HomeMy WebLinkAbout1828 "3. On pages 43 and 44 of the above referred to
deposition, you agreed that you would supply
copies of all contracts between MLP Construction,
Inc. and the subcontractors who worked on this
particular job.. On pages 45 and 46 of the deposition,
you agreed to deliver them. As of this date, I have
only received various statements and invoices.
"4. On pages 62 and 63 of the above referred to t
deposition. you and your client agreed to give an
itemization as to whether MLP Construction, Inc.
had deducted the contingency fund of $8,761.07
which MLP received from Indian River Federal
Savings & Loan Association on December 28, 1979
from the amount that was claimed in the Claim of Lien
($79,312.00). I would appreciate this being answered
under oath as we have previously agreed.
"5. I am referring you to pages 130 and 131 of the
deposition which relates to the bumpers. On page 131
Mr. Perkins stated that he would produce a copy of the
check that paid for the bumpers. The checks submitted
by you to my office on May 13, 1980 did not contain
a check for the bumpers.
i
"6. I would also appreciate the copies of the financial
statements that Mr. Perkins failed to bring with him
to the deposition as well as the copies of the 1977,
1978 and 1979 U. S. Federal Income Tax Return for
MLP Construction, Inc."
Failure of the plaintiff to comply with this Order shall
be considered contempt of court, whereupon attorney's fees and
costs shall be assessed against the plaintiff in favor of the.
I'I defendant GREENBRIER PLAZA, INC. and such punishment as this
~ Court deems just and proper shall~'be oxdered.
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DONE AND ORDERED at Fort Pierce, Florida this ay
of June, 1980.
9 ~ :
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I I
Copies furnished to ;
N. Richard Schopp, Attorney
for Plaintiff 198ti 24 ~ ~
Spencer B . Gilbert , Attorney E8 ttR Ric u
for Defendant/Counterclaimant sE~
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CLERK CIRCUR COURT
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