MOTION to Compel Production of Successor-Custodian Documents and Relevant Source Code by Commonwealth of Virginia, State of Arizona, State of California, State of Colorado, State of Connecticut, State of Illinois, State of Michigan, State of Minnesota, State of Nebraska, State of New Hampshire, State of New Jersey, State of New York, State of North Carolina, State of Rhode Island, State of Tennessee, State of Washington, State of West Virginia, United States of America. (Attachments: # (1) Exhibit 1, # (2) Proposed Order)(Teitelbaum, Aaron)
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IN THE UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF VIRGINIA
Alexandria Division
UNITED STATES, et al.,
v.
Plaintiffs,
GOOGLE LLC,
Defendant.
)
)
)
)
)
)
)
)
No. 1:23-cv-00108-LMB-JFA
[PROPOSED] ORDER
Upon consideration of Plaintiffs’ Motion for To Compel Production of SuccessorCustodian Documents and Relevant Source Code, its Memorandum of Law in Support and the
documents referenced therein, and for good cause shown, the Court hereby ORDERS that
Plaintiffs’ motion is GRANTED; and it is hereby ORDERED that Defendant Google LLC
produce to Plaintiffs documents from the files of Successor Custodians; and source code and
related explanatory materials; and to make full and complete responses to Plaintiffs’ RFPs 39-43.
DATE: _____________________
____________________________________
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Case 1:23-cv-00108-LMB-JFA Document 229-2 Filed 05/26/23 Page 1 of 1 PageID# 1936
IN THE UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF VIRGINIA
Alexandria Division
UNITED STATES, et al.,
v.
Plaintiffs,
GOOGLE LLC,
Defendant.
)
)
)
)
)
)
)
)
No. 1:23-cv-00108-LMB-JFA
[PROPOSED] ORDER
Upon consideration of Plaintiffs’ Motion for To Compel Production of SuccessorCustodian Documents and Relevant Source Code, its Memorandum of Law in Support and the
documents referenced therein, and for good cause shown, the Court hereby ORDERS that
Plaintiffs’ motion is GRANTED; and it is hereby ORDERED that Defendant Google LLC
produce to Plaintiffs documents from the files of Successor Custodians; and source code and
related explanatory materials; and to make full and complete responses to Plaintiffs’ RFPs 39-43.
DATE: _____________________
____________________________________