Schoolcraft v. The City Of New York et al
Filing
625
DECLARATION of Reply Declaration of Joshua Fitch in Support re: 559 MOTION for Attorney Fees , Costs and Disbursements.. Document filed by Adrian Schoolcraft. (Attachments: # 1 Exhibit Ex. A - note from Kin mar Lwin, # 2 Exhibit Ex. B - Portions of Patel Deposition, # 3 Exhibit Ex. C - Portions of Bernier Deposition, # 4 Exhibit Ex. D - note from Khuso Tariq, # 5 Exhibit Ex. E - Portions of Lwin Deposition, # 6 Exhibit Ex. F - Report of Frank Dowling, # 7 Exhibit Ex. G - Report of Tancredi, # 8 Exhibit Ex. H - Report of Levy, # 9 Exhibit Ex. I - Report of Lubit, # 10 Exhibit Ex. J - Portion of Sawyer Deposition, # 11 Exhibit Ex. K - Section of Hospital Chart, # 12 Exhibit Ex L - Section of Hospital Chart, # 13 Exhibit Ex. M - Sgt. Chu Summary, # 14 Exhibit Ex. N - Sgt. Chu Interview, # 15 Exhibit Ex. O - Portion of Isakov JPTO, # 16 Exhibit Ex. P - Portions of Lamstein Deposition, # 17 Exhibit Ex. Q - Various Emails to and from defense counsel (redacted), # 18 Exhibit Ex. R - Various Emails (redacted), # 19 Exhibit Ex. S - Paid invoices)(Fitch, Joshua)
4/28/2016
Cohen & Fitch LLP Mail Schoolcraft Info For Retainer
Gerald Cohen
Schoolcraft Info For Retainer
3 messages
NORINSBERG@aol.com
To: gcohen@cohenfitch.com
Fri, Jun 25, 2010 at 12:30 PM
CLAIMANT’S NAME: ADRIAN P. SCHOOLCRAFT TELEPHONE. #: (718) 570‑6224
STREET ADDRESS: 16 North East Avenue, Apartment J‑58
CITY: JOHNSTOWN STATE: NEW YORK ZIP: 12095
Gerald Cohen
To: NORINSBERG@aol.com
Fri, Jun 25, 2010 at 1:07 PM
Here is the retainer agreement.
[Quoted text hidden]
Gerald M. Cohen
Cohen & Fitch LLP
225 Broadway, Suite 2700
New York, New York 10007
Tel: 212.374.9115
Fax: 212.406.6890
www.cohenfitch.com
This message, including any attached files, is intended only for the individual(s) to whom it is addressed or
agent(s) responsible for its delivery to the intended recipient(s). The information contained herein may be
confidential and/or protected by privilege from disclosure. If you are not the intended recipient, please notify the
sender immediately. Thank you.
Retainer Agreement.doc
48K
Gerald Cohen
To: NORINSBERG@aol.com
Fri, Jun 25, 2010 at 1:12 PM
Ignore the last one I had wrong address for place of occurence. Here is an updated one.
On Fri, Jun 25, 2010 at 12:30 PM, wrote:
[Quoted text hidden]
[Quoted text hidden]
Retainer Agreement.doc
48K
https://mail.google.com/mail/u/0/?ui=2&ik=e8b787170f&view=pt&as_has=schoolcraft&as_sizeoperator=s_sl&as_sizeunit=s_smb&as_subset=all&as_date=Jun…
1/1
4/28/2016
Cohen & Fitch LLP Mail SCHOOLCRAFT PBA RECORDS
Gerald Cohen
SCHOOLCRAFT PBA RECORDS
1 message
Nicole Bursztyn
To: Gerald Cohen
Cc: Joshua Fitch
Fri, Jun 25, 2010 at 4:50 PM
As promised!
Nicole Bursztyn
Law Offices of Jon L. Norinsberg, Esq.
2127915396
PBA CONTRACT.pdf
2709K
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1/1
4/28/2016
Cohen & Fitch LLP Mail SCHOOLCRAFT MEDICAL RECORDS
Gerald Cohen
SCHOOLCRAFT MEDICAL RECORDS
1 message
Nicole Bursztyn
To: Gerald Cohen
Cc: Joshua Fitch
Fri, Jun 25, 2010 at 4:51 PM
Nicole Bursztyn
Law Offices of Jon L. Norinsberg, Esq.
