Las Vegas Sands Corp. v. Eighth Judicial Dist. Court
Annotate this CaseSteven Jacobs, the former chief executive officer of Sands China Ltd., filed a complaint against his former employer, alleging, among other things, breach of contract claims. Throughout discovery on the issue of whether Sands was subject to personal jurisdiction in Nevada, Sands maintained that it could not disclose any documents containing personal information that are located in Macau due to restrictions within the Macau Personal Data Protection Act (MPDPA). The district court subsequently issued an order precluding Sands from raising the MPDPA as an objection or defense to disclosure of any documents. Thereafter, Jacobs moved for Nev. R. Civ. P. 37 sanctions, arguing that Sands had violated the district court’s order by redacting personal data contained in its Macau-related document production based on MPDPA restrictions. The Supreme Court denied Sands’s petition for a writ of prohibition or mandamus, holding (1) the mere presence of a foreign international privacy statute does not itself preclude Nevada district courts from ordering litigants to comply with Nevada discovery rules; and (2) in this case, the district court properly found that the existence of a foreign international privacy statute did not excuse Petitioners from complying with the district court’s discovery order.
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