Notices of Oral Deposition and Requests for Documents to Hardy, Berry, Bonner, and Plummer

Public Court Documents
July 10, 1989

Notices of Oral Deposition and Requests for Documents to Hardy, Berry, Bonner, and Plummer preview

22 pages

Includes Correspondence from Keyes to Clerk.

Cite this item

  • Case Files, LULAC and Houston Lawyers Association v. Attorney General of Texas Hardbacks, Briefs, and Trial Transcript. Notices of Oral Deposition and Requests for Documents to Hardy, Berry, Bonner, and Plummer, 1989. 5b86b350-207c-f011-b4cc-6045bdffa665. LDF Archives, Thurgood Marshall Institute. https://ldfrecollection.org/archives/archives-search/archives-item/93f089fb-6457-4623-8738-7a4193c3fb0d/notices-of-oral-deposition-and-requests-for-documents-to-hardy-berry-bonner-and-plummer. Accessed November 07, 2025.

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    A PARTNERSHIP INCLUDING 

PorTER & CLEMENTS 
FIRST REPUBLICBANK CENTER 

700 LOUISIANA, SUITE 3500 

HOUSTON, TEXAS 77002-2730 

ATTORNEYS 
  

TELEPHONE (713) 226-0600 
PROFESSIONAL CORPORATIONS 

EVELYN V. KEYES 

TELECOPIER (713) 228-1331 

TELECOPIER (713) 224-4835 

TELEX 775-348 

(713) 226-061 

July 10, 1939 

Clerk, U.S, District Court 
200 E. Wall 8¢t., Suite 316 
Midland, Texas 79702 

Re: No. MO88-CA-154; League of United Latin American 
Citizens (LULAC), et al. v. James Mattox, Attorney 
General of Texas, et al.; In the United States District 
Court for the Western District of Texas, Midland-Odessa 
Division 

Dear Sir: 

Enclosed for filing in the above-referenced case are the 
following: 

(1) Notice of Oral Deposition to Ray Hardy; 

(2) Notice of Oral Deposition and Request for Documents to 
Weldon Berry; 

(3) Notice of Oral Deposition and Request for Documents to 
Alice Bonner; and 

(4) Notice of Oral Deposition and Request for Documents to 
Matthew Plummer. 

Please verify filing by placing your stamp in the margin of 
the enclosed extra copies and return same to me in the self- 
addressed stamped envelope provided. 

By copy of this letter, all counsel are being served a copy 
of this filing by first class United States mail, postage 
prepaid. 

Sincerely yours, 

Sv Vpn 
Evelyn V. Keyes 

EVK/cdf 

enclosures 

 



    

PorTER & CLEMENTS 

Clerk, U.8. District Court 
July 10, 1989 
Page -2- 

cC: 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 NN, St. Mary's, Suite 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. 0. Box 12548 
Capitol Station 
Austin, Texas 78701 

Mr. Fdward 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 

 



    

PorTER & CLEMENTS 

Clerk, U.S. District Court 
July 10, 1989 
Page -3- 

CC: 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. OO. .Box 2559 

Midland, Texas 79702 

Mr. Robert H. Mow, Jr. 

Hughes & Luce 
2800 Momentum Place 

1717 Main Street 

Dallas, Texas 75201 

 



  

THE UNITED STATES DISTRICT COURT 
THE WESTERN DISTRICT OF TEXAS 

MIDLAND-ODESSA DIVISION 

LEAGUE OF UNITED LATIN AMERICAN § 

CITIZENS (LULAC), et al., § 

S 
Plaintiffs, § 

S 
Vv. S NO. MO-88-CA-154 

S 
JIM MATTOX, Attorney General N 
of the State of Texas, et al., § 

S 
Defendants. § 

NOTICE OF ORAL DEPOSITION 
  

TO: Ray: Hardy, Harris County ‘District Clerk, P.O. Box 4651, 
Houston, Texas 77210 

Please take notice that Defendant/Intervenor Harris County 

District Judge Sharolyn Wood will take the oral deposition of 

Ray Hardy, Harris County District Clerk, at 1:30 p.m. on July 26, 

1989, at the offices of Porter & Clements, 700 Louisiana, Suite 

3500, Houston, Texas 77002, before an officer authorized to 

administer oaths and pursuant to Federal Rules of Civil Procedure 

30(a) and 30(b). Counsel are invited to attend and to cross- 

examine should they so desire. 

