Correspondence from Keyes to All Counsel Re: Typo in Exhibit 1

Correspondence
August 8, 1989

Correspondence from Keyes to All Counsel Re: Typo in Exhibit 1 preview

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  • Case Files, LULAC and Houston Lawyers Association v. Attorney General of Texas Hardbacks, Briefs, and Trial Transcript. Correspondence from Keyes to All Counsel Re: Typo in Exhibit 1, 1989. 88ba45e4-247c-f011-b4cc-6045bdd81421. LDF Archives, Thurgood Marshall Institute. https://ldfrecollection.org/archives/archives-search/archives-item/0ce90970-01ed-4348-ba17-1ef26118a002/correspondence-from-keyes-to-all-counsel-re-typo-in-exhibit-1. Accessed November 08, 2025.

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    PorRTER & CLEMENTS 
FIRST REPUBLICBANK CENTER 

700 LOUISIANA, SUITE 3500 

HOUSTON, TEXAS 77002-2730 

ATTORNEYS   
A PARTNERSHIP INCLUDING 

PROFESSIONAL CORPORATIONS 
TELEPHONE (713) 226-0600 

W0027/001 

TELECOPIER (713) 228-1331 

TELECOPIER (713) 224-4835 
EVELYN V. KEYES 

(713) 226-061 

August 8, 

William L. Garrett, Esq. 

Brenda Hall Thompson, Esq. 
Garrett, Thompson & Chang 
Attorneys at Law 

8300 Douglas, Suite 800 
Dallas, Texas 75225 

Rolando L. Rios, Esq. 
Southwest Voter Registration 

& Education Project 
201 N. St. Mary's, Sulte 521 
San Antonio, Texas 78205 

Susan Finkelstein, Esq. 
Texas Rural Legal Aid, Inc. 
201 N. St. Mary's, Suite 600 
San Antonio, Texas 78205 

Julius Levonne Chambers, Esq. 
Sherrilyn A. Ifill, Esq. 
NAACP Legal Defense 
and Educational Fund, Inc. 

99 Hudson Street, 16th Floor 
New York, New York 10013 

Jim Mattox, Mary F. Keller 
Renea Hicks, Javier Guajardo 
P.O. Box 12548 
Capitol Station 
Austin, Texas 78701 

Robert H. Mow, Jr., Esq. 

Hughes & Luce 
2800 Momentum Place 

1717 Main Street 
Dallas, Texas 75201 

Re: No. MO88-CA-154; LULAC, 

TELEX 775-348 

1989 

Gabrielle K. McDonald, Esq. 
Matthews & Branscomb 
301 Congress Ave., Suite 2050 
Austin, Texas 78701 

Fdward B. Cloutman, III, Esq. 

Mullinax, Wells, Baab & Cloutman 

3301 Elm Street 

Dallas, Texas 75226-1637 

E. Brice Cunningham, Esq. 
Suite 121 
777 So. R.L. Thornton Frwy. 
Dallas, Texas 75203 

Ken Oden, Esq. 
Travis County Attorney 
P.O. Box 1748 
Austin, Texas 78767 

David R. Richards, Esq. 
Special Counsel 
600 W. 7th Street 
Austin, Texas 78701 

Mark H. Dettman, Esq. 

P.O. Box 2559 

Midland, Texas 79702 

Darrell Smith, Esq. 

10999 Interstate Hwy. 10, #905 
San Antonio, Texas 78230 

Michael J. Wood, Esq. 
440 Louisiana, Suite 200 
Houston, Texas 77002 

et ‘al. v. Jim Mattox, et al,.;: 
In the United States District Court for the Western 

District of Texas, Midland-Odessa Division 

 



   » ¢ 
PorTER & CLEMENTS 

August 8, 1989 
Page -2- 

Dear Sirs/Mesdames: 

Enclosed is Exhibit 1 to the Notice of Oral Deposition and 
Request for Documents to Weldon Berry. There was a typographical 
error on the Exhibit 1 which was mailed yesterday. Please 
substitute this Exhibit 1 for the one mailed to you yesterday. I 
apologize for the inconvenience. 

Sincerely yours, 

tl J 
Evelyn V. Keyes 

EVK/cdf 
enclosure 

 



  

EXHIBIT NO. 1 
  

DOCUMENTS, FILES AND THINGS TO BE PRODUCED BY WELDON BERRY 
  

1. All campaign contributions and expenditure reports for each 
race in which you have run as a candidate. 

2. All literature or other documents that reflect, refer, or 

pertain to any appeal to racism in any judicial race in 
Harris County. 

3. All documents that refer, relate or pertain to any plan or 
map that you propose to remedy any alleged discrimination 
against minorities in Harris County. 

4. All campaign literature that you have used in each race in 
which you have run as a candidate. 

5. All newspaper clippings, endorsements, campaign memorabilia, 
and similar materials that relate, refer, or pertain to each 
race in which you have run as a candidate.

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