📄 Extracted Text (263 words)
interpreted as implying that Dubin acknowledges the propriety of that request. Dubin
submits these General Responses and Objections without conceding the competency,
relevancy, materiality or admissibility of the subject matter of any document or
information requested by the Subpoena.
12. Dubin's Responses and Objections to the Subpoena shall not constitute a
waiver of any applicable objection and is without prejudice to Dubin's right to object
later that the production of any such document was inadvertent.
13. Dubin objects to the Subpoena to the extent that it calls for the production
of information equally available from another source, or is currently or was previously in
the possession, custody, or control of any party to the arbitration. Dubin shall not furnish
such information. Without limiting the foregoing, Dubin shall not produce any
documents exchanged by the parties in connection with the matter entitled Zwim v.
Corbin Capital Partners, L.P. et al., Index No. 08/603382.
Objections to Definitions
1. Dubin objects to the Definitions to the extent that they purport to impose
obligations on Dubin not required by the New York Civil Practice Law and Rules, the
Federal Rules of Civil Procedure, the JAMS Comprehensive Arbitration Rules and
Procedures, or any other applicable statute, rule or case law.
2. Dubin objects to the definition of "You" and "Your" as vague, overbroad,
and unduly burdensome, particularly insofar as it includes "any representative, agent or
anyone else acting on your behalf."
3. Dubin objects to the definition of "Settlement Agreement and Release" on
the ground that it is vague.
5
Confidential Treatment Requested by JPMorgan Chase JPM-SDNY-00061133
EFTA01581727
ℹ️ Document Details
SHA-256
a6806db88fbaa4699b27da35580bcb45db917b0af52eb215b86342f53e1a855e
Bates Number
EFTA01581727
Dataset
DataSet-10
Document Type
document
Pages
1
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