Willis, et al. v. City Of Fresno, et al.
Filing
64
STIPULATION and ORDER authorizing the release of juvenile records; stipulated protective order regarding the juvenile records of the decedent Stephen A. Willis. Order signed by Magistrate Judge Dennis L. Beck on 5/6/2011. (Hernandez, M)
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James D. Weakley, Esq.
Roy C. Santos, Esq.
Bar No. 082853
Bar No. 259718
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WEAKLEY & ARENDT LLP
1630 East Shaw Avenue, Suite 176
Fresno, California 93710
Telephone: (559) 221-5256
Facsimile: (559) 221-5262
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Attorneys for Defendants CITY OF FRESNO, CHIEF JERRY DYER, OFFICER GREG CATTON
and OFFICER DANIEL ASTACIO
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IN THE UNITED STATES DISTRICT COURT
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FOR THE EASTERN DISTRICT OF CALIFORNIA
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CASE NO. 1:09-CV-01766-LJO-DLB
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Plaintiffs,
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vs.
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CITY OF FRESNO, OFFICER GREG
CATTON, OFFICER DANIEL ASTACIO, )
CHIEF JERRY DYER, and DOES 1 through )
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50 inclusive,
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Defendants.
____________________________________ )
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Court, that the Juvenile Records of the decedent Stephen A. Willis, which are within the custody and
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control of the City of Fresno Police Department, be produced pursuant to a stipulated protective order.
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2.
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ordered by this Court, that the following documents will be disclosed pursuant to this stipulation and
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protective order:
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The above-named documents which are maintained by the Fresno City Police Department and
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requested by Plaintiffs through discovery, may be disclosed to Plaintiffs pursuant to the protective
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CHRIS WILLIS, MARY WILLIS,
INDIVIDUALLY AND SUCCESSORS IN
INTEREST TO STEPHEN WILLIS;
JENNAFER URIBE,
STIPULATION AND ORDER AUTHORIZING
THE RELEASE OF JUVENILE RECORDS;
STIPULATED PROTECTIVE ORDER
REGARDING THE JUVENILE RECORDS OF
THE DECEDENT STEPHEN A. WILLIS
It is hereby stipulated between the parties, through their respective counsel, and ordered by this
It is hereby further stipulated to, between the parties, through their respective counsel, and
Juvenile Records of Stephen A. Willis
Stipulation Regarding Authorizing the Release
of Juvenile Records
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order detailed below. The documents requested by Plaintiffs contain information which defendants
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deem confidential. By the release of these documents pursuant to this Stipulation and Protective
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Order, Defendants do not waive their assertion of the confidentiality privilege protecting the above-
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named documents from general disclosure.
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IT IS SO STIPULATED:
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DATED: May 03, 2011
WEAKLEY & ARENDT, LLP
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By:
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/s/Roy C. Santos
James D. Weakley
Roy C. Santos
Attorneys for Defendants
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DATED: May 03, 2011
WALTER, HAMILTON & KOENIG, LLP
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By:
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/s/Rana Ansari
Walter Walker
Peter Koenig
Rana Ansari
Attorneys for Plaintiff
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IT IS SO ORDERED.
Dated:
May 6, 2011
/s/ Dennis L. Beck
UNITED STATES MAGISTRATE JUDGE
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Stipulation Regarding Authorizing the Release
of Biological Samples
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