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Re Sweatman V. Zeeman Settlement Communications O.C.G.A. 24 4 408 1

Field Value
Category Settlement > Correspondence
Confidence high
Reason Attorney settlement negotiation email regarding stipulation and discovery deadline extension
Original File re-sweatman-v.-zeeman-settlement-communications-o.c.g.a.-24-4-408-1.msg
File Type MSG

Email

Header Value
From /O=EXCHANGELABS/OU=EXCHANGE ADMINISTRATIVE GROUP (FYDIBOHF23SPDLT)/CN=RECIPIENTS/CN=F820945A63984C5084823FED479950CC-SALLY L. CO
To Lucy Aquino; Lisa Rose; rcapriola@wczlaw.com
Subject RE: Sweatman v. Zeeman Settlement Communications O.C.G.A. 24-4-408
Date Sweatman v. Zeeman Settlement Communications O.C.G.A. 24-4-408
Email Body

Stip looks good to me.

Thanks Lisa and Lucy.

Sally Monico 11625 Rainwater Drive | Ste. 125 | Alpharetta, Georgia 30009 Direct: 404.365.4506

Main: 404.266.9171

smonico@mmatllaw.com smonico@mmatllaw.com *PLEASE NOTE MY NEW EMAIL ADDRESS

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: Lucy Aquino Lucy.Aquino@swiftcurrie.com Sent: Monday, March 14, 2022 5:20 PM To: Lisa Rose lisa@roselitigation.lawyer; Sally L. Monico SCook@mmatllaw.com; rcapriola@wczlaw.com Cc: Tania Tuttle ttuttle@mmatllaw.com; ecoleman@wczlaw.com; David Atkinson David.Atkinson@swiftcurrie.com Subject: RE: Sweatman v. Zeeman Settlement Communications O.C.G.A. 24-4-408

Hi Lisa,

Thank you for speaking with me on Thursday. As discussed, you have agreed to a two-extension from the original deadline of March 18 for respondents discovery responses, making her responses now due on Friday, April 1.

Counsel, I have attached a proposed stipulation memorializing the extension. Please let me know if I have your permission to sign and file with the Court.

Thank you,

Lucy Aquino http://Lucy.Aquino@swiftcurrie.com/

404.888.6202

NOTICE: This email message and all attachments may contain legally privileged and confidential information intended solely for the addressee. If you are not an intended recipient, your receipt of this email and its attachments is the result of an inadvertent disclosure or unauthorized transmittal. Sender reserves and asserts all rights to confidentiality, including all privileges that may apply. Pursuant to those rights and privileges, you are hereby notified that you may not read, copy, distribute or otherwise use this message or its attachments. If you have received this message in error, please notify the sender by email and delete all copies of the message and the attachments immediately. NO DUTIES ARE INTENDED OR CREATED BY THIS COMMUNICATION. If you do not have a signed fee contract or engagement letter with this firm, this firm does NOT represent you as your attorney.?

From: Lisa Rose <lisa@roselitigation.lawyer lisa@roselitigation.lawyer > Sent: Friday, February 11, 2022 11:13 AM To: Sally L. Monico <SCook@mmatllaw.com SCook@mmatllaw.com >; Lucy Aquino <Lucy.Aquino@swiftcurrie.com Lucy.Aquino@swiftcurrie.com >; rcapriola@wczlaw.com rcapriola@wczlaw.com Cc: Tania Tuttle <ttuttle@mmatllaw.com ttuttle@mmatllaw.com >; ecoleman@wczlaw.com ecoleman@wczlaw.com ; David Atkinson <David.Atkinson@swiftcurrie.com David.Atkinson@swiftcurrie.com > Subject: Sweatman v. Zeeman Settlement Communications O.C.G.A. 24-4-408

Counsel:

Good morning. I would like to schedule a conference call with you to discuss the claims asserted in the above referenced matter and see if the parties can explore settlement negotiations including but not limited to a boundary line/encroachment agreement and/or the sale of the disputed property to Ms. Zeeman. I recognize there are 3 firms defending this case, with limited roles, so it is unclear how to even advance settlement discussions.

I welcome a conference call or virtual meeting to initiate discussions on this dispute.

Please respond to this email and let me know how best to proceed with 3 different counsel of record.

Sincerely,

Lisa Rose

Lisa Rose Rose Litigation, LLC

Mailing: 4880 Lower Roswell Rd. Ste 165-522 Marietta, GA 30068

Physical: 533 Johnson Ferry Road, Bld. D, Suite 400, Marietta, GA 30068 O: 678.806.8188 E: lisa@roselitigation.lawyer lisa@roselitigation.lawyer W: www.roselitigation.lawyer http://www.roselitigation.lawyer/

CONFIDENTIALITY NOTICE

This e-mail is from a law firm, and may contain information that is privileged or confidential. If you are not the intended recipient, do not read, copy or otherwise distribute this e-mail or any attachments hereto. If you received this e-mail in error, please immediately notify us by reply e-mail and delete this message and any attachments. In the absence of an Engagement Letter or a signed Fee Agreement, receipt of this email, including attachments, does NO

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