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Wed 11 Mar 2026 10 32 04 0400 Utf 8 Q Re 3A Client File Request E2 80 93 Sweatman V 2E Zee 19Cdd4Fd 2

Field Value
Category Correspondence > Attorney-Client
Confidence high
Reason [sonnet] Zeeman emailing Ledermeier about client file retrieval
Original File wed_11_mar_2026_10_32_04_-0400_utf-8_q_re_3a_client_file_request_e2_80_93_sweatman_v_2e_zee_19cdd4fd_2.eml
File Type EML
Source gmail-export
wed_11_mar_2026_10_32_04_-0400_utf-8_q_re_3a_client_file_request_e2_80_93_sweatman_v_2e_zee_19cdd4fd_2.eml

Email

Header Value
From Sarah Zeeman <szeeman@gmail.com>
To Brett Ledermeier <bledermeier@mmatllaw.com>
CC Tania Tuttle <ttuttle@mmatllaw.com>, Celeste Watwood <cwatwood@mmatllaw.com>
Subject Re: Client File Request – Sweatman v. Zeeman
Date Wed, 11 Mar 2026 10:32:04 -0400
Email Body
Brett,

I wanted to follow up regarding the external hard drive that was delivered
to your office yesterday morning.

Please let me know when it will be ready for pickup with my client file
materials.

Thank you.

Best,
Sarah

On Mon, Mar 9, 2026 at 2:14 PM Sarah Zeeman <szeeman@gmail.com> wrote:

> Brett,
>
> Thank you for the clarification.
>
> As noted previously, I received access to the client portal on March 6,
> 2026 following my January 28, 2026 request for a complete copy of my client
> file.
>
> As you mentioned, the option to export documents to a drive, I will gladly
> send an external hard drive to your office, attention to you, so the files
> can be copied directly to help expedite the review process. I will send the
> Amazon shipping confirmation today for the drive in a separate email and
> will coordinate retrieval as soon as possible.
>
> Once I receive and review the full file on the drive, I will also confirm
> whether the file appears complete.
>
> I understand the proposed order and the City of Brookhaven redlines remain
> pending. I will address those materials after I have completed my review of
> the complete client file.
>
> At this stage, I am not yet in a position to provide a timeline for
> completing my review.
>
> Best,
> Sarah
>
> On Mon, Mar 9, 2026 at 11:21 AM Brett Ledermeier <bledermeier@mmatllaw.com>
> wrote:
>
>> Sarah,
>>
>>
>>
>> The only way to send the entirety of the file, which I did, is via the
>> practice management system. Otherwise, each document would need to be
>> exported, downloaded, and added to an additional drive.
>>
>>
>>
>> I am still waiting on your review of the proposed order with the redlines
>> from the City of Brookhaven. It has been nearly two years since the
>> settlement, which was read into the record, and the proposed order is to
>> get the plat approved by the City/County. I need this done otherwise we
>> risk a motion to compel being filed against us. Please provide me with a
>> turnaround time for your review; you’ve had it for quite some time now and
>> the other parties need an update. Again, this case was settled in May 2024,
>> favorably and with your approval. Pushing the agreement out this long isn’t
>> proper and it puts us in a bad position with the Judge. If we can get the
>> order approving the plat/settlement (which is already enforceable as it was
>> read into the record), which was the recommendation of Gaddy last year, we
>> could be the ones to file a motion to enforce and seek sanctions; this is a
>> far better legal strategy than having one filed against us.
>>
>>
>>
>> Please let me know if you’d like to set up a call to discuss. I am unable
>> to advocate for you without cooperation and I remain hopeful that this can
>> be wrapped up in its entirety soon.
>>
>>
>>
>> *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:* Monday, March 9, 2026 11:13 AM
>> *To:* Brett Ledermeier <bledermeier@mmatllaw.com>
>> *Cc:* Tania Tuttle <ttuttle@mmatllaw.com>
>> *Subject:* Re: Client File Request – Sweatman v. Zeeman
>>
>>
>>
>> Brett,
>>
>> Thank you. I received the client portal link on Friday, March 6, 2026,
>> following my January 28, 2026 request for a complete copy of my client file.
>>
>> It will take some time to download and review the file in full. I
>> appreciate you uploading the materials to the portal and have begun
>> reviewing them.
>>
>> Because the portal requires each item to be downloaded individually,
>> would it be possible to provide a bulk export of the file (for example, a
>> ZIP download of the documents, emails, and attachments), at least starting
>> for the period from January 2024 to present? That would make it much easier
>> for me to organize and review the materials efficiently.
>>
>> Once I am able to download and review the materials fully, I will be able
>> to confirm whether the production is complete. After completing that
>> review, I will follow up if any documents or communications a

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