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Foundation Harmony ATC Application

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Awarded application submitted to the NJ Department of Health and Human Services by FOUNDATION HARMONY as part of a public RFA. This application was awarded one of the first six medical marijuana growing and distribution sites.

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Page 1: Foundation Harmony ATC Application

"In Spe Misericordia"

"Hope is in Compassion"

Foundation Harmony Application

to Establish and Operate a

Medical Marijuana Alternative

Treatment Center

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Introduction to Foundation Harmony

Foundation Harmony(FH) is organized as a non-for-profit corporation incorporated in the State

of California as a domestic non-profit corporation with Tax Exempt Status under section

501(c)(3), and registered for authority in the State of New Jersey as non-profit organization with

no state tax exemption (Title 15A).

We believe that Foundation Harmony is uniquely qualified to design, implement and operate the

Alternative Treatment Center (ATC), and develop a medical model of care in Medical Marijuana

Program.

Mission:

Our mission is to build the best ATC as a "National Medical Model" in New Jersey. FH can

provide comprehensive, community and clinically based services and be a reliable and legal

medical marijuana source for seriously ill patients throughout Northern New Jersey. FH ATC

will operate as non-profit organization that builds community and helps cultivate healthy lives by

providing best quality medicine, emotional support, and personal development services to

patients affected by debilitating medical conditions. FH will also provide registered patients and

healthcare providers with current, scientifically accurate information about medical marijuana

and statistical data, necessary for clinical research.

The focal point of the operations is the creation of a facility that will be fully compliant with

New Jersey Compassionate Act and Rules and Regulations issued by New Jersey Health

Department, and compassionately assist North New Jersey terminally and chronically ill

registered qualifying patients with adequate, safe, consistent, secure, clean and legal affordable

supply of medicine, while educating them regarding safest and the most effective ways of

medical marijuana use.

FH believes that we have a social responsibility to find innovative ways to improve the quality of

life of people with debilitating medical conditions in the community. Medical marijuana is

supposed to be an alternative medicine for suffering patients, not an alternative money market

for greedy individuals!

We will work to be deeply respected by our future registered patients and/or their primary

caregivers and the community in which we live and work and in full compliance with all Rules

and Regulations of New Jersey Health Department and Senior Services and aspects of New

Jersey Compassionate Use Medical Marijuana Act.

General Philosophy:

The general philosophy of future FH ATC is to create a family environment, where every patient

feels special, secure, comfortable, and welcome and receives the highest possible quality of

medicine. We will take care of every patient and establish a relationship with him/her in order to

understand his/her needs. We know that working with so ill people is a very demanding task. Our

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employee will be strong and good listeners, and very concerned about our future patients' health.

Our goal is to achieve excellence at all levels, ensuring that our services reflect the highest

standards of quality and that all our methods are legally and ethically correct.

Foundation Harmony officers and employees are willing and promising to work in strict

compliance with New Jersey Compassionate Use Medical Marijuana Act, with issued by NJ

Health Department Rules and Regulations for ATC and according Federal Law. Foundation

Harmony is against of drug trafficking activity, violence, sales drugs to minors, illegal

possession or sale of other controlled substances. We must defend the registered patients,

primary caregivers, the community and our children from illegal drug activity in our society!

We are eager and willing to be at the forefront to ensure registered and qualified patients' safe

access to high quality services and medicine.

Objectives:

To implement the rules based on clinical standards designed to protect the general public's safety

as well as safety of participating patients and their caregivers, Foundation Harmony officers

placed on themselves the highest quality standards to provide the entire industry in New Jersey

in every aspect of operation: from security, best quality top medical marijuana, stable and

consistent pricing, to constant education of personnel and qualifying registered patients and their

primary caregivers serving their interests.

Foundation Harmony is dedicated to the following objectives for the benefit of its future

registered patients:

- Provide a steady supply of high quality (including purity and consistency of dose) medical

marijuana to registered qualifying patients for affordable and reasonable prices.

- Help improve quality of life of the patients through improved symptom management, patient's

self-assessment management system and reduce emotional distress.

- Provide high quality products such as Topical Formulations, oral lozenges, vaporizers, pipes,

personal microscopes for personal medical marijuana quality testing and personal portable

scales, necessary for accurate dosage of medical marijuana.

- Provide registered qualifying patients and their primary caregivers with up to date ,

scientifically accurate information about medical marijuana.

- Provide registered qualifying patients and their primary caregivers with up to date reliable

resources, regarding State and Federal statutes related to the use of medical marijuana.

Keys to our success:

1. The majority of our company officers and future employees are women, having experience in

medical field. They are capable to provide a passionate atmosphere of caring and warmth to the

registered qualifying patients.

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We are building a well-kept operated facility, paying the great attention to the human factor in

delivering of our services, which will be a model of women's representation in the Medical

Marijuana Industry. FH officers are relying not only on the best quality of medical marijuana

products and services, but also on the right packaging of the products and outstanding sanitation

and maintenance of the future facility.

2. FH is relying on a very well planned hiring, training and educating practices and will provide

the necessary tools for the employees to succeed in the new industry. Our officers and employees

are already educated in medical marijuana industry and have certificates from the Greenway

University - the first and the only in the Nation accredited medical marijuana university. They

visited several dispensaries and growing facilities, medical marijuana testing laboratories in the

state of Colorado and several MMJ and Plant Medicine exhibitions in different states, getting the

broad necessary knowledge in medical marijuana industry. Foundation Harmony has the interest

in employing professional medical personnel, nurses, social workers, who will teach the

qualified registered patients and primary caregivers with the safest techniques and alternative

methods of using medical marijuana.

People with such qualifications know how to deal with sick patients and their primary caregivers

from their previous job experiences. They are eager to improve the quality of life of the qualified

registered patients through compassionate care, education and professional conduct.

Seeing people become better health wise or feeling better is an amazing feeling, and our

employee will become attached to the patients over time.

3. In an effort to build the modern state-of-art growing facility and grow the best quality of

medicine, FH will work in cooperation with growing consultants from other states, and will hire

knowledgeable specialists in horticulture.

4. Foundation Harmony already contacted Prince Insurance Group, and has their assurance

letters for providing in writing our ATC with Lloyds of London insurance, if FH ATC is in

compliance with all necessary security measures and all necessary rules and procedures

according to rules and requirements issued by New Jersey Health Department. Prince Insurance

Group has the exclusive Lloyds of London insurance policy for medical marijuana industry,

being the biggest insurance company in medical marijuana industry in USA.

5. Foundation Harmony is already engaged in the outreach activities in the community in the

Medical Marijuana Program (MMP).

In this regard, FH has developed and is maintaining a website to inform all interested parties

about MMP:

www.harmonyfoundationmmjnj.com

According to Google data and other Merchant statistics our website is visited by at least 700

people per month, and we have a lot of phone calls and visits from the interested parties of the

community.

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The website is done in the form of electronic library and includes resent research on the efficacy

and risks using medical marijuana, changes of Federal and State Laws, updated regulations from

NJ Health Department and links to other resources and holistic ways of healing.

Patient's safety will be a primary concern of FH. There are clearly health risks associated with

medical marijuana use, especially while smoking medical marijuana. It will be a policy of FH to

promote through our website the information about other methods of medical marijuana use.

6. Foundation Harmony developed the relationship with the First in the Nation accredited

medical marijuana university Greenway University, and donated money and organized a First in

New Jersey educational seminar about MMP and its implementations in the other states for all

interested parties of the community. The seminar was held on June 5 and 6, 2010, and was

covered in NJ newspapers, TV news, and internet information. The invitations were also sent to

NJ Senators and Mayors.

(See information on our website and the internet)

7. FH officers participated in the Paterson Mayoral and City Candidates meeting, April 22,2010,

where they promoted FH company's mission to the attendees and Mayor candidates and had the

great support from the community members.

8. Future FH ATC will have a Medicine Discount Program for the patients who are eligible and

in need.

FH will operate as a non-profit organization. As such, it will allocate a portion of its net revenues

helping those of its registered patients, who cannot afford either all part of their medical

marijuana. FH will allocate a special amount of funding each year to fund its discount program.

Discount will be based on the patient's application of economic need (defined by income) and

will enable eligible members to receive the medical marijuana and paraphernalia they need for

their better life quality. Understanding our patient's health and socio-economic status is the

important part of FH ATC work.

Medicine Discount Program is one of the most rewarding aspects of our future work.

9. Foundation Harmony established partnership with professional medical offices, providing

great medical and Holistic services, where FH would refer it's registered qualifying patients, for

complimentary or discount services for achieving the best treatment outcomes.

Foundation Harmony has the Engagement letter from Self-Awareness and Transformation

Center, located at 126 Park Ave, E. Rutherford, NJ,07073 about offering free (once a week)

professional services like, yoga, sound and color healing therapy, energy healing, acupuncture,

meditation techniques for registered patients of ATC referred to them by FH, which a lot of

registered patients cannot obtain by themselves. For this purpose we will allocate a portion of our

future revenues.

Foundation Harmony has the Engagement letter from Tri State Health and Wellness Medical

Center, located at 31-00 Broadway, Fair Lawn, NJ 07401. This medical center is going to

provide professional services: Acupuncture, Massage Therapy, Physical Therapy, Vitamin and

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Mineral Supplementation through Intervenal Infusion, Drug, Alcohol and other Controlled

Dangerous Substances Abuse Treatment, Pain Management and Hypnosis for registered

qualifying patients of Foundation Harmony ATC. FH will pay for these services if they are not

covered by FH registered patients' insurances (partially or in full, by decision of FH ATC Board

of Directors) from the future revenues.

Foundation Harmony has the engagement letter with Dr. Shtillman, DDS from CavityFree

Dental Care that he would provide professional dental services to "special need" patients,

referred to him by FH. FH ATC will cover the dental treatment cost for such patients in

Hackensack Hospital facility if some of these services are not covered by patient's insurances ( as

anesthesia), by the decision made by the Board of Directors.

10. FH is already engaged in a medical marijuana clinical research together with Beilis

Development Laboratory located in NJ, working on the development of a professional

formulation for the increased transdermal delivery of cannabinoids. Clinical studies are held in

California.

11. FH is planning to build on its premises a laboratory for Microbiological Screening, Foreign

Matter Inspection and Cannabinoid Profiling, which will ensure the quality of the medicine and

the most accurate and comprehensive way to measure cannabinoids.

Thank you for taking the time to read our mission and objectives.

We hope that our application will show New Jersey Health Department Medical Marijuana

Program that Foundation Harmony is a team of professionals, who are knowledgeable in non-

profit field, healthcare, horticulture, business and medical marijuana education, therefore, FH is

capable of implementing its mission and goals!

Evidence of compliance with N.J.A.C, 8:21-3A.18, with regards to inspection and auditing

of FH ATC

The officers of FH ATC are assuring the NJ Health Department to be in compliance with

N.J.A.C. 8:21-3A.18 with regards to inspection and auditing of FH ATC.

FH ATC shall permit the NJ Health Department and authorized Federal, State and Local

enforcement officials to enter and inspect their premises, and audit their records and written

operating procedures, at reasonable time and in reasonable manner, to the extent authorized by

law.

FH ATC understands that this inspection and auditing will be done for the benefit of health and

safety of the qualifying registered patients.

FH ATC Operation Manual demonstrates compliance with NJ Health Department Rules and

Regulations to the MMP, where all Policies and Procedures govern every aspect of our future

operation which creates a corporate culture of compliance.

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FH ATC will maintain business records including manual or computerized records of assets and

liabilities, monetary transactions, various journals, ledgers, and supporting documents, including

agreements, checks, invoices, and vouchers that the FH ATC keeps as its books of accounts.

FH ATC will have a contract with the best known software providers of business record keeping

and tracking system for medical marijuana dispensaries.

FH is committed to work with New Jersey Health Department, to improve our policies and

procedures as NJ MMP evolves. FH anticipates that NJHSS Rules and Regulations establish the

beneficial, social impact in inhibiting the criminal activity in the community.

FH ATC will provide 2 monitors for remote viewing via telephone lines in State offices. This

system shall be approved by MMP prior to permit issuance. Original tapes or digital pictures

produced by ATC system shall be stored in a safe place (vault) with a 30 day archive.

FH ATC future Policies and Procedures can be seen in our Application and Operation Manual.

Appendix K: Signed Letters by the Board of Directors with regards to inspection and auditing of

FH ATC.

Evidence of the principals, board members, owners, and employees to cooperate with a

criminal history record background check pursuant to N.J.A.C. 8:64-7.2, including

payment of all applicable fees paid by the ATC or the individual.

FH ATC principal officers and employees will cooperate with criminal history background check

pursuant to N.J.A.C. 8:64-7.2, N.J.S.A. 24:6I-4 and comply with procedures established by the

Division of State Police pursuant to N.J.A.C. 13:59 for obtaining readable fingerprint

impressions. Our commitment to track the record of the Board of Directors and employees

demonstrate our serious commitment to protect the future ATC premises, the staff, registered

patients and neighbors in the community from criminal activity, theft, abuse or other diversions

of MMJ surrounding the implementations of MMP in other states such as California.

Written Consent of principal board members and employees to cooperate with the criminal

history background check pursuant to N.J.S.A. 24:6I-4 and compliance with N.J.A.C. 13:59 for

obtaining readable fingerprint impressions is submitted in Appendix K for every officer and

employee.

Payment of applicable fees associated with the criminal history background check will be

submitted on demand.

All principal officers of FH ATC executed a certification stating that he/she submits to the

jurisdiction to the courts of the State of New Jersey and agrees with all the requirements of the

laws of the State of New Jersey pertaining to the Medical Marijuana Program.

Appendix K: Certifications of Submission to the Jurisdiction of the Courts of the State of New

Jersey.

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Reporting requirements to NJHSS from ATC:

FH ATC will submit to NJHSS:

The number of registered qualifying patients and registered primary caregivers;

The debilitating medical conditions of qualified patients;

Patient demographic data;

Program costs;

A summary of the patient surveys and evaluation of services; and

Such other information may be required by NJHSS.

CRITERIA FOR APPLICANTS

[TOTAL WEIGHTED REQUIREMENTS up to 300 points]

Criterion 1: Submission of Required Information Regarding Applicant & Facility

[MANDATORY REQUIREMENTS]

Measure 1: The applicant shall provide the proposed legal name and the following

documents applicable to the applicant’s legal status. Supporting documents should be

included as Appendix A.

Certificate and Articles of Incorporation and By-Laws for corporations

Organizing documents for associations

Evidence of nonprofit status

Certificate of good standing issued by the New Jersey Secretary of State

Appendix A: Certificate and Articles of incorporation, By-Laws of FH, Evidence for non-profit

status, Certificate of good standing issued by NJ Secretary of State.

Measure 2: The applicant shall provide the proposed physical address (es) of the ATC, if a

precise address has been determined. Supporting documents should be included as

Appendix B.

For each proposed physical address, the applicant shall provide legally binding

evidence of site control (e.g., deed, lease, option, etc.) sufficient to enable the

applicant to have use and possession of the subject property including, but not

limited to, length of term of use and possession.

Response:

The facility would be located at It is a 66,500 sq feet

masonry building, having 1 story part for plant cultivation facility and two-storied office part.

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The facility is housing the whole scope of FH ATC operations: Dispensary and Plant Cultivation,

thus providing additional security.

All windows of plant cultivation area on the first floor will be blocked, making invisible all

activities in this area. The windows in the office area on the second floor will have metal guards.

The future FH ATC will have a huge parking lot of 71 parking spaces.

A building is located in a low crime area of Secaucus; local Police Department is located in one

mile distance. Secaucus has a crime index 184.2, comparing to 319.2 US average. Area of

Secaucus municipality has a lot of substance controlled drug manufacturers located in the area.

Exterior appearance of the facility will not have any influence on the neighborhood property

value. Our closest neighbors in 100 feet proximity would be provided with names and phone

numbers of FH ATC Board of Directors. The facility has a neighbor on the left side of the

building, which is a furniture shipping company.

Hours of operation and after hour contact information.

The ATC will operate from 9 am to 9 pm with one-hour lunch break (the time will be decided

later), seven days a week, Monday through Sunday, except National Holidays. Such long hours

of operation is a measure to ensure that all our patients and their primary caregivers have enough

time to reach FH ATC (some of them are working or live far from the ATC).

ATC will not make exceptions to the hours by letting patients into the store when it is closed.

After hour contact information for the use of Health Department, State Police, and other

inspection agencies:

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Margarita Ivanova: phone:

Marina Karavas: phone:

Ida Umanskaya: phone:

Dmitri Bajanov: phone

FH chose this address at for ATC, because it is

favorably located in Northern New Jersey region. It has the best accessibility by any type of

public transportation and through all major highways.

• Prime industrial building located off Route 3 and the New Jersey Turnpike at Exit 15X in the

Harmon Cove Industrial Park. The Garden State Parkway, Routes 17, 46, 1 & 9, and arteries

to I-80, I-95 and I-280 are easily accessible.

• Many bus lines service Harmon Cove from New York’s Port Authority and various parts of

New Jersey. Train service is available at the nearby Secaucus Junction Train Station.

The facility is located near major Northern New Jersey Hospitals:

Name of Hospital Distance from

facility_(miles)

Caligor Medical Hospital 0.4

Meadowlands Hospital Medical Center 1.1

Christ Hospital 3.1

Palisades General Hospital 4.2

Hoboken University Medical Center 3.0

St. Mary Hospital 3.1

Jersey City Medical Center 6.0

Pollack Hospital 5.0

Hackensack University Medical Center 10.0

The Concentra Urgent Care is located on 30 Seaview Drive, in a 25 minute walking distance

from the future facility. (201) 319-1611. FH has begun a conversation with Concentra Care,

personally with William Miller, Health Service Manager about possible future affiliation.

See Criterion 3, Measure 2 for detailed information about the facility location.

Measure 3: The applicant shall provide evidence of compliance with the local zoning laws

for each address or proposed location for an ATC. If the current zoning is not appropriate

for a given address or location, identify any required zoning variance(s) and the applicant’s

actions taken to date to obtain such approval(s) and/or variance(s). Supporting documents

should be included as Appendix C.

Response:

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Shown below is an abstract from the Hackensack Meadowlands District Official Zoning Map,

showing the location of future FH ATC.

Our future facility will be located in Secaucus which is a light industrial zone.

Light industrial zoning ordinance allows: Agricultural processing plants, bakery, distributing

plants, food processing ( except fish, dairy, meat, poultry, yeast, vinegar), laboratories for

research and development, uses handling and storage, any retail sales, that have to be conducted

within an enclosed building.

FH ATC future operations are in full compliance with Secaucus light zoning ordinance.

Appendix C: Letter from Town of Secaucus Construction Department, Municipal Government

Center, Construction/Zoning Vincent Prieto; cc: Mayor-Michael Gonnelli, Town Administrator-

David Drumeler.

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Measure 4: The applicant shall provide evidence that all of the physical addresses and

proposed locations provided in response to Measure 2 are not located within a drug-free

school zone. The applicant shall provide the distance to the closest school from the ATC.

Supporting documents should be included as Appendix D.

Response:

FH ATC considers community safety as its top priority. Throughout the site selection process,

FH considered the proposed address as perfectly suited in the low crime industrial area.

The Google maps providing evidence that the proposed location is not located within 1000 feet

of schools and other child-oriented facilities, churches, temples and cemeteries are included in

Appendix D.

Nearest school: Clarendon No. 4 Elementary School - 1.0 miles from facility.

Nearest church: Shree Swaminarayan Temple - 0.9 miles from facility.

Appendix D: Evidence that the physical address of the proposed location provided in response

to Measure 2 is not located within a drug-free school zone, letter from a real estate agent.

Measure 5: The applicant shall provide a legible map or maps of the ATC service areas by

Zip Code to be served by ATC. Supporting documents should be included as Appendix E.

Response:

A legible map of Northern New Jersey (Bergen, Essex, Hudson, Morris, Passaic, Sussex and

Warren counties) (rotated 90 degrees to fit the page) of areas that could be served by FH ATC is

submitted below.

