United States District Court, D. Nevada
ANN CROPPER, as Special Administrator of the ESTATE OF DARYL CROPPER, Deceased; and ANN CROPPER, individually and as heir to the ETSTE OF DARYL CROPPER, Plaintiff,
WAL-MART STORES INC., DOES MAINTENANCE COMPANY; DOES 1-20; and ROE BUSINESS ENTITIES 1-20, inclusive, Defendants.
RICHARD HARRIS LAW FIRM JOSHUA DOWLING, ESQ. Nevada Bar No.
12956 Attorneys for Plaintiff.
PHILLIPS, SPALLAS & ANGSTADT LLC ROBERT K. PHILLIPS, ESQ.
Nevada Bar No. 11441 MEGAN E. WESSEL, ESQ. Nevada Bar No.
14131 Attorneys for Defendant Wal-Mart Stores, Inc.
STIPULATED PROTECTIVE ORDER BETWEEN PLAINTIFF ANN
CROPPER AND DEFENDANT WAL-MART STORES, INC.
parties to this action, Defendant WAL-MART STORES, INC.
(“Walmart” or “Defendant”) and
Plaintiff ANN CROPPER (“Plaintiff”)
(collectively, the “Parties”), by their
respective counsel, hereby stipulate and request that the
Court enter a stipulated protective order pursuant as
Protective Order shall be entered pursuant to the Federal
Rules of Civil Procedure.
Protective Order shall govern all materials deemed to be
“Confidential Information.” Such Confidential
Information shall include the following:
(a) Any and all documents referring or related to
confidential and proprietary human resources or business
information; financial records of the parties; compensation
of Defendant's current or former personnel; policies,
procedures and/or training materials of Defendant and/or
Defendant's organizational structure;
(b) Any documents from the personnel, medical or workers'
compensation file of any current or former employee or
(c) Any documents relating to the medical and/or health
information of any of Defendant's current or former
employees or contractors;
(d) Any portions of depositions (audio or video) where
Confidential Information is disclosed or used as exhibits.
the case of documents and the information contained therein,
designation of Confidential Information produced shall be
made by (1) identifying said documents as confidential in
either parties' FRCP 26(a) disclosures and any
supplements thereto; (2) placing the following legend on the
face of the document and each page so designated
“CONFIDENTIAL;” or (3) otherwise expressly
identified as confidential via written correspondence.
Defendant will use its best efforts to limit the No. of
documents designated Confidential.
Confidential Information shall be held in confidence by each
qualified recipient to whom it is disclosed, shall be used
only for purposes of this action, shall not be used for any
business purpose, and shall not be disclosed to any person
who is not a qualified recipient. All produced Confidential
Information shall be carefully maintained so as to preclude
access by persons who are not qualified recipients.
Qualified recipients shall include only the following:
(a) In-house counsel and law firms for each party and the
secretarial, clerical and ...