Correspondence from Olshansky to Johnson Re Plaintiffs-Respondents-Cross-Appellants' Brief
Correspondence
November 10, 1998

2 pages
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Case Files, Campaign to Save our Public Hospitals v. Giuliani Hardbacks. Correspondence from Olshansky to Johnson Re Plaintiffs-Respondents-Cross-Appellants' Brief, 1998. 7477a40c-6935-f011-8c4e-7c1e5267c7b6. LDF Archives, Thurgood Marshall Institute. https://ldfrecollection.org/archives/archives-search/archives-item/e3c6ffee-9da3-4858-a168-30ab0579409f/correspondence-from-olshansky-to-johnson-re-plaintiffs-respondents-cross-appellants-brief. Accessed July 26, 2025.
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: r for Constitutional Rights A NON-PROFIT LEGAL/EDUCATIONAL ORGANIZATION COMMITTED TO THE CREATIVE USE OF LAW AS A POSITIVE FORCE FOR SOCIAL CHANGE. November 10, 1998 Olati Johnson, Esq. NAACP Legal Defense & Educational Fund, Inc. 99 Hudson Street, 16th Floor New York, New York 10013 Re: Campaign to Save Our Public Hospitals, et al. wv. Giuliani, et al. Plo7ad - Court of Appeals Dear Olati: Enclosed please find a copy of Plaintiffs-Respondents- Cross-Appellants’ Brief submitted in the above-referenced appeal. I am also sending copies to Judy Wessler, Denise Sofel, and Arthur Baer. Please let me know if there is anyone else that I should send a copy. Thank you again for doing the manual research in the municipal library; it was very useful, and at the very least, made me feel as though we had overturned every stone looking for support for our position... The Clerk’s Office at the Court told me that we are tentatively scheduled for argument on February 9, 1999. I will let you know as soon as I get the confirmation letter. Sincerely yours, JE om (ram Barbara J. Olshansky Encl. 666 Broadway New York, NY 10012 U.S.A. TeL 212.614.6464 Fax 212.614.6499 EmaiL CCR@igc.apc.org 213 Main Street Greenville, MS 38701 U.S.A. TeL 601.334.1122 Fax 601.334.1274 To be Argued by: BARBARA I. OLSHANSKY (Time Requested: 30 Minutes) Queens County Clerk’s Index No. 10763/96 Qourt of Appeals of the State of New York aaa ll iD CAMPAIGN TO SAVE OUR PUBLIC HOSPITALS — QUEENS COALITION, an unincorporated association, by its member WILLIAM MALLOY; CAMPAIGN TO SAVE OUR PUBLIC HOSPITALS — CONEY ISLAND HOSPITAL COALITION, an unincorporated association, by its member PHILIP R. METLING; ANNE YELLIN; and MARILYN MOSSOP, Plaintiffs-Respondents-Cross-Appellants, — against — RUDOLPH W. GIULIANI, THE MAYOR OF THE CITY OF NEW YORK; NEW YORK CITY HEALTH AND HOSPITALS CORPORATION; and NEW YORK CITY ECONOMIC DEVELOPMENT CORPORATION, Defendants-Appellants-Cross-Respondents. BRIEF FOR PLAINTIFFS-RESPONDENTS- CROSS-APPELLANTS BARBARA J. OLSHANSKY ROBERT T. PERRY Lp CENTER FOR CONSTITUTIONAL RIGHTS , 0 Aon y's 2 / 666 Broadway, 7th Floor of New York, New York 10012 Spe Ww (212) 614-6439 ELAINE R. JONES Director/Counsel NORMAN J. CHACHKIN OLATUNDE C.A. JOHNSON NAACP LEGAL DEFENSE & EDUCATIONAL FUND, INC. 99 Hudson Street, 16th Floor New York, New York 10013 (212) 965-2200 Attorneys for Plaintiffs-Respondents- Cross-Appellants hag. te Completed: Novemt i