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ti <br /> 49 <br /> { <br /> 1 Q , Yes . <br /> 2 A . Okay . <br /> � 1 <br /> 3 Q . Have you been retained by Save-Mor to <br /> ii <br /> 4 testify at trial? <br /> ' 1 <br /> 5 A . I haven ' t been notified of that, no . <br /> 6 Q . Okay . Have you been asked to attend trial? <br /> 7 A . No . <br /> E' I <br /> 8 Q . Have you had any coinversations with anybody <br /> 9 representing Save-Mor since --excluding anybody from <br /> 10 Quorum or SHN -- since October 1.993? <br /> f' <br /> 11 A . Could you restate that? <br /> i <br /> .12 Q . I ' ll make it a little clearer, actually . <br /> i <br /> 13 Have you had any conversation with counsel <br /> I1 <br /> 14 for Save-Mor Oil other than today? <br /> 15 A . I had an interview- with Erickson -- is that <br /> t <br /> 16 his name? <br /> 17 Q . Grant Erickson? ' <br /> 12 I <br /> i 18 A . Grant Erickson , <br /> 19 Q . Okay . About when was that? <br /> 20 A . February 24th, 19941, <br /> i <br /> 21 Q . What, if anything, did Mr . Erickson tell <br /> i <br /> 22 you? iqi <br /> If <br /> 23 A . He let me know that' there was a lawsuit <br /> 24 regarding the property, that Mrd. Mozeb was filing suit <br /> 25 against Save-Mor regarding the disruption of his <br /> ii. <br /> I� <br /> PORTALE & ASSOCIATES (209 ) 462-3377 <br />