48. As a result of the tortious conduct of the defendants, as set forth in the First, Second, Third and Fourth Causes of Action, said Plaintiffs have been deprived of said services and other benefits of such infants, and have been caused to incur medical expenses on behalf of said infants.

WHEREFORE, the Plaintiffs demand compensatory damages in the First Cause of Action in the amount of TEN MILLION ($10,000,000.00) DOLLARS for each Plaintiff, other than infant Plaintiffs; and the infant Plaintiffs demand compensatory damages in the First Cause of Action in the amount of TWENTY MILLION ($20,000,000.00) DOLLARS for each infant Plaintiff; and the Plaintiffs demand the same amount of damages in the Second Cause of Action as demanded in the First Cause of Action; and the parents of the infant Plaintiffs, for their Derivative Cause of Action, demand compensatory damages in the amount of FOUR MILLION ($4,000,000.00) DOLLARS for each Plaintiff; and the other Plaintiffs with a Derivative Cause of Action set forth in the Fourth Cause of Action demand compensatory damages in the amount of TWO MILLION ($2,000,000.00) DOLLARS for each Plaintiff; and the Plaintiffs each demand punitive and exemplary damages in the Third Cause of Action as against each of the defendants in the amount of TEN MILLION ($10,000,000.00) DOLLARS for each Plaintiff and against each defendant; together with the costs of this action.

DURST, APSAN, BERSIN & DEPROSPO

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IBM-ZRIND 64240