37-0 Joint Statement of Inability to Stipulate to any Facts

Joint Statement re: Stipulation

September 30th, 2020

“Pursuant to L.R. 16.2(b)(3) and the Court’s Order Providing for Jurisdictional Discovery dated August 14, 2020 (Doc. 32), counsel for Plaintiffs Tracy Caekaert and Camillia Mapley, and counsel for Defendants Watchtower Bible and Tract Society of New York, Inc. (hereinafter “WTNY”), and Watch Tower Bible and Tract Society of Pennsylvania (hereinafter “WTPA”), 1 conferred and were unable to stipulate to any facts at the present time. Pursuant to L.R. 11.2( a)( 1 ), all counsel consent to the electronic filing of this Joint Statement of Inability to Stipulate to Any Facts by counsel for WTNY and WTPA.”

File Type: pdf
Categories: Caekaert v. Watchtower
Tags: Caekaert v. Watchtower
classic-editor-remember: classic-editor
JWCA Document Number: 37.0
Downloads: 1
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