexed hereto and marked as Exhibit 38, true and exact copies of the originals in my possession of “Pillsbury-Foster Marital Declaration,” true and exact copies of the originals in my possession, these facts are referenced herein as though set forth in full.

39. Annexed hereto and marked as Exhibit 39, true and exact copies of the original in my possession of “Letter to Ron Foster,” true and exact copies of the originals in my possession, these facts are referenced herein as though set forth in full.

40. Annexed hereto and marked as Exhibit 40, true and exact copies of the original in my possession of “ Complied Documents, Case No. 222675,” a true and exact copies of the originals in my possession, these facts are referenced herein as though set forth in full.

41. Annexed hereto and marked as Exhibit 41, true and exact copies of the original in my possession of “ Ronald Foster Affidavit,” true and exact copies of the originals in my possession, these facts are referenced herein as though set forth in full.

42. Annexed hereto and marked as Exhibit 42, true and exact copies of the original in my possession of “ Clive Boustred Affidavit,” true and exact copies of the originals in my possession, these facts are referenced herein as though set forth in full.

43. Annexed hereto and marked as Exhibit 43, true and exact copies of the original in my possession of “Time Line for Frauds,” a true and exact copy of the original in my possession, these facts are referenced herein as though set forth in full.

44. Annexed hereto and marked as Exhibit 44, true and exact copies of the original in my possession of “Analysis, Settlement Agreement,” a true and exact copy of the original in my possession, these facts are referenced herein as though set forth in full.

45. Annexed hereto and marked as Exhibit 45, true and exact copies of the original in my possession of “Exhibit 45 – GHS DOD Complaint,” a true and exact copy of the original in my possession, these facts are referenced herein as though set forth in full. 

46. Annexed hereto and marked as Exhibit 46, true and exact copies of the original in my possession of “Exhibit 46 – Justin Declaration, 1999,” a true and exact copy of the original in my possession, these facts are referenced herein as though set forth in full. 

47. Annexed hereto and marked as Exhibit 47, true and exact copies of the original in my possession of “Exhibit 47 – Anne Fisher Subpoena, October 22, 2009,” a true and exact copy of the original in my possession, these facts are referenced herein as though set forth in full. 

48. Annexed hereto and marked as Exhibit 48, true and exact copies of the original in my possession of “Exhibit 48 – MPF Affidavit for Anne Fisher Subpoena, October 22, 2009,” a true and exact copy of the original in my possession, these facts are referenced herein as though set forth in full. 

49. Annexed hereto and marked as Exhibit 49, true and exact copies of the original in my possession of “Exhibit 49, Certified letter to Tim Buynak, 2005,” a true and exact copy of the original in my possession, these facts are referenced herein as though set forth in full. 


50. Annexed hereto and marked as Exhibit 50, true and exact copies of the original in my possession of “Exhibit 50 – Letter from Buynak, 2005,” a true and exact copy of the original in my possession, these facts are referenced herein as though set forth in full. 






Signed, Date: August 31, 2009 




_____________________________________
Melinda Pillsbury-Foster
Witnesses:  

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  Print Name 

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  Signature Date:  

Address: 

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  Print Name 

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Address: 


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