Appendix E: FH ATC service areas by Zip Code.

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Measure 6: The applicant shall provide the role, qualifications, name, address and date of

birth of each staff member and the role, name, percentage interest, address and date of

birth of each principal, officer, board member or partner of the ATC. In the event that an

individual has not yet been identified, a statement of required qualifications and position,

Description shall be included as Appendix F.

Response:

FH is a non-profit organization, thus, there are no owners of the company. No principal,

officer, board member or partner has a percentage interest in the company.

Board of Directors

Name Address Date of birth

Marina Karavas

Ida Umanskaya

Margarita Ivanova

Dmitri Bajanov

Employees

Name Address Date of birth

Anastasia Vaynberg

Georgiy Akopov

Nino Manelashvili

Boris Slutskiy

Larissa Seymour

Valeriya Shlapak

Maia Gogua

Yuriy Rybakov

Elizabeth H.

Sonnenthal

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Marina Karavas, Executive Director

Education:

1. Academy of Law, Moscow, Russia

2. Applied to Benjamin Cardozo School of Law, New York, NY

3. Has a Certificate of Completion from Greenway University after having 20 hours of

accredited training.

Experience:

Has 13 years of S CORP. ownership, providing services for clients, communicating with NYS

Department of State and New Jersey Department of Treasury.

Today is working in Foundation Harmony. Participated in organization of the first in New Jersey

educational seminar in Medical Marijuana Industry, performed by Greenway University in June

2010.

Has a great experience in volunteering for elderly people of Bergen County, providing them with

interpreting services, in particular Social Security Office of Bergen County.

She also works as a volunteer for the LGBT Community Center in New York

(www.gaycenter.org).

Ida Umanskaya, Director of Holistic and Social Operations

Education:

1. State University, St.Petersburg, Russia

University of Precise Mechanics and Optics, MS equivalent in Optical engineering and design

2. St.Petersburg School for Preparation and Improvement of Qualification of Nurses

3. New York Touro College (1993-1995)

Bachelor of Health Sciences and Health Information Management

4 .Clayton College of Natural Health, Naturopathic Doctorate degree ( pending)

Studied courses: Herbology, Iridology, Homeopathy, Cancer Prevention, Detoxification and

Healing, Naturopathy, Fundamentals of Nutrition and Dietary Influences on Diseases.

5. Has a Certificate of Completion from Greenway University after having 20 hours of

accredited training.

Experience:

Worked as a manager in several Medical Practices, sales manager and customer service in Art

Group, she has her own skin care product line.

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Today is working in Foundation Harmony, participated in organization of the first in New Jersey

educational seminar in Medical Marijuana Industry, performed by Greenway University in June

5-6, 2010.

Educates and informs community members about medical marijuana program by phone or by e-

mail.

Today is working with Beilis Development, NJ laboratory, on development of patented (by Ida

Umanskaya) concept and formulation (trademark IMMUNIK) for healthy and safe, FDA

registered, transcutaneous cannabinoid delivery for registered qualified patients.

Margarita Ivanova, Director of Administration and Finance

Education:

1) Berkeley College, West Paterson, NJ

Bachelor of Business Administration in Accounting

2) Has a Certificate of Completion from Greenway University after having 20 hours of

accredited training.

Experience:

. Responsibilities:

Handle financial transactions, recordkeeping, and payroll

Reconcile, evaluate, and resolve collection accounts

Create invoices and monitor overdue accounts

Supervising the admission process, medical billing, coding, and arbitration

Distribute insurance and cash payments to appropriate patient accounts

Verify patient eligibility and obtain pre-certification

Heavy patient phone contact and appointment scheduling

Assist four Radiologists with everyday assignments

Dmitri Bajanov, Director of Operations

Education:

Gorkovsky Military University, MS in Business Administration

Experience:

1) Worked as the Chief Manager with responsibility for technical, food and other necessary

provision of seventy commercial ships and shore warehouses.

2) Opened and managed one medical clinic with a group of seven doctors in New York,

Brooklyn.

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3) Today works as the President of NGU Omega Management Inc, owning and providing

management for two medical clinics in Manhattan and Brooklyn with 30 health professionals

working in them.

Mr. Bajanov is extremely knowledgeable in the medical industry business: in rules and

regulations regarding patient's confidentiality, medical records safety, reporting to health

department, planning, recruiting ,coordination of services, managing finances, in provision of

medical and other office equipment, software and supply provision and oversight of medical

clinics. His previous experience and background from Russia,( fully supplying numerous

commercial ships), is of great value for developing the business and security plan for FH ATC in

detail and in the whole.

Qualification and education of future FH ATC employees

Maia Gogua, future grower

Education:

1) Georgian Institute of Subtropical Economy, Georgia - B.S. in Agronomy and Horticulture

Experience:

More than 10 years of experience in mass indoor and outdoor growing, specializing in growing

of tea, tobacco, tomatoes, lemons, and ethereal cultures. She is experienced in all steps of

horticulture from seedling to harvesting.

2006-2009, worked as a dental assistant in the dental offices of Dr. Bodneva. Since 2009 she

works as a dental assistant in "Periodontal Associates" office in Englewood.

Larissa Seymour, future Social Worker

Education:

1) Engineering Academy, Zaporoznye, Ukraine - B.S. in Ecology of Natural Resources2)

Adelphi University, Garden City, NJ - M.S. in Social Work

Experience:

In 1985-1993 worked as a Chemical Engineer in Ukraine. Today works in Merc&Medco Health,

Inc. as a Business Analyst.

Elizabeth H. Sonnenthal, future Social Worker

Experience

Works as the Assistant Director, Welfare department, Borough of Cliffside Park

Performs all duties as a Social Worker, opening cases based on eligibility; interviews clients,

making on-going decisions about their status; prepares checks, paying out thousands of dollars

each month; steers clients and non-clients in the right direction, with information whatever

medical, social and other services they might need. Elizabeth has a knowledge of several foreign

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languages, has exceptional communication, relationship-building and interpersonal leadership

skills; committed to quality and excellent customer service.

FH ATC is happy to have such employee in its stuff. Elizabeth can bring her invaluable

experience to FH ATC, its registered qualifying patients and primary caregivers, and help in FH

ATC charitable program.

Nino Manelashvili, future receptionist

Education:

Tbilisi State University, Tbilisi, Georgia - MS in Liberal Arts

Experience:

Worked as a Receptionist in Dr. Fishbein's Office, West Orange, NJ.

Anastasia Vaynberg, future receptionist

Education:

Lincoln Technical Institute, Paramus, NJ - Medical Coding and Billing

Experience:

In 2005-2010 worked as a Medical Manager and Biller in several medical offices. Today works

in Elite Physician services as a Medical Biller.

Boris Slutskiy, future Shift Manager

Education:

1) Academy of Economy, Moscow, Russia - B.S. in Food Sciences and Human Nutrition

2) Global Institute of technology, New York, NY - Certificate in MVS Programming

Experience:

In 1990-1998 worked in Beak Stearns and American Express Bank.

Georgiy Akopov, future assistant grower

Education:

1) Bauman Moscow State Technical University, Moscow, Russia - B.S. in Optical

Engineering;2009 Developed new Optical Methods of Forensic Document Examination for

Criminal Forensic Laboratory researches.

2) Bergen Community College, Paramus, NJ - AS in Natural Sciences and Biology (Pending)

3) The Diploma of Higher Education in Cannabis College Amsterdam (online).

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Experience:

Currently is working in Foundation Harmony as a Volunteer.

Valeriya Shlapak, future monitoring specialist

Education:

1) Magnitogorsk State Technical University, Magnitogorsk, Russia - M.S. in Computer Sciences

and Programming

Yuriy Rybakov, future Chief of FH security guards

Education:

Tyumen University of Oil and Gas, Russia- MS of Science and Engineering

Gladiator Security Guard Training School, NY-Certificate of a Security Guard

Centurion Fire Science Institute, NY- Fire Safety Director (F-58).

NYC College of Technology- Refrigerating System Operating Engineer Certification Program

Pace University, NY-Emergency Action Plan Director (F-59)

Experience

Fire Safety/ Security Officer position in Hotel Plaza-Athene, 37E 64 St, New York, NY, 10065.

At Present-Deputy Fire Safety Director ( LB&B Associates Inc.) at the Federal Office Building,

201 Varick St, New York, NY,10014

Yuriy Rybakov's education and experience will help FH ATC to interview and hire security

guards and to develop the best security measures possible for FH ATC operations.

NOTE: FOR OFFICIAL USE ONLY, LIMITED FOR PUBLIC REVIEW, CONTAINING

CONFIDENTIALITY AND PROPRIETARY INTELLECTUAL PROPERTY.

Written above is the list of employees, who are ready to be employed by the future FH ATC.

Other employee staff would be hired as soon as FH gets the ATC license permit.

Appendix F: Copies of Diplomas, Certificates and other credentials of the Board of Directors,

employees; a List of positions and qualification descriptions for FH ATC.

Appendix G: Operation Manual: Job description on p. 93

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NOTE: FOR OFFICIAL USE ONLY, LIMITED FOR PUBLIC REVIEW, CONTAINING

CONFIDENTIALITY AND PROPRIETARY INTELLECTUAL PROPERTY.

Measure 7: Disqualifying Drug Offenses: In considering any application for an ATC

permit, an applicant must disclose and the Department shall consider, at a minimum, the

following factors in reviewing the qualifications of those persons applying:

Response:

The Board of Directors and all future staff members are ready and eager to participate in criminal

background check according to NJ Rules and Regulations in MMP.

The forms of Submission to the Jurisdiction of The Courts of the State of New Jersey and

Consent to submit to a criminal history record background check pursuant to N.J.S.A. 24:6I-4,

together with applicable fees will be submitted by the Executive Director of FH on demand from

NJHSS if FH is granted the permit to operate as an ATC.

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Measure 8: The applicant shall provide the identities of all its creditors, if any.

Response:

Measure 9: The applicant shall provide a list of all persons or business entities having

direct or indirect authority over the management or policies of the ATC.

Response:

Persons having direct authority over management and policies of FH ATC are the Directors of

FH ATC. No businesses, or other than officers from the Board of Directors, have direct or

indirect authority over the management or policies of FH ATC:

Marina Karavas

Ida Umanskaya

Margarita Ivanova

Dmitri Bajanov

Measure 10: The applicant shall provide a list of all persons or business entities having an

indirect interest in the ATC. An indirect interest includes an interest in the land or building

where the ATC will be sited.

Response:

There are no persons or business entities having the direct interest in ATC. The Landlord, who

will have the indirect interest in FH ATC operations, deriving economic benefit from renting FH

it's building, can have the same economic benefit by renting the facility to the other businesses.

Measure 11: The applicant shall include the required application cover sheet and

attestation statement signed by its chief executive officer or other individual authorized to

make legally binding commitments on its behalf.

Response:

Appendix A: Application cover sheet, Attestation statement signed by FH CEO.

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Criterion 2: Submission of Required ATC Operational Information

[TOTAL WEIGHTED REQUIREMENT UP TO 80 POINTS]

Measure 1: The applicant shall provide a draft operations manual and training plan which

demonstrates compliance with Subchapter 9 of N.J.A.C. 8:64, the Rules Related to the

Medicinal Marijuana Program and which addresses ATC General Administration

Requirements for Organization and Recordkeeping.

[WEIGHTED REQUIREMENT up to 40 points]

Response:

As a result of FH Board of Directors experience, and consulting with Grow SetUp Inc, there is

the Operation Manual, including procedures, policies, drug and alcohol- free policies, training

and educational materials, samples of self-assessment records and other necessary information to

ensure that FH ATC is able to meet NJHSS rules and regulations and the standards of medical

marijuana industry facilities. The Operation Manual will serve as a tool and reference resource

for FH ATC officers, managers and employees. It has information and policies and procedures,

regarding security measures adopted by FH ATC, and procedures, how to respond to emergency

or robbery.

There is also a stringent human resource compliance and documentation regarding

confidentiality, orientation, training, operational policies and procedures. Operation Manual

contains necessary educational, regulative and other important information in medical marijuana

field.

Employees would be informed prior to employment about criminal background checks,

monitoring and security practices in FH ATC and random drug testing practices. It is a draft only, but will be developed in full with the help of professional human resource'

management company, if FH is awarded with license to operate ATC in Northern NJ.

FH ATC Board of Directors will ensure that Operational Manual is available for inspection by

the Department, upon request.

FH ATC Board of Directors will ensure that FH ATC Drug and Alcohol- free policies are

available for inspection by the Department, upon request.

FH ATC Board of Directors would publish all educational materials, after they are approved by

the Department.

Appendix G: Draft Operations Manual and Training plan.

NOTE: FOR OFFICIAL USE ONLY, LIMITED FOR PUBLIC REVIEW, CONTAINING

CONFIDENTIALITY AND PROPRIETARY INTELLECTUAL PROPERTY.

Measure 2: The applicant shall provide a description of how the ATC will operate on a

long-term basis as a not-for-profit entity and a business plan that includes, at a minimum,

the following:

[WEIGHTED REQUIREMENT up to up to 35 points]

I. The applicant shall provide a detailed description about the amount and source of the

equity and debt commitment for the proposed ATC.

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a. The immediate and long-term financial feasibility of the proposed financing plan;

b. The relative availability of funds for capital and operating needs; and

c. The applicant’s financial capability.

Response:

FH has the officially opened credit line- three million dollars, provided to future FH ATC by

on a favorable rate and with favorable conditions of crediting.

FH start up operations will be financed by It is anticipated that

the notes and necessary financial documents will require FH to pledge the business assets and

future accounts receivable as security.

FH Business Plan is done for the future creditor and for assistance of NJHSS to consider FH

financial capability to operate one of the Northern NJ ATC. It is based on the projected number

of registered patients, projected price for medicine, and upon the information and numbers

provided by FH ATC future consultants, contractors, affiliates and experts in medical marijuana

industry.

Neither FH, nor the Board of Directors or any of future consultants, contractors or employee give

any warranty or make any representation, expressed or implied as to the accuracy or full

completeness of any information and numbers contained in this Business Plan. All presented

material options and numbers, constitute FH's forward looking statements, represent the

subjective views and estimates of FH Board of Directors. They are also based on projected

assumptions which FH believes reasonable enough, but which may or not be proved to be

correct. Nothing in this Business Plan should be relied as warranty, promise or representation of

the future FH ATC performance.

Projection of the number of qualified patients to be served in FH ATC

As of today we were unable to find any studies projecting the number of medical marijuana users

nationwide. Our projected estimate may not be nor is it intended to be scientifically or

statistically sound. A projection of the number of qualified patients to be served by FH ATC is

difficult to make and a projection is not accurate due to several reasons:

1) We don't have any figures about the number of qualifying patients who are going to apply to

MMP;

2) We don't have any figures about the number of patients which will be registered by NJ

Health Department;

3) NJ Health Department makes no estimate or representation as to the number of qualifying

patients.

We can make our assumptions knowing:

The demographic data of Northern New Jersey, which FH ATC is going to serve;

Debilitating medical conditions of qualified patients for MMP in New Jersey;

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Patient’s statistics and surveys from New Jersey Health Department and other statistical

sources;

As of November 16, 2010, 56 doctors have signed up to recommend patients into the

program according to NJHSS spokesperson Donna Leusner. On January 12, 2011 there were

68 doctors signed for MMP, according to Health Department figures published in the

newspapers;

The statistics ( 2007-2009) of the major qualifying diseases in North Jersey (cancer and

HIV/AIDS);

The number of ATC allowed by NJ Health Department in Northern region;

We are assuming that some New Yorkers with debilitating qualifying conditions can change

their residency for North New Jersey during the first two years of MMP implementation.

It can be expected that many qualifying patients and primary caregivers will not join MMP,

because some of them do not choose medical marijuana as their possible cure, others do not

think that all necessary accommodations are made for their privacy and health needs.

According to survey done by Washington's Medical Marijuana information center the average

consumption of patients with debilitating medical conditions is 1 oz. per week. FH assumes that

every registered patient will consume the allowed limit of 2 oz. per month, though their finances

may forestall their consumption.

FH thoroughly studied NJ vital and health statistics from NJ Health Department and Senior

Services last publications (2007 and 2009) for cancer and PLWHA, NJ Cancer Registry, State

cancer and AIDS Profiles.

1. Cancer.

According to these sources, Bergen County bears the greatest cancer burden in the state in

absolute numbers. According to New Jersey Cancer Registry in 2003-2007 Bergen County had

28,491 new cases of cancer out of 252,000 statewide. Assuming that 2/3 of them can go through

chemotherapy, and suffer from chronic pain and nausea; at least 18,000-19,000 people could be

registered in MMP in Northern New Jersey.

"Cancer is the number two cause of death in New Jersey and the cancer statistics will likely be

fueled each year due to the increase among the population", (National Cancer Institute and

Center for Disease Control and Prevention, State Cancer Profiles) even though over the past few

years, significant improvements in regard of health care have been made.

2. HIV/AIDS

Essex, Hudson and Passaic Counties are reported as disproportionably affected by HIV/AIDS in

comparison with other 21 New Jersey counties.

According to data published on December 31, 2009:

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Living patients with HIV/AIDS (PLWHA): in Passaic county-2,587 people; Bergen county-

1,560 people; Hudson county- 4,623 people; Essex-9,584 people; Warren-115; Morris-702

andSussex-142. Newark (Essex County) accounts for 24% of deaths in NJ due to HIV disease,

having only 3% of state population. 19,313.00 PLWHA patients can be registered for MMP in

Northern New Jersey.

There are a number of other debilitating medical

conditions permitting the NJ patient's registration

for MMP, such as: seizure disorder, including

epilepsy; intractable skeletal muscular spasticity;

glaucoma; inflammatory bowel disease; Crohn's

disease; multiple sclerosis, and etc. Also there is

a policy of NJHSS to approve other conditions as

debilitating medical conditions for MMP in two

years.

3. Multiple Sclerosis.

USA has a high incidence of Multiple Sclerosis

(MS), approximately 0.3% of country population.

There is no central registry of MS in New Jersey,

but according to National MS Society New Jersey

Metro Chapter, there are 13,000 New Jersey

residents living with MS. We can assume that at

least one third of them are residing in Northern

Region (approximately 4,000 people).

4. Chron's Disease.

20% of adult population in US or one in five Americans has symptoms of Irritable Bowel

Syndrome. Chron's Disease incidence is 1 in 544 of population or 0.18% of US population.

Therefore, we can assume that there are approximately 8,000 of Northern Jersey Residents (4

million residents) are having Chron's Disease.

5. Epilepsy and Seizures.

There is no central registry of Epilepsy and Seizures cases in US. From the mixture of sources,

leading experts have arrived with such statistical data: there are 3 million active Epilepsy cases

in US, where 10% of them fail to gain control of Seizures despite optimal medical management.

1 in 100 people will develop Epilepsy each year and the trend is the increasing incidence of it.

6. Amyotrophic Lateral Sclerosis (ALS).

There is no New Jersey registry, but through statistical data we know that 30,000 Americans are

affected by ALS, and the incidence is 5,600 new cases each year, 1-2 people per 100,000 each

Prevalence Rate: Persons Living with

HIV/AIDS per 100,000 population

0.0 - 199.9

200.0 - 399.9

400.0 - 1199.9

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year. We can assume that approximately 50 people will be affected by ALS each year in

Northern New Jersey.

7. Glaucoma.

2,000,000 of US residents have Glaucoma, 120,000 people are currently blind from Glaucoma,

5, 500 become blind from Glaucoma each year. Using this data we can assume that 0.65% of US

population have Glaucoma, Northern New Jersey approximately has 30,000 residents affected by

Glaucoma.

New Jersey cannot be compared with other states because:

1) Every state has its own individual health statistics, and New Jersey ranks as 16th in the list of

Healthiest States in 2007.

2) New Jersey MMP does not allow patients to grow their own medical marijuana.