PORTER & CLEMENTS 

I —F 

BONA Tc 
  

7° .J. Eugene Clements 
| 700 Louisiana, Suite 3500 

Houston, Texas 77002-2730 
— (713) 226-0600 

 



  

Yr A pti ( GP , FE geri el ES aT 

Darrell Smith 2 © x 
attorney at law / [Af 
10999 Interstate Hwy- 10, #905 
San Antonio, Texas 78230 

(512) 641-9944 

  

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 /O¥4 day Of July, 1989, a true 
and correct copy of the above and foregoing Notice of Oral 
Deposition 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 N.:st. Mary's, Suite 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, 111 

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. 0. 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 

  
fe Jeger 

Evelyn Vj Keyes 

WO002/40/cdf  



  

THE UNITED STATES DISTRICT COURT 
THE WESTERN DISTRICT OF TEXAS 

MIDLAND-ODESSA DIVISION 

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

Plaintiffs, 

JIM MATTOX, Attorney General 

S 
S 
S 
S 
S 

V. § NO. MO-88-CA-154 

§ 
S 

of the State of Texas, et al., § 

S 
S Defendants. 

NOTICE OF ORAL DEPOSITION AND REQUEST FOR DOCUMENTS 
  

TO: Weldon Berry, by and through his attorney of record, 
Gabrielle K. McDonald, Matthews & Branscomb, 301 Congress 

Avenue, Suite 2050, Austin, Texas 78701 

Please take notice that Defendant/Intervenor Harris County 

District Judge Sharolyn Wood will take the oral deposition of 

Plaintiff/Intervenor Weldon Berry at 9:00 a.m. on July 27, 1989, 

at the offices of Porter & Clements, 700 Louisiana, Suite 3500, 

Houston, Texas 77002, before an officer authorized to administer 

oaths and pursuant to Federal Rules of Civil Procedure 30(a) and 

30(b) (1). Pursuant to Federal Rule of Civil Procedure 30(b) (5), 

the witness shall produce for inspection and copying at the time 

of the taking of his deposition the documents and things desig- 

nated in Exhibit "1" attached hereto. Counsel are invited to 

attend and to cross-examine should they so desire. 

 



DEFINITION OF DOCUMENTS: 
  

The term "document" means every writing or record of any 

type and description that is in your possession, control, or 

custody, including without limitation, checks, correspondence, 

memoranda, stenographic or handwritten notes, drafts, accounts, 

voice recordings, reports, statistical compilations, work papers, 

data processing cards, computer tapes or printouts, or any other 

writing or recordings of any kind. The term "documents" also 

includes every copy of a writing or record which contains any 

commentary or notation or any kind which does not appear on the 

original or any other copy. A document is deemed to be within 

your "control" if you have ownership, possession, or custody of 

the document or a copy thereof, or the right to secure the 

document or a copy thereof from any other person or public or 

private entity having physical possession thereof. 

PORTER & CLEMENTS 

i 

\ 
{ 
| 

Bye = ES i 

& TT rie Clements 
700 Louisiana, Suite 3500 
Houston, Texas 77002-2730 
4713) 226-0600 

    
  

a 

L Loe A ¢ > ae 

Darrell Smith : WL 

Attorney at law *T} “jj 5 
10999 Interstate Hwy. 10, #905 
San Antonio, Texas 78230 

(512) 641-9944 

  

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 [Ov day of July, 1989, a true 
and correct copy of the above and foregoing Notice of Oral 
Deposition and Request for Documents 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 N., St. Mary's, Suite 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..B0x 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 

  

Evelyn V. (Keyes 

WO0002/38/cdf 

 



  

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. 

 



  

THE UNITED STATES DISTRICT COURT 
THE WESTERN DISTRICT OF TEXAS 

MIDLAND-ODESSA DIVISION 

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

Plaintiffs, 

JIM MATTOX, Attorney General 

S 

S 

S 

§ 

S 
VY. § NO. MO-88-CA-154 

S 

S 
of the State of Texas, et al., § 

S 

S Defendants. 

NOTICE OF ORAL DEPOSITION AND REQUEST FOR DOCUMENTS 
  

TO: Alice Bonner, by and through her attorney of record, 
Gabrielle K. McDonald, Matthews & Branscomb, 301 Congress 
Avenue, Suite 2050, Austin, Texas 78701 

Please take notice that Defendant/Intervenor Harris County 

District Judge Sharolyn Wood will take the oral deposition of 

Plaintiff/Intervenor Alice Bonner at 9:00 a.m. on July 26, 1989, 

at the offices of Porter & Clements, 700 Louisiana, Suite 3500, 

Houston, Texas 77002, before an officer authorized to administer 

oaths and pursuant to Federal Rules of Civil Procedure 30(a) and 

30(b) (1). Pursuant to Federal Rule of Civil Procedure 30(b) (5), 

the witness shall produce for inspection and copying at the time 

of the taking of her deposition the documents and things 

designated in Exhibit "1" attached hereto. Counsel are invited 

to attend and to cross-examine should they so desire. 

 



  

DEFINITION OF DOCUMENTS: 
  

The term "document" means every writing or record of any 

type and description that is in your possession, control, or 

custody, including without limitation, checks, correspondence, 

memoranda, stenographic or handwritten notes, drafts, accounts, 

voice recordings, reports, statistical compilations, work papers, 

data processing cards, computer tapes or printouts, or any other 

writing or recordings of any kind. The term "documents" also 

includes every copy of a writing or record which contains any 

commentary or notation or any kind which does not appear on the 

original or any other copy. A document is deemed to be within 

your "control" if you have ownership, possession, or custody of 

the document or a copy thereof, or the right to secure the 

document or a copy thereof from any other person or public or 

private entity having physical possession thereof. 

