Alpha Energy v. GEC, LLC

CourtDistrict Court, Virgin Islands
DecidedFebruary 28, 2020
Docket1:17-cv-00015
StatusUnknown

This text of Alpha Energy v. GEC, LLC (Alpha Energy v. GEC, LLC) is published on Counsel Stack Legal Research, covering District Court, Virgin Islands primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Alpha Energy v. GEC, LLC, (vid 2020).

Opinion

DISTRICT COURT OF THE VIRGIN ISLANDS

DIVISION OF ST. CROIX ║ GEC, LLC, ║ ║ Plaintiff, ║ 1:18-cv-00058 ║ v. ║ ║ ARGONAUT INSURANCE COMPANY, ║ ║ Defendant. ║ ________________________________________________ ║ ║ ALPHA ENERGY, a division of ALPHA ║ TECHNOLOGIES SERVICES, INC., ║ ║ 1:17-cv-00015 Plaintiff, ║ ║ v. ║ ║ GEC, LLC, and CONTINENTAL ║ CASUALTY COMPANY, ║ ║ Defendants. ║ ________________________________________________ ║

TO: Warren B. Cole, Esq. Kyle R. Waldner, Esq. David C. Dreifuss, Esq. Carl A. Beckstedt, III, Esq. Frank L. Bigelis, Esq. Bradley C. Lewis, Esq. Emily Shoup, Esq.

MEMORANDUM OPINION AND ORDER

THESE MATTERS are before the Court upon GEC, LLC’s Motion for in Camera Review of Argonaut Privilege Log Documents by Magistrate Judge and Discovery Conference (1:18- GEC, LLC v. Argonaut Insurance Company/ Alpha Energy v. GEC, LLC

1:18-cv-00058/1:17-cv-00015 Memorandum Opinion and Order Page 2

cv-00058, ECF No. 75; 1:17-cv-00015, ECF No. 134). This order is issued without necessity or expectation of response. in camera In a prior order (ECF No. 76), the Court granted for review the four disputed documents on Argonaut’s privilege log pending Argonaut’s proper submission of the documents under seal. Argonaut promptly submitted the documents (ECF No. 77), and the Court hIa. s revieBwAeCdK tGhReOmU. ND AND RELEVANT PROCEDURAL HISTORY GEC, LLC (“GEC”) has challenged the claims of privilege of four documents listed by Argonaut in its privilege log. GEC made a claim to Argonaut on the performance bond it issued guaranteeing performance of Alpha’s microgrid subcontract. Argonaut retained the services of Lane Young to assist in its investigation of the claim and to inspect the microgrid. All arrangements for the inspection were made via email between counsel for GEC and counsel for Alpha, with copies to Mr. Robert Lavitt. (ECF No. 75-1). The inspection commenced on October 23, 2018 and was attended by counsel for GEC, John Adams, counsel for Alpha, Frank Bigelis, an Alpha employee, Danny Alldredge, and Mr. Young. On November 19, 2018, Lavitt sent a letter to GEC denying its claim against the performance bond. (ECF No. 75-3). GEC’s request for production served on Argonaut included the following: Please produce all written communications and memoranda of oral communications between Argonaut and/or its agents and employees (to include, without limitation, Mr. Robert Lavitt) and Loewke Brill and/or Lane GEC, LLC v. Argonaut Insurance Company/ Alpha Energy v. GEC, LLC

1:18-cv-00058/1:17-cv-00015 Memorandum Opinion and Order Page 3

employing Mr. Lane Young on the subjects of: a) GEC’s claim under the Argonaut Performance Bond; and/or b) Inspection and/or evaluation of the Micgrogrid.

(ECF No. 75 at 3). Argonaut produced its privilege log on February 13, 2020. (ECF No. 75-4) , and withheld the following documents on the basis of asserted privilege: 1) Item 54: email dated October 16, 2018, from Young to Bigelis, Alldredge, Loewke, and Ram Shrivastava with copies to Lavitt and George Kolakowski. The subject of the email is “Action items/Site Visit.” The privilege(s) claimed are “Common-Interest/Joint Defense Agreement Privilege; Attorney Work Product.”

2) Item 59: email with attachment dated November 12, 2018, from Young to Bigelis, Alldredge, Loewke, and Shrivastava with copies to Lavitt and Kolakowski. The subject of the email is “Initial Site Visit and Report.” The privilege(s) claimed are “Common-Interest/Joint Defense Agreement Privilege; Attorney Work Product.”