Taking into consideration that North New Jersey population is approximately 4 million people,

the fact that some New York patients can change their residency to New Jersey, and a big

number of severe debilitating diseases in North New Jersey, we assume that there can be at least

50,000 patients enrolled in MMP during three years. At the same time we anticipate that the

majority of patients with debilitating medical conditions would not want to be registered in MMP

and do not believe in medical marijuana cure.

FH knows that NJ doctors are registering for MMP very slowly, thus the patients would be

registered slowly and steadily too, especially for the first ramp-up year.

According to assumptions mentioned above, FH anticipates having at least 1,500 registered

patients for the first ramp-up year. Comparing to Montana and Rhode Island Health Department

MMP Registry for 2010, we can observe a very rapid increase in the number of registered

patients at the end of second year.

We anticipate that at least 4,000 people could be registered in one of Northern Region's ATC-s.

As for the third year, we are projecting a slow increase of approximately 600 new patients per

year for one ATC, taking in consideration that NJHSS can give the permits to other ATC-s in the

area. Also we can expect that some registered patients could decide not to use medical marijuana

as their cure after the first year of its using, but at the same time some new debilitating medical

conditions could be added by NJHSS.

FH anticipates that there can be different incidents of temporary closing of one of two permitted

in Northern Region ATCs, thus, one of the remaining ATC has to serve all registered patients.

That is why each of permitted ATCs has to consider its capability to serve all registered patients

of the whole Northern Region for some period of time.

According to this statistical data, Foundation Harmony considers the projected location of ATC

in industrial area of Secaucus to be very well suited for the North Jersey population qualifying

to be registered for MMP, and we can provide the minimal rough figure of at least 20,000

patients that can be served by FH ATC facility if needed. We will have all necessary funding,

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staff, and the easily expandable size of growing facility area, special growing techniques, long

hours of operation necessary to" scale up" FH ATC according to patient demand. Our

consultants and future growers are knowledgeable to build the plant cultivation facility adequate

enough for a consistent and adequate supply of medicine.

FH understands that ATC is a new model for providing medical marijuana to qualifying patients

in New Jersey and that demand could change dramatically and patient's numbers could increase

due to improved access to safe, high quality medical cannabis. FH intends to be prepared to meet

fluctuations in patient load and product demand in order to ensure sufficient supply of medical

cannabis to qualifying patients in New Jersey.

Inventory control helps to implement FH ATC's primary mission - to provide a steady supply of

high quality medical marijuana to registered qualifying patients, and also provide full

transparency for the inspection audits.

1) ATC is authorized to possess two ounces of usable medical marijuana per registered

qualifying patient plus an additional supply, not to exceed the amount needed to enable the

ATC to meet the demand of newly registered qualifying patients, consistent with actual

demand ratios calculated pursuant to N.J.A.C.8:64-9.3(a) 3-5.

2) During the first 60 days after commencement of operations, ATC is authorized to possess a

reasonable supply of usable marijuana to build initial inventory, without the ATC having

been designed for use by any registered qualifying patients or primary caregivers.

3) When there is a decrease in the number of registered qualifying patients and primary

caregivers who have designated the ATC as their dispensary, the ATC shall have 10 business

days to adjust the inventory.

FH ATC will instruct each patient to fill out self-assessment records, which will help us to

understand what strain and strength of cannabis works and what does not, and create the best

combination of strength and dosage, that is most appropriate and effective for this patient's

disease and condition.

Using the weekly periodical reviews and information from NJHSS about registered patients in

Northern Jersey, FH ATC would adjust its growing, dispensing capabilities and the quality of

medicine. We would use Sea of Green (SOG) technology and growing in tiers, if necessary,

increasing weekly growing and growing steadily to provide steady adequate supply of medical

marijuana to our future registered patients. At the same time we can decrease our inventory in 10

business days if we experience a temporary decrease in the number of patients. Our future

product will meet the standards of modern medicine: quality, safety and efficacy.

The standards and procedures by which FH ATC determines the price it charges for usable

marijuana.

The plan of FH ATC is to reduce the overall cost of dispensed medical marijuana and make a

sliding fee- scale for those who are in need, thus reaching our ultimate goal to provide all

registered patients with safe and constant access to medical marijuana for affordable price. FH

ATC pricing will be stable, consistent and well below typical black market price. At the same

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time, the price for medical marijuana must not be only reasonable, but also close to illegal black

market prices in our region, which will help to eliminate illegal resale and diversion of medical

marijuana. FH has a serious concern about MMJ diversion, and appropriate pricing is a safeguard

against diversion as reported from other states with MMP. We are expecting to have the price for

medical marijuana $250-350 per ounce, (twice as less as black-market price) depending on

cannabis strength for the first year of operation, with subsequent lowering of it on the second

year and further as our start-up costs decline and sales grow. Lowering the price at the second

year we can not only offer discounts, but even donate medicine to qualified registered patients in

need( For terminally ill, having two months to live and to Veterans) .The price assumption is

made only after consulting with Greenway University, GrowSetUp, Inc. and other industry

specialists from different states.

At the same time, maintaining retail prices at this level requires from FH ATC to add value to the

licensed medicine through the increased quality and regularity. FH ATC should adhere to strict

guidelines requiring organic production techniques. Medicine for retail would be inspected and

graded, as well as tested. The packaging would be designed to prevent damage and degradation

of the product, labeling would be consistent and uniform, and approved by NJHSS.

Our Business Plan is detailing how the proposed ATC will operate on a long term basis as a non-

profit organization.

FH ATC will be a Medical Model Business with a patient-oriented strategy, and at the same time

one of our future major expenses is a comprehensive security system. FH will be spending more

than half a million of the build-out budget on security technology, provided by ADT company,

except additional expenses for other security measures, in order to ensure the safety and security

of employees, patients, and caregivers. For the first ramp-year FH ATC is going to lease the

security system with option to buy. On the second year of operations, FH is expecting to

purchase it. FH ATC will have a "state of art" security ADT system. We will be employing

biometric fingerprint locks on all access points to the facility. There will be a separate access to

the vault and growing facility, to ensure the limited access to a critical area. All inside and

outside areas of the building: offices, dispensary, cultivation, and entrance will be monitored by

24/7 surveillance rotating 360 degrees security megapixel cameras. Activity will be recorded on

a DVR unit, and will be monitored by FH monitoring specialist and by ADT monitoring

specialists. The outside part of the building will be lit with a combination of flood lights and

motion sensor lights and megapixel day/night rotating security cameras. The dispensary

area space will be accessed by patients using man-trap entrance with a security guard verifying

patient's identity before allowing the entry inside. The security guard will be equipped with a

metal detector. All staff members will be outfitted with silent code panic buttons, or will be

within a reasonable distance to a panic button. The burglar, panic, and fire alarms (silent) will all

be tied together and connected to alarm monitoring by ADT. All security systems and computer

systems will be protected via a battery backup system, which will be tied to a generator in the

event of electricity outages.

FH ATC business plan shows the high increase in insurance premiums every following year.

This is explained by the reason that the price of cannabis crop insurance is the most expensive

part of the whole insurance package. Anticipating that we would have to increase our growing

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production in many times due to the projected number of patients on the second year, we have a

big increase in the crop insurance premiums and thus a very high cost of the whole insurance

package.

FH ATC future income, depending on projected number of patients, shows an excellent

progression from loss situation in the first ramp year (when our expenses exceed revenues) to

solid profits within next two years. As soon as allocate excess funds FH ATC estimates that the

greater part our future revenues will go towards FH Charitable program and we would do a solid

capital investment for the facility improvement.

The excess revenue would never ever benefit any officer, employee or manager from FH

ATC.

Total labor and other expenses climb proportionally to the projected number of registered

patients.

FH ATC will hire employees as soon as it will be awarded the permit. At the beginning of

operations some of the employee functions will be accomplished by the same individuals with a

minimum number of employees. Full benefits would be offered for every FH ATC staff member.

Our staffing plan is based on projected registered patients needs and is fully and quickly scalable

to meet the increasing demand. A statement of required qualifications and position descriptions

is included in Appendix F.

We will continue retain the services of Growing consultants from California and Nevada, paying

for their living accommodations, Legal consultants and Accounting and business management

consultants.

FH projected capital requirement will sufficiently cover all our start up expenses and operating

expenses and we will have additional capital remaining available if needed until FH ATC

becomes self-sustaining.

FH ATC future expenses start- up expenses include, but not limited:

1. Consulting services;

2. License;

3. Construction of the ATC facility together with Growing Set Up facility

4. Payroll/Staff, payroll taxes and benefits; health insurance

5. Rent and utilities;

6. Office Supplies/Product costs (mainly for growing facility);

7. Inventory control system and POS

8. Telephone/Internet/Mail;

9. Software monthly services by Proteus420;

10. Packaging and labeling;( digital scales, pharmaceutical jars, special packaging tables)

11. Insurance;

12. Security system; ( master security alarm, fire alarm, monitoring cameras, badge echnology)

13. Contractual monthly services by ADT Security;

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14. Legal and accounting services;

15. Office expenses;

16. Furniture

17. Consulting growing services including their living accommodation;

18. Loan repayment with interest;

19. Growing organic, (all necessary equipment, trimming machines, magnifying microscopes,

testing kits). Future lab equipment.

20. Developing of educational brochures and materials;

21. Repairs, maintenance, miscellaneous.

22. Taxes

FH ATC will borrow the funds, required to set up and begin operations from

which opens a credit line of three million dollars with 8% interest rate. The

startup capital will be held on escrow account for the benefit of FH ATC. The funding will be

liquid and immediately available if FH is awarded a license to be ATC in Northern NJ. FH ATC

debt and its repayment will be structured so that it is flexible, have no prepayment penalties and

allows a gradual draw-down of the principal. Repayment schedules start when FH ATC achieves

certain financial benchmarks. In the future the loan may be partially or wholly prepaid with no

penalties.

II. The applicant shall provide a copy of its proposed policy regarding charity

care/servicing indigent patients.

Response:

1) FH will operate as a non-profit organization. As such, it will allocate a greater part of its net

revenues (surpluses), helping those registered patients, who cannot afford either all or part of

their medicine. FH will allocate a special amount of funding each year to fund its discount

program. Discount will be based on the patient's application of economic need (defined by

income) and will enable all eligible members to receive the medical marijuana and paraphernalia

they need. Understanding our patient's health and socio-economic status is the most rewarding

and important part of FH ATC work.

FH ATC is projecting the cost of medicine to be $250-350 depending on the strength of medicine

(low, medium or high). We want to provide medical marijuana as a therapeutic option to all

patients with debilitating medical conditions, including those who may not be able to afford

treatment. FH is going to develop a sliding fee scale, based on income, for those cannot afford

the medicine. We will provide terminally ill patients with a less than 2-month life expectancy

with free medication if allowed by Health Department.

For those who are financially challenged there will be four tiers of pricing:

Tier I - 10% discount price;

Tier II - 20% discount price;

Tier III - 25% discount price;

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Tier IV - Free (for terminally ill patients with a less than 2-month life expectancy and Veterans).

To be eligible for this assistance program, the patient has to:

Be a registered qualifying patient and have a valid state issued registry identification card

from the New Jersey Department of Health;

Provide proof of income within assistance program guidelines; demonstrate eligibility under

the New Jersey Medicaid program, receipt of current food stamp benefits, receipt of current

New Jersey Disability Insurance benefits, Supplemental Security Income benefits or Social

disability benefits.

Registered qualifying patients must complete an enrollment form and submit it to FH ATC.

FH future ATC will have a Medicine Discount Program for the patients who are eligible and in

need.

Elizabeth H. Sonnenthal, future FH ATC Social Worker will open the cases, orient the patient's

about the program and report to the Board of Directors about registered patients' eligibility for

the sliding fee-scale program.

FH will not only be a source of medical marijuana, but a source of social support for the

community, which is one of the most rewarding aspects of our future work.

2) A holistic approach to disease management, where the focus is not only on medical marijuana

but also on adjunct medical services and therapies, that patients can't pay by themselves or are

not covered by their insurances, would be provided by FH ATC as a charitable program. FH

ATC will offer referrals, complimentary and reduced fee holistic services partnering with

professional services in the area:

Foundation Harmony has the engagement letter from Self-Awareness and Transformation

Center, located at 126 Park Ave, E. Rutherford, NJ, 07073 about offering free (once a week)

professional services like, yoga, sound and color healing therapy, energy healing, acupuncture,

meditation techniques for registered patients of ATC , referred to them by FH Board of

Directors. For this purpose we will allocate a portion of our future revenues.

Foundation Harmony has the engagement letter from Tri State Health and Wellness Medical

Center, located at 31-00 Broadway, Fair Lawn, NJ 07401. This medical center is going to

provide professional services: Acupuncture, Massage Therapy, Physical Therapy, Vitamin and

Mineral Supplementation through Intervenal Infusion, Drug, Alcohol and other Controlled

Dangerous Substances Abuse Treatment, Pain Management and Hypnosis for registered

qualifying patients of Foundation Harmony ATC. FH will pay for these services from it's future

revenues (by the Board of Directors decision), if such services are not covered by registered FH

ATC patients' insurances and by decision made by FH ATC Board of Directors.

Foundation Harmony has the engagement letter from Dr. Shtillman,DDS from CavityFree

Dental Care, that he would provide professional dental services to "special need" patients,

referred to him by FH ATC. FH ATC will cover the dental treatment cost for such patients in

Hackensack Hospital facility if some of these services are not covered by their insurances ( as

anesthesia), by the decision made by the Board of Directors.

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FH will continue to partner with other medical offices in the area to provide the Holistic

approach to the treatment of our future registered patients to promote their healthy lifestyle.

3) FH Board of Directors is determined to educate our community, especially young people to

stay away from drug abuse and drug activities. For this purpose we will allocate a part of our

future revenues to pay for the services of special Substance Abuse Counselors, working on

specific programs, providing:

Through on-site school counseling;

Providing therapy to teens recovering in a residential treatment center;

Holding one-on-one counseling sessions with youth recovering from drug or alcohol

abuse.

4) FH would invite medical counselors, doctors and other experts in medical marijuana industry

to educate interested parties of the community about medical marijuana and all aspects in this

field.

FH ATC Social Workers will consult registered patients and their primary caregivers about FH

charity program and possibilities to help them in different problems arising in their lives and the

lives of the members of their families. Social Worker would report to the FH Board of Directors

to help resolve such problems as: grieving, funeral, adjunct medical services mentioned above.

Appendix G: Operation Manual: Patient Assistance Program Application (sample), p. 28.

Appendix I: Engagement Letters from medical offices.

NOTE: FOR OFFICIAL USE ONLY, LIMITED FOR PUBLIC REVIEW, CONTAINING

CONFIDENTIALITY AND PROPRIETARY INTELLECTUAL PROPERTY.

III. The applicant shall provide a copy of its proposed policy related to disposal of returned

or unusable marijuana.

Response:

The disposal of unusable or returned medicine requires a detailed policy, documentation and

supervision.

Destruction of medical marijuana by FH ATC will be done in such cases:

1) Contaminated marijuana;

Infected and contaminated marijuana should be packed in special containers and quarantined in

the Contamination Room immediately.

2) Unused marijuana or surplus inventory, if the actual number of patients is less than the

projected number, thus, there is a surplus of grown and packaged medical marijuana in

the facility;

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In this case FH ATC has to destroy its surplus within 10 (ten) business days.

3) If the permit to operate an ATC expires without being renewed or is revoked;

Within 10 (ten) business days after destroying the marijuana, the ATC has to notify NJHSS, in

writing, of the amount of marijuana destroyed.

4) If a qualified patient/primary caregiver shall dispose medical marijuana that is no longer

needed for him or he/she was disqualified as a registered patient by FH and NJHSS;

FH ATC Executive Director shall check if this medicine was received in FH ATC and provide

the patient/primary caregiver with a record, showing the name, date and the amount of medical

marijuana returned to the dispensary. This medical marijuana should be destroyed.

5) If FH ATC requests the return of accidentally sold contaminated medical marijuana.

(using bar code system: each strain, batch, lot and prepared packages will have a bar

code, and thus FH ATC can keep track of medicine sold)

The return request should be done as soon as such accident is discovered. (FH ATC quality

control system and Plant Cultivation sanitary system would prevent our patients from such

accidents)

FH ATC checks if this medicine was sold by FH and prepares a replacement. All this

information should be recorded in patient's records and FH inventory and disposal records.

6) There can be 2 occasions for return of medical marijuana by FH ATC patients, when FH

ATC does not make any replacements:

a) If the patient/primary caregiver returns medical marijuana which is defected

because of improper storing;

Executive Director, while checking if medical marijuana is from FH ATC, would notice that

improper storing caused defected marijuana. There will be no replacement from FH ATC. The

record should be made, showing the name, date and the amount of medical marijuana returned to

the dispensary. This amount of defected medicine should be totaled in the whole record of

marijuana identified for destruction.

b) If the patient/primary caregiver returns marijuana, which was not produced and

purchased in FH ATC.

Executive Director, noticing this, should notify the patient that FH ATC immediately disqualifies

him/her from the list of registered patients, and immediately report to NJHSS and local law

enforcement agency. This package should be stored separately, until local law enforcement

agents could visit FH ATC.

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FH ATC registered patients/primary caregivers have to receive FH ATC Return Policy on their

first visit and o be informed, that they have to make a prior appointment (by phone) to return

unused, unadulterated or contaminated marijuana. The person, submitting marijuana for disposal

shall present a valid registration ID card and NJ Driver license or other valid NJ photo ID card.

FH ATC will have a special contamination room in the Plant Cultivation facility with special

containers to hold unusable, contaminated or unadulterated medical marijuana. Marijuana for

disposal will be stored in compliance with 21CFR 1301.72.

FH ATC will have the agreement with NJ State Police to schedule special days to collect medical

marijuana identified for disposal. FH ATC will provide security for law enforcement officers

while collecting medical marijuana for destruction on its site.

All medical marijuana prepared for disposal should be weighted and inventoried prior to

destruction. Executive Director is responsible for the Disposal Procedures; he/she and the law

enforcement officer would sign a special Disposal Record. This record will contain: name of the

dispensary, name of the Executive Director or other person responsible for disposal, date of

disposal (pick-up date for disposal by the Police), and method of disposal. The copy of this

Disposal Record would be given to the law enforcement officer at the time of pick up.

There will be a special Inventory page in the FH ATC POS software, registering all disposal

activity. The disposable records have to be kept at least 2 years.

IV. The applicant shall complete the following projected income statements for the first

three (3) years of operation. Round all amounts to the nearest dollar.

Response:

RAMP UP YEAR

2011 Jul-Dec

FIRST_FULL

FISCAL_YEAR

2012 Jan-Dec

SECOND_FULL

FISCAL_YEAR

2013 Jan-Dec

REVENUE: $250 per oz $250 per oz $250 per oz

Medical marijuana sales to

qualifying registered

$2,300.000 $16,850.000 $29,325.000

Other supplies sold to

registered qualifying

patients

$15.000 $50.000 $50.000

Other revenue sources

(identify):

N/A N/A N/A

TOTAL REVENUE: $2,315.000 $16,900.000 $29,375.000

EXPENSES: $3,686.060 $7,776.310 $10,840.410

Payroll w/Fringe ( 7%) $1,025.060 $2,175.310 $2,742.410

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Medical marijuana

growing

$162.000 $592.000 $1,030.000

Medical marijuana testing $20.000 $500.000 $ 50.000

Medical marijuana

packaging and labeling

$36.000 $270.000 $469.000

Construction $1,900.000 $2,400.000 $2,600.000

License Fee $20.000 $20.000 $20.000

Technology $95.000 $75.000 $75.000

Call Center $24.000 $24.000 $18.000

Security $136.000

(8 months)

$600.000 $50.000

Supplies $8.000 $15.000 $20.000

Office Expenses $65.000 $20.000 $30.000

Utilities $60.000 $150.000 $290.000

Insurance $75.000 $305.000 $485.000

Interest $120.000 $240.000 N/A

Loan Repayment N/A N/A $2,300.000

Depreciation/Amortization N/A $390.000 $661.000

Leasehold Expenses $525.000 $700.000 $700.000

Bad Debt

Consulting/Retainer $400.000 $320.000 $250.000

TOTAL EXPENSES: $4,611.060 $8,796.310 $11,790.410

Difference: -$2,296,060 $8,103.690 $17,584.590

Number of Patients: 1500 4000 4600

Number of Visits: 9,200 67,400 117,300

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1) This table does not contain a section about FH ATC's future taxes, which would be a

significant part of FH ATC future expenses.

