Page:Simpson-transcript-redacted.pdf/30

Glenn SimpsonPage 30 MR. FOSTER: But you could figure it out later for us?

MR. SIMPSON: We maintain books and records.

MR. FOSTER: Could you maybe just describe quickly what kind of record would constitute the end of the engagement?

MR. SIMPSON: That's a good question. You know, in some cases there's no specific termination letter. So I don't know whether there's a termination agreement or termination letter in this case. I mean, generally speaking, you know, when we stop billing the case is over.

(Exhibit 2 was marked for

identification.)

BY MR. DAVIS:

Q. I'd like to introduce an exhibit. It's one of two privilege logs that your attorneys provided us. This will be Exhibit 2.

Mr. Simpson, on the third page of this document, the last two entries appear to be e-mails sent on October 27, 2016 from Peter Fritsch to Mark Cymrot CC'g you. To the best of your recollection, was Fusion GPS still working for Mr. Cymrot on — still working for Baker Hostetler on the Prevezon case as of the date of this e-mail? 1-800-FOR-DEPO