2127915396
MEDICAL RECORDS.pdf
19116K
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1/1
4/28/2016
Cohen & Fitch LLP Mail Re: Disciplinary Records for Marino & Mauriello.
Gerald Cohen
Re: Disciplinary Records for Marino & Mauriello.
4 messages
NORINSBERG@aol.com
To: natbsmith@gmail.com
Cc: gcohen@cohenfitch.com
Wed, Mar 11, 2015 at 1:04 PM
Nat,
If at all possible, can you please bring to the meeting tomorrow the materials that you refer to below (in bold)?
Thanks so much.
Best,
Jon
In a message dated 2/24/2015 3:54:19 P.M. Eastern Daylight Time, natbsmith@gmail.com writes:
Jon, I will dig into this. We did get some, but not all, of these materials. For example, we got a
report from the NYPD Dep Comm of Trials on Marino's steroid use, but not his testimony from the
trial; the one document I know we got on the Mauriello CCRB issue was the letter of reprimand that I
showed him at this deposition; I will check the file for anything else, but don't call much; we did get
authorizations and records for Mauriello's mental health issues and I will did that out. Nat
PS: Mer is almost done with the IAB/PG recordings.
From:
Date: Tue, 24 Feb 2015 10:17:47 ‐0500
To: Nat Smith
Cc:
Subject: Disciplinary Records for Marino & Mauriello.
Nat,
It was great to meet with you and your team on Friday. I think we are largely on the same page on our
approach to this trial. For those issues that we are not on the same page, we can definitely revisit
these matters as we get closer to trial.
In the meantime:
I am starting to work on the crossexaminations for Lauterborn, Mauriello and Marino. Towards that
end, I am wondering if we ever obtained during discovery any of the following (if we did not, that's fine
... I just want to know):
1. Transcript from Dept Advocates Trial and/or disciplinary records re: Marino's steroid use allegations;
2. Disciplinary file for Mauriello's improper contacting of CCRB in 2008, which resulted in a reprimand
from IAB.
3. Medical records from Mauriello supporting his alleged "mental health" damages from Schoolcraft's
https://mail.google.com/mail/u/0/?ui=2&ik=e8b787170f&view=pt&as_has=schoolcraft&as_sizeoperator=s_sl&as_sizeunit=s_smb&as_subset=all&as_date=mar… 1/6
4/28/2016
Cohen & Fitch LLP Mail Re: Disciplinary Records for Marino & Mauriello.
actions.
If you have any of these records, can you please forward them to me?
Thanks so much.
Best,
Jon
Nat Smith
To: NORINSBERG@aol.com
Cc: gcohen@cohenfitch.com
Wed, Mar 11, 2015 at 1:07 PM
Sure but nothing identified as bold.
From:
Date: Wed, 11 Mar 2015 13:04:16 ‐0400
To: Nat Smith
Cc:
Subject: Re: Disciplinary Records for Marino & Mauriello.
Nat,
If at all possible, can you please bring to the meeting tomorrow the materials that you refer to below (in bold)?
Thanks so much.
Best,
Jon
In a message dated 2/24/2015 3:54:19 P.M. Eastern Daylight Time, natbsmith@gmail.com writes:
Jon, I will dig into this. We did get some, but not all, of these materials. For example, we got a
report from the NYPD Dep Comm of Trials on Marino's steroid use, but not his testimony from the
trial; the one document I know we got on the Mauriello CCRB issue was the letter of reprimand that I
showed him at this deposition; I will check the file for anything else, but don't call much; we did get
authorizations and records for Mauriello's mental health issues and I will did that out. Nat
PS: Mer is almost done with the IAB/PG recordings.
From:
Date: Tue, 24 Feb 2015 10:17:47 ‐0500
To: Nat Smith
Cc:
Subject: Disciplinary Records for Marino & Mauriello.
Nat,
It was great to meet with you and your team on Friday. I think we are largely on the same page on our
approach to this trial. For those issues that we are not on the same page, we can definitely revisit
https://mail.google.com/mail/u/0/?ui=2&ik=e8b787170f&view=pt&as_has=schoolcraft&as_sizeoperator=s_sl&as_sizeunit=s_smb&as_subset=all&as_date=mar… 2/6
4/28/2016
Cohen & Fitch LLP Mail Re: Disciplinary Records for Marino & Mauriello.
these matters as we get closer to trial.
