INFORMATIONAL NOTICE

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1 INFORMATIONAL NOTICE INFORMATIONAL NOTICE CONCERNING THE OCCURRENCE OF THE APPROVAL DATE UNDER THE SETTLEMENT AGREEMENT, DATED JUNE 28, 2011, BETWEEN THE BANK OF NEW YORK MELLON, AS TRUSTEE OR INDENTURE TRUSTEE FOR THE FIVE HUNDRED AND THIRTY (530) COUNTRYWIDE MORTGAGE-BACKED SECURITIZATION TRUSTS LISTED IN EXHIBIT A HERETO (THE SETTLEMENT TRUSTS ), ON THE ONE HAND, AND BANK OF AMERICA CORPORATION, COUNTRYWIDE HOME LOANS, INC., COUNTRYWIDE FINANCIAL CORPORATION, AND BANK OF AMERICA, N.A. (AS SUCCESSOR BY MERGER TO BAC HOME LOANS SERVICING, LP) ON THE OTHER (THE SETTLEMENT AGREEMENT ) 1 THIS INFORMATIONAL NOTICE (THE NOTICE ) CONTAINS IMPORTANT INFORMATION THAT MAY BE OF INTEREST TO THE BENEFICIAL OWNERS OF THE CERTIFICATES OR NOTES (COLLECTIVELY, THE SUBJECT SECURITIES ) ISSUED BY THE SETTLEMENT TRUSTS AND OTHER PERSONS POTENTIALLY INTERESTED IN THE SETTLEMENT TRUSTS Ladies and Gentlemen: Dated: October 13, 2015 This Notice is given by The Bank of New York Mellon (the Trustee ), as trustee or indenture trustee under the Pooling and Servicing Agreements and Indentures and related Sales and Servicing Agreements (collectively, the Governing Agreements ) governing the Settlement Trusts. The purpose of this Notice is to inform the beneficial owners of the Subject Securities and other persons potentially interested in the Settlement Trusts that the requirements of Subparagraphs 2(e) and 2(f) of the Settlement Agreement have been satisfied in full on October 5, 2015 and October 13, 2015, respectively, and that therefore the Approval Date under the Settlement Agreement has occurred on October 13, Subparagraph 2(e) of the Settlement Agreement conditions Final Court Approval on the receipt of certain private letter ruling(s) from the Internal Revenue Service ( IRS ) with respect to the Settlement Trusts and provides that the Trustee shall cause the submission of a request for such private letter ruling(s) to the IRS and use reasonable best efforts to pursue such request. Subparagraph 2(f) of the Settlement Agreement conditions Final Court Approval on the receipt, at the Trustee s request, of an opinion of Trustee tax counsel with respect to certain states concerning the same matters that would be covered by the requested private letter ruling(s). 1 Capitalized terms used but not defined in this Notice shall have the meanings ascribed to them in the Settlement Agreement.

