gov.uscourts.nysd.447706.1198.27.pdf PDF
…CONFIDENTIAL DEPOSITION OF DR. STEVEN W. OLSON Exhibit 1 Authorization for the Release 7 May 26, 2016 5 and Disclosure of Protected __________________________________________________ Heal…
…CONFIDENTIAL DEPOSITION OF DR. STEVEN W. OLSON Exhibit 1 Authorization for the Release 7 May 26, 2016 5 and Disclosure of Protected __________________________________________________ Heal…
…Blando Court Reporting & Video, Inc. 1 INDEX OF EXHIBITS 2 INITIAL 3 DESCRIPTION REFERENCE 4 Exhibit 1 Authorization for the Release 7 5 and Disclo…
…which Ms. Maxwell is a target. First, Plaintiff claimed that the documents were protected by a non-existent “investigative privilege.” When Ms. Maxwell demonstrated that the “investigative privilege” does not exist, Plaintiff threw up the inapplicable “public interest” privilege, the…
…serving party tangible things in a manner that, without revealing information itself may move the court for the district where compliance is required for an privileged or protected, will enable the parties to assess the claim. order compelling production or…
…information itself (ii) These acts may be required only as directed in the order, and the privileged or protected, will enable the parties to assess the claim. order must protect a person who is neither a party nor a party…
…These aul, may be reqllired only as directed in the order, und lhe privileged or protected, will enable the parties to assess ille claim. order mllst protect a person who is neither II pHny nor a party'~ "metr tiol!…
…information itself (ii) These acts may be required only as directed in the order, and the privileged or protected, will enable the parties to assess the claim. order must protect a person who is neither a party nor a party…
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