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property. Identify the method or basis used to assert the estimated value or appraisal of the <br /> property, e.g., book value, market value, etc. <br /> 26. Identify the person(s) who had the authority to act on behalf of the Creditors' Trust <br /> in regard to the Settlement Stipulation entered by MCR, Louis LaGiglia and Pitkin County on <br /> January 28, 1998. <br /> 27. State the basis for the allegation, pleading, statement, belief or contention in the <br /> Defendants' Amended Answer and Counterclaims (nos. 115-118) that Pitkin County is precluded <br /> from collecting taxes assessed against real or personal property subject to MCR's liquidation <br /> plan because of collateral estoppel and laches. <br /> 28. State the basis for the allegation, pleading, statement, belief or contention in <br /> Defendants' Amended Answer and Counterclaims (no. 120-126)that Pitkin County made <br /> improper tax assessments as to personal property subject to MCR's liquidation plan and the <br /> Eimco Shop Building. <br /> 29. State the basis for the allegation, pleading, statement, belief or contention in <br /> Defendants' Amended Answer and Counterclaims (nos. 127-131) that Tax Assessment Schedule <br /> No. R007863 is invalid and that this schedule is an improper collection of this tax assessment. <br /> REQUEST FOR PRODUCTION OF DOCUMENTS <br /> 1. Produce each and every document identified by defendants in defendants' response to <br /> Interrogatory No. 3. <br /> 2. Produce each and every document identified by defendants in defendants' response to <br /> Interrogatory No. 5. <br /> 14 <br />