Case 1:03-cv-00097-WDM-MJW
Document 210
Filed 03/02/2006
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IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO Case No.: 03-cv-00097 WDM-MJW
PRAIRIELAND PROCESSORS, INC., a Colorado corporation, Plaintiff, v. RIDGEFIELD FARMS, LLC, a Connecticut limited liability corporation, WEST-CONN MEAT CO., INC., a Connecticut corporation, and RICHARD GREENFIELD, Defendants, ELDON ROTH, REGINA ROTH, KEVIN LAFLEUR, and DONALD BABCOCK, Additional Counterclaim Defendants.
JOINT STATEMENT TO COURT RE: DEPOSITION DESIGNATIONS FOR USE AT TRIAL
The parties, through their attorneys, following a conference call with the Clerk of the Court, respectfully advise the Court of the following relative to the deposition designations and hearing transcripts previously filed with the Court: 1.. Plaintiff will use at trial the previously designated deposition testimony of the
following individuals: a. b. Richard Greenfield John Canfora
P:\2689\002\pld\List of Designations for Use at Trial
Case 1:03-cv-00097-WDM-MJW
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Color marked copies of these deposition transcript designations and counter-designations were filed with the Court today, and the parties previously filed their separate respective objections to these designations. 2. Defendants will use at trial the previously designated deposition and hearing
testimony of the following individuals: a. b. c. Rick Damore Lawrence Morriss Scott Sehnert
Color marked copies of these deposition transcript designations and counter-designations were filed with the Court today, and the parties previously filed their separate respective objections to these designations. 3. Depending on the availability of witnesses to testify live and other considerations,
Defendants may use the designated deposition testimony of the following individuals (who were listed as "will call" witnesses by Plaintiff on February 21, 2006): a. b. c. Don Babcock Jeffrey Greer Richard Jochum
Color marked copies of these deposition transcript designations and counter-designations were filed with the Court today, and the parties previously filed their separate respective objections to these designations. 4. The parties reserve rights regarding rebuttal witnesses as permitted by the Court.
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Case 1:03-cv-00097-WDM-MJW
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DUCKER, MONTGOMERY, ARONSTEIN & BESS, P.C.
By:
s/David H. Stacy Marcus L. Squarrell David H. Stacy 1560 Broadway, Suite 1400 Denver, Colorado 80202 Telephone: (303) 861-2828 Facsimile: (303) 861-2017 Email: [email protected] [email protected] ATTORNEYS FOR PRAIRIELAND PROCESSORS, INC., ELDON ROTH, REGINA ROTH, DONALD BABCOCK AND KEVIN LAFLEUR SENN VISCIANO KIRSCHENBAUM P.C.
BY:
s/Frank W. Visciano__________________ Frank W. Visciano 1801 California St., #4300 Denver, CO 80202 Telephone: 303-298-1122 Fax: 303-296-9101 [email protected]
ATTORNEYS FOR DEEENDANTS RIDGEFIELD FARMS, LLC., WEST-C0NN MEAT CO., INC., AND RICHARD GREENFIELD AND COUNTERCLAIM PLAINTIFF RIDGEFIELD FARMS, LLC.
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Case 1:03-cv-00097-WDM-MJW
Document 210
Filed 03/02/2006
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CERTIFICATE OF SERVICE The undersigned hereby certifies that on the 2nd day of March, 2006, a true and correct copy of the foregoing was filed electronically with the Clerk of the Court using the CM/ECF system which will send notification of such filing to the following email addresses: [email protected] [email protected] Frank W. Visciano, Esq. Luis A. Toro, Esq. SENN · VISCIANO · KIRSCHENBAUM · MERRICK P.C. 1801 California Street, Suite 4300 Denver, Colorado 80202 Facsimile: 303-296-9101
By:
s/David H. Stacy Marcus L. Squarrell David H. Stacy 1560 Broadway, Suite 1400 Denver, Colorado 80202 Telephone: (303) 861-2828 Facsimile: (303) 861-2017 Email: [email protected] [email protected]
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