2) On the second full fiscal year 2013, when FH ATC intends to finish the testing laboratory

project, the expenses for testing would be: consulting services of our chemist Steven D.

Castellano, the consulting services of SteepHill Laboratory from California and laboratory

equipment.

3) On the second full fiscal year 2013, when FH ATC already has its own security system

bought from ADT in 2012, our expenses for security would be comprised from monthly

maintenance payments to ADT, U.S. Security Associates, Inc. for Tour-Positive Security

System, and software provider Proteus420.

4) This table does not contain FH ATC future expenses for employees' health insurance and

other benefits.

5) This table does not contain FH ATC future expenses on charitable program and sliding fee

scale.

6) Construction expenses include FH ATC expenses for Set Up of the Plant Cultivation facility.

7) FH ATC intends to repay the loan on the second full year 2013.

RAMP UP YEAR

2011 Jul-Dec

FIRST_FULL

FISCAL_YEAR 2012

Jan-Dec

SECOND_FULL

FISCAL_YEAR 2013

Jan-Dec

PERSONNEL

CATEGORY

#

OF

FTE

PAYROLL

W/FRINGES

# OF

FTE

PAYROLL

W/FRINGES

# OF

FTE

PAYROLL

W/FRINGES

Board

Administration

#4 $420.000 #4 $420.000 #4 $420.000

Shift manager #2 $45.000 #2 $90.000 #2 $120.000

Receptionist #2 $30.000 #4 $120.000 #8 $240.000

Patient Service

Specialist

#2 $30.000 #4 $140.000 #8 $280.000

Social Worker #1 $25.000 #2 $100.000 #2 $120.000

Chief Security #1 $38.000 #1 $75.000 #1 $75.000

Security Guard #4 $192.000

(8 months)

#8 $384.000 #8 $384.000

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System

Administrator

#2 $50.000 #2 $100.000 #2 $120.000

Electrician #1 $25.000 #1 $50.000 #1 $50.000

Handyman #1 $20.000 #1 $40.000 #1 $40.000

Cleaning Service #1 $11.000 #2 $44.000 #2 $44.000

Plant Cultivation

Manager

Consultant #1 $100.000 #1 $120.000

Growers Consultant #2 $100,000 #4 $200,000

Training Growers #2 $35.000 #4 $140,000 #4 $140,000

Food Handler #1 $12.000 #1 $30.000 #2 $60.000

Packaging #2 $25.000 #4 $100.000 #6 $150.000

TOTAL:

#26 $958.000 #43 $2,033.000 #54 $2,563.000

FH ATC will pay on a monthly basis for the consulting services of:

1) Legal services: Sills Cummis&Gross P.C., Gary Hershman, Esq. and A. Ross Pearlson, Esq.

Address: One Riverfront Plaza, Newark, NJ 07102-5400 (Phone: 973-643-7000)

2) Growing services: GrowSetUp Company from California and Nick Tarantino from Nevada.

3) Science and analitical chemical consultations and a lab project management: Steven D.

Castellano (541)382-6065 from Oregon. ( as soon as we need his consulting services)

4) CPA.

for preparing payrolls and income taxes.

Marketing and advertising strategies are critical to build our business and create the revenues

necessary to start-up, ramp up and sustain business. However, marketing and advertising will not

be traditional for the most part and will instead take a form of "awareness program". Our strategy

is networking with registered in MMP doctors, our Medical Advisory Board, hospitals, affiliated

with FH ATC, and also through establishing a link with registered qualified patients through NJ

Health Department, the community, and local organizations that deal with terminally or

chronically ill people.

Measure 3: The applicant shall document its experience running a not for-profit

organization or other business (es).

[WEIGHTED REQUIREMENT up to 5 Points]

Response:

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The Board of Directors and General Managers of future FH ATC have the necessary business

experience running non-profit organizations and profitable businesses. Their combined

knowledge is the most important key for successful FH ATC operations.

Marina Karavas, Executive Director

Mrs. Marina Karavas has dedicated her life to community services and has been serving the

people of New Jersey since 1996. Marina’s community service began at the age of 19 when she

lost her mother to cancer in Russia.

Her personal experience and loss of both her parents at a young age resulted in her eventual

career path.

In 1996 she began helping the elderly as well as invalids and low income families in the United

States and continues to do so on the voluntarily basis.

Her volunteer work is very much appreciated by the Northern New Jersey community, especially

in Bergen County.

From the year of 2000 and until 2009 she was a President of company, providing corporate

filing, translations, power of attorney for overseas use in Russian and Ukrainian, worked with

attorneys (Sergey Orel, Esq; Sonya Bromberg, Esq). It was a good time to share the knowledge

and experience with foreign countries' immigrants. Marina worked with New Jersey Department

of Treasury, NYS Department of State, Cliffside Park Welfare Office, Bergen County SS Office,

Asylum Office, GLBT Center, Valley Hospital Clinic and many other offices and departments

serving NJ residents.

Back in Russia, through hard community work she was admitted to the school of law in Moscow.

After her daughter’s graduation from Berkley College in N.J., Marina decided to continue her

studies of law in the U.S. She applied at Benjamin N. Cardozo School of Law and studied there.

Unfortunately Marina could not complete full course of education due to her close friend’s

(Marina Averbukh's) cancer, and she postponed her education to the better times.

Marina voluntarily helped and took care of this young woman who was diagnosed with thyroid

cancer and had several complicated surgeries. Through two of the most difficult years of Mrs.

Marina Averbukh's life Marina Karavas was helping and accompanying her personally to the

Welfare and Social Security Offices, Doctor’s offices, interpreting over the phone and in person

(Mrs. Averbukh could not talk after the surgery) and providing other personal, day to day

activities' help.

Marina Karavas personal experience in life brought her to medical marijuana industry. In 2008

she became the Executive Officer of Foundation Harmony.

Together with Foundation Harmony CFO, Ida Umanskaya, Marina started research on cannabis

in the other states where the legal medical marijuana was already permitted. On behalf of

Foundation Harmony she talked to patients over the phone and did her own research on the

Internet. Her personal communication with registered patients in Colorado showed Marina that

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cannabis eases the suffering of cancer patients, help chemo therapy patients to feel better during

this treatment, get appetite and even survive.

In June 2010, Marina Karavas and Ida Umanskaya together with Greenway University, the first

in the US University that was accredited by Colorado Education Department for MMJ education,

organized Medical Marijuana Seminar in New Jersey. It attracted a great interest from different

people from NJ community.

After the seminar, Marina and Ida decided to see the industry in person and took a trip to Denver

Colorado. They visited master growers and testing laboratory, talked to caregivers and owners of

the dispensaries as well as to MMJ patients. Later Marina took a trip to Nevada to see private

patient's growing.

The Compassionate Act in New Jersey has provided a fresh outlet for Marina’s passion to assist

those who are sick and suffering. She decided to use her full set of management skills, a proven

record of accomplishment, and commitment to the welfare of New Jersey registered patients in

MMP.

Marina Karavas is devoted to the creation of New Jersey first Medical Model Alternative

Treatment Center and hopes that Foundation Harmony would receive the license to operate it.

She can bring her passion and enthusiasm to the leadership of FH ATC.

Marina lives with her husband and daughter in Cliffside Park, New Jersey.

Ida Umanskaya, Director of Holistic and Social Operations

Ida Umanskaya is a resident of New Jersey for the last 18 years. She emigrated with her daughter

from Russia, having a status of refugee. She came here with her daughter, being a single mother.

Ida Umanskaya was born in the family of the physicians, and wanted to be a Doctor from her

childhood. But due to anti-Semitic policy of Soviet government especially in Leningrad, she

didn't have the possibility to be accepted to Medical University. She graduated from the

University of Precise Mechanics and Optics, MS equivalent in Optical engineering and design,

but her passion to work in medicine was very strong and she became a student of St. Petersburg

School for Preparation and Improvement of Qualification of Nurses.

Coming to USA she began to study Health Sciences and Health Management on the first year of

her living here. She graduated from New York Touro College, getting Bachelor of Health

Sciences and Health Information Management in 1995. She worked in various medical offices in

New York and New Jersey as a general manager. She saw a lot of patients suffering from cancer

and chemotherapy coming to these offices. Two of Ida's close friends died from brain cancer not

even reaching 50. Ten years ago her mother was diagnosed with chronic leukemia. Ida

understood that she wants to study alternative medicine and in 2007 she started studying in

Clayton College of Natural Health ,Naturopathic Doctorate degree ( pending, because this

private institution was closed in 2010), where she studied courses: Herbology, Iridology,

Homeopathy, Cancer Prevention, Detoxification and Healing, Naturopathy, Fundamentals of

Nutrition and Dietary Influences on Diseases. In 2001 her daughter graduated from Bergen

Academy,( medical course) and entered Wesleyan University for Premed program. In 2007 her

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daughter Karina Umanskaya started studying in UMDNJ after working on oncology research for

2 years in Mount Sinai Hospital, NY. The pride of her mother, Karina was among of the authors

of the article about the genes that ovexpressed in breast cancer which was published in 2007 in "

The Journal of Molecular and Cellular Biology". This year (2011) Karina is successfully

finishing the fourth course of studying and goes for residency. Ida's daughter promised to

voluntarily work for Foundation Harmony Medical Advisory Board after finishing her studies.

In 2007 Ida and her twin sister were diagnosed at the same time with melanoma on early stages.

Ida's daughter and niece were founded suspicious moles which could be possibly developed in

melanoma. Studying in CCNH, Ida understood that there could be other factors than sun and

genetics, causing melanoma.

Ida thought that some skin care ingredients in creams and lotions could possibly play a crucial

role in skin cancer development. She decided to develop her own skincare line which will not

only have anti-aging benefits but would be free of parabens and other possible damaging

ingredients. Her skincare line was very professionally formulated in France and in Beilis

Development laboratory in New Jersey. One of the most famous NY dermatologists Dr. Joel

Kasimir was buying nearly the whole production for his prestigious clientele during 3 years

(Until 2010). Ida also formulated a supplement for the best skin care. (See "' DAY SPA"

magazine article in Appendix)

When studying Holistic health approach in CCNH, Ida and her partner Marina Karavas

cofounded non-profit organization Foundation Harmony in 2008, deciding to help NJ state in

educating general public and interested parties in medical marijuana industry. They contacted

Greenway University, the first and only in the nation accredited Medical Marijuana University,

to provide a seminar in NJ. It was successfully held on June 5, 6 2010. Ida and Marina developed

a website www.harmonyfoundationmmjnj.com in the form of electronic library educating NJ

community about medical marijuana industry in different states, medical marijuana benefits for

some of debilitating conditions, showing some possible adverse effects of cannabis use, and

explaining NJ Act and NJHSS rules and regulations in MMP. According to Google monthly

information our site is visited monthly more than 500-700 times, and today when the

implementation of the program is very close, Foundation Harmony has enormous volume of

phone calls and visits by potential patients and even by Doctors who want to be consulted in

medical marijuana program in NJ.

Visiting numerous Colorado and California grow rooms and dispensaries and also a

Compassionate Center in Israel, Ida and Marina Karavas decided to develop FH ATC and file the

application to be one of ATC permitted in Northern NJ. They applaud the Medical Model of NJ

MMP and want to build a professional and compassionate ATC which will provide NJ registered

patients with safe access to steady and highest quality supply of medicine. They also developed

the proposal for future charitable community program.

After visiting numerous dispensaries, Ida understood that lotions and tinctures infused with

cannabis are made unprofessionally and could sometimes cause more disadvantages than bring

benefits. In 2010 Ida patented her idea for a "Dual-chamber packaging for cannabis infused

products" (patent number: 8092761.). The packaging consists of 2 double wall vials, allowing to

fill one of the vials with safe and professionally produced formulation, developed in Beilis

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Development laboratory (FDA registered), while other vial will be filled with cannabis oil in the

dispensary. The professionally made formulation will not only increase the transdermal delivery

of cannabinoids through the skin, but will have additional benefits: instant pain relief, anti-

inflammatory and anti-oxidation benefits, due to the well known properties of natural ingredients

in the future formulation. The future product with trademark Immunik (85124813) is now tested

in California, where this process can be done legally. This product can be produced by FDA

registered facility, professionally and safe, and in large quantities, thus bringing invaluable

benefits for the health of registered patients in all states with MMP. Beilis Development

pharmacists and chemists noticed that NJ medical marijuana rules and regulations are allowing

using DSMO in producing Topical lotion, while DSMO has the alert guidance by FDA, having

restrictions of using for patients. At present, the only human use for which DSMO has been

approved is for interstitial cystitis (bladder condition). FDA also mentions that the industrial

grade product which is the only DSMO sold in USA is not for medical and drug purposes and is

not made under safe conditions for the protection of all users (not only patients but their

caregivers too). There can be unexpected and serious side effects ( for the patients, primary

caregivers and even ATC employees working with DSMO), because DSMO, being the great

"carrier" could easily deliver harmful (even poisonous) substances into the bloodstream and there

has to be a special quality of plastic (high density propylene) for packaging and special

precautions while producing a lotion. There is a great possibility, that there is no any future

ATC, which knows and can assure the necessary safety conditions.

Ida Umanskaya dedicated a lot of time writing the application according to NJHSS rules and

regulations and especially to the holistic part of the program, developing self-assessment records

and educational materials. If FH gets a license to become ATC, Ida Umanskaya will work in

collaboration with FH Medical Advisory board to assure that FH ATC meets Medical Model

criterion and to ensure that FH registered patients receive the best quality product in the

consistency of dose: great education in different safe techniques of using cannabis, excellent

quality paraphernalia and achieve the highest positive outcomes in their health. She also received

the engagement letters from several medical officers in Northern NJ area, to provide adjunct

health services not covered by Medicaid, Medicare or other insurances to FH ATC registered

patients, improving their health and providing them with charitable health care, to ensure that

such combination of therapies with the right medical marijuana product will bring effective

clinical outcomes. She also suggested that future FH ATC must have social workers among its

staff who can be approached by FH ATC registered patients with their questions about the

sliding fee scale, charitable health care and other segments of life, where FH ATC can help them

and decrease their emotional stress, enhancing their quality of life.

Thus FH ATC can be not only a Medical Model ATC, but a community oriented Medical Model.

Ida will also work on the future development of a laboratory on the facility premises to

scientifically test the cannabinoid levels of the cultivars grown in the facility and helping provide

the consistency of potency and purity of medicine, while preventing contamination of cannabis.

Ida can bring unique passionate and enthusiastic Holistic approach to managing future FH ATC.

Margarita Ivanova, Director of Administrations and Finance

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After graduating High School in the summer of 2000, Margarita Ivanova moved to New

Jersey from New York and chose to attend Berkeley College to pursue a career in Finance

Management. While earning a Bachelor’s degree between 2001 and 2005 she worked as an

executive assistant for Corporate Club USA. From 2002 to 2003 she assisted the company

president Marina Karavas with everyday activities: handled accounts receivable, accounts

payable, and billing, she also handled bank deposits and bank reconciliations. Margarita learned

the process of filing corporations with the Department of State.

In the summer of 2003 Margarita learned about a position opening in Cliffside Park

Imaging for a front desk assistant. She saw an opportunity to work in an environment where she

can help people and get her foot into the medical field. Margarita always enjoyed helping people

out and by taking this job I’d be able to assist sick or injured patients.

She learned everything quite fast and was able to move up in the company and become

the office supervisor. In 2005 Margarita graduated from Berkeley College and decided to remain

in the medical field because of the pleasure she received from helping patients. Making a

difference in someone’s life and making sure he/she is being treated with care and courtesy made

her appreciate working in the medical field even more. Not only was she helping patients but she

was also learning the business side of the radiology field. Her education came in very handy,

and, she was able to apply what she learned in college at work. A typical day included her many

assignments and responsibilities. She supervised the patient admission process and made sure

patients were taken care of appropriately. She verified patient eligibility and obtained

authorization from their insurance companies for the procedures they were coming in to do.

Working side by side with as many as four radiologists at a time, Margarita had to assist them

and make sure they had all the required information to be able to diagnose the patients

accurately. Her other responsibilities included handling financial transactions, recordkeeping,

and payroll. Reconciling, evaluating, and resolving collection accounts. Creating invoices and

monitoring overdue accounts. Supervising medical billing and coding. She had to make sure

procedures were being diagnosed and billed correctly.

In 2007 Margarita was presented with a new and exciting project. She was asked to

supervise a brand new facility, Ironbound MRI, and assemble a team of employees that she

would then have to train for their positions. Margarita successfully put together a wonderful

organization and was able to pass her knowledge and passion to a team of people striving to

obtain a position in the medical field. She felt it was very important to have a group of

individuals who were caring and desired to make a difference in people’s lives the same way I

did. I’m glad I was given an opportunity to build from scratch and learn the process of starting a

new company. Most importantly, doing it the right way and making sure the people are chosen to

work in such a delicate environment. Margarita knows that people want to be treated with care

right especially if they are very sick or just recently got into an accident or got injured. She

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managed to set up an environment where patients felt comfortable and were pleased with the

way their appointment went.

Today Margarita is working in Cliffside Park Imaging and Diagnostic Center and in Ironbound

MRI in Newark as The Office supervisor and Financial Specialist.

Margarita spends a lot of time with her mother Marina Karavas and respects her very much. Rita

decided to work in Foundation Harmony ATC to pursue her carrier in medical field. She is very

much interested in setting up a real Medical Model of the Facility and to be a part of this new

and rewarding environment.

Rita can bring her young energy and enthusiasm, her expertise and skills in medical office

management, willingness to hard work to FH ATC.

Dmitri Bajanov, Director of Operations

Dmitri Bajanov was born to become a great enterpreneur.

After graduating from Gorkovsky MilitaryUniversity with MS in business administration and

finances, ( civil specialty), Dmitri became the Chief Manager with responsibility for technical,

food and other necessary provision of seventy commercial ships and shore warehouses. He was

in his early twenties at that time. This fact shows the unique talent of Dmitri in managerial field!

Coming to USA in 1992 he continued his entrepreneurial work, opening one medical clinic with

a group of seven doctors in New York, Brooklyn.

Today, Dmitri Bajanov is the President of NGU Omega Management Inc, owning and providing

management for two medical clinics in Manhattan and Brooklyn with 30 health professionals

working in them.

Dmitri Bajanov has a professional experience with privately-held medical businesses and has

excellent communication skills associating with doctors and other health care professionals.

Working as a Manager of medical clinics, Mr. Bajhanov is extremely knowledgeable in the

medical industry business: in rules and regulations regarding patient's confidentiality, medical

records safety, reporting to health department, planning, recruiting ,coordination of services,

managing finances, in provision of medical and other office equipment, software and supply

provision and oversight of medical clinics. His previous experience and background from Russia

(working for naval supply on a large scale), is of great value for developing the business and

security plan for FH ATC in detail and in the whole.

He will be the invaluable asset to FH ATC operations and oversight!

His company NGU Omega management Inc is providing FH with a sufficient capital crediting

line on very favorable conditions.

Mr. Bajanov can bring the outstanding entrepreneurial and medical business management

expertise to the future FH ATC. He will be a linchpin for FH ATC operations.

Mr. Bajanov resides in Edgewater, NJ with his wife and two sons.

Appendix J: Letters of support

Criterion 3: Community Input -Describe the ATC planning process and involvement of

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Community's stakeholders in detail. Describe remaining steps if any to receive necessary

approval for site location or operations.

