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6. Assuming that the projects listed in Interrogatory 4 are required by MCR's permit, <br /> state in full detail your belief as to whether further reclamation is required to complete those <br /> projects or to meet the terms of MCR's permit. Include in your answer the basis for your answer <br /> as to each projected listed. <br /> 7. Identify any and all documents which were referred to or relied upon for your answer <br /> to Interrogatory 6, including field notes. <br /> 8. Identify the person(s) on whose advice or consultation you relied for your answers to <br /> Interrogatories 4 and 6. <br /> 9. State the factual or legal basis for defendants' allegation, pleading, statement, belief, <br /> or contention in the Defendants' Amended Answer and Counterclaims (no. 81) and in the Third- <br /> Party Complaint(no. 31)that the Creditors' Trustee, Louis LaGiglia, has in cash or credits paid <br /> or accrued an aggregate bonding equivalent in the sum of$2,384,112.81, for the use and benefit <br /> of DMG and\or its reclamation fund. Include in your answer a breakdown of the $2,384,112.81, <br /> into separate categories for cash paid towards the reclamation fund and credit accrued taken <br /> against the fund, and identify the specific work done for which credit is taken against the <br /> reclamation fund. <br /> 10. Identify any and all documents which were referred to or relied upon to support the <br /> allegation, pleading, statement, belief, or contention that the Creditors' Trustee, Louis LaGiglia, <br /> has in cash or credits paid or accrued an aggregate bonding equivalent in the sum of <br /> $2,384,112.81 for the use and benefit of DMG and\or its reclamation fund. <br /> 10 <br />