Correspondence from Menefee to Whyte (Clerk); Notice of Deposition

Public Court Documents
November 13, 1984

Correspondence from Menefee to Whyte (Clerk); Notice of Deposition preview

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  • Case Files, Major v. Treen Hardbacks. Correspondence from Menefee to Whyte (Clerk); Notice of Deposition, 1984. 3e65e703-c803-ef11-a1fd-002248219001. LDF Archives, Thurgood Marshall Institute. https://ldfrecollection.org/archives/archives-search/archives-item/aa5194f7-30f9-4ae3-830c-418e3ffdeb62/correspondence-from-menefee-to-whyte-clerk-notice-of-deposition. Accessed November 05, 2025.

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    BLACKSHER, MENEFEE & STEIN, P.A. 

ATTORNEYS AT LAW 

405 VAN ANTWERP BUILDING 

P. O. BOX 1051 

MOBILE, ALABAMA 36633 

JAMES U. BLACKSHER TELEPHONE 

LARRY T. MENEFEE November 13 » 1984 (205) 433-2000 

GREGORY B. STEIN 

Ms. Loretta Whyte, Clerk 
United States Courthouse 
for the Eastern District of louisiana 
Chambers C-151 
500 Camp Street 
New Orleans, Louisiana 70130 

Re: Barbara Major; et al. v. David C, Treen, et al. 
C.A. No. 82-1192 Section C   

Dear Ms. Whyte: 

Please file the enclosed Notice of Deposition in the above- 
referenced case. 

Thank you and best regards. 

Sincerely, 

BLACKSHER, MENEFEE & STEIN, P.A. 

Fo Ug 

LTM: pfm 

Encl. 

cc: Patricia Bowers, Esq. (w/encl.) 

 



IN THE UNITED STATES DISTRICT COURT FOR THE 

FOR THE EASTERN DISTRICT OF LOUISIANA 

BARBARA MAJOR, et al., 

Plaintiffs, 

Civiy Netion No.32-1192 
Section C 

DAVID C. TREEN, etc., et al, 

Defendants. 

NOTICE OF DEPOSITION 
  

Patricia Bowers, Esq. 
Assistant Attorney General 
234 Loyola Avenue 
New Orleans, Louisiana 70112 

You are hereby notified that on the 26th day of November, 

1984, the plaintiff in the above-styled cause will take the 

deposition or depositions of the defendants or their agents, 

servants or employees who are most knowledgeable with regard to: 

l. The expenses, attorneys' fees, bill for professional 

services and charges of the defense attorneys retained by the 

defendants in connection with this litigation and any other 

representation by the same defense counsel of the defendants in 

other matters; and,  



2. The objections and contentions of the defendants relating 

to plaintiffs' motion for an award of attorneys' fees and 

expenses previously filed in this action, particularly relating 

to those factors enumerated in Johnson v. Georgia Highway   

Express, 488 F.2d 714 (5th Cir. 1974). 

The deposition will be taken in accordance with and pursuant 

to Rule 3U, the Federal Rules of Civil Procedure, in the law 

offices of Quigley & Scheckman, 631 St. Charles Avenue, New 

Orleans, Louisiana 70130, commencing at 1:00 p.m. before an 

officer duly authorized to take depositions and will continue 

from day to day until completed. 

Under Rule 3U(b)(6) of the Federal Rules of Civil Procedure, 

the defendant is reminded of its duty to designate the person or 

persons who will testify to such matters and the subject matter 

to which said person or persons will testify. 

He 
Respectfully submitted this [3 day of November, 1984. 

BLACKSHER, MENEFEE & STEIN, P.A. 
405 Van Antwerp Bldg. 
P. 0. Box 105] 
Mobile, Alabama 36633 
(205) 433-2000 “yr 

 



WILLIAM P, QUIGLEY 
STEVEN SCHECKMAN 
R. JAMES KELLOGG 
QUIGLEY & SCHECKMAN 
631 St. Charles Avenue 
New Orleans, Louisiana 70130 
(504) 524-0016 

STANLEY HALPIN 
2206 W. St.Mary 
Lafayette, Louisiana 70506 
{318) 367-2207 

LANI GUINIER 
LEGAL DEFENSE FUND 
99 Hudson Street 
16th Floor 
New York, New York 10013 
(212) 219-1900 

ARMAND DERFNER 
5520 33rd Street, N.Y. 
Washington, D.C. 20015 
(202) 244-3151 

Attorneys for Plaintiffs 

CERTIFICATE OF SERVICE 
  

a copy of the foregoing NOTICE OF DEPOSITION was served 

upon the following counsel of record: 

Patricia Bowers, Esq. 
Assistant Attorney General 
234 Loyola Avenue 
New Orleans, Louisiana 70112 

and was properly addressed and deposited in the United States 

Mail, postage prepaid. 

( 

  

Srey FOR PLAINTJFFS 
2

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