Laserfiche WebLink
9. Identify any amount of taxes or interest not required to be paid by MCR because of <br /> protests or request for abatements made on behalf of MCR. <br /> 10. Identify any and all documents which were referred to or relied upon for your answer <br /> to Interrogatory 9. <br /> 11. State the earliest period of time in which interest would have stopped accruing on <br /> taxes assessed by Pitkin County against MCR had MCR paid the taxes in a timely manner. <br /> Include the basis for your answer. <br /> 12. Identify any actions that could have been taken pursuant to law on behalf of MCR <br /> but were not taken, to attempt to decrease or which would have decreased, the amount of <br /> property taxes including interest owed to Pitkin County. <br /> 13. State the basis for plaintiffs' allegation, pleading, statement, belief, or contention in <br /> Plaintiffs' Reply to Defendants' Amended Answer and Counterclaim (no. 77) that defendants' <br /> claims are barred in whole or in part by applicable statutes of limitation. <br /> 14. State the basis for the plaintiffs' allegation, pleading, statement, belief, or contention <br /> in the Plaintiffs' Reply to Defendants' Amended Answer and Counterclaims (no. 78)that <br /> defendants have failed to exhaust administrative remedies. <br /> REQUEST FOR PRODUCTION OF DOCUMENTS <br /> 1. Produce each and every document identified by plaintiffs in plaintiffs' response to <br /> Interrogatory No. 4. <br /> 9 <br />