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RE: (Cynowa v. CSSS) Subpoena for Larry Carver



Haytham:

 

Kevin is available on March 25th (in the morning) and March 29th (in the afternoon).  However, we should wait on finalizing the date until tomorrow to see if the Plaintiff attaches an affidavit from Larry Carver.  If he does, then obviously we’d like to ask him about it in advance of the presentment hearing on the MSJ, in which case we should shoot for either March 21, 22, or 23rd.  We’ll touch base tomorrow once we get the Plaintiff’s response.  Thanks.

 

 

 

John E. Murray, Esq.

Associate Attorney

Rachlis Durham Duff & Adler, LLC

542 South Dearborn Street, Suite 900

Chicago, IL 60605

Office: (312) 733-3950

Direct: (312) 275-0338

Mobile: (810) 824-7197

Fax: (312) 733-3952

Email: jmurray@rddlaw.net

Firm website: www.rddlaw.net

 

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From: Haytham [mailto:haytham@puckettfaraj.com]
Sent: Tuesday, March 01, 2011 5:24 PM
To: John Murray
Subject: Re: (Cynowa v. CSSS) Subpoena for Larry Carver

 

What dates are you all available. I will be free again after March 21. 

Haytham Faraj 

Sent from my iPhone


On Mar 1, 2011, at 1:38 PM, "John Murray" <jmurray@rddlaw.net> wrote:

Thanks Bethany.  We are working with the clerk’s office here in Chicago to obtain the written statement concerning reciprocity between Illinois and Virginia for purposes of discovery, but we need to know from Haytham what date we should put on the Illinois subpoena that we will send to you for filing with the Virginia court.  This date needs to be sufficiently far in advance in order to provide for reasonable notice and adequate time for service upon Mr. Carver.  Let me know what date works as soon as you can.  Thanks.

 

 

Regards,

 

John E. Murray, Esq.

Associate Attorney

Rachlis Durham Duff & Adler, LLC

542 South Dearborn Street, Suite 900

Chicago, IL 60605

Office: (312) 733-3950

Direct: (312) 275-0338

Mobile: (810) 824-7197

Fax: (312) 733-3952

Email: jmurray@rddlaw.net

Firm website: www.rddlaw.net

 

RACHLIS DURHAM DUFF & ADLER, LLC E-MAIL CONFIDENTIALITY NOTICE

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.


From: Bethany Trujillo [mailto:bethany@puckettfaraj.com]
Sent: Tuesday, March 01, 2011 2:14 PM
To: jmurray@rddlaw.net
Cc: 'Haytham'; kduff@rddlaw.net
Subject: (Cynowa v. CSSS) Subpoena for Larry Carver

 

Mr. Murray,

 

Mr. Faraj asked me to send this information to you regarding what we will need to subpoena Larry Carver in Alexandria, VA.  Please let me know if you need any further information.

 

§ 8.01-412.10. Issuance of subpoena.

A. To request the issuance of a subpoena under this article, a party shall submit to the clerk of court in the circuit in which discovery is sought to be conducted in the Commonwealth (i) a foreign subpoena and (ii) a written statement that the law of the foreign jurisdiction grants reciprocal privileges to citizens of the Commonwealth for taking discovery in the jurisdiction that issued the foreign subpoena.

B. When a party submits a foreign subpoena to a clerk of court in the Commonwealth, the clerk, in accordance with that court's procedure, shall promptly issue a subpoena for service upon the person to which the foreign subpoena is directed.

C. A subpoena under subsection B shall:

1. Incorporate the terms used in the foreign subpoena; and

2. Contain or be accompanied by the names, addresses, and telephone numbers of all counsel of record in the proceeding to which the subpoena relates and of any party not represented by counsel.

D. A request for the issuance of a subpoena under this article does not constitute an appearance in the courts of the Commonwealth, and no civil action need be filed in the circuit court of the Commonwealth.

E. The provisions of this article shall be in addition to other procedures authorized in the Code of Virginia and the rules of court for obtaining discovery.

(2009, c. 701.)

 

 

Bethany N. Trujillo
Office Manager/Legal Secretary

 

1800 Diagonal Road, Suite 210

Alexandria, Va. 22314

bethany@puckettfaraj.com
(703) 706-9566  Phone
(202) 318-7652  Fax

DC
׀ CA ׀ MI ׀ VA
www.PuckettFaraj.com

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