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  • LOUIS CASTAGNA VS. ASBESTOS DEFENDANTS (B/P)AS REFLECTED ON EXHIBITS et al ASBESTOS document preview
  • LOUIS CASTAGNA VS. ASBESTOS DEFENDANTS (B/P)AS REFLECTED ON EXHIBITS et al ASBESTOS document preview
  • LOUIS CASTAGNA VS. ASBESTOS DEFENDANTS (B/P)AS REFLECTED ON EXHIBITS et al ASBESTOS document preview
  • LOUIS CASTAGNA VS. ASBESTOS DEFENDANTS (B/P)AS REFLECTED ON EXHIBITS et al ASBESTOS document preview
  • LOUIS CASTAGNA VS. ASBESTOS DEFENDANTS (B/P)AS REFLECTED ON EXHIBITS et al ASBESTOS document preview
  • LOUIS CASTAGNA VS. ASBESTOS DEFENDANTS (B/P)AS REFLECTED ON EXHIBITS et al ASBESTOS document preview
						
                                

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IAAT SUPERIOR COURT OF CALIFORNIA COUNTY OF SAN FRANCISCO Document Scanning Lead Sheet Apr-30-2009 9:06 am Case Number: CGC-07-274230 Filing Date: Apr-30-2009 9:05 Juke Box: 001 Image: 02481299 ORDER LOUIS CASTAGNA VS. ASBESTOS DEFENDANTS (B/P)AS REFLECTED ON EXHIBITS 001002481299 Instructions: Please place this sheet on top of the document to be scanned.BRAYTON®PURCELL LLP ATTORNEYS AT LAW 222 RUSH LANDING ROAD POBOX 6169 NOVATO, CALIFORNIA 94948-6169 (415) 898-1555 - oC ON DH BF wD Bw —™ ~ ALAN R. BRAYTON, ESQ, S.B. #73685 DAVID R. DONADIO, ESQ., S.B. #154436 JENNIFER L. ALESIO, ESQ., S.B. #258413 . BRAYTON**PURCELL LLP F I Attorneys at Law Superior Gourt of Cairn 222 Rush Landing Road County of San Franeisoo P.O. Box 6169 on Novato, California 94948-6169 APR <5 2009 41S) 898-1555 (as) GORDON F Attomeys for Plaintiff BY: SUPERIOR COURT OF CALIFORNIA COUNTY OF SAN FRANCISCO LOUIS CASTAGNA, ) ASBESTOS 5 No. 274230 Plaintiff, ) ) ORDER GRANTING PLAINTIFF'S vs. ) MOTION TO COMPEL DEFENDANT ) FOSTER WHEELER LLC (FKA FOSTER ASBESTOS DEFENDANTS (BP) ) WHEELER CORPORATION) TO PRODUCE DOCUMENTS Date: January 27, 2009 Time: 9:00 a.m. Dept.: 610, Hon. Bruce E. Chan Trial Date: None Set Date Action Filed: June 6, 2007 Plaintiff's Motion to Compel Defendant FOSTER WHEELER LLC to Produce its Custodian of Records and Person Most Knowledgeable for Deposition, and to Produce Documents at Deposition came on regularly for hearing on January 27, 2009, in Department 610 of the above-captioned Court. Plaintiff, LOUIS CASTAGNA, and defendant, FOSTER WHEELER LLC, appeared by their counsel of record. Having read and considered the moving and opposing papers submitted, the Court determines that defendant FOSTER WHEELER LLC is to produce all responsive documents pursuant to Plaintiff's Request for Production of Documents no later than June 8, 2009. Further, FOSTER WHEELER LLC shall provide an affidavit signed under penalty of perjury stating that it has conducted a reasonable and diligent search for all records requested by KNinjued\102298\0e82-Foster wpa 1 ORDER GRANTING PLAINTIFF'S MOTION TO COMPEL DEFENDANT FOSTER WHEELER LLC (FKA FOSTER WHEELER CORPORATION) TO PRODUCE DOCUMENTS_ oO ND HW BF WN YM NY NY RY YY RB NR Ne ee! ee ee ee eA AMF HH = S Gwe UA aR BORE S ~ ~ the plaintiff no later than June 8, 2009. The affidavit must also state that the Bates stamped page numbers of the documents produced by FOSTER WHEELER LLC regarding a particular jobsite are the authentic business records of FOSTER WHEELER LLC pertaining to that jobsite. The affidavit must provide a statement regarding documents which FOSTER WHEELER LLC has claimed are classified and/or privileged and, if so, when a privilege log will be provided. As an alternative to providing a signed declaration, FOSTER WHEELER LLC may produce its Custodian of Records for deposition to testify regarding the document search conducted and documents produced on or before June 8, 2009. Should FOSTER WHEELER LLC find additional responsive documents at a later date, it must immediately come forward and produce the documents to plaintiff's counsel with a declaration attesting to the circumstances surrounding the later production and authenticating the business records of FOSTER WHEELER LLC. Objections applicable to the inadmissibility of these late-produced documents are preserved. If, after timely production of documents and after meeting and conferring, the deposition of FOSTER WHEELER LLC’s Person Most Knowledgeable is, nevertheless, necessary to allow plaintiff to properly conduct discovery, plaintiff may appear ex parte, after giving nolice to FOSTER WHEELER LLC, in this Department for an order compelling the deposition of FOSTER WHEELER LL.C’s Person Most Knowledgeable pursuant to plaintiff's deposition notice in this matter. / Dated: Lani. 29 2009 &. £ &. C Judge of the Superior Court BRUCE ©. GHAN APPROVED AS TO FORM. BRYDON HUGO & PARKER, LLP By: Shelly S. Tinkoff Counsel for Defendant FOSTER WHEELER LLC (FKA FOSTER WHEELER CORPORATION) EAnjured\10229Rord2-Foster_Lawpet 2 ORDER GRANTING PLAINTIFF'S MOTION TO COMPEL DEFENDANT FOSTER WHEELER LLC (FKA FOSTER WHEELER CORPORATION) TO PRODUCE DOCUMENTS