[TOTAL WEIGHTED REQUIREMENTS up to 30 Points]

FH ATC is dedicated to become a union with Secaucus and Northern NJ community by

demonstrating respect, courtesy and compassion and ever-present willingness to promote

tenacious atmosphere between registered qualifying patients, primary caregivers, community

groups and other interested associations. FH strives to develop an environment built upon dignity

and mutual respect for every individual in the community, while remaining acceptable to FH

ATC future registered patients to whom we choose to work.

At all times we will provide a high level of service consistent with patients' and public

expectations. FH will develop an enhanced quality- of- life of our future registered patients

through community partnership, involving those who are interested. FH Directors choose to go

extra miles to provide special services with personal touch.

FH ATC's mission- the secure cultivation and distribution of organic medical marijuana to

qualified registered patients. FH takes the conception to coordinate a balance between its

operations and economic vitality and environmental preservation of the community.

While talking with our future security guards from U.S. Security Associates Inc, we got to know

that Mr. Marini's father has a fourth stage of colon cancer, and Mr. Graulich mother has a fourth

stage of lung cancer. Their parents could be our possible registered patients. FH officers are not

aware of any family in the community, where is no at least one member, who is not having

cancer and is suffering from severe pain. It is a very sad fact, but it is a reality.

Implementing our mission, FH ATC is going to serve Northern Jersey Community - rendering

compassionate help to suffering people! Our motto is:" Help is in the Compassion".

FH ATC will be developed as a Medical Model facility, which will provide registered patients

and their primary caregivers with current, scientifically accurate information about medical

marijuana and the ability to participate in ongoing systematic collection of data on the benefits

and/ or unintended consequences of medical marijuana use. The data would be collected,

organized and shared with patients, caregivers, prospective patients, the medical community and

the Department.

1) FH will install high quality comprehensive security and fire alarm system in the future

facility, thus the community would be prevented from the increase of criminal activity.

2) FH will collaborate with local enforcement authorities on security and safety issues.

3) FH will work with local government, local police and community to ensure public safety and

public well-fare.

4) FH will work with local building department to ensure that the facility construction is made

close to code and zoning requirements.

5) FH will try to reduce energy consumption by using energy efficient modern equipment

6) FH will install the systems to eliminate possible odor and possible harm for the neighborhood

environment

7) FH will give business to security, construction and other companies of the community, thus

promoting the employment. FH will provide employment opportunities for people of

different professions and qualifications.

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8) In the future, the surrounding area and community would see the increase in different kind of

businesses as sales, food, services, because of the increased traffic of patients and their primary

caregivers. FH ATC will also help revitalize the area around it, bringing traffic of new people.

Even if registered patients are not immediately utilizing the local services or purchasing of goods

offered by neighboring businesses, they are more likely to eventually patronize those businesses,

because of convenience.

9) FH ATC will have a comprehensive charitable care program, which is written in detail in the

special paragraph. FH ATC grants would be given to those agencies and non-profit agencies, that

provide services to FH ATC registered patients.

10) FH Board of Directors is determined to educate local community, especially young people

to stay away from drug abuse and drug activities. For this purpose we will allocate a part of our

future revenues to pay for the services of special Substance Abuse Counselors, working on

specific programs, providing:

- Through on-site school counseling;

- Providing therapy to teens recovering in a residential treatment center;

- Holding one-on-one counseling sessions with youth recovering from drug or alcohol

abuse.

11) FH ATC would donate money to "Drug Rehab" and Integrity House located in Secaucus,

which offer long term therapeutic community drug treatment for young community members.

12) FH would invite medical counselors, doctors and other experts in medical marijuana industry

to educate interested parties of the community about medical marijuana and all aspects in this

field.

ASA comprehensive survey of officials whose cities have dispensary operations found that the

vast majority of businesses had no problems associated with dispensary operations working

under State's rules and regulations. Our future level of ATC security system and surveillance will

add up to a safer street environment and make areas around FH ATC one of the safest areas of

the Northern Region of NJ.

FH ATC will be also glad to create a community oversight committee with the Mayor at the

head, which can lead us to better serving the community needs. FH ATC will be glad to seek

feedback from the community regarding matters involving ATC. We will seek feedback from

patients, employees, medical advisors, government officials and general community on key

matters involving FH ATC. We can do open meetings, encouraging submission of feedback.

Although FH ATC is a non-profit company, we can fulfill our charitable program only when our

operations will generate a funding surplus. We will review FH ATC financial performance

regularly to ensure that we can implement our charitable program.

FH ATC would need the approval of Meadowlands Commission. Our real estate agent was

assured by the Meadowlands Commission zoning engineer that if FH ATC is in compliance with

zoning and codes, there can be no rejection from the commission, because a city has a lot of

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substance controlled drug manufacturers in the area. Afterwards, there is a process of obtaining

permits from building department, if FH ATC is awarded with the license.

Measure 1: Input from the city(s) or town(s) where the applicant’s ATC would be located.

[WEIGHTED REQUIREMENT up to 15 Points]

Response:

FH ATC has a letter from Secaucus Municipal Government Center Construction Department,

which was signed by Vincent Prieto, Construction / Zoning Official.

The Mayor of Secaucus Michael Gonnelli and Town Administrator David Drumeler are aware

of FH intent to build the ATC in Secaucus and have no objection to our proposal, since our

location meets all necessary regulatory and zoning criteria as set forth in the law and by other

authority having jurisdiction.

Appendix C: Town of Secaucus, Construction Department Municipal Government Center letter

from Vincent Prieto, Construction/Zoning Official, cc: Mayor -Michael Gonnelli, Town

Administrator - David Drumeler.

Measure 2: Input from the general public regarding the suitability of the applicant and the

general standards for location(s) such as, distance from a school, daycare center or other

child-oriented location; distance from a commercial shopping district, pharmacy; etc.

[WEIGHTED REQUIREMENT up to 15 Points]

Response:

FH ATC is located in a distance of more than 1000 feet from schools, daycare centers and other

child-oriented locations. FH ATC has a fantastic access to public transportation. There are 11 bus

lines such as:

# 2 Secaucus-Jersey City;

# 78 Secaucus-Newark

# 85 Secaucus-Hoboken

# 129/124 Secaucus-New York

# 190 Paterson-New York (via Secaucus)

# 320 Secaucus - North Bergen Park & Ride - New York

# 772 Secaucus-New Milford - Provides service between Secaucus Junction NJ Transit rail

station, Harmon Cove, and Central Business District (Plaza) in Secaucus and New Milford,

Dumont, Bergenfield, Teaneck, Hackensack, South Hackensack, Little Ferry, Teterboro,

Moonachie, and Carlstadt.

# 972 Harmon Cove Shuttle

#32 Nutley-New York (via Secaucus) - Serves Central Business District (Plaza) in Secaucus:

Port Authority Bus Terminal in Manhattan; Lyndhurst, Nutley

Secaucus Community Shuttle Bus - This town operated bus provides three peak period services

in the morning and evening, with terminals in the North End at Koelle Blvd & Mill Ridge Road,

and at the NJ Transit Secaucus Junction Rail Station.

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EZ Ride Shuttle Bus - Harmon Meadow - Secaucus Junction Train Station

Free service morning and evening rush hour service to and from Secaucus Junction Rail Station

with 8 stops in Harmon Meadow and Mill Creek. Bus stops shown on map at bottom of linked

page. The facility is located within 1 mile distance from NJ Transit train station. All major NJ

highways provide easy and convenient driving access to the facility.

"A" on the map shows the location of the future FH ATC.

Secaucus Police Department (Ph: (201) 330-2060) and Fire Department (Ph: (201) 330-2060) are

located in a distance of 1.2 miles from FH ATC.

Secaucus is one of the places for outlet shopping area, which is in 0.7 miles from the facility

location. There are superstores such as Wal-Mart, Sam's Club, Marshalls, Pet smart, Best Buys,

Kohls, Linens 'n Things, and Home Depot. Local merchants in the Town's Central Business

District offer basic services that everyone looks for, as well.

The nearest pharmacy is CVS, located in 1.3 miles from the facility.

FH ATC would receive the general public input when we will have the opportunity to schedule

Secaucus Zoning Board hearing.

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Appendix D: Google maps regarding the distance from schools and child-oriented locations,

commercial shopping district and pharmacy.

Criterion 4: Dispensary specific considerations

(TOTAL WEIGHTED REQUIREMENT up to 90 points]

Measure 1: The applicant shall provide a plan for inventory, record keeping and security

which shows an understanding of the types of records that shall be considered confidential

health care information under New Jersey law and are intended to be deemed protected

health care information for purposes of the Federal Health Insurance Portability and

Accountability Act of 1996, as amended [HIPAA].

[WEIGHTED REQUIREMENT up to 10 Points]

Response:

FH ATC is dedicated to protect the confidential medical information of its patients.

It should be made clear to all employee of FH ATC on their first day of employment and

reiterated repeatedly thereafter that they have a responsibility in maintaining confidentiality and

privacy of operations simultaneously with confidentiality and privacy of clients, and each

employee is accountable for his/her actions or inactions. Each employee has to sign a Letter of

Confidentiality and training received prior to starting working in the ATC.

All FH ATC staff will:

Comply with the defined responsibilities and practices in the FH ATC Operation Manual

section.

Adhere to all applicable New Jersey State laws and regulations.

Protect the registered qualifying patient's right to confidentiality with regard to patient’s

records and health conditions, including all FH ATC policies and procedures for HIPAA

compliance.

Ensure the legitimacy of all orders and the accuracy of dispensing records and labeling of

the order dispensed to registered qualifying patients and registered caregivers.

Serve and satisfy registered qualifying patients’ and registered caregivers’ health needs

pursuant to New Jersey State Health Department MMP.

Communicate with registered qualifying patients while protecting their protected health

information (PHI) in accordance with HIPAA guidelines and FH ATC Privacy Policies.

Minimum Necessary Use and Disclosure of, and Requests for, Protected Health

Information

Receive all necessary training regarding confidentiality and privacy of operations and

registered patients of FH ATC.

Immediately notify one of the principal officers of FH ATC about unauthorized release of

confidential patient’s information noticed by the employee.

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In the case of employee violation of patient’s confidentiality and privacy of FH ATC,

there will be termination of employment and submission of a report to New Jersey Health

Department.

a) Recordkeeping

FH ATC will have the engagement letter from the best known software providers of business

record keeping and tracking system for medical marijuana dispensaries and growing facilities. It

is Proteus420, which is providing necessary onsite assistance and educational materials about the

program. There is a monthly charge for using this software. Employee access to confidential

patient's information will be restricted. Our comprehensive computerized record keeping system

will be in HIPAA compliance. This software has several pages:

1. The Patient's Page - shows detailed patient information, electronic medical documents,

warnings about expiring cards, keeps notes about the patient, enables printing of custom patient

bar codes;

2. The Patient Queue - enables checking in patients as they arrive, gives warnings about expired

cards, alerts about upcoming birthdates, organizes the patient's waiting list;

3. Patient Visits - shows previous purchases by the patient, enables customization of every item

on the menu, gives discounts to the patients, enables printing and scanning of bar codes, tracks

cash, checks and credit cards.

4. Inventory's Page - lists everything in the inventory, enables searching and filtering of

inventory items, create bar codes, calculate totals with taxes, alert about low inventory and see

amount remaining in the inventory, keeps track of medical marijuana identified for disposal.

The New Patient Intake procedure requires that patients/caregivers present their registration

cards. FH will also issue its own photo identification card for its registered qualifying patients,

necessary not only for security, but also for Point of Sales control (POS).

This card will link patient's information (name, address, ID number, amount of medicine

distributed, and monthly medicine's limit) to computerized POS. This measure would prevent

any distribution of medical marijuana in excess of legal limits (2 oz. per month).

At the end of the day this system shows the number of patients that came during the day (week,

month), the total sales during the day (week, month) records.

Sensitive Patient Information (SPD) system will be segregated from POS.

Hardcopies of all transactions, SPD, sales receipts with patient's signatures, invoices, agreements

with vendors of paraphernalia, vendors of the software and all receipts from construction and

security companies will be kept in the secured filing cabinets in the main manager's office.

The hardcopies can include, at minimum:

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A. Business records, including sales records, indicating the name of the qualifying patient or

primary caregiver to whom medical marijuana was distributed, the quantity and form, the

price of the product and carbon copies of the signed receipts.

B. The by-laws of the ATC and sub-contractor, if any, shall contain provisions relative to the

disposition of revenues and receipts as it is necessary and appropriate to maintain and

establish ATC non-profit status.

b) Inventory

FH ATC Dispensary will conduct an inventory audit every month to ensure absolute accuracy

and accountability. It will start its operation with no medical marijuana on hand , which will be

shown in the initial inventory.

Inventory audits will review:

1. Daily Sales Reports;

2. Credit card receipts;

3. Daily closing checklists;

4. Amount of medicine in the vault;

5. Alert about low inventory;

6. Calculate total.

Inventory control helps to implement FH ATC's primary mission - to provide a steady supply of

high quality medical marijuana to registered qualifying patients, and also provide full

transparency for the inspection audits. Tracking the inventory will help ATC to know what

strains are moving and needed more. It will also show, if profit is made or not. It will also help to

manage any discrepancies done by employees on any given day.

The inventory shall include damaged, defective, or adulterated marijuana awaiting disposal,

including the name, quantity, and the reasons for which the ATC is maintaining the marijuana

for disposal. The record will also show the manner of the disposal and persons present during the

disposal with their signatures. This record should be kept for at least 2 years.

To ensure inventory control measures, a barcode system with Radio Frequency Identification

Tags (RFID) will be implemented for security and safety. This automated process will provide

instant access of any product that has left the facility. The barcode system will be used for small

items that have been packaged and are placed in a warehouse inventory management system.

The record of any inventory will include: the date of inventory, a summary of inventory findings,

the name, signature and title of the individuals who conducted the inventory. FH ATC will

transcribe inventories taken by the use of oral recording device.

c) Security

The FH ATC Dispensary has adopted a policy that protects the privacy and confidentiality of

protected health information (PHI) whenever it is used by FH ATC Dispensary representatives.

The private and confidential use of such information will be the responsibility of all individuals

with job duties requiring access to PHI in the course of their jobs. PHI refers to individually

identifiable health information received by the FH ATC Dispensary. PHI information includes

medical conditions, health status, physician recommendation, and self-assessed records.

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Personnel record and disclosures of PHI will be maintained for a period of six years as required

by federal law, unless a state law requires a longer retention period. Records that have been

maintained for the maximum interval will be destroyed in a manner to ensure that such data is not

compromised in the future in accordance with the FH ATC Dispensary’s record destruction

policy.

Patients' confidential information is stored in the network system and on hardcopies.

a) The hardcopies of patients' records will be stored in the locked filing cabinets.

b) Any unauthorized attempt to access to patients' information results in the automatic

generation of failure, which is logged in the security logs for each server. Security logs are

reviewed by the Network Administrator on a daily basis.

The software will be checked for anti-virus protection and other critical data protection on a daily

basis.

FH will also use a hardware system and an online back-up system to protect patients' information.

All security threats and breaches will be reported in the Critical Incidence Report.

Security awareness training regarding patients' information confidentiality is mandatory and is

provided for all employees on an ongoing basis.

Appendix M: Letter from software provider Proteus 420, Inc

Appendix G: Operation Manual: Sample of Employee Confidentiality Agreement on p. 36 and

Critical Incidence Report on p. 51.

NOTE: OFFICIAL USE ONLY – SECURITY-RELATED INFORMATION – WITHHELD

PURSUANT TO THE NEW JERSEY OPEN PUBLIC RECORDS ACT (OPRA).

Measure 2: The applicant shall submit a description of its proposed program for providing

counseling and educational materials regarding methods of administration and research

studies on health effects of medicinal marijuana to registered qualifying patients and their

registered primary caregivers. The applicant shall submit a description of its historical

relationship with clinical or research activities, if present.

[WEIGHTED REQUIREMENT up to 20 Points]

Response:

(a) FH ATC—dispensary will maintain, and make available for distribution to registered

qualifying patients and their primary caregivers, an adequate supply of up-to-date informational

materials addressing the matters identified in the policies developed pursuant to N.J.A.C. 8:64-

11.1. Informational materials will be developed by FH ATC together with Medical Advisory

Board and additional materials, obtained from Americans for Safe Access organization.

(b) Informational materials will be available for inspection by the Department upon request.

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(c) FH ATC—dispensary will provide registered qualifying patients and their primary caregivers

with a notice requesting approval for the FH ATC—dispensary to contact registered qualifying

patients and their primary caregivers with information concerning on-going peer reviewed

clinical studies related to the use of marijuana.

Besides brochures, in adequate supply in the waiting room of the dispensary, FH will also have

there a wall monitor, showing educational information. The brochures can be taken by registered

patients for their everyday usage at home. This information will be available for the patients

when he/she is checking in as a new registered patient of FH ATC.

FH ATC will have specially trained employee (Social Worker) who can explain all necessary

information to the registered patients too. The educational materials will contain:

1. Legal information;

2. Rules and prohibitions in ATC;

3. Potential side-effects of medical marijuana;

4. Alternative methods of consumption of medical marijuana;

5. Safe techniques for using medical marijuana paraphernalia;

6. Signs and symptoms of substance abuse;

7. Information on tolerance, dependence and withdrawal.

Marina Karavas and Ida Umanskaya, officers of FH, started their research in medical marijuana

field in 2008, later visiting Colorado, California and Israel to understand medical marijuana

program. Today it is a very new developing field with a lot of restrictions. At the present time,

FH ATC Officer Ida Umanskaya is working with Beilis Development Laboratory on formulating

and producing the safest and most beneficial transdermal topical formulation for the fastest

cannabinoid delivery. The clinical testing and research is holding in California, where it is

legally done in medical offices.

FH ATC future consultant Steven B. Castellano has the experience and ability to participate in

any clinical research pertaining medical marijuana industry. He was performing microbiological

analytical research and was a Lead chemist in Umpqua research Company and in Pyxis

Laboratories, LLC.

Appendix I: Patent, DVD explaining future formulation and letter from Beilis Development

laboratory.

Appendix G: Operation Manual, Educational information of FH ATC, pp. 55-82

NOTE: OFFICIAL USE ONLY – SECURITY-RELATED INFORMATION – WITHHELD

PURSUANT TO THE NEW JERSEY OPEN PUBLIC RECORDS ACT (OPRA).

Measure 3: The applicant shall provide an acceptable safety and security plan, including

staffing and site, and a detailed description of proposed security and safety measures which

demonstrate compliance with the Rules Related to the Medicinal Marijuana Program.

[WEIGHTED REQUIREMENT up to 25 Points]

Response:

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Safety and Security plan for FH ATC includes:

I. Constructing of a secured and safe facility site, implementation of Security Alarm

System;

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Appendix N: Facility Floor Plan and Description.

Appendix G: Operation Manual, Protocol for Testing and Maintenance of the Security Alarm

System; Root cause analyses of breach of security, pp. 42-46

NOTE: OFFICIAL USE ONLY – SECURITY-RELATED INFORMATION – WITHHELD

PURSUANT TO THE NEW JERSEY OPEN PUBLIC RECORDS ACT (OPRA).

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II. Employee security;

III. Patient security;

IV. Security measures from theft and diversion;

Appendix G: Operation Manual: Opening and Closing procedures p. 22, Personal Safety and

Crime Preventing Techniques, Reportable Event Reports, Employee Security, pp. 48-52

NOTE: OFFICIAL USE ONLY – SECURITY-RELATED INFORMATION – WITHHELD

PURSUANT TO THE NEW JERSEY OPEN PUBLIC RECORDS ACT (OPRA).

Board of Directors of future FH ATC decides to preferably accept payment for medicine by

money orders or credit cards. FH ATC employee will encourage our future registered patients to

make payments in these forms for better security and transparency for audits and inspections.

FH ATC can use the Transaction Group as the Medical Marijuana Merchant Accounts providing

Medical Marijuana Dispensaries with reliable credit card processing.

Cash transfer to the bank would be done daily at different not scheduled times for security

reasons.

Appendix G: Operation Manual: Root Cause Analysis on p. 42,

Reportable Event Reports on p. 49.

