Document 2bkRjYa7kMbMGwoZewNa5a4g
OF COUNSEL: WILLIAM N. WOODSON. Ill
T h o m a s E. K o t o s k e
A PROFESSIONAL LAW CORPORATION 5 4 0 UNIVERSITY AVENUE THIRD FLOOR
PALO ALTO. CALIFORNIA 94301 T e le p h o n e (415) 3 2 6 -5 5 7 5
March 18. 1992
John L- Thorndal, Esquire Thorndal, Backus, Maupin & Armstrong Post Office Drawer 2070 1100 East Bridger Avenue Las Vegas, Nevada 89125-2070
Re: Nevada Power Co. v Monsanto, et. al.; No. CV-S--89--555-LDG___________________
Dear John:
In light of our phone conversation the other day, wherein I reported that I had been discharged from this litigation, this letter will serve to notify you and your clients that I intend to lien any settlement funds, should settlement occur, to protect recovery of my attorney fees.
I would hope not to embroil your clients in the ultimate dispute that would follow if settlement funds are disbursed without attention to this detail.
I suppose that all these problems could be averted by simply copying me on any settlement documents that are generated. That would give me time to file a lien with the court and allow the judge to settle the dispute.
If you have any thoughts on a less painless way to do this, I would appreciate hearing from you.
Sincerely
TEKreg
CC Randall Jones, Esquire
David S. McCrea, Esquire
THOMAS E. KOTOSKE