Notice of Intent to Depose


              IN THE CIRCUIT COURT GREENE COUNTY MISSOURI


Marc Perkel - pro se              )
         plaintiff,               )
                                  )
vs.                               )  No. 197CC0170
                                  )
William A. Wear Jr.               )
James R. Sharp                    )
The Law Firm of Wear and Sharp    )
Vicki Stringfellow                )
Donald A. Duncan                  )
The Law Firm of Turner, Reid,     )
Duncan Loomer and Patton, P.C.,   )
         defendants,              )



                      NOTICE OF INTENT TO DEPOSE
                      ==========================


COMES NOW, Plaintiff Marc Perkel to give NOTICE to all defendants of
intent to do depositions. Plaintiff will depose Ms. Stringfellow to
testify as a witness about her lawyers Mr. Wear and Mr. Sharp. Plaintiff
will depose Mr. Wear and Mr. Sharp to testify as a witness about their
client Ms. Stringfellow and their lawyer Mr. Duncan. Mr. Duncan will be
deposed to testify as a witness about his clients Mr. Wear and Mr.
Sharp. Plaintiff notifies defendants that they are necessary witnesses
and they will be asked to testify about material facts. Plaintiff
forsees that there will be conflicting testimony.


Rule 3.7 "LAWYER AS WITNESS" states in the relevant part, "(a) A lawyer
shall not act as an advocate at trial in which the lawyer is likely to
be a necessary witness ..."


You are hereby NOTIFIED for the purpose of compliance with Rule 3.7 as
well as the conflict of interest rules with respect to attempts of one
defendant to try to represent another defendant. It appears clear to the
Plaintiff that one defendant representing another would violate Rule 3.7
pursuant to this notification.

Sponsors
Shopping
email
EMail
Home
Home

IwantU Select Clubs

Versus Law Legal Library
Case Law $7/Month 50 States + Fed
I use this service.

Copyright Terms

People before Lawyers

A project of the People's legal Front

-----