Corbacho Daudinot v. Puig Valdes et al
Filing
54
RESPONSE in Opposition re 52 Defendant's MOTION for Sanctions under Rule 37 filed by MIGUEL ANGEL CORBACHO DAUDINOT. (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D, # 5 Exhibit E, # 6 Exhibit F, # 7 Exhibit G, # 8 Exhibit H, # 9 Exhibit I, # 10 Exhibit J, # 11 Exhibit K, # 12 Exhibit L)(Bravo, Kenia)
Exhibit A
secretary
From:
Sent:
To:
Cc:
Subject:
Attachments:
Sean Santini [ssantini@santinilawfirm.com]
Wednesday, June 25, 2014 5:23 PM
Kenia Bravo; avelinogonzalez@bellsouth.net
Santini Law Firm
Corbacho v. Puig
14-05-12-Notice of Taking Deposition of Plaintiff Corbacho 8-7-14.pdf
Hello, Kenia. Please see the attached notice for the taking of your client’s
deposition. I’ve noticed the deposition for August 7, but I’m obviously willing
to work with you on dates that make sense for both of us. Let me know,
please. Also, please let me know whether I’ll need to arrange for an
interpreter.
Regards,
Sean
Sean R. Santini
SantiniLaw
1001 Brickell Bay Drive
Suite 2650
Miami, FL 33131
305.372.7307 (direct)
305.372.7308 (fax)
305.790.7660 (cell)
ssantini@santinilawfirm.com
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IN THE UNITED STATES DISTRICT COURT
FOR THE SOUTHERN DISTRICT OF FLORIDA
MIAMI DIVISION
CASE NO.: 1:13-cv-22589-KMW
MIGUEL ANGEL CORBACHO
DAUDINOT
Plaintiff,
v.
YASIEL PUIG VALDES a/k/a
YASIEL PUIG and MARITZA
VALDES GONZALEZ,
Defendants.
__________________________/
NOTICE OF TAKING DEPOSITION
To:
Avelino J. Gonzalez
Kenia Bravo
Avelino J. Gonzalez, P.A.
6780 Coral Way
Miami, FL 33155
Networking Reporting
44 W. Flagler St., Suite 1200
Miami, FL 33130
PLEASE TAKE NOTICE that, pursuant to Federal Rule of Civil Procedure 30,
defendants, by and through their undersigned attorneys, will take the deposition upon
oral examination of plaintiff, Miguel Angel Corbacho Daudinot.
The deposition will commence at 10:00 a.m. on August 7, 2014, take place at the
offices of Santini Law, 1001 Brickell Bay Drive, Suite 2650, Miami Florida 33131, and
will continue day to day until completed.
The deposition will be recorded
stenographically before a notary public or other officer authorized to administer oaths
and is being taken for the purpose of discovery, for use at hearing, for trial, or for such
other purposes as are permitted under the applicable and governing rules.
In accordance with the Americans with Disabilities Act, individuals who have a
disability which may need accommodation should contact Sean R. Santini seven days
prior to the deposition.
Dated this 25th day of June, 2010
Respectfully submitted,
SANTINI LAW
1001 Brickell Bay Drive
Suite 2650
Miami, Florida 33131
Tel: (305) 372-7307
Fax: (305) 372-7308
ssantini@santinilawfirm.com
By: /s/ Sean R. Santini
Sean R. Santini
Florida Bar No. 832898
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CERTIFICATE OF SERVICE
I hereby certify that on this 25th day of June, 2014 a true and correct copy of the
foregoing was served on all counsel of record identified on the attached Service List, in
the manner specified.
/s/ Sean R. Santini
Sean R. Santini
SERVICE LIST
Kenia Bravo
avelinogonzalez2@bellsouth.net
Avelino J. Gonzalez, P.A.
6780 Coral Way
Miami, FL 33155
Avelino Jose Gonzalez
avelinogonzalez@bellsouth.net
Avelino J. Gonzalez, P.A.
6780 Coral Way
Miami, FL 33155
Via Email and U.S. Mail
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