Case File
efta-efta00723302DOJ Data Set 9OtherBU RMAN. CRITTON
Date
Unknown
Source
DOJ Data Set 9
Reference
efta-efta00723302
Pages
2
Persons
0
Integrity
No Hash Available
Extracted Text (OCR)
Text extracted via OCR from the original document. May contain errors from the scanning process.
BU RMAN. CRITTON
LUTTIER &COLEMAN. LLP
YOUR
TRUSTED
ADVOCATES
A LIMITED LIABILITY PARTNERSHIP
). MICHAEL BURMAN. PA."
GREGORY W. COLEMAN. PA
ROBERT D. CRITTON. JR PA I
BERNARD A. LEBEDEKER
MARK T. LUTTIER. PA.
JEFFREY C. PENN
MICHAEL
PIKE
HEATHER MCNAMARA RUDA
DAVID A. YAREMA
I1LORJOA BOARD C1RTIPIED CIVIL TIDAL 1Avtfrit
2ADMITTED TO PRACTICE IN FLORIDA AND COLORADO
December 11, 2009
Sent by E-Mail Only
Robert Josefsberg, Esq.
P hurst Orseck P.A.
Re:
Special Master Agreement
Dear Bob:
ADELQDI J. BENAvENTE
PARALEDAVINYESTiGATOR
JESSICA CADWELL
BOBBIE M. MCKENNA
ASHLIE STOKEN-BARING
BETTY STOKES
PARALEGALS
RITA H. BUDNYK
Of COUNSEL
EDWARD At RICCI
SPECIAL CONSUMER
JUSTICE COUNSEL
In reviewing your billing statements, I sent you and Kathy an e-mail. The e-mail
hat ou identify the matter and number with a particular client, i.e. if matter
i.d. that for me. I am assuming the "common" designation was
where time was umped which was purportedly applicable to all of your clients. I could
not identify that either Susan or Amy identified a specific client with regard to their
billings. Is that correct?
Obviously my files did not look like yours. With regard to your clients, other than
some background information which we obtained, I have only two pleading and
correspondence files, Jane Doe 101 and Jane Doe 102. Those are the only two cases
that were filed.
Jane Doe 102 had minimal legal work. I also don't recall that your
office set any depositions which was subsequently taken. Therefore I am going to need
my expert to look at your files to understand the basis of your $2 million plus claim; that
would include the files of Amy and Susan as well.
Is there some manner that you can specifically i.d. your costs separate from
photocopy and copies of deposition, etc. such as any reports or examinations that were
performed? Identify the person or entity which did an exam, the cost; and you should
• PHONE:
WWW. BC LC LAW.0 OM
• FAX:
EFTA00723302
December 11, 2009
Page 2
probably send me a copy of the bill. To merely list a large amount, with no backup
information is of no assistance whatsoever.
Finally, would you please provide me a C.V. for the attorneys and anyone else
who worked on the file. If someone was a timekeeper who charged a fee, I need to
know who that person is, his or her qualifications, etc.
I shall look forward to your response.
Cordially yours,
v24.64_7 6 Cc
Robert D. Critton, Jr. (
RDC/clz
cc.
Kathy Ezell, Esq.
EFTA00723303
Forum Discussions
This document was digitized, indexed, and cross-referenced with 1,400+ persons in the Epstein files. 100% free, ad-free, and independent.
Annotations powered by Hypothesis. Select any text on this page to annotate or highlight it.