Blankenchip et al v. CitiMortgage, Inc. et al
Filing
66
STIPULATION and PROTECTIVE ORDER signed by Magistrate Judge Allison Claire on 4/11/16 APPROVING the stipulation to supplement the Court's 12/17/15 order, Dkt. No. 39 , partially granting Citi's motion for protective order concerning income statements of a nonparty inadvertently produced by its counsel during discovery. (Becknal, R)
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UNITED STATES DISTRICT COURT
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FOR THE EASTERN DISTRICT OF CALIFORNIA
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RANDY BLANKENCHIP and
SUSAN BLANKENCHIP
Assigned to Hon. William B. Shubb,
Courtroom 5
Plaintiffs,
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Case No.: 2:14-cv-02309-WBS-AC
(PROPOSED) ORDER APPROVING
STIPULATION TO SUPPLEMENT
ORDER GRANTING DEFENDANT
CITIMORTGAGE, INC.'S MOTION
FOR PROTECTIVE ORDER AS TO
NONPARTY'S INCOME
STATEMENTS
vs.
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CITIMORTGAGE, INC.; CALWESTERN RECONVEYANCE, LLC; and
Does 1 through 50, inclusive,
Defendants.
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[Filed concurrently with Stipulation]
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Complaint filed: August 25, 2014
Trial date: June 7, 2016
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The Court APPROVES the stipulation by and between plaintiffs Randy
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Blankenchip and Susan Blankenchip (plaintiffs) and defendant CitiMortgage, Inc.
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(Citi) to supplement the Court's December 17, 2015 order, Dkt. No. 39, partially
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granting Citi's motion for protective order concerning income statements of a nonparty
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inadvertently produced by its counsel during discovery.
IT IS HEREBY ORDERED:
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///
{37593735;6}
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CASE NO. 2:14-CV-02309-WBS-AC
(PROPOSED) ORDER APPROVING STIPULATION TO SUPPLEMENT PROTECTIVE
ORDER AS TO NONPARTY'S INCOME STATEMENTS
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1.
Plaintiffs and their counsel shall not use the personal information of the
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nonparty in any way, including but not limited to the nonparty's name, address,
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employer name and employee identification number.
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2.
Plaintiffs and their counsel shall not contact or communicate with the
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nonparty concerning the subject matter of this litigation, the income statements, or the
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subject matter of Citi's motion for protective order, Dkt. No. 36.
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3.
The video/audio recording of the July 15, 2015 deposition of Citi's
corporate representative, Matthew Sinner, shall be edited as follows:
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a.
Plaintiffs shall arrange for the videographer to edit the video and
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audio recordings of Mr. Sinner's July 15, 2015 deposition to block
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out, delete, redact or similarly remove any and all reference to the
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nonparty's name, address, employer, employee identification number
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and any other personal information of the nonparty from every
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instance it appears in the video/audio recordings, including but not
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limited to the audio of protected information and video of the
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nonparty's income statements, which are identified as bates numbers
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CITI000019, CITI000020, CITI000021, CITI000305, CITI000306,
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and CITI000307.
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b.
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Plaintiffs shall destroy and ensure the videographer destroys any
unedited audio/video of Mr. Sinner's July 15, 2015 deposition.
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Plaintiffs and their counsel shall not use the unedited video/audio
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recording of Mr. Sinner's July 15, 2015 deposition in any way including introducing or
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presenting the recording, or any portion thereof, at trial.
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IT IS SO ORDERED.
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Dated: April 11, 2016
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{37593735;6}
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CASE NO. 2:14-CV-02309-WBS-AC
(PROPOSED) ORDER APPROVING STIPULATION TO SUPPLEMENT PROTECTIVE
ORDER AS TO NONPARTY'S INCOME STATEMENTS
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