Matter of Radio Drama Network, Inc. 2024 NY Slip Op 30699(U) March 4, 2024 Surrogate's Court, New York County Docket Number: File No. 2010-2056/A Judge: Rita Mella Cases posted with a "30000" identifier, i.e., 2013 NY Slip Op 30001(U), are republished from various New York State and local government sources, including the New York State Unified Court System's eCourts Service. This opinion is uncorrected and not selected for official publication. New York County Surrogatn Court DATA ENTRY DEPT. SURROGATE'S COURT OF THE STATE OF NEW YORK MAR 04 2024 COUNTY OF NEW YORK -------------------------------------------------------------------------x In the Matter of the Application of Radio Drama Network, Inc. Seeking Relief Regarding the Himan Brown Revocable Trust, Created By DECISION and ORDER File No. 2010-2056/A HIMAN BROWN,
Granter. -------------------------------------------------------------------------x MELLA,S.:
The following submissions were considered in deciding these ten discovery-related motions:
Papers Considered Numbered
Motion #1 Notice of Motion by Richard L. Kay to Quash or Modify Subpoena Duces Tecum and For a Protective Order, dated September 20, 2019 1
Affidavit of Gary B. Freidman, dated September 20, 2019, in Support of Motion to Quash or Modify Subpoena Duces Tecum and for a Protective Order, with Exhibits 2
Affirmation of Judith M. Wallace, dated November 1, 2019, in Opposition to Motion by Richard L. Kay to Quash Petitioner Radio Drama Network, Inc. 's Subpoena on Pryor Cashman LLP, with Exhibits 3
Petitioner Radio Drama Network, Inc.'s Memorandum of Law in Opposition to Motion by Richard L. Kay to Quash Petitioner's Subpoena on Pryor Cashman LLP, dated November 1, 2019 4
Affidavit of Gary B. Freidman, dated November 15, 2019, in Further Support of Motion to Quash or Modify Subpoena and for a Protective Order and in Opposition to Motion to Compel Production, with Exhibits 5
Memorandum of Law in Further Support of Motion to Quash or Modify Subpoena and for a Protective Order, and in Opposition to Motion to Compel Production, dated November 15, 2019 6
Motion #2 Petitioner Radio Drama Network's Notice of Motion to Compel Discovery, dated November 1, 2019 7
[* 1] Affirmation of Judith M. Wallace, Esq., in Support of Motion by Radio Drama Network to Compel Production by Richard L. Kay and Pryor Cashman, dated November 1, 2019, with Exhibits 8
Petitioner Radio Drama Network, Inc.' s Memorandum of Law in Support of its Motion to Compel Pryor Cashman to Comply with Radio Drama Network's Subpoena and to Compel Richard L. Kay to Respond to Radio Drama Network's Document Demands, dated November 1, 2019 9
Memorandum of Law in Further Support of Motion to Quash or Modify Subpoena and for a Protective Order, and in Opposition to Motion to Compel Production, dated November 15, 2019 10
Reply Affirmation of Judith M. Wallace, Esq., dated November 20, 2019, in Further Support of Motion by RON to Compel Production by Richard L. Kay and Pryor Cashman LLP, with Exhibits 11
Petitioner Radio Drama Network, Inc.' s Reply Memorandum of Law in Further Support of its Motion to Compel Pryor Cashman LLP to Comply with Radio Drama Network's Subpoena and to Compel Respondent Richard L. Kay to Respond to Radio Drama Network's Document Demands, dated November 21, 2019 12
Affirmation of Judith M. Wallace, Esq., dated July 7, 2020, in Support of Application to File Sur-Reply in Further Support of Motion to Compel and in Opposition to Motion to Quash 13
Petitioner's Memorandum of Law in Support of Motion to File Sur-Reply in Further Support of RD N's Motions to Compel Document Production by Richard L. Kay and Pryor Cashman LLP, in Further Opposition to Kay's Motion to Quash and for an Award of Sanctions and Attorneys' Fees, dated January 27, 2021 14
