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Thu 5 Mar 2026 11 29 21 0500 Utf 8 Q Re 3A Final Request E2 80 93 Immediate Production Of 19Cbed51 2

Field Value
Category Discovery > Written Discovery
Confidence medium
Reason Email filename references 'final request' and 'immediate production' suggesting discovery demand letter
Original File thu_5_mar_2026_11_29_21_-0500_utf-8_q_re_3a_final_request_e2_80_93_immediate_production_of_19cbed51_2.eml
File Type EML
Source gmail-export
thu_5_mar_2026_11_29_21_-0500_utf-8_q_re_3a_final_request_e2_80_93_immediate_production_of_19cbed51_2.eml

Email

Header Value
From Sarah Zeeman <szeeman@gmail.com>
To Brett Ledermeier <bledermeier@mmatllaw.com>
CC Tania Tuttle <ttuttle@mmatllaw.com>, Brent Warren <bwarren@mmatllaw.com>, Celeste Watwood <cwatwood@mmatllaw.com>
Subject Re: Final Request – Immediate Production of Client File (Sweatman v. Zeeman, 21CV9795)
Date Thu, 05 Mar 2026 11:29:21 -0500
Email Body
Brett,

Thank you for the update.

Please confirm the expected production date for the complete client file
once the issue with your computer has been resolved.

I look forward to receiving the materials.

Sarah

On Thu, Mar 5, 2026 at 11:19 AM Brett Ledermeier <bledermeier@mmatllaw.com>
wrote:

> Sarah,
>
>
>
> I apologize for the delay – I am still working on it. My computer had a
> tech issue and was with IT all day yesterday to essentially reset it and
> run scans. I’m waiting on confirmation they are done/have fixed everything.
> I’ll either wrap it up today or before end of week.
>
>
>
> *Brett Michael-Schiff Ledermeier*
> *Senior Associate, Real Estate Litigation*
>
>
> *Mailing:  850 Windy Hill Road | Unit 1762 | Smyrna, GA 30081*
>
> 11625 Rainwater Drive  |  Ste 125   |   Alpharetta, Ga 30009
> Direct:  404.365.4564
>
> Main: 770.200.7000
>
> bledermeier@mmatllaw.com
>
>
>
>
>
>
> CONFIDENTIALITY NOTICE
> No attorney-client relationship exists by virtue of this communication in
> absence of an engagement letter or fee contract. In addition, unless you
> are in the To: or CC: line of this email, you are not an intended
> recipient. The information accompanying this email transmission may
> contain confidential or legally privileged information meant for ONLY
> the intended recipient. If you are not the intended recipient, you
> are hereby notified that any disclosure, copying, distribution or
> reliance upon the contents of this email is strictly prohibited. If you
> receive this email in error, please delete this email and notify the
> sender immediately.
>
>
>
> *From:* Sarah Zeeman <szeeman@gmail.com>
> *Sent:* Thursday, March 5, 2026 8:42 AM
> *To:* Brett Ledermeier <bledermeier@mmatllaw.com>
> *Cc:* Tania Tuttle <ttuttle@mmatllaw.com>; Brent Warren <
> bwarren@mmatllaw.com>; Celeste Watwood <cwatwood@mmatllaw.com>
> *Subject:* Re: Final Request – Immediate Production of Client File
> (Sweatman v. Zeeman, 21CV9795)
>
>
>
> Re: Follow-Up: Client File Request – Sweatman v. Zeeman (21CV9795)
>
>
>
> Brett,
>
> On March 2, 2026 you indicated that you would address my client file
> request that day.
>
> As of the close of business on March 4, 2026, I have not received the
> file, a production link, or confirmation of a production date.
>
> Please advise today when I should expect full production of my complete
> client file, as requested in my March 2, 2026 email.
>
> Thank you,
>
> Sarah Zeeman
>
> On Mon, Mar 2, 2026 at 10:12 AM Brett Ledermeier <bledermeier@mmatllaw.com>
> wrote:
>
> Sarah,
>
>
>
> I apologize, I have been traveling a lot for court. I will address this
> today. Additionally, please note that you are already in possession of
> substantially all of your file given prior requests.
>
>
>
> *Brett Michael-Schiff Ledermeier*
> 11625 Rainwater Drive  |  Ste 125   |   Alpharetta, Ga 30009
> Direct:  404.365.4564
>
> Main: 770.200.7000
>
> bledermeier@mmatllaw.com
>
>
>
>
>
>
> CONFIDENTIALITY NOTICE
> No attorney-client relationship exists by virtue of this communication in
> absence of an engagement letter or fee contract. In addition, unless you
> are in the To: or CC: line of this email, you are not an intended
> recipient. The information accompanying this email transmission may
> contain confidential or legally privileged information meant for ONLY
> the intended recipient. If you are not the intended recipient, you
> are hereby notified that any disclosure, copying, distribution or
> reliance upon the contents of this email is strictly prohibited. If you
> receive this email in error, please delete this email and notify the
> sender immediately.
> ------------------------------
>
> *From:* Sarah Zeeman <szeeman@gmail.com>
> *Sent:* Monday, March 2, 2026 9:27:36 AM
> *To:* Tania Tuttle <ttuttle@mmatllaw.com>
> *Cc:* Brett Ledermeier <bledermeier@mmatllaw.com>; Brent Warren <
> bwarren@mmatllaw.com>; Celeste Watwood <cwatwood@mmatllaw.com>
> *Subject:* Final Request – Immediate Production of Client File (Sweatman
> v. Zeeman, 21CV9795)
>
>
>
> Ms. Tuttle,
>
> On January 28, 2026, I submitted a written request to Mr. Ledermeier for
> my complete client file. I did not receive a response.
>
> On February 13, 2026, you acknowledged my request and indicated the matter
> would be reviewed. On February 21, 2026, I followed up. I was subsequently
> advised that I would receive everything “this week.” As of the close of
> business on Friday, February 27, 2026, no production has occurred and no
> firm production date has been provided.
>
> This email serves as a final request for production of my complete client
> file.
>
> Please confirm, no later than close of business Wednesday, March 4, 2026:
>
>    1. The exact date and method of production; and
>    2. That the production will include the complete electronic client
>    file, including but not limited to all emails, correspondence, pleadings,
>    drafts, internal notes, case management entries, and all plats, surveys,
>    drawings, CA

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