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- ilnd;;1:19-cv-02612_de73 RegisterActionDate "2020-07-15" @default.
- ilnd;;1:19-cv-02612_de73 RegisterActionDescriptionText "MINUTE entry before the Honorable Young B. Kim: Status hearing held and continued to August 17, 2020, at 11:00 a.m. by phone. Parties are to use the same call-in information. Pursuant to the discussion held during the status hearing, Defendant Illinois State Police ("ISP") is ordered to supplement its initial written discovery responses to Plaintiff's written discovery requests as follows: (a) in response to Request to Produce ("RTP") Nos. 1 and 4, ISP is ordered to disclose when it issued a mobile phone for Defendant Kevin Winslow's use; (b) ISP must either produce ESI responsive to RTP No. 11 or indicate that it does not have any other responsive documents; (c) in response to Interrogatory ("INT") Nos. 17 and 18 and RTP Nos. 14-18, ISP must compile and produce a complaint log, and the log must include columns for complaint numbers, the date of the complaint, the nature of the complaint, whether Pat Callahan, Aaron Fullington, Victor Markowski, or Winslow were identified as responsible officials, whether ISP investigated the complaint, and the nature of any official action taken in response to the complaint; (d) in response to RTP Nos. 31 and 37, ISP must produce performance evaluations and disciplinary records (covering the time period of 2014 to the present) pertaining to concerns about Markowski's and/or Fullington's discriminatory conduct or employment decisions; (e) in response to INT No. 13 and RTP Nos. 41 and 63-68, ISP must provide the overtime hours worked by the male Special Agents assigned to the two work zones which hired one Special Agent each in mid-2018 for the time period from the earlier of the two promotion selection dates to the present; and (f) ISP must explain its assertion of the privilege and the scope to which the privilege applies in response to INT Nos. 2-3. Also, Plaintiff is ordered to provide a copy of her personal communications (must search personal email accounts and personal social media accounts) pertaining to the claims asserted in this case in response to ISP's RTP No. 4. Both sides are to comply with this order as well as the order entered earlier today, (R. 72), by August 7, 2020. ISP must produce the ESI it collected using the search term "Kromm" by this same deadline. Written discovery is now closed, except for supplementing earlier discovery responses as required under Rule 26(e) and serving requests to admit and subpoenas for records. If the parties wish to serve supplemental written discovery requests, they must seek leave of court by filing a motion and attaching the proposed set of supplemental requests as an exhibit to the motion. The fact discovery deadline of August 31, 2020, is stricken. Mailed notice (ma,) (Entered: 07/15/2020)" @default.
- ilnd;;1:19-cv-02612_de73 AdministrativeID "73" @default.