Affirmation of Judith M. Wallace, Esq., dated January 27, 2021, in Support of Application to File Sur-Reply in Further Support of Motion to Compel and in Opposition to Motion to Quash, and in Support of Motion for Sanctions and Attorneys' Fees, with Exhibits 15
Affirmation of Jeffery H. Sheetz, Esq., dated July 22, 2022, in Opposition to Motions to Compel and for Sanctions and Other Relief, and for Leave to File Sur-Reply, with Exhibits 16
Memorandum of Law in Opposition to Motions to Compel and for Sanctions and Other Relief, and for Leave to File Sur-Reply, dated July 22, 2022 17
[* 2] Reply Affirmation of Judith Wallace, dated August 15, 2022, in Further Support of Radio Drama Network's Motions for Sur-Reply in Support of Its Motion to Compel Document Production by Richard L. Kay and Pryor Cashman and for Sanctions, with Exhibits 18
Motion #3 Two Notices of Motion, both dated May 23, 2022, first to Compel Richard L. Kay to Complete his Deposition and second for sanctions 19,20
Affirmation of Judith M. Wallace, Esq. in Support of Motion by Radio Drama Network to Compel and for Sanctions Against Richard L. Kay, with Exhibits, dated May 20, 2022 21
Petitioner's Memorandum of Law in Support of Motions to Compel Deposition Testimony by Richard L. Kay and Seeking Sanctions and Costs for Obstruction of Discovery, dated July 22, 2022 22
Affirmation of Alexander G. Malyshev, Esq., dated May 20, 2022 in Support of Motion by Radio Drama Network to Compel and for Sanctions Against Richard L. Kay, with Exhibits 23
Affidavit of Melina Brown, dated May 18, 2022, in Support of Motion to Compel, with Exhibit A 24
Affirmation of Jeffery H. Sheetz, Esq., dated July 22, 2022, in Opposition to Motions to Compel and for Sanctions and Other Relief, and for Leave to File Sur-Reply, with Exhibits 25
Memorandum of Law in Opposition to Motions to Compel and for Sanctions and Other Relief, and for Leave to File Sur-Reply, dated July 22, 2022 26
Petitioner's Omnibus Reply Memorandum of Law in Support oflts Motions to Submit a Sur-Reply, to Compel Kay's Deposition Testimony, and For Discovery Sanctions, dated August 15, 2022 27
Reply Affirmation of Judith Wallace, Esq., dated August 15, 2022, in Further Support of RDN's motions to Compel Deposition Testimony by Richard L. Kay and for Sanctions, with Exhibits 28
Motion #4 Notice of Motion dated July 26, 2023, seeking Pryor Cashman to comply with Petitioner's Supplemental Document Demands dated April 26, 2023 29
[* 3] Affirmation of Judith Wallace, Esq., dated July 26, 2023, in Support of Motion to Compel Pryor Cashman to Comply with Radio Drama Network's Supplemental Document Demands, with Exhibits 30
Petitioner's Memorandum of Law in Support of Motion to Compel Pryor Cashman to Comply with Radio Drama Network's Supplemental Document Demands, dated July 26, 2023 31
Affirmation of Michael B. Kramer, Esq., dated August 25, 2023, in Opposition to the Motion to Compel Pryor Cashman to Comply with Radio Drama Network's Supplemental Document Demands, with Exhibits 32
Petitioner's Reply Memorandum of Law in Further Support of Motion to Compel Pryor Cashman LLP to Comply with Radio Drama Network's Supplemental Document Demands, dated August 30, 2023 33
Affirmation of Judith M. Wallace, Esq., dated August 30, 2023, in Further Support of Motion to Compel Pryor Cashman to Comply with Radio Drama Network's Supplemental Document Demands, with Exhibits 34
Motion #5 Notice of Motion, dated October 19, 2023, Seeking an Order Narrowing the Scope of Depositions of Ann Kay and Karen Kay and for related relief 35
Affidavit of David Sillers, dated October 18, 2023, with Exhibits 36
Memorandum of Law in Support of Motion for Protective Order, dated October 19, 2023 3 7
Petitioner's Memorandum of Law in Opposition to Motion of Karen Kay and Ann Kay for Protective Order, dated November 10, 2023 38
