Preview
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AUG-8 2022
1JOSHUA S. FALAKASSA (SBN: 295045)
_ p, Vue,
FALAKASSA LAW, P.C. By: Deputy Clerk
2 1901 Avenue ofthe Stars Suite # 450
3 Los Angeles, Califomia 90067
Tel.: (818) 456-6168; Fax: (888) 505-0868
4 Email: josh(@falakassalaw.com
5 ARASH S. KHOSROWSHAHI (SBN: 293246)
6 L I B E R T Y MAN LAW, P.C.
lOIOFStreet, Ste. 300
7 Sacramento, Califomia 95814
Tel.: (916) 573-0469; Fax: (866) 700-0787
8 Email: ash@libertymanlaw.com
9 Attomeys for Plaintiff,
10 SAJIDAZAMAN
11 SUPERIOR COURT OF CALIFORNIA
12 COUNTY OF SACRAMENTO
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SAJIDA ZAMAN, CASE NO.: 34-2019-00252121
15 RESERVATION ID: 2665219
Plaintiff,
16 DECLARATION OF ARASH S.
vs. KHOSROWSHAHI IN SUPPORT OF
17 MOTION TO QUASH OR MODIFY T H E
LIQUI-BOX CORPORATION, and DOES 1 SCOPE OF SUBPOENA TO
18 through 20, inclusive, SACRAMENTO ORTHOPEDIC
CENTER AND MONETARY
19 Defendants. SANCTIONS
20 Date: October 20, 2022
Time: 1:30pm
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21 Dept.: 53 u.
22 Trial Date: September 12, 2022
I, ARASH KHOSROWSHAHI, declare as follows:
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1. 1 am an attomey licensed to practice law in the State of Califomia. My State Bar Number
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is 293246.
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2. 1 represent Plaintiff Sajida Zaman ("PlaintifF') in the above-entitled action. I have
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knowledge of the facts stated herein and can testify competently thereto.
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DECLARATION OF ARASH KHOSROWSHAHI IN SUPPORT
I of 4
1 3. On or about July 21, 2022, counsel for Defendant served a subpoena to Sacramento
2 Orthopedic Center, requesting the entirety of Plaintiff s medical records as follows:
3 "Complete medical records from the first date of treatment to the present, including
4 but not limited to any records/documents that may be stored digitally and/or electronically:
5 TeleHealth Records and any recordings, documents, correspondence, correspondence from
6 the patient or patient's attomey, patient intake forms, copies of health insurance cards and
7 photo ID'S, medical reports, doctor's entries, nurse's notes, medication administration
8 records, office notes, progress reports, cardiology reports, radiology reports, x-ray reports,
9 MRI reports, CT reports, myelogram reports, lab reports, pathology reports, monitor strips,
10 physical therapy records, occupational therapy records, case history, emergency records,
11 outpatient records, diagnosis and prognosis documentation, admit and discharge records,
12 notation(s) on any file folder, All emails between physicians and the patient regarding
13 physical complaints, symptoms, and treatment, including secure messages. And every such
14 record, including those existing in electronic or magnetic form, in the possession, custody
15 or control ofthe said witness, and every such record to which the witness may have access.
16 The date rage of records needed is Any and all records."
17 (Attached as Exhibit A is a true and correct copy of the Deposition Subpoena for
18 Production of Business Records & Notice to Consumer or Employee and Objection; see
19 Attachment 3 therein [emphasis added].)
20 4. Upon receipt of the subpoena, I sent a detailed meet and confer letter on or about July 28,
21 2022 arguing in sum that the requested records were overbroad and violated PlaintifTs
22 right to privacy in her medical records. (Attached as Exhibit B is a tme and correct copy
23 of the July 28, 2022 meet and confer letter.) Plaintiff offered to limit the scope of the
24 subpoena to encompass the disabilities related to the instant wrongful termination suit,
25 along with her related emotional distress. (See Exhibit B.)
26 5. On July 29, 2022, counsel for Defendant requested that the records encompass Plaintiffs
27 2013 workers compensation injury, given that Plaintiff placed that injury at issue in her
28 opposition to Defendant's Motion for Summary Judgment. (Attached as Exhibit C are
DECLARATION OF ARASH KHOSROWSHAHI IN SUPPORT
2 of 4
1 emails between counsel from July 29, 2022 to August 1, 2022.) Counsel for Defendant
2 further claimed that Defendant wanted medical records documenting any other condition
3 that precluded Plaintifffi-omworking, but that if her workers compensation file for a related
4 subpoena referred to unrelated information, he would agreeJ:o limit the scope. (See Exhibit
