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opportunity to meet and respond to Plaintiff's counsel's
Interrogatories.
7. Objection. Beaudry objects to this Interrogatory
to the extent it seeks information and/or material which is
considered attorney work product, oubject to the attorney/client
privilege and/or trial preparation material. Without waiving the
foregoing objection, please be advised that discovery is in its
earliest stages and given the fact that Plaintiff's counsel
served written discovery prior to Beaudry being represented by
counsel, Beaudry and the undersigned counsel have not had the
opportunity to meet and respond to plaintiff's counsel's
Interrogatories.
B. Objection, Beaudry objects to this Interrogatory
to the extent it seeks information and/or material which is
considered attorney work product, subject to the attorney/client
privilege and/or trial preparation material. Without waiving the
foregoing objection, please be advised that discovery is in its
earliest stages and given the fact that Plaintiff's counsel
served written discovery prior to Beaudry being represented by
counsel, Beaudry and the undersigned counsel have not had the
opportunity to meet and respond to Plaintiff'S counsel's
Interrogatories.
9. Objection. Beaudry objects to this Interrogatory
to the extent it seeks information and/or material which is
considered attorney work product, subject to the attorney/client
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