ABORTION INDUSTRY IN MELBOURNE, FLORIDA
LAWSUITS
RANEY V AWARE WOMAN
DOCKET / CHRONOLOGICAL FILE
PLAINTIFF'S SUPPLEMENT TO MEMORANDUM IN SUPPORT OF MOTIONS TO COMPEL
IN THE UNITED STATES DISTRICT COURT
FOR THE MIDDLE DISTRICT OF FLORIDA
ORLANDO DIVISION
MEREDITH T. RANEY, JR.,
Plaintiff,
v.
AWARE WOMAN
CENTER
FOR CHOICE, INC., a Florida corporation,
EDWARD W. WINDLE, JR., and
PATRICIA B. WINDLE
Defendants.
CASE NO.: 97-1197-CV-ORL-19B
PLAINTIFF'S SUPPLEMENT TO MEMORANDUM IN SUPPORT OF THE MOTIONS TO COMPEL ANSWERS TO INTERROGATORIES BY PATRICIA B. WINDLE, EDWARD W. WINDLE, JR., AND AWARE WOMAN CENTER FOR CHOICE, INC.
Plaintiff, Meredith T. Raney, Jr., hereby adds the following supplemental papers to his Motion To Compel Discovery for the purpose of showing that defendants should be held to the same standards and similar discovery questions and demands imposed by themselves on plaintiff. Attached are copies of the following:
7) Subpoena For Deposition Duces Tecum recently served by defendants on Meredith T. Raney, Jr. for a deposition less than ten days later with extensive list of items.
8) Request For Admissions served by defendants.
9) Request for Production served by defendants.
10) Second Set of Interrogatories to Plaintiff.
11) Interrogatories to Plaintiff
WHEREFORE, Meredith T. Raney, Jr. hereby supplements his aforesaid Memorandum with copies of the foregoing papers.
Respectfully submitted,
Christopher F. Sapp <signed>
Post Office Box 1012
Lehigh Acres, Florida 33970
(941)368-3922
Florida Bar 0097823
Attorney for Plaintiff
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that a true and correct copy of the foregoing was sent by U.S. Mail to Vincent G. Torpy, Jr., Esquire, 930 S. Harbor City Blvd., Suite 505, Melbourne, Florida 32901 this 8th day of May, 1998.
Christopher F. Sapp <signed>
Attorney
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