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Small v. FV-I, Inc.

United States District Court, W.D. North Carolina, Charlotte Division

January 3, 2018

DESIREE SMALL, Plaintiff,
v.
FV-I, INC., TRUSTEE FOR MORGAN STANLEY CAPITAL HOLDINGS, LLC; and SPECTRUM FIELD SERVICES, INC., Defendants.

          Julian H. Wright, Jr. Attorney for Plaintiff

          ROBINSON, BRADSHAW & HINSON, P.A., Donald R. Pocock N.C. Bar No. Attorney for Defendant FV-I, Inc., Trustee for Morgan Stanley Capital Holdings, LLC

          LEGAL AID OF NORTH CAROLINA, INC., John Thomas Crook N.C. Bar No. jcrook@bdixon.com Attorney for Defendant Spectrum Field Services, Inc. BAILEY & DIXON, LLP

          NELSON MULLINS RILEY & SCARBOROUGH, LLP, Bull Melanie Tarrant Bull N.C. Bar No. 35604 Attorney for Plaintiff

          CONSENT PROTECTIVE ORDER

          David C. Keesler United States Magistrate Judge

         Upon motion of Plaintiff Desiree Small (“Plaintiff”) and Defendants FV-I, Inc., Trustee for Morgan Stanley Capital Holdings, LLC and Spectrum Field Services, Inc. (“Defendants”) and for good cause shown, the Court enters the following Consent Protective Order pursuant to Fed.R.Civ.P. 26(c):

         IT IS THEREFORE ORDERED:

         1. That the documents, testimony, interrogatory answers and other information in the following categories shall be kept confidential and shall not be disclosed to anyone except as set forth below:

         (a) All documents, information, or testimony containing or relating to confidential, proprietary, research, development, business information and/or trade secrets that any party designates as “CONFIDENTIAL” and produces to another party in response to that party's interrogatories, requests for production of documents, or other discovery requests;

         (b) All financial documents, information, or testimony, including but not limited to financial records, financial statements, bank statements, canceled checks or deposit slips, pro formas, business plans or projections, corporate tax returns, budgets, and any other financial information and documents that any party designates as “CONFIDENTIAL” and produces to another party in response to that party's interrogatories, requests for production of documents, or other discovery requests;

         (c) All documents, information, or testimony containing or relating to information that is confidential or proprietary to Plaintiff's or Defendants' clients and customers, including but not limited to financial information, market research, proprietary, research, development, business information and/or trade secrets that any party designates as “CONFIDENTIAL” and produces to another party in response to that party's interrogatories, requests for production of documents, or other discovery requests;

         (d) All documents or testimony containing personnel information, including compensation data, of the employees of Plaintiff or Defendants or their affiliates, that any party designates as “CONFIDENTIAL” and produces to another party in response to that party's interrogatories, requests for production of documents, or other discovery requests;

         (e) All documents or testimony containing private or personal information of a sensitive nature, including without limitation health information of any persons connected with Plaintiff or Defendants or their affiliates, that any party designates as “CONFIDENTIAL” and produces to another party in response to that ...


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