In the meantime:
I am starting to work on the crossexaminations for Lauterborn, Mauriello and Marino. Towards that
end, I am wondering if we ever obtained during discovery any of the following (if we did not, that's fine
... I just want to know):
1. Transcript from Dept Advocates Trial and/or disciplinary records re: Marino's steroid use allegations;
2. Disciplinary file for Mauriello's improper contacting of CCRB in 2008, which resulted in a reprimand
from IAB.
3. Medical records from Mauriello supporting his alleged "mental health" damages from Schoolcraft's
actions.
If you have any of these records, can you please forward them to me?
Thanks so much.
Best,
Jon
NORINSBERG@aol.com
To: natbsmith@gmail.com
Cc: gcohen@cohenfitch.com
Wed, Mar 11, 2015 at 1:34 PM
Nat,
Here is the part that was bolded:
"we got a report from the NYPD Dep Comm of Trials on Marino's steroid use" and "records for
Mauriello's mental health issues."
Thanks.
Jon
In a message dated 3/11/2015 1:07:48 P.M. Eastern Daylight Time, natbsmith@gmail.com writes:
Sure but nothing identified as bold.
From:
Date: Wed, 11 Mar 2015 13:04:16 ‐0400
To: Nat Smith
Cc:
Subject: Re: Disciplinary Records for Marino & Mauriello.
Nat,
If at all possible, can you please bring to the meeting tomorrow the materials that you refer to below (in
bold)?
Thanks so much.
https://mail.google.com/mail/u/0/?ui=2&ik=e8b787170f&view=pt&as_has=schoolcraft&as_sizeoperator=s_sl&as_sizeunit=s_smb&as_subset=all&as_date=mar… 3/6
4/28/2016
Cohen & Fitch LLP Mail Re: Disciplinary Records for Marino & Mauriello.
Best,
Jon
In a message dated 2/24/2015 3:54:19 P.M. Eastern Daylight Time, natbsmith@gmail.com writes:
Jon, I will dig into this. We did get some, but not all, of these materials. For example, we
got a report from the NYPD Dep Comm of Trials on Marino's steroid use, but not his
testimony from the trial; the one document I know we got on the Mauriello CCRB issue was
the letter of reprimand that I showed him at this deposition; I will check the file for anything
else, but don't call much; we did get authorizations and records for Mauriello's mental
health issues and I will did that out. Nat
PS: Mer is almost done with the IAB/PG recordings.
From:
Date: Tue, 24 Feb 2015 10:17:47 ‐0500
To: Nat Smith
Cc:
Subject: Disciplinary Records for Marino & Mauriello.
Nat,
It was great to meet with you and your team on Friday. I think we are largely on the same
page on our approach to this trial. For those issues that we are not on the same page, we can
definitely revisit these matters as we get closer to trial.
In the meantime:
I am starting to work on the crossexaminations for Lauterborn, Mauriello and Marino. Towards
that end, I am wondering if we ever obtained during discovery any of the following (if we did
not, that's fine ... I just want to know):
1. Transcript from Dept Advocates Trial and/or disciplinary records re: Marino's steroid use
allegations;
2. Disciplinary file for Mauriello's improper contacting of CCRB in 2008, which resulted in a
reprimand from IAB.
3. Medical records from Mauriello supporting his alleged "mental health" damages from
Schoolcraft's actions.
If you have any of these records, can you please forward them to me?
Thanks so much.
Best,
Jon
Gerald Cohen
To: Jon Norinsberg
Wed, Mar 11, 2015 at 1:34 PM
there you go lay it out nice and simple for him
https://mail.google.com/mail/u/0/?ui=2&ik=e8b787170f&view=pt&as_has=schoolcraft&as_sizeoperator=s_sl&as_sizeunit=s_smb&as_subset=all&as_date=mar… 4/6
4/28/2016
Cohen & Fitch LLP Mail Re: Disciplinary Records for Marino & Mauriello.
On Wed, Mar 11, 2015 at 1:34 PM, wrote:
Nat,
Here is the part that was bolded:
"we got a report from the NYPD Dep Comm of Trials on Marino's steroid use" and "records for
Mauriello's mental health issues."
Thanks.
