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  • BURTON,NANCY v. MASON,DAVID PHILIPM00 - Misc - Injunction document preview
  • BURTON,NANCY v. MASON,DAVID PHILIPM00 - Misc - Injunction document preview
  • BURTON,NANCY v. MASON,DAVID PHILIPM00 - Misc - Injunction document preview
  • BURTON,NANCY v. MASON,DAVID PHILIPM00 - Misc - Injunction document preview
  • BURTON,NANCY v. MASON,DAVID PHILIPM00 - Misc - Injunction document preview
  • BURTON,NANCY v. MASON,DAVID PHILIPM00 - Misc - Injunction document preview
						
                                

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UWY-CV-21-5028294-S NANCY BURTON : SUPERIOR COURT : JUDICIAL DISTRICT v. : OF WATERBURY DAVID PHILIP MASON : ETAL. : NOVEMBER 8, 2021 PLAINTIFF'S MOTION FOR ORDER OF COMPLIANCE Pursuant to Practice Book Section 40-5, Plaintiff moves that the Court enter an order requiring the Special Defendants to produce forthwith documentation pertaining to the “ZOOM video conference” apparently conducted on or about May 7, 2020, as first disclosed in Defendant Mason’s “Replacement Reply . . .” (Entry #245.00) dated October 22, 2021, at page 4. According to the Mason reference, the Redding First Selectman, Julia Pemberton, Chief of the Redding police Department, Town Counsel Steven Stafstrom, Defendants David Philip Mason, Elinore Carmody, Dennis Gibbons, Susan Buzaid, in addition to “[unnamed] other town officials and other concerned residents, all participated in the meeting. As it appears that records, documents and the videotape of the meeting should have been disclosed to the Plaintiff in accordance with the Court’s Order respecting Limited Discovery, Plaintiff has been prejudiced by their withholding. THE PLAINTIFF 147 Cross Highway Redding CT 06896 Tel. 203-313-1510 NancyBurtonCT@aol.comORDER The foregoing motion having been heard, it is hereby ordered GRANTED/DENIED. BY THE COURT JUDGE/CLERK CERTIFICATION This is to certify that a copy of the foregoing was mailed electronically pursuant to Practice Book §10-13 on November 8, 2021 to the following and all counsel of record: Alexander W. Ahrens, Esq. Melick & Porter, LLP 900 Main Street South Southbury CT 06488 aahrens@melicklaw.com a