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US v AMR CORP AMERICAN AIRLINES INC and AMR EAGLE HOLDING CORPORATION Click to find out why . . .



Keywords & Phrases
CaseNo: 18, CourtName: US DEPARTMENT OF JUSTICE, Plaintiff: US, State: KS Kansas, UniqueCaseRef: LCD>18, Jet Service, Minimum Revenue Guarantee, American, Dfw-ict, United States, Deposition, Equipment, District, Amr, American Airlines, Pursuant, Civ, York, Antitrust Division, Justice, Suite, Relating, Wichita, Connection, Reintroduction, Costs, Evolution, Basis, Selecting, Approving, Profitability , ContentID: 120245953

Case Documents
1 2000-08-27 AMENDED NOTICE OF DEPOSITION
[ see first page and extracted highlights below  ] ItemID: 112964
3 pages
PDF
Total Documents: 1 document , 3 pages
Price: $ 19.95


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1 . AMENDED NOTICE OF DEPOSITION

EXTRACTED KEY WORDS
MINIMUM REVENUE GUARANTEE
AMERICAN
DFW-ICT
UNITED STATES
PLAINTIFF
DEPOSITION
EQUIPMENT
DISTRICT
COURT
AMR
AMERICAN AIRLINES
DEFENDANTS
PURSUANT
CIV
COUNSEL
YORK
ANTITRUST DIVISION
JUSTICE
SUITE
RELATING
WICHITA
CONNECTION
REINTRODUCTION
COSTS
EVOLUTION
BASIS
SELECTING
APPROVING
PROFITABILITY
                   IN THE UNITED STATES DISTRICT COURT
                           FOR THE DISTRICT OF KANSAS



                                      )
UNITED STATES OF AMERICA, ))
                       Plaintiff, )) Civil Action No.:99-1180-JTM
              v. ))
AMR CORPORATION,  )
AMERICAN AIRLINES, INC., and )
AMR EAGLE HOLDING        )
CORPORATION, ))
                       Defendants. )
 ______________________________)

                        AMENDED NOTICE OF DEPOSITION
                        PURSUANT TO FED. R. CIV. P. 30(b)(6)
                                       (DFW-ICT)

TO:  CLERK OF THE COURT

       COUNSEL FOR DEFENDANTS
       Helene Jaffe
       Weil Gotshal & Manges L.L.P.
       767 Fifth Avenue
       New York, New York 10153

       PLEASE TAKE NOTICE that, pursuant to Fed. R. Civ. P. 30(b)(6) and 45 and LR

30.1, plaintiff will take the depositions upon oral examination, to be recorded by

stenographic means and videotape, at the offices of the Antitrust Division of the

Department of Justice, Thanksgiving Tower, 1601 Elm Street, Suite 4950, Dallas, Texas

75201, of American Airlines, Inc. and AMR Eagle Holding Corporation (collectively



"American").  American is requested to designate the person or persons most

knowledgeable and prepared to testify on behalf of American concerning the subject

matter described on Attachment A hereto.  The deposition(s) will commence at 9:00 a.m.

on August 31, 2000.  If necessary, each deposition will be adjourned until completed.

Dated: August 27, 2000
SNIPPETS:
  • IN THE UNITED STATES DISTRICT COURT
  • Plaintiff,)) Civil Action No.:99-1180-JTM
  • AMR CORPORATION,)
  • AMERICAN AIRLINES, INC., and)
  • R. CIV.
  • COUNSEL FOR DEFENDANTS
  • New York, New York 10153
  • PLEASE TAKE NOTICE that, pursuant to Fed.
  • Department of Justice, Thanksgiving Tower, 1601 Elm Street, Suite 4950, Dallas, Texas
  • 75201, of American Airlines, Inc. and AMR Eagle Holding Corporation (collectively
  • each deposition will be adjourned until completed.
  • Department of Justice, Antitrust Division
  • American's analysis and decisions relating to its removal of jet service on DFW-ICT from
  • American's statements to the press and to Congress that American was losing money on its
  • American's analysis and decisions relating to the reintroduction or proposed
  • reintroduction of jet service on DFW-ICT under a minimum revenue guarantee,
  • evolution of American's minimum revenue guarantee proposal;
  • in American's minimum revenue guarantee proposal (including the basis for it,
  • involved in selecting and approving it, and what the figure represented in terms of American's
  • profitability and costs in connection with DFW-ICT jet service);
  • equipment," and "training"; American's form minimum revenue guarantee proposal and what
  •    |