NOTE: OFFICIAL USE ONLY – SECURITY-RELATED INFORMATION – WITHHELD

PURSUANT TO THE NEW JERSEY OPEN PUBLIC RECORDS ACT (OPRA).

V. Emergency and Disaster plan.

The purpose of the Workplace Emergency and Disaster Plan is to prepare FH ATC employees

how to react in the unlikely event of a workplace emergency or disaster. Our goal is to protect

lives and property in the event of an emergency.

These are some examples of situations that could affect business operations and would be

considered workplace emergencies: Floods, Hurricanes, Tornadoes, Fires, Explosions, Civil

Disturbances, Bomb Threat, Power Failure, and Workplace violence resulting in bodily harm and

trauma.

IN THE EVENT OF AN EMERGENCY THAT POSES IMMEDIATE RISK TO

PERSONAL HEALTH AND SAFETY, EVACUATE IMMEDIATELY AND PULL THE

NEAREST FIRE ALARM PULL STATION OR CALL 911 AS SOON AS POSSIBLE

FROM A SAFE LOCATION, ALERT HOSPITAL AND PARAMEDICS POLICE OR 911

BOMB SQUAD.

Appendix G: Operation Manual: Full description of Emergency and Disaster plan on pp 50-52.

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NOTE: OFFICIAL USE ONLY – SECURITY-RELATED INFORMATION – WITHHELD

PURSUANT TO THE NEW JERSEY OPEN PUBLIC RECORDS ACT (OPRA).

Every employee will receive a copy Employee Handbook during their orientation training, which

includes procedures for robbery, natural disasters, evacuation plan and safety and security

techniques, to ensure the safest well-being of all FH ATC staff and registered patients. They

have to sign Employee Training Letters.

Appendix G: Operation Manual: Employee Training Letter on p. 107.

Measure 4: If the applicant proposes to cultivate and dispense at two separate physical

locations, the applicant shall provide an acceptable delivery receipt plan, including

measures to ensure sanitary medicinal standards, security and inventory control, for the

receipt of medicinal marijuana from the cultivation site by ATC staff at the dispensing site.

The delivery receipt plan shall demonstrate compliance with the Rules Related to the

Medicinal Marijuana Program. [WEIGHTED REQUIREMENT up to 5 Points]

Response:

Dispensary and Plant Cultivation of FH ATC will be built at the same physical location, which

ensures the better security for FH ATC operations.

Measure 5: The applicant shall submit a description of its Medical Advisory Board

including expertise of members and describe the plan to address community issues,

including but not limited to, labeling issues and an overall review of community relations.

[WEIGHTED REQUIREMENT up to 10 points]

Response:

FH ATC doesn't have a Medical Director on its premises, due to considerations written below:

1. Code of Medical Ethics says that Physicians may not accept any kind of payment or

compensation from a drug company or device manufacturer for prescribing its products.

Furthermore, physicians should not be influenced in the prescribing of drugs, devices, or

appliances by a direct or indirect financial interest in a firm or other.

2. NJ Board for Professional Medical Conduct prohibits Physicians to distribute controlled

substances and receive proceeds of drug transaction.

3. The permission to have Medical Director (Physician) on the payroll of Medical

Marijuana ATC contradicts NJ Compassionate Act, AMA Professional Conduct and

could have enormous negative impact on the patient’s health and can cause the increase

of fraudulent Medical Marijuana prescription.

4. American Doctors are accepting Federal funded Medicare Insurance, at the same time

medical marijuana is prohibited by Federal Law.

FH ATC will have a voluntarily working Medical Advisory Board, whose members are affiliated

with NJ Hospitals, and this panel is appointed by FH ATC.

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Purpose

The purpose of FH ATC Medial Advisory Board is to provide FH ATC with up to date,

scientifically accurate information about medical marijuana. Medical advisory board will also

review the results of registered patient's satisfaction surveys and their self assessment records to

provide its experience and input on the evolution of the work of FH ATC, thus helping to

improve the quality of life of registered qualifying members and in future cannabis clinical

research.

Role

FH Medical Advisory Board serves as a representative link between FH ATC and medical

community. Its role is primary advisory, however, they may, on behalf of FH, actively engage in

other activities that promote education, awareness, and other activities that benefit the

community of registered qualified patients and their primary caregivers in Medical Marijuana

Program (MMP).

Medical Advisory Board will observe the effects of medical marijuana use on FH ATC's

registered patients through the special self-assessment records, described in 8:64-11.4.

In summary, the registered patients, the community and the physicians would benefit through FH

ATC Medical Advisory Board observations.

The chairman of the Medical Advisory Board shall be responsible for the provisions herein.

The governing body of the Medical Advisory board is the Board members themselves, and it is

their decisions that are implemented for the Medical Advisory Board. Medical Advisory Board

does not make decisions for FH ATC; however their input is highly valued in medical topics.

Medical Advisory Board will meet at least two times a year.

The duties of the FH ATC Medical board are as follows, but in no way limited by this list:

Support FH ATC to develop a Medical Model of ATC, to provide registered qualifying

patients, their caregivers and healthcare providers with current, scientifically accurate

information on medical marijuana;

Participate in development of special Self-Assessment Records for FH ATC;

Review Self-Assessment Records, analyze them and share with the medical community and

NJHSS;

Review FH ATC website and other communications for medical accuracy;

Promote communication among the medical community in regards of MMP;

Participate in appropriate activities that enhance the FH ATC and medical community to

improve the quality of life of qualified registered patients in MMP and to support their

primary caregivers and families;

Research new developments in the field of medical marijuana;

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Provide FH ATC with newest legal information in the field of medical marijuana industry.

Medical Advisory Board of future FH ATC:

1) Dr. Aleksandr Martirosov, D.O.

License number:

Dr. Martirosov is the head of Tri State Health and Wellness Medical Center, located at 31-00

Broadway, Fair Lawn, NJ 07410. He is a member of American College of Acupational and

Environmental Medicine, American Society of Addiction Medicine, American Pain Society and

the National Guild of Hypnotists. He has the license in Controlled Dangerous Substances, license

number D07562200. He is designated as Certified Medical Review Officer, and he is an active

member of A4M, a Society of Physicians and Scientists Dedicated to Enhancing the Quality and

Extending the Length of Human Lifespan. Dr. Martirosov is very knowledgeable in alternative

medicine and medical marijuana field. He already applied to be registered in MMP in NJHSS.

Dr. Martirosov has privileges in the Meadowlands Hospital. Dr. Martirosov is the owner of

Tri State Health and Wellness Medical Center.

2) Dr. Dmitry Shtillman, D.D.S.

License number:

Dr. Shtillman is the head of CavityFree dental care clinics located at 45 Route 46 East,

Ridgefield Park, NJ 07660. Dr. Shtillman is a pediatric dentist, and an expert in a "special need"

patien'ts dental care. He is the attending dentist at Hackensack University Medical Center,

and is the member of Credential Committee of United Health Care Dental.

Dr. Shtillman is the owner of CavityFree dental clinics.

3) Yuri Surin, Registered Nurse

License number:

Works as a Registered Nurse in Presbyterian Hospital, New York, NY.

Has a certificate of credit for participation in the Fifth national Clinical Conference on Cannabis

Therapeutics in May 2009 (Certificate is submitted) from University of California, San

Francisco.

4) Peter P. Wimmer, Massage Therapist

License number:

Works as a massage therapist in Tri State Health and Wellness Medical Center, located at 31-00

Broadway, Fair Lawn, NJ 07410.

5) Freya Sat, President of Self-Awareness and Transformation Center, located at 126 Park

Avenue, East Rutherford, NJ 07073. Freya Sat is the owner of Self-Awareness and

Transformation center.

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6) Sonya Bromberg, Esq.

Sonya Bromberg works as an Attorney at Law. She is admitted to practice law in New Jersey,

New York and Utah and in Federal Court thereof. Sonya is very knowledgeable in legal aspects

of Medical Marijuana Program in New Jersey and other states.

Current concentration: Corporate consulting and Human Rights litigation.

7) Elena Nikitina, Registered Nurse

License number:

Works as a registered Nurse in Good Samaritan Hospital, 255 Lafayette ave, Suffern, NY, 10901

8)

9) a patient, who has a lot of debilitating medical conditions (We cannot

provide them here for confidentiality reasons). She resides ,

is also supporting our location choice in the city of Secaucus, which has one

of the best transportation accesses in Northern Region. Her letter of support is in Appendix J.

Our Medical Advisory Board can help FH ATC with labeling issues, according to FDA

guidelines, if they arise. Dr. Martirosov explained FH, that it is FDA Policy that people have the

right to know everything about the product they are buying: ingredients, how it was processed,

and etc. The patients are choosing to buy this medicine, so they must have the whole information

about the medicine and its side effects. Dr. Martirosov consulted Ida Umanskaya regarding the

project of transcutaneous formulation for Topical Lotion.

FH ATC has a future Medical Advisory Board, comprising of 9 members, five of whom are

health care professionals: one physician, one dentist; three business owners in the Northern

Region and a future patient, qualified for MMP in NJ.

Appendix H: Copies of Certificates and Licenses of Medical Advisory Board members and By-

laws of Medical Advisory Board.

NOTE: OFFICIAL USE ONLY – SECURITY-RELATED INFORMATION – WITHHELD

PURSUANT TO THE NEW JERSEY OPEN PUBLIC RECORDS ACT (OPRA).

Measure 6: The applicant shall submit a plan to track and analyze data including but not

limited to patient outcome, utilization and trends.

[WEIGHTED REQUIREMENT up to 20 points]

Response:

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a) FH ATC will formulate a system for documenting a patient’s self-assessment of pain and/or

primary qualifying symptom using a pain rating scale. FH ATC serving different patient

populations will make more than one pain scale available for patient use, as appropriate.

b) FH ATC will document a patient's self-assessment of pain or primary qualifying symptom

upon commencement of the dispensing of medical marijuana to the patient and thereafter at

three-month intervals. The ATC will maintain the record for the patient’s use and

information in consulting with his or her physician as to the use of medical marijuana to

address the patient’s qualifying debilitating condition.

c) ATCs will provide ―log books‖ to registered qualifying patients and registered primary

caregivers who request them to keep track of the strains used and their effects.

The collection of these data is needed:

1) For FH ATC to know what kind of strains are more beneficial for its registered patients

and needed to be grown; provide information to participating physicians and NJHSS.

2) For NJHSS for statistical and clinical data.

3) For registered patients and their caregivers for sharing with their prescribing physicians.

4) For the medical community, serving as a clinical research data.

To be consistent with Medical Model of ATC, FH ATC developed several Self-Assessment

Records:

1) Patient’s record of strain used;

2) Self-Assessment Record with UKU Side Effect Rating Scale - Effects of cannabis

administration may be assessed by this standardized inventory scale, showing physical

and psychological symptoms and also side-effects. This test will show the physician if

he/she has to reduce the dose to the patient, discontinue administration of medical

marijuana or take no action.

3) Self-Reported Pain Magnitude Test - This test is based on verbal reports of pain intensity

and pain relief after administering medical marijuana. This scale starts at 0 - no pain;

slight; mild; moderate; lots; complete; severe; worst; and continues to 10 - worst pain

imaginable.

4) Sickness Impact Profile (SIP) - It is a behaviorally based measure of sickness related

dysfunction. It is done in an effort to provide appropriate, valid and scientific measures of

health status that will aid in assessing the outcome of administering medical marijuana.

5) Profile of Mood States (POMS) - shows the psychological and energetic effect of medical

marijuana administration.

6) Highness/Sedation Scale - The development of tolerance is an important factor that may

influence psycho-physiological effects of medical marijuana. Initial tolerance is an

expression of dose of medical marijuana, which a patient must receive at a first exposure

to it to produce a designated degree of effect. "Acquired change in tolerance" is the result

of repeated drug exposure. FH will develop a psychological tolerance test showing:

highness, somatic, awareness, a feeling of control, friendliness, ambivalence and altered

thinking.

7) Visual Analog Scale test- after using cannabis.

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FH hopes that the results of these tests will help NJHSS, physicians and future patients in

scientific and clinical research of medical marijuana, and will be a reference to prescribing

physicians.

The results of these tests would lead our trained staff of professionals to direct a patient towards

the right products for his/her needs, and to the right source of information. FH will work

collaboratively with registered qualifying patients, their physicians, and our Medical Advisory

Board in maximizing positive therapeutic outcomes through the usage of medical marijuana.

FH have begun a conversation with Concentra Urgent Care, located on 30 Seaview drive,

Secaucus about possible future affiliation. Our representative was talking to Concentra Health

Service manager William Miller, who is consulting the National authorities.

Appendix G: Operation Manual: Samples of Self-Assessment Records on p. 83-90.

NOTE: FOR OFFICIAL USE ONLY, LIMITED FOR PUBLIC REVIEW, CONTAINING

CONFIDENTIALITY AND PROPRIETARY INTELLECTUAL PROPERTY.

Criterion 5 Cultivation specific considerations

[TOTAL WEIGHTED REQUIREMENT up to 100 Points]

FH would grow organic marijuana and Board of Directors would oversight that plant

cultivation is in compliance with a certification of the United States Department of

Agriculture requirements applying to organic products.

Appendix G: Operation Manual: Basic Requirements for Organic Certification on p. 110.

FH would use growing consultants from California and Nevada for harvesting during the first

year as well as to train our own NJ residents- growers, who could work independently in the

future. It would help FH to lower our expenses, thus, lowering the future price of medicine for

our registered patients. FH ATC will grow organic marijuana as environmentally friendly, more

resistant to disease and most healthy medicine for patients with debilitating conditions.

Measure 1: The applicant shall provide an acceptable safety and security plan, including

staffing and a detailed description of proposed security and safety measures which

demonstrate compliance with Rules Related to the Medicinal Marijuana Program.

Supporting documents should be included as Appendix N.

[WEIGHTED REQUIREMENT up to 20 Points]

I. The description shall include a detailed floor plan for the ATC cultivation site, which

indicates location and design standards and performance specifications of security devices

to be utilized.

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Response:

STAFFING FOR GROWING

FH ATC will employ a team of experienced growing consultants who have the best expertise in a

large scale organic growing. They have extensive experience in horticulture, organic growing,

and NJHSS regulations about THC potency limit. They have connections in all states with MMP

and can provide us with best techniques, equipment and the latest information in cannabis

growing. They are also eager to train FH own growers, who can work independently in the

future. The team is comprised of GrowSet Up team and Nick Tarantino.

FH ATC consultant, Steven D. Castellano will be the head of our control/quality program.

FH ATC future grower Maya Gogua has BS in Agronomy and Horticulture and 10 years of

indoor mass growing experience. FH hopes it would not take a long time for her to become a

cannabis grower. Georgiy Akopov is FH ATC future assistant grower. He is studying medical

science in Bergen College and is eager to be trained as a grower.

Appendix O: FH ATC Growing Staff information and reference letters.

Facility floor plan

A detailed floor plan with location and design standards and performance specifications of

security devices is in Appendix N.

Complete security measures are described in Criterion 4, because FH ATC Dispensary and

Plant Cultivation operations are held in one facility.

Appendix N: Facility Floor Plan including all security measures from ADT and Tour-Positive

system from U. S. Security Associates Inc.

NOTE: OFFICIAL USE ONLY – SECURITY-RELATED INFORMATION – WITHHELD

PURSUANT TO THE NEW JERSEY OPEN PUBLIC RECORDS ACT (OPRA)

II. The applicant shall provide a plan to involve and coordinate with local law enforcement

authorities on security and safety issues, and identify the law enforcement officials

contacted during the development of this plan.

Response

Local law enforcement agencies would play an important role in securing ATC operations,

preventing the theft and diversion and providing security around the facility.

FH developed a plan of coordination with local police authorities:

1. FH ATC officers will report to local police concerning possession, distribution or transfer of

illegal drug or other unauthorized controlled substance, and will turn over to the custody of law

enforcement officials any such substances found during a search of an individual or property. FH

ATC will cooperate fully in the prosecution and/ or conviction of any violation of the law.

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2. FH ATC will announce to the registered patients and/or their primary caregivers that, if they

are in possession of unused, unadulterated medical marijuana, that is no longer needed for their

use, to dispose it by:

- Returning to FH ATC

- Transporting it or arrange for pick up by state or local police

3. FH ATC will have the agreement with local police about pick up of disposable marijuana from

our premises. A special Disposable report has to be signed by the Executive Director and Police

Officer, who is responsible for pick up. A copy of this report has to be given to such Police

Officer. Police will assure FH ATC that all controlled substances coming into possession of

Police department are properly recording, securing and transporting to the Crime Lab.

4. A security system, provided by ADT will be utilized with a communication configuration,

notifying law enforcement officials if a break-in or a robbery occurs.

5. Burglar alarm (Hold Up) will silently notify local law enforcement officials about any breach

of security.

6. FH ATC will provide law enforcement authorities with names and phone numbers of the

Board of Director's officers and FH General Manager to notify during and after operating hours,

to report problems with the establishment, or noticing any smell, noise, loitering or any other

potential concerns.

7. Upon becoming aware of reportable loss, discrepancies identified during inventory, diversion

or theft, whether or not the medical marijuana funds or other lost or stolen property is

subsequently recovered and/ or to responsible parties are identified and action taken against

them, FH ATC will immediately notify law enforcement authorities.

8. If a robbery occurs, the police will be notified immediately. Employees must not touch

anything in the facility. FH ATC staff will cooperate with Police and issue a Complete Incident

Report.

9. Receiving the alarm signal, police authorities would enter the ATC together with FH ATC

officers and /or general manager.

10. Local police authorities will be in contact with ADT Security Company monitoring and with

U.S. Security Associates, Inc

FH Directors Marina Karavas and Ida Umanskaya had a meeting in Secaucus Police Department

with Chief of Patrol Captain Joseph P. Kickey, Detecive Sergent Carlos Goyenechea and

Detective Michael Torres together with U. S. Security Associates Inc, District Manager Northern

NJ Mr. Joseph Marini on 02.08.2011. Police officers were informed about our application filing

process to get the license for future ATC and the full description of our possible projected work

together. The Police officers are going to consult the District Attorney about this new project in

MMP and work with us accordingly, if we are awarded with the license. Our future ATC site

will be secured by professionals from U.S. Security Associates Inc. with deep tiers to local

enforcement.

NOTE: OFFICIAL USE ONLY – SECURITY-RELATED INFORMATION – WITHHELD

PURSUANT TO THE NEW JERSEY OPEN PUBLIC RECORDS ACT (OPRA)

Measure 2: The applicant shall provide a description of the enclosed, locked facility that

would be used in the cultivation of medicinal marijuana, including steps to ensure that the

medicinal marijuana production shall not be visible from the street or other public areas.

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[WEIGHTED REQUIREMENT up to 30 Points]

Response:

Cannabis will be grown in "a closed" system with strict environmental control (encapsulated

system).It is like the enclosed box built inside the growing area. There will be a metal cage

around this box as a security measure. The growing spaces will have the state of art climate

control. Ambient air temperature and relative humidity (RH %) will be remotely monitored and

regulated each time of monitoring through the computerized environmental control system.

Carbon dioxide (CO2) enrichment will be employed to aid in photosynthesis to maximize plant

yield and efficiency. Indoor air quality and HEPA filtration will be employed throughout the

structure to maintain mold-free environment for the safety of staff and health of the plants.

FH Growing facility will use negative air pressurization to eliminate air exchange from Plant

Cultivation area to the Dispensary. All exhausted air will be emitted from the building through

charcoal filtration and ozone treatment for the neutralization of odor (volatile organic

compounds). This level of environmental biological control will ensure that cannabis will be of

the highest level quality and purity.

The plant cultivation facility will be light tight, with no visibility from outside of the building.

Exhausted air will be treated by carbon scrubbing and ozone generation to ensure that no "tell-

tale" odors are emitted to the outside. There will be no windows so the activities inside the

facility are not visible outside the building.

FH ATC building is going to be modified with excellent security system, robbery prevention

setups a good man-trap with a buzzer door and at least two security guards with metal detectors.

