Free Statement of Material Facts - District Court of Connecticut - Connecticut


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Date: February 8, 2007
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State: Connecticut
Category: District Court of Connecticut
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Case 3:OO—cv—O0097-EBB D0cument104-8 ‘ Filed O2/O9/2007 Page10f3
R-IJ UNITED STATES DISTRICT COURT
DISTRICT OF CONNECTICUT
- ...... - _ _ ,., ,_ _ __ __ __ _ _X ’
SOUTH LYME PROPERTY OWNERS :
ASSOCIATION, INC., CHARLES AND :
VICTORIA PARSONS AND JOAN BYER, :
Plaintiffs :
vs ¤ 3:0OCV97(EBB)
TOWN OF OLD LYME, TOWN OF OLD : 1
LYME ZONING COM ISSION, :
ERIC FRIES, GEORGE JAM S, : j
JANE MARSH, THOMAS RISOM, :
WALTER SEIFERT, SHARON COLVIN AND : A
MARILYN OZOLS, : I
_ Defendants :
I _ ·.'. — ———————————————-— X j
VOLUME II
Deposition of GEORGE JAMES taken at the _
offices of Halloran & Sage, 225 Asylum _
Street, Hartford, Connecticut, before
Audra Quinn, RPR, Licensed Shorthand Reporter y
#106, and Notary Public, in and for the State Q
of Connecticut on August 15, 2003, at y
1:16 p.m.
; DEL VECCHIO REPORTING SERVICES, LLC §
w g· PROFESSIONAL SHORTHAND REPORTERS E
1 j 117 RANDI DRIVE 100 PEARL ST., 14th FL. g
` MADISON, CT 06443 HARTFORD, CT 06103-4506 i
I 203 245-9583 800 839-6867 E

I I Illn 3:00—cvs00097-EBB Document 104-8 Filed 02/09/2007 Page 2 of 3
38
§* Q 1 recommendation that you've suggested the Zoning
2 Commission adopted, that is the premise that the Water
3 Pollution Control Authority so vigorously contests when -
4 the DEP believes that those areas should be served by
5 sewer treatment because on—site septic systems do not
6 provide adequate treatment of waste water?
7 MR. RADSHAW: Object to the form of the
8 question.
9 A You lost me there a little bit. Can you ——
10 MR. SLATER: Could you read the question
ll back, please.
§"`E l2 (THEREUPON, THE REFERRED TO
\ .-ii.i if 13 QUESTION WAS READ BACK.)
14 A I'm not sure what you're asking, but our
15 effort all along has been to comply with DEP
16 regulations and requirements. We've gone to a lot of i
17 expense hiring professionals to help us with water E
18 testing and our focus has always been on public health I
l9 and safety. i
20 So the premise, if there is any premise, it 2
21 is public health and safety. We are working, I think, Z
22 very diligently and proactively to do that job and do i
23 it well. And whether that happens to be the zoning Q
{_ E 24 group or the WPCA or any other town official, we're Q
25 working trying to protect public health and safety. Q
DEL VECCHIO REPORTING g
(203) 245-9583 Q

l-Case 3:00-cx/-00097-EBB D0cument104-8 Filed 02/09/2007 Page30f3
82
2 C E R T I F I C A T E
y 3
4 I hereby certify that I am a Notary Public, in and
5 for the state of Connecticut, duly commissioned and
6 qualified to administer oaths.
7 I further certify that the deponent named in the
8 foregoing deposition was by me duly sworn, and
9 thereupon testified as appears in the foregoing
10 deposition; that said deposition was taken by me
11 stenographically in the presence of counsel and reduced
;j`y 12 to typewriting under my direction, and the foregoing is
R uinlilliil j 13 a true and accurate transcript of the testimony.
14 I further certify that I am neither of counsel nor
15 attorney to either of the parties to said suit, nor am
16 I an employee of either party to said suit, nor of
l7 either counsel in said suit, nor am I interested in the y
18 outcome of said cause.
n 19 Witness my hand and seal as Notary Public this i
20 gjegk day of ,gP—[j¤Ggxg._ , 2003. j
21 I
22 ggcigggé é2,HL,,m E
Audra Quinn, RPR, LSR
23 Notary Public ·
Q _? 24 My commission expires: 7/31/2006 I
LSR N0. 106
25 é
DEL VECCHIO REPORTING E
(203) 245-9583