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STIPULATED PROTECTIVE ORDER GOVERNING CONFIDENTIAL INFORMATION
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ORDER-GOVERNING THIRD PARTY DISCOVERY
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SUBPOENA PARTIES COURT DISCOVERY REACH AGREEMENT OUTSTANDING MANNER THIRD PARTIES PROCEEDS ENTRY UNITED STATES ENSURING RELATING EXPEDITIOUS MANNER JURISDICTION ORDER DIRECTING SUBSEQUENT SUBPOENA UNITED STATES DISTRICT ORDER GOVERNING THIRD UNDUE UNREASONABLE DELAY DISCOVERY DISPUTES RELATING CONSISTENT EFFICIENT MANNER FAIRNESS COUNSEL SERVE DEPOSITION PROCEDURES SET CONNECTION |
IN THE UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF KANSAS
)
UNITED STATES OF AMERICA, ))
Plaintiff, )) Civil Action No. 99-1180-JTM
v. ))
AMR CORPORATION, )
AMERICAN AIRLINES, INC, and )
AMERICAN EAGLE HOLDING )
CORPORATION, ))
Defendants. ))
ORDER GOVERNING THIRD PARTY DISCOVERY
WHEREAS the Court has an interest in ensuring that all discovery proceeds in a manner so as
not to cause undue or unreasonable delay;
WHEREAS the Court has an interest in providing the parties with a means by which all
discovery disputes relating to third parties are resolved in a consistent and efficient manner;
WHEREAS the Court has an interest in providing fairness and an opportunity to be heard to
any third party that is served with a subpoena in this case; and
WHEREAS in the interest of ensuring that discovery of third parties proceeds in an orderly
expeditious manner, the parties, by and through their counsel in this action, have agreed to the
this Order relating to discovery of third parties:
IT IS HEREBY ORDERED that the parties shall take all appropriate steps to ensure that
discovery of third parties proceeds in an orderly and expeditious manner;
IT IS HEREBY ORDERED that within 15 days from the date of entry of this Order, each
party shall serve a copy of this Order on any third party to whom it has propounded a subpoena for
documents or for a deposition and with whom such party has been unable to reach agreement on all
outstanding issues.
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3
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AMENDED NOTICE OF DEPOSITION
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BEACH UNITED STATES PLAINTIFF DEPOSITION DISTRICT COURT AMR AMERICAN AIRLINES DEFENDANTS PURSUANT CIV COUNSEL YORK ANTITRUST DIVISION JUSTICE SUITE DALLAS BEACH AREA SALES MARKETING EFFORTS RELATING REINSTATEMENT NONSTOP WORTH TRAVEL AGENCIES DIRECT MAILINGS AADVANTAGE MEMBERS FESTIVITIES RADIO TELEVISION ADVERTISING |
IN THE UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF KANSAS
)
UNITED STATES OF AMERICA, ))
Plaintiff, )) Civil Action No.:99-1180-JTM
v. ))
AMR CORPORATION, )
AMERICAN AIRLINES, INC., and )
AMR EAGLE HOLDING )
CORPORATION, ))
Defendants. )
____________________ __________)
AMENDED NOTICE OF DEPOSITION
PURSUANT TO FED. R. CIV. P. 30(b)(6)
(DFW-LGB)
TO: CLERK OF THE COURT
COUNSEL FOR DEFENDANTS
Helene Jaffe
Weil Gotshal & Manges L.L.P.
767 Fifth Avenue
New York, New York 10153
PLEASE TAKE NOTICE that, pursuant to Fed. R. Civ. P. 30(b)(6) and 45 and LR
30.1, plaintiff will take the depositions upon oral examination, to be recorded by
stenographic means and videotape, at the offices of the Antitrust Division of the
Department of Justice, Thanksgiving Tower, 1601 Elm Street, Suite 4950, Dallas, Texas
75201, of American Airlines, Inc. and AMR Eagle Holding Corporation (collectively
"American"). American is requested to designate the person or persons most
knowledgeable and prepared to testify on behalf of American concerning the subject
matter described on Attachment A hereto. The deposition(s) will commence at 9:00 a.m.
on August 31, 2000. If necessary, each deposition will be adjourned until completed.
Dated: August 28, 2000
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