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330. The RICO Defendants, acting in concert with Burford and Patton Boggs, have<br />

further ensured their control over the future of the Lago Agrio Litigation, and secured their own<br />

claims on any proceeds, and those of Burford and Patton Boggs, by apparently requiring a<br />

number (but not all) of the Lago Agrio Plaintiffs to assign their rights in the litigation to a trust<br />

(the "Burford Trust"). The trustee of the Burford Trust, who must be approved by Burford, will<br />

be "the sole and only Person entitled to, among other things ... have the authority and obligation<br />

to apply and distribute any proceeds of the Award" held in the Burford Trust, and that<br />

distribution apparently is now governed by a contractual agreement between Donziger, Burford,<br />

DeLeon, the Front, Patton Boggs, H5 and other U.S. parties. This contractual agreement<br />

incorporates a complex "waterfall" that, for any funds placed in the Burford Trust, secures the<br />

claims of the RICO Defendants, Burford, Patton Boggs and others, and relegates any actual<br />

distribution in Ecuador to the residual. Furthermore, Donziger, Fajardo and Yanza purportedly<br />

retain authority over the Burford Trust trustee's further pursuit of the Lago Agrio Litigation.<br />

331. Defendants already are planning to seek immediate enforcement of the<br />

Ecuadorian judgment in U.S. and foreign courts, and to extort a payment from Chevron by using<br />

the Ecuadorian judgment to threaten seizure of Chevron's assets and those of its subsidiaries.<br />

The RICO Defendants' internal blueprint for global enforcement, a memo by co-conspirator<br />

Patton Boggs titled "Invictus," asserts that, "If and when an enforceable judgment is entered in<br />

Ecuador, Plaintiffs' Team expects to be engaged quickly, ifnot immediately, on multiple<br />

enforcement fronts-in the United States and abroad." They have said as much expressly on<br />

multiple occasions, and, in fact, have represented to the Southern District of New York that<br />

Chevron's defense against any Lago Agrio judgment should be restricted to New York's<br />

Recognition Act.<br />

332. Co-conspirator Amazon Watch has repOlied that the Lago Agrio Plaintiffs'<br />

representatives will quickly "move to collect the judgment by any means necessary in whatever<br />

country the company has assets" and that they "will seek to enforce any judgment against the oil<br />

giant immediately in U.S. courts." Co-conspirator Hinton said that "If the [Ecuadorian] courts<br />

132

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