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SUBJECT:
Re: Resignation as counsel in ICDR Case No.: 50 148 T00030 10 (Puritan Securities, Inc. v. Paradigm Capital Management, LLC and Paradigm Global Advisors, LLC)
FROM:
M
mxl@tlcorplaw.com
DATE:
2010-09-17 21:49:24
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Hunter Biden
<hbiden@rosemontseneca.com>
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Not likely - I am just being a mother fucker and making sure that there is no question of the wrath they will incurr if they push it Sent via BlackBerry from T-Mobile -----Original Message----- From: Hunter Biden <hbiden@rosemontseneca.com> Date: Fri, 17 Sep 2010 17:39:42 To: Marc X. LoPresti<mxl@tlcorplaw.com> Subject: Re: Resignation as counsel in ICDR Case No.: 50 148 T00030 10 (Puritan Securities, Inc. v. Paradigm Capital Management, LLC and Paradigm Global Advisors, LLC) They going to keep this alive some how? R. Hunter Biden 202-333-1880 On Sep 17, 2010, at 2:30 PM, "Marc X. LoPresti" <mxl@tlcorplaw.com> wrote: > From: Marc X. LoPresti [mailto:mxl@tlcorplaw.com] > Sent: Friday, September 17, 2010 2:09 PM > To: Adam Jaffee; nathan@puritansecurities.com > Cc: 'David Kasell'; 'Martins, Eric' > Subject: RE: Resignation as counsel in ICDR Case No.: 50 148 T00030 10 (Puritan Securities, Inc. v. Paradigm Capital Management, LLC and Paradigm Global Advisors, LLC) > Importance: High > > > > It is not fair to Claimant, against whom these meritless claims have been brought, to be left guessing as to whether or not there are briefs that will be filed, who the parties are or will be, and what the latest baseless argument may arise on behalf of Claimants. > > > > ALL PARTIES ARE THEREFORE ADVISED that it is the intention of Claimants that ANY prejudice befalling them as a result of these matters will be the subject of a Motion for Intervention before a federal court of competent jurisdiction which shall include an application for ALL costs, fees and disbursements resulting therefrom. > > Marc X. LoPresti, Esq. > Tagliaferro & LoPresti, LLP > > New York Office: > 45 Broadway, Suite 2200 > New York, New York 10006 > (212) 732-4029 > (212) 232-2398 (fax) > > Los Angeles Office: > 12400 Wilshire Boulevard, Suite 820 > Los Angeles, California 90025 > (310) 312-1860 > (310) 445-1866 > > CONFIDENTIALITY NOTICE: > > The information contained in this electronic mail message is private and confidential and may contain Attorney-Client privileged information. It is intended only for the use of the individual or entity to whom it is addressed. The information may be privileged, proprietary and exempt from disclosure under applicable federal, state or other law. Any recipient of this electronic mail message other than the intended recipient is hereby notified not to disclose, distribute or copy this electronic mail message, or take or refrain from taking any action in response to this message. > > > > From: Adam Jaffee [mailto:JaffeeA@adr.org] > Sent: Friday, September 17, 2010 1:40 PM > To: Marc X. LoPresti; 'nathan@puritansecurities.com' > Cc: 'David Kasell'; 'Martins, Eric' > Subject: RE: Resignation as counsel in ICDR Case No.: 50 148 T00030 10 (Puritan Securities, Inc. v. Paradigm Capital Management, LLC and Paradigm Global Advisors, LLC) > > > > Dear Parties, > > > > The ICDR confirms that Claimant has not requested to withdraw its claim. We thank Mr. Kasell for providing contact information for Claimant. As the participation of Jeffry Schneider has been a sensitive issue, we will forward today’s emails to Mr. Lapkin only; however, Claimant may subsequently request that additional persons be notified. Additionally, following this email, we will cease copying Mr. Kasell (and his law firm) on our