Thanks. My in-laws are age 70 and 77, and they treat me better than my own family ever did. I would not give up my 12th Christmas vacation to Poland under any circumstances. Best regards, Bill William Favre Slater, III MBA, M.S., PMP, CISSP, SSCP, CISA, ISO 27002, ISO 20000, ITIL v3, Cloud Computing Foundation Project Manager / Program Manager slater@billslater.com williamslater@gmail.com http://billslater.com/career 773 - 235 - 3080 - Home 312 - 758 - 0307 - Mobile 1337 N. Ashland Ave. No. 2 Chicago, IL 60622 United States of America From: Wolford Lisa [mailto:lisa@csss.net] If at all possible Bill, we will want to accommodate your schedule but it is of maximum importance to inconvenience Cynowa since his ticket will cost a maximum during the Christmas season. This may incentivize Cynowa to drop the case. Conversely the courts may not be available during that season and cynowa may not have the PTO or vacation time available after the holidays. Lisa N. Wolford CSSS.NET President & CEO SDVOSB, 8(a)/SDB & WOB 202-639-5101 DC Office 402-393-8059 ext 145 From: William F. Slater, III [mailto:slater@billslater.com] John, et al FYI - I sent this to my management at work yesterday: I plan to be on my 12th Christmas Vacation in Poland from December 17, 2011 – January 8, 2012, returning to work on Monday, January 9, 2012. If necessary, I could do some work from Poland, but keep in mind that: 1. Poland is UTC + 1 (Seven hours ahead of Chicago) 2. SKYPE is a possible , but we cannot count on toll-free connections via phone Best regards, Bill William Favre Slater, III MBA, M.S., PMP, CISSP, SSCP, CISA, ISO 27002, ISO 20000, ITIL v3, Cloud Computing Foundation Project Manager / Program Manager 773 - 235 - 3080 - Home 312 - 758 - 0307 - Mobile 1337 N. Ashland Ave. No. 2 Chicago, IL 60622 United States of America From: John Murray [mailto:jmurray@rddlaw.net] All: Attached please find today’s Order, in which Judge Maras scheduled hearing on our recently filed motion to dismiss for December 15, 2011. In addition, due to the fact that we want our motion heard prior to any settlement conference, the Court struck the pretrial settlement conference scheduled for November 29, 2011. We will get with you later concerning your availability for a future pretrial settlement conference. Thanks. Regards, John E. Murray, Esq. Associate Attorney Rachlis Durham Duff Adler & Peel, LLC Phone: (312) 275-0338 Fax: (312) 733-3952 Email: jmurray@rddlaw.net Website: http://www.rddlaw.net RACHLIS This transmission may be: (1) subject to the Attorney-Client Privilege, (2) an attorney work product, or (3) strictly confidential. If you are not the intended recipient of this message, you may not disclose, print, copy or disseminate this information. If you have received this in error, please reply and notify the sender (only) and delete the message. Unauthorized interception of this e-mail is a violation of federal criminal law. |