In re Gateway Logistics, Inc. v. Smay
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In a case involving breach of fiduciary duty and misappropriation of trade secrets claims, the plaintiffs sought to inspect personal and business computers, smartphones, and other electronic storage devices belonging to the lead defendant and his wife, who was not a party to the case. The plaintiffs also requested discovery of approximately three years of the defendants' telephone records. After the defendants refused to permit the inspection the plaintiffs filed a motion to compel. Over the defendants' objection on privacy grounds and in a brief order concerning this and other discovery matters, the trial court granted the plaintiffs' motion and ordered the defendants to permit inspection of the requested items and records. The trial court also awarded attorneys' fees associated with the discovery dispute to the plaintiffs. Upon review, the Supreme Court concluded that the trial court abused its discretion by granting a motion to compel discovery without making findings of fact balancing defendants' asserted privacy interest with plaintiffs' need for the information sought. Accordingly, the Court vacated the portion of the trial court's order compelling the discovery, and remanded the case to the trial court.
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