Excerpt from Subpoena served on David Kantor by Urantia Foundation, 9/26/2000,
in the matter of Urantia Foundation v Harry McMullan, III and Michael Foundation, Inc.


Exhibit A - Notice to Produce Documents

Pursuant to Rules 26, 34 and 45 of the Federal Rules of Civil Procedure, produce the following documents (including but not limited to information in any recorded form, such as tape recordings, CD-roms, computer diskettes, electronic mail, written correspondence and memoranda) in accordance with the subpoena. The subpoena requires you to produce any responsive documents within your possession, custody or control:

I . All documents that evidence, refer or relate to the origin, creation and publication of any of the Urantia Papers, or The Urantia
Book.

2. All documents that evidence, refer or relate to any efforts to publish, market, sell or distribute Jesus-A New Revelation.

3. All documents that evidence, refer or relate to the registration of any Internet domain name on behalf of Michael Foundation.

4. All documents that evidence, refer or relate to communications you have had with Harry McMullan or any agent or representative of Michael Foundation from January 1, 1996 to present regarding any of the following subjects:

a. the publication or possible publication, marketing, sale and/or distribution of a book comprised of most or all of the text of Part IV of The Urantia Book.

b. your willingness to participate in said publication, marketing, sales and/or distribution efforts.

c. Efforts to translate Jesus-A New Revelation.

d. Efforts to distribute or export Jesus-A New Revelation or any translations thereof to the people of any country outside of the U.S.

e. Urantia Foundation's claim of copyright in The Urantia Book;

f. Urantia Foundation's claim of trademark rights in "Urantia" and/or "Urantian."

g. Urantia Foundation's claim that Michael Foundation and McMullan have registered and maintained certain Internet domain names in violation of the Anti-Cybersquatting Consumer Protection Act and in violation of Urantia Foundation's trademark rights in "Urantia" and "Urantian".

h. Urantia Foundation's claim that the publication and distribution of JesusA New Revelation infringes Urantia Foundation's copyright in The Urantia Book.

i. The status or outcome of the litigation between Urantia Foundation and Kristen Maaherra.

5. Any and all documents that you have provided to McMullan or Michael Foundation during the last 18 months.

6. All documents that you have ever obtained from Kristen Maaherra or her legal counsel, Joseph D. Lewis., including but not limited to documents relating to the origin of The Urantia Papers, the role of the Contact Commission, the role of the Forum, and the creation of The Urantia Book.

7. All documents that evidence, refer or relate to the Contact Commission and/or Forum.

8. All original or copies of tape recorded speeches or lectures of William Sadler, Jr. given between January 1, 1958 and January 1, 1963, including specifically recorded speeches or lectures given by Mr. Sadler which you have transcribed.

9. All transcripts of any speeches or lectures of William Sadler, Jr. given between January 1, 1958 and January 1, 1963.

10. All documents showing the first use of "Urantia" in commerce.

11. All documents showing the first use of "Urantian" in commerce.