5 C.)
6 6. That same day, 1 sent a follow-up email asking whether Defendant's counsel proposal
7 regarding the 2013 injury applied only to the related subpoena, or the medical records
8 subpoena to Sacramento Orthopedic Center and other medical record subpoenas as well
9 {Id.) Not having heard a response, 1 sent a follow-up email on August 1, 2022. {Id.) But
10 Defendant did not follow up.
11 7. 1 am a graduate of the University of Califomia, Berkeley School of Law ("Boah Hall"), a
12 Top 14 law school. 1 further graduated with a Bachelor of Science in Mathematics (Honors)
13 and a Bachelor of Arts in Philosophy (Highest Honors) from the University of Califomia,
14 Davis in 2009. 1 run a solo practice in Sacramento, Califomia, and have been practicing
15 law since December 2013.1 primarily handle unlimited civil litigation cases in employment
16 law, which include class-action wage-and-hour cases as well as wrongful termination
17 cases. I practice throughout the State of Califomia, having litigated cases successfully in
18 the greater Sacramento Area, the Bay Area, and the greater Los Angeles area. I have also
19 negotiated six-figure/seven-figure settlements for class-action wage-and-hour matters as
20 well as six-figure settlements for wrongful termination matters. I was selected as a Super
21 Lawyer Rising Star in Northem Califomia in 2020, 2021, and 2022, a distinction that is
22 reserved for the top 2.5% of lawyers practicing less than 10 years. For these reasons, I
23 believe an hourly rate of $500 is a reasonable hourly rate.
24 8. I spent 1.5 hours researching and drafting this instant Motion and related documents herein,
25 resulting in $750.00 in reasonable attomey's fees. Further, Plaintiff incurs a $60 motion
26 filing fee. I therefore respectfully request sanctions in the amount of $810.00 for reasonable
27 costs and attomey's fees.
28
DECLARATION OF ARASH KHOSROWSHAHI IN SUPPORT
3 of 4
1 I declare under penalty of perjury under the laws of the State of California that the
2 foregoing is tme and correct.
3 Dated: August 5, 2022
4
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Arash S. Khosrowshahi
6 Attomey for Plaintiff Sajida Zaman
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DECLARATION OF ARASH KHOSROWSHAHI IN SUPPORT
4 of 4
EXHIBIT A
SUBP-025
ATTORNEY OR PARTY WITHOUT ATTORNEY (Name, State Bar number, and address): FOR COURT USE ONLY
James Jones, Bar # 167987
Jackson Lewis P.C. -132849
400 Capital Mail #1600
Sacramento, CA 95814
TELEPHONE NO.:916-341-0404 FAX NO. {Optjo/;a;):916-340-0141
E-MAIL ADDRESS (Optional):
^TT0RNEY FOR (Wa/Tje): Defendant, UQUI-BOX CORPORATION
SUPERIOR COURT OF CAUFORNIA, COUNTY OF SACRAMENTO
STREET ADDRESS: 720 Ninth Street
CITY AND ZIP CODE: Sacramento, CA 95814
CASE NUMBER:
Sajida Zaman VS. Liqui-BOX corporation, and DOES 1 through 20, inclusive
34-2019-00252121-CU-WT-GDS
NOTICE TO CONSUMER OR EMPLOYEE AND OBJECTION
(Code Civ. Proc., §§ 198S.3.1985.6)
NOTICE TO CONSUMER OR EMPLOYEE
To Sajtda Zaman and/or attomeys of record: Lll>erty Man Law, Arash S . Khosrowshahi, 1010 F Street, Suite 300, Sacramento,
CA 95814 and FALAKASSA LAW, P . C , Joshua S . Faiaitassa, 1901 Avenue ofthe Stars, Suite 450, Los Angeles, CA 90067.
1. PLEASE TAKE NOTICE THAT REQUESTING PARTY (name): UQUI-BOX CORPORATION SEEKS YOUR RECORDS FOR
EXAMINATION by the parties to this action on (specify date): 8/12/2022
The records are described in the subpoena directed to witness (specify name andaddmss of person or entity fmm whom records
are sougfit): Timothy Mar, M.D., Sacramento Orthopedic Center 2801 K Street, #330, Sacramento, Califomia, 95816
2. IF YOU OBJECT to the production of these records. YOU MUST DO ONE OF THE FOLLOWING BEFORE THE DATE SPECIFIED
IN ITEM a. OR b. BELOW:
a. If you are a party to the above-entitled action, you must file a motion pursuant to Code of Civil Procedure section 1987.1 to quash
or modify the subpoena and give notice of that motion to the witness and the deposition officer named in the subpoena at least
five days before the date set far production of the records.
b. If you are not a party to this action, you must serve on the requesting party and on the witness, before the date set for production
of the records, a written objection that states the specific grounds on which production of such records should be prohibited. You
may use the fonn below to object arwi state the grounds for your objection. You must complete the Proof of Service on the reverse
side indicating whether you personally served or mailed the objection. The objection should not be filed with the court. WARNING:
IF YOUR OBJECTION IS NOT RECEIVED BEFORE THE DATE SPECIFIED IN ITEM 1, YOUR RECORDS MAY BE PRODUCED
AND MAY BE AVAILABLE TO ALL PARTIES.
