On October 21, 2019 a
Party Discovery
was filed
involving a dispute between
Summit Associates, Ltd., An Afghanistan Corporation,
Summit Associates, Ltd., A New York Corporation,
and
Abdul Rahman Yamrali,
for M50 - Misc - Declaratory Judgment
in the District Court of New Haven County.
Preview
DOCKET NO.: NNH-CV19-6091378-S : SUPERIOR COURT
SUMMIT ASSOCIATES, LTD : JUDICIAL DISTRICT OF NEW HAVEN
v. : AT NEWHAVEN
ABDUL RAHMAN YAMRALI : DECEMBER 6, 2019
NOTICE OF DEPOSITION
TO: ALL COUNSEL OF RECORD
Please take notice that at 2:00 p.m. on Friday, January 17, 2019 at the Law
Office of Pat Labbadia, III, 63 West Main Street, Clinton, CT 06413, the defendant,
ABDUL RAHMAN YAMRALI will take the deposition of the plaintiff, SUMMIT
ASSOCIATES, an Afghanistan entity, through its designated officers and/or agents,
concerning the following matters:
1. Any information concerning the formation of SUMMIT ASSOCIATES, LTD an
Afghanistan entity;
2. Any information concerning the business of SUMMIT ASSOCIATES, LTD an
Afghanistan entity;
3. Any information concerning the formation of SUMMIT ASSOCIATES, LTD a New
York entity;
4. Any information concerning the business of SUMMIT ASSOCIATES, LTD a New
York entity;
5. Any information concerning the connection of the defendant, ABDUL RAHMAN
YAMRALI with SUMMIT ASSOCIATES, LTD an Afghanistan entity and/or
SUMMIT ASSOCIATES, LTD a New York entity; and/or
6. Any information concerning any and all of the allegations of the Complaint.
Said designee shall testify upon oral examination pursuant to Practice Book Section 13-
26 et. seq., upon oral examination pursuant to Practice Book Section 13-26 et. seq.
before Alex DelVecchio, Court Reporter, or some other officer authorized by law to
administer oaths. The oral examination shall continue from day-to-day until completed.
You are invited to attend and cross-examine.
Pursuant to Practice Book Section 13-27 (g), the party deponent is requested to
bring with him documents and tangible things at the taking of the deposition in
accordance with any discovery requests which the defendant may make prior to the
time of the taking of this deposition.
THE DEFENDANT,
ABDUL RAHMAN YAMRALI
By:____/304992/_______________
Pat Labbadia, III
Law Office of Pat Labbadia
63 West Main Street
P.O. Box 365
Clinton, CT 06413
(860) 669-5656
Juris No. 304992
PLabbadia@aol.com
CERTIFICATION
I hereby certify that a copy of the above was mailed or electronically delivered on
December 6, 2019 to all counsel and pro se parties of record and that written consent
for electronic delivery was received from all counsel and pro se parties of record who
were electronically served.
David A. Slossberg
Hurwitz Sagarin Slossberg & Knuff LLC (026616)
147 North Broad Street
Milford, CT 06460
- Electronically served to: dslossberg@hssklaw.com
_______/304992/_______________
Pat Labbadia, III
Commissioner of the Superior Court
Document Filed Date
December 06, 2019
Case Filing Date
October 21, 2019
Category
M50 - Misc - Declaratory Judgment
For full print and download access, please subscribe at https://www.trellis.law/.