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03/26/99 19:18 FAX 3037962777 BURNS FIGA & WILL 0 014/017 <br /> which is available from the Forest Service, all such documents will be made available for <br /> inspection upon reasonable notice at the office of Robert Delaney. <br /> 2 Produce each and every document or other tangible thing you intend to introduce <br /> as an exhibit at trial of this action in support of your Fifth Claim for Relief. <br /> RESPONSE NO. 2: MCR objects to this request as being over broad and premature. <br /> The pre-trial procedure set forth a schedule for producing such documents. Since a trial date has <br /> not even been set in this matter,MCR has not determined which documents it will iLse as exhibits <br /> at trial. <br /> Dated this 26th day of March, 1999. <br /> Undersigned counsel for Mid-Continent Resources,Inc_ and Louis M. LaGiglia Creditors' <br /> Trustee under Bankruptcy Plan of Liquidation executes these interrogatories and answers thereto <br /> as to objections only. <br /> BURNS,FIGA & WILL, P.C. <br /> r <br /> By: - <br /> e Anderson(#I4907) <br /> Plaza Tow -ne, Saute 1030 <br /> 6400 S. Fiddlers Green Circle <br /> Englewood, CO 30111 <br /> Telephone: (303) 796-2626 <br /> 6 <br />