3. YOU OR YOUR ATTORNEY MAY CONTACT THE UNDERSIGNED to detennlne whether an agreement can be reached in writing to
cancel or limit the scope of the subpoena. If no such agreement is reached, and if you are not otherwise represented by an attomey
In this action, YOU SHOULD CONSULT AN ATTORNEY TO ADVISE YOU OF YOUR RIGHTS OF PR\VACY.
OBJECTION B Y NON-PARTY TO PRODUCTION OF RECORDS
1. j ll object to the production of all of my records specified in the subpoena.
2. I jl object only to the production of the following specified records:
3. The spocifio grounds for my objection aro ao followo:
Date:
OYPE OR PRINT NAME) (SIGNATURE)
(Proof of sen/Ice on reverse)
Form Adopted for Mandatory Use
Judldai Coundl of Cal^omlB
NOTICE TO CONSUMER OR EMPLOYEE AND OBJECTION Coda o t C M Procsdurs,
§$ 1S8SJ1. igs5.»,
SUBP.02S [Rev. January 1.200S) 2020.010-2020910
wMw.ocwrtinJb.ca.gov
Order No.: 440643-001
SUBP-025
CASE NUMBER:
Sajida Zaman VS. Liqui-BOX corporation, and DOES 1 through 20, inclusive
34-2019-00252121 -CU-WT-GDS
PROOF OF SERVICE OF NOTICE TO CONSUMER OR EMPLOYEE AND OBJECTION
(Code Civ. Proc, §§ 1985.3,1985.6)
I X I Personal Service • Mail I I Federal Express
1. At the time of service I was at least 18 years of age and not a party to this legal action, my business address is
2. I served a copy of the Notice to Consumer or Employee and Objection as follows (check either a orb):
a. IX iPersonal service. I personally delivered the Notice to Consumer or Employee and Objection as follows:
(1) Name of person served: See attached Service Ust (3) Date served:
(2) Address wiiere served: (4) Time served:
d Mail I deposited the Notice to Consumer or Employee and Objection in the United States mail, Inc., in a sealed envelope
with postage fully prepaid. The envelope was addressed as follows:
(1) Name of person served: (3) Date served:
(2) Address where served: (4) Place of mailing (city & state): 170 E. Arrow Hwy, San
Dimas, CA 91773.
d 5) I am a resident of or employed in the county where the Notice to Consumer or Employee and Objection was mailed.
Fed Ex. I deposited the Notice to Consumer or Employee and Objection with Federal Express, Inc., In a sealed envelope
with postage fully prepaid. The envelope was addressed es follows:
(1) Name of person served: (3) Date served:
(2) Address where served: (4) Place of mailing (city & state): 170 E. Arrow Hwy, San
Dimas, CA 91773.
(5) i am a resident of or employed In the county where the Notice to Consumer or Employee and Objectton was mailed.
I declare under penalty of peijury under the laws of the State of Califomia that the foregoing is true and correct.
Date:
(TYPE OR PRINT NAME OF PERSON W/HO SERVED) (SIGNATURE OF PERSON WHO SERVED)
PROOF OF SERVICE OF NOTICE TO CONSUMER OR EMPLOYEE AND OBJECTION
(Code Chr. Proc, §§ 1985.3,198S.8)
I IPersonal Service j iMall
1. At the time of service I was at least IS years of age and not a party to this legal acUon.
2.1 served a copy of ths Ob)Bctlon to ProduMin of Records es folicms (complete either a or b):
a. ON THEREQUESnNG PARTY
(1) 1 |Persenal service. I personally delhfered the ObiecBon to ProducUon offiecords as foiiows:
(I) Name of person served: (Hi) Date served:
(II) Address where served: (iv) Time served:
•—: (2) I -iMallrl-deposlted the-OWecttw to P/pdtcflori o f R e a ^ envelope with - - - -- -
•.— ::,,:.r-.--v.,:..."..posta9afiilly'.prepald.-TTte.envelope.wasaddresseda3:toBoM(^ —
(I) Name of person served: (Bl) Date served:
(n) Address where served: (K/) Time served:
(v) I am a resident of or employed In the county where the Ot^edlon lo Production of Records was mailed.
