AFFIDAVIT OF VINCENT BRENNAN IN SUPPORT OF MOTION TO DISMISS FOR LACK OF PERSONAL JURISDICTION I, VINCENT BRENNAN, state: 1. The following facts are true of my own personal knowledge. If called upon to do so, I could and would competently testify as to the truth of these facts. I am a defendant in this action. I am currently employed as an Senior Vice President of Sales of defendant Digital Tnsight Corporation ("DI"). My office is located in Norcross, Gcorg~a. 2. I am not and have never been a resident of Texas. I am a resident of Georgia. 3. I am not and have never been employed ~n Texas. For the last six years, I have worked in Georgis. I have never maintained an office, mailing address, or telephone number in T=xas. 4. I have never owned any assets in Texas. 5. I have never paid any income or property taxes in Texas. 6. I have never maintained a bank account in Texas. 7. I have nevcr owned, leased, rented, or controlled any real or personal property located in Texas. 8. I have never voted in a Texas election. 9. I have had very limited contacts with Texas. To the best of my recollection, during the past twelve years, I have visited the State of Texas approximately five times. Four of those five visits were business trips which lasted no more than a few nights each. I visited Texas once on personal business, for a long weekend vacation in early 2002. None of these visits had anything to do with FundsXpress Financial Networks, Inc. ("plaintiff"). 1O. I never spoke with any employee of FundsXpress who was located in the Texas offices of FundsXpress about the possibility of their working for DI. 11. To my knowledge, I never spoke to Gifford Dunn at any time when either he or I were located in Texes. I declare under penalty of perjury under the laws of the United States of America that the foregoing is true and correct. Executed on July 31, 2002 at Norcross, Georgia. Vincent Brennan