Wilson v. Timec Services Co.,.

District Court, E.D. California·Decided June 10, 2024·No. 2:23-cv-00172·Unknown

Opinion

MARVONTE WILSON, et al., Case No. 2:23-cv-00172-WBS-CSK Plaintiffs, ORDER GRANTING MODIFIED STIPULATED PROTECTIVE ORDER v. (ECF No 108.) TIMEC SERVICES COMPANY, INC. et al., Defendants. The Court has reviewed the parties’ stipulated protective order below (ECF No. 108), and finds it comports with the relevant authorities and the Court’s Local Rule. See L.R. 141.1. The Court APPROVES the protective order, subject to the following clarification. The Court’s Local Rules indicate that once an action is closed, it “will not retain jurisdiction over enforcement of the terms of any protective order filed in that action.” L.R. 141.1(f); see MD Helicopters, Inc. v. Aerometals, Inc., 2017 WL 495778 (E.D. Cal., Feb. 03, 2017) (noting that courts in the district generally do not retain jurisdiction for disputes concerning protective orders after closure of the case). Thus, the Court will not retain jurisdiction over this protective order once the case is closed. Further, the protective order appears to contain references to local rules from other districts. (See Pars. 1, 6.3, 12.3 (referencing Civil Local Rules 7 and 79-5, which do not exist in the Eastern District of California).) To the extent the parties’ protective order references local rules of other districts, the Court rejects these references and reminds the parties to refer to the local rules of the Eastern District of California. Dated: June 10, 2024 C iy S \U CHI S00 KIM UNITED STATES MAGISTRATE JUDGE 4, wilso172.23

Lawrence A. Organ (SBN 175503) Julianne K. Stanford (SBN 290001) Cimone A. Nunley (SBN 326915) CALIFORNIA CIVIL RIGHTS LAW GROUP 332 San Anselmo Avenue San Anselmo, CA 94960 Tel. (415) 453-4740 Fax (415) 785-7352 Email: larry@civilrightsca.com julianne@civilrightsca.com cimone@civilrightsca.com Attorneys for Plaintiffs MARVONTE WILSON, DOMONIQUE DANIELS, and the Putative Class

Vernon C. Goins II (SBN 195461) Ravneet Sandhu (SBN 338166) LAW OFFICES OF VERNON C. GOINS 1970 Broadway, Ste. 450 Oakland, CA 94612 Tel. 510-663-3700 Fax 510-663-3710 Email: vgoins@goinslawfirm.com nsandhu@goinslawfirm.com Attorneys for Plaintiffs MARVONTE WILSON, DOMONIQUE DANIELS, and the Putative Class

UNITED STATES DISTRICT COURT EASTERN DISTRICT OF CALIFORNIA

MARVONTE WILSON and DOMONIQUE Case No. 2:23−CV−00172−WBS−CSK DANIELS, individually and on behalf of all others similarly situated, STIPULATED PROTECTIVE ORDER AND [PROPOSED] ORDER Plaintiffs,

v.

TIMEC SERVICES COMPANY, INC.;

FERROVIAL SERVICES INFRASTRUCTURE, INC.; VALERO REFINING COMPANY – CALIFORNIA; DISA GLOBAL SOLUTIONS; and DOES 1 THROUGH 50, INCLUSIVE,

Defendants.

1. PURPOSES AND LIMITATIONS Disclosure and discovery activity in this action are likely to involve production of confidential, proprietary, or private information for which special protection from public disclosure and from use for any purpose other than prosecuting this litigation may be warranted. Accordingly, the parties hereby stipulate to and petition the court to enter the following Stipulated Protective Order. The parties acknowledge that this Order does not confer blanket protections on all disclosures or responses to discovery and that the protection it affords from public disclosure and use extends only to the limited information or items that are entitled to confidential treatment under the applicable legal principles. The parties further acknowledge, as set forth in Section 12.3, below, that this Stipulated Protective Order does not entitle them to file confidential information under seal; Civil Local Rule 79-5 Local Rule 141 sets forth the procedures that must be followed and the standards that will be applied when a party seeks permission from the court to file material under seal. 2. DEFINITIONS 2.1 Challenging Party: a Party or Non-Party that challenges the designation of information or items under this Order. 2.2 “CONFIDENTIAL” Information or Items: information (regardless of how it is generated, stored or maintained) or tangible things that qualify for protection under Federal Rule of Civil Procedure 26(c). 2.3 Counsel (without qualifier): Outside Counsel of Record and House Counsel (as well as their support staff). 2.4 Designating Party: a Party or Non-Party that designates information or items that it produces in disclosures or in responses to discovery as “CONFIDENTIAL.” 2.5 Disclosure or Discovery Material: all items or information, regardless of the medium or manner in which it is generated, stored, or maintained (including, among other things, testimony, transcripts, and tangible things), that are produced or generated in disclosures or responses to discovery in this matter. 2.6 Expert: a person with specialized knowledge or experience in a matter pertinent to the litigation who has been retained by a Party or its counsel to serve as an expert witness or as a consultant in this action. 2.7 House Counsel: attorneys who are employees of a party to this action. House Counsel does not include Outside Counsel of Record or any other outside counsel. 2.8 Non-Party: any natural person, partnership, corporation, association, or other legal entity not named as a Party to this action. 2.9 Outside Counsel of Record: attorneys who are not employees of a party to this action but are retained to represent or advise a party to this action and have appeared in this action on behalf of that party or are affiliated with a law firm which has appeared on behalf of that party. 2.10 Party: any party to this action, including all of its officers, directors, employees, consultants, retained experts, and Outside Counsel of Record (and their support staffs). 2.11 Producing Party: a Party or Non-Party that produces Disclosure or Discovery Material in this action. 2.12 Professional Vendors: persons or entities that provide litigation support services (e.g., photocopying, videotaping, translating, preparing exhibits or demonstrations, and organizing, storing, or retrieving data in any form or medium) and their employees and subcontractors. 2.13 Protected Material: any Disclosure or Discovery Material that is designated as “CONFIDENTIAL.” 2.14 Receiving Party: a Party that receives Disclosure or Discovery Material from a Producing Party. 3. SCOPE The protections conferred by this Stipulation and Order cover not only Protected Material (as defined above), but also (1) any information copied or extracted from Protected Material; (2) all copies, excerpts, summaries, or compilations of Protected Material; and (3) any testimony, conversations, or presentations by Parties or their Counsel that might reveal Protected Material. However, the protections conferred by this Stipulation and Order do not cover the following information: (a) any information that is in the public domain at the time of disclosure to a Receiving Party or becomes part of the public domain after its disclosure to a Receiving Party as a result of publication not involving a violation of this Order, including becoming part of the public record through trial or otherwise; and (b) any information known to the Receiving Party prior to the disclosure or obtained by the Receiving Party after the disclosure from a source who obtained the information lawfully and under no obligation of confidentiality to the Designating Party. Any use of Protected Material at trial shall be governed by a separate agreement or order. 4. DURATION Even after final disposition of this litigation, the confidentiality obligations imposed by this Order shall remain in effect until a Designating Party agrees otherwise in writing or a court order otherwise directs. Final disposition shall be deemed to be the later of (1) dismissal of all claims and defenses in this action, with or without prejudice; and (2) final judgment herein after the completion and exhaustion of all appeals, rehearings, remands, trial

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Wilson v. Timec Services Co.,., (E.D. Cal. 2024).

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