t>.ONTHEWITNESS
(1) I IPersonal service. I personally delh/eied Iho Objection to Production of Records as follows:
(i) Name or person seiveo: (III) Dates
(10 Address wftere served: (Iv) Time sen/ed:
(2) I iMail. 1 deposited the Obiection lo Production of Records In the United States mail, in a sealed envelope with
postage fiilly prepaid. The envelope was addressed as follows:
0) Name of person served: (Ui) Oate senred:
(ii) Address vrhere served: (iv) Time sen/ed:
(V) I am a resldant of or employed In the county where the OttjecSon to Production of Records was mailed.
3. My residence or business address Is (specify):
4. My phone number Is (spedfj^.
I dedare under penalty of peijuiy under the laws of the State of CaBlbmla that U)e IbiegoSng is true and correct.
Date:.
(TYPE OR PRINT NAME OF PERSON WHO SERVED) (SIGNATURE OF PERSON WHO SERVED)
SUBP42S [Rw. janny 1,2008] N O T I C E T O C O N S U M E R O R E M P L O Y E E AND O B J E C T I O N Page 2 of2
Order No.: 440643-001
Sajida Zaman
vs.
Liqui-BOX corporation, and DOES 1 througli 20, inclusive
Case No.: 34-2019-00252121-CU-WT-GDS
SERVICE LIST
Arash S. Khosrowshahi
Liberty Man Law
1010 F Street, Suite 300
Sacramento, CA 95814
Attomey for Plaintiff, Sajida Zaman
Joshua S. Falakassa
FALAKASSA LAW, P.C.
1901 Avenue ofthe Stars, Suite 450
Los Angeles, CA 90067
Attomey for Plaintiff, Sajida Zaman
Order No.: 440643
SUBP-010
ATTORNEY OR PARTY WITHOUT ATTORNEY (Wame, State Bar number, and address): TOR COURT USE ONLY
James Jones; State Bar No. 167967
Jackson Lewis P.C. - 132849
400 Capital Mall #1600
Sacramento, Califomia 95814
TELEPHONE NO.: 916-341-0404 FAX NO. (Opf/onay):916-340-0141
E-MAIL ADDRESS (Optionaf):
ATTORNEY FOR (Warns): Defendant LIQUI-BOX CORPORATION
SUPERIOR COURT OF CALIFORNIA, COUNTY OF SACRAMENTO
STREET ADDRESS: 720 Ninth Street
CrrY AND ZIP CODE: Sacramento, CA 95814
CASE NUMBER:
Sajida Zaman VS. Liqui-BOX corporation, and DOES 1 through 20, inclusive
34-2019-00252121-CU-WT-GDS
DEPOSmON SUBPOENA FOR PRODUCTION OF BUSINESS RECORDS
THE PEOPLE OF THE STATE OF CALIFORNIA, TO (name, address, and telephone number of deponent. If known):
Timothy Mar, M.D., Sacramento Orthopedic Center 2801 K Street, #330, Sacramento, CA 95816
1. YOU ARE ORDERED TO PRODUCE THE BUSINESS RECORDS described In Hem 3, as foliovre: -
To (name of deposition officer): Ontellus, Phone No. 877-807-5162
On (date): 8/12/2022 At: (time): 10:00 a.m.
Location (address): 170 E Arrow Highway, San Dimas, CA 91773
Do not release the requested records to the deposition officer prior to the date and Hme stated above.
a. I I by delivering a true, legible, and durable copy of the business records described in Item 3, enclosed in a sealed Inner
wrapper v/tth the title and number of the action, name of witness, and date of subpoena clearly written on it. The Inner
wrapper shall then be enclosed in an outer envelope or wrapper, sealed, and mailed to the deposition officer at the
address in item 1.
b. \ _] by delivering a true, legible, and durable copy of ttie business records described in item 3 to the deposition officer at the
witness's address, on receipt of payment in cash or by d^edk of the reasonable costs of preparing the copy, as determined
under Evidence Code section 1563(b).
c. [ x j by inaldng the original business records described in item 3 available for Inspection at your business address by the
attomey's representative and permitting copying at your business address under reasonable conditions durirtg nonmal
business hours.
The records are to be produced by the date and time shown in Ham 1 (but not sooner than 20 days after the issuance of the
deposition subpoena, or 15 days after service, whichever date is later). Reasonable costs of locating records, making them available
or copying them, and postage, If any, are recoverable as sat forth in Evidence Code section 1563(b). The records shall be
accompanied by an affidavit ofthe custodian or other qualified witness pursuant to Evidence Code section 1561.
