Anderson v. Marsh

Filing 17

STIPULATION FOR PROTECTIVE ORDER AND ORDER signed by Magistrate Judge Stanley A. Boone on 2/12/2015. (Rooney, M)

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1 2 3 4 5 6 7 8 KAMALA D. HARRIS Attorney General of California JEFFREY R. VINCENT Supervising Deputy Attorney General WILFRED FONG (SBN 154303) KYMBERLY E. SPEER (SBN 121703) Deputy Attorneys General State Bar No. 154303 1515 Clay Street, 20th Floor P.O. Box 70550 Oakland, CA 94612-0550 Telephone: (510) 622-2114 Facsimile: (510) 622-2121 E-mail: Wil.Fong@doj.ca.gov Attorneys for Defendant Officer John Marsh 9 IN THE UNITED STATES DISTRICT COURT 10 FOR THE EASTERN DISTRICT OF CALIFORNIA 11 12 13 Case No. CV14-01599 TLN-SAB WAYNE STEVEN ANDERSON, STIPULATION FOR PROTECTIVE ORDER Plaintiff, AND ORDER 14 15 v. 16 17 CALIFORNIA HIGHWAY PATROL OFFICER JOHN MARSH and DOES 1-20, 18 Defendant. 19 20 The following Stipulated Protective Order shall govern the use and disclosure of the 21 documents and materials listed herein, and any other documents that are designated “confidential” 22 by the producing party. 23 24 ITEMS SUBJECT TO THIS STIPULATED PROTECTIVE ORDER (A) Highway Patrol Manual 70.6 - Officer Safety Manual (portions in effect October 2012): 25 Chapter 1 - Use of Force (Rev. July 2012) 26 Chapter 2 - Discharge of Firearms 27 Chapter 3 - Highway Enforcement 28 Chapter 5 - Pursuit Policy and Emergency Vehicle Operations (January 2011) 1 1 Chapter 7 - Speed Enforcement (May 2011) 2 Chapter 8 - High Risk and Felony Apprehensions (January 2008) 3 Chapter 9 - Stopping the Violator and Controlling Enforcement Stops (May 1999) 4 Table of Contents for HPM 70.6 (Officer Safety Manual) 5 (B) Highway Patrol Manual 100.68 (portions in effect October 2012) 6 Chapter 1 - Patrol and General Enforcement Guidelines 7 Chapter 3 - Highway Enforcement 8 (C) Shooting Incident Report (Bates 001, 003-245, 247-288) re Officer Marsh. 9 (D) Mobile Video Audio Recording System recordings. 10 (E) Wayne Steven Anderson’s medical records. 11 (F) Wayne Steven Anderson’s criminal records. 12 TERMS AND CONDITIONS OF STIPULATED PROTECTIVE ORDER 13 Production of the documents and materials listed above will be subject to the following 14 15 conditions and the Court’s Protective Order: 1. The documents, materials and their contents may be used by plaintiff and his counsel 16 only in this litigation and may not be used in separate proceedings or actions at this time or in the 17 future without first being obtained through proper discovery procedures or court orders in those 18 separate proceedings or actions. 19 2. The documents and their contents may not be disclosed, copied, distributed, shown, 20 described, or read to any person or entity (including, but not limited to, media representatives) by 21 plaintiff or his counsel, representatives or agents, other than (a) the parties to this litigation; 22 (b) the parties’ attorneys, paralegals, and legal office staff in this litigation; (c) the parties’ expert 23 consultants in this litigation for purposes of expert consultation and trial testimony preparation; 24 and (d) the Court in this action, filed under seal, for purposes of this litigation. 25 3. The plaintiff’s expert consultants must sign an acknowledgment and agreement to be 26 bound by the terms of this Stipulation for Protective Order and Order, an executed copy of which 27 will be provided to defendant’s counsel within seven (7) days after formal disclosure of such 28 consultants as expert witnesses in this litigation. The acknowledgment and agreement must 2 1 2 3 4 contain the following language: “As an expert witness for the plaintiff in this lawsuit, I hereby acknowledge receipt of a copy of the signed Stipulation for Protective Order and Order, approved and entered by the Court in this action, and I agree to be bound by all terms and conditions in that Protective Order and recognize that I may be personally found in contempt of Court or subject to other sanctions determined by the Court should I violate any term or condition in that Protective Order.” 5 6 7 4. All documents and materials produced subject to this Stipulated Protective Order will be clearly marked “Confidential” to indicate that they are subject to this Protective Order. 8 5. Except for documents and materials filed under seal by the court, all originals and copies 9 of documents and materials produced subject to this Stipulated Protective Order shall be returned 10 to defendant’s counsel within ten (10) days after final termination of this litigation, whether such 11 termination occurs by settlement, judgment, dismissal, appeal or otherwise. 12 6. This Protective Order does not in any way affect or prejudice the right of any party at the 13 time of trial or other proceedings in this action to object to the admissibility of said documents or 14 materials at the trial or in other proceedings of this action. 15 7. Any writings or other documents stipulated in writing by the parties to be confidential 16 and subject to this Stipulated Protective Order, and produced subsequent to the date this 17 Protective Order is signed by the Court, shall also be subject to all the terms of this Stipulated 18 Protective Order. 19 8. If any party intends to file a motion that includes as an exhibit any writing(s) subject to 20 this Protective Order, that party shall meet and confer with the opposing party. If the producing 21 party maintains its position that the documents are confidential, the party intending to file the 22 documents must file a motion to file the documents under seal pursuant to Eastern District 23 General Local Rule 141. 24 9. Violation of this Protective Order by any party or any other person, including but not 25 limited to any party’s expert witnesses and consultants, will result in sanctions to be determined 26 by the Court upon application by any other party. 27 10. This Stipulated Protective Order and the obligations of all persons subject to it, 28 including those relating to the disclosure and use of the materials specified herein, shall survive 3 1 the final termination of this case, whether such termination is by settlement, judgment, dismissal, 2 appeal or otherwise. 3 11. Nothing in this Stipulated Protective Order is intended to prevent authorized 4 individuals from having access to the documents and materials specified herein to which they 5 would have had access in the normal course of their duties. 6 SO STIPULATED: 7 Dated: February 12, 2015 8 9 /s/Adam M. Carlson ADAM M. CARLSON, ESQ. Attorneys for Plaintiff Wayne Steven Anderson 10 11 Dated: February 12, 2015 12 13 KAREN L. SNELL ATTORNEY AT LAW /s/Karen L. Snell KAREN L. SNELL, ESQ. Attorney for Plaintiff Wayne Steven Anderson 14 15 ANDREW C. SCHWARTZ ADAM M. CARLSON CASPER, MEADOWS, SCHWARTZ & COOK Dated: February 12, 2015 16 KAMALA D. HARRIS Attorney General of California JEFFREY R. VINCENT Supervising Deputy Attorney General 17 /s/Wil Fong WIL FONG Deputy Attorney General Attorneys for Defendant CHP Officer John Marsh 18 19 20 ORDER 21 22 23 24 Upon good cause shown, the above Stipulation of the parties is hereby approved and made the Order of this Court. IT IS SO ORDERED. 25 26 Dated: February 12, 2015 UNITED STATES MAGISTRATE JUDGE 27 28 4

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