Laserfiche WebLink
{ <br /> DORSEY & WHITNEY MEMORANDUM <br /> A Pel_na 1-1-m9 P,of__,Cp[D+a none <br /> 2200 FIRST BANK PLACE EAST <br /> MINNEAPOLIS,MINNESOTA 55402 TO: William R. Soth <br /> 510 NOW"CENTRAL LIFE TOWER (512)340-2600 B TNIAO STREET NORTH <br /> W MINNESOTA STREET GREAT FALLS.MOMMA 59AOI <br /> ST AUL,MIN NE40TA SBIOI TELEll:29-0605 <br /> Imzlzn-eoiT TELECOPIEA:1&21340-2B5B (A0e)TZr-3e3z FROM: Becky A. Comstock <br /> P.O.BOY BAB SUITE an NORTH <br /> 3+o FIRST NAnoMAL awA euaO1M° WILLIAM R,SOTH.P.A. IWO N STREET M.w. <br /> ROCMESTE6,MINNESOTA5590] wASHINoroN,Dc.zoo3e DATE: September 14, 1984 <br /> 150)1288-]IDB (612)3.40-2959 (202)955-1050 <br /> 313 IIRST NATIONAL DA NN BUILDING 30 AUE LA BOLTS <br /> WAYZATA,MINNESOTA 55391 T50 o8 PARIS,FRANCE RE: City of St. Anthony: Water Contamination Litigation <br /> (012)4)5-03]3 011 331 552 32 50 <br /> September 19, 1984 <br /> Mr. David M. Childs INTRODUCTION <br /> City Manager Pursuant to your request, on Tuesday, August 21, <br /> City of St. Anthony <br /> 3301 Silver Lake Road 1984, I met with John Drawz and Michael Nash, attorneys for <br /> Minneapolis, Minesota 55418 <br /> the City of New Brighton. The purpose of the meeting was <br /> Re: Water Contamination <br /> to discuss the litigation they have commenced on behalf of <br /> Dear Dave: <br /> the City of New Brighton because of the alleged contaimination <br /> Enclosed is a memorandum from Becky Comstock regarding <br /> the water contamination litigation. I am also enclosing a state- of groundwater by the Twin Cities Army Ammunition Plant (TCAAP) <br /> ment from John Drawz for his fees for a meeting with Becky. <br /> in their community. With limited time available, I discussed <br /> As you will see from the memorandum, it may be neces- <br /> sary for St. Anthony to give certain notices and to either with Mr. Drawz and Mr. Nash our concerns relating to various <br /> commence an action or join the New Brighton action in order <br /> to preserve its rights against these defendants. statutes of limitation and St. Anthony's need to determine <br /> Please let me know whether you have any questions whether it will intervene in the action commenced by the <br /> or comments regarding the memorandum, or whether you would <br /> like any additional information included. If not, I would appre- City of New Brighton or commence its own action. Mr. Drawz <br /> ciate it if you would distribute copies to the Councilmembers. <br /> was willing to answer specific questions but did not volunteer <br /> Ver ly yours, <br /> information nor offer any research memoranda prepared by <br /> his office. <br /> Wi R. Soth <br /> WRS:ln The Complaint filed by the City of New Brighton, <br /> a copy of which is attached, names as defendants the United <br /> encs. <br /> States, United States Department of Defense, the United States <br /> Department of the Army, Federal Cartridge Corporation, Honeywell, <br /> I <br /> DORSEY & WHITNEY <br /> A AVrnaMIP..1l,din9 P,013-ibR GP.DaeUf <br />