The records to be produced are described as follows pf electronically stored information Is demanded, the form or forms in
which each type of information is to be produced may be specified):
Record Subject Sajida Zaman; DOB: 3/19/1965 SSN: xxx-xx-4074
I X I Continued on Attachment 3
IF YOU HAVE BEEN SERVED WTTH THIS SUBPOENA AS A CUSTODIAN O F CONSUMER OR EMPLOYEE RECORDS UNDER
:.CO0E 0 E C M L : P R ( » ; E P U R E SECTIQ^
SERVED ON YOU, A COURT ORDER OR AGREEMENT OF.THE PARTIES. WITNESSES, AND CONSUMER OR EMPLOYEE
AFFECTED MUST B E OBTAINED BEFORE YOU ARE REQUIRED TO PRODUCE CONSUMER OR EMPLOYEE RECORDS.
DISOBEDIENCE OF THIS SUBPOENA MAY B E PUNISHED AS CONTEMPT B Y THIS COURT. YOU WILL ALSO B E LIABLE
FOR THE SUM O F FIVE HUNDRED DOLLARS AND ALL DAMAGES RESULTING FROM Y(S\iR FAILURE TO O B E Y .
Date Issued: _
James Jones
(TYPE OR PRINT NAME)
(Proof of service on reverse) Page 1 of 2
Form Adopted lor Mandatory Use
Juddal Council of Callbmla
DEPOSITION SUBPOENA FOR PRODUCTION Cods or CMI P f t x a d u e , §§2020.410-2020.440
Government Coda, $68097.
SUBP410 IRev. January 1,2012) OF BUSINESS RECORDS
Order No.: 440643-001
Attachment 3 (Records To Be Produced)
Please provide the following records pertaining to:
Sajida Zaman
DOB: 3/19/1965 SSN: xxx-xx^074
Complete medical records from the first date of treatment to the present, including but not
limited to any records/documents that may be stored digitally and/or electronically:
TeleHealth Records and any recordings, documents, con-espondence, correspondence
from the patient or patient's attomey, patient intake forms, copies of health insurance
cards and photo ID'S, medical reports, doctor's entries, nurse's notes, medication
administration records, office notes, progress reports, cardiology reports, radiology reports,
x-ray reports, MRI reports, CT reports, myelogram reports, lab reports, pathology reports,
monKor strips, physical therapy records, occupational therapy records, case history,
emergency records, outpatient records, diagnosis and prognosis documentation, admit
and discharge records, notation(s) on any file folder, All emails between physicians and
the patient regarding physical complaints, symptoms, and treatment, including secure
messages, and every such record, including those existing in electronic or magnetic form,
in the possession, custody or control of the said witness, and every such record to which
the witness may have access.
The date range of records needed is Any and all records.
Order No.: 440643-001
SUBP-010
Sajida Zaman C A S E NUMBER:
V.
Ltqul-BOX corporation, and DOES 1 througti 20, inclusive 34-2019-00252121-CU-WT-GDS
PROOF OF SERVICE OF DEPOSITION SUBPOENA FOR
PRODUCTION OF BUSINESS RECORDS
1. I sen/ed this Deposition Subpoena forPmduction of Business Records by personally delivering a copy to the person served as
a. Person sen/ed (name):
b. Address where served: n Timothy Mar, M.D.
n. Sacramento Orttiopedic Center
2801 K Street, #330
Sacramento, CA 95816
c. Date of delivery:
d. Time til delivery:
e. (1) n Witness fess were paid.
Amount $
(2) Q Copying fees were paid.
Arhount $
Fee for service $.
2.1 received this subpoena for sen/Ice on (dafe):
3. Person Serving:
a. Not a registered Califomia process server
b. California sheriff or marshal
c. _ Registered California process server
d. Employee or Independent contractor of a registered Califomia process server
e. Exempt from registration under Business of a Professions Code section 22350(b).
f. Registered professional photocopier.
g- J Exempt from registration under Business of a Professions Code section 22451.
h. Name, address, telephone number, and. If applicable, county of registration and number
Ontellus, 170 E. Anow Highway, San Dimas, CA 91773; 800-229-7477
County of Los Angeles
Registration Number 2017084325
I declare under penalty of perjury under the laws of the State of (ForCaDfomla sherfffor mareh^
•California that tBa^fbire^^ ll_(^rtifv-that!^tti&fbiBgQirH3-is.tru
Date:
..(SiaNATURE). (SIGNATURE).
