Document 3NEYRpgoMva02or3DYk04KMK6

L.O.+-S-E30IG-36 'SS'.r- \v\>; MLJ i m m S St a n d a r d Oi l Co m pa n y o f Ne w J e r s e y 26g Br o a d w a y , Ne w Yo r k ; . ; - E d w i n S .H a l l , . Fr a n k .S .Pe r k y - ' Ge o r o e H T o w k r 1 - v. W lL L I A M L .St e PH E N S CO U N SEL . Hovember l6 193^ vs: Standard Doctor Bobert A. Kehoe College of Medicine Eden and Bethesda Avenues Cincinnati Ohio My dear Dr. Kehoe: Mr. Christie Benet advises that this case is at the head of the calendar for the term beginning December 7 and that plaintiff is insisting it be re-tried at that time. I am sure it does not need explanation from me to convince you how necessary it is for you to be there for the trial. Mr. Benet particularly hopes you can join him at least one day before the trial. May we rely on you to do so? !Che plaintiff*s lack of confidence in his case is in dicated by the intimation he will accept $2500*00 in settlement. I am continuing my policy that we cannot afford to settle one of these cases even though it costs us vastly more to defend*. Our success at Wilson materially strengthens my adversityto settlements in this type of litigation. If we can win the Hubbard case, I shall feel quite confident it will be the end of thit type of litigation. I f eel sure you will cooperate with us in the hope of assisting us to accomplish this desirable objective. $