Case 1:01-cv-01451-REB-KLM
Document 977-2
Filed 04/12/2006
Page 1 of 1
UNITED STATES DISTRICT COURT DISTRICT OF COLORADO : : : : This Document Relates To: All Cases : ____________________________________: IN RE: QWEST COMMUNICATIONS INTERNATIONAL, INC. SECURITIES LITIGATION CASE NO. 01-CV-1451-REB-CBS JUDGE ROBERT E. BLACKBURN CERTIFICATE
The undersigned, Edward F. Siegel, states as follows: 1. I am an attorney at law, licensed to practice in the United States District Court for the District of Colorado. 2. I wish to file a Motion to Intervene in this matter and, in accordance with Local Rule 7.1A, I contacted the other counsel involved in this action. 3. Trish Bloomer, Esq. of the firm of Boies, Schiller & Flexner, LLP counsel for defendant Qwest Communications International, Inc. stated that her firm would not oppose a Motion to Intervene as long as I did not seek to delay the Fairness Hearing. I do not wish to delay the Fairness Hearing. 4. Jeffrey Light, Esq. of the firm of Lerach Coughlin, Class Counsel, stated that his firm would not oppose a Motion to Intervene but might oppose the relief that I requested. 5. Kip Shuman, Esq., of the firm of Dyer & Shuman, LLP stated that he supported whatever position was taken by Lerach Coughlin. 6. John Freedman of the Firm of Arnold & Porter, Counsel for Arthur Andersen LLP stated that his firm would not oppose a Motion to Intervene. I have conferred with opposing counsel and since there are no objections to my proposed Motion to Intervene, I wish to file the attached Motion. Respectfully Submitted
___/s/ Edward F. Siegel__ Edward F. Siegel (#0012912) 5910 Landerbrook Dr. #200 Cleveland Ohio 44124 (440) 544-1107 (440) 446-1240 fax [email protected]