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Contract: Other | New York Southern
Letter
LETTER addressed to Judge Sidney H. Stein from Vivian Rivera Drohan dated June 22, 2026 re: Supplemental Exhibits re ECF No. 34. Document filed by Kuk Hyoun Hwang, OSR Holdings, Inc. (Attachments: # 1 Exhibit A - Email re Meet and Confer, # 2 Exhibit B - Email re Production Extension Request, # 3 Exhibit C - Emails re Defendants' Responses to Interrogatories, # 4 Exhibit D - Defendants Discovery Responses and Supplemental Production, # 5 Exhibit E - Emails re Legal Fees and Confidentiality Order, # 6 Exhibit F - Emails re Receipt of Confidentiality Order, # 7 Exhibit G - Emails re Meet and Confer, # 8 Exhibit H - Notices of Deposition, # 9 Exhibit I - Emails re Extension of Document Production, # 10 Exhibit J - Emails re Request for Document Images, # 11 Exhibit K - Peter Hwang Deposition Transcript).(Calderon, Erika)
LETTER addressed to Judge Sidney H. Stein from Julie E. Kamps dated June 18, 2026 re: Compliance with Court Order (ECF No. 34). Document filed by Chardan Capital Markets, LLC. (Attachments: # 1 Exhibit Plaintiff's Requests for Production of Documents to Hwang, # 2 Exhibit Plaintiff's Requests for Production of Documents to OSRH, # 3 Exhibit Meet and Confer Email, # 4 Exhibit Defendants' Joint Response to Requests for Production, # 5 Exhibit Defendants' Joint Supplemental Response to Plaintiff's Request for Production of Documents, # 6 Exhibit Plaintiff's Meet and Confer Letter, # 7 Exhibit Meet and Confer Email, # 8 Exhibit Meet and Confer Email, # 9 Exhibit Defendants' Joint Response to Plaintiff's Request for Production of Documents, # 10 Exhibit Email regarding Defendants Altering Document Names, # 11 Exhibit Plaintiff's Second Deficiency Letter, # 12 Exhibit Hwang and OSRH 30(b)(6) Deposition TranscriptExcerpts, # 13 Exhibit Hwang and OSRH 30(b0(6) Deposition Transcript Excerpts, # 14 Exhibit Plaintiff's Discovery Letter to Defendants, # 15 Exhibit Defendants' Response Letter, # 16 Exhibit Defendants' ESI Protocols Response, # 17 Exhibit Exh. A to Defendants' ESI Protocols Response, # 18 Exhibit Defendants' Supplemental Response to Plaintiff's Request for Production of Documents, # 19 Exhibit Email regarding Defendants Production of "Image" Files).(Kamps, Julie)
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