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JUSTIN JORDAN, IN THE DISTRICT COURT
VS. OF HARRIS COUNTY, T E X A S
VOPAK TERMINAL DEER PARK INC.
AND VOPAK NORTH AMERICA INC.
(d/b/a VOPAK AMERICAS), § 129TH JUDICIAL DISTRICT
SUBPOENA DUCES TECUM TO SUZANNE YOUNG
TO ANY SHERIFF OR CONSTABLE OF THE STATE OF TEXAS OR OTHER PERSON
AUTHORIZED TO SERVE AND EXECUTE SUBPOENAS AS PROVIDED IN RULE 1
RULES OF CIVIL PROCEDURE.
YOU ARE HEREBY COMMANDED TO SUMMON: Suzanne Young
8602 Zac Lentz Parkway, Apt. 411
l Place, 711 Louisiana, Suite
tangible things, to wit: SEE ATTACHE
to return this writ to said Court, with return thereon, showing the manner of
Respectfully submitted,
BRACEWELL LLP
/s/ William A. Moss
Christopher L. Dodson
tate Bar No. 24050519
William A. Moss
State Bar No. 24078041
Email: Chris.dodson@bracewell.com
Email: Will.moss@bracewell.com
TTORNEYS FOR EFENDANT
ERMINAL EER
MERICA
MERICA
OFFICER'S RETURN ON NEXT PAGE
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Came to hand the day of ______, 2018, at o'clock _.m., and executed the ____
day of ______, 2018, at _____ o'clock _.m., by delivering to the within named
__________________________ in person at ___________________________________________ in
_____________________, a true copy of this Subpoena, and tendering said witness the sum of $10.00.
By Deputy:
Sheriff/Constable
____________
By:
Person who is not a party to the suit, and is not l
18 years of age
ACCEPTANCE OF SERVICE OF SUBPOENA BY WITNESS PER RULE 176 T.R.C
I, the undersigned witness name ceipt of a copy thereof, and hereby
subpoena, and will produce documents on said date and time directed in this
subpoena.
Rule 176.8(a) Contempt. Failure by any person without adequate excuse to obey a subpoena served
upon that person may be deemed a contempt of the court from which the subpoena is issued or a
district court in the county in which the subpoena is served, a
confinement, or both.
SIGNATURE OF WITNESS DATE
************************************************************************************
for the following reasons:
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EXHIBIT “A”
REQUESTS FOR PRODUCTION
All pictures, images, or videos of November 16, 2016 to present.
ANSWER:
All cell phone(s) and text message records for November 16, 2016 to present with, relating to, or
mentioning Plaintiff Justin Jordan, the Lawsuit, or his alleged injuries, including, but not limited
to the identification and time of incoming and outgoing calls and text messages.
ANSWER:
All images, pictures, videos, posts, or content from any social media account you maintain,
including, but not limited to Facebook, Instagram, and Twitter, concerning or referring to
rom November 16, 2016 to present.
ANSWER:
For each Facebook account maintained by you, please produce your account data for the period
of November 16, 2016 through present. You may download and print your Facebook data by
logging onto your Facebook account, selecting “Account Settings” under the “Account” tab on
your homepage, clicking on the “learn more” link beside the “Download Your Information” tab,
page.
ANSWER:
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Please produce all pictures and content for each Instagram account maintained by you for the
period of November 16, 2016 through present.
ANSWER:
Please produce all pictures and content for each Twitter account maintained by you for the
period of November 16, 2016 through present.
ANSWER:
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