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Re Final Request Immediate Production Of Client File Sweatman V. Zeeman 21Cv9795 3

Field Value
Category Correspondence > Attorney-Client
Confidence high
Reason Attorney responding to client demand for production of client file
Original File re-final-request-immediate-production-of-client-file-sweatman-v.-zeeman-21cv9795-3.msg
File Type MSG
Source hdd-1
re-final-request-immediate-production-of-client-file-sweatman-v.-zeeman-21cv9795-3.msg

Email

Header Value
From /O=EXCHANGELABS/OU=EXCHANGE ADMINISTRATIVE GROUP (FYDIBOHF23SPDLT)/CN=RECIPIENTS/CN=1F4918A5604845759F64CD78928B4DF1-BRETT LEDER
To Sarah Zeeman; Tania Tuttle
Subject Re: Final Request Immediate Production of Client File (Sweatman v. Zeeman, 21CV9795)
Date Final Request Immediate Production of Client File (Sweatman v. Zeeman, 21CV9795)
Email Body
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 <mailto:bledermeier@mmatllaw.com> 



 <blob:outlook-mobile-compose:///8f440446-20d8-423b-9586-5555e4bfdb2d> 


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, CAD files, exhibits, and related materials in any version (including draft, revised, redlined, submitted, or filed versions), as well as all communications or documents exchanged with surveyors, expediters, the City, Court, opposing counsel, or any third parties relating to my matter.

If I do not receive confirmation and full production within that timeframe, I will pursue appropriate remedies to obtain my file.

Sincerely,

Sarah Zeeman

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