474 723 FEDERAL SUPPLEMENT, 2d SERIES the following claims enumerated in plaintiffs’ Complaint: 1. first claim for relief (for damages under 28 U.S.C. § 1605A(c)); namely, that defendants provided material support and resources which caused and facilitated the Lod Airport Attack; 2. fourth claim for relief; namely, that defendants’ behavior (a) was intended to and did in fact terrorize Hilda and cause her severe emotional distress, (b) was willful, outrageous, egregious, and dangerous to human life, and violated applicable criminal law, all international standards of civilized human conduct and common decency, and (c) was outrageous in the extreme, wanton, willful and malicious, and constituted a threat to the public at large, warranting an award of punitive damages; 3. fifth claim for relief; namely, (a) that the murder of Carmelo by the JRA caused Hilda to be deprived of the services, society and solatium of her deceased father, and to suffer severe mental anguish, bereavement and grief, and injury to her feelings, and (b) that defendants’ conduct as specified here was outrageous in the extreme, wanton, willful and malicious, and constituted a threat to the public at large, and therefore Hilda is entitled to an award of punitive damages against defendants; 4. eighth claim for relief; namely, that defendants knowingly and willingly conspired, planned and agreed to sponsor and provide material support and resources for the commission of acts of extrajudicial killing by terrorist organizations, including the attack at the airport in which Carmelo was killed, and as a result and by reason of the death of Carmelo, which was caused by defendants’ conspiracy described here, Hilda suffered the damages enumerated here; and 5. ninth claim for relief; namely, that defendants knowingly and willingly carried out tortious acts in concert with others pursuant to a common design, which resulted in extrajudicial killings by terrorist organizations, including the Lod Airport Attack at the airport in which Carmelo was killed and, as a result and by reason of the death of Carmelo, which was caused by defendants’ aiding and abetting described here, Hilda suffered the damages enumerated here. The analysis detailed above regarding awards to direct terror victims and relatives of victims is applicable to Hilda. Like the rest of her family, Hilda has been harmed on many levels by the Lod Airport Attack. She lost a loving and devoted father, witnessed her mother become permanently depressed and disabled, suffers the trauma of the JRA’s murder of her father, and endures the daily disruption to her family life and her relationship with her parents and siblings. Accordingly, Hilda is awarded $5,000,000 as compensatory damages. Defendants are jointly and severally liable for the full amount of Hilda’s compensatory damages. H. Salvador Calderon–Martinez Salvador Calderon–Martinez (‘‘Salvador’’) is a citizen of the United States (Exhibit No. 38) and resides in Puerto Rico. From the time of his father’s death, Salvador experienced emotional pain and suffering, loss of his father’s society, companionship, comfort, advice and counsel and has suffered severe mental anguish and extreme emotional distress. Salvador is the oldest of three children from Carmelo’s first marriage. (Trial Transcript, Dec. 3, 2009, p. 62, ln. 7–8) Salvador could not testify at trial because he is 95 years old, is a diabetic with high blood pressure and a weak heart, and therefore does not leave home anymore. (Trial Transcript, Dec. 3, 2009, p. 141, ln. 17–21) Salvador stated in a written declaration executed in November 2007 (Exhibit No.

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