📄 Extracted Text (274 words)
Response to Request No. 1:
Highbridge objects to this Request on the grounds that it is overly broad, unduly
burdensome, and seeks information that is irrelevant and not calculated to lead to the
discovery of admissible evidence. Subject to and without waiving its General Objections
and these objections, Highbridge will undertake a reasonable search for and produce
documents relating to the Fund or Third-Party Claimants' investments in the Fund.
Request No. 2: All documents concerning any communication between Glenn
Dubin on the one hand, and any of the Third-Party Claimants on the other, concerning
any of the Zwirn Parties, the Claimants or the Fund.
Response to Request No. 2:
Highbridge objects to this Request on the grounds that it is overly broad, unduly
burdensome, and seeks information that is irrelevant and not calculated to lead to the
discovery of admissible evidence. Subject to and without waiving its General Objections
and these objections, Highbridge will undertake a reasonable search for and produce
documents relating to the Fund or Third-Party Claimants' investments in the Fund.
Request No. 3: All documents concerning any potential or actual investment in
the Fund by any of the Third-Party Claimants.
Response to Request No. 3:
Highbridge objects to this Request on the grounds that it is overly broad, unduly
burdensome, and seeks information that is irrelevant and not calculated to lead to the
discovery of admissible evidence. Highbridge further objects because it seeks
information more easily available from the parties. Subject to and without waiving its
General Objections and these objections, Highbridge will undertake a reasonable search
for and produce responsive documents.
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Confidential Treatment Requested by JPMorgan Chase JPM-SDNY-00061125
EFTA01581720
ℹ️ Document Details
SHA-256
750d1f77d7a0959f0153f7bd819a1c0c489a68df87544bbed2fd389af919d555
Bates Number
EFTA01581720
Dataset
DataSet-10
Document Type
document
Pages
1
Comments 0