To: scion who wrote (1545 ) 6/17/2007 1:37:24 PM From: scion Respond to of 1681 Case 0:07-cv-60072-MGC Document 34 Entered on FLSD Docket 06/15/2007 OCR DEFENDANTS’ INITIAL DISCLOSURES PURSUANT TO FED.R.Civ.P.26(A)(1) Pursuant to Rule 26(a)(1), Fed.R.Civ.P, Defendants Peter Vucicevich, Steve Sulja, Andrew deVries and Sulja Brothers Bulding(sic) Supplies, Ltd, make the following initial disclosures to Plaintiff, Glenn Drago, et al. By providing these disclosures…. Pursuant to Rule 26(a)(1)(A), Defendants disclose persons believed to have discoverable information that Defendants may use to support their claims or defenses. Because we are in the early stages of discovery, Defendants are not able to identify all pertinent information or all individuals that may have such pertinent information. Nor have Defendants been able to verify that each of these individuals or entities has such pertinent information. Defendants therefore reserve the right, pursuant to Rule 26(e) to amend or supplement this list. Notwithstanding these objections, and without waiver thereof, Defendants list the following persons likely to have information that hey may use to support their claims or defenses. A. Peter Vucicevich – 1701 Erie Street S, Harrow, Ontario, Canada, Telephone Number: (519)903-2577 B. Andrew DeVries, 9523 Winwood Drive, Boerne, Texas 78006, Telephone Number: (210)310-4895 C. Steve Sulja c/o Sulja Brothers Building(sic) Supplies, Ltd, 1710 Erie Street S, Harrow, Ontario, Canada, Telephone Number: (519)738-8739 [...] DEFENDANTS’ CERTIFICATE OF DISCLOSURE Defendants Peter Vucicevich et als, by and through their attorneys, certify that their attorneys served initial disclosure on Glen Drago, et al, on 6/14/07…. […] Signatures of Richard W. Markle and Allan M. Lerner