Document mpQLd1YXYpvJOYqp4n46xKj6b

IN RE: ALL GOLDENBERG, MILLER, HELLER & ANTOGNILI, P.C., ASBESTOS CASES GENERAL MOTORS CORPORATION'S PRIVILEGE LOG SUBJECT TO 4/25/2006 ORDER Doc DATE TO/FROM PRIV000001- 09/17/2002 To: Darrell Grams, Esq. 000003 Glenn Jackson, Esq. William McLellan, Esq. PRIV000004 -000019 05/07/2003 To: Samina R. Schey, Esq. Glenn Jackson, Esq. Darrell Grams, Esq. Bill McLellan, Esq. Mike Sullivan, Esq. From: Patrick Sheehan PRIV000020000045 07/22/2003 To: Samina R. Schey, Esq. Glenn Jackson, Esq. Darrell Grams, Esq. Bill McLellan, Esq. Mike Sullivan, Esq. From: Patrick Sheehan DESCRIPTION OR SUBJECT MATTER Confidential draft memoranda from expert consultant to legal staff attorneys memorializing scope of litigation strategy tasks, ongoing work and budgets related to defending ongoing, pending and potential litigation matters. Confidential correspondence from expert consultant to legal staff attorneys describing litigation strategy tasks and budgets for proposed and ongoing work related to defending ongoing, pending and potential litigation. Confidential correspondence, from expert consultant to legal staff attorneys describing litigation strategy tasks and budgets for proposed and ongoing work related to defending ongoing, pending and potential litigation. PURPOSE OF DOCUMENT To set forth litigation strategy tasks to assist in ongoing, pending and prospective litigation. To set forth litigation strategy tasks to assist in ongoing, pending and prospective litigation. To set forth litigation strategy tasks to assist in ongoing, pending and prospective litigation. PRIVILEGE CLAIM Attorney-Client Privilege Attorney Work Product Joint Defense Privilege Attorney-Client Privilege Attorney Work Product Joint Defense Privilege Attorney-Client Privilege Attorney Work Product Joint Defense Privilege Doc DATE PRIV000046- 4/26/06 000047 TO/FROM To: Thomas Dutton, Esq. From: Patrick Sheehan DET01\510847.1 ID\MSS DESCRIPTION OR SUBJECT MATTER Transmittal Form to GM counsel from consulting expert regarding memo to legal staff counsel regarding correspondence from expert consultant to legal staff attorneys describing litigation strategy tasks and budgets for proposed and ongoing work related to defending ongoing, pending and potential litigation. PURPOSE OF DOCUMENT To set forth litigation strategy tasks to assist in ongoing, pending and prospective litigation. PRIVILEGE CLAIM Attorney-Client Privilege Attorney Work Product Joint Defense Privilege