Global Med Group, LLC v. New High Ltd.

District Court, C.D. California·Decided July 6, 2023·No. 2:22-cv-06031·Unknown

Opinion

1 LEAmWailR: lEhNiltCoEn@ J.o HnIeLllTp.OcoNm ( Bar No. 156524) 2 ROBERT D. HUNT (Bar No. 247802) Email: rhunt@onellp.com 3 ALEC SCHULMAN (Bar No. 336491) Email: aschulman@onellp.com 23 Corporate Plaza, Suite 150-105 5 Newport Beach, CA 92660 Telephone: (949) 502-2870 6 Facsimile: (949) 258-5081 7 Attorneys for Defendant and Counterclaimant, NEW HIGH LIMITED 8 9 13 14 GLOBAL MED GROUP, LLC, a Texas Case No. 2:22-cv-06031-CAS (PVCx) limited liability company, Hon. Pedro V. Castillo 15 16 Plaintiff, [DISCOVERY MATTER] 17 v. PROTECTIVE ORDER 18 19 NEW HIGH LTD., a Hong Kong corporation, 20 21 Defendant. 22 24 25 26 27 28 1 1. INTRODUCTION 2 1.1 PURPOSES AND LIMITATIONS 3 Discovery in this action is likely to involve production of confidential, 4 proprietary, or private information for which special protection from public 5 disclosure and from use for any purpose other than prosecuting this litigation may 6 be warranted. Accordingly, the parties hereby stipulate to and petition the Court to 7 enter the following Stipulated Protective Order. The parties acknowledge that this 8 Order does not confer blanket protections on all disclosures or responses to 9 discovery and that the protection it affords from public disclosure and use extends 10 only to the limited information or items that are entitled to confidential treatment 11 under the applicable legal principles. The parties further acknowledge, as set forth in 12 Section 12.3, below, that this Stipulated Protective Order does not entitle them to 13 file confidential information under seal; Civil Local Rule 79-5 sets forth the 14 procedures that must be followed and the standards that will be applied when a party 15 seeks permission from the court to file material under seal. 16 1.2 GOOD CAUSE STATEMENT 17 The case arises from a series of commercial transactions between Plaintiff and 18 Counter-Defendant Global Med Group, LLC (fka Global Merch Group, LLC), a 19 Texas limited liability company ( “Global Med”), on the one hand, and Defendant 20 and Counterclaimant New High Limited, on the other hand, and also involves 21 certain commercial transactions between the parties and allegations regarding 22 transfers of funds by and between Global Med and/or Counter-Defendants Danny 23 Guez, Andreana Bosilcic and Mapleton Capital, LLC. 24 Discovery in this case will involve, among other things, (1) the identification 25 of the individuals that are members, managers, officers or are otherwise in control of 26 the entity parties, (2) non-public financial information of the parties, and (3) and 27 commercial transactions between the parties. 28 1 Accordingly, to expedite the flow of information, to facilitate the prompt 2 resolution of disputes over confidentiality of discovery materials, to adequately 3 protect information the parties are entitled to keep confidential, to ensure that the 4 parties are permitted reasonable necessary uses of such material in preparation for 5 and in the conduct of trial, to address their handling at the end of the litigation, and 6 serve the ends of justice, a protective order for such information is justified in this 7 matter. It is the intent of the parties that information will not be designated as 8 confidential for tactical reasons and that nothing be so designated without a good 9 faith belief that it has been maintained in a confidential, non-public manner, and 10 there is good cause why it should not be part of the public record of this case. 11 2. DEFINITIONS 12 2.1 Action: Global Med Group, LLC v. New High Limited, and related 13 Counterclaims. 14 2.2 Challenging Party: a Party or Non-Party that challenges the designation 15 of information or items under this Order. 16 2.3 “CONFIDENTIAL” Information or Items: information (regardless of 17 how it is generated, stored or maintained) or tangible things that qualify for 18 protection under Federal Rule of Civil Procedure 26(c), and as specified above in 19 the Good Cause Statement. 20 2.4 Counsel: Outside Counsel of Record (as well as their support staff). 21 2.5 Designating Party: a Party or Non-Party that designates information or 22 items that it produces in disclosures or in responses to discovery as 23 "CONFIDENTIAL." 24 2.6 Disclosure or Discovery Material: all items or information, regardless 25 of the medium or manner in which it is generated, stored, or maintained (including, 26 among other things, testimony, transcripts, and tangible things), that are produced or 27 generated in disclosures or responses to discovery in this matter. 28 1 2.7 Expert: a person with specialized knowledge or experience in a matter 2 pertinent to the litigation who has been retained by a Party or its counsel to serve as 3 an expert witness or as a consultant in this Action. 4 2.8 Non-Party: any natural person, partnership, corporation, association, or 5 other legal entity not named as a Party to this action. 6 2.9 Outside Counsel of Record: attorneys who are not employees of a party 7 to this Action but are retained to represent or advise a party to this Action and have 8 appeared in this Action on behalf of that party or are affiliated with a law firm which 9 has appeared on behalf of that party, and includes support staff. 10 2.10 Party: any party to this Action, including all of its members, managers, 11 officers, directors, employees, consultants, retained experts, and Outside Counsel of 12 Record (and their support staffs). 13 2.11 Producing Party: a Party or Non-Party that produces Disclosure or 14 Discovery Material in this Action. 15 2.12 Professional Vendors: persons or entities that provide litigation support 16 services (e.g., photocopying, videotaping, translating, preparing exhibits or 17 demonstrations, and organizing, storing, or retrieving data in any form or medium) 18 and their employees and subcontractors. 19 2.13 Protected Material: any Disclosure or Discovery Material that is 20 designated as “CONFIDENTIAL.” 21 2.14 Receiving Party: a Party that receives Disclosure or Discovery Material 22 from a Producing Party. 23 3. SCOPE 24 The protections conferred by this Stipulation and Order cover not only 25 Protected Material (as defined above), but also (1) any information copied or 26 extracted from Protected Material; (2) all copies, excerpts, summaries, or 27 compilations of Protected Material; and (3) any testimony, conversations, or 28 presentations by Parties or their Counsel that might reveal Protected Material. 1 Any use of Protected Material at trial will be governed by the orders of the 2 trial judge. This Order does not govern the use of Protected Material at trial. 3 Likewise, the mere existence of this stipulation and Order shall not serve as a basis 4 to preclude the admission of any protected materials as evidence at the time of trial. 5 4. DURATION 6 4.1 Except for information specified in 4.2, the confidentiality obligations 7 imposed by this Order will remain in effect until a Designating Party agrees 8 otherwise in writing or a court order otherwise directs. Final disposition will be 9 deemed to be the later of (1) dismissal of all claims and defenses in this Action, with 10 or without prejudice; and (2) final judgment herein after the completion and 11 exhaustion of all appeals, rehearings, remands, trials, or reviews of this Action, 12 including the time limits for filing any motions or applications for extension of time 13 pursuant to applicable law. 14 4.2 If the case proceeds to trial, information designated as 15 CONFIDENTIAL under this protective order that is authorized for use at trial by 16 stipulation, order or is otherwise admitted as an exhibit will become public and will 17 be presumptively available to all members of the public, including the press, unless 18 compelling reasons supported by specific factual findings to proceed otherwise are 19 made to the trial judge in advance of the trial.

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