DOJ-OGR-00002387(1).jpg

479 KB

Extraction Summary

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People
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Locations
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Events
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Quotes

Document Information

Type: Legal document (protective order / stipulation)
File Size: 479 KB
Summary

This document is page 4 (filed as page 5 of 18) of a Protective Order from civil case 1:15-cv-07433-RWS (Giuffre v. Maxwell). It outlines the legal protocols for designating documents and depositions as 'CONFIDENTIAL' during the discovery process to prevent privacy harm.

People (1)

Name Role Context
RWS Judge
Initials in case number 1:15-cv-07433-RWS (Judge Robert W. Sweet)

Organizations (2)

Name Type Context
Department of Justice
Implied by Bates stamp prefix DOJ-OGR
US District Court
Implied by case filing header

Timeline (1 events)

2016-03-04
Filing of Document 41-5
Court

Key Quotes (2)

"Designation of a document as CONFIDENTIAL INFORMATION shall constitute a representation that such document has been reviewed by an attorney for the designating party"
Source
DOJ-OGR-00002387(1).jpg
Quote #1
"disclosure of such information to persons other than those permitted access to such material would cause a privacy harm to the designating party."
Source
DOJ-OGR-00002387(1).jpg
Quote #2

Full Extracted Text

Complete text extracted from the document (1,534 characters)

Case 1:15-cv-07433-RWS Document 41-5 Filed 03/04/16 Page 5 of 18
agrees to be bound by its provisions. All such acknowledgments shall be retained by counsel and shall be subject to in camera review by the Court if good cause for review is demonstrated by opposing counsel.
7. Documents are designated as CONFIDENTIAL by placing or affixing on them (in a manner that will not interfere with their legibility) the following or other appropriate notice: “CONFIDENTIAL.” Discovery material designated CONFIDENTIAL shall be identified by Bates number. To the extent practical, the respective legend shall be placed near the Bates number.
8. Designation of a document as CONFIDENTIAL INFORMATION shall constitute a representation that such document has been reviewed by an attorney for the designating party, that there is a valid and good faith basis for such designation, made at the time of disclosure or production to the receiving party, and that disclosure of such information to persons other than those permitted access to such material would cause a privacy harm to the designating party.
9. Whenever a deposition involves the disclosure of CONFIDENTIAL INFORMATION, the deposition or portions thereof shall be designated as CONFIDENTIAL and shall be subject to the provisions of this Protective Order. Such designation shall be made on the record during the deposition whenever possible, but a party may designate portions of depositions as CONFIDENTIAL after transcription, provided written notice of the
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DOJ-OGR-00002387

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