Guest User

Untitled

a guest
Feb 10th, 2011
668
0
Never
Not a member of Pastebin yet? Sign Up, it unlocks many cool features!
text 2.10 KB | None | 0 0
  1. From: Dawn Pettigrew <[email protected]>
  2. Mime-Version: 1.0 (Apple Message framework v1077)
  3. Content-Type: multipart/alternative; boundary=Apple-Mail-30-340327578
  4. Date: Tue, 29 Dec 2009 14:36:08 -0500
  5. Subject: [SPAM] PRIVILEGED AND CONFIDENTIAL - Tristian Webster
  6. To: Gregory Evans <[email protected]>
  7. Message-Id: <[email protected]>
  8. X-Mailer: Apple Mail (2.1077)
  9. X-Spam: Statistical 84%
  10.  
  11.  
  12. --Apple-Mail-30-340327578
  13. Content-Transfer-Encoding: quoted-printable
  14. Content-Type: text/plain;
  15. charset=us-ascii
  16.  
  17. Greg,
  18.  
  19. Please find attached the correspondence from Ms. Webster's attorney =
  20. regarding my request for an itemized list of the value of the allegedly =
  21. damaged property and the amount of her last paycheck. This =
  22. correspondence notes that Ms. Webster's computation of her lost wages, =
  23. in the amount of $914.13, is accurate. The attorney's 12/4/09 =
  24. correspondence noted that the amount of the check should be $867.13. =
  25. The 12/28/09 correspondence from her attorney does not explain the =
  26. increase. =20
  27.  
  28. Additionally, the 12/28/09 correspondence notes that Ms. Webster "worked =
  29. during the period October 12-28, 2009." It was my understanding that =
  30. Ms. Webster received her paycheck for the previous pay period so I will =
  31. need to clarify this issue with her attorney. I would like to resolve =
  32. this issue regarding Ms. Webster's last paycheck very quickly so that we =
  33. can turn our attention to her EEOC charge of discrimination. To =
  34. expedite this matter, please send me copies of payroll records showing =
  35. Ms. Webster's salary during the period of her employment with the =
  36. company. Also, I would like to establish that Ms. Webster received her =
  37. paycheck for the previous pay period.
  38.  
  39. Please do not be alarmed at her attorney's statement of her client's =
  40. incurred attorney's fees, as I have not yet had the opportunity to =
  41. discuss this matter with her counsel
  42.  
  43.  
  44.  
  45. Dawn Pettigrew
  46. Lokey, Mobley and Doyle, LLP
  47. 8425 Dunwoody Place
  48. Atlanta, Georgia 30350
  49. (770) 640-9441
  50. fax (770) 640-6646
  51. www.mobley-doyle.com
Advertisement
Add Comment
Please, Sign In to add comment