Send the drafts at the same time.



	"JOHN G KLAUBERG" <JKLAUBER@LLGM.COM>
	07/26/2000 04:33 PM
		 
		 To: <Richard.B.Sanders@enron.com>
		 cc: 
		 Subject: Re: Infineum


Richard:  actually, it is pretty clear.  We definitely would never file any 
papers without running them through you.  But on drafts of papers should we 
get your clearance first before sending to ECP or should we send out drafts 
to each of you simultaneously.  I assume the latter.  Could you let me know 
if you think differently.  Thanks, Richard, and I'm sure we will be speaking 
soon.  John

"This e-mail, including attachments, contains information that is 
confidential and it may be protected by the attorney/client or other 
privileges.  This e-mail, including attachments, constitutes non-public 
information intended to be conveyed only to the designated recipient(s).  If 
you are not an intended recipient, please delete this e-mail, including 
attachments and notify me by return mail, e-mail or by phone at 212 
424-8125.  The unauthorized use, dissemination, distribution or reproduction 
of the e-mail, including attachments, is prohibited and may be unlawful.

John Klauberg
LeBoeuf, Lamb, Greene & MacRae, L.L.P.
212 424-8125
jklauber@llgm.com

>>> <Richard.B.Sanders@enron.com> 07/26/00 05:24PM >>>

Yes. I am the contact person at Enron. The LLGM attys should send me copies
of all pleadings and drafts of any important pleadings--answers,
counterclaims or motions for summary judgement--before they are filed. As
for contact with the ECP people, I think your litigators can call them
directly for incidental information. Any strategy calls should be made
through me. I would suggest that they give me the option of participating
on the initial calls w/ the ECP witnesses. I wil;l likely decline because
of time constraints. Is that as clear as mud?



                    "JOHN G
                    KLAUBERG"            To:     <Richard.B.Sanders@enron.com>
                    <JKLAUBER@LLG        cc:
                    M.COM>               Subject:     Infineum

                    07/25/2000
                    09:12 AM






Richard:  Could you let me know at your convenience if you should be the
contact person for any LeBoeuf lawyer with respect to any correspondence,
papers, questions, etc. in this matter.  Do you want us to be sending any
drafts of court papers that we prepare, for example, to ECP simultaneously
with sending them to you or after you have reviewed them?  I assume our
litigators can contact the ECP folks directly to obtain any information or
other materials that they may need, but please let me know if you would
rather that they work through you.  Thanks, Richard.  I hope that all is
going well.  John

"This e-mail, including attachments, contains information that is
confidential and it may be protected by the attorney/client or other
privileges.  This e-mail, including attachments, constitutes non-public
information intended to be conveyed only to the designated recipient(s).
If you are not an intended recipient, please delete this e-mail, including
attachments and notify me by return mail, e-mail or by phone at 212
424-8125.  The unauthorized use, dissemination, distribution or
reproduction of the e-mail, including attachments, is prohibited and may be
unlawful.

John Klauberg
LeBoeuf, Lamb, Greene & MacRae, L.L.P.
212 424-8125
jklauber@llgm.com

"This e-mail, including attachments, contains information that is
confidential and it may be protected by the attorney/client or other
privileges.  This e-mail, including attachments, constitutes non-public
information intended to be conveyed only to the designated recipient(s).
If you are not an intended recipient, please delete this e-mail, including
attachments and notify me by return mail, e-mail or by phone at 212
424-8125.  The unauthorized use, dissemination, distribution or
reproduction of the e-mail, including attachments, is prohibited and may be
unlawful.

John Klauberg
LeBoeuf, Lamb, Greene & MacRae, L.L.P.
212 424-8125
jklauber@llgm.com