對客戶接受對方庭外質(zhì)詢的具體安排 VIA REGULAR FAX & INTERNATIONAL MAIL May 18, 2004 Mr. Johnson Smith Providence Group, Inc. 620 - 5th Avenue New York, N.Y. 10002 The United States of America Re: Providence Group, Inc. v. China Eagle Co., Ltd. Dear Mr. Smith: Further to our telephone conversation of this morning, this letter is to confirm that you will attend and testify at your deposition on May 29, 2004 at 9:00 a.m. at the law offices of Xun & He, L.L.P. Enclosed are directions to that firm to assist you. Deposition is a discovery device by which one party asks oral questions of the other party or of a witness for the other party. The person who is deposed is called the deponent. The deposition is conducted under oath outside of the courtroom, usually in one of the attorneys’ offices. A transcript, i.e. word for word account, is made of the deposition and will be used by the court as evidence. This is also to confirm our arrangement to meet at my office, on May 28, 2004, at 6:00 p.m. to prepare you for your deposition. Rehearsal may be needed if you are deemed unprepared at the end of our meeting session. Enclosed is a copy of our firm brochure, “How to Attend A Deposition – Things You Need to Know” for your review; please read it very carefully as the incoming deposition is not a small matter. Should you have any questions, please call me. Sincerely, Zhang, Wang & Lee, L.L.P. Deguang Zhang, Esq. Enclosures
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