DOJ-OGR-00002398.jpg

608 KB

Extraction Summary

6
People
1
Organizations
0
Locations
2
Events
2
Relationships
2
Quotes

Document Information

Type: Legal document
File Size: 608 KB
Summary

This document is a page from a legal order, likely a protective order, filed on March 4, 2021. It outlines the procedures for handling confidential information during the discovery phase of a legal case, including the process for objecting to confidentiality designations, resolving disputes through the Court, and the final disposition of such materials by return or destruction upon the case's conclusion. It also specifies how non-parties can designate materials as 'CONFIDENTIAL' or 'HIGHLY CONFIDENTIAL—ATTORNEYS’ EYES ONLY'.

People (6)

Name Role Context
Producing Party Party in a legal case
The party that provides discovery material.
Designating Party Party in a legal case
The party that designates discovery material as confidential and bears the burden of proving the designation is proper.
Receiving Party Party in a legal case
The party that receives discovery material and may object to confidentiality designations.
non-party Entity not a party to the case
An entity that produces discovery material and can designate it as 'CONFIDENTIAL' or 'HIGHLY CONFIDENTIAL—ATTORNEYS’ ...
destroying party Party in a legal case
A party that destroys confidential documents at the conclusion of a case and must provide an affidavit confirming the...
counsel Legal representative
Mentioned as the entity that provides written notice of objections to confidentiality designations.

Organizations (1)

Name Type Context
Court Government agency
The judicial body before which a hearing may be sought to resolve disputes over confidentiality designations.

Timeline (2 events)

A potential hearing before the Court to resolve objections to the propriety of a confidentiality designation.
Court
At the conclusion of the case, confidential documents must be returned to the designating party or destroyed.
parties

Relationships (2)

Receiving Party Legal/Procedural Designating Party
The document outlines a dispute resolution process where the Receiving Party can object to a designation made by the Designating Party, they must attempt to resolve it, and failing that, the Receiving Party can seek a court hearing.
Producing Party Legal/Procedural Designating Party
The document specifies that the Producing Party and the Designating Party may be different entities.

Key Quotes (2)

"CONFIDENTIAL"
Source
— Designating Party or non-party (A designation for discovery material to protect its contents.)
DOJ-OGR-00002398.jpg
Quote #1
"HIGHLY CONFIDENTIAL—ATTORNEYS’ EYES ONLY"
Source
— non-party (A higher-level designation for discovery material produced by a non-party.)
DOJ-OGR-00002398.jpg
Quote #2

Full Extracted Text

Complete text extracted from the document (1,604 characters)

Case 1:20-cv-07433-RWS Document 14-3 Filed 03/04/21 Page 16 of 28
counsel shall provide the Producing Party and, if different, the Designating
Party written notice of, and the basis for, such objections. The Parties will use
their best efforts to resolve such objections among themselves. Should the
Receiving Party, the Producing Party and, if different, the Designating Party
be unable to resolve the objections, the Receiving Party may seek a hearing
before this Court with respect to the propriety of the designation. The
Designating Party will cooperate in obtaining a prompt hearing with respect
thereto. Pending a resolution, the discovery material in question shall
continue to be treated as CONFIDENTIAL as provided hereunder. The
burden of proving that discovery material is properly designated shall at all
times remain with the Designating Party.
12. At the conclusion of this case, unless other arrangements are agreed upon, each
document and all copies thereof which have been designated as CONFIDENTIAL
shall be returned to the party that designated it CONFIDENTIAL, or the parties
may elect to destroy CONFIDENTIAL documents. Where the parties agree to
destroy CONFIDENTIAL documents, the destroying party shall provide all parties
with an affidavit confirming the destruction.
13. With respect to any discovery material produced by such non-party, the non-party
may invoke the terms of this Order in writing to all Parties by designating
discovery material “CONFIDENTIAL” or “HIGHLY CONFIDENTIAL—
ATTORNEYS’ EYES ONLY”. Any such protected material produced by the
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DOJ-OGR-00002398

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