Form Adopted tor Mandatory Use DEPOSITION SUBPOENA FOR PRODUCTION Coda of Ova Procatm, §$2020.410-2020.440
Judicial CouncB ol Calfomla Government Code, §M0S7.
SIAPO10 [Rgv. Janusy 1,2012] OF BUSINESS RECORDS
Order No.: 440643-001
EXHIBIT B
uM
LIBERTY IVIAN LAW, P.C.
lOIOFStreet, Ste. 300
Sacramento, Califomia 95814
Tel.: (916) 573-0469
Fax: (866) 700-0787
Email: ash@libertvmanlaw.com
www.iibertvmanlaw.com
July 28, 2022
SENT VIA EMAIL
CcrJACKSON LEWIS P.C.
Attn: JAMES T. JONES
400 Capitol Mall, Suite 1600
Sacramento, Califomia 95814
Email: iames.iones(a),iacksonlewis.com
Kellv.Asano(S)iacksonlewis.com
SENT VIA U.S. MAIL
Cc: Timothy Mar, M.D.
Sacramento Orthopedic Center
2801 K Street, #330
Sacramento, CA 95816
Re: Zaman v. Liqui-Box Corporation, et al., Case No.: 34-2019-00252121
Meet and confer re: medical records subpoena for Plaintiff Sajida Zaman.
Counsel:
Our office received your recent subpoena for Plaintiff Sajida Zaman's ("Plaintiff) medical
records at Sacramento Orthopedic Center, wherein Defendant Liqui-Box Corporation
("Defendant") requested the following documents:
"Complete medical records from the first date of treatment to the present, including
but not limited to any records/documents that may be stored digitally and/or electronically:
TeleHealth Records and any recordings, documents, correspondence, correspondence from
the patient or patient's attomey, patient intake forms, copies of health insurance cards and
photo ID's, medical reports, doctor's entries, nurse's notes, medication administration
records, office notes, progress reports, cardiology reports, radiology reports, x-ray reports,
MRI reports, CT reports, myelogram reports, lab reports, pathology reports, monitor strips,
physical therapy records, occupational therapy records, case history, emergency records,
outpatient records, diagnosis and prognosis documentation, admit and discharge records,
notation(s) on any file folder. All emails between physicians and the patient regarding
physical complaints, symptoms, and treatment, including secure messages. And every such
record, including those existing in electronic or magnetic form, in the possession, custody
or control of the said witness, and every such record to which the witness may have access.
The date rage of records needed is Any and all records."
1 of 3
(emphasis added.)
This request for Plaintiffs medical records is clearly overbroad and intended to harass our
client by violating her right to medical privacy as to records not related to her instant wrongful
termination suit against Defendant.
"In evaluating privacy claims, considerations which, among others, will affect the exercise
of the trial court's discretion include the purpose of the information sought, the effect that
disclosure will have on the parties and on the trial, the nature of theobiections urged by the
party resisting disclosure, and ability of the court to make an alternative order which may
grant partial disclosure, disclosure in another form, or disclosure only in the event that the
party seeking the information undertakes certain specified burdens which appear iust under
the circumstances." {Alch v. Superior Court (2008) 165 Cal.App.4th 1412, 1425-26 [emphasis
added][citations omitted].)
Plaintiff has a statutory physician-patient privilege to her medical records. (See Evid. Code
§§ 990, 1014.) She also has an "inalienable right of privacy" provided by the Califomia
Constitution, Article 1 § 1. Here, the language in the subpoena must not include any medical
records referring to any medical conditions not claimed in the lawsuit, which in this case are
Plaintiffs disabilities and emotional distress. As confirmed in Hale v. Superior Court (1994) 28
Cal.App.4th 1421, 1424, even if part of a medical condition is at issue, it does not follow that the
plaintiff waived the privilege as to otherwise-protected aspects of her medical history during her
lifetime, or some condition that they may have suffered from at the time of her termination which
is clearly unrelated to the termination.
In addition, the court m Britt v. Sup. Ct. (1978) 20 Cal.3d 844, 863-64, explained that,
"[PJlaintiffs are not 'obligated to sacrifice all privacy to seek redress for a specific [physical],
mental or emofional injury'; while they may not withhold information which relates to any
physical or mental condition which they have put in issue by bringing this lawsuit, they are entitled
to retain the confidentiality of all unrelated medical or psychotherapeutic treatment they may have
undergone in the past." The burden is on the party seeking the constitutionally protected
information to establish direct relevance. Mere speculation that portions ofthe medical records
might be relevant to some substantive issue is not enough. (See also Davis v. Superior
Court (1992) 7 Cal.App.4th 1008, 1117, 1120.)