2 In a prior informational notice, dated June 29, 2015 (the June 2015 Informational Notice ), the Trustee informed the beneficial owners of the Subject Securities and other persons potentially interested in the Settlement Trusts that on April 8, 2015, the Trustee submitted to the IRS a request for private letter ruling(s) under Sections 860A-860G of the Internal Revenue Code of 1986, as amended (the Code ) with respect to the Settlement Agreement (the Private Ruling Request ). The Trustee further informed the beneficial owners of the Subject Securities and other persons potentially interested in the Settlement Trusts that the Trustee expected delivery of the opinions contemplated under Subparagraph 2(f) of the Settlement Agreement shortly after the issuance by the IRS of the private letter ruling(s) requested in the Private Ruling Request. The Trustee hereby provides notice that on October 5, 2015, Trustee s tax counsel received, on behalf of Trustee, a private letter ruling from the IRS (PLR ) that satisfies the requirements of Subparagraph 2(e) of the Settlement Agreement in all respects (the Private Letter Ruling ). A copy of the Private Letter Ruling is attached as Exhibit B hereto. The Trustee hereby provides further notice that on October 13, 2015, the Trustee received opinions from Trustee tax counsel (the Tax Opinions ) that satisfy the requirements of Subparagraph 2(f) of the Settlement Agreement in all respects. As a result of the foregoing, the Approval Date under the Settlement Agreement has occurred on October 13, Accordingly, among other things, (i) the servicing improvements set out in Subparagraph 5(c) of the Settlement Agreement and the reporting and attestation obligations set out in Subparagraph 5(f) of the Settlement Agreement are now in effect; (ii) pursuant to Subparagraph 3(c)(iv) of the Settlement Agreement, the Expert is required to calculate the Allocable Share of each Settlement Trust within ninety (90) days of October 13, 2015, and (iii) pursuant to Subparagraph 3(a) of the Settlement Agreement, Bank of America and/or Countrywide are required to pay the Settlement Payment or cause the Settlement Payment to be paid in accordance with Subparagraph 3(b) of the Settlement Agreement within one-hundred and twenty (120) days of October 13, The Trustee expects to provide one or more additional informational notices (x) after the Expert determines the Allocable Share of each Settlement Trust in accordance with Subparagraph 3(c) of the Settlement Agreement and (y) after Countrywide and/or Bank of America inform the Trustee of the date on which the Settlement Payment will be paid in accordance with Subparagraph 3(b) of the Settlement Agreement (at which time the Trustee expects to also give notice concerning the applicable distribution date on which the Settlement Trusts Allocable Shares will be distributed to Investors in accordance with Subparagraph 3(d) of the Settlement Agreement). This Notice is not intended to be and should not be construed as investment, accounting, financial, legal or tax advice by or on behalf of the Trustee, or its directors, officers, affiliates, agents, attorneys or employees. Each person receiving this Notice is urged to carefully review the Notice and should seek the advice of its own advisors in respect of the matters set forth herein.

3 If you have any questions regarding this Notice, please contact the Trustee by at or by telephone at (866) or (614) THE BANK OF NEW YORK MELLON, as Trustee for the Settlement Trusts

4 EXHIBIT A LIST OF SETTLEMENT TRUSTS 1. CWALT CB 50. CWALT CB 99. WALT CB 2. CWALT CB 51. CWALT CB 100. CWALT CWALT CB 52. CWALT CWALT CB 4. CWALT T2 53. CWALT CB 102. CWALT CWALT CWALT CB 103. CWALT CB 6. CWALT CB 55. CWALT T CWALT CB 7. CWALT CB 56. CWALT CB 105. CWALT CWALT CB 57. CWALT CWALT CWALT T1 58. CWALT T CWALT CB 10. CWALT CB 59. CWALT CB 108. CWALT T1 11. CWALT CB 60. CWALT CWALT CB 12. CWALT CB 61. CWALT CB 110. CWALT CWALT T1 62. CWALT CB 111. CWALT T1 14. CWALT CB 63. CWALT CB 112. CWALT CB 15. CWALT CB 64. CWALT CWALT CB 16. CWALT CB 65. CWALT T CWALT CB 17. CWALT CB 66. CWALT CB 115. CWALT CWALT CB 67. CWALT CB 116. CWALT CWALT CB 68. CWALT CB 117. CWALT CB 20. CWALT CWALT CWALT CWALT T1 70. CWALT T CWALT CB 22. CWALT T2 71. CWALT CWALT CB 23. CWALT CB 72. CWALT CB 121. CWALT CB 24. CWALT T1 73. CWALT CWALT 2005-AR1 25. CWALT CB 74. CWALT CB 123. CWALT 2005-IM1 26. CWALT CB 75. CWALT CWALT 2005-J1 27. CWALT CB 76. CWALT CB 125. CWALT 2005-J CWALT T1 77. CWALT CWALT 2005-J CWALT CB 78. CWALT CWALT 2005-J CWALT T1 79. CWALT CWALT 2005-J CWALT 2004-J CWALT CB 129. CWALT 2005-J CWALT 2004-J CWALT CB 130. CWALT 2005-J2 33. CWALT 2004-J CWALT T CWALT 2005-J3 34. CWALT 2004-J CWALT CB 132. CWALT 2005-J4 35. CWALT 2004-J2 84. CWALT CB 133. CWALT 2005-J5 36. CWALT 2004-J3 85. CWALT CWALT 2005-J6 37. CWALT 2004-J4 86. CWALT CB 135. CWALT 2005-J7 38. CWALT 2004-J5 87. CWALT T CWALT 2005-J8 39. CWALT 2004-J6 88. CWALT CB 137. CWALT 2005-J9 40. CWALT 2004-J7 89. CWALT CB 138. CWALT CB 41. CWALT 2004-J8 90. CWALT CWALT CB 42. CWALT 2004-J9 91. CWALT CB 140. CWALT T1 43. CWALT CB 92. CWALT CWALT CB 44. CWALT CB 93. CWALT CWALT CB 45. CWALT CB 94. CWALT T CWALT CB 46. CWALT CWALT CWALT T1 47. CWALT CWALT CWALT CB 48. CWALT CWALT CWALT CB 49. CWALT CB 98. CWALT CB 147. CWALT CB A-1

