Sworn declaration of EEOC Deputy General Counsel James L. Lee who stated, "I was the Director of the Baltimore District Office from 2000 to 2003; have been the Deputy General Counsel since then."
Sworn declaration of EEOC Deputy General Counsel James L. Lee who stated, "I was the Director of the Baltimore District Office from 2000 to 2003; have been the Deputy General Counsel since then."
Sworn declaration of EEOC Deputy General Counsel James L. Lee who stated, "I was the Director of the Baltimore District Office from 2000 to 2003; have been the Deputy General Counsel since then."
KATRINA WEBSTER,
JAMES N. MATTIS,
SECRETARY OF DEFENSE, et al,
UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF COLUMBIA
Plaintiff,
" Case No. 17-1472-DLF
Defendants.
en)
DECLARATION OF JAMES L. LEE
1, James L. Lee, declare and state the following:
{am Deputy General Counsel atthe Equal Employment Opportunity Commission
(EEOC). I have been employed at EEOC since 1976; Iwas the Director of the
Baltimore District Office from 2000 10 2003; | have been Deputy General Counsel since
then,
[Lam submitting this declaration forthe Secretary of Defense's use inthe above-captioned
ratte,
have been informed thatthe Plaintiff, Katrina Webster, has filed a lawsuit that accuses
‘me of misconduct and violating her civil rights. Specifically, she alleges that I conspired
‘with officials ffom the Department of the Navy to deny her promotions and to otherwise
subject her toa patter and practice of discrimination and retaliation,
have no personal knowledge of Ms. Webster, her EEO complaints, or her lawsuit
‘At no time have I ever met or been in any contact with any Department of Navy officials
‘or employees with respect to Plaintiff5. Finally, a ofthe date ofthis declaration, {have not been served with subpoena fora
deposition inthis ease.
1 devas under penalty of pedjury, pursuant to Title 28, United States Code, Section 1746,
that the forgoing is true and correct tothe best of my information and knowledge,
(ESL.
uty Gener Counsel, EEOC
DATE 7 ,