PORTER & CLEMENTS 

  

J.. Eugene Clements 
700 Louisiana, Suite 3500 
Houston, Texas 77002-2730 

Lan a4713)y 1226-0600 

BAG (A.C. I ¢ rt Lt Zo jer 

Darrell Smith... \ x7 1~ 
Attorney at Law |} 
10999 Interstate Hwy. 10, #905 
San Antonio, Texas 78230 
(512) 641-9944 

  

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 | OH, day of July, 1989, a true 
and correct copy of the above and foregoing Notice of Oral 
Deposition and Request for Documents 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 N., St. Mary's, Suite 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. 0. Box 2559 
Midland, Texas 79702 

Mr. Robert H. Mow, Jr. 

Hughes & Luce 
2800 Momentum Place 

1717 Main Street 
Dallas, Texas 75201 

  

Evelyn V. Kéyes 

WO0002/37/cdf 

 



  

1. 

EXHIBIT NO. 1 
  

DOCUMENTS, FILES AND THINGS TO BE PRODUCED BY ALICE BONNER 
  

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

All literature or other documents that reflect, refer, or 

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

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. 

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

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. 

 



  

THE UNITED STATES DISTRICT COURT 
THE WESTERN DISTRICT OF TEXAS 

MIDLAND-ODESSA DIVISION 

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

Plaintiffs, 

JIM MATTOX, Attorney General 

S 
S 
S 
S 
S 

Vv. § NO. MO-88-CA-154 

S 
S 

of the State of Texas, et al., § 

S 
S Defendants. 

NOTICE OF ORAL DEPOSITION AND REQUEST FOR DOCUMENTS 
  

TO: Matthew Plummer, by and through his attorney of record, 
Rolando L. Rios, Southwest Voter Registration & Education 
Project, 201 N, St. Mary's, Suite 521, San Antonio, Texas 
78205 

Please take notice that Defendant/Intervenor Harris County 

District Judge Sharolyn Wood will take the oral deposition of 

Plaintiff/Intervenor Matthew Plummer at 1:30 p.m. on July 27, 

1989, at the offices of Porter & Clements, 700 Louisiana, Suite 

3500, Houston, Texas 77002, before an officer authorized to 

administer oaths and pursuant to Federal Rules of Civil Procedure 

30(a) and 30(b) (1). Pursuant to Federal Rule of Civil Procedure 

30(b) (5) , the witness shall produce for inspection and copying at 

the time of the taking of his deposition the documents and things 

designated in Exhibit "1" attached hereto. Counsel are invited 

to attend and to cross-examine should they so desire. 

 



  

DEFINITION OF DOCUMENTS: 
  

The term "document" means every writing or record of any 

type and description that is in your possession, control, or 

custody, including without limitation, checks, correspondence, 

memoranda, stenographic or handwritten notes, drafts, accounts, 

voice recordings, reports, statistical compilations, work papers, 

data processing cards, computer tapes or printouts, or any other 

writing or recordings of any kind. The term "documents" also 

includes every copy of a writing or record which contains any 

commentary or notation or any kind which does not appear on the 

original or any other copy. A document is deemed to be within 

your "control" if you have ownership, possession, or custody of 

the document or a copy thereof, or the right to secure the 

document or a copy thereof from any other person or public or 

private entity having physical possession thereof. 

PORTER & CLEMENTS 

  

— 

rT 1 A 
sg Ba —— 
  =~ 

00 Louisiana, Suite 3500 
i ‘Houston, Texas 77002-2730 
T4713) 226-0600 

  

( } 
- ic 

Nas 4 ™ 

‘Bg Cor ; A en oa 

Darrell Smith wo 
{ HY r 2 vail 

Attorney at Law =~ 2 

10999 Interstate Hwy. 'l 
San Antonio, Texas 7823 
(512) 641-9944 

0, 4905 
0 

ATTORNEYS FOR HARRIS COUNTY 
DISTRICT JUDGE SHAROLYN WOOD 

  

. Eugene Clements To



  

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 | Ot day of July, 1989, a true 
and correct copy of the above and foregoing Notice of Oral 
Deposition and Request for Documents 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 N. St. Mary's, Suite 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 

peli Ml eyes 
  

Evelyn V. Delage 

WO0002/39/cdf 

 



| 

EXHIBIT NO. .1 
  

DOCUMENTS, FILES AND THINGS TO BE PRODUCED BY MATTHEW PLUMMER 
  

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

All literature or other documents that reflect, refer, or 
pertain to any appeal to racism in any judicial race in 
Harris County. 

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. 

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

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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