Electronic Discovery

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Transcription:

Electronic Discovery L. Amy Blum, Esq. UCLA University of California, Los Angeles 1

Topics Not Covered Best practices for E-mail E use and retention in the ordinary course of business Records Disposition Schedule specifics University of California, Los Angeles 2

Topics Covered E-Discovery Defined Important Changes to the Federal Rules of Civil Procedure Interim Measures to ensure good faith compliance University of California, Los Angeles 3

What is Discovery? The exchange of information during litigation Documents, things, witnesses University of California, Los Angeles 4

Life As We Knew It University of California, Los Angeles 5

The World Today University of California, Los Angeles 6

Electronically Stored Information (ESI) is Everything Electronic Email Word processing Calendars Instant Messages Spreadsheets Video/Photos Voice recordings University of California, Los Angeles 7

Lawyer s s Duties Familiar with document retention policies Familiar with IT architecture University of California, Los Angeles 8

University of California, Los Angeles 9

Changes to the Federal Rules Identify ESI Produce ESI Safe Harbor University of California, Los Angeles 10

Identifying ESI Rule 26(a) Initial Disclosures A party must provide to the other parties a copy of, or description by category and location of, all documents, electronically stored information, and tangible things in its possession, custody, or control that may be used to support its claims or defenses University of California, Los Angeles 11

Identifying ESI Cont. Rule 26(f) Conference of Parties Early meeting to discuss discovery Preserving discoverable information Disclosure or discovery of ESI Form in which ESI will be produced University of California, Los Angeles 12

Identifying ESI Cont. Rule 34(a) Request for Production A party may request production of documents, including ESI This covers evidence beyond Rule 26 disclosures Anything potentially relevant to the claim University of California, Los Angeles 13

Identifying ESI Cont. Rule 26(b)(2)(B) A party need not produce ESI that is not reasonably accessible because of undue burden or cost But, we may still need to preserve the ESI! University of California, Los Angeles 14

Reasonably Accessible Data Regularly and routinely available in a party s business operations. Accessible data is generally stored in a readily usable format that need not be restored or otherwise manipulated to be usable University of California, Los Angeles 15

Not Reasonably Accessible Back up tapes for disaster recovery only Don t t use back up tapes for archival purposes Only store back up tapes for the shortest time necessary to restore services in the event of a true disaster Legacy data from obsolete systems University of California, Los Angeles 16

Safe Harbor Rule 37(f) Absent exceptional circumstances, a court may not impose sanctions under these rules on a party for failing to provide electronically stored information lost as a result of routine, good-faith operation of an electronic information system. University of California, Los Angeles 17

What s s the Worst That Can Happen? Judgment Adverse Finding Adverse Inference Money University of California, Los Angeles 18

What Now? UCOP/OGC E-Discovery E Task Force UCLA Interim Measures Evolving University of California, Los Angeles 19

UCLA s s Interim Measures 1. Identify when duty to preserve arises 2. Inquire regarding key players and existing data 3. Provide notice of duty to preserve 4. Decide what to retain 5. Collect and retain data 6. Create and maintain written records of efforts University of California, Los Angeles 20

1. The Duty to Preserve Evidence reasonably should know that the evidence may be relevant to anticipated litigation University of California, Los Angeles 21

Reasonably Anticipated Litigation Employee complaints or threats - Sometimes Example: Employee told employer s s EEOC officer she was fed up with alleged sex discrimination and was contemplating class action; and officer advised attorney of possible class action. Capellupo v. FMC, 126 F.R.D. 545 (D. Minn. 1989) Potential termination of employee - Sometimes Example: Employee s s supervisor and co-workers discussed in Emails marked attorney-client privilege potential termination of employee. Zubulake IV, 220 F.R.D. 212 (S.D. N.Y. 2003) Accidents on campus Work with appropriate campus offices to make determination Human Resources, Labor Relations, Risk Management, Counsel University of California, Los Angeles 22

Reasonably Anticipated Litigation Factors to Weigh Court complaint filed Threat with some degree of specificity Individual s s litigation history Press or industry interest Demand letter received Specific and repeated inquiries/complaints Complaint with EEOC, DFEH, OCR University of California, Los Angeles 23

2. Conduct Inquiry Who are the Key Players Not just in the department HR, Benefits, Workers Comp, Whistleblower Office Who are the relevant IT representatives What active data exists with key players What are the back-up tape use and retention procedures Decision made about retention of ESI University of California, Los Angeles 24

3. Provide Notice of Duty to Preserve Send letters to all identified people Send letters to relevant IT representatives Receive confirmations from all recipients Send reminder notices periodically University of California, Los Angeles 25

4. Decide What to Retain Save all potentially relevant ESI on active systems Local Area Network (Desktop) Email Server Hard-drive drive Portable storage University of California, Los Angeles 26

4. Decide What to Retain Cont. Back-up tapes [Case-by by-case assessment] Duplicative of active data: If active data is already being preserved, then recycling of tapes can continue SOLE source of potentially relevant data: If ESI on back up tapes is not available from readily accessible sources, then tapes may need to be preserved Used as archive: If data on tape is made available upon request, it is similar to active data Preserving does not necessarily mean producing University of California, Los Angeles 27

5. Collect and Retain Data Current Procedure Each person conducts search for ESI and hard-copy files Segregate active data into identified folders General communications Privileged communications Any newly created data related to the potential claim is moved into these identified folders periodically IT representative preserves folders and notifies designated record-keeper If back-up tapes must be preserved, IT representative will remove the relevant tape(s) ) from rotation and preserve Caution: Procedures may need to be altered to accommodate different IT architectures University of California, Los Angeles 28

Safe Harbor Before litigation is reasonably anticipated, routine operations that destroy ESI are okay If recycling of back-up tapes is part of routine operations, its okay If deleting accounts is part of routine operations, its okay University of California, Los Angeles 29

Safe Harbor Cont. After litigation is reasonably anticipated: Case-by by-case determination for historical back up tapes If measures to preserve active data are implemented, new back-up tapes can be recycled according to routine operations CAUTION: : When employee under duty to preserve is separated, you must ensure that the ESI continues to be preserved! University of California, Los Angeles 30

6. Create and Maintain Written Record Maintain written record of: Retained reasonably accessible ESI Retained ESI not reasonably accessible ESI not retained and reasons for decision Notices and receipts of preservation requests Confirmations of preservation Notices of release from preservation duty University of California, Los Angeles 31

Know your current ESI retention practice Implement sensible ESI retention practices Preserve ESI and hard-copies Work as a team Conclusion University of California, Los Angeles 32

Interim Measures Link Administrative Policies and Procedures Manual (APPM) Other Policies, General Administration http://www.adminvc.ucla.edu/appm/public/ ESI.pdf University of California, Los Angeles 33