Morshed v. County of Lake, California
Filing
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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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A PROFESSIONAL CORPORATION
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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
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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EUREKA DIVISION
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MICHAEL MORSHED,
Case No.: 4:13-cv-00521-YGR-NJV
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Plaintiff,
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vs.
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[PROPOSED] DISCOVERY ORDER
COUNTY OF LAKE,
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Trial Date: June 9, 2014
Time: 8:30 a.m.
Location: Courtroom 1
Date Action Filed: February 6, 2013
Defendant.
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This matter came on specially for telephone hearing regarding Plaintiff’s letter dated May 28,
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2014. Jocelyn Burton and Joel Moon appeared for Plaintiff Michael Morshed. John Whitefleet and
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Lauren Calnero appeared for Defendant County of Lake, California.
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REQUEST NO. 1:
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Defendant is precluded from offering into evidence or referring to any and all documents
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responsive to this request that were not previously produced.
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[PROPOSED] DISCOVERY ORDER
{01271431.DOC}
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REQUEST NO. 5
Defendant is precluded from offering into evidence or referring to any and all documents
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responsive to this request that were not previously produced.
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REQUEST NO. 7:
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Defendant is hereby ordered to produce and deliver documents in connection with its response
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to Request for Production No. 49 to Plaintiff no later than Wednesday, June 4, 2014 at 4:00 p.m.
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REQUEST NO. 8:
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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
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to Request for Production No. 49 to Plaintiff no later than Wednesday, June 4, 2014 at 4:00 p.m.
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REQUEST NO. 17:
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Defendant is precluded from offering into evidence or referring to any and all documents
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responsive to this request that have not previously been produced.
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REQUEST NO. 43:
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Defendant is precluded from offering into evidence or referring to any and all documents
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responsive to this request that have not previously been produced.
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REQUEST NO. 46:
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Defendant is hereby ordered to produce and deliver documents responsive to Request for
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Production No. 49 to Plaintiff no later than Wednesday, June 4, 2014 at 4:00 p.m.
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REQUEST NO. 49:
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Defendant is hereby ordered to produce and deliver documents responsive to Request for
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Production No. 49 to Plaintiff no later than Wednesday, June 4, 2014 at 4:00 p.m.
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REQUEST NO. 51:
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Defendant is hereby ordered to produce and deliver documents responsive to this request, to the
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extent any exist, and/or produce a privilege log to Plaintiff no later than Wednesday, June 4, 2014 at
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4:00 p.m. Plaintiff will have until Thursday, June 5, 2014 at 12:00 p.m. to file a response, if necessary.
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[PROPOSED] DISCOVERY ORDER
{01271431.DOC}
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The Court will then address this matter on Friday, June 6, 2014 at 10:00 a.m., through a telephonic
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conference, if necessary.
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REQUEST NO. 53:
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Defendant is precluded from offering into evidence or referring to any and all documents
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responsive to this request that have not previously been produced.
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REQUEST NO. 54:
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Defendant is precluded from offering into evidence or referring to any and all documents
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responsive to this request that have not previously been produced.
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REQUEST NO. 55:
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Defendant is precluded from offering into evidence or referring to any and all documents
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responsive to this request that have not previously been produced.
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REQUEST NO. 56:
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Defendant is precluded from offering into evidence or referring to any and all documents
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responsive to this request that have not previously been produced.
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REQUEST NO. 57:
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Defendant is precluded from offering into evidence or referring to any and all documents
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responsive to this request that have not previously been produced.
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REQUEST NO. 59:
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Defendant is precluded from offering into evidence or referring to any and all documents
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responsive to this request that have not previously been produced.
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REQUEST NO. 60:
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Defendant is precluded from offering into evidence or referring to any and all documents
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responsive to this request that have not previously been produced.
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REQUEST NO. 64:
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Defendant is precluded from offering into evidence or referring to any and all documents
responsive to this request that have not previously been produced.
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[PROPOSED] DISCOVERY ORDER
{01271431.DOC}
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REQUEST NO. 67:
Defendant is precluded from offering into evidence or referring to any and all documents
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responsive to this request that have not previously been produced.
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REQUEST NO. 68:
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Defendant is precluded from offering into evidence or referring to any and all documents
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responsive to this request that have not previously been produced.
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REQUEST NO. 69:
responsive to this request that have not previously been produced.
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IT IS SO ORDERED.
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Dated: June 3, 2014
R NIA
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______________________________________
Hon. NANDOR J. VADAS r J. Vadas
ando
United States Magistrate Judge
Judge N
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Defendant is precluded from offering into evidence or referring to any and all documents
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[PROPOSED] DISCOVERY ORDER
{01271431.DOC}
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