(PC) Gleason v. CDCR

CourtDistrict Court, E.D. California
DecidedSeptember 7, 2021
Docket2:20-cv-00775
StatusUnknown

This text of (PC) Gleason v. CDCR ((PC) Gleason v. CDCR) is published on Counsel Stack Legal Research, covering District Court, E.D. California primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
(PC) Gleason v. CDCR, (E.D. Cal. 2021).

Opinion

1 2 3 4 5 6 7 UNITED STATES DISTRICT COURT 8 FOR THE EASTERN DISTRICT OF CALIFORNIA 9 10 THOMAS LEE GLEASON, JR., No. 2:20-cv-00775-KJM-CKD P 11 Plaintiff, 12 v. ORDER 13 CALIFORNIA DEPARTMENT OF CORRECTIONS & REHABILITATION, 14 et al., 15 Defendants. 16 17 Plaintiff is a state prisoner proceeding pro se and in forma pauperis in this civil rights 18 action filed pursuant to 42 U.S.C. § 1983. This proceeding was referred to this court by Local 19 Rule 302 pursuant to 28 U.S.C. § 636(b)(1). 20 This case is proceeding on plaintiff’s First Amendment retaliation and supplemental state 21 law claims against defendant Romary, a correctional officer at California State Prison-Solano, 22 based on the destruction of plaintiff’s personal property on or about August 4, 2019. ECF No. 8 23 at 5. Currently pending before the court is plaintiff’s motion to compel additional discovery 24 responses from defendant. By order dated July 8, 2021, the discovery cut-off date in this case 25 was extended to October 26, 2021. ECF No. 28. Defendant has not filed an opposition to the 26 motion to compel and the time to do so has expired. For the reasons outlined below, the court 27 grants the motion in part and denies the motion in part. 28 ///// 1 I. Plaintiff’s Motion to Compel 2 In his motion to compel, plaintiff seeks supplemental discovery responses based on 3 defendant’s incomplete answers to his Request for Production of Documents and his Request for 4 Admissions served on April 29th and 30th, 2021. ECF No. 27. Specifically, plaintiff contends 5 that defendant’s responses to Request for Production of Documents Nos. 1, 2, 3, 5, and 6 and his 6 Requests for Admissions Nos. 1, 2 and 5 are deficient. Id. As part of his discovery response, 7 defendant submitted a Declaration of N. Difuntorum in support of his assertion of the official 8 information privilege raised in response to the Request for Production of Documents. `e3` ECF 9 No. 27 at 16-19. The discovery requests and responses at issue are reproduced herein to aid the 10 court’s analysis. 11 Request for Production of Documents No. 1: 12 Plaintiff seeks the production of any and all complaints/602 inmate appeals in which 13 inmates complained of defendant Romary destroying their personal property while employed at 14 Solano State meaning the defendant Romary. 15 Response: 16 Responding party objects to this request in that it is vague and overbroad as to time and 17 seeks information not relevant to this action nor reasonably calculated to lead to the discovery of 18 admissible evidence. Further, the request violates the privacy rights of non-parties and seeks 19 documents that are privileged and confidential under California Code of Regulations, Title 15, §§ 20 3321, 3370, 3084.9, and 3450 and department Operations Manual §§ 13030.4, 13030.14, 21 13030.19, and the official information privilege. Defendant also objects to the request on the 22 grounds that responsive documents, if any, are protected from disclosure under California Civil 23 Code § 1798.24. Without waiving any objection, responding party produces Appeal Log Nos. 24 CSP-S-19-02476 and CSP-S-20-00165 (without confidential interviews) in which Plaintiff 25 alleged that responding party searched his cell and confiscated property. 26 Request for Production of Documents No. 2: 27 Plaintiff seeks the production of any and all reports in which the defendant Romary was 28 disciplined for confiscating inmates personal property. While she was employed at Lancaster 1 State Prison. 