I think this is waaaaay too complex and detailed. Give them a procedural history and whether there is a final judgment in the crim case and point out that your temporary suspension is akin to a permanent death of your practice. At bottom, Steve Harris took hundreds of thousands of dollars and had no temp suspension; you stole a candy bar (at worst). I can't think this pleading is going to help you much. It is too long, repetitive and does not seem to deal
Original Description:
Original Title
8 13 12 Redacted Email to Gary Silverman and His Reply WTF 0204 60838 61901 60302
I think this is waaaaay too complex and detailed. Give them a procedural history and whether there is a final judgment in the crim case and point out that your temporary suspension is akin to a permanent death of your practice. At bottom, Steve Harris took hundreds of thousands of dollars and had no temp suspension; you stole a candy bar (at worst). I can't think this pleading is going to help you much. It is too long, repetitive and does not seem to deal
I think this is waaaaay too complex and detailed. Give them a procedural history and whether there is a final judgment in the crim case and point out that your temporary suspension is akin to a permanent death of your practice. At bottom, Steve Harris took hundreds of thousands of dollars and had no temp suspension; you stole a candy bar (at worst). I can't think this pleading is going to help you much. It is too long, repetitive and does not seem to deal
Outlook Print Message Print Close re: FW: please find enclosed my Petition under SCR 102(4)(d) and SCR111(7) From: Gary Silverman (silverman@silverman-decaria.com) This sender is in your safe list. Sent: Mon 8/13/12 11:28 AM To: Zach Coughlin (zachcoughlin@hotmail.com) I think this is waaaaay too complex and detailed. Give them a procedural history and whether there is a final judgment in the crim case and point out that your temporary suspension is akin to a permanent death of your practice. Or, if true, say you fu ed up and/or were fu d up from and you are sorry and you now have access to your and are ok. I can't think this pleading is going to help you much...it is too long, repetitive and does not seem to deal with why the temp suspension is sijmply wrong or harsh. If you can't make your case in 3-5 pp, you can't make your case in 35. You do seem to be a good lawyer, however. At bottom, Steve Harris took hundreds of thousands of dollars and had no temp suspension; you stole a candy bar (at worst). WTF. On Monday, August 13, 2012 6:34 AM, Zach Coughlin wrote: Dear Sirs, any feedback is appreciated. Sincerely, Zach Coughlin PO BOX 3961 Reno, NV 89505 Tel 775 338 8118 Fax 949 667 7402 ZachCoughlin@hotmail.com From: zachcoughlin@hotmail.com To: geaxxxxxxxxdfil.com; judxxxxxxxxxxxfm Subject: FW: please find enclosed my Petition under SCR 102(4)(d) and SCR 111(7) Date: Mon, 13 Aug 2012 06:31:03 -0700 file:///R|/...il%20to%20Gary%20Silvermand%20and%20his%20reply%20WTF%200204%2060838%2061901%2060302.htm[11/11/2012 5:56:22 AM]
Outlook Print Message Dear Sirs, I apologize for including you in my past inappropriate emails, such as the J une 7th, 2011 email wherein I addressed the Washoe County District Attorney's Office. That was tacky and lame, and I don't have an excuse for doing it, just brazenly trying to trade off your good reputations to dilute the loser dust I have been covered in this year...Won't happen again, I promise. I submitted this for filing today. I know, it is not exactly what you set out, but I just do not think I would live through another three and a half year waiting hiatus bagging groceries at Save-mart (which I actually did for a time, that, Men's Warehouse, the basement employee lunch cafeteria at the Cal-Neva, a slurry seal company, a vitamin warehouse, etc., etc). If I am going down and staying down its not going to be without some effort being expended on my part, and after at least putting out something in an attempt to say "look, I can lawyer it up now, I'm not going to sit around all helpless and useless..." Sincerely, Zach Coughlin PO BOX 3961 Reno, NV 89505 Tel 775 338 8118 Fax 949 667 7402 ZachCoughlin@hotmail.com From: zachcoughlin@hotmail.com To: patrickk@nvbar.org; davidc@nvbar.org; tsusich@nvdetr.org Subject: please find enclosed my Petition under SCR 102(4)(d) and SCR 111(7) Date: Mon, 13 Aug 2012 06:24:16 -0700 Dear Sirs, Please find attached a courtesy e-copy of what I submitted for filing today: Petition for Dissolution of Temporary Suspension Pursuant to Supreme Court Rule 102(4); and/or alternatively, SCR 111(7) Petition to Show Good Cause For the Court To Set Aside Its Order Temporarily Suspending Attorney From the Practice of Law I hope to be able to engage the Board and the Bar in exploring the possibilities of some sort of negotiated agreement (I first need to see if the rules allow for such...), but in the meantime, just as a man, I don't want to be one of these lawyers who don't even file anything when their ticket gets pulled. It wasn't easy to get it, and while I abhor lawyers who subject their clients to a breach of the standard of care...I don't think it should be easy to have one's ticket taken away either. But that is just me, I am pro-lawyer. Hopefully the tone you will find in this filing (even if the brevity is still lacking) is a marked improvement from what you have seen out of me in the past year. file:///R|/...il%20to%20Gary%20Silvermand%20and%20his%20reply%20WTF%200204%2060838%2061901%2060302.htm[11/11/2012 5:56:22 AM] Gary R. Silverman* - silverman@silverman-decaria.com Mary Anne Decaria*+ - decaria@silverman-decaria.com Michael V. Kattelman - mvk@silverman-decaria.com Dixie R. Grossman - grossman@silverman-decaria.com Alexander Morey - amorey@silverman-decaria.com Janelle Dixon, Paralegal - janelle@silverman-decaria.com Toni Matts, Legal Assistant - toni@silverman-decaria.com Amy Hodgson, Legal Assistant - amy@silverman-decaria.com Elizabeth Krutz, Legal Assistant/Accounts & Records - liz@silverman-decaria.com * Fellow of the American Academy of Matrimonial Lawyers. + Fellow of the International Academy of Matrimonial Lawyers. ********************************* CIRCULAR 230 DISCLOSURE: TO ENSURE COMPLIANCE WITH REQUIREMENTS IMPOSED BY THE INTERNAL REVENUE SERVICE, UNLESS SPECIFICALLY INDICATED OTHERWISE, ANY TAX ADVICE CONTAINED IN THIS COMMUNICATION, INCLUDING ANY ATTACHMENTS, WAS NOT INTENDED OR WRITTEN TO BE USED, AND CANNOT BE USED, FOR THE PURPOSE OF AVOIDING TAX RELATED PENALTIES OR PROMOTING, MARKETING OR RECOMMENDING TO ANOTHER PARTY ANY TAX RELATED MATTER ADDRESSED HEREIN. CONFIDENTIALITY NOTICE: EMAIL TRANSMISSIONS MAY NOT BE SECURE. THIRD PARTIES CAN AND DO INTERCEPT EMAIL. BY USING EMAIL TO COMMUNICATE WITH THIS OFFICE, YOU ASSUME THE RISK THAT ANY CONFIDENTIAL OR PRIVILEGED INFORMATION MAY BE INTERCEPTED AND VIEWED BY THIRD PERSONS. EMAIL CAN BE ALTERED ELECTRONICALLY. THEREFORE, THIS OFFICE CANNOT GUARANTEE THE INTEGRITY OF THIS COMMUNICATION. DISCLAIMER: THE INFORMATION CONTAINED IN THIS E-MAIL IS PROTECTED BY ATTORNEY-CLIENT PRIVILEGE. IT IS CONFIDENTIAL, INTENDED ONLY FOR THE USE OF THE INDIVIDUAL OR ENTITY NAMED ABOVE. IF THE READER OF THIS MESSAGE IS NOT THE INTENDED RECIPIENT, YOU ARE HEREBY NOTIFIED THAT ANY DISSEMINATION, DISTRIBUTION OR COPY OF THIS COMMUNICATION IS STRICTLY PROHIBITED. IF YOU HAVE RECEIVED THIS COMMUNICATION IN ERROR, PLEASE NOTIFY US BY TELEPHONE, AT 775-322-3223, AND RETURN THE ORIGINAL MESSAGE TO US VIA THE U.S. POSTAL SERVICE TO 6140 PLUMAS STREET, SUITE 200, RENO, NEVADA 89519. THANK YOU. SILVERMAN, DECARIA & KATTELMAN, CHTD. *********************************
Outlook Print Message Sincerely, Zach Coughlin PO BOX 3961 Reno, NV 89505 Tel 775 338 8118 Fax 949 667 7402 ZachCoughlin@hotmail.com
10 31 13 72675 65630 63341 71437 607 599 Filing and Voxox Fax Proof With 4 4 13 Fax Header's Motion To Strike Remand and Sentencing Memor and Extension of Time Sought Appt of Counsel Etc. Vacate Epo
10 31 13 72675 Motion To Strike Sentencing and Remand Etc Plus Voxox Proof of Service Fax On WCDA Z Young and Stege 65630 63341 71437 72675 and Wastts in 599 607
10 24 13 72675 Printed Notice of WCDA's Attempt To Remand Coughlin and Revoke Two Probations and Addendum To Post-Trial Motions Stamped With Ex 1 Opt A9 Printed
10 31 13 72675 Motion To Strike Sentencing and Remand Etc Plus Voxox Proof of Service Fax On WCDA Z Young and Stege 65630 63341 71437 72675 and Wastts in 599 607