Council for Tobacco Research
Cipollone V. Ligget, Et Al. Our File No. 03356-113151 [Request to Present at Interview by Counsel]
Fields
- Type
- LETTER
- Depository Date
- 25 Sep 1995
- Master ID
- Ctrmn00014501-5129
Related Documents:- CTRMN014501-4661 Deposition of Sheldon C. Sommers [Deposition of Sommers in the Matter of Cipollone]
- CTRMN014662-4664 US District Court for the District of New Jersey Honorable H. Lee Sarokin - Docket No. 83-2864sa Civil Action - Notice to Take Oral Deposition of Sheldon C. Sommers, M.D. Antonio Cipollone, Individually and As Executor of the Estate of Rose D. Cipollone, Plaintiff, Vs. Ligget Group Inc., A Delaware Corporation; Philip Morris Incorporated, A Virginia Corporation; and Lowe's Theatres Inc., A New York Corporation, Defendants [Notice to Produce Documents Regarding Contracts with the Tobacco Institute and Dr. Oscar Auerbach]
- CTRMN014667-4667 Cipollone V. Liggett [Request to Take Deposition Disagreement with Tone or Content of Statements]
- CTRMN014668-4704 Thomas Hoyt Council Tobacco Resesarch 110-E-59st [Regarding Invitation to Review Experimental Material and Permit Expert to See Slides and Protocols]
- CTRMN014705-4715 Hearings Before the Consumer Subcommittee of the Committee on Commerce United States Senate Ninety-Second Congress Second Session on S. 1454 - to Amend the Federal Cigarette Labeling and Advertising Act to Require the Federal Trade Commission to Establish Acceptable Levels of Tar and Nicotine Content of Cigarettes February 1, 3, and 10, 1972 Serial No. 92-82 [Regarding Public Access to Information About Tar and Nicotine]
- CTRMN014716-4725 Hearings Before the Consumer Subcommittee of the Committee on Commerce United States Senate Ninety-Second Congress Second Session on S. 1454 - to Amend the Federal Cigarette Labeling and Advertising Act to Require the Federal Trade Commission to Establish Acceptable Levels of Tar and Nicotine Content of Cigarettes February 1, 3, and 10, 1972 Serial No. 92-82 [Money Funded by Tobacco Companies Expended for Research Grants and Contracts to Study Relevance of Proposals Received to Smoking and Health Problems]
- CTRMN014726-4762 Hearings Before the Committee on Interstate and Foreign Commerce House of Representatives Ninety-First Congress First Session on H.R. 643 - A Bill to Amend the Federal Cigarette Labeling and Advertising Act with Respect to the Labeling of Packages of Cigarettes and for Other Purposes (and Similar Bills) H.R. 1237 - A Bill to Direct the Federal Communications Commission to Establish Regulations Prohibiting Certain Broadcasting of Advertising of Cigarettes (and Similar Bills) H.R. 3055 - A Bill to Strengthen the Federal Cigarette Labeling and Advertising Act (and Similar Bills) H.R. 6543 - A Bill to Extend Public Health Protection with Respect to Cigarette Smoking and for Other Purposes (and Similar Bills) April 15, 16, 17, 18, 21, 22, 23, 24, 25, 28, 29, 30, and May 1 Serial No. 91-12 [Hearings Regarding A Program to Sharpen the Objectives of Supported Research of Tobacco and Health]
- CTRMN014763-4763 [Correspondence Containing Information on A Booklet Explaining Insurance and Retirement Plans for Employees of the Council for Tobacco Research]
- CTRMN014764-4778 Employment Agreement Between the Council for Tobacco Research - U.S.A., Inc. And Sheldon C. Sommers, M.D. [Mutual Covenants on Employment, Job Position, Terms, and Duties]
- CTRMN014779-4826 Hearings Before the Subcommittee on Health of the Committee on Labor and Public Welfare United States Senate Niety-Fourth Congress Second Session on S. 2902 - to Amend Title V of the Public Health Services Act to Establish A National Health Research and Development Advisory Commission, and for Other Purposes February 19, March 24, and May 27, 1976 [Hearings Regarding Most Recent Scientific Data on the Higher Rate of Death of Smokers Compared to Nonsmokers]
- CTRMN014827-4893 Deposition of Dr. Sheldon Sommers [Deposition of Sommers in the Matter of Rogers]
- CTRMN014894-4917 [St]
- CTRMN014918-4921 Statement of Dr. Sheldon C. Sommers [St]
- CTRMN014922-4922 Cigaret Blame for Cancer Is Questioned [Three Doctors Question Whether Smoking Causes Lung Cancer. Investigators Validity Challenged.]
- CTRMN014923-4926 [Insufficient Scientific Evidence to Prove Smoking Causes Diseases]
- CTRMN014927-4930 Statement of Sheldon C. Sommers, M.D. Before the Consumer Subcommittee of the U.S. Senate Interstate Commerce Committee [Regarding Research on Possibility of Tobacco Causing Cancer]
- CTRMN014931-4931 Scientific Advisory Board Members 1954-1978 [Listing of Accepted and Resigned Individuals of Scientific Advisory Board]
- CTRMN014932-4932 [New Scientific Director Assists Advice in Research Planning in the Pulmonary Disease Field]
- CTRMN014933-4934 [Successor for Scientific Director and Other Staff Positions in Short Supply]
- CTRMN014935-4935 [List of Names]
- CTRMN014936-4938 [Confidential Run-Down of What Occurred with Homburger at Federation Meeting in Atlantic City. Paper on Censorship]
- CTRMN014939-4941 [Memo Regarding the Enclosure of A Letter to Editor]
- CTRMN014942-4943 [Correspondence Regarding J.A.M.A. Not Publishing Study About Squamous Lung Carcinoma]
- CTRMN014944-4945 [Correspondence Regarding Wk's Letter. William Kleepfer Letter to the Editor.]
