Ceglia v. Zuckerberg et al

Filing 534

MEMORANDUM in Opposition re 525 MOTION for Extension of Time to File Response/Reply in Support of Defendants' Motion to Dismiss (Doc. No. 318) filed by Paul D. Ceglia. (Attachments: # 1 Exhibit, # 2 Exhibit, # 3 Certificate of Service)(Boland, Dean)

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Seventh Motion to Compel Dean Boland <dean@bolandlegal.com> To: Alexander Southwell <asouthwell@gibsondunn.com> Cc: Paul Argentieri <paul.argentieri@gmail.com> Thu, Aug 30, 2012 at 4:23 PM Alex: In light of the confusion over the the court's Sixth and Seventh Motions to Compel, I am requesting your confirmation that Plaintiff has produced to Defendants the Kasowitz Letter and is in full compliance with the Seventh Motion to Compel. If that is not Defendants' position, I expect an explanation detailing that. This is our attempt to meet and confer on this issue to resolve this matter. Dean Boland. -Dean Boland Owner/Member Boland Legal, LLC 1475 Warren Road Unit 770724 Lakewood, Ohio 44107 216.236.8080 ph 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.

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