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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1 2 3 4 5 6 7 8 UNITED STATES DISTRICT COURT 9 FOR THE EASTERN DISTRICT OF CALIFORNIA 10 11 RANDY BLANKENCHIP and SUSAN BLANKENCHIP Assigned to Hon. William B. Shubb, Courtroom 5 Plaintiffs, 12 13 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. 14 15 16 CITIMORTGAGE, INC.; CALWESTERN RECONVEYANCE, LLC; and Does 1 through 50, inclusive, Defendants. 17 [Filed concurrently with Stipulation] 18 Complaint filed: August 25, 2014 Trial date: June 7, 2016 19 20 21 The Court APPROVES the stipulation by and between plaintiffs Randy 22 Blankenchip and Susan Blankenchip (plaintiffs) and defendant CitiMortgage, Inc. 23 (Citi) to supplement the Court's December 17, 2015 order, Dkt. No. 39, partially 24 granting Citi's motion for protective order concerning income statements of a nonparty 25 inadvertently produced by its counsel during discovery. IT IS HEREBY ORDERED: 26 27 28 /// {37593735;6} 1 CASE NO. 2:14-CV-02309-WBS-AC (PROPOSED) ORDER APPROVING STIPULATION TO SUPPLEMENT PROTECTIVE ORDER AS TO NONPARTY'S INCOME STATEMENTS 1 1. Plaintiffs and their counsel shall not use the personal information of the 2 nonparty in any way, including but not limited to the nonparty's name, address, 3 employer name and employee identification number. 4 2. Plaintiffs and their counsel shall not contact or communicate with the 5 nonparty concerning the subject matter of this litigation, the income statements, or the 6 subject matter of Citi's motion for protective order, Dkt. No. 36. 7 8 3. The video/audio recording of the July 15, 2015 deposition of Citi's corporate representative, Matthew Sinner, shall be edited as follows: 9 a. Plaintiffs shall arrange for the videographer to edit the video and 10 audio recordings of Mr. Sinner's July 15, 2015 deposition to block 11 out, delete, redact or similarly remove any and all reference to the 12 nonparty's name, address, employer, employee identification number 13 and any other personal information of the nonparty from every 14 instance it appears in the video/audio recordings, including but not 15 limited to the audio of protected information and video of the 16 nonparty's income statements, which are identified as bates numbers 17 CITI000019, CITI000020, CITI000021, CITI000305, CITI000306, 18 and CITI000307. 19 b. 20 21 Plaintiffs shall destroy and ensure the videographer destroys any unedited audio/video of Mr. Sinner's July 15, 2015 deposition. 4. Plaintiffs and their counsel shall not use the unedited video/audio 22 recording of Mr. Sinner's July 15, 2015 deposition in any way including introducing or 23 presenting the recording, or any portion thereof, at trial. 24 IT IS SO ORDERED. 25 26 Dated: April 11, 2016 27 28 {37593735;6} 2 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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