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IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF TEXAS SHERMAN DIVISION ) DAVID ) Plaintiff, ) ) Case

No. vs ) ) NCO FINANCIAL SYSTEMS, INC., ) Defendant. )

PLAINTIFFS RULE 26(a)(1) DISCLOSURES Pursuant to Fed. R. Civ. P. 26(a)(1), Plaintiff makes the following disclosures based on the information currently and reasonably available to Plaintiff: A. Individuals Likely to Have Discoverable Information Supporting Plaintiffs Claims Knowledge of the allegations and claimed damages set forth in the Complaint: 1. David 7720 Blvd. # Dallas, Texas 752 972B. Documents Plaintiff May Use to Support His Claim 1. Letters sent by Plaintiff to Defendant attempting to resolve issues before litigation. 2. Information from Plaintiffs credit report showing the Defendant obtained Plaintiffs TransUnion credit report on two occasions in May 2008. 3. Email correspondence between counsel for NCO and the Plaintiff regarding settlement discussions of the claims before litigation was commenced. C. Damages Plaintiff seeks $2000.00 in statutory damages for violations of the Fair Credit Reporting Act plus costs of this action. D. Insurance NA
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Dated: September 14, 2012 Respectfully submitted,

____________________________ David 7720 Blvd. Dallas, Texas 752 972-

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CERTIFICATE OF SERVICE

This is to certify that a true and correct copy of the document above was sent by first class mail USPS to counsel of record listed below for Defendant.

Whitney L. White Sessions, Fishman, Nathan, & Israel, LLC 900 Jackson Street Suite 440 Dallas, Texas 75202 Dated September 14, 2012

_________________________ David

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