Anderson's testimony live in court, the Court will more readily be able to assess Ms. Anderson will provide unique testimony unavailable from any other witness in this matter. ![]() Anderson will assist the Court's ultimate decision in this matter. Moreover, CGEY's motion is deficient and untimely. ![]() Anderson's situation is materially different from any other witness listed to appear live in this matter. CGEY's motion should be denied because CGEY fails to meet its burden under Rule 45 to quash a subpoena. LLC ("CGEY") is petitioning this Court to quash a subpoena duly served upon Lynn Anderson, Vice President of Technology Services, CGEY, because she was deposed during discovery and a videotape of her deposition is available. ![]() DEPARTMENT OF JUSTICE, ANTITRUST DIVISIONĪttorneys for Plaintiff the United States of AmericaĪlso filed on behalf of 10 Plaintiff States (See signature block)ĬapGemini, Ernst & Young U.S. For an official signed copy, please contact the Antitrust Documents Group. To view the PDF you will need Acrobat Reader, which may be downloaded from the Adobe site. ![]() This document is available in two formats: this web page (for browsing content), and PDF (comparable to original document formatting).
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