Free Designation of Deposition Testimony - District Court of Colorado - Colorado


File Size: 33.7 kB
Pages: 6
Date: September 14, 2005
File Format: PDF
State: Colorado
Category: District Court of Colorado
Author: unknown
Word Count: 836 Words, 5,462 Characters
Page Size: Letter (8 1/2" x 11")
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Case 1:03-cv-02474-WYD-PAC

Document 102

Filed 09/14/2005

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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' DEPOSITION DESIGNATIONS

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;

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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;

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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 14th 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 14th day of September, 2005, I caused a true and correct copy of the above and foregoing Plaintiffs' Deposition Designations 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