Affirmation of Alexander G. Malyshev, Esq., dated November 10, 2023, in Opposition to Motion for Protective Order, with Exhibits 39
Reply Memorandum of Law in Support of Motion for Protective Order, dated November 16, 2023 40
Motion #6 Notice of Motion for a Protective Order pursuant to CPLR 3103 with respect to the Deposition Notice Issued to Barrie Sansted (nee Brown) on July 25, 2022, dated November 14, 2022 41
Affirmation of Alexander G. Malyshev, Esq., dated November 14, 2022, in Support, with Exhibits 42 4
[* 4] Affirmation of David F. Lisner, Esq., dated February 5, 2024, in Opposition to Petitioner's Motion for a Protective Order Pursuant to CPLR 3103 with Respect to Deposition Notice Issued to Barrie Sansted, with Exhibits 43
Respondent Richard Kay's Memorandum of Law in Opposition to Petitioner's Motion for a Protective Order Pursuant to CPLR 3103 with Respect to the Deposition Notice Issued to Barrie Sansted, dated February 5, 2024 44
Reply Affirmation of Judith M. Wallace, dated February 13, 2024, in Further Support of Motion for a Protective Order and to Quash Notice of Deposition of Barrie Brown, with Exhibits 45
Radio Drama Network's Reply Memorandum of Law in Further Support of Motion for Protective Order and to Quash the Notice of Deposition of Barrie Brown, dated February 13, 2024 46
Motion #7 Notice of Motion, dated November 10, 2023, for an Order to Quash Subpoena Directed to Barrie Brown and for a Protective Order with Respect to the Subpoena 47
Affirmation of Judith M. Wallace, Esq., dated November 10, 2023, in Support of Motion on Behalf of Barrie Brown to Quash a Subpoena and for Protective Order, with Exhibits 48
Memorandum of Law on Behalf of Barrie Brown in Support of Motion to Quash a Subpoena and for Protective Order, dated November 10, 2023 49
Affirmation of Michael B. Kramer, Esq., dated November 21, 2023, in Opposition to Motion to Quash and for Protective Order and in Support of Cross-Motion to Compel, with Exhibits 50
Memorandum of Law of Respondent Richard L. Kay in Opposition to the Motion of Barrie Brown to Quash Subpoena ad Testificandum and Duces Tecum and for a Protective Order and in Support of Petitioner's Cross-Motion to Compel, dated November 21, 2023 51
Respondent Richard Kay's Memorandum of Law in Opposition to Petitioner's Motion for a Protective Order Pursuant to CPLR 3103 with Respect to the Deposition Notice Issued to Barrie Sansted, dated February 5, 2024 52
Memorandum of Law of Barrie Brown in (1) Further Support of her Motion to Quash Subpoena Ad Testificandum and Duces Tecum, and for a Protective Order, and (2) in Opposition to Richard L. Kay's Motion to Compel, dated November 27, 2023 53 5
[* 5] Motion #8 Notice of Cross-Motion, dated November 21, 2023, Compelling the Deposition of Barrie Brown and Production of Documents Responsive to Subpoena 54
Affirmation of Michael B. Kramer, Esq., dated November 21, 2023, in Opposition to Motion to Quash and for Protective Order and in Support of Cross-Motion to Compel, with Exhibits 55
Memorandum of Law of Respondent Richard L. Kay in Opposition to the Motion of Barrie Brown to Quash Subpoena ad Testificandum and Duces Tecum and for a Protective Order and in Support of Petitioner's Cross-Motion to Compel, dated November 21, 2023 56
Memorandum of Law of Barrie Brown in ( 1) Further Support of her Motion to Quash Subpoena Ad Testificandum and Duces Tecum, and for a Protective Order, and (2) in Opposition to Richard L. Kay's Motion to Compel, dated November 27, 2023 57
Reply Memorandum of Law of Respondent Richard L. Kay, dated November 29, 2023, in Support of Cross-Motion to Compel 58
