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  • AFFINITY PLUS FEDERAL CREDIT UNION vs Aggrey Kwame Consumer Credit Contract document preview
  • AFFINITY PLUS FEDERAL CREDIT UNION vs Aggrey Kwame Consumer Credit Contract document preview
  • AFFINITY PLUS FEDERAL CREDIT UNION vs Aggrey Kwame Consumer Credit Contract document preview
  • AFFINITY PLUS FEDERAL CREDIT UNION vs Aggrey Kwame Consumer Credit Contract document preview
						
                                

Preview

62-CV-23-6188 Filed in District Court State of Minnesota 11/20/2023 2:59 AM CONSUMER CREDIT CONTRACT STATE OF MINNESOTA DISTRICT COURT COUNTY OF RAMSEY SECOND JUDICIAL DISTRICT Affinity Plus Federal Credit Union RULE 26'06(c) DISCOVERY PLAN Plaintiff, vs. Aggrey Kwame Court File No. Defendant(s). TO: Attorney, William Kline 17922 Fitch, Suite 150 IRVINE, CA 92614 Pursuant to Rule 26.06(c) of the Minnesota Rules of Civil Procedure, the parties submit the following Discovery Plan: (1) Plaintiff provided its 26.01(a) Required Disclosures on July 10, 2023. Plaintiff proposes Defendant provide his/her 26.01(a) Required Disclosures as soon as possible. (2) Discovery will be needed on any denial, dispute, or defense claimed or asserted by Defendant. Discovery should not be conducted in phases, but should be limited to the issues raised in Plaintiff's Complaint and Defendant's Answer. (3) Any of Plaintiff's electronically stored information can be reproduced in hardcopy format. (4) Parties may claim privilege of or protection of trial-preparation materials at the time of production. If a party disagrees with a designation, the disagreeing party must object to the designation within fourteen days of receiving the document. If the parties are unable to resolve a designation dispute, the parties may petition the court for a determination. MN_0303 File No: 23-112610 Page 1 of 2 62-CV-23-6188 Filed in District Court State of Minnesota 11/20/2023 2:59 AM (5) N0 changes should be made to the limitations on discovery imposed under the Minnesota Rules of Civil Procedure or Local Rules. Plaintiff does not propose any other limitations. (6) The court need not issue any other orders under Rules 26.03, 16.02, and 16.03 at this time. MESSERLI & KRAMER PA Marcus S. fioston [xi/ff? r: 0431-157 MN DATE: eSigned on 7/11/2023 in Hennepin County, MN 3033 Campus Drive, Ste. 250 Plymouth, MN 55441 cc—litigation@messerlikramer.com Ph#: (763) 548-7900 Fax#: (763) 548—7922 Dated: This ___ day of ,2023 William Kline DEFENDANT'S ATTORNEY MN_0303 File No: 23-112610 Page 2 of 2