Regarding IH's request to file Amendment 4 and exhibits
I didn't see any records from Florida Power and Light, and there is no explicit reference in their motion (124), so I'm not sure how they are arguing this. Perhaps IH is not required to include this evidence in the filing? I find that strange, though.
Regarding Fabiani's contract, it's in 124-29. It has a glaring typo! On page 6, you can see that the "Duration of the Agreement" is from "September 1, 2015 and shall continue in effect for an initial term through and including March 31, 2015"
Oops! Perhaps the E-Cat also doubles as a Time Machine inverter!
IH essentially argues estoppel and provides evidence that both parties understood it to meant March 31, 2016 by providing the email from Fabiani in document 124-30, where Fabiani states:
In according to the agreements made with Mr. Tom [Darden], my contract to monitor E-Cat plant in Miami is set to expire on 31 March 2,016.[sic]