Great Lakes Exploration Group LLC v. Unidentified Wrecked and (For Salvage-Right Purposes), Abandoned Sailing Vessel, The

Filing 131

STATUS REPORT on discovery and motions submitted for filing by plaintiff Great Lakes Exploration Group LLC (Attachments: # 1 Attachment - supplemental interrogatories to claimants, # 2 Attachment - supplemental requests for production of documents to claimants)(Robol, Richard) Modified text on 12/15/2008 (gjf).

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IN THE UNITED STATES DISTRICT COURT FOR THE WESTERN DISTRICT OF MICHIGAN Northern Division GREAT LAKES EXPLORATION GROUP LLC Plaintiff, v. The Unidentified, Wrecked and (For Salvage Right Purposes), Abandoned Sailing Vessel, etc. Defendant, et al. ) ) ) ) Civil Action No. 1:04-CV-375 ) ) HON. ROBERT HOLMES BELL ) ) PLAINTIFF GREAT LAKES EXPLORATION'S SUPPLEMENTA L REQUESTS FOR PRODUCTION OF DOCUMENTS TO CLAIMANTS P ursuant to Fed. R. Civ. P. 34, P laintiff Great Lakes Exploration, LLC, by counsel, requests that Claimants produce the following documents 1 within thirty (30) days of the service hereof at the office of counsel for Plaintiff, 433 West Sixth Avenue, Columbus, OH 43201 : 1. A copy of all data compiled, including, without limitation, all anomalies identified and the measurements of each anamoly, on each voyage identified in your Answers to Plaintiff's Supplemental Interrogatories. 2. 3. A copy of all rough and smooth logs for each such voyage. A copy of all photographs, videotapes, images, side scan sonar images, readings survey readings and data, documents and records of any nature compiled regarding the Defendant. 4. A copy of all photographs, videotapes, images, documents and records of any nature compile d during the voyage. 1 / The Instructions and Definitions in Plaintiff's Supplemental Interrogatories are incorporated herein by reference. 5. A copy of all archaeological and other data compiled during the analysis of the site conducted by any Claimant. 6. A list of all entities participating in any voyage to the site of the in rem Defendant at any time in 2008. Respectfu lly submitted, /s/ Richard T. Robol Richard T. Robol (0064345) ROBOL LAW OFFICE, LLC 433 West Sixth Avenue Columbus, Ohio 43201 (614) 737-3739 (614) 737-3756 (Facsimile) Attorneys for Plaintiff Great Lakes Exploration, LLC CERTIFICATE OF SERVICE I hereby certify that on this 13 day of November, 2008, a copy of the foregoing was served by electronic mail upon counsel for Claimants and by regular mail, U.S., postage prepaid. /s/ Richard T. Robol Of Counsel th 2

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