
seen from the attorneys’ own billing records), started asserting new
claims against Jeff for fees well beyond those they had agreed to,
and those they had previously billed. Pronske, Lyon, Taylor, Broome,
etc. All in communication with each other, and all with their hands out.
(2) This email evidence proves that there was no claim alleged or asserted
by Taylor for any ‘contingency’ amount due prior to Pronske’s
“scorched earth” campaign against Jeff.
B. WHY THE EVIDENCE WAS NOT RAISED EARLIER
The undersigned counsel is a solo practitioner. As a physical matter of
available time in the day, it is not possible for counsel to have reviewed all the
materials relevant to each of the multiple claims.
3
The receiver was requested to
provide key materials to make review of the ‘claims’ more efficient, but the
receiver after first promising to produce, refused to produce. Accordingly, the
undersigned counsel has not physically had the available hours to review all of the
material at hand (let alone material in the possession of the receiver and claimant
3
In addition to counsel’s duties as appellate counsel (which were undertaken by the agreement
of counsel), and counsel’s duties as trial counsel (which was placed upon counsel by this Court,
over objection, for which this Court has not paid for those services nor provided funding for
expenses or support), counsel still has pre-existing duties to other clients. If counsel had no other
work to perform, that would mean still that only approximately one work day was allowed to
investigate, review all the material and search for relevant evidence, research, and respond to
each of the ‘claims’. Since the receiver and trustee have flooded counsel with an avalanche of
paperwork, both in the trial court and in the court of appeals, the available time to review each
claim has amounted to a fractional part of a day, per claim. In such circumstance, it is simply
not possible as a matter of available time to review much of the available material for each case.
Case 3:09-cv-00988-F Document 507 Filed 05/03/11 Page 4 of 6 PageID 18539