Correspondence from Hussey to Clerk Re: Motion for Expedited Discovery Schedule

Correspondence
October 18, 1977

Correspondence from Hussey to Clerk Re: Motion for Expedited Discovery Schedule preview

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  • Case Files, Hatcher v. Methodist Hospital - Hardbacks. Correspondence from Hussey to Clerk Re: Motion for Expedited Discovery Schedule, 1977. 0b973f65-5484-f111-ab0f-7ced8d2181dd. LDF Archives, Thurgood Marshall Institute. https://ldfrecollection.org/archives/archives-search/archives-item/a8c10da1-a42e-440e-ad88-43447e0fa5bd/correspondence-from-hussey-to-clerk-re-motion-for-expedited-discovery-schedule. Accessed October 10, 2026.

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WL ae HobpGEs, DAVIS, GRUENBERG, COMPTON & SAYERS 
C.V.RIDGELY-1983 ATTORNEYS AT LAW 

THOMAS M. HODGES-1969 RICHARD S. MELVIN 
HERSCHEL B. DAVIS 5525 BROADWAY OF COUNSEL 
GILBERT GRUENBERG 
CLYDE D.COMPTON GARY, INDIANA 
WILLIAM B. DAVIS 486410 AREA CORE 219 
BRUCE E. SAYERS 
EARLE F. HITES 
EDWARD J. HUSSEY . October 18, 1977 

TELEPHONE 

081-2557 

Francis T. Grandys, Clerk 
United States District Court 
Federal Building, 507 State Street 
Hammond, Indiana 46325 

Re: Bernice Terry, et al. vs. 
Methodist Hospital of Gary, Inc., st al, 
No. H 76-373 

Richard Gordon Hatcher, et al. vs. 
Methodist Hospital of Gary, Inc., et al. 
No. H 77-154 

Dear Mr. Grandys: 

Enclosed please find the original and two copies of Motion 
for Expedited Discovery Schedule, Notice of Motion for Expedited 
Discovery Schedule, Defendant, Methodist Hospital of Gary, 
Inc.'s First Set of Interrogatories to the Plaintiffs and 
Request for Production of Documents together with an Affidavit 
of Service. Per the instructions of one of your deputies, 
I am forwarding to your office an extra copy so that these 
motions may be filed in both Cause No. H 76-373 and No. 
77-154. Would you please enter these materials of record 
and file stamp one copy of each and return them to this 
office in the enclosed, self-addressed and stamped envelope. 
I am forwarding under separate cover a proposed Order granting 
the enclosed Motion for Expedited Discovery Schedule directly 
to Judge McNagny. 

Should you have any questions or comments regarding these 
materials, do not hesitate to contact this office. Thank 
you for your courtesy and cooperation. 

Very truly yours, 

  

EDWARD J. HUSSEY 

EJH:s8 

Enclosures 

cc: All counsel of record (w/encls.) [||97f8edc6-b7bb-49ef-89ad-936d0638c51f||] 

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