Oo O DN OO FF WwW NY =|
NO RO PO PNP NM NO | S| S| HS SF S| S| S| S| S| non BP WO NO -|- ODO OO WDN OO OT BP WO NYO —
16
than -- than otherwise.
Q. And if the dispute concerned, for example, a specific discovery issue, would you expect the response to be directed to that issue?
A. I would expect that the record would be built so that it would be available for the discovery issue, yes.
Q. Okay. I am going to ask the reporter to mark as Cassell -- am I pronouncing your name correctly?
A. Yes, it's Cassell, yes.
Q. Okay. Could I ask the reporter to mark as Cassell Exhibit 1 -- I will hand that to the reporter.
(4 Plaintiff's * Defendant's I.D. Exhibit No. 1 - * description was marked for identification. ) BY MR. SIMPSON:
Q. Let me identify that for the record. I may want to mark two things.
A. Okay.
Q. Exhibit 1 is documented Plaintiff's Response to Motion for Limited Intervention by Alan M. Dershowitz, and I'm going to ask the reporter to mark another exhibit at the same time. This will be Exhibit 2, and this is a document entitled Jane Doe Number 3 and Jane Doe Number 4's motion pursuant to rule
21 for joinder in action. Both cases having been filed
ROUGH DRAFT ONLY
HOUSE_OVERSIGHT_021839
