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than -- than otherwise.
Q. And if the dispute concerned, for example, a
specific discovery issue, would you expect the response
to be directed to that issue?
A. I would expect that the record would be built
so that it would be available for the discovery issue,
yes.
Q. Okay. I am going to ask the reporter to mark
as Cassell -- am I pronouncing your name correctly?
A. Yes, it's Cassell, yes.
Q. Okay. Could I ask the reporter to mark as
Cassell Exhibit 1 -- I will hand that to the reporter.
(‘ Plaintiff's * Defendant's I.D. Exhibit
No. 1 - * description was marked for identification. )
BY MR. SIMPSON:
Q. Let me identify that for the record. I may
want to mark two things.
A. Okay.
Q. Exhibit 1 is documented Plaintiff's Response
to Motion for Limited Intervention by Alan M.
Dershowitz, and I'm going to ask the reporter to mark
another exhibit at the same time. This will be
Exhibit 2, and this is a document entitled Jane Doe
Number 3 and Jane Doe Number 4's motion pursuant to rule
21 for joinder in action. Both cases having been filed
ROUGH DRAFT ONLY
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