- CTRMN014946-4947 ["Follow-Up to Publication in Archives of the "Smoking Dog" Reports. Summary of Recommendations Arising From the Meeting."]
- CTRMN014948-4950 [Observations Concerning Articles by Drs. Hammond, Auerbach, Messrs. Kirman and Garfinkel, Published in Arch. Environ. Health]
- CTRMN014951-4952 [Article Regarding Experimental Design, Mortality, and Lung Parenchyma]
- CTRMN014953-4955 Chronic Smoke Inhalation Experiments [Long Term Experiments Involving Cigarettes and Smoke Inhalation on Larger Animals, Rather Then the More Feasible Mice, Rats, and Hamsters.]
- CTRMN014956-4957 Auerbach-Hammond Why the Present Proposal Is Not Worth Carrying Out [Procedures in Conducting Tests of Smoke on Lungs]
- CTRMN014958-4960 Why the Proposed Study Cannot Produce Meaningful Results [Tests of Smoke Intake of the Lungs and Overall Pulmonary System Are Inaccurate with the Normal Consumption of Smoke in Humans]
- CTRMN014961-4961 No. 826 - Dawber [Framingham Material Occupies A Key Position in Reference to Factors Related to Coronary Disease]
- CTRMN014962-4963 ["Memo Regarding Enclosed Article]
- CTRMN014964-4964 [Correspondence Containing Four Short Essays on the Present Status of Various Fields in Smoking and Health]
- CTRMN014965-4965 [""Highly Critical" Letters to Appear in American Druggist in Defense of Cigarette Smoking"]
- CTRMN014966-4966 [American Druggist Magazine Has Received A Number of Highly Critical Letters Regarding A Dr. Sommers Article]
- CTRMN014967-4969 in Defense of Cigarettes [Research Regarding the Smoking of Tobacco May Not Be A Serious Cause of Disease As Previously Thought]
- CTRMN014970-4979 Joint Committee on Tobacco and Health [St]
- CTRMN014980-4990 Tobacco and Health Research Some Proposed Studies [Study for Cancers, Cardiovascular Disease, Chronic Lung Disease, and Other Related Physical Ailments.]
- CTRMN014991-5129 Deposition of Sheldon C. Sommers [Deposition of Sommers in the Matter of Cipollone]
- Recipient
- Hartzell, A., Debevoise And Plimpton
- Author
- Edell, M.Z., Budd Larner Gross Picillo Rosenbaum Gree
- Box
- 007
- Request
- 118
- UCSF Legacy ID
- uds30a00
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September 12, 1986
Andrew Hartzell, Esq.
Debevoise & Plimpton.
875 Third Avenue
New York, NY 10022
nE5'v~.' . . i J9
5C 9 i: a
a.EaSE at>. '_
Short Hills
RE: Cipollone v. Liggett, et al.
Our File No. 03356-113151
Dear Mr. Hartzell:
This will confirm our telephone conversation of September
10, 1986. You will recall that on September 9, 1986 I attempted
to contact Dr. Sommers in response to Patrick Sirridge's letter
to me of September 3, 1986 which was received in my office
on September 8, 1986 concerning a meeting which was to occur
on September 9, 1986. I will not reiterate my feelings
concerning your handling of my telephone call to Dr. Sommers
and then to you of that date. I will only state that my purpose
in attempting to contact Dr. Sommers was to ascertain whether
or not he would permit me to be present when he was interviewed
by the counsel for the defendants regarding his care and
treatment of Rose Cipollone.
On the morning of September 10, 1986, I received a
telephone call from William Shinn who advised me of his intent
to continue the meeting with Dr. Sommers and was going to
advise me as to further dates on which he also intended to
meet with Dr. Sommers. Subsequent to that telephone
conversation, I received a call from you in which I conveyed
to you my request to be present during any interviews of Dr.
Sommers by the defendants insofar as his care and treatment
of Rose Cipollone was concerned. You advised me that neither
you nor Dr. Sommers thought that it was appropriate for me
to attend any such meeting.
Ct F'+a t Ft't 0 14665,

g..)D ,Aa.,ca :i?OSS DiGIC_O aOSE'vsauU GPEEV8ERG ! 5aJE
~ »Cce Si Cv.t CCnspA.t Cti
Andrew Hartzell, Esq.
September 12, 1986
Page Two
It was not my intention to obtain permission from Dr.
Sommers to attend any meetings with defense counsel pertinent
to his responsibilities at CTR or any facts which he may ha>>
knowledge of pertinent to CTR. In addition, it was not my
intention to attend any meetings of defense counsel with Dr.
Sommers pertinent to his participation in this case as an
expert on behalf of the defendants.
Having been advised by you that Dr. Sommers would not
agree to have me present during his meeting with defense
counsel, I inquired as to whether or not he would be willing
to meet with me to discuss his care and treatment of Rose
Cipollone at some other time. You advised me that since I
had scheduled Dr. Sommers' deposition for the beginning of
October, you felt that there was no need for me to meet with
him on an informal basis. I did, however, reiterate my request
to meet with him prior to that deposition but you indicated
that that would not be acceptable.
In the event that this letter does not accurately reflect
either your or Dr. Sommers' position in regard to my requests,
I would appreciate it if you would so advise me. I have not
taken the liberty of sending a copy of this to Dr. Sommers
since you advised me that you represent Dr. Sommers not only
in his capacity as an employee of CTR but also individually
insofar as anything that may relate to this case. I would
appreciate it, therefore, if you would furnish Dr. Sommers
with a copy of this letter so that there is no misunderstanding
as to what his position is regarding my requests.
C! RHI! `t 014(;G(;
