Letter from Smiley to All Counsel RE: Joint Appendix

Correspondence
July 7, 2000

Letter from Smiley to All Counsel RE: Joint Appendix preview

4 pages

Cite this item

  • Case Files, Cromartie Hardbacks. Letter from Smiley to All Counsel RE: Joint Appendix, 2000. da00cda2-e00e-f011-9989-7c1e5267c7b6. LDF Archives, Thurgood Marshall Institute. https://ldfrecollection.org/archives/archives-search/archives-item/403b335d-1c65-42f9-bed9-0a44099e4d1a/letter-from-smiley-to-all-counsel-re-joint-appendix. Accessed June 03, 2025.

    Copied!

    MICHAEL F. EASLEY 

ATTORNEY GENERAL 

Mr. Robinson O. Everett 

Mr. Martin McGee 

Mr. Doug Markham 

Post Office Box 586 

Durham, NC 27702 

   
State of North Carolina 

Department of Justice 

P. O. BOX 629 

FR Special Litigation 
27602-0629 (919) 716-6900 

FAX: (919) 716-6763 

July 7, 2000 

VIA U.S. MAIL AND FACSIMILE 

Re: Hunt v. Cromartie Joint Appendix 

Dear Gentlemen: 

Attached please find our first shot at designating materials for the joint appendix. The main 
thing we have not designated is any of Weber's testimony. Since we realize you likely will be 
designating substantial portions of his testimony, we would rather wait to add any additional-lines of 
his testimony. Any other additions to the appendix would be minor, and we wi 
the middle of next week. 

As you are aware, the sooner you can give us your designations, even if piece by piece, the 
better this project will flow. We have agreed that you will give us your designations by July 21, 
2000, with only a few residual items being designated by July 24, 2000. We will continue to 
communicate about maps and tables that are problematic for inclusion in the printed appendix. 

TBS/fa 

CC: Todd Cox 

Adam Stein 

Very truly yours, 

bie De 
Tiare B. Smiley 

Special Deputy Attorney General 

11 get them to you by 

 



  

STATE’S JOINT APPENDIX DESIGNATIONS 

Joint Exhibit 100, 1997 Submission 

97C-28F-4D(2) 
97C-28F-4D(3) 
97C-28F-4F(1) pp. 1-4, p. 16 (McMahan’s remarks) 

Defendants’ Exhibit 405, Computer Screen 
Defendants’ Exhibit 411, Computer Screen 
Defendants’ Exhibit 416, Computer Screen 
Defendants’ Exhibit 421, Webster’s Report and Tables 
Defendants’ Exhibit 426, Webster's Supplemental Report with tables; no maps or charts. 
Defendants’ Exhibit 429, Peterson’s Third Affidavit 
Defendants’ Exhibit 437, Guilford Precincts Excluded from District 12 

Trial Testimony 

Reuben Oscar Everett 

p. 95, line 4 - p. 97, line 16 
p. 81, lines 12-18 

J. H. Froelich 

p. 107, lines 11-22 

Hamilton Horton (Begin T Vol I p. 321) 
p. 35, line 25 - p. 36, line 15 
p. 40, lines 8-12 
p. 42, line 19 - p. 43, line 16 

p. 45, lines 2-9 

John Weatherly 

p. 72, line 8 - p. 77, line 14 

Steven Wood (Begin p. 48) 
p. 62, line 9 - p. 64, line 21 

 



  

Deposition Transcripts 

Gerry Cohen 

p. 31, line 1 - p. 36, line 19 
p. 145, line 2 - p. 146, line 24 
p. 151, line 2 - p. 153, line 21 
p. 172, line 5 - p. 176, line 19 
p. 186, line 5 - p. 187, line 2 
p. 187, line 22 - p. 188, line 15 
p. 194, line 22 - p. 195, line 9 
p. 201, line 23 - p. 202, line 21 
p. 205, line 1 - p. 207, line 14 
p. 243, line 23 - p. 245, line 17 
p. 254, line 12 - p. 258, line 22 
p. 293, line 1 - p. 300, line 3 
p. 313, line 24 - p. 323, line 10 

Roy Cooper 

. 18, line 12 - p. 19, line 14 
. 36, line 20 - p. 38, line 1 
.53, line 5 - p. 59, line 6 
. 62, line 9 - p. 66, line 11 
. 70, line 25 - p. 72, line 19 
. 74, line 17 - p. 76, line 6 
. 77, line 7 - p. 78, line 11 
. 104, line 4 - p. 109, line 25 
. 112, line 11 - p. 114, line 18 
. 128, line 20 - p. 131, line 18 
. 132, line 6 - p. 133, line 22 T

o
S
 
T
U
D
O
 

D 
T
D
S
 

o
g
 

Linwood Lee Jones 

p. 64, line 24 - p. 67, line 14 
p. 112, line 6 - p. 114, line 24 
p. 118, line 4 - p. 119, line 10 

William Edwin McMahan 
p. 25, line 21 - p. 28, line 2 
p. 34, line 19 - p. 35, line 6 
p. 36, line 3 - p. 39, line 8 
p. 40, line 6 - p. 41, line 12 
p. 46, line 22 - p. 48, line 23 
p. 78, line 25 - p. 79, line 13 
p. 93, lines 7-22 
p- 98, line 20 - p. 101, line 20 

 



p. 109, line 22 - p. 110, line 14 

  

Gerald R. Webster 

p. 49, line 16 - p. 50, line 11 
p. 79, line 20 - p. 81, line 9

Copyright notice

© NAACP Legal Defense and Educational Fund, Inc.

This collection and the tools to navigate it (the “Collection”) are available to the public for general educational and research purposes, as well as to preserve and contextualize the history of the content and materials it contains (the “Materials”). Like other archival collections, such as those found in libraries, LDF owns the physical source Materials that have been digitized for the Collection; however, LDF does not own the underlying copyright or other rights in all items and there are limits on how you can use the Materials. By accessing and using the Material, you acknowledge your agreement to the Terms. If you do not agree, please do not use the Materials.


Additional info

To the extent that LDF includes information about the Materials’ origins or ownership or provides summaries or transcripts of original source Materials, LDF does not warrant or guarantee the accuracy of such information, transcripts or summaries, and shall not be responsible for any inaccuracies.

Return to top