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Delph v. Kirkwood, 4:17-cv-542-DPM. (2018)

Court: District Court, E.D. Arkansas Number: infdco20180824b63 Visitors: 18
Filed: Aug. 23, 2018
Latest Update: Aug. 23, 2018
Summary: ORDER D.P. MARSHALL, JR. , District Judge . The Court received the attached letter from Delph. If Delph has answered Kirkwood's discovery requests, she must file a copy of her answers with the Clerk by 31 August 2018. The Court will hold a one-hour hearing on Kirkwood's Motion to Compel, No. 30, at 9:00 am on 18 October 2018 in courtroom B-155 of the Richard S. Arnold United States Courthouse at 600 West Capitol Avenue, Little Rock, Arkansas, 72201. Delph and counsel for Kirkwood must att
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ORDER

The Court received the attached letter from Delph. If Delph has answered Kirkwood's discovery requests, she must file a copy of her answers with the Clerk by 31 August 2018. The Court will hold a one-hour hearing on Kirkwood's Motion to Compel, No. 30, at 9:00 am on 18 October 2018 in courtroom B-155 of the Richard S. Arnold United States Courthouse at 600 West Capitol Avenue, Little Rock, Arkansas, 72201. Delph and counsel for Kirkwood must attend.

So Ordered.

August 13, 2018 VERONICA DELPH 420 Napa Valley Drive Apt# 6103 Little Rock. Arkansas 72211 The Defendant's Attorney the Board of trustee of the University of Arkansas Sherri L. Robinson Associate General Counsel Univ. of Arkansas for Medical Sciences 4301 West Markham, Slot 860 Little Rock, Arkansas 72205

RE: Veronica Delph vs. (UAMS) UNIVERSITY OF ARKANSAS For Medical Sciences. Melvin Kirkwood Assistant Manager for UAMS

A LETTER WRIT TO THE ATTORNEY OF ROCORD

Dear Sherri L. Robinson

This is my second attempt to contact you about my request for more information regarding the interrogatories pursuant to Federal Rules of Civil Procedure you have not sent me more information regarding the interrogatories. It appear that you are trying to misdirect the Court to make it appear that I did not answer the interrogatories at all. I am still requesting more information regarding the interrogatives you have already received. It appear that you arc being untrue and being dishonest by making the court think I did not answer any of the interrogatives to the best of my knowledge. It appear to be frivolous clearly lacking in substance; clearly insufficient as a matter of law so I am requesting for more information regarding the interrogatories. The interrogatories in civil actions, a pretrial discovery tool in which written questions are propounded by one party and served on the adversary, who must serve written replies thereto under oath. 149 A. 761. "Interrogatories" can only he served on parties to the action, and while not as flexible as depositions, which include opportunity of cross-examination, they are a good and inexpensive means of establishing important facts held by the adversary. After saying all of that and that is why I need more information regarding the Interrogatories that was send by Defendant's Attorney Sherri L. Robinson and I sent the Answer of the Interrogatories to the Defense Attorney Sherri L. Robinson for University of Arkansas for Medical Sciences, et al., also you can send me more information regarding the interrogatories at your earliest convenience.

Sincerely, Veronica Delph Cc: Honorable Judge Marshall The United Stales District Judge of The Eastern District of Arkansas Western Division Richard Sheppard Arnold United State Courthouse West Capitol Avenue
Source:  Leagle

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