2 Response: 3 Responding party objects to this request in that it is vague and overbroad as to time and 4 seeks information not relevant to this action nor reasonably calculated to lead to the discovery of 5 admissible evidence. Further, the request violates the privacy rights of non-parties and seeks 6 documents that are privileged and confidential under California Code of Regulations, Title 15, §§ 7 3321, 3370, 3084.9, and 3450; and Department of Operations Manual §§ 13030.4, 13030.14, 8 13030.19, and the official information privilege. Defendant also objects to the request on the 9 ground that responsive documents, if any, are protected from disclosure under California Civil 10 Code § 1798.24. Without waiving any objection, responding party has no responsive documents 11 in her possession, custody, or control. 12 Request for Production of Documents No. 3: 13 Plaintiff seeks the production of any and all staff complaints that where [sic] filed against 14 the defendant J. Romary while employed at Solano State Prison for illegally confiscating and 15 destroying inmates personal property. 16 Response: 17 Responding party objects to this request in that it is vague and seeks information not 18 relevant to this action nor reasonably calculated to lead to the discovery of admissible evidence. 19 Further, the request violates the privacy rights of non-parties and seeks documents that are 20 privileged and confidential under California Code of Regulations, Title 15, §§ 3321, 3370, 21 3084.9, and 3450; and Department Operations Manual §§ 13030.4, 13030.14, 13030.19, and the 22 official information privilege. Defendants also object to the request on the ground that responsive 23 documents, if any, are protected from disclosure under California Civil Code § 1798.24. Without 24 waiving any objection, responding party produces Appeal Log Nos. CSP-S-19-02476 and CSP-S- 25 20-00165 (without confidential interviews) in which Plaintiff alleged that responding party 26 searched his cell and confiscated property on or about August 5, 2019. 27 Request for Production of Documents No. 5: 28 Plaintiff seek [sic] the production of any and all documents evident [sic] and accept [sic] 1 liability of any portion of this civil action Case No. 2:20-cv-0775-KJM-CKD. 2 Response: 3 Responding party objects to this request on the ground that it is vague, unduly 4 burdensome, does not specify with reasonable particularity a category of documents to be 5 produced, and seeks information protected by the attorney-client privilege and the attorney work 6 product doctrine. 7 Request for Production of Documents No. 6: 8 Plaintiff seeks the production of any and all documents that evident [sic] that the 9 California Department of Correction & Rehabilitation attempted to compensate the plaintiff for 10 his personal property. 11 Response: 12 Responding party objects to this request in that it is vague and unduly burdensome. 13 Without waiving any objection, responding party produces Appeal Log NO. CSP-S-19-02476. 14 The second level appeal response to that appeal reflects an interview between Plaintiff and 15 Lieutenant Dunlop in which Dunlop offered Plaintiff a replacement for two coaxial cables and a 16 TV antenna (provided that Plaintiff sign a trust account withdrawal to mail the items back home). 17 The interview reflects Plaintiff’s statement that “at this point in time I think it is best that I don’t 18 accept anything for replacement so it is not confusing [sic] what I was compensated for.” 19 Request for Admission No. 1: 20 After confiscating the Plaintiff’s personal property on August 5, 2019 you did not present 21 to him the opportunity [sic] mail his property home. Meaning the property that you confiscated 22 from the Plaintiff. 23 Response: 24 Objection. This request is vague as Plaintiff’s instant lawsuit concerns a large number of 25 property that could be described as “personal property,” including altered electronic supplies, 26 clothing items, packaged food items, among others. It is also vague as to the phrase “present the 27 opportunity.” Without waiving any objections, responding party denies. 28 ///// 1 Request for Admission No. 2: 2 On August 5, 2019 did you confiscate any form of books from the Plaintiff Mr.

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Bluebook (online)
(PC) Gleason v. CDCR, Counsel Stack Legal Research, https://law.counselstack.com/opinion/pc-gleason-v-cdcr-caed-2021.