Ruotolo v. Sousa
This text of Ruotolo v. Sousa (Ruotolo v. Sousa) is published on Counsel Stack Legal Research, covering Superior Court of Rhode Island primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.
Opinion
Relevancy, as it applies in matters of discovery, is liberally construed to provide for a broad scope. Travelers Ins. v. Hindle,
In the matter before the Court, Plaintiffs have alleged fraud, the proof of which "depends so much upon . . . [the] . . . number and connection," of the separate fraudulent acts, that the courts are not inclined to limit the evidence of fraud to the fraudulent act itself, but allow a wide range of testimony and investigation to show fraudulent intent. Gardiner v. Grove,
Here Plaintiffs seek information concerning fraud with respect to the purchase of the Gleaner Chapel Road home. Conversations and actions with Frank Simonelli, the subsequent-hired builder for the replacement home for the Defendants-albeit two years after the sale of the Gleaner Chapel Road home-conceivably could produce information relevant to those fraud allegations. Accordingly, the Defendants' motion for a protective order prohibiting the deposition of Frank Simonelli is denied. However, unlike Mr. Simonelli, Chris Kelley was merely interviewed but never hired with respect to the building of the home that followed the Gleaner Chapel Road home. Accordingly, this Court grants Defendants' protective order with respect to his deposition, finding no reasonable possibility of its rendering information relevant to the subject matter of the action.
*Page 1Counsel shall submit the appropriate order for entry.
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Ruotolo v. Sousa, Counsel Stack Legal Research, https://law.counselstack.com/opinion/ruotolo-v-sousa-risuperct-2007.