EX-2.1
from S-1
13 pages
Whereas, Pivotal Wishes to Acquire and the Members Wish to Transfer All the Issued Membership Interests of Pkccr in a Transaction Intended to Qualify as a Reorganization Within the Meaning of §368(a)(1)(b) of the Internal Revenue Code of 1986, as Amended. Now, Therefore, Pivotal, Pkccr, and the Members Adopt This Plan of Reorganization and Agree as Follows: 1. Exchange of Stock
12/34/56