Free Objections - District Court of Colorado - Colorado


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Date: September 16, 2005
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State: Colorado
Category: District Court of Colorado
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Case 1:03-cv-02474-WYD-PAC

Document 107

Filed 09/16/2005

Page 1 of 6

IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO Civil Action No. 03-CV-2474-WYD-PAC CHARLOTTE SCHNEIDER and DEAN WYMER, Plaintiffs, v. LANDVEST CORPORATION, a Kansas corporation, And DAVID MASON, individually Defendants.

PLAINTIFFS' OBJECTION TO DESIGNATION OF LOUISE ADOLPHSON'S DEPOSITION FOR USE AT TRIAL

Plaintiffs designate the following testimony from the deposition of Louise Adolphson: 1. 2. 3. 4. 5. 6. 7. 8. Page 4, Lines 10 through 14; Page 7, Lines 4 through 22; Page 10, Lines 3 through 13; Page 12, Lines 23 through 25; Page 13, Lines 1 through 13; Page 13, Lines 17 through 25; Page 14, Line 1, Lines 15 through 25; Page 15, Lines 1 through 12;

Case 1:03-cv-02474-WYD-PAC

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9. 10. 11. 12. 13. 14. 15. 16. 17. 18. 19. 20. 21. 22.

Page 16, Lines 3 through 25; Page 17, Lines 1 through 17; Page 18, Lines 22 through 25; Page 19, Line 1, Lines 4 through 9; Page 20, Lines 3 through 23; Page 21, Lines 5 and 6, Lines 11 through 24; Page 22, Lines 1 through 19; Page 23, Lines 21 through 25; Page 24, Lines 1 through 21, Lines 23 through 25; Page 25, Line 1, Lines 14 through 25; Page 26, Lines 13 through 20, Line 23; Page 27, Lines 15 through 19, Lines 24 and 25; Page 33, Lines 24 and 25; Page 34, Lines 1 through 3, Lines 6 through 12, Lines 15 and 16, Lines 20 through 24; Page 35, Lines 2 through 22; Page 36, Lines 24 and 25; Page 37, Lines 1 through 3, Lines 7 through 9, Lines 14 through 17, Lines 22 through 24; Page 38, Line 25; Page 39, Lines 17 and 18, Lines 20 through 25; Page 40, Line 2, Lines 4 and 5, Line 7, Lines 9 and 10; Page 42, Lines 17 through 19, Lines 22 through 25; Page 43, Lines 1 through 8;

23. 24. 25.

26. 27. 28. 29. 30.

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31. 32. 33. 34.

Page 44, Lines 24 and 25; Page 45, Lines 1 through 6, Lines 13 through 18; Page 56, Lines 15 through 22; Page 57, Lines 2 through 4, Lines 8 through 11, Lines 13 and 14;

Plaintiffs designate the following testimony from the deposition of John Cramer: 1. 2. 3. 4. 5. 7. 8. 9. 10. 11. 12. 13. 14. 15. 16. 17. 18. 19. Page 5, Lines 12 through 15; Page 12, Lines 16 through 22; Page 13, Lines 2 through 4, Lines 17 and 18; Page 14, Lines 9 through 12; Page 16, Lines 1 through 3; Page 18, Lines 16 through 18, Lines 24 and 25; Page 19, Lines 1 through 5, Lines 9 through 13; Page 21, Lines 15 and 16; Page 22, Lines 2 and 3; Page 23, Lines 11 through 13, Lines 19 through 25; Page 24, Lines 1 through 3, Lines 5 and 6, Lines 20 through 25; Page 25, Line 1; Page 27, Lines 1 through 6, Lines 8 through 11; Page 29, Lines 3 through 5, Lines 11 through 14, Lines 24 and 25; Page 30, Lines 1 through 7, Line 9, Lines 11 through 25; Page 31, Lines 1 through 20, Lines 24 and 25; Page 32, Lines 1 through 4, Lines 22 through 25; Page 33, Lines 1 through 25;

Case 1:03-cv-02474-WYD-PAC

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20. 21. 22. 23. 24. 25. 26. 27. 28. 29. 30. 31. 32. 33. 34. 35. 36.

Page 34, Lines 1 through 10; Page 35, Lines 6 through 25; Page 36, Lines 1 through 14, Lines 22 through 25; Page 37, Lines 1 through 7, Lines 13 through 22, Lines 24 and 25; Page 38, Lines 1 through 5, Lines 13 through 15; Page 39, Lines 8 through 19; Page 40, Lines 9 through 16; Page 41, Lines 6 through 11; Page 42, Lines 7 through 16; Page 43, Lines 14 through 25; Page 44, Lines 1 through 4; Page 45, Lines 18 to 23, Line 25; Page 46, Lines 1 through 9, Lines 15 through 19; Page 47, Lines 21 through 24; Page 48, Lines 21 through 25; Page 49, Lines 1 through 20, Lines 22 through 25; Page 50, Lines 1 through 4, Lines 14 through 17, Lines 19 and 20, Line 22; Page 51, Lines 1 through 5, Line 7, Lines 12 through 17; Page 55, Lines 24 and 25; Page 56, Lines 1 and 2, Lines 9 and 10, Lines 23 through 25; Page 57, Lines 1 and 2, Lines 7 through 9, Lines 16 through 18, Lines 20 and 21; Page 58, Lines 13 through 15, Line 19, Lines 23 through 25;

37. 38. 39. 40.

41.

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42. 43. 44. 45. 46. 47. 48. 49. 50. 51.

Page 59, Lines 2 through 5, Lines 10 through 14; Page 60, Line 8, Lines 10 through 16, Lines 22 through 25; Page 61, Lines 1 through 5; Page 62, Lines 10 through 15, Lines 17 through 25; Page 63, Lines 1 through 4, Lines 6 through 21; Page 64, Lines 12 through 21; Page 65, Line 2; Page 66, Lines 7 through 16; Page 67, Lines 11 through 13, Lines 18 through 25; Page 68, Lines 2 and 3, Lines 14 through 16, Lines 18 through 20.

Respectfully submitted this 15th day of September, 2005. CORNISH & DELL'OLIO

s/ Donna Dell'Olio Donna Dell'Olio, #10887 Cornish & Dell'Olio 431 N. Cascade Avenue, Suite 1 Colorado Springs, CO 80903 Telephone: (719) 475-1204 FAX: (719) 475-1264 E-mail: [email protected] Attorneys for Plaintiffs

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CERTIFICATE OF SERVICE I hereby certify that on this 15th day of September, 2005, I caused a true and correct copy of the above and foregoing Plaintiffs' Objection to Designation of Louise Adolphson's Deposition for Use at Trial was served, via the United States District Court electronic filing system and/or mailed via U.S. Mail, upon the following: Alan Rupe Stacia G. Boden Kutak Rock 8301 East 21st Street North, Suite 370 Wichita, KS 67206-2295 Heather Davis Kutak Rock 1801California Street, Suite 3100 Denver, CO 80202

s/Esther Kumma Abramson Esther Kumma Abramson