Transcription of Ex. A: Plaintiffs' Rule 26(a)(1) initial disclosures
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EXHIBIT ACase 4:07-cv-40098-FDS Document 37-2 Filed 12/14/2007 Page 1 of 39 Case 4:07-cv-40098-FDS Document 37-2 Filed 12/14/2007 Page 2 of 39 Case 4:07-cv-40098-FDS Document 37-2 Filed 12/14/2007 Page 3 of 39 Case 4:07-cv-40098-FDS Document 37-2 Filed 12/14/2007 Page 4 of 39 Case 4:07-cv-40098-FDS Document 37-2 Filed 12/14/2007 Page 5 of 39 Case 4:07-cv-40098-FDS Document 37-2 Filed 12/14/2007 Page 6 of 39 Case 4:07-cv-40098-FDS Document 37-2 Filed 12/14/2007 Page 7 of 39 Case 4:07-cv-40098-FDS Document 37-2 Filed 12/14/2007 Page 8 of 39 EXHIBIT BCase 4:07-cv-40098-FDS Document 37-2 Filed 12/14/2007 Page 9 of 39 Laird J. Heal, Esq. attorney at Law Admitted to practice in Massachusetts, New Hampshire and Illinois John P.
August 8, 2007 Page 3 Finally, your practice of sending communication related to this case only to attorneys at the Fierst, Pucci &Kane offices-when you know full well Plaintiffs are also represented by attorneys with Siegel, Brill, Greupner, Duffy &Foster-is unacceptable.In the future, it is expected that all Icounsel for Plaintiffs, whose names have all been previously made available to
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