ONTARIO SUPERIOR COURT OF JUSTICE COMMERCIAL LIST

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ONTARIO SUPERIOR COURT OF JUSTICE COMMERCIAL LIST Court File No. CV-17-587463-00CL BETWEEN: THE CATALYST CAPITAL GROUP INC. CALLIDUS CAPITAL CORPORATION Plaintiffs WEST FACE CAPITAL INC., GREGORY BOLAND, M5V ADVISORS INC. C.O.B. ANSON GROUP CANADA, ADMIRALTY ADVISORS LLC, FRIGATE VENTURES LP, ANSON INVESTMENTS LP, ANSON CAPITAL LP, ANSON INVESTMENTS MASTER FUND LP, AIMF GP, ANSON CATALYST MASTER FUND LP, ACF GP, MOEZ KASSAM, ADAM SPEARS, SUNNY PURI, CLARITYSPRING INC., NATHAN ANDERSON, BRUCE LANGSTAFF, ROB COPELAND, KEVIN BAUMANN, JEFFREY MCFARLANE, DARRYL LEVITT, RICHARD MOLYNEUX JOHN DOES #1-10 Defendants CANACCORD GENUITY CORP. Third Party AND BETWEEN: WEST FACE CAPITAL INC. GREGORY BOLAND Plaintiffs by Counterclaim THE CATALYST CAPITAL GROUP INC., CALLIDUS CAPITAL CORPORATION, NEWTON GLASSMAN, GABRIEL DE ALBA, JAMES RILEY, VIRGINIA JAMIESON, EMMANUEL ROSEN, B.C. STRATEGY LTD. D/B/A BLACK CUBE, B.C. STRATEGY UK LTD. D/B/A BLACK CUBE INVOP LTD. D/B/A PSY GROUP

-2- AND BETWEEN: BRUCE LANGSTAFF Plaintiff by Counterclaim THE CATALYST CAPITAL GROUP INC. CALLIDUS CAPITAL CORPORATION LETTER OF REQUEST TO THE APPROPRIATE JUDICIAL AUTHORITY OF: 1. ISRAELI CENTRAL DISTRICT COURT, 3 Hazionut St. Lod 7127749, Israel AND 2. THE INTERNATIONAL LAW UNIT IN THE ISRAELI ADMINISTRATION OF COURTS, 22 Kanfey Nesharim St, Jersusalem 9546434, Israel The Ontario Superior Court of Justice (Commercial List) presents its compliments to the Israeli Central District Court the International Law Unit in the Israeli Administration of Courts respectfully requests international judicial assistance. A PROCEEDING IS PENDING IN THIS COURT at the City of Toronto, in the Province of Ontario, Canada, between, among other parties, West Face Capital Inc. Gregory Bol as Defendants Plaintiffs by Counterclaim, Invop Ltd. d/b/a Psy Group ("Invop") as Defendant to the Counterclaim. IT HAS BEEN SHOWN TO THIS COURT that it appears necessary for the purpose of justice that all evidence potentially relevant to the proceeding that is in the

-3- possession, control or power of Invop, its Court-appointed Special Administrator /or the Israeli Official Receiver be immediately preserved. YOU ARE REQUESTED, in furtherance of justice, to cause Invop, its Court-appointed Special Administrator /or the Israeli Official Receiver, by the means ordinarily used in your jurisdiction, to immediately take steps to preserve all evidence potentially relevant to the proceeding, including all of the data on Invop's computers other electronic devices (the "Devices"), that is in the possession, control or power of Invop, its Court-appointed Special Administrator /or the Israeli Official Receiver. IN PARTICULAR, YOU ARE REQUESTED, in furtherance of justice, to cause Invop, the Court-appointed Special Administrator /or the Israeli Official Receiver, by the means ordinarily used in your jurisdiction, to: I. preserve all of the data on all of the Devices until the Ontario Superior Court of Justice orders otherwise; II. create forensic images of all of the data on all of the Devices in their possession, control /or power, to use a "write blocker" device in the imaging process ensuring that the imaging process itself does not alter any of the data or contents of the imaged Devices; III. certify, under oath, that all of the Devices have been forensically imaged;

IV. deliver copies of the imaged Devices to an appointed officer of the Israeli Court. These copies should be preserved by the Israeli Court until the Ontario Superior Court of Justice orders otherwise. V. appoint a computer specialist, at the expense of West Face Capital Inc., that will create the forensic images as set forth in Section II above, that will be in charge of the delivery of the copies of the imaged Devices as set forth in Section IV above. All of the required actions, as set forth above, will be made on the expense of the West Face Capital Inc. AND WFIEN YOU REQUEST IT, the courts of Ontario are ready willing to do the same for you in a similar case. THIS LETTER OF REQUEI lade on Date JUN 0 20 Sa> w 8 tmmstm Brown

THE CATALYST CAPITAL GROUP INC. et al. Plaintiffs WEST FACE CAPITAL INC. et al. Plaintiffs by Counterclaim WEST FACE CAPITAL INC. et al. Defendants THE CATALYST CAPITAL GROUP INC. et al. -- -- -- CANACCORD GENUITY CORP. Third Party Court File No. CV-17-587463-00CL ONTARIO SUPERIOR COURT OF JUSTICE COMMERCIAL LIST PROCEEDING COMMENCED AT TORONTO LETTER OF REQUEST DAVIES WARD PHILLIPS & VINEBERG LLP 155 Wellington Street West Toronto ON M5V 3J7 Kent E. Thomson (LSUC# 24264J) Email: kentthomson@dwpv.com Tel: 416.863.5566 Matthew Milne-Smith (LSUC# 44266P) Email: mmilne-smith@dwpv.com Tel: 416.863.5595 Andrew Carlson (LSUC# 58850N) Email: acarlson@dwpv.com Tel: 416.367.7437 Tel: 416.863.0900 Fax: 416.863.0871 Lawyers for the Defendants (Plaintiffs by Counterclaim), West Face Capital Inc. Gregory Bol