Discovery Tactics: Use and Abuse of Rule 30(b)(6) Corporate Witness Depositions David King Bass Berry & Sims (Nashville, TN)

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Discovery Tactics: Use and Abuse of Rule 30(b)(6) Corporate Witness Depositions David King Bass Berry & Sims (Nashville, TN) 615.742.7890 dking@bassberry.com http://www.bassberry.com/dking/

Case 1:11-cv-23585-DLG Document 54 Entered on FLSD Docket 07/17/2012 Page 1 of 6 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA MIAMI DIVISION Case No. 1l-CV-23585-GRAHAM/GOODMAN SECURITIES AND EXCHANGE COMMISSION, Plaintiff, STEWART A. MERKIN, Defendant. / ORDER THIS CAUSE comes before the Court upon Plaintiff's Objections to the Magistrate Judge's June 2012 Order Permitting a Rule 3O(b)(6) Deposition of the Commission ED.E. 4l) and Defendant's Response in Opposition to Plaintiff's Objections to the Magistrate's Order ED.E. THE COURT has reviewed the pertinent portions of the record, and is otherwise fully advised in the premises. 1. BACKGROUND The Securities and Exchange Commission (nthe Commission') filed suit in this Court alleging that the Defendant, Stewart Merkin, made materially false public statements about his client, a penny stock company, in an effort to have its financial information listed on an electronic interdealer quotation system. Specifically, the Comm ission asserts that the Defendant falsely stated in four letters, which he knew would be posted on the

Case 1:11-cv-23585-DLG Document 54 Entered on FLSD Docket 07/17/2012 Page 2 of 6 internet, that his client was not under investigation by any federal or state securities regulator when the company was under investigation by the Comm ission. The Defendant alleges that, during the course of the investigation, he was advised by the Commission that the investigation was nonpublic. The Defendant tried to convince the SEC directly to permit him to take a 3O(b)(6) deposition. After unsuccessful attempts, the Defendant filed a 30(b)(6) deposition notice. Magistrate Judge Goodman, by order dated June 2012, required the Commission to produce a Rule 30(b) (6) witness on seven specific topics. Plaintiff now objects to Judge Goodman's order. II. STAHDARD OF REVIEW A district court reviewing a magistrate judge's discovery order is, in general, limited by statute and rule to reversing that order only if it is 'clearly erroneous or contrary to law'. 28 U.S.C. 636(b)(1)(A); Fed.R.CiV.P. 72(a). In the absence of a legal error, a district court may reverse only if there was an 'abuse of discretion' by the magistrate judge. See Cooter & Gell v. Hartmarx Corrw 496 U.S. 384, 40l (1990). 111. ANALYSIS A. Plaintiff's Objections to the Magistrate Judge's Order The Commission asserts that the Magistrate's June 2012 Order should be reversed because the Order allows: 1) investigation of attorneys' work product and 2) inquiry into irrelevant subject 2

Case 1:11-cv-23585-DLG Document 54 Entered on FLSD Docket 07/17/2012 Page 3 of 6 matter. 1) Attorneys' Work Product The Commission alleges that the Magistrate's Order is clearly erroneous and contrary to 1aw because allows inqu iry into attorneys' mental impressions and work product. The Commission cites some opinions from this Court barring Rule 30(b)(6) depositions. However, those cases are distinguishable from the instant case. the cases cited, the Commission was protected from Rule 30(b) (6) depositions only after a finding that each and every inquiry sought work product. See SEC v. Monterosso, No. 07-61691 (S.D. Fla. June 2009); SEC V. Mutual Benefits CorD., No. 04-60573 (S.D. Fla. Nov. 2005) But see SEC v. Kramer, 778 F. Supp. 2d 1320, 1327 (M.D. Fla. 2011) (holding that a deposition of the Commission would not necessarily intrude upon work product and deliberative process privileges when the defendant sought to discover only the facts underlying the claim against him) In this case, the Magistrate Judge did not find that Defendant intends to invade privileged mattersx In addition, the Magistrate's Order allows the SEC to 'interpose objections and give privilege-based and Court order-based instructions not to answer specific questions at 30(b)(6) depositions taken in this case.' During one of hearings, the Magistrate Judge suggested numerous questions that would not implicate privilege of any type.

