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Larry Schneider

From: Brent Tantillo [mailto:btantillo@tantillolaw.com]


Sent: Thursday, May 4, 2017 12:49 PM
To: Larry Schneider <larry@sacapitalpartners.com>; Brad Axel
<baxel@sacapitalpartners.com>; xlcruz@tantillolaw.com; mgill@tantillolaw.com; Lisa Wills
<lwills@tantillolaw.com>
Subject: Fwd: S&A Capital Partners, Inc., et al. v. JPMorgan Chase Bank, N.A., et al.
- Depositions
 
 
 
 
FYI
 
 
 
 
 
 
 
 
 
 
Sent from my MetroPCS 4G LTE Android Device
 
 
 
 
-------- Original message --------
 
From: "Levitz, Philip" <PLevitz@cov.com>
 
Date: 5/4/17 10:32 AM (GMT-05:00)
 
To: Brent Tantillo <btantillo@tantillolaw.com>
 
Cc: "Pistilli, Christian" <cpistilli@cov.com>, "Wick, Robert"
<rwick@cov.com>, mjfait@tantillolaw.com
 
Subject: S&A Capital Partners, Inc., et al. v. JPMorgan Chase Bank, N.A., et al. - Depositions
 
 
 
 
Brent,
 
 
 
 
I write to follow up on your request for depositions of Mike Boyle and Omar Kassem. As you
know, Mr. Boyle no longer works for Chase, and his travel schedule has made it difficult to
schedule his deposition. Mr. Boyle would be willing to appear for deposition on Friday, June 23
if that works for Plaintiffs. Mr. Kassem could be available for deposition the day before, on
June
22. These dates are after the current discovery cutoff of June 15, but we assume the court
would be willing to extend the cutoff at least through June 23 if the parties are agreeable. We

 
suggest taking up the question of an extension following the motion to compel hearing.
Please advise as to whether these dates are acceptable to Plaintiffs. The depositions would need
to occur in the Phoenix area, where both witnesses are located.
 
 
 
 
Regards,

Philip
 
 
 
 
Philip J. Levitz
 
Covington & Burling LLP
One CityCenter, 850 Tenth Street, NW
Washington, DC 20001-4956
T +1 202 662 5879 | plevitz@cov.com
www.cov.com
 
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