Plaintiff Peter M. Wagner, Jr., brings this Motion Contesting Privilege Claim re: Rob McCutcheon. At issue are three documents. Two documents are redacted email, one of which inadvertently disclosed information defendants claim is subject to the attorney-client privilege. The third document has not been produced in any form. The documents are identified as (1) Reading-PW001961, (2) Reading-PW001962, and (3) ESI006468. The documents are communications between Jennifer Deering and Rob McCutcheon. Ms. Deering is the District Manager for defendants. Mr. McCutcheon is a risk management consultant/investigator.

"'[C]onfidential communication between client and lawyer' means information transmitted between a client and his or her lawyer in the course of that relationship and in confidence by a means which, so far as the client is aware, discloses the information to no third persons other than those who are present to further the interest of the client in the consultation or those to whom dis