https://drive.google.com/file/d/0B8Prk1VqEFwgcXNPMGpnMHFvRUk/view
↑これのテキストおこしと、その日本語訳のたたき台↑
(注)あくまでたたき台なので、精度は非常に悪いです。
39.R3 did not tell "Ripple" - before the Agreements were signed - that R3 intended to spend the next several months focusing on R3's own fundraising, not working towards the Commercial Partnership with "Ripple".But almost immediately after signing the Agreements, R3 began, at various levels of the organization, to beg off on putting any meaningful effort towards the Commercial Partnership.
R3's fundraise would ultimately last almost a year, and even thereafter, R3 would dedicate no time or attention towards making the Commercial Partnership with "Ripple" a reality.Had "Ripple" known this before R3 induced "Ripple" to sign the Agreements, "Ripple" never would have entered into the Agreements.
40.By October 2016, clearly after the conclusion of Project Xenon, R3 had still never engaged on completing a term sheet despite "Ripple"'s frequent reminders.
In response to a modest request from "Ripple" to announce that "following the successful completion of the pilot Project Xenon), R3 and "Ripple" are in talks to commercialize this offering for R3 banks," Mr.Wan demurred.
He concluded in an October 12, 2016 email to "Ripple", "Upon mulling this over, I think the words imply a very strong phase 3 that we have not yet discussed with the members' - a far cry from R3's confident assurances before the TPA and Option were executed.
"Ripple" tried repeatedly to spur R3 to action, providing its own structure of the draft term sheet for the Commercial Partnership to R3.
R3 failed to engage in good faith.
41.R3's technical higher-ups were not the only ones "too busy" to work towards the Commercial Partnership.
In November 2016, "Ripple" CEO Brad Garlinghouse contacted R3 CEO David Rutter, to press for advancement of efforts on the Commercial Partnership.
Mr.Garlinghouse reminded Mr.Rutter that the consideration for the TPA, the Option, had real value.Using the Option as encouragement for action-for R3 to make good on its promises-"Ripple" once again asked R3 to engage on its obligations related to the Commercial Partnership.
42.R3 and Mr.Rutter responded to "Ripple" days later, saying that R3 simply did not have the time to make efforts on the Commercial Partnership at that point.
Mr.Rutter wrote as follows: "Brad I really like you guys and I have been clear about that.
Love to see you win the payments space and even better I would love to be involved in that journey.
BUT I am personally being crushed by a ridiculously complicated funding round
43.Mr.Rutter's response mirrored that of R3 writ large.
Like its CEO, R3 directed its efforts and energy elsewhere, and simply ignored its obligations to negotiate in good faith with "Ripple" towards a Commercial Partnership.
Had "Ripple" been put on notice that R3 would be focusing its energies in direction other than "Ripple" immediately following signing of the TPA and Option, "Ripple" never would have signed either Agreement.
R3 gave no such inkling to "Ripple" before inducing "Ripple" to sign the Agreements; indeed, R3 suggested just the opposite to induce R3 to move forward with the Agreements.
R3 led "Ripple" to believe that R3 would be an eager and engaged business partner trying to help "Ripple" succeed.
結局のところ、R3のグローバル銀行機関への「アクセス」の約束は、R3と契約したRippleの主な理由でした。