November 23, 1999. PLAINTIFF'S REQUEST TO RESUME DISCOVERY AND/OR OTHER PRETRIAL ACTIVITIES. Total of two (2) pages including CERTIFICATE OF SERVICE.



UNITED STATES DISTRICT COURT
DISTRICT OF MINNESOTA

JOHN GREGORY LAMBROS

Plaintiff

vs.

CHARLES W. FAULKNER, SUED AS ESTATE/WILL/BUSINESS INSURANCE OF DECEASED ATTORNEY CHARLES W. FAULKNER

ATTORNEY SHEILA REGAN FAULKNER

FAULKNER & FAULKNER

JOHN & JANE DOE'S

Defendants

CIVIL CASE NO.
98-1621 (DSD-JMM)

VERIFIED MOTION


PLAINTIFF'S REQUEST TO RESUME DISCOVERY AND/OR OTHER PRETRIAL ACTIVITIES.


COMES NOW, JOHN GREGORY LAMBROS, Plaintiff, Pro Se, requesting this court's ORDER to resume discovery and/or other pretrial activities due to the following facts:

 

1. March 26, 1999, United States Magistrate Judge John M. Mason, ORDERED that "[N]o discovery or other pretrial activity shall take place until after determination of said Motion [Defendants' Motion to Dismiss or for Summary Judgement]." See. March 26, 1999, ORDER, paragraph six (6).

2. Plaintiff requests this Courts guidance as to the orderly proceedings of this case so as to eliminate any further pretrial confusion.

3. Plaintiff requests this Court to ORDER Defendants to answer all unanswered ADMISSIONS and INTERROGATORIES, so as to expedite the orderly pretrial proceedings.

4. Plaintiff hereby states under the penalty of perjury that the foregoing is true and correct. Title 28 USC Section 1746.

EXECUTED: November 23, 1999.

JOHN GREGORY LAMBROS, Pro Se
Reg. No. 00436-124
USP Leavenworth
PO Box 1000
Leavenworth, Kansas 66048-1000


CERTIFICATE OF SERVICE

LAMBROS vs. FAULKNER et al., CIVIL CASE NO. 98-1621 (DSD/JMM)

I hereby state under the penalty of perjury that a true and correct copy of the attached:

a. PLAINTIFF LAMBROS' OBJECTION TO THE ORDER OF U.S. DISTRICT COURT JUDGE DAVID S. DOTY, DATED NOVEMBER 15, 1999, AS TO PLAINTIFF'S MOTION FOR SANCTIONS AGAINST DEFENDANTS' ATTORNEYS UNDER FEDERAL RULE OF CIVIL PROCEDURE 11 AND 28 U.S.C. 1927 BEING DENIED.

b. Exhibit A, attachment, "SUPPLEMENTAL INFORMATION AS TO PLAINTIFF LAMBROS' REQUEST FOR SANCTIONS AGAINST DEFENDANTS ATTORNEYS . . ." Dated November 19, 1999

was served the 22nd day of November, 1999, via U.S. Mail through the USP Leavenworth mailroom, to:

1. CLERK OF THE COURT
DISTRICT OF MINNESOTA
316 North Robert Street
St. Paul, Minnesota 55101-1460
One original and one copy

U.S. CERTIFIED MAIL NO. Z-233-386-966

2. Attorney Donna Rae Johnson
Attorney Donna Ellis
700 St. Paul Building
6 West Fifth Street
St. Paul, Minnesota 55101

3. INTERNET RELEASE TO BOYCOTT BRAZIL SUPPORTERS AND HUMAN RIGHTS GROUPS GLOBALLY

JOHN GREGORY LAMBROS, #00436-124
USP Leavenworth
PO Box 1000
Leavenworth, Kansas 66048-1000, USA
Web site: www.brazilboycott.org

End of Certificate of Service

 


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For more information write (snail mail) JOHN GREGORY LAMBROS directly at:

JOHN GREGORY LAMBROS
Prisoner No. 00436-124
U. S. Penitentiary Leavenworth
PO Box 1000
Leavenworth, KS 66048-1000
USA

THANK YOU FOR YOUR SUPPORT AND ASSISTANCE IN MY BOYCOTT OF BRAZILIAN PRODUCTS.