Skip to content

Notice To Take Deposition Of Jonathan Sweatman Ocr

Field Value
Category Discovery > Depositions
Confidence high
Reason Notice to take deposition of plaintiff Jonathan Sweatman scheduled for January 26, 2023
Original File 23-01.20.23-notice-to-take-deposition-of-jonathan-sweatman-ocr.pdf
File Type PDF

Document

Download PDF

Full Text (OCR)

IN THE SUPERIOR COURT OF DEKALB COUNTY STATE OF GEORGIA JONATHAN SWEATMAN,

§

Plaintiff,

§

V.

§

SARAH ZEEMAN,

§

Defendant.

§

§ CIVIL ACTION NO. 21CV9795

§

NOTICE TO TAKE DEPOSITION OF PLAINTIFF TO:

JONATHAN SWEATMAN, Plaintiff c/o Lisa Rose Email: lisa@roselitigation.lawyer

YOU ARE HEREBY NOTIFIED THAT, pursuant to O.C.G.A. §§ 9-11-26 and 9-11-30, Counsel for the Defendant will proceed to take the deposition upon oral examination of Plaintiff,

JONATHAN SWEATMAN, at 12:00 p.m. on the 26" day of January, 2023, at the law offices of Rose Litigation, LLC, 533 Johnson Ferry Road, Bld. D, Suite 400, Marietta, Georgia 30068. The deposition will be taken before an officer duly authorized by law to administer oaths and to

take depositions for use in accordance with the law and shall be recorded by stenographer and/or via videographer. This deposition will be taken for the purpose of discovery, cross-examination, and all other purposes authorized by Georgia law, and shall continue from day to day until

completed. You may attend and examine.

This the 20" day of January, 2023. RESPECTFULLY SUBMITTED,

Jeff Banks Attorney for Defendant

State Bar No. 005445

Page 1 of 4 Sweatman vy. Zeeman

CAFN: 21CV9795

Banks & Riedel, P.C. 970 Walnut St.

Macon, Georgia 31201 Phone No.: (478) 254-3230 Facsimile: (478) 254-3880 banksnriedel @ gmail.com

Page 2 of 4 Sweatman v. Zeeman

CAEN: 21CV9795

IN THE SUPERIOR COURT OF DEKALB COUNTY STATE OF GEORGIA JONATHAN SWEATMAN,

§

Plaintiff,

§

V.

§

SARAH ZEEMAN,

§

Defendant.

§

§ CIVIL ACTION NO. 21CV9795

§

CERTIFICATE OF SERVICE

I hereby certify that I have this day served the opposing party to this action with a copy of the within and foregoing Notice to Take Deposition of Plaintiff by transmission to an electronic

filing service provider for service through the state’s electronic filing manager (Odyssey eFileGA), and by depositing a copy of the same in the United States Mail, with adequate postage affixed thereto, addressed as follows: LISA ROSE VIA ELECTRONIC SERVICE

This the 20" day of January, 2023. RESPECTFULLY SUBMITTED,

Jeff Banks Attorney for Defendant

State Bar No. 005445 Banks & Riedel, P.C. 970 Walnut St. Macon, Georgia 31201

Phone No.: (478) 254-3230 Facsimile: (478) 254-3880 banksnriedel @ gmail.com

Page 3 of 4 Sweatman v. Zeeman

CAFN: 21CV9795

IN THE SUPERIOR COURT OF DEKALB COUNTY STATE OF GEORGIA JONATHAN SWEATMAN,

§

Plaintiff,

§

V.

§

SARAH ZEEMAN,

§

Defendant.

§

8 CIVIL ACTION NO. 21CV9795

§

RULE 5.2 CERTIFICATE OF SERVICE

COMES NOW Defendant SARAH ZEEMAN, and hereby files this Certificate in compliance with Uniform Superior Court Rule 5.2. I hereby certify that I have served a copy of the within and foregoing Notice to Take Deposition of Plaintiff upon the opposing party’s Counsel of Record by placing a copy of the same in an envelope with sufficient first-class postage affixed to insure timely delivery and depositing the same in the United States Mail addressed to: LISA ROSE VIA ELECTRONIC SERVICE

This the 20" day of January, 2023. RESPECTFULLY SUBMITTED,

Jeff Banks Attorney for Defendant

State Bar No. 005445 Banks & Riedel, P.C. 970 Walnut St. Macon, Georgia 31201 Phone No.: (478) 254-3230 Facsimile: (478) 254-3880 banksnriedel @ gmail.com

Page 4 of 4 Sweatman v. Zeeman

CAFN: 21CV9795