Case 3:00-cv-01011-JCH
Document 73
Filed 03/15/2004
Page 1 of 2
UNITED STATES DISTRICT COURT DISTRICT OF CONNECTICUT
DANTE DELORETO Plaintiff v. SEBASTIAN SPADA and GARY CHUTE Defendants
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Case No. 3:00cv1011 (JCH)
March 11, 2004
OBJECTION TO PLAINTIFF S MOTION TO COMPEL INFORMATION
The defendants, Sebastian Spada and Gary Chute, respectfully object to plaintiff s motion to compel information. The plaintiff in his amended complaint dated August 1, 2000, alleges that the defendants violated his rights by pursuing him, forcing his vehicle off the road, seizing and detaining him at gunpoint and then falsely reporting that the plaintiff committed motor vehicle violations. The plaintiff is now requesting information regarding defendant Chute that according to the Hartford Courant and the
New Britain Herald Chute has been planting evidence on numerous
Case 3:00-cv-01011-JCH
Document 73
Filed 03/15/2004
Page 2 of 2
individuals .
In addition that the
FBI in New Haven arrested
several New Britain Police for shaking down minorities . This information is irrelevant to the pending lawsuit. is only requested to harass the defendants. It
In addition, the
defendants are unaware of the allegations that the plaintiff is making in his motion to compel. DEFENDANTS By Office of Corporation Counsel
__________________________________ Irena J. Urbaniak Attorney for Defendants Office of the Corporation Counsel City of New Britain 27 West Main Street New Britain, Connecticut 06051 Tel. (860) 826-3420 Federal Bar Number ct01322 CERTIFICATION I hereby certify that on March 11, 2004, a copy of the above was mailed to the pro se plaintiff: Dante DeLoreto 33 Maxwell Drive Wethersfield, Connecticut 06109
__________________________________ Irena J. Urbaniak Attorney at Law
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