Case Document 18-2 Filed Page 1 of 2 IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF MARYLAND (Northern Division) GAIL MINK, ET AL., 1% PLAINTIFF :if v. Civil Action Number: WDQ-11-01937 BALTIMORE BEHAVIOR.-AL tf HEALTH INC., ET AL., 9: DEFENDANTS if AFFIDAVIT OF BRADLEY A. BENNER I, Bradley A. Benner of The Lincoln National Life Insurance Company, hereby declare and state the following: I. Lincoln National Life Insurance Company was the record keeper forthe Baltimore Behavioral Health Retirement Plan from January 2007 through December 201 l. 2. I arn employed by The Lincoln National Life Insurance Company and my title is Technical Consultant. I have personal knowledge ofthe record keeping system of The Lincoln National Life Insurance Company. 3. The attached pages of documents are true and correct copies of records taken from the tiles of The Lincoln National Life Insurance Company. Case Document 18-2 Filed Page 2 of 2 4. Pursuant to a subpoena issued by attorneys Lebau&Neuworth we produced the requested business records including all contributions made by Baltimore Behavioral Health Retirement Plan from .lanuary 2007 through December 201 l. 5. These records were kept inthe regular course of business. 6. It is the regular course of our business to lteep these records. 7. We produced documents from January 2007 through December of 2011 for the Baltimore Behavioral Health Retirement Plan in the above captioned case. 8. Our records reflect that no contributions were made after September 25, 2009 except for two contributions that Were received on August 4, 2010. These two contributions however were applied to the September 11, 2009 and September 25 2009 payroll end dates. Sworn to and subscribed before me this 29th day of March 2012. SHAWN Nl. GROSS, Notary Netefr PHb1i<> Resident ei County, Indiana My commission Expiremy _I3t}U3l'y 31, 2016