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Re Zeeman Motion To Quash Subpoena For Review 3

Field Value
Category Correspondence > Attorney-to-Attorney
Confidence high
Reason Attorney requesting typo correction before signing motion document
Original File re-zeeman-motion-to-quash-subpoena-for-review-3.msg
File Type MSG

Email

Header Value
From rcapriola@wczlaw.com
To Joseph G. Emanuel; Brett Ledermeier; Tania Tuttle; Eric B. Coleman; Lisa Rose
Subject RE: Zeeman - Motion to Quash Subpoena for Review
Date Zeeman - Motion to Quash Subpoena for Review
Email Body

Please correct this typo and then you may sign for me:

and thereafter be extending discovery for a period of 90 days;

http://www.wczlaw.net/


Rich Capriola

Winter Capriola Zenner, LLC

One Ameris Center 3490 Piedmont Road NE, Suite 800 Atlanta, GA 30305 www.wczlaw.com http://www.wczlaw.com/

rcapriola@wczlaw.com rcapriola@wczlaw.com

View Bio https://wczlaw.com/attorneys/chadd-l-reynolds/

tel

dir tel

404.844.5700

404.844.5637

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From: Joseph G. Emanuel joseph.emanuel@swiftcurrie.com Sent: Tuesday, July 5, 2022 12:07 PM To: Brett Ledermeier bledermeier@mmatllaw.com; Richard J. Capriola rcapriola@wczlaw.com; Tania Tuttle ttuttle@mmatllaw.com; Eric B. Coleman ecoleman@wczlaw.com; Lisa Rose lisa@roselitigation.lawyer Cc: Darcy A. DeFruscio ddefruscio@mmatllaw.com; David Atkinson David.Atkinson@swiftcurrie.com Subject: RE: Zeeman - Motion to Quash Subpoena for Review

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Lisa and Defense Counsel: Well sign and file the agreed-upon discovery Motion upon your approval. Draft is attached.

This will not affect Plaintiffs duty to provide outstanding responses to written discovery prior to mediation, though we did provide a 3 week extension.

We still need to select a neutral and schedule a mediation date. In my last call with Lisa, I suggested Judge Forsling at Miles.

Joe Emanuel http://joseph.emanuel@swiftcurrie.com/

404.888.6231

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