Contract for class action lawsuit against Zeek Rewards

Authorization for Legal Representation

LAW OFFICES OF J. CALVIN CUNNINGHAM
ATTORNEYS AND COUNSELLORS AT LAW
EIGHTEEN SOUTH MAIN STREET
LEXINGTON, NORTH CAROLINA 27292
J. CALVIN CUNNINGHAM
TELEPHONE: (336) 249-7731
FAX: (336) 249-6339
E-MAIL: jcclaw@lexcominc.net

J. CALVIN “CAL” CUNNINGHAM III
TELEPHONE: (336) 287-7466
FAX: (336) 249-6339
E-MAIL: cal@carolinalitigation.com

AUTHORIZATION FOR LEGAL SERVICES




I/We _______________________________________________ authorize the Law Offices of J. Calvin Cunningham (“Law Offices”) to represent me/us in a class action lawsuit against Rex Venture Group, LLC, doing business as “Zeekler.com”, “ZeekRewards” and other affiliated names, Paul Ray Burks, the primary individual in control of the companies and websites and other unnamed “John Does 1 – 10” whom we also have reason to believe were part of the enterprise (the “Defendants”). The lawsuit will be based on the theory that the Defendants were running a “Ponzi” and/or “Pyramid” scheme in violation of the North Carolina laws of conversion, false pretenses, securities laws, unfair and deceptive trade practices and intentional, willful, wanton and fraudulent abuse of rights, among other legal theories (the “Claims”). The Claims will seek return of invested funds from the Defendants, as well as treble (triple) damages, punitive damages and attorneys’ fees.

I/we recognize that the U.S. Securities and Exchange Commission and North Carolina Attorneys General’s Office are or may also be pursuing claims. The lawsuit that I/we authorize is based on private rights of action and may be related to or may be different than the claims being pursued by these government entities.

I/we grant the Law Offices all the power and authority to represent me/us as legal counselors pursuant to N.C. Gen. Stat. § 84-11. I/we understand that the Law Offices cannot and has not made any guarantees or promises concerning the outcome of this lawsuit. However, the Law Offices will pursue these claims zealously and diligently, in accordance with the Rules of Professional Conduct.

I/we agree that the Law Offices will petition the Court for payment of legal fees, will seek payment of legal fees from the Defendants and will base any legal fees on a sum, not to exceed thirty (30) percent of money actually recovered through this lawsuit, as approved by the Court, based on this contingency or hours submitted (“load star method”) to the Court. The Law Offices will also recoup its out-of-pocket expenses (such as filing fees, postage, travel, telephone, copies, etc.) out of any money actually recovered, also as approved by the Court.



This the ________ day of September, 2012.





_________________________________________________________ (Signed)



Print Name:______________________________________________________________________________


Street Address:___________________________________________________________________________


City/State/Zip:___________________________________________________________________________


Email:___________________________________________________________________________________


Phone:_____________________________________________________


ZeekRewards Screen Name:________________________________________________________________


Amount Invested and Lost:___________________________________