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Tue 30 Jul 2024 08 45 24 0400 Re Update Request 2740 Grove Street Ne Brookhaven Ga 30319 19103Ac8 2

Field Value
Category Settlement > Correspondence
Confidence high
Reason [sonnet] Settlement negotiation email about survey/plat requirements with attorney
Original File tue_30_jul_2024_08_45_24_-0400_re_update_request_2740_grove_street_ne_brookhaven_ga_30319_19103ac8_2.eml
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tue_30_jul_2024_08_45_24_-0400_re_update_request_2740_grove_street_ne_brookhaven_ga_30319_19103ac8_2.eml

Email

Header Value
From Sarah Zeeman <szeeman@gmail.com>
To Brett Ledermeier <bledermeier@mmatllaw.com>, eric.zeni@stewart.com
Subject Re: Update Request: 2740 Grove Street NE Brookhaven, GA 30319
Date Tue, 30 Jul 2024 08:45:24 -0400
Email Body
Good morning,

As you stated above,
*The Agreement itself will be required to incorporate the new
survey/subdivision plat, tax assessor amendment, and potentially permitting
documents. Gaddy outlined why the survey is not just a standard survey; it
is rather technical, but it does ensure that everything is completed in
accordance with DeKalb and City of Brookhaven code.*

Can you provide more details on:
1. What this is ( in a simpler explanation)
2. What was Gaddy's outline
3. What are the "technical" parts
4. What is the difference between a standard survey and what Gaddy  (who
has been working with and surveying Brookhaven and Dekalb for decades) is
proposing needs to be done?

Best,
Sarah



On Mon, Jul 29, 2024 at 4:41 PM Brett Ledermeier <bledermeier@mmatllaw.com>
wrote:

> Sarah,
>
>
>
> I received your voicemail; I am on a conference call. I spoke with Gaddy,
> in length, and I am waiting for a formal quote/proposal with scope of work;
> he was supposed to send it over today – I will follow up. The Court date is
> only a status hearing to see where the settlement stands. If the parties
> agree, we can always dismiss the case without prejudice pending the
> settlement execution. The Agreement itself will be required to incorporate
> the new survey/subdivision plat, tax assessor amendment, and, potentially,
> permitting documents. Gaddy outlined why the survey is not just a standard
> survey and it is rather technical, but it does ensure that everything is
> completed in accordance with DeKalb and City of Brookhaven code.
>
>
>
> Once I have the quote, I will submit it for approval. Based on my call
> with Gaddy, it’s estimated to cost substantially more than the survey from
> the surveyor that Plaintiff and your prior counsel used. I understand you
> have raised issue with using Land Express as they were on the witness list
> for Plaintiff, and I have relayed those concerns to Stewart.
>
>
>
> As for the deposition, we did not set the deposition and never discussed
> the payment for the deposition, but I can send it for review. I can’t opine
> on any coverage related questions, so please reach out to Stewart regarding
> the same. I can, however, forward the invoice and request to Marimar.
>
>
>
> As soon as I have an update, I will let you know.
>
>
>
> If there’s anything else, please let me know.
>
>
>
> *Brett Michael-Schiff Ledermeier*
> *Senior Associate, Real Estate Litigation*
>
>
> 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, July 29, 2024 8:00 AM
> *To:* Brett Ledermeier <bledermeier@mmatllaw.com>; eric.zeni@stewart.com
> *Subject:* Update Request: 2740 Grove Street NE Brookhaven, GA 30319
>
>
>
> Mr. Ledermeier,
>
>
>
> Could I please get an update, and could you help me understand what is
> happening?
>
> 1. *Dekalb County court hearing scheduled for August 26th, 2024? - **FILED
> 7/17/2024*
>
> I learned about the upcoming court hearing over the weekend when I logged
> into the DeKalb County court case portal. My court settlement for Adverse
> possession by prescription before Senior Judge David B. Irwin was back in
> May 2024. What is this, and why do I have to go back to court again? (Court
> notification attached)
>
>
>
> 2. The outstanding payment of *$3,138.52* has been due for the deposition
> of the plaintiff, Jonathan Sweatman, since 2023; I have already covered my
> part last year for 1 of the 2 deposition bills they provided,
> Mr Ledermeier; when will Stewart be paying this half? (Outstanding Bill
> Attached)
>
>
>
> 3. The surveyor from Gaddy asked for a phone call on 7/25 about an update;
> could you let me know if this has been satisfied and when the scheduled
> survey date is?
>
> (Email attached)
>
>
>
> Thank you in advance for answering my questions.
>
>
>
> Best,
>
> Sarah Zeeman
>
> 404-372-6152
>
>
>
> Smokeball Reference:
> 5ab3d264-03bd-4ce8-b9f1-2c8a9bf470a8/59b94e47-c378-4714-a181-5740b19c0cc8.
> Smokeball Reference V3:
> fe80318a-fdfb-425f-9025-d790159d3013_5ab3d264-03bd-4ce8-b9f1-2c8a9bf470a8_59b94e47-c378-4714-a181-5740b19c0cc8.
>
> *Disclaimer*
>
> The information contained in this communication from the sender is
>

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