Matches in SCALES for { <scales/DocketEntry/ilnd;;1:08-cv-06912_de191> ?p ?o ?g. }
Showing items 1 to 4 of
4
with 100 items per page.
- ilnd;;1:08-cv-06912_de191 RegisterActionDate "2010-08-09" @default.
- ilnd;;1:08-cv-06912_de191 RegisterActionDescriptionText "MINUTE entry before Honorable Sheila Finnegan: For purposes of considering Plaintiff's Motion to Compel Documents Withheld on Claim of Privilege 176 , Defendants are to: (1) supplement the privilege logs for any document that is identified on the logs with an asterisk by (a) identifying all recipients where the log states "et al" and (b) specifying whether the document has been withheld based on the attorney-client privilege, the attorney work product doctrine, or both; and (2) deliver to the court for in camera inspection the following documents discussed in Plaintiff's motion: (a) emails between the Law Firms COO and Director of Human Resources described on Log, Part I, p. 3; (b) emails with subject matter "mediation", "EEOC Charge" and "Confidential" described on Log, Part I, p. 3, 6; (c) emails involving the Director of Human Resources described on Log, Part I, pp.3-4 and Part II, pp. 3, 22, 24, 26-28, 30-33; (d) emails addressing personnel and staffing matters within days of when plaintiff was fired that are described on Log, Part II, pp. 11, 12; (e) emails with the subject "1/28/2008" that are described on Log, Part II, p. 12; (f) emails related to "new hires" and a "great employee" described on Log, Part II, pp 27-28; (g) emails referencing "Opin" dated January 30, 2008 described on Log, Part II, pp. 8, 28; and (h) all remaining emails identified on the Logs by an asterisk. Defendants are given until August 16, 2010 to comply with this order. Mailed notice. (is, ) (Entered: 08/09/2010)" @default.
- ilnd;;1:08-cv-06912_de191 AdministrativeID "193" @default.
- ilnd;;1:08-cv-06912_de191 hasReferenceToOtherEntry ilnd;;1:08-cv-06912_de174 @default.