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  • Johnson Erica L Vs Korzeniowski Md Philip AMedical Malpractice document preview
  • Johnson Erica L Vs Korzeniowski Md Philip AMedical Malpractice document preview
						
                                

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ATL-L-001842-17 06/26/2019 8:40:45 AM Pg 1 of 1 Trans ID: LCV20191116617 Dominic A. DELAURENTIS, JR.* STAHL & DELAURENTIS, P.C. DAVID P. BRIGHAM ATTORNEYS AT LAW SHARON K. GALPERN RoBERT D. BROWN BRYAN GASTER+ MARCIA STANDER FREEDMAN** 10 E, CLEMENTS BRIDGE ROAD ERICA L. BUSCH JOHN A. TALVACCHIA* RUNNEMEDE, NJ 08078 MICHAELC. PACHOLSKI Dominic A. DELAURENTIS III * Certified by the Supreme Court of (856) 380-9200 New lersey as a Civil Tral Attorney ** Cerufied by the Supreme Court of New FAX: (856) 939-1354 Jersey as 8 Workers’ Compensation VISIT OUR WEB SITE: WWW.STAHL-DELAURENTIS.COM Law Attorney + Of Counset E-mail: dad@sdnjlaw.com File No. 17920 Direct Dial (856) 402-2569 Assistant: 856-402-2574 June 25, 2019 Honorable James P. Savio, J.S.C. Atlantic County Superior Court 1201 Bacharach Boulevard Atlantic City, NJ 08401 Re: Johnson v. Korzeniowski, et al Docket No.: L-1842-17 Dear Judge Savio: lam in receipt of Mr. Greenberg’s June 20, 2019, correspondence to Your Honor regarding recusal. We have expended quite a bit of time and energy scheduling this trial for August 5, 2019. Dr. Korzeniowski has made arrangements for coverage of his practice. It would be quite a hardship if the August 5, 2019, trial date was adjourned. It will also be difficult to reschedule on a timely basis given my trial schedule, of older cases, in the fall. I would appreciate a telephone conference to discuss the issue of recusal. I do not have any knowledge as to whether or not Your Honor actually participated in Dr. Korzeniowski’s defense. I reached out to him and he does not remember ever having you as his attorney. It is quite possible that Mr. Drake or Mr. Reynolds handled his case, if in fact, that firm did handle his case. He recalls a firm in North Jersey handling the matter. With regard to Dr. Kimmel, his testimony is on video. I do not believe that there are any substantive objections that will require Your Honor’s ruling. We have not received that transcript yet. I would like to do anything to avoid the adjournment of the August 5, 2019, trial date. Res bmitted, DOMINI eLAURENTIS, JR DAD/jb cc: Robert A. Greenberg, Esq.