Small et al v. University Medical Center of Southern Nevada
Filing
67
STIPULATED PROTECTIVE ORDER. Signed by Magistrate Judge George Foley, Jr on 2/28/13. (Copies have been distributed pursuant to the NEF - MMM)
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NICHOLAS M. WIECZOREK
Nevada Bar No. 6170
JEREMY J. THOMPSON
Nevada Bar No. 12503
MORRIS POUCH & PURDY LLP
3883 Howard Hughes Parkway, Suite 560
Las Vegas, Nevada 89169
Telephone: (702) 862-8300
Facsimile: (702) 862-8400
E-Mail:
nwieczorek@mpplaw.com
E-Mail:
jthompson(mpplaw,com
Attorneys for Defendant UNIVERSITY MEDICAL
CENTER OF SOUTHERN NEVADA
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
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DANIEL SMALL, CAROLYN SMALL, WILLIAM Case No.: 2:13-cv-00298-MMD-GWF
CURTIN, DAVID COHEN, LANETTE
LAWRENCE, and LOUISE COLLARD, Individually,
and on Behalf of All Other Persons Similarly Situated,
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Plaintiffs,
STIPULATED PROTECTIVE ORDER
VS.
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UNIVERSITY MEDICAL CENTER OF S
NEVADA,
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Defendant.
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In order to protect the confidentiality of confidential information obtained by the parties in
connection with this case, the parties hereby agree as follows:
1.
Any party or non-party may designate as ’confidential" (by stamping the relevant page or
other otherwise set forth herein) any document or response to discovery which that party or non-party
considers in good faith to contain information involving trade secrets, confidential business or financial
information, or private information subject to protection under the Federal Rules of Civil Procedure or
Nevada law ("Confidential Information"), Where a document or response consists of more than one
page, the first page and each page on which confidential information appears shall be so designated.
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Stipulated Electronically Stored Information Protocol
Case No.: 3:12-cv-00395-HDM-VPC
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2.
A party or non-party may designate information disclosed during a deposition or in
2 response to written discovery as "confidential’ by so indicating in said response or on the record at the
3 deposition and requesting the preparation of a separate transcript of such material. Additionally a party
4 or non-party may designate in writing, within twenty (20) days after receipt of said responses or of the
5 deposition transcript for which the designation is proposed, that specific pages of the transcript and/or
6 specific responses be treated as "confidential" information. Any other party may object to such proposal,
7 in writing or on the record. Upon such objection, the parties shall follow the procedures described in
8 paragraph 8 below. After any designation made according to the procedure set forth in this paragraph,
9 the designated documents or information shall be treated according to the designation until the matter is
10 resolved according to the procedures described in paragraph 8 below, and counsel for all parties shall be
11 responsible for making all previously unmarked copies of the designated material in their possession or
12 control with the specified designation.
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3.
All information produced or exchanged in the course of this case (other than information
14 that is publicly available) shall be used by the party or parties to whom the information is produced
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solely for the purpose of this case.
4.
Except with the prior written consent of other parties, or upon prior order of this Court
17 obtained upon notice to opposing counsel, Confidential Information shall not be disclosed to any person
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other than:
a.
counsel for the respective parties to this litigation, including in-house counsel and
co-counsel retained for this litigation;
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b.
employees of such counsel;
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C.
individual defendants, class representatives, any officer or employee of a party, to
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the extent deemed necessary by Counsel for the prosecution or defense of this
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litigation;
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d.
consultants or expert witnesses retained for the prosecution or defense of this
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litigation, provided that each such person shall execute a copy of the Certification
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annexed to this Order as Exhibit "A" (which shall be retained by counsel to the
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party so disclosing the Confidential Information and made available for inspection
by opposing counsel during the pendency or after the termination of the action
Page 2
Stipulated Electronically Stored Information Protocol
Case No.: 3:12-cv-00395-HDM-VPC
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only upon good cause shown and upon order of the Court) before being shown or
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given any Confidential Information and provided that if the party chooses a
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consultant or expert employed by the University Medical Center of Southern
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Nevada or one of its competitors (as listed on Appendix A), the party shall notify
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the opposing party, or designating nonparty, before disclosing any Confidential
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Information to that individual and shall give the opposing party an opportunity to
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move for a protective order preventing or limiting such disclosure;
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e.
any authors or recipients of the Confidential Information;
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f.
the Court, Court personnel, and court reporters; and
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g.
witnesses (other than persons described in paragraph 4(e)). A witness shall sign
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the Certification before being shown a confidential document. Confidential
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Information may be disclosed to a witness who will not sign the Certification only
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in a deposition at which the party who designated the Confidential Information is
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represented or has been given notice that Confidential Information shall be
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designated "Confidential" pursuant to paragraph 2 above. Witnesses shown
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Confidential Information shall not be allowed to retain copies.
5.
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Any persons receiving Confidential Information shall not reveal or discuss such
18 information to or with any person who is not entitled to receive such information, except as set forth
19 I herein.
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6.
Unless otherwise permitted by statute, rule or prior court order, papers filed with the court
21 under seal shall be accompanied by a contemporaneous motion for leave to file those documents under
22 seal, and shall be filed consistent with the court’s electronic filing procedures in accordance with Local
23 Rule 10-5(b). Notwithstanding any agreement among the parties, the party seeking to file a paper under
24 seal bears the burden of overcoming the presumption in favor of public access to papers filedin court.
25 Kamakana v. City and County of Honolulu, 447 F.2d 1172 (9th Cir. 2006).
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7.
A party may designate as "Confidential" documents or discovery materials produced by a
27 non-party by providing written notice to all parties of the relevant document numbers or other
28 identification within thirty (30) days after receiving such documents or discovery materials. Any party
non-party may voluntarily disclose to others without restriction any information designated by that party
Stipulated Electronically Stored Information Protocol
Case No.: 3:12-cv-00395-HDM-VPC
13.
