具体指导专家证人进行工作 VIA REGULAR INTERNATIONAL MAIL May 18, 2004 Professor Johnson Smith Smith University of Science 620 - 5th Avenue New York, N.Y. 10002 The United States of America Dear Mr. Smith: Per our recent discussion, please contact me within the next ten days to advise of your thoughts concerning the transcript of the deposition of our client, Ms. Nickel Blair. Also enclosed are copies of transcripts of the other witnesses deposed in this case. In preparing your expert opinion, please bear in mind that anecdotal evidence, in the law of evidence, means reports of one kind of event following another. As you are fully aware, the reports are obtained haphazardly or selectively, and the logic of “post hoc, ergo propter hoc” does not suffice to demonstrate that the first event necessarily causes the second. Consequently, while anecdotal evidence can be suggestive, it can also be quite misleading. Pursuant to our discussion, we will be compensating you at your hourly rate of USD $200.00. Please also note in your calendar that our deposition of the plaintiff is tentatively scheduled for June 20, 2004. Your prompt attention to this matter is very much appreciated. Thank you. Sincerely, Zhang, Wang & Lee, L.L.P. Deguang Zhang, Esq. Enclosures
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