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Delgado v. MarketSource, Inc., 17-cv-07370-LHK. (2018)

Court: District Court, N.D. California Number: infdco20181010b20 Visitors: 13
Filed: Oct. 09, 2018
Latest Update: Oct. 09, 2018
Summary: ORDER RE STIPULATION RE: PROVISION AND USE OF PUTATIVE CLASS MEMBERS' CONTACT INFORMATION Re: Dkt. No. 40 VIRGINIA K. DEMARCHI , Magistrate Judge . Pursuant to the Court's August 28, 2018 Order (Dkt. No. 29 at 6:4-11), the Parties have met and conferred regarding the process by which Plaintiff will obtain the contact information of putative class members. 1. The parties will make use of the Belaire-West notification process and have agreed upon the language of such a notice. 2. Defend
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ORDER RE

STIPULATION RE: PROVISION AND USE OF PUTATIVE CLASS MEMBERS' CONTACT INFORMATION

Re: Dkt. No. 40

Pursuant to the Court's August 28, 2018 Order (Dkt. No. 29 at 6:4-11), the Parties have met and conferred regarding the process by which Plaintiff will obtain the contact information of putative class members.

1. The parties will make use of the Belaire-West notification process and have agreed upon the language of such a notice.

2. Defendant has already provided the contact information for putative class members to an agreed-upon third-party administrator to disseminate Belaire-West notice. This information was designated as CONFIDENTIAL and subject to the stipulated protective order. Dkt. No. 39 at 9:3-13.

3. To protect the confidentiality of putative class members' contact information, the parties have stipulated to, and this Court has entered, a protective order which provides:

Contact information and Employment Records for Putative Class Members and Allegedly Aggrieved Employees Shall Be Used in This Litigation Only and Are Prohibited from Use or Disclosure Otherwise. Notwithstanding any other provisions herein, the parties recognize that the private contact information and employment records for some or all putative class members and allegedly aggrieved employees will be produced during the pendency of this litigation. None of the contact information or employment records of putative class members shall be used for any purpose outside of this litigation, and will not be disseminated to any third party under any circumstances, except where agreed to in writing by counsel for both parties or in accordance with the procedures set forth in this Stipulated Protective Order for the disclosure of documents and information designated as "CONFIDENTIAL" to authorized persons under section 7.2, or as required by law.

Dkt. No. 39 at 9:3-13.

PURSUANT TO STIPULATION, IT IS SO ORDERED.

Source:  Leagle

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