Jon
In a message dated 3/11/2015 1:07:48 P.M. Eastern Daylight Time, natbsmith@gmail.com writes:
Sure but nothing identified as bold.
From:
Date: Wed, 11 Mar 2015 13:04:16 ‐0400
To: Nat Smith
Cc:
Subject: Re: Disciplinary Records for Marino & Mauriello.
Nat,
If at all possible, can you please bring to the meeting tomorrow the materials that you refer to below
(in bold)?
Thanks so much.
Best,
Jon
In a message dated 2/24/2015 3:54:19 P.M. Eastern Daylight Time, natbsmith@gmail.com writes:
Jon, I will dig into this. We did get some, but not all, of these materials. For example,
we got a report from the NYPD Dep Comm of Trials on Marino's steroid use, but not
his testimony from the trial; the one document I know we got on the Mauriello CCRB issue
was the letter of reprimand that I showed him at this deposition; I will check the file for
anything else, but don't call much; we did get authorizations and records for Mauriello's
mental health issues and I will did that out. Nat
PS: Mer is almost done with the IAB/PG recordings.
From:
Date: Tue, 24 Feb 2015 10:17:47 ‐0500
To: Nat Smith
Cc:
Subject: Disciplinary Records for Marino & Mauriello.
Nat,
It was great to meet with you and your team on Friday. I think we are largely on the same
https://mail.google.com/mail/u/0/?ui=2&ik=e8b787170f&view=pt&as_has=schoolcraft&as_sizeoperator=s_sl&as_sizeunit=s_smb&as_subset=all&as_date=mar… 5/6
4/28/2016
Cohen & Fitch LLP Mail Re: Disciplinary Records for Marino & Mauriello.
page on our approach to this trial. For those issues that we are not on the same page, we
can definitely revisit these matters as we get closer to trial.
In the meantime:
I am starting to work on the crossexaminations for Lauterborn, Mauriello and
Marino. Towards that end, I am wondering if we ever obtained during discovery any of the
following (if we did not, that's fine ... I just want to know):
1. Transcript from Dept Advocates Trial and/or disciplinary records re: Marino's steroid use
allegations;
2. Disciplinary file for Mauriello's improper contacting of CCRB in 2008, which resulted in a
reprimand from IAB.
3. Medical records from Mauriello supporting his alleged "mental health" damages from
Schoolcraft's actions.
If you have any of these records, can you please forward them to me?
Thanks so much.
Best,
Jon
Gerald M. Cohen
Cohen & Fitch LLP
The Woolworth Building
233 Broadway, Suite 1800
New York, New York 10279
Tel: 212.374.9115
Fax: 212.406.2313
www.cohenfitch.com
This message, including any attached files, is intended only for the individual(s) to whom it is addressed or
agent(s) responsible for its delivery to the intended recipient(s). The information contained herein may be
confidential and/or protected by privilege from disclosure. If you are not the intended recipient, please notify the
sender immediately. Thank you.
https://mail.google.com/mail/u/0/?ui=2&ik=e8b787170f&view=pt&as_has=schoolcraft&as_sizeoperator=s_sl&as_sizeunit=s_smb&as_subset=all&as_date=mar… 6/6
4/28/2016
Cohen & Fitch LLP Mail Schoolcraft v. City of New York, 10CV6005 (RWS)
Gerald Cohen
Schoolcraft v. City of New York, 10CV6005 (RWS)
40 messages
Scheiner, Alan (Law)
Mon, Aug 31, 2015 at 11:14 AM
To: "Andrei_Vrabie@nysd.uscourts.gov"
Cc: "bbrady@ckbblaw.com" , "Brian E. Lee" , Camille Palmer
, "Shammas, Cheryl (Law)" , Gerald Cohen
, John Lenoir , "Thadani, Kavin (Law)"
, "mborg@ckbblaw.com" , Matthew Koster
, norinsberg Norinsberg , Brian Osterman ,
"Gregory J. Radomisli" , "rdevine@idjlaw.com" , Walter Kretz
, Nat Smith
Dear Mr. Vrabie,
I am wri℀甄ng on behalf of the City defendants to ask if we might speak to you by phone regarding the status of
the pending applica℀甄ons. We can speak at 1 pm, but we are also available at other ℀甄mes during the day if
another ℀甄me is be℀ጅer for you. All par℀甄es are of course invited to par℀甄cipate if you can take the call, and we
can provide a call‐in number for that purpose. Thank you very much for your assistance in this ma℀ጅer.