Motion #9 Notice of Motion of Radio Drama Network, dated December 18, 2023, for an Order Enjoining Richard L. Kay and his Counsel from Interference with Discovery of Matthew Forman, and for Sanctions and an Adverse Inference Charge 59
Petitioner's Memorandum of Law in Support of Motion to Enjoin Respondent Richard Kay and His Counsel from Improper Interference with Discovery From Third-Party Witness Matthew Forman Pursuant to Subpoena, for Sanctions, and for Order Authorizing Further Discovery from Forman, dated December 18, 2023 60
Affirmation of Judith Wallace, Esq., dated December 18, 2023, in Support of Motion to Enjoin Kay from Interference with Forman Discovery, for Sanctions, and for Order Authorizing Further Discovery from Forman, with Exhibits 61
Respondent Richard Kay's Memorandum of Law in Opposition to Petitioner's Motion to Enjoin Respondent and his Counsel from Interference with Discovery from Third-Party Witness Matthew Forman, for Sanctions, and for Order Authorizing Further Discovery from Forman; and in Support of Respondent's Cross-Motion for Entry of a Confidentiality Order, dated January 30, 2024 62
Affirmation of Judith Wallace, Esq., dated February 5, 2024, in Further Support of Motion to Enjoin Kay from Interference with Forman Discovery, for Sanctions, and for Order Authorizing Further Discovery from Forman and in Opposition to
[* 6] Cross-Motion for Confidentiality Order 63
Petitioner's Reply Memorandum of Law in Further Support of Motion to Enjoin Respondent Richard Kay and his Counsel from Improper Interference with Discovery from Third-Party Witness Matthew Forman Pursuant to Subpoena, for Sanctions, and for Order Authorizing Further Discovery from Forman and in Opposition to Kay's Cross-Motion for a Confidentiality Order, dated February 5, 2024 64
Motion #10 Notice of Cross-Motion for the entry of an Order for the Production and Exchange of Confidential Information, dated January 30, 2024 65
Affirmation of David F. Lisner, dated January 30, 2024, in Opposition to Petitioner's Motion to Enjoin Respondent and His Counsel from Interference in Discovery and in Support of Respondent's Cross-Motion for Entry of a Confidentiality Order, with Exhibits 66
Respondent Richard Kay's Memorandum of Law in Opposition to Petitioner's Motion to Enjoin Respondent and his Counsel from Interference with Discovery from Third-Party Witness Matthew Forman, for Sanctions, and for Order Authorizing Further Discovery from Forman; and in Support of Respondent's Cross-Motion for Entry of a Confidentiality Order, dated January 30, 2024 67
Petitioner's Reply Memorandum of Law in Further Support of Motion to Enjoin Respondent Richard Kay and his Counsel from Improper Interference with Discovery from Third-Party Witness Matthew Forman Pursuant to Subpoena, For Sanctions, and for Order Authorizing Further Discovery from Forman and in Opposition to Kay's Cross-Motion for a Confidentiality Order, dated February 5, 2024 68
On February 20, 2024, the court heard oral argument and determined ten discovery
motions pending in this heavily litigated estate. Familiarity with the facts and procedural
background are presumed at this time, having been described in various decisions issued by the
court, including one determining a pre-answer motion to dismiss the instant petition of Radio
Drama Network, Inc. (RDN or Petitioner), which seeks, inter alia, to invalidate certain provisions
of instruments amending or restating the Revocable Trust established by Grantor Himan Brown
in 2002 (Revocable Trust) (Matter of Brown, NYLJ, July 23, 2019, at 22 col 3 [Sur Ct, NY
[* 7] County]). 1 Additional facts are found in a decision addressing a discovery motion regarding the
deposition of a nonparty (see Matter of Brown, NYLJ, Sept 23, 2022, at 17, col 1 [Sur Ct, NY
County], rev 'd sub nom. Matter of Radio Drama Network, Inc., 214 AD3d 461 [1st Dept 2023]).
