Ceglia v. Zuckerberg et al

Filing 555

DECLARATION signed by Alexander H. Southwell re 553 MOTION for Discovery 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, # 20 Exhibit T, # 21 Exhibit U, # 22 Exhibit V, # 23 Exhibit W, # 24 Exhibit X, # 25 Exhibit Y, # 26 Exhibit Z, # 27 Exhibit AA, # 28 Exhibit BB, # 29 Exhibit CC, # 30 Exhibit DD, # 31 Exhibit EE, # 32 Exhibit FF, # 33 Exhibit GG, # 34 Exhibit HH, # 35 Exhibit II, # 36 Exhibit JJ, # 37 Exhibit KK, # 38 Exhibit LL, # 39 Exhibit MM, # 40 Exhibit NN)(Snyder, Orin)

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EXHIBIT T From: Sent: To: Cc: Subject: Southwell, Alexander H. Monday, July 30, 2012 4:56 PM Dean Boland (dean@bolandlegal.com) paul.argentieri@gmail.com; Benjamin, Matthew FW: LaPorte payment Mr. Boland: Please confirm that you have remitted this payment today so that we can proceed with the depositions on Thursday. In addition, as I advised on July 20th, we are prepared to provide native format files of Mr. Tytell’s scans taken at 9:18 a.m. and 9:22 a.m. on July 14, 2011. To date, you have not asked for these; if you would like to receive them, we can make them available on CD, before or at the deposition on Thursday, since they are too large to email. However, I must reiterate that prior to the production of those native scans, we need the materials you agreed to provide regarding the Stewart deposition, and which we requested in our July 16 Letter, specifically including the entire file that Mr. Stewart had with him at his deposition on July 11, 2012 (including all inventories of samples). In addition, please provide the answers that Mr. Blanco indicated he would be providing following his depositions by the end of tomorrow. Finally, as I asked about on July 8th, the amended Grant declaration is dated June 8, 2012, prior to Mr. Grant’s deposition, but appears to have been created after his deposition. Please provide clarification as to the date and circumstances of this document as soon as possible. Alex From: Southwell, Alexander H. Sent: Saturday, July 28, 2012 5:20 PM To: Dean Boland (dean@bolandlegal.com) Cc: Benjamin, Matthew; Aycock, Amanda Subject: LaPorte payment Mr. Boland: You neglected to pay Mr. LaPorte his agreed-upon fee at Thursday’s deposition. Please remit a check to “Riley, Welch and LaPorte & Associates Forensic Laboratories” in the agreed-upon amount, $3,675.00, as soon as possible to the address and office manager noted below. Please also confirm to me that the payment has been remitted. Alex Tiffany Salters I Riley Welch LaPorte & Associates Forensic Laboratories Office Manager P.O. Box 80225, Lansing, MI 48908 Alexander H. Southwell Partner GIBSON DUNN 1 Gibson, Dunn & Crutcher LLP 200 Park Avenue, New York, NY 10166-0193 Tel +1 212.351.3981 • Fax +1 212.351.6281 ASouthwell@gibsondunn.com • www.gibsondunn.com 2

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