Further, while Code of Civil Procedure § 2017.010 allows a party to obtain discovery
regarding any matter not privileged so long as the requests are reasonably calculated to lead to the
discovery of admissible evidence, the statute does not give counsel the right to engage in improper
fishing expeditions. In Greyhound Corp. v. Superior Court {1961) 56 Cal.2d 355, 384-85, the
Supreme Court of Califomia stated:
"The method of'fishing' may be, in a particular case, entirely improper (i.e., insufficient
identification of the requested information to acquaint the other party with the nature of
information desired, attempt to place the burden and cost of supplying information equally
available to both solely upon the adversary, placing more burden upon the adversary
than the value ofthe information warrants, etc.)"
(emphasis added.)
2 of 3
We understand if the requests are reasonably limited to records regarding Plaintiffs
specific disabilities and/or related treatments, as well as records related to her emotional distress.
But to broadly request "Any and all records" and "Complete medical recordsfromthe first date of
treatment to the present" goes beyond what is directly relevant to the case at hand. Indeed, the
subpoena language is so broad that it does not limit its request to the knee or hamstring disabilities
Plaintiff alleges in her operative complaint, but broadly requests documents related to any
disability or medical condition whatsoever, and incidental documents such as what
communications healthcare providers have had with Plaintiff regarding her records outside the
scope of this case. In short, the proposed subpoena language is ngt directly relevant to the case at
hand and is overbroad as to scope.
Defendant cannot use the subpoena power to unearth and uncover every bit of personal and
private detail of Plaintiff s medical history. As such, the scope of the proposed subpoena language
must be curtailed to not infringe on Plaintiff s rights to privacy.
Please let me know by August 4, 2022 whether you will agree to modify the scope of the
subpoena to only seek Plaintiffs medical records in relation to her knee/hamstring disabilities
involved in this case and related emotional distress—otherwise we will file a motion to
quash/modify the scope of the subpoena and seek sanctions.
Regards,
Arash S. Khosrowshahi, Attomey at Law
Cc: Sajida Zaman
Joshua Falakassa
Kasra Torabi
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EXHIBIT C
8/5/22,10:40 AM Liberty Man Law, P.C. Mail - Zaman v. Liqui-Box Corp: meet and confer re: medical record subpoenas
m 311 Arash Khosrowshahi
Zaman v. Liqui-Box Corp: meet and confer re: medical record subpoenas
Arash Khosrowshahi Mon, Aug 1, 2022 at 10:00 AM
To: "Jones, James T. (Sacramento)"
Cc: "Asano, Kelly H.. (Sacramento)" , Joshua Falakassa , Kasra
Torabi ,
HI James,
Hope you had a great weekend.
I am following up on my email Friday. Are you proposing a limitation in scope as to PlajntifTs disabilities Involved in this
case and emotional distress, along with the 2013 workers compensation injury, for all ofthe subpoenas, or just the one
Issued to Travelers?
Please clarify soon as the motion to quash deadline Is fast approaching.
Regards,
Arash "Ash" Khosrowshahi, Esq. (he/hIm)
Liberty Man Law, P.C.
1010 F Street, Ste. 300
Sacramento, CA 95814
Tel.: (916) 573-0469
Fax: (866) 700-0787
ash@libertymanlaw.com
www.libertymanlaw.com
"The victorious win and then go to war, the defeated go to war and then seek to win." ~ Sun Tzu
OM
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On Fri, Jul 29, 2022 at 1:15 PM Arash Khosrowshahi wrote:
James,
Is your proposal re: the 2013 injury only as to the Travelers' subpoena or as to all ofthe medical record subpoenas?
Regards,
Arash "Ash" Khosrowshahi, Esq. (he/hIm)
Liberty Man Law, P.C.
1010 F Street, Ste. 300
Sacramento, CA 95814
Tel.: (916) 573-0469
Fax: (866) 700-0787
ash@libertymanlaw.com
www.libertymanlaw.com
https://mail.google.corn/mail/u/0/?ik=2c35811dd3&wew=pt&search=all&pernimsgid=msg-a%3Ar4325038082277996702&dsqt=1&simpl=m 1/4
8/5/22,10:40 AM Liberty Man Law, P.C. Mail - Zaman v. Liqui-Box Corp: meet and confer re: medical record subpoenas
"The victorious win and then go to war, the defeated go to war and then seek to win." ~ Sun Tzu
DM
CONFIDENTIAL NOTICE:
This email and any files transmitted with it are confidential and intended solely for the use of the Individual or
entity to whom they are addressed. If you have received this email In error please notify the sender. This
message contains confidential Information and is intended only for the individual named. If you are not the
named addressee you should not disseminate, distribute or copy this e-mail. Please notify the sender
immediately by e-mail if you have received this e-mail by mistake and delete this e-mail from your system. If
you are not the intended recipient you are notified that disclosing, copying, distributing or taking any action in
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On Fri, Jul 29, 2022 at 11:38 AM Jones, James T. (Sacramento) wrote:
Ash,
It should also include references in that file related to the 2013 injury that you placed at issue in your opposition to
the MSJ and any other condition that precluded her from working. However, if her WC file refers to medical
information unrelated to these issues, we can definitely limit it. I do not need or want to know her whole medical
history.
