Defendants' Identification of Expert Witnesses with Certificate of Service

Public Court Documents
September 10, 1999

Defendants' Identification of Expert Witnesses with Certificate of Service preview

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  • Case Files, Cromartie Hardbacks. Defendants' Identification of Expert Witnesses with Certificate of Service, 1999. 9dc2a66c-e50e-f011-9989-7c1e5267c7b6. LDF Archives, Thurgood Marshall Institute. https://ldfrecollection.org/archives/archives-search/archives-item/8212c65d-4264-4526-90fe-ae7ccfa4bd74/defendants-identification-of-expert-witnesses-with-certificate-of-service. Accessed May 14, 2025.

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    UNITED STATES DISTRICT COURT 

EASTERN DISTRICT OF NORTH CAROLINA 

WESTERN DIVISION 

Civil Action No. 4-96-CV-104-BO(3) 

MARTIN CROMARTIE, et al.. 

Plaintiffs, 

v. 

JAMES B. HUNT, JR., in his official 

capacity as Governor of the State of North 

Carolina, ef al., DEFENDANTS’ IDENTIFICATION OF 

EXPERT WITNESSES 
Defendants, 

and 

ALFRED SMALLWOOD, et al.. 

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Defendant-Intervenors. 

Pursuant to the Court’s Order filed August 23, 1999, which set a schedule for discovery, 

Defendants identify the following experts who may be called as witnesses at trial: 

Dr. David W. Peterson 

Dr. Gerald R. Webster 

Dr. Alfred W. Stuart 

Dr. David R. Goldfield 

Rule 26 materials for each expert are as follows and are attached. 

 



  

INDEX OF EXPERT RULE 26 MATERIALS 

Dr. David W. Peterson 

L 

2 

Affidavit (2-27-98) 

Second Affidavit (9-8-99) 

Dr. Gerald R. Webster 

2, 

Affidavit (2-20-98) 

Addendum to “An Evaluation of North Carolina’s 1998 Congressional Districts 

[1997 Plan]” (9-9-99) 

Dr. Alfred W. Stuart 

1. 

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The Demographic And Economic Context Of The First and Twelfth Congressional 

Districts Of North Carolina (March 1994) (Shaw Ex. 402, selected portions) 

Affidavit (2-23-98) 

. Communications And Travel Within The First And Twelfth Congressional Districts 

(3-2-98) 

Vitae 

Dr. David R. Goldfield 

A Historical Perspective On North Carolina’s Piedmont Crescent And “Down East” 

Congressional Districts (Shaw Ex. 403) 

Affidavit (2-26-98) (September 1999 Curriculum Vitae substituted) 

Compensation and Legal Consulting 

1, 

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NI
 

 



  

This the 10™ day of September, 1999. 

  

MICHAEL F. EASLEY \ 

ATTORNEY GENERAL 

yn 5 

   

  

  

win M. Speas, Jr. 

Chief Deputy Attorney General 

N.C. State Bar No. 4112 

Tiare B. Smiley 

Special Deputy Attorney General 

N. C. State Bar No. 7119 

Norma S. Harrell 

Special Deputy Attorney General 

N.C. State Bar No. 6654 

N.C. Department of Justice 

P.O. Box 629 

Raleigh, N.C. 27602 

(919) 716-6900 

” 
3 

 



CERTIFICATE OF SERVICE 

  

This 1s to certify that [ have this day served a copy of the foregoing Defendants’ 

Identification of Expert Witnesses in the above captioned case upon all parties by depositing these 

documents in the United States mail, first class mail, postage prepaid addressed as follows: 

Robinson O. Everett 

Suite 300 First Union Natl. Bank Bldg. 

301 W. Main Street 

P.O. Box 586 

Durham, NC 27702 

ATTORNEY FOR PLAINTIFFS 

Adam Stein 

Ferguson, Stein, Wallas, Adkins, 

Gresham & Sumter, P.A. 

Suite 2 

312 W. Franklin Street 

Chapel Hill, NC 27516 

Todd Cox 

NAACP Legal Defense & Educational Fund, Inc. 

1444 I Street NW 

Washington, DC 20005 

ATTORNEYS FOR DEFENDANT-INTERVENORS 

ios 5 Gh ie 
This the 10™ day of September, 1999. 

  

ihre B. Smiley 

Special Deputy Attorney General

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