Sincerely,
Alan H. Scheiner
Senior Counsel
New York City Law Department
Special Federal Li℀甄ga℀甄on Division
100 Church Street, Room 3‐174
New York, NY 10007
(212) 3562344
ascheine@law.nyc.gov
Andrei_Vrabie@nysd.uscourts.gov
Mon, Aug 31, 2015 at 2:19 PM
https://mail.google.com/mail/u/0/?ui=2&ik=e8b787170f&view=pt&as_from=ascheine%40law.nyc.gov&as_sizeoperator=s_sl&as_sizeunit=s_smb&as_subset=…
1/34
4/28/2016
Cohen & Fitch LLP Mail Schoolcraft v. City of New York, 10CV6005 (RWS)
To: "Scheiner, Alan (Law)"
Cc: "bbrady@ckbblaw.com" , "Brian E. Lee" , Camille Palmer
, "Shammas, Cheryl (Law)" , Gerald Cohen
, John Lenoir , "Thadani, Kavin (Law)"
, "mborg@ckbblaw.com" , Matthew Koster
, Nat Smith , norinsberg Norinsberg ,
Brian Osterman , "Gregory J. Radomisli" , "rdevine@idjlaw.com"
, Walter Kretz
Counsel I am available anytime today for a call at your convenience.
Thanks,
AV
Andrei Vrabie
Law Clerk to Hon. Robert W. Sweet
United States District Court
Southern District of New York
500 Pearl Street, Room 1940
New York, NY 10007
Email: andrei_vrabie@nysd.uscourts.gov
Phone: (212) 8050254
From: "Scheiner, Alan (Law)"
To: "Andrei_Vrabie@nysd.uscourts.gov"
Cc: "bbrady@ckbblaw.com" , "Brian E. Lee" , Camille Palmer ,
"Shammas, Cheryl (Law)" , Gerald Cohen , John Lenoir ,
"Thadani, Kavin (Law)" , "mborg@ckbblaw.com" , "Matthew Koster"
, norinsberg Norinsberg , Brian Osterman , "Gregory J. Radomisli"
, "rdevine@idjlaw.com" , Walter Kretz , 'Nat Smith'
Date: 08/31/2015 11:14 AM
Subject: Schoolcraft v. City of New York, 10CV6005 (RWS)
[Quoted text hidden]
Walter Kretz
Mon, Aug 31, 2015 at 2:12 PM
To: "Scheiner, Alan (Law)"
Cc: bbrady@ckbblaw.com, "Brian E. Lee" , Camille Palmer ,
"Shammas, Cheryl (Law)" , Gerald Cohen , John Lenoir
, "Thadani, Kavin (Law)" , mborg@ckbblaw.com, Matthew Koster
, Nat Smith , norinsberg Norinsberg ,
Brian Osterman , "Gregory J. Radomisli" , rdevine@idjlaw.com
Alan I am available at any time as well. Let's agree on a time and tell Mr. Vrabie.
Walter A. Kretz, Jr.
Scoppetta Seiff Kretz & Abercrombie
444 Madison Avenue, 30th Floor
New York, NY 10022
2123714500
2123716883 (fax)
WAKretz@seiffkretz.com
https://mail.google.com/mail/u/0/?ui=2&ik=e8b787170f&view=pt&as_from=ascheine%40law.nyc.gov&as_sizeoperator=s_sl&as_sizeunit=s_smb&as_subset=…
2/34
4/28/2016
Cohen & Fitch LLP Mail Schoolcraft v. City of New York, 10CV6005 (RWS)
This message is being sent from a Law Firm and may contain CONFIDENTIAL or PRIVILEGED information. If
you are not the intended recipient, do not printout, copy or distribute this message or any attachments. Advise
the sender immediately by reply email, and delete this message and attachments without retaining a copy.