Case 1:11-cv-23585-DLG Document 54 Entered on FLSD Docket 07/17/2012 Page 4 of 6 Thus, the Commission is in a good position to protect itself against the disclosure of privileged matters. Accordingly, this Court finds that the Magistrate's Order is not clearly erroneous or contrary to law. 2) Relevancv The Comm ission asserts that discovery on the confidential nature of SEC investigations would be a waste of b0th parties' resources because the Defendant admitted that he undertook no effort, after he was advised that the investigation was confidential, to determine whether or how he could disclose that his client was under investigation. Relevancy is decided on a caseby-case basis. Dees v. Hvundai Motor Mfq. Alabama, LLC, 524 Supp. 2d 1348 (M.D. Ala. 2007) The question for a court reviewing a magistrate judge's order on the issue is whether the magistrate judge was clearly erroneous and abused his discretion. Id. The Commission has not shown that the Magistrate Judge, in the exercise of his broad discretion, was clearly erroneous in concluding that the confidential nature of the SEC Investigation is relevant. As of now, Defendant asserts as an affirmative defense that the SEC instructed him to keep the investigation confidential.z Thus, inquiring as to how the Commission communicates the non-public nature of its investigations and 2 As Judge Goodman explained, although the SEC can allege that the af f irmative def enses are legally incorrect, it has not moved to strike Def endant ' s af f irmative def enses. 4

Case 1:11-cv-23585-DLG Document 54 Entered on FLSD Docket 07/17/2012 Page 5 of 6 whether and how it directs individuals not to disclose the existence of such investigations relevant to this lawsuit. Accordingly, this Court finds that the Magistrate's Order is not clearly erroneous or contrary to law. B. Defendant's Motion to Permit Questioning on Revised Topics Defendant requested this Court, within his Response in Opposition to Plaintiff's Objections to the Magistrate's Order, to consider modifications to various deposition top ics which were found unduly broad or irrelevant by the Magistrate Judge in order to be able to question the Commission on the revised topics. Even if the Magistrate Judge ruled without prejudice and allowed the Defendant to modify the topics, Defendant has to first comply with the Court's procedural requirements before asking this Court to revise such topics. See Fla. Mag. Judge 4(a). A ccordingly, Defendant's Motion to Permit Questioning on Revised Topics is DENIED. IV. CONCLUSION Based thereon, it is hereby ORDERED AND ADJUDGED that Plaintiff's Objections to the Magistrate Judge's Order Permitting a Rule 30(b)(6) Deposition of the Commission (D.E. 4lJ are OVERRULED. It is further ORDERED AND ADJUDGED that Plaintiff's Objections to the Magistrate's Denial of its Motion to Stay a Rule 30(B) (6) Deposition ED.E. 51) are OVERRULED as moot. 5

Case 1:11-cv-23585-DLG Document 54 Entered on FLSD Docket 07/17/2012 Page 6 of 6 DONE AND ORDERED in Chambers at Miami, Florida, this/ ay of July, 2012. cc: All Counsel of Record. xpl ' DONALD L. GRAHAM UNITED STATES DISTRICT JUDGE 6

Rule 30.02(6)

About David King Member Bass Berry & Sims Nashville, TN 615.742.7890 dking@bassberry.com http://www.bassberry.com/dking/ David King is co-leader of the Managed Care team, which focuses on representing hospitals and other providers in payment disputes with managed care payors. He also serves as leader of the Healthcare Liability team, which represents hospitals and other providers in professional liability actions, peer review matters, and other disputes involving healthcare operations. Over the course of his career, David s practice also has included product liability and insurance litigation. Managed Care Disputes: As an attorney with more than 26 years experience in the healthcare industry, David understands the sometimes complex relationships among the stakeholders in this industry and the need to find solutions to disputes which do not disrupt important existing relationships. This can present a very delicate balance which must be managed with good judgment and a clear understanding of the client s business strategies and goals. David s understanding of both the clinical and administrative aspects of healthcare operations, along with his extensive experience with mediation, arbitration and trials, also provide an important foundation for resolving all types of healthcare disputes. Healthcare Liability and Risk Management: David has extensive experience defending hospitals, physicians and long term care communities in healthcare liability claims and suits, many of which have involved catastrophic injuries and significant publicity. David s experience in these complex and highly emotional cases has taught him that early evaluation and possible resolution of such claims is not only important to the patients and their families, but also to the caring healthcare professionals who are impacted by such events. If early resolution is not possible or appropriate, David has a proven track record of success through the aggressive defense of these actions. David also recognizes the importance of using any unfortunate claims or occurrences as an opportunity to provide feedback to the healthcare professionals in their continuing efforts to improve the quality of care to their patients as, ultimately, prevention is the best defense. Therefore, he routinely works with healthcare providers in investigating potential occurrences, implementing plans of correction as needed, and educating providers on the lessons learned from these occurrences. Education University of Tennessee - J.D., 1985 University of Tennessee - B.S., 1982