3) Item 60: email dated November 13, 2018, from Young to Loewke and Bigelis, with copies to Alldredge, Shrivastava, Lavitt, and Kolakowski. The subject of the email is “Site Visit.” The privilege(s) claimed are “Common- Interest/Joint Defense Agreement Privilege; Attorney Work Product.”

4) Item 63: emailed dated November 14, 2018, from Young to Lavitt, Bigelis, Alldredge, Loewke, and Shrivastava, with a copy to Kolakowski. The subject of the email is “Site Visit.” The privilege(s) claimed are “Common- Interest/Joint Defense Agreement Privilege; Attorney Work Product.”

(ECF No. 75-5). II. APPLICABLE LEGAL PRINCIPLES The common interest privilege protects communications between individuals and entities and counsel for another person or company when the commuInn itchaet iMonast taerre o “fp Baervt iollf, an on-going and joint effort to set up a common defense strategy.” GEC, LLC v. Argonaut Insurance Company/ Alpha Energy v. GEC, LLC

1:18-cv-00058/1:17-cv-00015 Memorandum Opinion and Order Page 4 Bresler & Schulman Asset Mgmt. Corp. Eisenberg v.

Gagnon , 805 F.2d 120, 126 (3d Cir. 1986) (quoting , 766 F.2d 770, 787 (3d Cir. 1984)). In other words, members of thIen corem mTeulnegitlyo boef iCnotmermesutn i“cmatuiosnt s sChoarrpe. va. tB CleEast a substantially similar legal interest.” , 493 F.3d 345, 365 (3d Cir. 2007). The burden is on the party asserting the privilege to establish its existence by showing that “(1) the communications were made in the course of a joint defense effort, (2) the staItne mtheen tMs awteterre doef sBigenvielld tBor feusrlethr e&r Sthceh uelfmfoarnt, Aasnsdet (M3)g mthte. Cporripvi.lege has not been waiIvne dre.” G rand Jury Subpoena De,c es Tecum Dated November 16, 1974 , 805 F.2d 126 (citing see also Grand Jury Empaneled February 14, 1978 , 406 F. Supp. 381 (S.D.N.Y. 1975)); , 603 F.2d 469, 474 (3d Cir. 1979). Moreover, to qualify for and toT melaeignltoabine cCoonmtminuuneidc aptiroontsection, the communication must be shared between counsel. , 493 F.3d at 365. Recognizing that the common interest privilege opeproastte hs oinc derivation of disclosure, the attorney-sharing requirement prevents abuse, such as, justification for a client’s impermissible disclosures. ITd.h erefore, it is available when counsel share information to coordinate legal strategies. Generally, under the joint defense or common interest rule, the attorney-client privilege is not automatically waived regarding joint consultations or exchanges Rouf sisnof ovr. mCaabtiootn C, owrpit.h each party retaining the right to voluntarily waive the privilege. , Nsou.b 0 n1o-m26. 1D3e,b i2e0c0 v1. C WabLo t3 C4o3r7p1.702, at *2 (E.D. Pa. Oct. 26, 2001), reversed on other grounds , 352 F.3d 117 (3d Cir. 2003). GEC, LLC v. Argonaut Insurance Company/ Alpha Energy v. GEC, LLC

1:18-cv-00058/1:17-cv-00015 Memorandum Opinion and Order Page 5 In re

TPihtutssb, uar gwha Civoernr inbgy Coonrep .does not automatically operate as a waiver by the other. , 308 B.R. 716, 729 (W.D. Pa. 2004). However, when disclosure of a confidence is made to an unrelated third-party by one sharing a common interest with another and this occurs with the knowledge, awareness or consent of thShe aomthies rv, .t hAem abtatossrandeoyr- cFlaiecntotr ps rCiovrilpe.ge is waived as to the subject matter of the disclosure. , 34 F. Supp. 2d 879, 89I3I I(. S.D.ND.IYS. C1U9S9S9I)O. N Argonaut’s view of privilege in this instance is far too broad in regard to the documents in question. Although Young may have been directed by Argonaut’s coduisncsloels eind preparing his findings, those findings were ultimately relied upon by Argonaut and to GEC—the adversary party—as part of Argonaut’s denial letter. The purpose of Young’s inspection was to advise Argonaut as to the merits of GEC’s bond claim. Argonaut cannot claim that the full scale of Young’s communications with Argonaut are privileged when those communications—whether directly or indirectly—have already been disclosed to GEC.

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Alpha Energy v. GEC, LLC, Counsel Stack Legal Research, https://law.counselstack.com/opinion/alpha-energy-v-gec-llc-vid-2020.