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  • MUSEUM TOWER, LP  vs.  AUSTIN BUILDING COMPANYCNTR CNSMR COM DEBT document preview
  • MUSEUM TOWER, LP  vs.  AUSTIN BUILDING COMPANYCNTR CNSMR COM DEBT document preview
  • MUSEUM TOWER, LP  vs.  AUSTIN BUILDING COMPANYCNTR CNSMR COM DEBT document preview
  • MUSEUM TOWER, LP  vs.  AUSTIN BUILDING COMPANYCNTR CNSMR COM DEBT document preview
  • MUSEUM TOWER, LP  vs.  AUSTIN BUILDING COMPANYCNTR CNSMR COM DEBT document preview
  • MUSEUM TOWER, LP  vs.  AUSTIN BUILDING COMPANYCNTR CNSMR COM DEBT document preview
						
                                

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FILED DALLAS COUNTY 11/30/2018 3:39 PM FELICIA PITRE DISTRICT CLERK CAROLYN SELLERS Samuel D. Newton Attorney Direct 405.606.4711 sdnewton@phillipsmurrah.com Via E-file Re: Cause No. DC-18-02358 Museum Tower, LP, Plaintiff v. Austin Building Company, Defendant and Third Party Plaintiff v. EGR Construction, Inc., Third Party Defendant Rule 11 Submission Please find enclosed a copy of an e-mail whereby Austin Building Company agrees to extend the deadline for EGR Construction’s answers to Austin’s Request for Disclosure, First Set of Interrogatories, Request for Production, and Requests for Admission for purposes of memorializing the same in accordance with Tex. R. Civ. P. 11. Respectfully, Samuel D. Newton Newton, Samuel D. From: Flores, Paulo Sent: Monday, November 26, 2018 10:05 AM To: Newton, Samuel D. Cc: Walls, David A.; Leibrock, Fred A. Subject: RE: Austin's Written Discovery to EGR [EXTERNAL] That’s fine Sam; shoot me a Rule 11 (or you can use this if you want). Paulo Paulo Flores, Esq. Peckar & Abramson, P.C. 8080 North Central Expressway | Suite 1600, LB 65 | Dallas, TX 75206 Office 214.523.5100 | direct 214.523.5146 pflores@pecklaw.com| www.pecklaw.com mama dfl TEAEE- STHDHG From: Newton, Samuel D. Sent: Monday, November 26, 2018 9:08 AM To: Flores, Paulo Cc: Walls, David A. ; Leibrock, Fred A. Subject: Austin's Written Discovery to EGR Paulo— Due to the amount of data to review and the holidays, we were wondering if Austin would be willing to extend the deadline for EGR’s discovery responses until December 14? Regards, Sam Samuel D. Newton ATTorney I M 10] N. Murroh P.C. Corporate Tower Thir’reen’rh Floor Phillips Robinson | | Oklahoma City, OK 73102 M: 405.235.4100 F: 405235.41 33 | sdnewton@phillipsmurrc1h.com| VCard Profile | | Disclaimer: The email communico’rion and the documents accompanying this email communication con’roin information from the low firm of Phillips Murroh which communication and documents ore intended To be for The use of The individual or enfiTy named on this P.C., Transmission emoil only 0nd which may be confidential, privileged or attorney work product. you ore not The inTended recipient be If 1 aware that any disclosure, copying, distribution or use of the contents of this email information is strictly prohibited. If you received this email in error, please notify us immediately by email or telephone at 405-235-4100 and delete this email and any attachments. CONFIDENTIALITY NOTICE: This e-mail transmission, including previous e-mails and attachments, may contain confidential information that is legally privileged. If you are not the intended recipient, your disclosure, copying, distribution or use of information in or attached to this transmission is strictly prohibited. If you have received this transmission in error, please immediately notify us by reply e-mail and destroy the original transmission and its attachments without reading or saving them. 2