Jones v. Wackenhut % Google Inc.
Filing
45
MOTION to ask the Court to intervene in the discovery by Donald Jones. (vs)
Case 1:07-cv-00567-CC-RGV
Document 45
Filed 08/30/2007
RLED IN ct EWs OFM
Page 1 of 3
U.S.d. .
C At lant a
IN THE UNITED STATES DISTRICT COURT G U Ml FOR THE NORTHERN DISTRICT OF GEORG . HAT TEN, CLERK ATLANTA DIVISION
Deputy Gerk
DONALD JONES, Plaintiff
V.
WACKENHU T & GOGGLE ANC ., Defendant
Case No: I : 0 7-CV-X567- CC -RGV
PLAINTIFF MO TION TO ASK TIFFE COURT TO IN TERVENE IN TAE DISCOV ERY
The plaintiff is asking the court to intervene in the discovery . The defendant is engaged in a "witch hunt" the plaintiff work as a public safety officer and was finger print once a year by the CBI as a employee at wackenhut : The plaintiff is also a notary public . The defendant in interrogatory no . 12 want to know if the plaintiff had a crimrnal history If a person pay his debt he don't lose his credibility about three out of five people had records . In my employment my wages was garnishee by gwinnett county courts . The plaintiff file chapter 7 to stop the garnishee Wackenhut has all the records . This is a retaliation law sue an the defendant is harassing the plaintiff . The pl aiwi ff is asking the court for a order of protective for the puns who will come forward . He fear the defendant is going to retaliation by hassing the witness . The defendant is deny the plaintiff his interrogatories on the grounds "that they are overly broad, unduly burdensome andd seek information which is not relevant and not reasonably calculated to lead to the discovery of admissible evidence" . If the defendant want to dismiss the case provide the court with the requested information an settlement .
Case 1:07-cv-00567-CC-RGV
Document 45
Filed 08/30/2007
Page 2 of 3
Me mo ra nd u m of haw The defendant is saying Rule 34,37(a)(2)(B) and local Rule 3 'T .1 give him the right to harass the plaintiff. The plaintiff is saying Rule 37(C )(D ) give the plaintiff good, reason not to admit.
Respectfully submitted this J( th dad of August 2007
P.0. Box 2T61 Red Oak, GA 3 0272 (678) 3 60 - 1 5 0 5
Case 1:07-cv-00567-CC-RGV
Document 45
Filed 08/30/2007
Page 3 of 3
IN THE UNITED STATE DUISTRICT COURT FOR THE NORTHERN DISTRACT O F GEORGIA ATLANTA DIVISION
DONALD JONES
Plaintiff
Case Ne: 1 : f}?-CV-45b7-CC-RGV
V.
WACKENHUT % GOOGLE INC., Defendant
CETtT1FJCATE OF SERVItJE This to certify that I have this day served defendant with a copy of the foregoing notice by depositing a copy of carne in the United States mad witty adequate postage thereon to : DUANE MORRIS LLP 1180 West Peachtree Street Suite 7 0 0
Atlanta, Georgia 30309
Dated this 21 day f August 2007 . P .QBax 261
Red Oak, GEORGIA 30272 (678) 3 60 - 505
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