Preview Motion for Extension of Time - District Court of Arizona
INDEX OF EXHIBITS ATTACHED TO DEFENDANTS MOTION TO ALLOW
PHOTOGRAPH EXPERT JOHN A. ENGSTROM, III
Exhibit A Letter from Tara L. Jackson dated August 13, 2004
Exhibit B Plaintiff s Initial Rule 26 Disclosure Statement with
photographs
Exhibit C Deposition of Charlotte Hoek
Exhibit D Letter from Plaintiff s counsel, Dana L. Ringel, dated July
21, 2005 and
Affidavit of Charlotte Hoek
Exhibit E Copies of photographs labeled SOA001013-15
Exhibit F Expert report of Kimberly Yedowitz, RN dated July 27,
2005
Exhibit G Deposition of Kimm Hoek
Exhibit H Plaintiff s Seventh Supplemental Disclosure Statement
with photographs
Exhibit I Defendants’ Ninth Supplement Rule 26 Disclosure
Statement with photography expert Engstrom’s written
report
Exhibit J Letter from Dana L. Ringel dated September 19, 2005
Exhibit K Letter from Dana L. Ringel dated September 30, 2005
Exhibit L Declaration of Adam S. Kunz, Counsel for Starwood
Case 2:03-cv-02081-SRB Document 84-2 Filed 10/O7/2005 Page 1 of 1
10233-2/ASK/DAG/498623_v1
Case 2:03-cv-02081-SRB
Document 84-2
Filed 10/07/2005
Page 1 of 1