Motion #1 - Richard L. Kay's Motion to Quash or Modify Subpoena Duces Tecum and For a Protective Order
Motion #2 - RDN's Motion to Compel Discovery from Richard Kay and Pryor Cashman LLP
Concerning the discovery demands dated September 4, 2019, and served by RON on Mr.
Kay, as well as concerning the items of discovery sought in the subpoena dated August 20, 2019,
served on Pryor Cashman by RDN, the court, recognizing the guidance provided by the decision
of the Appellate Division, First Department, dated March 9, 2023, reversing a prior decision of
this court (Matter of Radio Drama Network, Inc., 214 AD3d 461 [1st Dept 2023]), directed that:
A) Mr. Kay and Pryor Cashman need not comply with Items or Demands## 25, 28, 29, 30 through 32 and 34 because they seek evidence that is not relevant to any of the remaining claims or defenses in this proceeding;
B) Mr. Kay and Pryor Cashman need not comply with Items or Demands## 19, 22 and 35 because they are overbroad (Demand #35 applies only to the Demands served on Mr. Kay and not to the subpoena served on Pryor Cashman); C) Mr. Kay and Pryor Cashman must fully comply with Items or Demands## 5, 6, 7 and 8, which relate to Radio Drama Network's documents, and must also fully comply with Demands## 20 and 23;
D) Mr. Kay and Pryor Cashman must comply with Items or Demands## 10 through 15, 21, 26, 27 and 33, but in the exercise of the court's discretion to regulate discovery (Duracell Intl. v American Employers' Ins. Co., 187 AD2d 278 [1st Dept 1992]), production should be limited to the period from November 20, 1999 to June 4, 2010, which is Himan Brown's date of death; and
1 Radio Drama Network, Inc., is a charitable corporation established by Himan Brown in 1984. It was the original remainder beneficiary of the Revocable Trust. Respondent in this proceeding, Richard L. Kay, was the long-time lawyer of Himan Brown, held a position as a director of Radio Drama Network, and is Trustee of the Revocable Trust, as well as of the Charitable Trust which is the remainder beneficiary of the amended and restated Revocable Trust here. 8
[* 8] E) Mr. Kay and Pryor Cashman must comply with Items or Demands ## 1 through 4, 9, 16 through 18, and 24, but in the exercise of the court's discretion to regulate discovery, production should be limited to the period from November 20, 1999 to November 30, 2015 (the month before this proceeding was commenced).
The court directed that these documents be produced no later than April 12, 2024.
Further, if Mr. Kay or Pryor Cashman claim that they have already complied with a particular
demand, the court directed that they provide to RON' s counsel, no later than April 12, 2024, an
affidavit indicating their compliance and stating the date in which they complied with such
demand. In addition, the court ordered that should Mr. Kay or Pryor Cashman claim that there
are no documents in their possession or under their control that are responsive to a particular
demand, they must provide to RDN's counsel, no later than April 12, 2024, an affidavit
indicating that, notwithstanding a thorough search in places where these documents are usually
found, they were unable to find any such document and that no document responsive to such
demand was disposed of or destroyed.
RDN's motion for the imposition of sanctions was denied.
