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Case 2:13-cv-00193 Document 746-26 Filed in TXSD on 11/18/14 Page 1 of 7 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF TEXAS CORPUS CHRISTI DIVISION MARC VEASEY, et al, Plaintiffs, VS. CIVIL ACTION NO. 2:13-CV-00193 RICK PERRY, et al, Defendants. DEFENDANTS' FIRST AMENDED NOTICE OF DEPOSITION DUCES TECUM TO GEORGE KORBEL To: Counsel. Pursuant to the Federal Rules of Civil Procedure, the State of Texas, Rick Perry, the Texas Secretary of State 1 and Steve McCraw ("Defendants"), by and through the Attorney General for the State of Texas, give notice that they will take the deposition by oral examination of George Korbel, on August 5, 2014, at 10:00 a.m. and continuing thereafter as needed, at 209 West 14 th Street, Austin, Texas 78701. This deposition will be recorded by stenographic means, conducted before an individual authorized to administer oaths, and used for any purpose permitted under the Federal Rules of Civil Procedure or court order. The deposition may be videotaped. The deposition will continue from time to time and place to place until concluded. 1 Various complaints identify the Texas Secretary of State as John Steen. The current Secretary of State, however, is Nandita Berry. 2:13-cv-193 09/02/2014 DEF0570 exhibitsticker.com 1

Case 2:13-cv-00193 Document 746-26 Filed in TXSD on 11/18/14 Page 2 of 7 The above deponent is required to produce all documents in his possession, custody or control used in preparation for this deposition, by August 4, 2014, and as set forth in the attached Exhibit A. Dated: August 4, 2014 Respectfully submitted, GREG ABBOTT Attorney General of Texas DANIEL T. HODGE First JONATHAN F. MITCHELL Solicitor General J. REED CLAY, JR. Special Assistant and Senior Counsel to the Attorney General Southern District of Texas No. 1160600 /s/ John B. Scott JOHN B. SCOTT Deputy Attorney General for Civil Litigation Southern District of Texas No. 10418 Texas State Bar No. 17901500 ATTORNEY-IN-CHARGE G. DAVID WHITLEY Assistant Deputy Attorney General Southern District of Texas No. 2080496 STEPHEN RONALD KEISTER Southern District of Texas No. 18580 JENNIFER MARIE ROSCETTI Southern District of Texas No. 224780 2

Case 2:13-cv-00193 Document 746-26 Filed in TXSD on 11/18/14 Page 3 of 7 LINDSEY ELIZABETH WOLF Southern District of Texas No. 2292940 FRANCES WHITNEY DEASON Southern District of Texas No. 2302872 209 West 14th Street P.O. Box 12548 Austin, Texas 70711-2548 (512) 475-0131 BEN A. DONNELL Donnell, Abernethy & Kieschnick 555 N. Carancahua, Suite 1770 Corpus Christi, Texas 78401-0853 Southern District of Texas No. 5689 COUNSEL FOR THE STATE OF TEXAS, RICK PERRY, JOHN STEEN, and STEVE MCCRAW 3

Case 2:13-cv-00193 Document 746-26 Filed in TXSD on 11/18/14 Page 4 of 7 EXHIBIT A DEFINITIONS AND INSTRUCTIONS The following terms have the following meanings within the document requests and within the instructions, unless the context requires otherwise: 1. You & your. The terms "you" and "your" mean yourself and employees, agents, representatives, attorneys, experts, and other persons acting or purporting to act on your behalf. 2. Document. The term "document" means information that is fixed in a tangible medium, such as paper, or electronically stored information. It includes, but is not limited to, writings, drawings, films, charts, photographs, notices, memoranda, diaries, minutes, correspondence, books, journals, ledgers, reports, worksheets, notes, printed e-mails, letters, abstracts, audits, charts, checks, diagrams, drafts, instructions, lists, logs, resumes, and summaries. 3. Electronically Stored Information. The term "electronically stored information" means electronic information that is stored in a medium from which it can be retrieved and examined. It includes, but is not limited to, all electronic files that can be retrieved from electronic storage. a. "Electronic file" includes, but is not limited to, the following: electronic documents; e-mail messages and files; and metadata. b. "Electronic information system" refers to a computer system or network that contains electronic files and electronic storage. c. "Electronic storage" refers to electronic files contained on magnetic, optical, or other storage media. 4. Tangible thing. The term "tangible thing" means a physical object that is not a document. 5. Communication. The term "communication" means the transmittal of information in the form of facts, ideas, inquiries, or otherwise. 6. And & or. The connectives "and" and "or" should be construed either conjunctively or disjunctively as necessary to bring within the scope of this subpoena all responses that might otherwise be construed to be outside its scope. 7. Federal Action. The term "Federal Action" means: a. Civil Action No. 2:13-cv-00193 [Lead Case] in the United States District Court for the Southern District of Texas, captioned Marc Veasey, 4

Case 2:13-cv-00193 Document 746-26 Filed in TXSD on 11/18/14 Page 5 of 7 Jane Hamilton, Sergio Deleon, Floyd J. Carrier, Anna Burns, Michael Montez, Penny Pope, Oscar Ortiz, Koby Ozias, John Mellor-Crumley, Peggy Herman, Evelyn Brickner, Gordon Benjamin, Ken Gandy, League of United Latin American Citizens (LULAC), and Dallas County, Texas v. Rick Perry and John Steen; b. Civil Action No. 2:13-cv-263 [Consolidated Case] in the United States District Court for the Southern District of Texas, captioned United States of America; Texas League of Young Voters Education Fund, Imani Clark, and Michelle Bessiake; Texas Association of Hispanic County Commissioners, Hidalgo County, and Maria Longoria Benevides v. State of Texas, John Steen, and Steve McGraw; c. Civil Action No. 2:13-cv-00291 [Consolidated Case] in the United States District Court for the Southern District of Texas, captioned Texas State Conference of NAACP Branches; and the Mexican American Legislative Caucus of the Texas House of Representatives v. John Steen and Steve McGraw, as consolidated with Case 2:13-cv-00193; d. Civil Action No. 2:13-cv-00348 [Consolidated Case] in the United States District Court for the Southern District of Texas, captioned Belinda Ortiz, Lenard Taylor, Eulalio Mendez Jr., Lionel Estrada, Estela Garcia Espinosa, Lydia Lara, Margarito Martinez Lara, Maximina Martinez Lara, and La Union Del Pueblo Entero, Inc. v. State of Texas, John Steen, and Steve McGraw. 5

Case 2:13-cv-00193 Document 746-26 Filed in TXSD on 11/18/14 Page 6 of 7 DOCUMENTS 1. All documents and tangible things that you relied on to prepare for your testimony at the deposition. 2. All documents and tangible things containing facts or data, from whatever source, considered by you in the drafting of your expert report in the Federal Action. 3. All documents and tangible things containing facts or data, from whatever source, relied upon by you in the drafting of your expert report in the Federal Action. 4. If any document requested was, but is no longer, either in your possession, custody, or control, or in existence, state whether it: (a) is missing or lost; (b) has been destroyed; (c) has been transferred, voluntarily or involuntarily, to others; or (d) has been otherwise disposed of and explain the circumstances surrounding the disposition, and identify the names of those persons with knowledge of such circumstances. 6

Case 2:13-cv-00193 Document 746-26 Filed in TXSD on 11/18/14 Page 7 of 7 CERTIFICATE OF SERVICE I hereby certify that on August 4, 2014, a true and correct copy of the foregoing document was served via electronic mail to all counsel of record. /s/ John B. Scott JOHN B. SCOTT 7