Any witness or other person, firm or entity from which discovery is sought may be
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informed of and may obtain the protection of this Order by written advice to the parties’ respective
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counsel or by oral advice at the time of any deposition or similar proceeding.
DATED this
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c2l -trday of 4,.Lcvc7i
MORRIS POUCH & PURDY LLP
’
2013.
GLANCY BINKOW & GOLDBERG LLP
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to
NIOLAS M. WIEOREK, ESQ.
Nekda Bar No. 006 17O
JERY J. THOMPSOI ESQ.
Nevada Bar No. 12503
3883 Howard Hughes Parkway, Suite 560
Las Vegas, Nevada 89169
Telephone:(702) 862-8300
Facsimile: (702) 862-8400
E-mail: nwieczorek@mpplaw.com
jthompson@mpplaw.com
Attorneys For Defendant
University Medical Center of Southern
Nevada
MARC U. GODINO, ESQ. (Pro Hac Admission)
KEVIN F. RUF, ESQ. (Pro Hac Admission)
KARA WOLKE, ESQ. (Pro Hac Admission)
1925 Century Park East, Suite 2100
Los Angeles, California 90067
Telephone:
(310) 201-9150
Facsimile:
(310) 201-9160
mgodino(iglancylaw.com
E-mail:
kevinrufglancy1aw.com
kwolfe(glancylaw.com
TOSTRUD LAW GROUP, P.C.
JON A. TOSTRUD, ESQ. (Pro Hac Admission)
1901 Avenue of the Stars, Suite 200
Los Angeles, California 90067
(310) 278-2600
Telephone:
Facsimile:
(310) 278-2640
E-mail:
jtostrud@tostrudlaw.com
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THE O’MARA LAW FIRM, P.C.
DAVID C. O’MARA, ESQ., NV Bar #8599
WILLIAM M. O’MARA, ESQ., NV Bar # 837
311 E. Liberty Street
Reno, Nevada 89501
Telephone:
775-323-1321
Facsimile:
775-323-4082
E-mail:
bill@omaralaw.net
david@omaralaw.net
Co-Counsel to Plaintiffs
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Stipulated Electronically Stored Information Protocol
Case No.: 3:12-cv-00395-HDM-VPC
13.
Any witness or other person, firm or entity from which discovery is sought may be
informed of and may obtain the protection of this Order by written advice to the parties’ respective
counsel or by oral advice at the time of any deposition or similar proceeding.
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DATED this
-1.
day.of
6 uao
MORRIS POLICH & PURDY LLP
2013,
(JLANCY BINKOW & GOLDBERG L P
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By:
NICHOLAS M. WIECZOREK, ESQ,
Nevada Bar No. 006170
JEREMY J, THOMPSON, ESQ.
Nevada Bar No. 12503
3883 Howard Hughes Parkway, Suite 560
Las Vegas, Nevada 89169
Telephone: (702) 862-8300
Facsimile: (702) 862-8400
E-mail: nwieczorek@rnpplaw.com
jthompson@mpplaw.com
Attorneys For Defendant
University Medical Center of Southern
Nevada
MARC L. GODINO, ESQ. (Pro Hac Admission)
KEVIN F. RUF, ESQ. (Pro Hac Admission)
KARA WOLKE, ESQ. (Pro Hac Admission)
1925 Century Park East, Suite 2100
Los Angeles, California 90067
Telephone:
(310) 201-9150
Facsimile:
(310) 201-9160
E-mail:
mgodinoglaneylaw.com
kevinruffiglancylaw.com
kwo1feglanoylaw.com
TOSTRUD LAW GROUP, P.C.
JON A. TOSTRUD, ESQ. (Pro Hac Admission)
1901 Avenue of the’Stars, Suite 200
Los Angeles, California 90067
Telephone:
(310) 278-2600
Facsimile:
(310) 278-2640
E-mail:
jtostrud@tostrudlaw.com
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THE 0’MARA LAW FIRM, P.C.
DAVID C. O’MARA, ESQ., NV Bar.#8599
WILLIAM M. O’MARA, ESQ., NV Bar # 837
311 B. Liberty Street
Reno, Nevada 89501
Telephone:
775-323-1321
Facsimile:
775-323-4082
E-mail:
bill@omaralaw,net
david(omaralaw,net
Co-Counsel to Plaintiffs
IT IS SO ORDERED.
_____________________________
GEORGE FOLEY, JR.
United States Magistrate Judge
DATED: February 28, 2013
Stipulated Electronically Stored Information Protocol
Case No. 3:12-cv-00395-l-IDM-VPC
CERTIFICATION
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I hereby certify my understanding that Confidential Information is being provided to me pursuant
, 2013 in Small, et al. v.
3 to the terms and restrictions of the Protective Order dated
4 University Medical Center of Southern Nevada, United States District Court Case No. 2:1 3-cv-2985 MMD-GWF. I have been given a copy of the Order and have read it. I agree to be bound by the Order.
6 I will not reveal the Confidential Information to anyone, except as allowed by the Order, I will maintain
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all such Confidential Information - including copies, notes, or other transcriptions made therefrom - in a
8 secure manner to prevent unauthorized access to it. No later than thirty (30) days after the conclusion of
9 this action, I will return the Confidential Information - including copies, notes or other transcriptions
10 made thereform - to the counsel who provided me with the Confidential Information. I hereby consent
11 to the jurisdiction of the United States District Court for the purpose of enforcing the Protective Order.
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DATED this
day of
, 2013.
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Stipulated Electronically Stored Information Protocol
Case No.: 3:12-cv-00395-HDM-VPC
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