Free Motion to Strike - District Court of Federal Claims - federal


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Date: December 31, 1969
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Case 1:98-cv-00126-JFM

Document 784-3

Filed 04/07/2004

Page 1 of 1
1350 I Street, NW Washington, DC 20005 tel. 202. 898. 5800 fax 202. 682. 1639 www. spriggs.com
Jerry Stouck

Sprigg&!iollingsworth

202. 898. 5839 jstouck~spriggs. com

March 1 , 2004

VIATELECOPIER NO. : (202) 307-2503
& U. S. MAIL Harold D. Lester, Jr. , Esq. Marian E. Sullivan
, Kevin B. Crawford, Esq.

S. Department of Justice
Civil Division- Commercial Litigation Branch 1100 L Street, N. Washington, D. C. 20530

W.

Dear Harv, Marian and Kevin:
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This letter concerns deposition scheduling for the government' s Yankee case experts.

Because ofHarv s and Marian s trial schedule , I am addressing this letter to all three of you to assure that we can proceed with scheduling these depositions as soon as possible.
We would like to schedule the depositions of Mr. Johnson, Mr. Abbott and Mr. Blair for the last two weeks of April in our offices. The depositions should be sequential. Mr. Blair s deposition should come before Mr. , Abbott' s which should come before Mr. Johnson
Please let me know as soon as possible on which of these dates you would Ijke to proceed with these depositions. If you would like to propose other dates , ple3;se do so promptly and explain " the need for alternate dates to those proposed above.
I am available to discuss this subject at any time.

We will address separately the scheduling of additional fact witness depositions.

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