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January 19, 2006
Honorable Arlene R. Lindsay
United States Magistrate Judge
United States District Court
Eastern District of New York
Long Island Federal Courthouse
814 Federal Plaza
Central Islip, NY 11722-4451
Re: Tibor Gasparik vs. Stony Brook University
CV 05-3817 (SJF/ARL)
Your Honor:
I am the Plaintiff and Pro Se in the above captioned case against the Defendant, Stony Brook University, and this letter is to bring to your attention serious delay in the discovery caused by the complete lack of cooperation in this matter by the defense attorney, Lori L. Pack. Enclosed please find 3 communications concerning my repeated attempts to meet with the defense attorney and develop a discovery plan that is necessary, according to Rule 26f, to initiate the discovery. Although, I gave the defense attorney until the end of January to respond, the failure to do so up to this date already clearly demonstrates the lack of good faith, and may require court intervention to enforce.
Thank you in advance for your kind attention to this matter.
Respectfully yours,
Tibor Gasparik
Pro Se and
Research Associate Professor
352 Plad Blvd
Holtsville, NY 11742
(631) 447-2168
cc.: Lori L. Pack
Assistant Attorney General
Office of the Attorney General of the State Of New York
300 Motor Parkway – Suite 205
Hauppauge, New York 11788