Motion #3 - RDN's Motion to Compel Richard L. Kay to Complete his Deposition and for Sanctions
The court granted the motion of RON for a continued deposition of Mr. Kay and directed
him to appear for the same no later than May 3, 2024. Regarding the scope of questions, the
court again recognized the holding of the First Department's March 9, 2023 decision, and
directed Mr. Kay to answer questions pertaining to his actions or events, including his actions as
Trustee of the Charitable Trust and his administration of that Trust until the present.
Additionally, the court granted this motion to the extent of directing Mr. Kay not to limit the
[* 9] questions asked of Alan Laufer during his continued deposition, if one is taken. RDN's request
for sanctions was denied.
The parties were reminded that depositions conducted in New York are governed by
State laws and rules, including the rules for the conduct of depositions found in Part 221 of the
Uniform Rules for Trial Courts.
Motion #4 - Motion of RON to compel production from Pryor Cashman
The court determined this motion by directing that, no later than April 12, 2024, Pryor
Cashman must comply with the following supplemental demands included in the April 26, 2023
letter of RDN counsel Judith Wallace to Michael Kramer, counsel to Richard Kay:
A) Indexes of Records for Himan Brown Client Number 70204 prepared by any employee or member of Pryor Cashman at the time that documents were sent to the Records Department;
B) Lists of the contents of Himan Brown's estate planning file prepared by any employee or member of Pryor Cashman even if the file was not sent to the Records Department; C) Emails to and from Charles Skaar concerning the preparation of lists or indexes for the Himan Brown estate file; and D) Documents and communications concerning the sorting and removal of materials from RDN's client file. The court held that Pryor Cashman need not comply with the demand to produce a
spreadsheet of all its active litigation holds. Further, the court directed that if Pryor Cashman
claims that there are no documents in their possession or under their control that are responsive
to any of these supplemental demands, it must provide to RD N's counsel, no later than April 12,
2024, an affidavit indicating that, notwithstanding a thorough search in places where these
documents are usually found, they were unable to find any such document.
[* 10] Motion #5 - Motion by Non-Parties Ann Kay and Karen Kay for a Protective Order and a Confidentiality Order
The motion by non-parties Ann Kay and Karen Kay, the daughters-in-law of Richard
Kay, and employees of the Charitable Trust for a protective order limiting the scope of RDN's
deposition subpoena and for a Confidentiality Order was granted by the court, only to the
following extent:
A) the depositions of Ann Kay and Karen Kay shall each last no longer than four hours; and
B) The parties are directed not to disclose to third parties or the public the following information:
I) Birth dates, Social Security Numbers, bank accounts numbers and balances, financial account numbers and balances of Ann Kay, Karen Kay, their spouses and their children; and 2) Personal information about Mr. Kay's grandchildren's medical, personal and academic records, including their grades and applications for admission to any academic institution (see McLaughlin v G.D. Searle, Inc., 38 AD2d 810,811 [1st Dept 1972] [material confidential in nature or information subject to abuse if widely disseminated shall be accorded judicial safeguards where possible]).
Motion #6 - Motion for a Protective Order pursuant to CPLR 3103 with Respect to the Deposition Notice Issued to Barrie Sansted (nee Brown) on July 25, 2022
Motion #7 - Barrie Brown's Motion for an Order to Quash Subpoena Directed to Barrie Brown and for a Protective Order with Respect to the Subpoena
Motion #8 - Richard Kay's Cross-Motion Compelling the Deposition of Barrie Brown apd Production of Documents Responsive to Subpoena
Motions## 6, 7, and 8 all relate to discovery from Barrie Sansted (nee Brown), one of the
grandchildren of Himan Brown, and a Director of RDN. The court granted Motion #6, for a
protective order, to the extent of directing that Barrie Brown need not appear for a deposition in
her capacity as a director of RDN. Mr. Kay has not shown that the corporate representatives
[* 11] designated by RDN who were already deposed (Melina Brown, as well as Eli Kopelman) had
insufficient knowledge or were otherwise inadequate witnesses (CPLR 3106[d]; Giordano v New
Rochelle Mun. Haus. Auth., 84 AD3d 729 [2d Dept 2011]).