The outside perimeters of FH ATC will be well lighted to deter nuisance and criminal

activity and facilitate surveillance, but will not disturb surrounding businesses and any

neighbors

The outside perimeters of FH ATC will have limited to a minimum access to ensure that

access is well controlled

FH ATC will be protected against theft and diversion 24 hours a day and seven days a

week by a security alarm system, provided by ADT Business Security Company

Outdoor and indoor monitoring cameras in all rooms of the facility working 24/7 and

connected through the computer to the ADT and law enforcement agencies.

For the reasons of security and according to NJ Health Department rules and regulations:

FH ATC will have an exterior signage as a black text on white background

This signage will not be illuminated at any time

FH ATC will not display on the exterior of the facility advertisements for medical

marijuana or brand name, except for purpose of identifying the building by the permitted

name.

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Medical marijuana and paraphernalia will not be displayed or clearly visible to a person

from the exterior of FH ATC. Small windows and roof hatches shall be secured with bars

on the small windows so as to prevent unauthorized entry. Big windows on the side walls

will be removed and a blind brick wall will be built.

NOTE: OFFICIAL USE ONLY – SECURITY-RELATED INFORMATION – WITHHELD

PURSUANT TO THE NEW JERSEY OPEN PUBLIC RECORDS ACT (OPRA)

Measure 3: The applicant shall demonstrate an ability to provide a steady supply of

medicinal marijuana to registered qualifying patients.

[WEIGHTED REQUIREMENT up to 50 Points]

Response:

Using the weekly periodical reviews and information from NJHSS about registered patients in

Northern Jersey, FH ATC would adjust its growing, dispensing capabilities and the quality of

medicine. We would use Sea of Green (SOG) technology, increasing weekly growing and

growing steadily to provide steady adequate supply of medical marijuana to our future registered

patients.

SOG is a perpetual harvest method, providing small harvests on a weekly basis. Each week, the

ATC decides to cultivate a new batch of medical marijuana. This will provide the patients with

constant and steady supply of medicine. At the same time we can decrease our inventory in 10

business days if we experience a temporary decrease in the number of patients. Our future

product will meet the standards of modern medicine: quality, safety and efficacy. If in the future

we would ever need to increase square footage area for the growing, our growers would use the

method of growing in tiers or shelf gardening. 3,000 lumens per sf. would be an optimal for our

indoor growing.

FH ATC will use organic methods of growing with no chemical pesticides or fertilizers.

The actual number of plants in ATC will be consistent with New Jersey Rules and Regulations

stated number of strains permitted and number of qualifying registered patients. FH will also

have a staffing plan that is commensurate with the rate of enrollment by qualifying patients

FH will make its growing calculations based on a yield per plant, how many plants are grown

under each lamp and the projected number of patients with 2 oz limit of medical marijuana

allowed by NJ Act. Due to a definition of 60-Day Supply made by WAC 246-75-010, 35 oz. per

sf. of canopy is a reliable prediction of plant yield. If one of the areas of Plant Cultivation facility

is compromised due to unforeseen issues (pest, disease, grower error), FH Master Grower has to

extra grow to compensate for delays and setbacks.

The Executive Director and Plant Cultivation Manager will conduct a harvest projection at least

once per week. FH ATC computerized system will estimate the projected dry yield for the next

12 weeks. In the event there is a surplus of inventory according to actual patients' number, the

Executive Director adjusts the production schedule and the surplus of dry inventory has to be

destroyed according to Rules and Regulations and FH ATC Disposal Policy.

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Regardless of our projections made in the Business Plan, we would always correspond our

harvesting to the actual number of patients registered in FH ATC. We are confident that our

yield and production cycle knowledge , together with the knowledge of the exact numbers of

registered patients and more than enough square footage of the Plant Cultivation facility will be

the keys to adequately and steadily supply patients from Northern NJ region in accordance with

patients' demand. The plant cultivation area and growing process are easily expandable to meet

the increased demands of Northern region, strictly adhering to the FH registered patient's

database.

I. The applicant shall provide a start-up timetable which provides an estimated time from

issuance of an authorization for operation to limited operations to full operation, as well as

the basis for these estimates.

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Appendix G: Operation Manual: Coconut Coir on pp. 118-119.

At the same time there will be a construction process of Plant Cultivation Facility on a

large scale, which is supposed to take 2, 5 months and then a process of testing this facility

for at least one week.

.

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- Projected number of registered patients at the beginning of MMP ( FH hopes to get numbers of

registered patients for Northern NJ region from NJHSS, if it will be awarded with license to

operate ATC)

TIMEFRAME

Date Event Basis

3/21/2011 Approval of Application Tentative date listed by NJHSS

Lease Begins Building is vacant; landlord contacted;

obtained lease proposal

3/21/2011 Begin employee hiring process for

Cultivation Operations and Security

Guards from U.S. Security Associates

Inc

FH already has consultants and future

assistant growers

4/5/2011 Begin construction/renovation of the

facility

Construction contractors have been

contacted after getting building department

permits.

And are available

4/5/2011 Begin Security systems installation Agreement with ADT Security Company,

security contractor/consultant

4/15/2011 Construction of a small Plant

cultivation facility completed;

Vegetative Room and Flowering

Room equipment installed; testing

completed

Projection by contractors, Grow SetUp Inc

4/15/2011 Security installation complete to start

pant cultivation operations

Projection by ADT Security Company,

security contractor/consultant

4/15/2011 Begin vegetative growth of first batch

from seedling in a small cultivation

room

Facility construction complete and security

installed

4/25/2011 Begin employee hiring process for

Dispensary operations and training

FH already has personnel ready to work in

the dispensary

4/28/2010 Begin flowering of first batch Experience with MMJ cultivation

6/15/2011 First batch harvested Experience with MMJ cultivation

6/05/2011 Second vegetative cycle started Experience with MMJ cultivation

6/22/2011 First Batch dried and tested for purity Projection by contractors, GrowSetUp Inc

6/29/2011 First batch cured, Experience with MMJ cultivation

6/30/2011 First batch packaged and labeled and

is ready for sale. Stored and vented for

1 day.

Experience with MMJ cultivation

7/01/2011 ATC is at full operation Product is ready for distribution; Perpetual

harvest technique will provide patients with

a steady supply from this date on,

subsequent harvest will occur on a weekly

basis from this point forward

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II. The applicant shall describe its knowledge of (and experience with) organic growing

practices or agricultural growing practices to be used in their cultivation of medicinal

marijuana.

Cannabis will be grown in "a closed" system with strict environmental control (encapsulated

system). Ambient air temperature and relative humidity (RH %) will be monitored and regulated

each time of monitoring through the computerized environmental control system. Carbon dioxide

(CO2) enrichment will be employed to aid in photosynthesis to maximize plant yield and

efficiency. Indoor air quality and HEPA filtration will be employed throughout the structure to

maintain mold-free environment for the safety of staff and health of the plants.

FH Growing facility will use negative air pressurization to eliminate air exchange from Plant

Cultivation area to the Dispensary. All exhausted air will be emitted from the building through

charcoal filtration and ozone treatment for the neutralization of odor (volatile organic

compounds). This level of environmental biological control will ensure that cannabis will be of

the highest level quality and purity.

The water for cultivation will be purified via reverse osmosis system. Only organic fertilization

will be used.

The plant cultivation facility will be sanitized by preferably organic cleaning agents. Materials

used for the harvest and storage of dried marijuana plants will be consistent with those used in

pharmaceutical industry.

Nick Tarantino, our future General Growing Consultant and GrowSetUp Inc. ( Egor Koltsov,

David Koltsov, Alexander Blu) are extremely knowledgeable in organic growing.

Steven D. Castellano, having a great experience in cannabis growing and testing and MS in soil

science and project management will consult us and our consultants at any time we will need his

services.

Appendix M: Reference letters from growing consultants.

Operation manual contains all basic requirements for organic certification by USDA, which has

to be implemented in FH ATC growing facility. USDA doesn't give any certification for organic

medical marijuana, due to Federal laws, but FH plant cultivation will follow necessary best

practices and USDA guidelines for organic growing. Organic cannabis is environmentally

friendly. Organic method is a technique of using no pesticides and chemical fertilizers. It has to

be entirely organic operation. Growing medium is usually a combination of natural organic

material and numerous composts. FH would use Coconut coir for organic growing, no pesticides,

organic fertilization and reverse osmosis for water.

Organic fertilizers are less concentrated than chemical mixes, and the nutrients are released more

slowly.

Here is a short list of common organic fertilizers: Alfalfa Pellets, Corn Gluten, Compost

Bird guano, Cow manure, Horse manure, Soybean meal, Worm castings, Kelp, Insect manure,

Fish emulsion, Cottonseed meal, Bone meal, Blood meal.

A special attention has to be paid to Growing Medium acidity.

Note: Blood Meal, Dried Blood, Guanos, Kelp Meal, Cotton Seed Meal, Peat Moss, Sulfur and

fish meal are all acidic and can bring ph down ( PH has to be monitored while use).

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Note: Bone Meal, Rock Phosphate, Wood Ashes pretty much all ashes, Shellfish Compost and

Crab Meal are all alkaline and can make ph go up ( PH has to be monitored while use).

III. The applicant shall describe its quality control program and steps that will be taken to

ensure the quality of the medicinal marijuana, including purity, potency and consistency of

dose.

Quality, purity, consistency of marijuana: The quality of any consumable plant is dependent

upon the ability of the grower to provide an optimum growing environment.

These elements include:

• Moisture

• Air flow

• Nutrition

• Temperature

• Light

When all elements are controlled to meet the specific plants needs, the highest quality will be

achieved and the plants will have a lower stress level allowing them to resist diseases and pests.

Such control can only be reached in Controlled Environmental Agricultural system (CEA),

which GrowSetUp, Inc. is going to build for FH ATC.

Controlled Environment Agriculture (CEA) and the environment in a Plant Cultivation room are

tightly controlled for maximum efficiency. With this CEA grower can make ultra-premium

medicine regardless of growing seasons, anywhere in the world, constantly monitoring the

humidity, temperature and pH level. The future Plant Cultivation facility will be designed with a

patient in mind and built to medical laboratory standards, while maintaining our objective to be

environmentally friendly and producing the best medical cannabis possible. The facility will

have completely sterile walls and medically sealed floors, which mitigate any risk of mold or

pest. Each sector of the facility will have an optimum temperature and environmental control

necessary for maximum production of cannabis. To maximize the space, if needed, we will use

several tiered vertical hydroponic design. Additional horticultural practices that will enhance the

ability to achieve the quality goal include but are not limited to the following:

• Using quality seedlings for initial plantings

• Cloning female plants to ensure consistent genetics

• Growing female seedlings having disease resistance

• Maintaining consistent growing conditions and practices to retain THC potency

• Flushing plants prior to harvest to remove any residual build up of any fertilizer or

• pesticide that were used during growing

• Visual microscopic inspection leading up to harvest for resin crystals to determine

optimum harvest time within the recommended day frame to achieve proper THC level

• Careful harvest to prevent friction which can affect resin

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• Proper moisture and temperature management in the drying process to allow slow even

drying which encourages minimum THC decomposition, taste, and encourages sweet

smooth taste. This slow process also allows enough time for pigments to degrade

improving taste and aroma

• Vacuum sealing for storage will preserve the aroma, taste and potency

• Storing in darkness in a cool dry place, maintaining proper temps, and humidity will help

• preserve the ultimate quality of medicine

• pharmaceutical grade packaging and storage containers

• cleaning with preferably organic certified sanitizers

2. For the first ramp year, FH ATC would use Cannabinoid Analysis Test Kits (CAT) which is

sold by www.cannalyse.com, providing THC and CBD cannabinoid potency and consistency of

dose. Medicine should have as consistent dosage as possible. Therapeutic efficacy can only be

achieved with repeatability of desired effects. This is an especially important factor for efficacy

of THC, which are biphasic in nature. Biphasic refers to a chemical having opposite effects on

the body if administered in different doses.

Cannabis Plant health, regarding macronutrients, presence of pests, traces of pesticides and

presence of mold will be consistently monitored.

When preparing Oral Lozenges, titration of a consistent dosage is very important too.

For the safety and purity of Topical Lotion, FH Director Ida Umanskaya is working on a

formulation process with Beilis Development Laboratory, which is described prior.

On the second year of operations FH ATC intends to build its own laboratory fulfilling the most

accurate clinical testing of cannabinoids' potency, consistency of dose, and possibility of

medicine contamination. Our consultant Steven D. Castellano is capable to build such laboratory

and work there on a constant basis as analytical chemist. His excellent education and experience

in medical marijuana field makes him irreplaceable specialist, and FH Board of Directors is

happy to have his assurance to work with us! FH has a Letter of Intent from SteepHill laboratory

from California, which will work with us on developing FH ATC own laboratory and

comprehensive analysis system for potency and quality control of medicine.

Our overall plan is to address the consistency of dose issue by growing plant in a healthy

environment using consistent methods which will help re-produce healthy genetic clones. By

beginning with consistent genetics and managing ―Best‖ harvesting, drying, curing and storage

practices we will be able to achieve consistent final quality, purity and doses in our products

which will be monitored by regular testing and record keeping.

Special protocols with testing reports will be available in FH dispensary room for every

registered patient and primary caregiver, thus assuring them that FH ATC produces the highest

quality medicine and FH takes all serious precautions to ensure that our registered patients are

receiving purest and safest medical marijuana and other infused products with a consistency of

dose.

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Our consultant Steven D. Castellano was working as a chief of the Quality Control Testing

Laboratory, he is a very experienced chemist and microbiologist. FH ATC considers his future

help as invaluable input to our future Quality Control Programm.

Appendix G: Operation Manual: Cannabinoid Analysis Test description on p 117-118.

Appendix I: Letter of Intent from SteepHill Laboratory.

IV. The applicant shall describe:

Methods to ensure, that seed production and/or hybridization are prevented during

cultivation of medicinal marijuana;

FH will be working exclusively with feminized seedlings to minimize the chances of seed

production during cultivation. Subsequently we will be surveying the plants during the first

stages of flowering to ensure that all plants are female (usually a male starts to flower 2-3 weeks

before female). Constant temperature and humidity control will be essential to prevent male

plants from forming. If any pod or sacs are formed the plant will be cut down and destroyed.

Only approved cultivation staff and security personnel will be allowed access to the cultivation

area.

Methods of testing for the presence of mold, bacteria or other contaminants and

procedures for routine scouting of insect and plant disease conditions;

Our procedure for routine scouting of mold and bacteria will include the careful observation of

the plants. Each plant will be assessed daily. The room will be kept at the best temperature and

humidity levels will be maintained (CEA). We will use a digital magnascope to identify

contaminants as the ideal tool. If a product is questionable for mold, insects or bacteria a small

sample from each plant may be tested via a "Gram Stain" or mold toxin dye. For performing

mold identification testing, there are special aflatoxins and fumonisin testing kits in different

biotech companies selling on Internet.

As a part of quality control, our system of recordkeeping will permit the identification for

purposes of recall of any lot or batch of medicine when such is found to be unsafe to use from

FH ATC registered patients.

In the future FH ATC will build a professional testing lab, which will allow us to clinically and

precisely perform cannabinoid and contamination analysis of all our medicine.

Methods to control insect pests that do not include the application of pesticides during

cultivation of medicinal marijuana, in accordance with the Rules Related to the Medicinal

Marijuana Program;

CEA system helps to eliminate insect pests and mold during cultivation process. Coconut Coir

Growing Medium practically eliminates mold development.

Integrated Pest Management (IPM) is just the adding of a natural predator to our ecosystem, like

ladybugs, mantis, nematodes, parasitic wasps, bacteria, or a bug-attacking fungus such as milky

spore. In our effort to control insects we can utilize the most effective and aggressive species:

Ambluseius Californicus - kills numerous species of thrips and as well as mites, they feed on

hatching eggs and lerval stages of thrips.

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Amblyseius Cucumeris - kills numerous species of thrips and as well as mites, they feed on

hatching eggs and larval stages of thrips.

Chrisoperla Carnea - consumes aphids, however, they will also prey on white flits, thrips, and

moth eggs.

Orius Insidiosus - targets thrips and eggs.

Phytoseiulus Persimilis - targets spider mites and juvenile mites.

Steinernema Felitae - nematodes, that target fungus gnats systemically.

Trichogramma brassicae -targets the eggs of most insect pests, mainly moths and butterflies.

Next, there are plant-derived compounds that repel, kill, or disrupt the life cycles of pests.

Pyrethrum and neem oil fall into this category.

Then there are such things like diatomaceous earth, which abrades the bodies of flying and

crawling pests until they dehydrate and die.

Trapping pests is a way to organically control them. Yellow or bright blue sticky traps are

necessary to any indoor gardening operation even if it's just for monitoring the buggies.

Last, there's no end to the home-remedies: garlic, chili oil, citrus, sesame, coffee, tobacco 'tea'.

Other organic methods, which we will use are baking soda and water for the removal of white

mold and depriving the plant of light and water if the presence of green mold is detected.

GrowSetUp, Inc. and our future Master Grower Nick Tarantino are assuring us that they never

had any pest or mold infestation during their growing experience in CEA system.

Procedures for proper sanitation practices to minimize plant disease, and to promptly

dispose of diseased plant material in a secured disposal area;

When handling the plants employees will have been cleaned head to toe in a clean down room

which will be on the premises and they will be wearing laboratory coats , medical gloves, hair

nets and shoe coverings that will ensure our cleanliness from dust and stray hair. All processing

shall be conducted on a sanitary surface which will be sanitized after every use as well as weight

tools and trays. All diseased plants will be disposed of in a trash container located in a concealed

room at the facility until a third party service (Police Department) securely removes and has it

destroyed pursuant to the rules set by the state of New Jersey Health Department.

Our facility will have completely sterile walls and medically sealed floors which lessens any risk

of bacteria and pests. Each sector of the facility will have an optimum temperature and

environmental control necessary for the maximum production of cannabis. New gloves will

always be worn as well as hairnets and coverings for the shoes in the growing areas and

packaging room. The CEA helps to eliminate plant diseases.

Methods for utilization of fans and cooling systems to maintain airflow patterns sufficient

to prevent or minimize plant disease and insect infestation;

FH ATC is going to be running CEA controlled environmental agriculture.

Example of maintaining the airflow in the facility to minimize insect infestation:

Oscillating air will have an effect on a number of pests that become uncomfortable under a

breeze. There are too many varieties of pests that can bring havoc on an indoor Plant Cultivation

facility. We can provide one example, perhaps the most common and devastating: the spider

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mite. This microscopic spider’s metabolism is increased with temperature reducing the time it

takes for them to reach sexual maturity. When one is dealing with a population that grows

exponentially, it can become beyond control in a short period of time. To shed a little more light

on it, a spider mite living in conditions around 45º F will take around 25 days to produce an egg

from the time it born. If the temperature is doubled to 90ºF the number of days will fall to about

five. As well, the number of eggs that a female can lay will increase as the temperature increases.

It all comes back to the temperature/humidity issue. That is the primary reason for moving air in

Plant cultivation facility by circulation fans.

Humidity level will be kept unfavorable for fungal diseases.

Appendix G: Operation Manual: Controlled Environmental Agriculture on pp. 120-124.

Methods to keep environment free from flowering male plants to ensure that female plants

are not pollinated and seed production and/or hybridization is prevented;

FH ATC is going to use feminized cannabis seedlings as one of the highest achievements in

cannabis farming industry. Feminized seedlings grow into all female plants therefore saving

growers from the hassle of identifying and removing the males and thus preventing unwanted

pollination. Feminized cannabis seedlings are produced from a chosen cannabis female that has

been put through climate stress, which forces the plant to show some male flowers. The pollen is

used to pollinate existing female flowers in order to produce seeds that do not contain a male

chromosome. The seeds will not grow into a male plant, only female or hermaphrodites.

