American National Property and Casualty Company v. Stutte et al

Filing 31

AFFIDAVIT in Opposition re 27 MOTION for Partial Summary Judgment Rule 56(d) Declaration of Scott J. Levitt filed by Carol Ann Stutte, Laura Jean Stutte. (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C)(Hardin, Jonathan)

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Exhibit C Levitt, Scott From: Sent: To: Cc: Subject: Levitt, Scott Wednesday, September 21, 2011 9:58 AM 'MarkKinsman@BKHCW.com'; 'gmatherne@wyattfirm.com' Tucker, Seth; Hardin, Jonathan; Capron, Darien ANPAC v. Stutte et al. - Discovery Plan Dear Messrs. Kinsman and Matherne: As you know, I am counsel for Carol Ann and Laura Stutte in the insurance coverage litigation brought by ANPAC against them. I am writing to propose that we convene a conference call to discuss a discovery plan under Rule 26(f). Please let me know if you are amenable to such a call, and, if so, please let me know when would be convenient for you. We ask that you respond by Monday, September 26. Best regards, Scott    _______________________________________________ Scott J. Levitt | COVINGTON & BURLING LLP 1201 Pennsylvania Ave., N.W., Washington, D.C. 20004 Tel: 202.662.5661 | Fax: 202.778.5661 slevitt@cov.com | www.cov.com -----------------------------------------------------------------------------------This message is from a law firm and may contain information that is confidential or legally privileged. If you are not the intended recipient, please immediately advise the sender by reply e-mail that this message has been inadvertently transmitted to you and delete this e-mail from your system. Thank you for your cooperation. 1

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