EFTA00611614.pdf
dataset_9 pdf 91.1 KB • Feb 3, 2026 • 1 pages
BRUCE E. REINHART, P.A.
ATTORNEY AT LAW
TELEPHONE:
F4c31;41LE:
WEST 'NM BEACH, FLORIDA 33401
October 23, 2009
Brad Edwards, Esq.
Rothstein Rosenfeldt Adler
Fort Laude e, on a
Dear Brad:
I have obtained copies of David Rodgers' pilot logs from 1998-2002. I previously provided
you with copies of Mr. Rodgers' logs for 2002-2005. As you know, these are Mr. Rodgers' personal
documents.
Pursuant to your agreement with Bob Critton about limiting the time period covered by the
subpoena, I am prepared to provide these documents to you, provided you agree to a stipulated
protective order containing the following conditions. First, the information contained in Mr.
Rodgers' pilot logs for 1998-2005 will be used solely for purposes of the litigation in which Mr.
Rodgers was subpoenaed as a witness. Second, the information will not be disclosed to the media
or general public other than if included in a Court filings and/or if admitted into evidence at a
judicial proceeding. Third, prior to including this information in any public filing, you will give me
let
advance notice so that I can seek any additional protective order that I deem appropriate. Please
me know if you agree.
Sincerely,
Bruce E. Reinhart
cc: Robert Critton
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EFTA00611614
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