Our growers will make sure that Plant cultivation room is working properly, with automated

monitoring and control, and to ensure that all the lights turn on at the same time and turn off at

the same time. Watering will be done by a highly integrated drip system. All the factors we have

mentioned will ensure that our plants are not induced by excess stress. Since cannabis is very

responsive to its environment, big changes in any of the growth factors (light, heat, food, water,

etc.) can affect not only the growth of the plant but also potency and even sex. Too much stress

will force Hermaphroditism or even a male from a normally female plant.

Recordkeeping of any cultural measures used for plant pest or disease control, including

disposal of culled plants;

We will ensure that the container of any medicine during any stage in the process of distribution

bears an identifying name and number which is known as the ―lot‖ number. The label and bar

code will make it possible to determine the complete manufacturing history of the package of

organic marijuana.

There will be a complete record, stating the measures done for the plant, pest and disease control,

and disposal of culled plants.

Cultivation staff will keep thorough daily records concerning growth, treatments applied and

other information necessary to ensure plants are healthy and medical grade.

The various strains of marijuana to be dispensed, and the form(s) in which it will be

dispensed

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According to NJHSS Rules and Regulations, FH ATC Plant Cultivation can grow three strains,

with strengths: low, medium and high; and THC limit of no more than 10%.

Our Operation Manual contains at list 5 strains with THC limit of 10%. It will be our growers'

decision to choose the best three of them to start growing. Testing will be performed on flowers

and leaves prior to packaging to test medicine for potency. (THC limit 10% is allowed by

NJHSS)

Appendix G: Operation Manual: Pictures and information about the strains on p. 69.

How do THC and CBD relate to potency?

The two main components in the marijuana plant (that we know of), which cause its effects on

humans, are THC (Δ9-tetrahydrocannabinol) and CBD (Cannabidiol). Some people only pay

attention to THC when talking about marijuana "potency" but the story is actually a little bit

more complicated than that. As we are studying cannabis, we're learning that CBD actually plays

a much bigger role in the overall cannabis experience than we originally thought. A recent study

indicates that cannabis buds which are high in CBD do not cause the memory impairment which

is normally cited as the biggest side effect of smoking or using cannabis. This is big news for

patients who would like to use cannabis but do not want any memory side effects. It's becoming

apparent that in order to understand the whole picture about the effects of cannabis, we will need

to learn about both THC and CBD.

THC is the main psychoactive component in marijuana buds. THC appears to help relieve pain

and is neuroprotective (helps keep brain from degenerating over time). THC mimics the action of

anandamide, which is a naturally occurring cannabinoid in the brain. THC is thought to be the

cause of the following effects of cannabis: relaxation, euphoria, altered space-time perception

and appetite stimulation.

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Having a high THC content by itself does not necessarily mean that the marijuana is great. It's

important to look at the whole experience caused by the plant which includes another substance

known as CBD.

CBD was once thought not to affect the subjective affect of marijuana, but further studies have

shown that it actually does have an effect. CBD appears to relieve convulsions, some types of

inflammation, anxiety, and nausea. CBD has also been show to help stop the growth of cancer.

CBD is also effective as an anti-psychotic for people suffering from schizophrenia. Marijuana

buds that have a higher amount of CBD are associated with a more sedative or calming effect.

Cannabis buds that contain high amounts of CBD are a perfect treatment for insomnia or for

treatment late at night.

The best results seem to come from using marijuana that has a mix of both THC and CBD. When

used by itself, THC can cause disorientation and anxiety. CBD seems to prevent these effects.

The genes of a plant play a big role so it's very important to find a strain which has the effects

that you are looking for.

Another way to help control the amount of THC and CBD in your plant is to choose the right

time to harvest your plant. You can pick the right time to harvest if you watch the trichomes

(also known as crystals or resin glands, basically, it's the glittery stuff you see on your marijuana

buds). You tend to get the highest overall THC levels if you harvest your plant when all the

trichomes are milky /white, or they are half milky and have translucent.

If we wait to harvest your plant until 50% or more the trichomes are amber colored, then we will

get a final result that has a bit less THC, but more CBD. A simple method to determine when to

harvest is to just wait until the buds have only 10% or less total white pistols/hairs. It will be

noticed that cannabis buds keeps growing more and more white hairs over the course of the

flowering stages, but eventually (it feels like forever) the buds will stop growing new white hairs

and 90% or more of the hairs will have darkened. It's hard but waiting to harvest until your

cannabis plant has run its whole life course will maximize the CBD levels. This often means

keeping your cannabis in the flowering stage for a full 3-4 months. If we allow our cannabis to

run its full course, it will maximize CBD levels and our yields.

Product Line:

FH ATC will package and dispense medical marijuana only in:

1) Dried form ( 1/4 oz pharmaceutical jars) for direct dispensing to qualifying patients;

2) Oral Lozenges for direct dispensing to qualifying patients;

3) Topical formulations for direct dispensing to qualifying patients.

FH ATC will also sell paraphernalia: grinders, vaporizers, auto pipes, and digital scales and

microscopes for individual use and quality control.

The printed catalog with prices for the products sold in FH ATC dispensary would be prepared

for registered patients of FH ATC. There will be the whole information about the strains, their

potency, benefits and other possible effects and forms in which medical marijuana is sold in FH

ATC.

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Appendix G: Operation Manual: Pictures of vaporizers, pipes, microscopes, digital scales on

pp.77-80.

Record keeping for each package by lot, label and bar code

Each plant in FH ATC will be tagged with an inventory control tag when the plant is first

transplanted into the vegetative room. Using these control tags (bar codes), the computer will

keep track of each plant's individual information. This information will include the strain, batch

number, plant number, birth date, projected harvest date and projected yield.

1) To ensure inventory control measures, a barcode system with Radio Frequency Identification

Tags (RFID) will be implemented for security and safety. This automated process will

provide instant access of any product that has left the facility. The barcode system will be

used for small items that have been packaged and are placed in a warehouse inventory

management system.

2) The inventory will be moved from the Growing Facility to the Dispensary being bar-coded

and tagged. These items will then be recorded in the database system and placed in a secured

inventory room (vault). When invoices are generated, each order will be packaged and placed

in a sealed container. These items will then be placed into a security storage box with a RFID

to track its location. During the entire process of packaging, there will be a minimum of two

people who will be present to make certain that procedures are followed properly and sign-

off and witness that all is safe and secure. In addition, this activity will be video recorded to

ensure FH ATC and NJHSS that this process is secure.

3) Inventory that is sold within the Dispensary will be tracked through a Point of Sale system

which will automatically transfer information back to the database management system for

patient consumption purposes.

FH ATC will ensure that the container with cannabis at any stage, starting from growing to

distribution, bears an identifying name and number, commonly known as a "lot" or "control"

number (bar code), to make it possible to determine the complete manufacturing history of the

package of the marijuana. It will permit the identification for purposes of recall of any lot or

batch of medical marijuana from registered qualifying patients when such is found to be unsafe

to use.

Inventory Policies and Procedures

FH ATC will follow inventory controls and procedures designed to prohibit unlawful activity,

misallocated material, and employee malfeasance. The goal of our Inventory Control is to ensure

all processes are secure and transparent. Transparency will enable FH ATC to provide necessary

reports to NJHSS (as required) and reduce the likelihood of employee or 3rd party theft. The

Inventory controls are designed so that the product can be measured and documented throughout

the entire growth process – from planting, through harvesting, curing, processing and selling. At

each stage of the process, the inventory is measured using high-precision scales (calibrated daily)

and documented.

FH ATC will use the following procedures:

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A. Growth Supplies – The Plant Cultivation Manager will inventory all supplies as they are

purchased and delivered to FH ATC's facility: lights, plant containers, trays, etc.

B. Dispensary Supplies – The Dispensary Shift Manager, will inventory all supplies as they are

purchased and delivered to FH ATC's facility: labels, medicine containers, paraphernalia,

accessories, etc.

C. Raw materials – The Plant Cultivation Manager will inventory all raw materials as they are

purchased and delivered to FH ATC's facility: Organic growing medium, Organic plant nutrients

and etc.

D. Plants –

a. The plants will remain in inventory until they reach their useful life and are destroyed.

b. Production Plants - Each plant will have a unique identification number and tray assignment.

Each tray with plants will be recorded into crop inventory with the strain and identification

numbers of the plants in each tray. Each tray will have a unique identification number. The tray

will remain in crop inventory until all the plants in the tray are harvested. All plants in a tray will

be harvested at the same time. Upon harvest, the marijuana will be removed from the plant,

weighed and recorded into inventory as described in section below. The residual plants will be

destroyed.

Prepared Material (Marijuana)

a. Harvest - As each plant is harvested, a grower will remove the buds from the plant.

Harvested marijuana (including stems and trimmings) will be weighed on calibrated scales.

Trimmings will be separated and entered into the medicine processing inventory. The marijuana

and trimmings will be placed in tamper-evident containers with bank-rated security zip ties in

increments of 0.25 oz, having information about the Strain, date of harvest, weight and other

necessary information according NJHSS rules and regulations.

Once the marijuana is placed in containers, the Plant Cultivation Manager will re-weigh them to

verify the weight. Upon verification, he/she will enter the containers into the inventory database

and the inventory is physically placed by the officers from the Board of Directors in the vault

(fireproof safe with biometric identification).

b. Disposal of Plant Stock

i. Upon harvest, each tray will must be inspected by the Plant Cultivation Manager to ensure all

useable marijuana has been removed from the plant.

ii. Upon verification by the Plant cultivation Manager that the plants are clean of useable

marijuana, the stocks will be deposited in trash containers located in the disposable room in the

Plant Cultivation facility.

iii. FH ATC will contract with a 3rd party service (Police Department) to have the stocks

securely removed and destroyed (by combustion) at a licensed waste handling facility.

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The Director of Operations will receive a copy of all inventory forms so that an independent

review of the inventory levels can be checked against the Inventory database sales records.

Daily Inventory - All marijuana will be stored in the vault during non-business hours. Each

morning and evening, the prepared marijuana at the Grow Operation and the Dispensary will be

inventoried by two employees (at least 1 being a supervisor (e.g. Plant Cultivation Manager or

Dispensary Manager). Both employees will document and sign an Inventory Tracking form that

will be provided to the General Manager who will do an independent reconciliation of these

physical inventory forms to the Inventory database and sales records. Any discrepancy will be

immediately reported to the Board of Directors. FH ATC will use high-precision scales that will

be calibrated daily. All weights must fall within specific tolerances to ensure there is not

inventory shrinkage or theft. Our inventory tracking system will alert management when weight

fall out of specified tolerances:

Gram must weight 1.03 grams +/- .02 grams

Each 1/4 oz. must weigh 7.10 grams +/- 0.2 grams

Each oz. must weigh 28.55 grams +/- 0.2 grams

All medicine will be dispensed in tamper-evident containers. FH ATC will track the flow of

marijuana utilizing trip tickets (Sales Receipts). A copy of the trip ticket will be provided to the

patient or caregiver to whom the marijuana is furnished. These records will be maintained for a

minimum of six years.

Each container will have a label with the following information:

Name of ATC

Patient ID number

The product (amount and strain)

Time and Date of Origin

Destination of Product

FH ATC Inventory procedures are designed to prevent unlawful activities. In accordance with

NJHSS requirements, prepared materials are inventoried daily by two independent employees.

Additionally, the General Manager will verify the inventory tracking sheets and provide a daily

reconciliation to ensure that all inventory measurements are consistent. Management will

conduct periodic, random audits to ensure there is no unlawful activity.

Area security

Future FH ATC area security procedures include four measures: physical, photographic,

administrative and accounting:

1) Physical security is fully described in Facility Layout in the Criterion 4, 5, Measure 1 and

Measure 2. Physical security will include the construction of a sealed structure (grow room)

inside the original facility structure. The whole perimeter of this structure will be reinforced with

metal cage. It will provide additional security along with increased quality control for growing

the highest grade medical marijuana. Access to the growing facility will require passing through

a man-trap leading to a growing room, storage area and workshop area. All the doors will be

locked and secured at all times. A state-of-the-art security system will be utilized with a

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communication configuration notifying law enforcement officials if a break-in or a robbery

occurs. In addition, the facility will have a storage vault for keeping the inventory, which will be

large enough to contain all inventories for security and quality purposes. The master security

alarm will be connected electronically to local police and fire departments, ADT security, U.S.

Security Associates Inc and to the officers of FH ATC.

Security guards (former police officers) from U. S. Security Associates Inc will work on shifts

on the FH ATC facility. They will be equipped with metal detectors and Travel- Positive security

system.

2) Photographic system will be a digital surveillance system that is installed inside and outside

the facility, which will incorporate the use of infrared security cameras with digital video

recorders. This type of system is the more advanced and allows monitoring what is going on in

the facility even at night. Also the recordable system will allow FH ATC Directors and

monitoring staff of NJHSS to view day-to-day operations of the facility.

3) Administrative surveillance system will incorporate an electronic access control security

system. This system protects assets of FH ATC by allowing only authorized personnel into

sensitive areas. Each authorized employee will have a personal code, allowing him/her to access

critically sensitive areas. This system will restrict employees' movement and serve as another

security measure and additional NJHSS's oversight. For security reasons, FH ATC will limit

access to medical marijuana growing and storage areas to the absolute minimum number of

specifically authorized employees. The Growing facility can only be accessed by 4 persons from

the Board of Directors, Master Grower's consultants and two-three Assistant Growers, total of 8-

9 persons. ADT Select Entry Solution will restrict and manage access to Growing Facility.

4) Accounting system will monitor medical marijuana that is harvested, processed and dispensed.

Managerial, statistical and operational data will be acquired on different strains to determine

their efficiency and also help FH ATC management and NJHSS to conduct performance audits.

FH ATC labeling will have information pertaining the date of cultivation, date of harvest, variety

and type of the product, quality specifications and weight. This data will help for security and

quality control.

The future facility is located in the low criminal area in Secaucus, where a lot of substance

controlled manufacturers are located. FH ATC facility is located only 1 mile away from local

Police department and Fire department. FH ATC security guards' company U.S. Security

Associates Inc. is located in front of the facility!

Packaging and labeling requirements

To maintain freshness, packaging will take place every week. Cannabis ready for dispensing will

be packaged in dark pharmaceutical jars with a limit of weight 1/4 oz., labeled with their

inventory control information and barcode, allowing the ATC to track the finished product back

to each individual plant which produced it for both security and quality control.

FH ATC--plant cultivation will place a legible, firmly affixed label containing the information

specified below on each package of medical marijuana.

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The label required will contain the following:

1) The name and address of FH ATC;

2) The quantity of the medical marijuana contained within the package;

3) The date that the ATC--plant cultivation packaged the content;

4) A sequential serial number, lot number and bar code to identify lot associated with

manufacturing and processing;

5) The cannabinoid profile of the medical marijuana contained within the package, including

THC level not to exceed 10 percent;

6) Whether the medical marijuana is of the low, medium or high strength strain;

7) A statement that the product is for medical use by a qualifying patient and not for

resale; and

8) A list of any other ingredients besides medical marijuana contained within the package of

oral lozenges or lotions.

Labeling shall be clear and truthful in all respects and shall not be false or misleading in any

particular. A label containing any statements about the product other than those specified will

contain the following statement prominently displayed, and in boldface type:

"This statement has not been evaluated by the Food and Drug Administration. This

product is not intended to diagnose, treat, cure, or prevent any disease."

FH ATC proposed label would be submitted to NJHSS for the approval.

Appendix G: Operation Manual: Label Sample on pp. 39-41.

Methods of processing in a safe and sanitary manner

FH ATC will take all serious precautions to ensure that our patients are receiving the purest and

safest cannabis medicine, and lozenges, oils and lotions infused with medical marijuana.

All employees, who access Plant Cultivation facility, have to pass through a clean room and

require washing and changing into clean protective suits, which can also prevent the growing

facility from contamination by bacteria, fungi or insects.

To prevent from contamination, FH ATC developed Quality Control Policies:

1) All processing shall be conducted on a sanitary surface;

2) All weight tools, trays and surfaces shall be sanitized after each use;

3) Laboratory coats shall be worn by processing/packaging staff;

4) Hairnets and beard nets (if necessary) shall be worn whenever inside the Processing and

Packaging room;

5) Cultivation staff will wear single-use shoe coverings and other protective gear in the

growing areas to prevent introduction of contaminants on the clothing/shoes;

6) New gloves shall be worn whenever medicine is being handled (New medicine=New

gloves);

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7) All manufacturing site staff shall be trained in identification and removal of contaminants

on cannabis grown by FH ATC. Contaminated medicine will be subtracted from inventory

and isolated for further analysis, testing and disposal;

8) A magnification device, preferably a digital magnascope, shall be available to identify

contaminants;

9) Cultivation staff will keep thorough daily records concerning growth, treatments applied,

and other information necessary to ensure plants are healthy and medical grade;

10) Animals shall never be allowed inside the grow facility.

FH ATC will have a food safety certified experienced handler, who will be on the kitchen staff.

He/she has to be familiar and demonstrate knowledge of FDA's Food Code to protect consumers'

health. Regular inspections and stringent policies will ensure a safe, standard, healthful range of

products for our clients.

FH ATC Director Ida Umanskaya has a patent in medical marijuana industry .Her patented

method and formulation, developed by a professional laboratory, will provide the safest and most

efficient transcutaneous cannabinoid delivery. It will be FDA registered. FH ATC will buy the

highest density plastic double-wall bottles from NJ Company Ispec Inc.

FH ATC's protocols for production and packaging include rigorous standards for quality control

and testing, batch production records, product release specifications, labeling, ingredients, safe

storage and disposal, and sanitation.

FH ATC will buy packaging from Medical Marijuana Bottles Inc, which is selling FDA

approved bottles, highest possible quality plastic, Odor-free, Water-proof, UV-resistant and even

Child-proof (www.medicalmarijuanabottles.com).

FH ATC will take seriously our obligation to prevent the transmission of food borne illnesses

(through the use of oral lozenges) to all our registered patients, and professionally produce

cannabis-infused products. People, working with Oral Lozenges have to go through tuberculosis

screening.

In the future, FH ATC is expecting to build a small laboratory on its premises which will be

capable of performing cannabinoid and contamination analysis of all our medicine.

As a part of quality control, our system of recordkeeping, which was described earlier, will

permit the identification for purposes of recall of any lot or batch of medical marijuana from

registered qualifying patients when such is found to be unsafe to use. FH ATC Officers hope that

such accidents would never occur in our operation.

FH ATC--plant cultivation shall process marijuana in a safe and sanitary manner to protect

registered qualifying patients from adulterated marijuana and shall process the dried leaves and

flowers of the female Marijuana plant only, which shall be:

1) Well cured and free of seeds and stems;

2) Free of dirt, sand, debris or other foreign matter; and

3) Free of mold, rot or other fungus or bacterial diseases.

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Medical marijuana shall be packaged in a secure area connected to the production area.

A special room for packaging of usable marijuana will be connected to the growing room.

Please, see the floor plan. Packaging process will be handled at least once a week to ensure

freshness and quality of the product in the package.

1) The dried product shall be handled on food grade stainless steel benches (tables).

2) Proper sanitation shall be maintained.

3) Proper rodent/bird exclusion practices shall be employed at all times.

Each package of usable marijuana, at a minimum, shall:

1) Contain no more than 1/4 ounce of marijuana or equivalent dose dependent on form;

2) Bear a label that complies with N.J.A.C. 8:64-10.7;

3) Be in a closed container that holds no more than 1/4 ounce and sealed, so that the package

cannot be opened, and the contents consumed, without the seal being broken.

Once a package is sealed, the ATC shall not open the package except for quality control. Once

the seal is broken at an ATC, the marijuana is deemed unusable.

The ATC will submit the label to MMP for approval and record. The MMP shall provide a copy

of the label to authorized employees of State or law enforcement agencies, as necessary to

perform official duties of that department and that division.

NOTE: OFFICIAL USE ONLY – SECURITY-RELATED INFORMATION – WITHHELD

PURSUANT TO THE NEW JERSEY OPEN PUBLIC RECORDS ACT (OPRA)