Ceglia v. Zuckerberg et al

Filing 519

DECLARATION signed by Alexander H. Southwell re 517 MOTION for Attorney Fees And For Recovery Of Expenses filed by Mark Elliot Zuckerberg, Facebook, Inc. filed by Mark Elliot Zuckerberg, Facebook, Inc.. (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, # 13 Exhibit M, # 14 Exhibit N, # 15 Exhibit O, # 16 Exhibit P, # 17 Exhibit Q, # 18 Exhibit R, # 19 Exhibit S)(Snyder, Orin)

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EXHIBIT K From: Southwell, Alexander Sent: Wednesday, June 27, 2012 1:48 PM To: 'Dean Boland'; Paul Argentieri; Jim Blanco Subject: RE: Deposition dates In response to your various emails about scheduling the depositions, I can confirm a 9am start on the 26th. I can also confirm Romano at 10am on August 14th at our offices in New York City, and our agreement that we will file a joint motion to extend out the schedule for the response and reply on Defendants’ motion to dismiss by ten days due to Professor Romano’s unavailability. Thank you for your confirmation of the Blanco deposition on the 16th in New York. In light of that adjournment, we propose moving Stroz Friedberg back to the 19th and 20th in New York and we agree on making Bryan Rose and Mike McGowan available in the mornings of those days as you requested. Right now, we are able to schedule Rose and then Friedberg on the 19th and McGowan and then Novak on the 20th. Please advise who will be attending the deposition tomorrow and Friday. Finally, we need today the information about Ceglia’s “Digital Imaging Expert” that you agreed to provide. Please let me know if I have overlooked responding on any issues. Thanks From: Dean Boland [mailto:dean@bolandlegal.com] Sent: Wednesday, June 27, 2012 1:25 PM To: Southwell, Alexander; Paul Argentieri; Jim Blanco Subject: Deposition dates Alex: Tried to reach you this morning via phone, your system indicated no one by your name in the auto dial feature. So, here is an email that the 16th of July at 10:00 am in New York is good for Mr. Blanco and myself for his deposition. Dean Boland. -Dean Boland Owner/Member Boland Legal, LLC 1475 Warren Road Unit 770724 Lakewood, Ohio 44107 216.236.8080 ph 1 866.455.1267 fax dean@bolandlegal.com Please note, I typically only review my emails once daily. If there is something urgent in any email, please do not hesitate to contact my office at 216-236-8080. 2

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