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1833879B Zeeman 09.13.22 2

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Category Correspondence > Attorney-Client
Confidence high
Reason Attorney Capriola communicates directly with client Sarah Zeeman regarding case strategy and mediation preparation
Original File 1833879b_zeeman_09.13.22_2.pdf
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1833879b_zeeman_09.13.22_2.pdf

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Richard J. Capriola, Esq.

dir tel 404.844.5637

ns

rcapriola@wezlaw.com

IOLA ZENNER = WINTER CAPR attorneys at law ’

Winter Capriola Zenner, LLC

One Securities Centre

3490 Piedmont Road NE

Suite 800

far "feaseass700

fax 404.844.5701 wczlaw.com

September 13, 2022

VIA EMAIL szeeman@ gmail.com Sarah Zeeman

2740 Grove Street, NE Brookhaven, GA 30319

Re:

Jonathan Sweatman v. Sarah Zeeman, Superior Court of DeKalb County, Civil Action File No. 21CV9795

Dear Sarah:

I wanted to follow up with you in advance of the mediation on October 25" to be sure we will be ready. I am concerned that we will not have an estimate to share with the plaintiff and his insurance carrier to allow them and you to value the counterclaim in advance of the mediation. An estimate will put you in the best position to reach a settlement at mediation. You have asked that Haight Davis be placed on hold, and they have. Please let me know how you want to approach this as we are running out of time. As always, please call me to discuss. Sincerely,

/s/ Richard J. Capriola Richard J. Capriola RIC/jw