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1 MS . LITCHFIELD: Well, that was in 105 when <br /> 2 those were transferred, so I believe I said that the <br /> 3 bulk of the fossil and mineral sells were to them. We <br /> 4 have had sells of fossils and minerals because we do <br /> 5 sell them. So I, at this point, am not prepared to <br /> 6 identify a list or value -- <br /> 7 MS . PARKINSON: Well, let ' s narrow the <br /> 8 timeframe down. I think the representations were in <br /> 9 2008, the summer of 2008, so not too long ago, before <br /> 10 the bankruptcy was filed. <br /> 11 MS . LITCHFIELD: What representations? <br /> 12 MS . . PARKINSON: About it being 800, 000. <br /> 13 MS . LITCHFIELD: It' s been on our books for <br /> 19 several years at that $800,000 value, and we made the <br /> 15 representation to the Court that that probably indeed is <br /> 16 an inflated value for the assets. <br /> 17 MS . PARKINSON: And that's why you' re doing a <br /> 18 breakdown of the value? <br /> 19 MS. LITCHFIELD: Exactly. <br /> 20 MS . PARKINSON: Okay. You produced financial <br /> 21 records to the Kola Francheskas during the state court <br /> 22 litigation. . Are the schedules in the bankruptcy court <br /> 23 consistent with the set of books that you produced to <br /> 24 the Kola Francheskas during that litigation? <br /> 25 MS . LITCHFIELD: I -- you know, accounting <br /> DIAMOND COURT REPORTERS (916) 498-9288 40 <br />