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Digitally signed by

Joseph Zernik
Jenna Moldawsky DN: cn=Joseph
Zernik, o, ou,
email=jz12345@e

BRY~, N-{ AV{--


-<;
Direct (310) 576-2377
jenna.moldawsky@bryancave.com
arthlink.net, c=US
Date: 2010.05.12
16:01:08 +03'00'

Bryan Cave llP

120 Broadway

Suite 300
November 19, 2008
Santa Monica, CA 90401-2386

Tel 13101 576-2100

VIA FEDERAL EXPRESS Fax 13101576-2200

www.bryancave.com

David J. Pasternak
PASTERNAK, PASTERNAK & PATIO T LLP Chicago

1875 Century Park East, Suite 2200 Hamburg

Los Angeles. California 90067 Hong Kong

Irvine
Re: Samaan v. Zernik, L.A.S.C. Case No. SC087400 Jefferson City

Kansas City
Dear Mr. Pasternak: Kuwait

london
As you know, we represent Countrywide Home Loans, Inc. ("Countrywide"), a non-
Los Angeles
party in the above-referenced matter. As reflected in the Court's Judgment dated
Milan
March 11,2008 (a copy of which Countrywide provided to you on March 11, 2008),
New York
Judge Friedman found that the Protective Order entered on July 23, 2007 directing
Phoenix
Dr. Zernik to communicate solely with Countrywide's designated counsel and no
Shanghai
other officers or employees regarding the present action was valid and enforceable.
St. Louis
The Court also found that Dr. Zernik had committed thirteen separate acts of
Washington, DC
contempt by willfully violating the Protective Order, and that he was to pay a fine to
Countrywide in the amount of $7,500 for the thirteen separate acts of contempt.
Bryan Cave International Trade
A TRAOE CONSULTING SUBSIOIARY

The collection of the $7,500 fine was suspended subject to certain conditions. The OF NON-LAWYER PROFESSIONALS

Court's Judgment states that "if Defendant Joseph Zernik further violates the www.bryancavetrade_com

Protective Order, upon five (5) days' written notice from Countrywide to Zernik, the Bangkok

Receiver shall pay $7,500 from the Receiver's Fund to Countrywide in care of its Jakarta

attorneys, Bryan Cave LLP." Kuala Lumpur

Manila
On November 12, 2008, Dr. Zernik violated the Protective Order by communicating
Shanghai
with Countrywide officers and employees regarding the present action. A copy of
Singapore
this email is attached for your reference. That same day, Countrywide sent a letter to
Tokyo
Dr. Zernik, informing him that he had violated the Protective Order. A copy of that
letter was sent to you on November 12, 2008. Bryan Cave Strategies
A GOVERNMENT RELATIONS ANO
POUTICAL AFFAIRS SUBSIOIARY
Pursuant to the Court's Judgment, in the event that Dr. Zernik violated the Protective www.bryancavestrategies.com
Order, you, as the Receiver in this matter, are authorized to pay the total amount of Washington, DC
the contempt sanctions to Countrywide in the care of its counsel of record, Bryan St. Louis

SMOlDOCS708953.1
Bryan Cave UP
David J. Pasternak
November 19, 2008
Page 2

Cave LLP, from the Receiver's Fund. Countrywide's letter to Dr. Zemik providing notice of his
violation is also attached for your reference.

Accordingly, at your earliest convenience, please provide me with a check in the amount of $7,500
made out to Countrywide Home Loans, Inc. reflecting payment from the Receiver's Fund. Please feel
free to contact me with any comments or questions.

Very truly yours,

~A-~vl&P~
J enna Moldawsky 0
JM:ak

cc: John W. Amberg, Esq.


Joseph Zernik, DDS, DMD
.. 049J820371~ ..
Bryan Cave LLP
~III
120 Broadway, SUIte 300
$OO.42~
Santa Monica, CA 90401-2386 ,",R 11/19/2008
~
fP:.l~:':'~': M3iled R"om 90401
~ US POSTAGE

Dr. Joseph Zernik


2415 Saint George Street
Los Feliz, California 90027

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