詳細(xì)合作細(xì)節(jié) VIA REGULAR INTERNATIONAL MAIL May 18, 2004 Mr. Johnson Smith, Esq. Smith & Cheney, L.L.P. Suite 618 620 - 5th Avenue New York, N.Y. 10002 The United States of America Re: American Records, Inc. v. Huaguang CDs Co., Ltd. Dear Mr. Smith: I have left several voice-mail messages with your office but have not heard from you. This is to advise that plaintiff’s disclosure of experts is due on June 1, 2004, and that our answers to interrogatories are overdue. It is essential that we designate our experts to the defendant in advance of the above due date. If we fail to meet our deadline, testimony from any scientists, IT expert, music provider, or any other experts, will most likely not be admissible. I have enclosed a copy of the pre-trial scheduling order for your ease of reference, along with a form designation of experts from another case showing how designation of experts is accomplished in Beijing, China. Please prepare the expert designation and forward it to me as soon as possible, together with Mr. Kevin Holland’s executed interrogatory answers. If there is a problem, please call me so we can take the necessary steps to obtain an extension of time. Sincerely, Zhang, Wang & Lee, L.L.P. Deguang Zhang, Esq. Enclosure
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