Suarez v. U.S. Bank, NA, As Trustee

Western District of Texas, txwd-5:2019-cv-00704

NOTICE of Service of its Initial Rule 26 Disclosures by U.S. Bank, NA, as Trustee

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IN THE UNITED STATES DISTRICT COURT FOR THE WESTERN DISTRICT OF TEXAS SAN ANTONIO DIVISION FELIX ROBERT SUAREZ, § § Plaintiff/Counter-Defendant, § § v. § § Civil Action No. 5:19-cv-704-FB-ESC U.S. BANK TRUST NATIONAL § ASSOCIATION, AS TRUSTEE OF CVI § LCF MORTGAGE LOAN TRUST I, § § Defendant/Counter-Plaintiff. § DEFENDANT COUNTER-PLAINTIFF'S NOTICE OF SERVICE OF ITS INITIAL RULE 26 DISCLOSURES Defendant/Counter-Plaintiff U.S. Bank Trust National Association, as Trustee of CVI LCF Mortgage Loan Trust I ("U.S. Bank" or "Defendant") hereby certifies it has served its Initial Disclosures in accordance with Federal Rule of Civil Procedure 26(a)(1)(A)-(D) and order of the Court on Plaintiff/Counter-Defendant, Felix Robert Suarez, though his attorney, Robert C. Newark, III at 1341 W. Mockingbird Land, Suite 600W, Dallas, Texas 75247 via Regular US Mail on March 14, 2019. DEFENDANT/COUNTER-PLAINTIFF'S NOTICE OF SERVICE OF ITS INITIAL RULE 26 DISCLOSURES MWZM: 18-000111-505 PAGE 1 Respectfully submitted, By: /s/ Philip W. Danaher MARK D. CRONENWETT Texas Bar No. 00787303 mcronenwett@mwzmlaw.com PHILIP W. DANAHER Texas Bar No. 24078395 pdanaher@mwzmlaw.com MACKIE WOLF ZIENTZ & MANN, P. C. 14160 North Dallas Parkway, Suite 900 Dallas, TX 75254 Telephone: (214) 635-2650 Facsimile: (214) 635-2686 ATTORNEYS FOR DEFENDANT/COUNTER-PLAINTIFF CERTIFICATE OF SERVICE The undersigned certifies that on the 14th day of August, 2019, a true and correct copy of the foregoing document was delivered via ECF Notification to the parties listed below: Robert C. Newark, III office@newarkfirm.com 1341 W. Mockingbird Lane, Suite 600W Dallas, TX 75247 Counsel for Plaintiff /s/ Philip W. Danaher PHILIP W. DANAHER DEFENDANT/COUNTER-PLAINTIFF'S NOTICE OF SERVICE OF ITS INITIAL RULE 26 DISCLOSURES MWZM: 18-000111-505 PAGE 2