5 148. CWALT CB 197. CWALT 2006-OA CWALT 2007-HY CWALT CB 1998 CWALT 2006-OA CWALT 2007-HY CWALT CB 199. CWALT 2006-OA CWALT 2007-HY7C 151. CWALT CB 200. CWALT 2006-OA CWALT 2007-HY8C 152. CWALT CB 201. CWALT 2006-OA CWALT 2007-HY CWALT CB 202. CWALT 2006-OA CWALT 2007-J CWALT CB 203. CWALT 2006-OA CWALT 2007-J CWALT T CWALT 2006-OA CWALT 2007-OA CWALT CB 205. CWALT 2006-OA CWALT 2007-OA CWALT T CWALT 2006-OA CWALT 2007-OA CWALT CB 207. CWALT 2006-OC CWALT 2007-OA CWALT CB 208. CWALT 2006-OC CWALT 2007-OA CWALT CB 209. CWALT 2006-OC CWALT 2007-OA CWALT CWALT 2006-OC CWALT 2007-OA CWALT CB 211. CWALT 2006-OC CWALT 2007-OA CWALT T CWALT 2006-OC CWALT 2007-OA CWALT CB 213. CWALT 2006-OC CWALT 2007-OH CWALT T CWALT 2006-OC CWALT 2007-OH CWALT CB 215. CWALT 2006-OC CWALT 2007-OH CWALT CWALT 2006-OC CWHEL 2006-A 168. CWALT CB 217. CWALT 2006-OC CWHEL 2007-G 169. CWALT T CWALT CB 267. CWHL CWALT CWALT T CWHL CWALT CB 220. CWALT T CWHL CWALT T CWALT CWHL CWALT CB 222. CWALT T CWHL CWALT CB 223. CWALT CB 272. CWHL CWALT T CWALT CB 273. CWHL CWALT T CWALT CB 274. CWHL CWALT 2006-HY CWALT CB 275. CWHL CWALT 2006-HY CWALT CWHL CWALT 2006-HY CWALT T CWHL CWALT 2006-HY CWALT CWHL CWALT 2006-HY CWALT CB 279. CWHL CWALT 2006-J CWALT CWHL CWALT 2006-J CWALT CB 281. CWHL CWALT 2006-J CWALT CWHL CWALT 2006-J CWALT CWHL CWALT 2006-J CWALT CB 284. CWHL CWALT 2006-J CWALT T CWHL CWALT 2006-J CWALT CB 286. CWHL CWALT 2006-J CWALT CB 287. CWHL CWALT 2006-OA CWALT CWHL CWALT 2006-OA CWALT T CWHL CWALT 2006-OA CWALT CB 290. CWHL CWALT 2006-OA CWALT T CWHL 2004-HYB CWALT 2006-OA CWALT 2007-AL CWHL 2004-HYB CWALT 2006-OA CWALT 2007-HY CWHL 2004-HYB CWALT 2006-OA CWALT 2007-HY CWHL 2004-HYB4 A-2

