Answers to Plaintiffs' Interrogatories and Motion to Produce by County Commissioner Garvin Bryan

Public Court Documents
February 10, 1986

Answers to Plaintiffs' Interrogatories and Motion to Produce by County Commissioner Garvin Bryan preview

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  • Case Files, Dillard v. Crenshaw County Hardbacks. Answers to Plaintiffs' Interrogatories and Motion to Produce by County Commissioner Garvin Bryan, 1986. 79b64c84-b9d8-ef11-a730-7c1e527e6da9. LDF Archives, Thurgood Marshall Institute. https://ldfrecollection.org/archives/archives-search/archives-item/62664b0a-073d-4b2e-84a8-7eb102b509d0/answers-to-plaintiffs-interrogatories-and-motion-to-produce-by-county-commissioner-garvin-bryan. Accessed April 06, 2025.

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UNITED STATES DISTRICT COURT 

FOR THE MIDDLE DISTRICT OF ALABAMA 

NORTHERN DIVISION 

JOHN DILLARD, ET AL, 

PLAINTIFFS 

VS. CIVIL ACTION #85-T-1332-N 

CRENSHAW COUNTY, ALABAMA, 

ET AL, 

DEFENDANTS. 

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ANSWERS TO PLAINTIFFS' INTERROGATORIES 

AND MOTION TO PRODUCE 

BY GARVIN BRYANT, PICKENS COUNTY COMMISSIONER 

  

  

  

Garvin Bryant, Pickens County Commissioner, has recently 

been critically ill and has undergone openheart surgery at DCH 

Regional Medical Center in Tuscaloosa, AL, on January 23, 1986. 

Mr. Bryant has been and remains unable to answer 

interrogatories for himself individually. 

Mr. Bryant will answer interrogatories as soon as he is able 

to. 

Mr. Bryant respectfully requests an extension for answering 

these interrogatories because of his illness. 

ATTORNEY FOR GARVIN BRYANT 

DEFENDANT 

r/ 2 2247 rl 
W. O. KIRK7 JR. 
  

CURRY & KIRK 

P. O. BOX A-B 

CARROLLTON, AL 35447 

TELEPHONE: (205) 367-8125 

 



  

CERTIFICATE OF SERVICE 
  

I hereby certify that I have served the foregoing Answers 

upon: 

Wanda J. Cochran 

Larry T. Menefee 
James U. Blacksher 

Blacksher, Menefee & Stein, P. A. 

405 Van Antwerp Building 

P. O. Box 1051 : 

Mobile, AL 36633 

Terry Davis 
Seay and Davis 
732 Carter Hill Road 
P. O. Box 6215 
Montgomery, AL 36104 

Julius L. Chambers 

Deborah Fins 

Legal Defense Fund 
99 Hudson Street 

léth Floor 

New York, New York 10013 

W. Edward Still 

Reeves and Still 

714 South 29th Street 

Birmingham, AL 35233 

Reo Kirkland, Jr. 
Attorney at Law 

P. O. Box 646 

Brewton, AL 36427 

by placing copies of the same in the United States Mail properly 

addressed and postage paid this 7 day of February, 1986. 

1986. 

4 

W. Z as Sal ATTORNEY FOR 
  

PICKENS COUNTY DEFENDANTS 

 



  

CERTIFICATE OF SERVICE 
  

I hereby certify that I have served the foregoing Answers on 

the other Defendants by 
record: 

Jack Floyd 
Floyd, Kenner & Cusimano 

816 Chestnut Street 

Gadsden, AL 35999 
(ETOWAH COUNTY ) 

D. L. Martin 
215 South Main Street 
Moulton, AL 35650 
and 
David R. Boyd 
Balch and Bingham 
P.O BOX 78 
Montgomery, AL 36101 
(LAWRENCE COUNTY) 

H. R. Burnum 

P.O. BOXx:1618 

Anniston, AL 36202 

(CALHOUN COUNTY) 

Alton L. Turner 

404 Glenwood Avenue 

P. O. Box 207 

Luverne, AL 36049 

(CRENSHAW COUNTY) 

Warren Rowe 

P.. O."Box-150 

Enterprise, AL 36331 
(COFFEE COUNTY) 

serving the following attorneys of 

Barry D. Vaughn 
Proctor and Vaughn 
121 North Norton Avenue 
Sylacauga, AL 35150 
(TALLADEGA COUNTY) 

James W. Webb 

Webb, Crumpton, McGregor, 
Schmaeling & Wilson 
166 Commerce Street 

Montgomery, AL 36101 
and 

Lee M. Otts 

Otts & Moore 

P. O. Box 467 

Brewton, AL 36427 

(ESCAMBIA COUNTY) 

by placing copies of the same in the United States Mail properly 
addressed and postage paid this day of Febrary, 1986. 

’ 

W. O. a wt ATTORNEY FOR 
  

PICKENS COUNTY DEFENDANTS

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