Document qd880DVD5zO10E1rkZxJbRzek
NO. 90G2055
WELDON R. MOAKE, et al
VS.
OWENS-CORNING FIBERGLASS CORPORATION (a/k/a OWENS CORNING CORPORATION); et al
IN THE DISTRICT COURT OF
BRAZORIA COUNTY, TEXAS
239* JUDICIAL DISTRICT
DEFENDANT KOCH PETROLEUM GROUP, L.P/S SECOND SUPPLEMENT TO RULE 194 DISCLOSURES
TO: Plaintiff, Weldon R. Moalce, by and through his attorneys of record, Holly J.W. Huart and Stephanie Finch, Baron & Budd, The Centrum, 3102 Oak Lawn Avenue, #1100, Dallas, Texas 75219.
COMES NOW, Defendant, Koch Petroleum Group, L.P., improperly designated as "Koch
Refining Company (individually & successor to Suntide Refining Company and Sun Company,
Inc.)," (hereinafter referred to as "Defendant"), and serves the following Second Supplement to its
Responses to Plaintiffs Requests for Disclosure pursuant to Rule 194 of the Texas Rules of Civil Procedure:
Koch refers all parties to its designation of expert witnesses and fact witness list filed and
served 9/29/2000.
Respectfully submitted,
WERNER & KERRIGAN, L.L.P.
By:
Philip Werner State Bar No. 21190200 1300 Post Oak Blvd., #2225 Houston, "DC 77056 Telephone: 713-626-2233 Facsimile: 713-626-9708 Counsel for defendant, Koch Petroleum Group, L.P.
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CERTIFICATE OF SERVICE
I hereby certify that a true and correct copy of the foregoing has been forwarded by certified mail, return receipt requested, to Plaintiffs counsel listed below, and by U.S. First Class Mail to all known defense counsel of record on this 29th day of September, 2000:
Holly J. W. Huart Stephanie Finch Baron & Budd, P.C. 3102 Oak Lawn Avenue, Suite 1100 Dallas, Texas 75219
Pauicia j. jcvemgau
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