Can we agree on these parameters?
James T. Jones
Attorney at Law
Jackson Lewis P.C.
400 Capitol Mall
Suite 1600
Sacramento, CA 95814
Direct: (916) 288-3020 | Main: (916) 341-0404
James.Jonesta>iacksonlewis.com | www.jacksonlewis.com
From: Arash Khosrowshahi
Sent: Friday, July 29, 2022 11:24 AM
To: Jones, James T. (Sacramento) ; Asano, Kelly H.. (Sacramento)
Co: Joshua Falakassa ; Kasra Torabi
Subject: Re: Zaman v. Liqui-Box Corp: meet and confer re: medical record subpoenas
[EXTERNAL SENDER]
Counsel,
Please see this additional meet and confer letter related to the Travelers' subpoena.
https://mail.google.com/mail/u/0/?ik=2c35811dd3&view=pt&search=all&perTnmsgid=msg-a%3Ar4325038082277996702&dsqt=1&simpl=msg-a%3Ar4... 2/4
8/5/22,10:40 AM Liberty Man Law, P.C. Mail - Zaman v. Liqui-Box Corp: meet and confer re: medical record subpoenas
Regards,
Arash "Ash" Khosrowshahi, Esq. (he/him)
Liberty Man Law, P.C.
1010 F Street, Ste. 300
Sacramento, CA 95814
Tel.: (916) 573-0469
Fax: (866) 700-0787
ash@libertymanlaw.com
www.libertymanlaw.com
"The victorious win and then go to war, the defeated go to war and then seek to win." ~ Sun Tzu
CONFIDENTIAL NOTICE:
This email and any files transmitted with It are confidential and Intended solely for the use of the Individual or
entity to whom they are addressed. If you have received this email In error please notify the sender. This
message contains confidential information and Is intended only for the individual named. If you are not the
named addressee you should not disseminate, distribute or copy this e-mail. Please notify the sender
immediately by e-mail if you have received this e-mail by mistake and delete this e-mail from your system. If
you are not the intended recipient you are notified that disclosing, copying, distributing or taking any action in
reliance on the contents of this information Is strictly prohibited.
On Thu, Jul 28, 2022 at 5:13 PM Arash Khosrowshahi wrote:
I Counsel,
Please review the attached meet and confer letters.
Regards,
Arash "Ash" Khosrowshahi, Esq. (he/him)
Liberty Man Law, P.C.
1010 F Street, Ste. 300
Sacramento, CA 95814
Tel.: (916) 573-0469
Fax: (866) 700-0787
https://mall.gDogle.com/mail/u/0/?ik=2c35811 dd3&view=pt&searcti=all&pemimsgid=msg-a%3Ar4325038082277996702&dsqt=1 &simpl=msg-a%3Ar4... 3/4
8/5/22,10:40 AM Liberty Man Law, P.C. Mail - Zaman v. Liqui-Box Corp: meet and confer re: medical record subpoenas
ash@libertymanlaw.com
www.libertymanlaw.com
"The victorious win and then go to war, the defeated go to war and then seek to win." ~ Sun Tzu
CONFIDENTIAL NOTICE:
This email and any files transmitted with It are confidential and intended solely for the use of the individual
or entity to whom they are addressed. If you have received this email In error please notify the sender. This
message contains confidential Information and Is Intended only for the Individual named. If you are not the
named addressee you should not disseminate, distribute or copy this e-mail. Please notify the sender
Immediately by e-mail if you have received this e-mail by mistake and delete this e-mail from your system.
If you are not the Intended recipient you are notified that disclosing, copying, distributing or taking any
action in reliance on the contents of this information is strictly prohibited.
https://mail.google.com/mail/u/0/?ik=2c35811 dd3&view=pt&search=all&permmsgid=msg-a%3Ar4325038082277996702&dsqt=1 &simpl=msg-a%3Ar4... 4/4