Kaur et al v. City of Lodi et al

Filing 82

STIPULATION and PROTECTIVE ORDER REGARDING PRODUCTION OF TELEPHONE RECORDS signed by Magistrate Judge Allison Claire on 6/4/15 re: 80 . (Meuleman, A)

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1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 MARK E. MERIN (State Bar No. 043849) PAUL H. MASUHARA (State Bar No. 289805) LAW OFFICE OF MARK E. MERIN 1010 F Street, Suite 300 Sacramento, California 95814 Telephone: (916) 443-6911 Facsimile: (916) 447-8336 Attorneys for Plaintiffs SUKHWINDER KAUR, PARMINDER SINGH SHERGILL, KULBINDER KAUR SOHOTA and SARABJIT SINGH SHERGILL BRUCE A. KILDAY (State Bar No. 066415) AMIE McTAVISH, ESQ. (State Bar No. 242372) ANGELO, KILDAY & KILDUFF, LLP Attorneys at Law 601 University Avenue, Suite 150 Sacramento, CA 95825 Telephone: (916) 564-6100 Telecopier: (916) 564-6263 Attorneys for Joint-Defendants CITY OF LODI; CITY OF LODI POLICE DEPARTMENT and CHIEF MARK HELMS MARK E. BERRY (State Bar No. 155091) DERICK E. KONZ (State Bar No. 286902) MAYALL HURLEY, P.C. A Professional Corporation 2453 Grand Canal Boulevard, Second Floor Stockton, California 95207-8253 Telephone: (209) 477-3833 Facsimile: (209) 473-4818 Attorneys for Joint-Defendants SCOTT BRATTON and ADAM LOCKIE. 20 21 UNITED STATES DISTRICT COURT 22 EASTERN DISTRICT OF CALIFORNIA 23 SUKHWINDER KAUR, et al., Plaintiffs, 24 vs. 25 26 Case No. 2:14-cv-00828-GEB-AC STIPULATED PROTECTIVE ORDER REGARDING PRODUCTION OF TELEPHONE RECORDS CITY OF LODI, et al., Defendants. 27 28 _________________________________________ Page 1 STIPULATION AND PROTECTIVE ORDER REGARDING PRODUCTION OF TELEPHONE RECORDS 1 Following meet and confer discussions, and pursuant to the Plaintiffs’ May 26, 2015 2 correspondence, IT IS HEREBY AGREED AND STIPULATED between all parties that the 3 following documents produced by SCOTT BRATTON and ADAM LOCKIE shall be governed 4 by protective order: 5  SCOTT BRATTON’s Response to SUKHWINDER KAUR’s Request for Production of Documents, Set Two.  SCOTT BRATTON’s Response to SUKHWINDER KAUR’s Interrogatories, Set One.  ADAM LOCKIE’s Response to SUKHWINDER KAUR’s Request for Production of Documents, Set Two.  ADAM LOCKIE’s Response to SUKHWINDER KAUR’s Interrogatories, Set One 6 7 8 9 10 11 It is understood that these documents contain private telephone information of SCOTT 12 BRATTON and ADAM LOCKIE. If this information is released to the public, there is a concern 13 that SCOTT BRATTON and ADAM LOCKIE will be exposed to harassment by members of the 14 public who would otherwise not have access to their personal telephone numbers. 15 The produced documents shall be used by the parties solely for the purpose of prosecuting 16 and defending the above captioned case. The documents shall not be duplicated, reproduced, 17 transmitted, or communicated to any person or entity for any reason whatsoever excepting 18 Plaintiff’s counsel and declared experts pursuant to the Plaintiffs’ Rule 26 disclosure. 19 The copying of the documents is to be conducted in-house and shall not be done by 20 outside third party vendors. 21 Even after the termination of this litigation, the confidentiality obligations imposed by 22 23 24 this Order shall remain in effect until SCOTT BRATTON and ADAM LOCKIE agree otherwise in writing or a court order otherwise directs. If any party learns that, by inadvertence or otherwise, it has disclosed documents 25 protected pursuant to this protective order to any person or in any circumstance not authorized 26 under this Stipulated Protective Order, that party must immediately (a) notify in writing SCOTT 27 BRATTON and ADAM LOCKIE of the unauthorized disclosures, (b) use its best efforts to 28 _________________________________________ Page 2 STIPULATION AND PROTECTIVE ORDER REGARDING PRODUCTION OF TELEPHONE RECORDS 1 retrieve all copies of the protected material, (c) inform the person or persons to whom 2 unauthorized disclosures were made of all the terms of this Order, and (d) request such person or 3 persons to execute the “Acknowledgement and Agreement to Be Bound” that is attached hereto 4 5 6 7 8 as Exhibit A. This Order shall constitute a protective order pursuant to Federal Rules of Civil Procedure 26(c) and shall be enforceable as set forth therein. Plaintiffs’ counsel shall advise the Plaintiffs, experts and others of this Protective Order and its effect. STIPULATED AND AGREED: 9 10 DATED: June 3, 2015 11 LAW OFFICE OF MARK E. MERIN /s/ MARK E. MERIN (as authorized on June 3, 2015) By:___________________________ Mark E. Merin Paul H. Masuhara Attorneys for Plaintiffs 12 13 14 15 16 DATED: June 3, 2015 MAYALL HURLEY, P.C. 17 /s/ MARK E. BERRY By:_________________________________ Mark E. Berry Derick E. Konz Attorneys for Defendants, SCOTT BRATTON and ADAM LOCKIE 18 19 20 21 22 23 24 25 26 27 28 DATED: June 3, 2015 ANGELO, KILDAY & KILDUFF /s/ AMIE MCTAVISH (as authorized on June 3, 2015) By:_________________________________ Amie Mctavish Attorneys for Defendants, CITY OF LODI; CITY OF LODI POLICE DEPARTMENT and CHIEF MARK HELMS _________________________________________ Page 3 STIPULATION AND PROTECTIVE ORDER REGARDING PRODUCTION OF TELEPHONE RECORDS 1 PURSUANT TO STIPULATION, IT IS SO ORDERED. 2 3 4 DATED: June 4, 2015 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 _________________________________________ Page 4 STIPULATION AND PROTECTIVE ORDER REGARDING PRODUCTION OF TELEPHONE RECORDS 1 EXHIBIT A 2 ACKNOWLEDGEMENT AND AGREEMENT TO BE BOUND I, __________________________________________________[print or type full name] 3 4 of ________________________________________________________________________ 5 [print or type full address], declare under penalty of perjury that I have read in its entirety and 6 understood the Stipulated Protective Order that was issued by the United States District Court for 7 the Eastern District of California on _____________________[date] in the case of KAUR, et al. 8 v. CITY OF LODI, et al.. I agree to comply with and to be bound by all the terms of this 9 Stipulated Protective Order and I understand and acknowledge that failure to so comply could 10 expose me to sanctions and punishment in the nature of contempt. I solemnly promise that I will 11 not disclose in any manner any information or item that is subject to this Stipulated Protective 12 Order to any person or entity except in strict compliance with the provisions of this Order. I further agree to submit to the jurisdiction of the United States District Court for the 13 14 Eastern District of California for the purpose of enforcing the terms of this Stipulated Protective 15 Order, even if such enforcement proceedings occur after termination of this action. I hereby appoint ______________________________________[print or type full name] 16 17 of ________________________________________________________________________ 18 [print or type full address and telephone number] as my California agent for service of process in 19 connection with this action or any proceedings related to enforcement of the Stipulated Protective 20 Order. 21 22 Date: __________ City and State where sworn and signed: ____________________________ 23 24 25 Printed name: _________________________________ 26 27 28 Signature: ____________________________________ _________________________________________ Page 5 STIPULATION AND PROTECTIVE ORDER REGARDING PRODUCTION OF TELEPHONE RECORDS

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