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Case 1:13-cv-00465-MMS Document 50 Filed 06/02/14 Page 1 of 2

IN THE UNITED STATES COURT OF FEDERAL CLAIMS


FAIRHOLME FUNDS, INC., et al.,
Plaintiffs,
v.
THE UNITED STATES,
Defendant.

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No. 13-465C
(Judge Sweeney)

UNOPPOSED MOTION TO CORRECT APPENDIX


TO DEFENDANTS
MOTION FOR PROTECTIVE ORDER
Pursuant to Rule 7(b) of the Rules of the United States Court of Federal Claims,
defendant, the United States, respectfully requests that the Court grant this motion to
correct the appendix attached to Defendants Motion for Protective Order (Dkt. 49), filed
on May 30, 2014. Three documents were inadvertently omitted from the appendix:
Plaintiffs First Set Of Requests For Production, dated April 7, 2014, Defendants
Responses To Plaintiffs First Set Of Requests For Production, dated May 2, 2014, and
Fairholme Funds, Inc. and the Fairholme Funds Answer To Defendants First
Interrogatory, dated May 7, 2014. Plaintiffs Fairholme Funds, Inc., et al. do not oppose
the requested correction. The corrected version of the appendix is appended hereto.
Respectfully submitted,

STUART F. DELERY
Assistant Attorney General

/s/ Robert E. Kirschman, Jr


ROBERT E. KIRSCHMAN, JR.
Director

Case 1:13-cv-00465-MMS Document 50 Filed 06/02/14 Page 2 of 2

/s/ Kenneth M. Dintzer


KENNETH M. DINTZER
Acting Deputy Director
GREGG M. SCHWIND
Senior Trial Counsel
ELIZABETH M. HOSFORD
Senior Trial Counsel
Commercial Litigation Branch
Civil Division
U.S. Department of Justice
P.O. Box 480
Ben Franklin Station
Washington, DC 20044
Telephone: (202) 616-0385
Facsimile: (202) 307-0972
Email:
KDintzer@CIV.USDOJ.GOV
Attorneys for Defendant
June 2, 2014

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