📄 Extracted Text (295 words)
or clients of Dubin or its legal or financial advisers, or containing information subject to
the privacy rights of employees or other persons. Dubin objects to the Subpoena to the
extent that it requires production of documents or information in contravention of any
confidentiality agreement or obligations that would unduly violate the privacy interests of
others.
6. Dubin objects to the Subpoena to the extent that it is vague, ambiguous,
capable of multiple interpretations, confusing, or incomprehensible.
7. Dubin objects to the Subpoena on the grounds that it fails to provide a
reasonable time and place for production.
8. Dubin objects to the Subpoena to the extent that it calls for documents that
have already been, or are designated to be, provided to Third Party Claimants by any
party or subpoenaed non-party in this Arbitration.
9. Dubin objects to the Subpoena to the extent that it seeks documents from
an unknown or unspecified time frame and therefore is unduly burdensome and vague.
10. No objection or limitation, or lack thereof, and no statement that Dubin
will produce documents made in these Responses and Objections shall be deemed an
admission by Dubin as to the existence or nonexistence of documents or information.
11. Dubin's Responses and Objections to the Subpoena shall not be construed
as an admission of the relevance, materiality or admissibility of any such documents or of
the subject matter of any such documents, or as a waiver or abridgement of any
applicable privilege or of any applicable objection set forth above or below, or as an
agreement that requests for similar documents will be treated in a similar manner. The
fact that Dubin responds or objects to a particular document request shall not be
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Confidential Treatment Requested by JPMorgan Chase JPM-SDNY-00061132
EFTA01581726
ℹ️ Document Details
SHA-256
a793580adb177b0b4b64037f47d2f7f1d31a7ddb1eef7014cec5f602255bca24
Bates Number
EFTA01581726
Dataset
DataSet-10
Document Type
document
Pages
1
Comments 0