As to Motion #7, the court denied Barrie Brown's request that the subpoena served on her
be quashed, and directed her to appear for a deposition on a date agreed to by the
parties. However, the court did issue a protective order with respect to some of the document
requests included in the subpoena. First, the court concluded that Ms. Brown does not need to
produce documents responsive to Requests ##1 through 5, because those documents are not
relevant to any of the claims or defenses in this proceeding. Second, the court directed that Ms.
Brown does not need to produce documents responsive to Request #8 because the request is
overbroad. Third, the court directed Ms. Brown to comply no later than April 12, 2024, with
Requests ##6, 7, and 9 through 13. With respect to Requests ##10, 11, 12, and 13, the oourt
determined that production should be limited to documents produced or dated from 2003 to June
2010. In addition, the court directed that Requests ## 10 and 11 should be limited to
communications between Barrie Brown and Himan Brown.
The court further directed that if Ms. Brown claims that some of the communicail:ions
sought to be produced are privileged, she must produce a privilege log, pursuant to CPLR
3 l 22(b ). Finally, the court denied Ms. Brown's request for the imposition of costs and attorneys
fees.
Consistent with the resolution of Motions ##6 and 7, the court granted in part and denied
in part Motion #8.
[* 12] Motion #9 - Motion of RDN for an Order Enjoining Richard L. Kay and his Counsel firom Interference with the Deposition of Matthew Forman, and for Sanctions and an Adver$e Inference Charge
The court next granted RDN's motion to enjoin Mr. Kay from interfering with the
deposition of Matthew Forman, to the following extent:
A) RON is allowed to continue the deposition of Mr. Forman but the deposition shall be limited to four hours and shall be further limited to the topics that Mr. Forman refused to answer based on his obligations under the March 1, 2018 Non-Disclosure Agreement between the Charitable Trust and Mr. Forman and Miami Philanthropic Consulting, Inc. (the NOA), including questions concerning the NDA, the consulting agreement, and the circumstances giving rise to each of those agreements;
B) Mr. Kay shall not rely on the NOA to object to the questions posed to Mr. Forman during the continued deposition. Nor may Mr. Kay interfere with Mr. Forman's compliance with the RON subpoena; and
C) RDN's request for sanctions is denied at this time, without prejudice to renewal should Mr. Kay interfere with the continued deposition of Mr. Forman.
Motion #10 - Cross-Motion by Richard Kay for the Issuance of a Confidentiality Order
The final motion before the court, Mr. Kay's cross-motion for the issuance of a
confidentiality order, in the form proposed by him, was denied. The court found that the
conclusory statements in the Memorandum of Law by Mr. Kay's counsel concerning RDN's
potential dissemination of information produced in discovery coupled with the vague description
of the information that could be designated as confidential (i.e., "sensitive personal infonnation")
in Mr. Kay's proposed order failed to provide a basis for the court to exercise its discretion in
favor of such order.
Exercising its own discretion and authority to regulate discovery, however, the court
directed the parties not to disclose to third parties or the public the categories of information
described as "confidential information" on Ms. Wallace's January 29, 2024 email to Drew Dean
[* 13] (email sent at 3 :45 p.m.) as well as the balances of any bank account or financial or investment
account and any personal information about Mr. Kay's grandchildren's medical, personal and
academic records, including their grades and applications for admission to any academic
institution. The parties shall enter into a confidentiality agreement reflecting this direction.
The court noted that this determination fully resolved all pending motions in this
proceeding and indicated that, to the extent not expressly addressed on the record and contained
herein, any other relief sought in any motion is denied.
This decision, together with the transcript of the February 20, 2024 proceedings,
constitutes the order of the court.
Clerk to notify.
Dated: March _!1_, 2024 dnATE
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