Defendant Judge Wood's Supplement to Her Answers to Plaintiff-Intervenors' First Set of Interrogatories and Requests for Production

Public Court Documents
June 30, 1989

Defendant Judge Wood's Supplement to Her Answers to Plaintiff-Intervenors' First Set of Interrogatories and Requests for Production preview

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  • Case Files, LULAC and Houston Lawyers Association v. Attorney General of Texas Hardbacks, Briefs, and Trial Transcript. Defendant Judge Wood's Supplement to Her Answers to Plaintiff-Intervenors' First Set of Interrogatories and Requests for Production, 1989. 16e06492-1e7c-f011-b4cc-6045bdd81421. LDF Archives, Thurgood Marshall Institute. https://ldfrecollection.org/archives/archives-search/archives-item/1cadf96e-31bb-47f1-a03c-1cfce081bc8e/defendant-judge-woods-supplement-to-her-answers-to-plaintiff-intervenors-first-set-of-interrogatories-and-requests-for-production. Accessed November 08, 2025.

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THE UNITED STATES DISTRICT COURT/S 

THE WESTERN DISTRICT OF TEXAS/// J/y, 
MIDLAND-ODESSA DIVISION  &// 

LEAGUE OF UNITED LATIN AMERICAN 
CITIZENS (LULAC), et al., 

Plaintiffs, 

Y. NO. MO-88-CA-154 

JIM MATTOX, Attorney General 

of the State of Texas, et al., 

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Defendants. 

DEFENDANT HARRIS COUNTY DISTRICT JUDGE SHAROLYN WOOD'S 

SUPPLEMENT TO HER ANSWERS TO PLAINTIFF-INTERVENORS' FIRST 

SET OF INTERROGATORIES AND REQUESTS FOR PRODUCTION 

  

  

  

TO: Plaintiff-Intervenors the Houston Lawyers' Association, by 
and through its attorneys of record, Julius Levonne Chambers 
and Sherrilyn A. Ifill, NAACP Legal Defense and Educational 
Fund, Inc., 99 Hudson Street, 16th Floor, New York, New York 

10013 

COMES NOW Defendant-Intervenor Harris County District Judge 

Sharolyn Wood ("Wood") and, pursuant to Federal Rules of Civil 

Procedure 26 and 34, supplements her Answers to the Requests for 

Production of Plaintiff-Intervenors the Houston Lawyers 

Association as follows: 

1. As Defendant Wood's Answer to Request for Production 

No. 1 of the Houston Lawyers' Association, served on counsel of 

May 19, 1989, stated, all documents related to elections in which 

Judge Wood ran for elective office in Harris County, including, 

but not limited to, campaign contribution reports, campaign 

expenditure reports, election returns, campaign literature, and 

 



  

written or reported endorsements by public officials, civic 

groups, bar associations, etc. are (and have been for over one 

month) available for inspection and copying by counsel for 

Plaintiffs and the Houston Lawyers' Association. Counsel are 

requested to notify counsel for Judge Wood as soon as possible of 

a convenient date for inspection and copying. Unless otherwise 

agreed, the documents will remain available for two more weeks 

from the date of service of this Supplement and will then be 

returned to Defendant Wood. 

Respectfully submitted, 

PORTER & CLEMENTS 

— 

a ——— 

5 oy Clements 
0 Louisiana, Suite 3500 

HAouston, Texas 77002-2730 

(713) 226-0600 

  

RTT pn 2, 
Attorney at Laws /F ° a ered 
10999 Interstate Hwy. 10, #905 
San Antonio, Texas 78230 

(512) 641-9944 

  

TE  — 

ATTORNEYS FOR HARRIS COUNTY 
DISTRICT JUDGE SHAROLYN WOOD 

OF COUNSEL: 

PORTER & CLEMENTS 

John E. O'Neill 
Evelyn V. Keyes 
700 Louisiana, Suite 3500 

Houston, Texas 77002-2730 

(713) 226-0600 

 



  

Michael J. Wood 
Attorney at Law 

440 Louisiana, Suite 200 
Houston, Texas 77002 

(713) 228-5105 

CERTIFICATE OF SERVICE 
  

I hereby certify that on the 30th day of June, 1989, a true 
and correct copy of the above and foregoing Defendant Harris 
County District Judge Sharolyn Wood's Answers to Plaintiff- 
Intervenors' First Set of Interrogatories and Requests for 
Production was served upon counsel of record in this case by 
first class United States mail, postage prepaid, addressed as 
follows: 

Mr. William L. Garrett 
Ms. Brenda Hall Thompson 
Garrett, Thompson & Chang 

Attorneys at Law 

8300 Douglas, Suite 800 
Dallas, Texas 75225 

Mr. Rolando L. Rios 
Southwest Voter Registration & 

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

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

Mr. Julius Levonne Chambers 
Ms. Sherrilyn A. Ifill 
NAACP Legal Defense and Educational Fund, Inc. 
99 Hudson Street 

16th Floor 

New York, New York 10013 

Ms. Gabrielle K. McDonald 
Matthews & Branscomb 

301 Congress Ave., Suite 2050 
Austin, Texas 78701 

 



  

Mr. Jim Mattox, Attorney General of Texas 
Ms. Mary F. Keller, First Assistant Attorney General 
Ms. Renea Hicks, Spec. Assistant Attorney General 
Mr. Javier Guajardo, Spec. Assistant Attorney General 
P, O. Box 12548 
Capitol Station 
Austin, Texas 78701 

Mr. Edward B. Cloutman, III 

Mullinax, Wells, Baab & Cloutman, P.C. 

3301 Elm Street 

Dallas, Texas 75226-1637 

Mr. E. Brice Cunningham 
777 So. R.L. Thornton Freeway 
Suite 121 
Dallas, Texas 75203 

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

Mr. David R. Richards 
Special Counsel 
600 W. 7th Street 

Austin, Texas 78701 

Mr. Mark H. Dettman 

Attorney at Law 

P. O. Box 2559 
Midland, Texas 79702 

Mr. Robert H. Mow, Jr. 

Hughes & Luce 
2800 Momentum Place 

1717 Main Street 

Dallas, Texas 75201 

fot, Yi 
  

Evelyn V. ‘Keyes 

W0002/29/cdf

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