Morshed v. County of Lake, California

Filing 191

Discovery Order. Signed by Magistrate Judge Nandor J. Vadas on June 3, 2014. (njvlc2, COURT STAFF) (Filed on 6/3/2014)

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1 A PROFESSIONAL CORPORATION 2 3 4 5 6 John R. Whitefleet, SBN 213301 Lauren E. Calnero, SBN 284655 350 University Avenue, Suite 200 Sacramento, California 95825 TEL: 916.929.1481 FAX: 916.927.3706 Attorneys for Defendant COUNTY OF LAKE 7 8 UNITED STATES DISTRICT COURT 9 NORTHERN DISTRICT OF CALIFORNIA 10 EUREKA DIVISION 11 12 MICHAEL MORSHED, Case No.: 4:13-cv-00521-YGR-NJV 13 Plaintiff, 14 15 vs. 16 [PROPOSED] DISCOVERY ORDER COUNTY OF LAKE, 17 Trial Date: June 9, 2014 Time: 8:30 a.m. Location: Courtroom 1 Date Action Filed: February 6, 2013 Defendant. 18 19 / 20 21 This matter came on specially for telephone hearing regarding Plaintiff’s letter dated May 28, 22 2014. Jocelyn Burton and Joel Moon appeared for Plaintiff Michael Morshed. John Whitefleet and 23 Lauren Calnero appeared for Defendant County of Lake, California. 24 REQUEST NO. 1: 25 Defendant is precluded from offering into evidence or referring to any and all documents 26 responsive to this request that were not previously produced. 27 28 1 [PROPOSED] DISCOVERY ORDER {01271431.DOC} 1 2 REQUEST NO. 5 Defendant is precluded from offering into evidence or referring to any and all documents 3 responsive to this request that were not previously produced. 4 REQUEST NO. 7: 5 Defendant is hereby ordered to produce and deliver documents in connection with its response 6 to Request for Production No. 49 to Plaintiff no later than Wednesday, June 4, 2014 at 4:00 p.m. 7 REQUEST NO. 8: 8 9 10 11 Defendant is hereby ordered to produce and deliver documents in connection with its response to Request for Production No. 49 to Plaintiff no later than Wednesday, June 4, 2014 at 4:00 p.m. REQUEST NO. 12: Defendant is hereby ordered to produce and deliver documents in connection with its response 12 to Request for Production No. 49 to Plaintiff no later than Wednesday, June 4, 2014 at 4:00 p.m. 13 REQUEST NO. 17: 14 Defendant is precluded from offering into evidence or referring to any and all documents 15 responsive to this request that have not previously been produced. 16 REQUEST NO. 43: 17 Defendant is precluded from offering into evidence or referring to any and all documents 18 responsive to this request that have not previously been produced. 19 REQUEST NO. 46: 20 Defendant is hereby ordered to produce and deliver documents responsive to Request for 21 Production No. 49 to Plaintiff no later than Wednesday, June 4, 2014 at 4:00 p.m. 22 REQUEST NO. 49: 23 Defendant is hereby ordered to produce and deliver documents responsive to Request for 24 Production No. 49 to Plaintiff no later than Wednesday, June 4, 2014 at 4:00 p.m. 25 REQUEST NO. 51: 26 Defendant is hereby ordered to produce and deliver documents responsive to this request, to the 27 extent any exist, and/or produce a privilege log to Plaintiff no later than Wednesday, June 4, 2014 at 28 4:00 p.m. Plaintiff will have until Thursday, June 5, 2014 at 12:00 p.m. to file a response, if necessary. 2 [PROPOSED] DISCOVERY ORDER {01271431.DOC} 1 The Court will then address this matter on Friday, June 6, 2014 at 10:00 a.m., through a telephonic 2 conference, if necessary. 3 REQUEST NO. 53: 4 Defendant is precluded from offering into evidence or referring to any and all documents 5 responsive to this request that have not previously been produced. 6 REQUEST NO. 54: 7 Defendant is precluded from offering into evidence or referring to any and all documents 8 responsive to this request that have not previously been produced. 9 REQUEST NO. 55: 10 Defendant is precluded from offering into evidence or referring to any and all documents 11 responsive to this request that have not previously been produced. 12 REQUEST NO. 56: 13 Defendant is precluded from offering into evidence or referring to any and all documents 14 responsive to this request that have not previously been produced. 15 REQUEST NO. 57: 16 Defendant is precluded from offering into evidence or referring to any and all documents 17 responsive to this request that have not previously been produced. 18 REQUEST NO. 59: 19 Defendant is precluded from offering into evidence or referring to any and all documents 20 responsive to this request that have not previously been produced. 21 REQUEST NO. 60: 22 Defendant is precluded from offering into evidence or referring to any and all documents 23 responsive to this request that have not previously been produced. 24 REQUEST NO. 64: 25 26 Defendant is precluded from offering into evidence or referring to any and all documents responsive to this request that have not previously been produced. 27 28 3 [PROPOSED] DISCOVERY ORDER {01271431.DOC} 1 2 REQUEST NO. 67: Defendant is precluded from offering into evidence or referring to any and all documents 3 responsive to this request that have not previously been produced. 4 REQUEST NO. 68: 5 Defendant is precluded from offering into evidence or referring to any and all documents 6 responsive to this request that have not previously been produced. 7 REQUEST NO. 69: responsive to this request that have not previously been produced. S IT IS SO ORDERED. 12 13 Dated: June 3, 2014 R NIA UNIT ED 11 RT U O 10 S DISTRICT TE C TA NO ______________________________________ Hon. NANDOR J. VADAS r J. Vadas ando United States Magistrate Judge Judge N 14 RT 15 FO 9 Defendant is precluded from offering into evidence or referring to any and all documents 16 A H ER LI 8 N 17 18 19 20 21 22 23 24 25 26 27 28 4 [PROPOSED] DISCOVERY ORDER {01271431.DOC} F D IS T IC T O R C

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