communications. > > > > Finally, the financial obligations of both parties remain in effect. While the ICDR may administratively move payment deadlines, the hearing is currently scheduled to begin on October 12, 2010 and, in our discretion, it would not be fair to the arbitrator to postpone the October 1 payment deadline any further. If we are not fully funded by October 1, we must inform Mr. Martins, who has the authority to suspend or terminate the proceedings. Please keep in mind that any unused deposits will be returned at the conclusion of the proceedings. > > > > Regards, > > > > Adam Jaffee > > > > From: David Kasell [mailto:dkasell@sglawyers.com] > Sent: Friday, September 17, 2010 1:19 PM > To: Adam Jaffee > Cc: Marc X. LoPresti > Subject: RE: Resignation as counsel in ICDR Case No.: 50 148 T00030 10 (Puritan Securities, Inc. v. Paradigm Capital Management, LLC and Paradigm Global Advisors, LLC) > > > > > > > > Mr. Jaffee, > > > > As you are aware we simply resigned as counsel. Claimants have not requested that the matter be discontinued (with or without prejudice) and I am not aware of the mechanism by which ICDR could do that. > > > > In the absence of information for any incoming counsel for Claimant and/or Jeffry Schneider, the ICDR should contact both: > > > > Nathan Lapkin: nathan@puritansecurities.com (203) 635- 4380 > > > > and > > > > Jeffry Schneider JSchneider@onyx-cap.com and jschneider@virtusrei.com > > Onyx Capital > > 6836 Bee Caves Road, Suite #245 > > Austin, Texas 78746 > > > > and > > > > Jeffry Schneider > > Virtus Real Estate Investments > > 7004 Bee Caves Rd > > Building 3 Suite 300 > > Austin, TX 78746 > > > > I am not sure which contact information for Mr. Schneider is best. > > > > From: Adam Jaffee [mailto:JaffeeA@adr.org] > Sent: Friday, September 17, 2010 12:07 PM > To: David Kasell > Cc: Marc X. LoPresti > Subject: RE: Resignation as counsel in ICDR Case No.: 50 148 T00030 10 (Puritan Securities, Inc. v. Paradigm Capital Management, LLC and Paradigm Global Advisors, LLC) > > Mr. Kasell, > > > > Please advise who should receive notice for Claimant moving forward. Until provided a contact person with address, email and phone number, I will continue to copy you on emails. Thank you for your understanding. > > > > Regards, > > > > Adam Jaffee > > > > From: David Kasell [mailto:dkasell@sglawyers.com] > Sent: Thursday, September 16, 2010 10:30 AM > To: Adam Jaffee > Cc: Marc X. LoPresti > Subject: Resignation as counsel in ICDR Case No.: 50 148 T00030 10 (Puritan Securities, Inc. v. Paradigm Capital Management, LLC and Paradigm Global Advisors, LLC) > > > > > > > > Re: Puritan Securities, Inc. v. Paradigm Capital Management, LLC and Paradigm Global Advisors, LLC; > > ICDR No.: 50 148 T00030 10 > > > > Gentlemen, > > > > Effective immediately Sadis & Goldberg is resigning as counsel in the above referenced matter. > > > > David M. Kasell | Sadis & Goldberg LLP | Email:DKasell@SGLawyers.com | www.hedgefundworld.com | 551 Fifth Avenue, 21st Floor, New York, NY 10176 | Tel: 212-573-8037 | Fax: 212-947-3796 > > This e-mail communication is confidential and is intended only for the individuals or entities named above and others who have been specifically authorized to receive it. If you are not an intended recipient, please do not read, copy, use or disclose the contents of this communication to others. Please notify the sender that you have received this e-mail in error by replying to the e-mail or by telephoning 212.947.3793. Please then delete the e-mail and any copies of it. Thank you. Nothing contained in this disclaimer shall be construed in any way to grant permission to transmit confidential information via this firm's e-mail system. > >
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