6 295. CWHL 2004-HYB CWHL 2005-HYB CWHL CWHL 2004-HYB CWHL 2005-J CWHL CWHL 2004-HYB CWHL 2005-J CWHL CWHL 2004-HYB CWHL 2005-J CWHL CWHL 2004-HYB CWHL 2005-J CWHL CWHL 2004-J CWHL CWHL CWHL 2004-J CWHL CWHL 2007-HY CWHL 2004-J CWHL CWHL 2007-HY CWHL 2004-J CWHL CWHL 2007-HY CWHL 2004-J CWHL CWHL 2007-HY CWHL 2004-J CWHL CWHL 2007-HY CWHL 2004-J CWHL CWHL 2007-HY CWHL 2004-J CWHL CWHL 2007-HYB CWHL CWHL CWHL 2007-HYB CWHL CWHL CWHL 2007-J CWHL CWHL CWHL 2007-J CWHL CWHL CWHL 2007-J CWHL CWHL CWHL CWHL CWHL CWL CWHL CWHL CWL CWHL CWHL CWL CWHL CWHL CWL CWHL CWHL 2006-HYB CWL CWHL CWHL 2006-HYB CWL CWHL CWHL 2006-HYB CWL CWHL CWHL 2006-HYB4 418 CWL CWHL CWHL 2006-HYB CWL CWHL CWHL 2006-J CWL CWHL CWHL 2006-J CWL CWHL CWHL 2006-J CWL CWHL CWHL 2006-J CWL CWHL CWHL 2006-OA CWL CWHL CWHL 2006-OA CWL CWHL CWHL 2006-TM CWL 2004-AB CWHL CWHL CWL 2004-AB CWHL CWHL CWL 2004-BC CWHL CWHL CWL 2004-BC CWHL CWHL CWL 2004-BC CWHL CWHL CWL 2004-BC CWHL CWHL CWL 2004-ECC CWHL CWHL CWL 2004-ECC CWHL 2005-HYB CWHL CWL 2004-S CWHL 2005-HYB CWHL CWL 2004-SD CWHL 2005-HYB CWHL CWL 2004-SD CWHL 2005-HYB CWHL CWL 2004-SD CWHL 2005-HYB CWHL CWL CWHL 2005-HYB CWHL CWL CWHL 2005-HYB CWHL CWL CWHL 2005-HYB CWHL CWL A-3

7 442. CWL CWL CWL CWL CWL CWL CWL CWL CWL CWL CWL CWL CWL CWL CWL CWL 2006-ABC CWL CWL 2006-BC CWL CWL 2006-BC CWL CWL 2006-BC CWL CWL 2006-BC CWL CWL 2006-BC CWL 2005-AB CWL 2006-IM CWL 2005-AB CWL 2006-QH CWL 2005-AB CWL 2006-SD CWL 2005-AB CWL 2006-SD CWL 2005-AB CWL 2006-SD CWL 2005-BC CWL 2006-SD CWL 2005-BC CWL 2006-SPS CWL 2005-BC CWL 2006-SPS CWL 2005-BC CWL CWL 2005-BC CWL CWL 2005-HYB CWL CWL 2005-IM CWL CWL 2005-IM CWL CWL 2005-IM CWL CWL 2005-SD CWL CWL 2005-SD CWL CWL 2005-SD CWL CWL CWL CWL CWL CWL CWL CWL CWL CWL CWL 2007-BC CWL CWL 2007-BC CWL CWL 2007-BC CWL CWL 2007-SD CWL CWL 2007-SEA CWL CWL 2007-SEA CWL CWL CWL CWL CWL CWL CWL CWL CWL A-4

8 EXHIBIT B PRIVATE LETTER RULING [Attached] B

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Petitioner, The undersigned certificateholders (the Undersigned ) jointly move for the entry of

Petitioner, The undersigned certificateholders (the Undersigned ) jointly move for the entry of SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK In the Matter of the Application of THE BANK OF NEW YORK MELLON, in its Capacity as Trustee or Indenture Trustee of 530 Countrywide Residential

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