From: Andrei_Vrabie@nysd.uscourts.gov [mailto:Andrei_Vrabie@nysd.uscourts.gov]
Sent: Monday, August 31, 2015 2:20 PM
To: Scheiner, Alan (Law)
Cc: bbrady@ckbblaw.com; Brian E. Lee; Camille Palmer; Shammas, Cheryl (Law); Gerald Cohen; John Lenoir;
Thadani, Kavin (Law); mborg@ckbblaw.com; Matthew Koster; 'Nat Smith'; norinsberg Norinsberg; Brian
Osterman; Gregory J. Radomisli; rdevine@idjlaw.com; Walter Kretz
Subject: Re: Schoolcraft v. City of New York, 10CV6005 (RWS)
Counsel I am available anytime today for a call at your convenience.
Thanks,
AV
Andrei Vrabie
Law Clerk to Hon. Robert W. Sweet
United States District Court
Southern District of New York
500 Pearl Street, Room 1940
New York, NY 10007
Email: andrei_vrabie@nysd.uscourts.gov
Phone: (212) 8050254
From: "Scheiner, Alan (Law)"
To: "Andrei_Vrabie@nysd.uscourts.gov"
Cc: "bbrady@ckbblaw.com" , "Brian E. Lee" , Camille Palmer ,
"Shammas, Cheryl (Law)" , Gerald Cohen , John Lenoir ,
"Thadani, Kavin (Law)" , "mborg@ckbblaw.com" , "Matthew Koster"
, norinsberg Norinsberg , Brian Osterman , "Gregory J. Radomisli"
, "rdevine@idjlaw.com" , Walter Kretz , 'Nat Smith'
Date: 08/31/2015 11:14 AM
Subject: Schoolcraft v. City of New York, 10CV6005 (RWS)
Dear Mr. Vrabie,
I am wri℀甄ng on behalf of the City defendants to ask if we might speak to you by phone regarding the status of the pending
applica℀甄ons. We can speak at 1 pm, but we are also available at other ℀甄mes during the day if another ℀甄me is be℀ጅer for
you. All par℀甄es are of course invited to par℀甄cipate if you can take the call, and we can provide a call‐in number for that
purpose. Thank you very much for your assistance in this ma℀ጅer.
Sincerely,
Alan H. Scheiner
Senior Counsel
New York City Law Department
Special Federal Li℀甄ga℀甄on Division
https://mail.google.com/mail/u/0/?ui=2&ik=e8b787170f&view=pt&as_from=ascheine%40law.nyc.gov&as_sizeoperator=s_sl&as_sizeunit=s_smb&as_subset=…
3/34
4/28/2016
Cohen & Fitch LLP Mail Schoolcraft v. City of New York, 10CV6005 (RWS)
100 Church Street, Room 3‐174
New York, NY 10007
(212) 3562344
ascheine@law.nyc.gov
Jon
Mon, Aug 31, 2015 at 2:24 PM
To: "Andrei_Vrabie@nysd.uscourts.gov"
Cc: "Scheiner, Alan (Law)" , "bbrady@ckbblaw.com" , "Brian E.
Lee" , Camille Palmer , "Shammas, Cheryl (Law)"
, Gerald Cohen , John Lenoir ,
"Thadani, Kavin (Law)" , "mborg@ckbblaw.com" , Matthew Koster
, Nat Smith , Brian Osterman , "Gregory
J. Radomisli" , "rdevine@idjlaw.com" , Walter Kretz
Alan,
I am out of the office this week. Nonetheless, please include me on any call that you make to the Court. I can
be reached through my office.
Thank you.
Jon
Sent from my iPhone
[Quoted text hidden]
Nat Smith
Mon, Aug 31, 2015 at 2:32 PM
To: Walter Kretz
Cc: "Scheiner, Alan (Law)" , "bbrady@ckbblaw.com" , "Brian E.
Lee" , Camille Palmer , "Shammas, Cheryl (Law)"
, Gerald Cohen , John Lenoir ,
"Thadani, Kavin (Law)" , "mborg@ckbblaw.com" , Matthew Koster
, norinsberg Norinsberg , Brian Osterman ,
"Gregory J. Radomisli" , "rdevine@idjlaw.com"
All, I am around this afternoon as well. I agree with Walter that we should agree on a time and then Alan can
circulate a number to call in.
