Document aJjqmgkBRL4qRB39NmEagpDkY
OF COUNSEL: WILUAM N. WOODSON, III
T h o m a s K. K o t o s k e
a p r o f e s s io n a l LAW c o r p o r a t io n
5 4 0 UNIVERSITY AVENUE THIRD FLOOR
PALO ALTO. CALIFORNIA 94301
Telephone <4i5) 326-5575
December 22, 1989
J. Bruce Alverson Alverson, Taylor, Mortensen & Gould 600 South Eighth Street Las Vegas, NV 89101
R e : Nevada Power v. General Electric CV-S-89-555-LOG
Dear Mr. Alverson:
Pursuant to the court's order, you are notified that plaintiff will file a motion to compel discovery against your client, General Electric, based on that defendant's failure to properly respond to plaintiff's request to admit facts as well as defendant's failure to properly respond to plaintiff's interrogatories.
All attempts to resolve this dispute have been to no avail. Of course, our motion will also seek appropriate sanctions against General Electric.
As always, we stand open to any good faith efforts to resolve this matter and thereby avert the necessity of this motion.
Sincerely,
-fyleL
THOMAS E. KOTOSKE
TEK:rry
cc: Bruce A Featherstone John L. Thorndal Jeffery S. Klein J. Randall Jones