Mon 16 May 2022 15 40 20 0400 Re Fw Sweatman V. Zeeman Zeeman Discovery Responses Statut 180Ce62C 2¶
| Field | Value |
|---|---|
| Category | Discovery > Written Discovery |
| Confidence | high |
| Reason | Email subject explicitly references 'discovery responses' indicating written discovery responses |
| Original File | mon_16_may_2022_15_40_20_-0400_re_fw_sweatman_v._zeeman_zeeman_discovery_responses_-_statut_180ce62c_2.eml |
| File Type | EML |
| Source | gmail-export |
Email¶
| Header | Value |
|---|---|
| From | Sarah Zeeman <szeeman@gmail.com> |
| To | "Richard J. Capriola" <rcapriola@wczlaw.com> |
| CC | "Eric B. Coleman" <ecoleman@wczlaw.com> |
| Subject | Re: FW: Sweatman v. Zeeman; Zeeman Discovery Responses - Statutory Electronic ServiceEric B. Coleman <ecoleman@wczlaw.com> |
| Date | Mon, 16 May 2022 15:40:20 -0400 |
Email Body
Hi, I don't know what this means by "mediation"
- I have not received the engineer's report back nor the survey,
therefore I have no repair quotes.
- The new survey posts are worse. Then one of the Ellijay surveyors
found my Facebook profile and tried to add me. (Completely Inappropriate)
- Sweatman has covered the open corners twice. The first time, I was not
home and it scared me to see the live camera of swinging a hammer and
banging my deck. video in dropbox.
- The Sweatmans have since moved the covered corners further into my
property after the new stakes were placed last weekend and took pictures.
What medical do they want?
On Mon, May 16, 2022 at 3:15 PM Richard J. Capriola <rcapriola@wczlaw.com>
wrote:
> Sarah,
>
> Please see the email from Lisa Rose below requesting
> mediation. Are you available tomorrow sometime between 3:30-5:00 to
> discuss?
>
>
> Rich
>
>
>
>
>
>
>
>
>
> <http://www.wczlaw.net/>
>
>
>
> ------------------------------
>
> *Rich Capriola*
>
>
>
> Winter Capriola Zenner, LLC
>
> One Ameris Center
> 3490 Piedmont Road NE, Suite 800
> Atlanta, GA 30305
> www.wczlaw.com
>
> rcapriola@wczlaw.com
>
> View Bio <https://wczlaw.com/attorneys/chadd-l-reynolds/>
>
> *tel*
>
> *dir tel*
>
> 404.844.5700
>
> 404.844.5637
>
>
>
>
>
>
>
>
>
>
>
>
>
>
>
> This communication (together with all attachments) may contain privileged
> or confidential information and its sender reserves and asserts all rights
> that may apply to it. If you are not the intended recipient or believe that
> you have received this communication in error, please do not print, copy,
> retransmit, disseminate or otherwise use the information. Also, please
> indicate to the sender that you have received this communication in error
> and delete the copy you received. Thank you.
>
> Tax Advice Disclosure: To ensure compliance with requirements imposed by
> the IRS under Circular 230, we inform you that any U.S. federal tax advice
> contained in this communication (including any attachments), unless
> otherwise specifically stated, was not intended or written to be used, and
> cannot be used, for the purpose of (1) avoiding penalties under the
> Internal Revenue Code or (2) promoting, marketing or recommending to
> another party any matters addressed herein.
>
>
>
>
>
> *From:* Lisa Rose <lisa@roselitigation.lawyer>
> *Sent:* Monday, May 16, 2022 8:57 AM
> *To:* Eric B. Coleman <ecoleman@wczlaw.com>
> *Cc:* Brett Ledermeier <bledermeier@mmatllaw.com>; Joseph G. Emanuel <
> joseph.emanuel@swiftcurrie.com>; Joanie J. Williams <jwilliams@wczlaw.com>;
> Tania Tuttle <ttuttle@mmatllaw.com>; david.atkinson@swiftcurrie.com;
> Richard J. Capriola <rcapriola@wczlaw.com>
> *Subject:* RE: Sweatman v. Zeeman; Zeeman Discovery Responses - Statutory
> Electronic ServiceEric B. Coleman <ecoleman@wczlaw.com>
>
>
>
>
>
> *CAUTION: This email originated from outside the organization. Do not
> click links or open attachments unless you recognize the sender and know
> the content is safe.*
>
>
>
> Eric,
>
>
>
> Good morning and thank you for the call on Friday, and the email below
> that summarizes our discussion.
>
>
>
> Please let me know if your client is interested in attending mediation
> prior to scheduling her deposition. In past discussions with Tania and
> Lucy, I proposed Phill Bettis as a qualified neutral for this matter. Not
> only is Phill an expert in real estate law, but he also serves as a part
> time judge. I am open to other suggestions for a neutral from defense
> counsel.
>
>
>
> Thanks,
>
> Lisa
>
>
>
>
>
> *Lisa Rose*
> Rose Litigation, LLC
>
> *Mailing: * 4880 Lower Roswell Rd. Ste 165-522 Marietta, GA 30068
>
> *Physical:* 533 Johnson Ferry Road, Bld. D, Suite 400, Marietta, GA 30068
> *O:* 678.806.8188 <770.231.9783> *E: *lisa@roselitigation.lawyer
> <lisa@roselitigation.lawyer> *W: *www.roselitigation.lawyer
>
>
>
>
>
> *CONFIDENTIALITY NOTICE*
>
>
> This e-mail is from a law firm, and may contain information that is
> privileged or confidential. If you are not the intended recipient, do not
> read, copy or otherwise distribute this e-mail or any attachments hereto.
> If you received this e-mail in error, please immediately notify us by reply
> e-mail and delete this message and any attachments. In the absence of an
> Engagement Letter or a signed Fee Agreement, receipt of this email,
> including attachments, does NOT constitute any legal advice, does NOT
> establish any attorney-client relationship, and does NOT create any legal
> duty. If you are a client of this firm, please be advised that copying,
> forwarding or transmitting this email in any way to any third party may
> WAIVE your attorney/client privilege, which may have a detrimental impact
> on your case.
>
>
>
> *From:* Eric B. Coleman <ecoleman@wczlaw.com>
> *Sent:* Friday, May 13, 2022 3:14 PM
> *To:* Lisa Rose <lisa@roselitigation.lawyer>; Tania Tuttle <
> ttuttle@mmatllaw.com>; Richard J. Capriola <rcap
Attachments¶
image001.png (image/png, 3 KB)
image002.jpg (image/jpeg, 2 KB)
image003.png (image/png, 2 KB)
image004.jpg (image/jpeg, 4 KB)
image005.jpg (image/jpeg, 2 KB)