Case 1:93-cv-00655-MMS
Document 163-7
Filed 08/21/2007
Page 1 of 1
Harrington, David (CIV)
From: Sent: Harrington, David (CIV) Friday, August 17, 2007 9:29 PM
To: '[email protected]' Cc: '[email protected]' Subject: Anaheim Gardens/Algonquin Heights Alycia: As you are aware, in my August 6, 2007 letter, I urged plaintiffs to serve notice of any ripeness depositions promply to enable the United States to notify witnesses, adjust schedules and workout necessary logistics. Receiving no response, in a letter sent to both you and Mr. Kelly on August 15, 2007, I explained that plaintiffs should hand serve notices for any ripeness depositions as soon as possible, but in any event no later than 2:00 p.m. on August 17, 2007, in order to meet the August 31, 2007 discovery deadline. I am writing to confirm our conversation earlier today that plaintiffs elected to serve no deposition notices in either the Anaheim Gardens v. United States, No. 93-655 (Fed. Cl.), or Algonquin Heights v. United States, No. 97582 (Fed. Cl.). David David A. Harrington Trial Attorney Civil Division U.S. Depatment of Justice 1100 L Street, N.W.. \Vashmgton, D.C. 20530 (202)616-0465
8/21/2007