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Re Sweatman V. Zeeman 21Cv9795 28

Field Value
Category Correspondence > Attorney-to-Attorney
Confidence high
Reason Attorney request for trial continuation due to personal injury
Original File re-sweatman-v.-zeeman-21cv9795-28.msg
File Type MSG

Email

Header Value
From ccooke@cmlawfirm.com
To Brett Ledermeier; Timothy L. Mitchell; Jeff Banks; Lisa K. Rose; banksnriedel@hotmail.com; Noah Caldwell; David M. Atkinson; connely.doize@swiftcurrie.com
Subject RE: Sweatman v. Zeeman, 21cv9795
Date Sweatman v. Zeeman, 21cv9795
Email Body

Good afternoon all,

Have we gotten any word back from the Court on the requested continuation? If not, do we want to try and follow up?

Best Regards,

Chelsea Cooke D: (404) 881-2634 O: (404) 881-2622

From: Brett Ledermeier bledermeier@mmatllaw.com Sent: Friday, January 19, 2024 12:44 PM To: Chelsea Cooke ccooke@cmlawfirm.com; Bilic, Renata rbilic2@dekalbcountyga.gov; Timothy L. Mitchell tmitchell@cmlawfirm.com; Daldry, Amy Lynn ADaldry@dekalbcountyga.gov; Jeff Banks jeffsbanks@hotmail.com; Lisa K. Rose Lisa@roselitigation.lawyer; banksnriedel@hotmail.com; Noah Caldwell noah.caldwell@swiftcurrie.com; David M. Atkinson david.atkinson@swiftcurrie.com; connely.doize@swiftcurrie.com Subject: RE: Sweatman v. Zeeman, 21cv9795

Renata,

I hope all is well and 2024 is off to a great start. I have spoken with all counsel, copied hereto, regarding the trial and a recent injury and wanted to inform the Court that I fully dislocated my right knee, which took my MCL, ACL and other ligaments with it, and I am both unable to walk and unable to drive for at least 6 weeks; there have been some unforeseen complications stemming from the knee injury as well. For our firm, I have been handling this case almost exclusively and, having the consent of all counsel, would request that the case be continued from the current calendar given the circumstances. If the Court is amenable to continuing the case and/or would like confirmation of the injury from my orthopedic surgeon, I am happy to provide the same.

I apologize for any inconvenience and appreciate the Courts consideration. If you have any questions or need anything, please let me know.

I look forward to hearing from you.

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 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: Chelsea Cooke <ccooke@cmlawfirm.com ccooke@cmlawfirm.com > Sent: Wednesday, January 3, 2024 11:41 AM To: Bilic, Renata <rbilic2@dekalbcountyga.gov rbilic2@dekalbcountyga.gov >; Timothy L. Mitchell <tmitchell@cmlawfirm.com tmitchell@cmlawfirm.com >; Brett Ledermeier <bledermeier@mmatllaw.com bledermeier@mmatllaw.com >; Daldry, Amy Lynn <ADaldry@dekalbcountyga.gov ADaldry@dekalbcountyga.gov >; Jeff Banks <jeffsbanks@hotmail.com jeffsbanks@hotmail.com >; Lisa K. Rose <Lisa@roselitigation.lawyer Lisa@roselitigation.lawyer >; banksnriedel@hotmail.com banksnriedel@hotmail.com ; Noah Caldwell <noah.caldwell@swiftcurrie.com noah.caldwell@swiftcurrie.com >; David M. Atkinson <david.atkinson@swiftcurrie.com david.atkinson@swiftcurrie.com >; connely.doize@swiftcurrie.com connely.doize@swiftcurrie.com Subject: RE: Sweatman v. Zeeman, 21cv9795

Good afternoon Renata,

I hope this email finds you well and that you had a great new years. In regards to outstanding motions, Jonathan Sweatmans Motion To Quash a Request for Production of Sweatmans Tax Returns is pending. I have attached Sweatmans Motion and Zeemans Response to this email. We also plan on filing a Motion in Limine on behalf of Sweatman by weeks end. Lastly, I believe there are several objections Zeeman made in the Consolidated Pretrial Order.

In regards to the upcoming trial calendar, it is our understanding that we are currently position 2. Our expert has indicated that he is not available the week of January 9th. To the extent that the Court is amendable, we would respectfully ask that request that our case be called on the January 22nd calendar if at all possible to ensure both our expert and client are able to attend the trial.

Thank you for your attention to this matter and we look forward to your response.

Best Regards,

Chelsea Cooke D: (404) 881-2634 O: (404) 881-2622

From: Bilic, Renata <rbilic2@dekalbcountyga.gov rbilic2@dekalbcountyga.gov > Sent: Thursday, December 21, 2023 2:41 PM To: Timothy L. Mitchell <tmitchell@cmlawfirm.com tmitchell@cmlawfirm.com >; Chelsea Cooke <ccooke@cmlawfirm.com <mailto:cco

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