56 Kc Mx Protective Order

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Case 1:07-cv-00026-OWW-TAG

Document 56

Filed 10/12/2007

Page 1 of 2

Mark A. Wasser CA SB #060160 LAW OFFICES OF MARK A. WASSER 400 Capitol Mall, Suite 1100 Sacramento, CA 95814 Phone: (916) 444-6400 Fax: (916) 444-6405 E-mail: mwasserlaimarkwasser.com

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Bernard C. Barmann, Sr. KERN COUNTY COUNSEL Mark Nations, Chief Deputy 1115 Truxton Avenue. Fourth Floor Bakersfield, CA 93301 Phone: (661) 868-3800 Fax: (661) 868-3805 E-maii: [email protected]

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Attorneys for Defendants County of Kem, Peter Bryan, Irwin Harris, Eugene Kercher, 11 IJennifer Abraham, Scott Ragland, Toni Smith 'and Rov 12

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'

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UNITED STATES DISTRICT COURT

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EASTERN DISTRICT OF CALIFORNIA

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DAVID F. JADWIN, D.O.

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Plaintiff,

I.

VS.

COUNTY OF KERN, et Defendants.

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Case No.: 1:07-cv-00026-0WW-TAG

) ) ) )

DEFENDANTS' NOTICE OF MOTION AND MOTION FOR A PROTECTIVE ORDER RE: EMPLOYEES' HOME ADDRESSES

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Date: November 5, 2007 ) Time: 9:30 a.m. (date cleared by CRD) ) Place: U.S. Bankruptcy Courthouse, ) Bakersfield Courtroom 8

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Date Action Filed: January 6, 2007

) Trial Date: August 26, 2008

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------------)

TO PLAINTIFF AND HIS ATTORNEY OF RECORD: PLEASE TAKE NOTICE that, on November 5, 2007 at 9:30 a.m. or as soon thereafter as th

the matter can be heard in the courtroom of the above-referenced Court at 1300 18 Street, Bakersfield, Califomia, Defendants will, and hereby do, move the Court for a protective order

28 DEFENDANTS' MOTION FOR PROTECTIVE ORDE RE: EMPLOYEES' HOME ADDRESSE

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Case 1:07-cv-00026-OWW-TAG

Document 56

Filed 10/12/2007

Page 2 of 2

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protecting Defendants' and Defendants' employees' home addresses from disclosure or

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discovery, The motion will be made on the grounds that disclosure or discovery of employee

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home addresses is unnecessary because Defendants have disclosed to Plaintiff full and complete

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individual addresses and telephone numbers for all employees who have been identified as

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potential witnesses and disclosure or discovery of home addresses would be prejudicial to

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Defendants and Defendants' employees, The motion will be based on this notice and motion, the memorandum of points and

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authorities and supporting declarations filed herewith and on

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hereafter submitted to the Court.

other materjials as

be

Respectfully submitted,

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II Datc,d: October 12,

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lVlnlU,"

A WASSER

13 By:_-,I-"s,-IMo=a",rk"'-'.cA,,-,-,W-,-a",s",s~er,--

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Mark A. Wasser Attorney for Defendants, County of Kern, et al.

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19 20 21 22 23 24 25 26 27 28 DEFENDANTS' MOTION FOR PROTECTIVE ORDE RE: EMPLOYEES' HOME ADDRESSE

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