[Quoted text hidden]
Law Office of Nathaniel B. Smith
100 Wall Street, 23rd Floor
New York, New York 10005
2122277062 (tel)
2122301090 (fax)
natbsmith@gmail.com
Scheiner, Alan (Law)
Mon, Aug 31, 2015 at 2:40 PM
To: Walter Kretz
Cc: "bbrady@ckbblaw.com" , "Brian E. Lee" , Camille Palmer
, "Shammas, Cheryl (Law)" , Gerald Cohen
, John Lenoir , "Thadani, Kavin (Law)"
, "mborg@ckbblaw.com" , Matthew Koster
https://mail.google.com/mail/u/0/?ui=2&ik=e8b787170f&view=pt&as_from=ascheine%40law.nyc.gov&as_sizeoperator=s_sl&as_sizeunit=s_smb&as_subset=…
4/34
4/28/2016
Cohen & Fitch LLP Mail Schoolcraft v. City of New York, 10CV6005 (RWS)
, Nat Smith , norinsberg Norinsberg ,
Brian Osterman , "Gregory J. Radomisli" , "rdevine@idjlaw.com"
I would like to have the call at 3:15 and I will provide a call in number to everyone, Thanks.
From: Walter Kretz [mailto:wakretz@seiffkretz.com]
Sent: Monday, August 31, 2015 2:12 PM
To: Scheiner, Alan (Law)
Cc: bbrady@ckbblaw.com; Brian E. Lee; Camille Palmer; Shammas, Cheryl (Law); Gerald Cohen; John Lenoir;
Thadani, Kavin (Law); mborg@ckbblaw.com; Matthew Koster; Nat Smith; norinsberg Norinsberg; Brian
Osterman; Gregory J. Radomisli; rdevine@idjlaw.com
Subject: RE: Schoolcraft v. City of New York, 10CV6005 (RWS)
[Quoted text hidden]
Scheiner, Alan (Law)
Mon, Aug 31, 2015 at 2:46 PM
To: "Andrei_Vrabie@nysd.uscourts.gov"
Cc: "bbrady@ckbblaw.com" , "Brian E. Lee" , Camille Palmer
, "Shammas, Cheryl (Law)" , Gerald Cohen
, John Lenoir , "Thadani, Kavin (Law)"
, "mborg@ckbblaw.com" , Matthew Koster
, Nat Smith , norinsberg Norinsberg ,
Brian Osterman , "Gregory J. Radomisli" , "rdevine@idjlaw.com"
, Walter Kretz
Thank you Mr. Vrabie. Would you mind calling a conference call line at 3:15? Given the large number of
par℀甄es that is the best way to have the call. If that is agreeable I can send the call‐in informa℀甄on. Thank you,
Alan
From: Andrei_Vrabie@nysd.uscourts.gov [mailto:Andrei_Vrabie@nysd.uscourts.gov]
Sent: Monday, August 31, 2015 2:20 PM
To: Scheiner, Alan (Law)
Cc: bbrady@ckbblaw.com; Brian E. Lee; Camille Palmer; Shammas, Cheryl (Law); Gerald Cohen; John Lenoir;
Thadani, Kavin (Law); mborg@ckbblaw.com; Matthew Koster; 'Nat Smith'; norinsberg Norinsberg; Brian
Osterman; Gregory J. Radomisli; rdevine@idjlaw.com; Walter Kretz
Subject: Re: Schoolcraft v. City of New York, 10CV6005 (RWS)
[Quoted text hidden]
Scheiner, Alan (Law)
Mon, Aug 31, 2015 at 2:47 PM
To: Jon , "Andrei_Vrabie@nysd.uscourts.gov"
Cc: "bbrady@ckbblaw.com" , "Brian E. Lee" , Camille Palmer
, "Shammas, Cheryl (Law)" , Gerald Cohen
, John Lenoir , "Thadani, Kavin (Law)"
, "mborg@ckbblaw.com" , Matthew Koster
, Nat Smith , Brian Osterman , "Gregory
J. Radomisli" , "rdevine@idjlaw.com" , Walter Kretz
https://mail.google.com/mail/u/0/?ui=2&ik=e8b787170f&view=pt&as_from=ascheine%40law.nyc.gov&as_sizeoperator=s_sl&as_sizeunit=s_smb&as_subset=…
5/34
4/28/2016
Cohen & Fitch LLP Mail Schoolcraft v. City of New York, 10CV6005 (RWS)
Jon, A conference call line is being provided shortly, for a 3:15 call. You can call it directly. Thank you, Alan
