In Re:, Inc., Marketing and Sales Practices Litigation

Filing 36

Attachment 1
DECLARATION re 35 Opposition to Motion for Sanctions by Joe W. Kuefler. (Attachments: # 1 Exhibit A# 2 Exhibit B)(Abaid, Kim)

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In Re:, Inc., Marketing and Sales Practices Litigation Doc. 36 Att. 1 Case 1:07-md-01820-JLT LERACH Document 36-2 Filed 03/05/2007 Page 1 of 1 _STOEILA R G LE Stuart A. Davidson COUGHLIN RUDMA SAN DIEGO' SAN FRANCISCO LOS ANGELES. NEW YORK, BOCA RATON WASHINGTON, DC, HOUSTON ~~ ROBBINS LLP PHIUDELPHIA'SEATTLE sdavidsonlllerachlaw. com February 1, 2007 VIA FACSIMILE NO. (860) 275 0343 Beth Alquist Day Pitney LLP CityPlace I Hartford, CT 06103 Re: Kuefler v. Webloyalty, et al. Case No. 06 CA 11620 JL T (D. Mass.) Dear Beth: As we discussed this morning, in light of an error by us, having prematurely served the subpoena on the Connecticut Better Business Bureau ("BBB"), we are requesting thatthe BBB abate the production of any documents in response to the subpoena until further notice from us. We will either resolve any issues relating to the BBB subpoena with defense counsel now, or will address them with the Court atthe appropriate time. In any event, we expect that we will be in a position to reach out to you within the next few weeks. Thank you for your attention to this matter. If you have any questions, please do not hesitate to give me a call, or you can speak directly with David George. Best regards. SAD:jd cc: David J. George Andrew Garcia 1:\Webloyalty (General)\Corres\Alquist 020t07.doc 120 Eat Paletto Park Road, Suite 500 . Boca Raton, Flonda 33432-4809 . 561.750.3000 . Fax 561.750.3364 . (~202 .~11

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