對(duì)客戶(hù)出庭作證具體安排
VIA FAX ®ULAR INTERNATIONAL MAIL May 18, 2005 Mr. Mark Brown Manager of International Sales Leonard & Sons, Inc. 111 Union Turnpike Jersey City, New Jersey 07543 Re: China Computer Wizard Co. Ltd. v. Leonard & Sons, Inc. People’s Court CA No. 111 Dear Mr. Brown, Please be advised that the plaintiff in the above-entitled action has served a set of interrogatories, or written questions, which you must answer. Interrogatories are a common method of discovery in litigation used by one side to learn information from the other. You must respond to them fully and accurately, and then sign them under oath. I would be grateful if you would prepare draft answers to the interrogatories and send your answers to my attention on or before June 15, 2005. I will then prepare final answers based upon your draft answers and the information contained in your file. Upon accomplishing the above, I will ultimately send the final answers to you for your final approval and signature. I have enclosed for your reference a general instruction form regarding interrogatories. You should read this form before preparing your answers. Should you have any questions, or if there is anything I can do to facilitate the process for you, please let me know. Thank you for your attention and cooperation in this matter. Sincerely, Zhang, Wang & Lee, L.L.P. Deguang Zhang, Esq. Encl.
對(duì)客戶(hù)出庭作證具體安排 VIA FAX & REGULAR INTERNATIONAL MAIL May 18, 2004 Mr. Johnson Smith Providence Group, Inc. Suite 618 620 - 5th Avenue New York, N.Y. 10002 The United States of America Re: In re matter of Providence Group, Inc. Ministry of Commerce Investigation No. 111-04 Dear Mr. Smith: I am writing to follow up on our conversation earlier today and to confirm the following scheduled dates: Practice Session: Wednesday, May 25, 2004, in my office. Please dress properly. Interview with the Government: Thursday, May 26, 2004, in the Ministry of Commerce main building, Conference room 105. We will meet in my office at 9:00 a.m. and walk over to the Ministry of Commerce. Appearance before the Investigatory Tribunal: Thursday June 3, 2004, in the afternoon. Please bear in mind that being an effective and trustworthy witness requires you to stay calm, speak slowly, eye the questioner, and not to volunteer answers or information that are not probed. You must answer the questions to the point and tersely. In China, people generally like polite and humble witnesses; being arrogant and argumentative may backlash. If you have any questions or problems with any of the above, please let me know. In the meantime, please carefully read (reread if necessary) the enclosed memo on being a witness, and let me know your thoughts or questions if you have any. Many thanks. Sincerely, Zhang, Wang & Lee, L.L.P.
Deguang Zhang, Esq. Encl.
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