From: Jon [mailto:norinsberg@aol.com]
Sent: Monday, August 31, 2015 2:24 PM
To: Andrei_Vrabie@nysd.uscourts.gov
Cc: Scheiner, Alan (Law); bbrady@ckbblaw.com; Brian E. Lee; Camille Palmer; Shammas, Cheryl (Law); Gerald
Cohen; John Lenoir; Thadani, Kavin (Law); mborg@ckbblaw.com; Matthew Koster; Nat Smith; Brian Osterman;
Gregory J. Radomisli; rdevine@idjlaw.com; Walter Kretz
Subject: Re: Schoolcraft v. City of New York, 10CV6005 (RWS)
[Quoted text hidden]
Andrei_Vrabie@nysd.uscourts.gov
Mon, Aug 31, 2015 at 2:50 PM
To: "Scheiner, Alan (Law)"
Cc: "bbrady@ckbblaw.com" , "Brian E. Lee" , Camille Palmer
, "Shammas, Cheryl (Law)" , Gerald Cohen
, John Lenoir , "Thadani, Kavin (Law)"
, "mborg@ckbblaw.com" , Matthew Koster
, Nat Smith , norinsberg Norinsberg ,
Brian Osterman , "Gregory J. Radomisli" , "rdevine@idjlaw.com"
, Walter Kretz
Sure happy to dial in at 3:15
AV
Andrei Vrabie
Law Clerk to Hon. Robert W. Sweet
United States District Court
Southern District of New York
500 Pearl Street, Room 1940
New York, NY 10007
Email: andrei_vrabie@nysd.uscourts.gov
Phone: (212) 8050254
From: "Scheiner, Alan (Law)"
To: "'Andrei_Vrabie@nysd.uscourts.gov'"
Cc: "bbrady@ckbblaw.com" , "Brian E. Lee" , Camille Palmer ,
"Shammas, Cheryl (Law)" , Gerald Cohen , John Lenoir ,
"Thadani, Kavin (Law)" , "mborg@ckbblaw.com" , "Matthew Koster"
, 'Nat Smith' , "norinsberg Norinsberg" , Brian Osterman
, "Gregory J. Radomisli" , "rdevine@idjlaw.com" , Walter Kretz
Date: 08/31/2015 02:46 PM
Subject: RE: Schoolcraft v. City of New York, 10CV6005 (RWS)
Thank you Mr. Vrabie. Would you mind calling a conference call line at 3:15? Given the large number of par℀甄es that is the
best way to have the call. If that is agreeable I can send the call‐in informa℀甄on. Thank you, Alan
https://mail.google.com/mail/u/0/?ui=2&ik=e8b787170f&view=pt&as_from=ascheine%40law.nyc.gov&as_sizeoperator=s_sl&as_sizeunit=s_smb&as_subset=…
6/34
4/28/2016
Cohen & Fitch LLP Mail Schoolcraft v. City of New York, 10CV6005 (RWS)
From: Andrei_Vrabie@nysd.uscourts.gov [mailto:Andrei_Vrabie@nysd.uscourts.gov]
Sent: Monday, August 31, 2015 2:20 PM
To: Scheiner, Alan (Law)
Cc: bbrady@ckbblaw.com; Brian E. Lee; Camille Palmer; Shammas, Cheryl (Law); Gerald Cohen; John Lenoir;
Thadani, Kavin (Law); mborg@ckbblaw.com; Matthew Koster; 'Nat Smith'; norinsberg Norinsberg; Brian
Osterman; Gregory J. Radomisli; rdevine@idjlaw.com; Walter Kretz
Subject: Re: Schoolcraft v. City of New York, 10CV6005 (RWS)
Counsel I am available anytime today for a call at your convenience.
Thanks,
AV
Andrei Vrabie
Law Clerk to Hon. Robert W. Sweet
United States District Court
Southern District of New York
500 Pearl Street, Room 1940
New York, NY 10007
Email: andrei_vrabie@nysd.uscourts.gov
Phone: (212) 8050254
From: "Scheiner, Alan (Law)"
To: "Andrei_Vrabie@nysd.uscourts.gov"
Cc: "bbrady@ckbblaw.com" , "Brian E. Lee" , Camille Palmer ,
"Shammas, Cheryl (Law)" , Gerald Cohen , John Lenoir ,
"Thadani, Kavin (Law)" , "mborg@ckbblaw.com" , "Matthew Koster"