Filing 47

First MOTION to Compel by ROBERT STEINBUCH. (Attachments: # 1 Exhibit 1# 2 Exhibit 2# 3 Exhibit 3# 4 Exhibit 4)(Rosen, Jonathan)

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STEINBUCH v. CUTLER Doc. 47 Case 1:05-cv-00970-PLF-JMF Document 47 Filed 09/22/2006 Page 1 of 2 UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLUMBIA __________________________________________ STEINBUCH ) ) Plaintiff, ) ) No. 01:05-CV-00970 (PLF) (JMF) v. ) CUTLER ) ) Defendant. ) __________________________________________) MOTION TO COMPEL Plaintiff moves to compel Defendant to respond to outstanding discovery. Plaintiff served two sets of discovery on Defendant for which responses are already due. Defendant replied with virtually no responses (see attached). The sought discovery is relevant to Plaintiff's case and/or reasonably calculated to lead to same. In order to resolve amicably the issues, Counsel for Plaintiff spoke with Defendant's Counsel who said that he would not respond further. Defendant refuses to provide any discovery regarding persons other than Defendant and any information from after May 18, 2004. This information is discoverable and is being improperly withheld. In addition, Defendant states in his discovery responses that he would provide documents, but later stated that he would only produce one document. Case 1:05-cv-00970-PLF-JMF Document 47 Filed 09/22/2006 Page 2 of 2 Dated: September 22, 2006 Respectfully Submitted, /Jonathan Rosen/ Jonathan Rosen (NY0046) 1645 Lamington Road Bedminster, NJ 07921 (908) 759-1116 Attorney for Plaintiff

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