Case 1:04-cv-01490-KAJ
Document 26
Filed 12/01/2005
Page 1 of 1
NOLTE & ASSOCIATES
ATTORNEYS AT LAW
1010 N. BANCROFT PARKW AY SUITE 21 W ILMINGTON, DE 19805 TELEPHONE (302) 777-1700 FACSIMILE (302) 777-1705 E-MAIL [email protected]
December 1, 2005 The Honorable Kent A. Jordan United States District Court 844 N. King Street Lock Box 10 Wilmington, DE 19801 Re: Jamie Munoz v. Trammell Crow, et al C.A. No.: 04-1490 (KAJ) Dear Judge Jordan: Plaintiff in the above caption matter comes to the Court seeking its assistance regarding resolution of this matter. The parties reached what appeared to be a tentative settlement agreement in this matter on November 2, 2005. In exchange for the agreed upon settlement sum, Mr. Munoz would sign a Release of All Claims. However, since that time, defendants have been unable to produce a "settlement agreement or release" for plaintiff to review and sign. Plaintiff finds this delay to be frustrating and unnecessary and would ask that the Court advise if it would be willing to instruct the parties on how to expedite the resolution of this claim. My client remains committed to the terms of the agreement but cannot understand this delay. Respectfully submitted, /s/ R. Stokes Nolte R. STOKES NOLTE RSN/jfd cc: Tyler Brown, Esquire Jennifer Brady Elizabeth Winslow L. Oliver Frey, Esquire