Escolar Documentos
Profissional Documentos
Cultura Documentos
Plaintiff,
v.
Defendants.
Ticketmaster LLC,
Counter Claimant,
v.
Counter Defendant.
THIS MATTER comes before this Court upon the Motion to Compel filed by
1 retention, and shall provide a declaration showing what steps were taken to locate
2 documents responsive to Songkicks discovery requests.
3 2.
Defendants shall produce all data responsive to Request Nos. 14, 44, 52, and
4 81 (Ticket Sales Data Requests) by no later than November 15, 2016. Defendants
5 shall pay Songkicks costs associated with pursuing its Motion to Compel with
6 respect to the Ticket Sales Data Requests.
7 3.
8 LNE shall produce all materials responsive to Songkicks Requests for Production
9 Nos. 19-51, 53-60, 63-64, 67-71, 74-76, 78, 80-90, 92, 94-96, and 98. Specifically,
10 LNE shall review and produce all non-privileged, responsive documents from the
11 approximately 55,000 documents that LNEs counsel has already collected from the
12 custodial files of LNE Custodians Mark Campana, Bob Roux, Ryan McElrath,
13 David Zedeck, Bill Dwight, Omar Al-Joulani, Brad Wavra, and Kelly Stelbasky.
14 4.
21 schedule, if Defendants cannot produce all documents set forth above no later than
22 November 15, 2016, this Court hereby recommends to Judge Fischer that any
23 related follow-up discovery be permitted beyond the January 2017 discovery cutoff.
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IT IS SO ORDERED.
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