Have  we scheduled the Virgo and Miller depos,their depo prep, and the 
mediation?



	"Bill W. Ogden" <bogden@ogwb.com>
	06/13/2000 05:00 PM
	Please respond to bogden
		 
		 To: "Richard Sanders" <richard.b.sanders@enron.com>
		 cc: 
		 Subject: FW: Natole Turbine v. IBC Turbo and Enron




-----Original Message-----
From: Bill W. Ogden [mailto:bogden@ogwb.com]
Sent: Tuesday, June 13, 2000 3:04 PM
To: robert.p.virgo@enron.com
Cc: mike.j.miller@enron.com
Subject: FW: Natole Turbine v. IBC Turbo and Enron




-----Original Message-----
From: Bill W. Ogden [mailto:bogden@ogwb.com]
Sent: Tuesday, June 13, 2000 1:58 PM
To: Richard Sanders
Cc: Mike Miller; Bob Virgo; Dorfman, Grant
Subject: Natole Turbine v. IBC Turbo and Enron


Richard:
 I have spoken again today with Tom Deen, the lawyer for Natole Turbine.
 Deen still wants to mediate the case, but after talking with his client he
wants to depose Anderson, Leather, Virgo and Miller first. He says the
depositions of Virgo and Miller will be short (1/2 day each) and he wants to
try and schedule the depositions for the week of July 10. I am available
July 11, 12, 13 or 14 that week. By copy of this email, I am asking that
Miller and Virgo each advise me as to their availability then, or if
unavailable, the nearest alternate dates possible for each of them.
 I remind everyone that this case has a trial setting on September 4.
If we cannot complete this initial discovery and set a mediation promptly,
we will have the Hobson's choice either to delay the case further, or try it
with relatively little preparation time.
 I ask that Messrs. Miller and Virgo let me know about their schedules,
either by reply email, or call me at 713-844-3001.
 Thank you for your time and assistance.

 Best regards,
 Bill Ogden