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REQUEST NO. 4: Produce all documents that support your contention in paragraph 18 <br /> of your Answer to Amended Third-Party Complaint that M&E/King did not perform reclamation <br /> work. <br /> REQUEST NO. 5: Produce all documents that have been used, referenced or referred <br /> to, to develop plans, specifications, bid documents, contracts evaluations, assessments, <br /> memoranda, close-out reports, or other reports from revegetation undertaken at Coal Basin by <br /> DMG, OSM or others working under contract to them or under their control. <br /> REOUEST NO. 6: Produce all documents concerning evaluation or assessment of any <br /> revegetation under any reclamation projects conducted or supervised by DMG since January 1, <br /> 1980 in Coal Basin. <br /> REQUEST NO. 7: Produce a computer copy and any backup documentation for the <br /> cost estimating computer program used by DMG to develop reclamation cost estimates for Coal <br /> Basin reclamation. <br /> Dated this 5 h day of February, 1999. <br /> Respectfully submitted, <br /> BURNS, FIGA& WILL, P.C. <br /> By <br /> G ey derson( 14907) <br /> Plaza To er, Suite 1030 <br /> 6400 South Fiddlers Green Circle <br /> Englewood, CO 80111 <br /> Telephone: (303) 796-2626 <br /> Facsimile: (303) 796-2777 <br /> 7 <br />