www.salixdata.com 513-381-2679



Similar documents
ELECTRONIC DISCOVERY. Dawn M. Curry

Xact Data Discovery. Xact Data Discovery. Xact Data Discovery. Xact Data Discovery. ediscovery for DUMMIES LAWYERS. MDLA TTS August 23, 2013

Reduce Cost and Risk during Discovery E-DISCOVERY GLOSSARY

E-DISCOVERY & PRESERVATION OF ELECTRONIC EVIDENCE. Ana Maria Martinez April 14, 2011

Electronic Discovery and the New Amendments to the Federal Rules of Civil Procedure: A Guide For In-House Counsel and Attorneys

In-House Solutions to the E-Discovery Conundrum

A Brief Overview of ediscovery in California

Discussion of Electronic Discovery at Rule 26(f) Conferences: A Guide for Practitioners

E-Discovery in Michigan. Presented by Angela Boufford

DISCOVERY OF ELECTRONICALLY-STORED INFORMATION IN STATE COURT: WHAT TO DO WHEN YOUR COURT S RULES DON T HELP

Assembly Bill No. 5 CHAPTER 5

REALITY BYTES: A NEW ERA OF ELECTRONIC DISCOVERY

GUIDELINES FOR USE OF THE MODEL AGREEMENT REGARDING DISCOVERY OF ELECTRONICALLY STORED INFORMATION

How To Write A Hit Report On A Lawsuit Against A Company

Michigan's New E-Discovery Rules Provide Ways to Reduce the Scope and Burdens of E-Discovery

General Items Of Thought

E-Discovery: New to California 1

UNDERSTANDING E DISCOVERY A PRACTICAL GUIDE. 99 Park Avenue, 16 th Floor New York, New York

California Electronic Discovery Rules. William W. Belt, Jr.

Patent Litigation at the ITC: Views from the Government, In-House Attorneys and Outside Counsel

E-Discovery Best Practices

grouped into five different subject areas relating to: 1) planning for discovery and initial disclosures; 2)

COURSE DESCRIPTION AND SYLLABUS LITIGATING IN THE DIGITAL AGE: ELECTRONIC CASE MANAGEMENT ( ) Fall 2014

Electronic Discovery

for Insurance Claims Professionals

The E-Discovery Process

A PRIMER ON THE NEW ELECTRONIC DISCOVERY PROVISIONS IN THE ALABAMA RULES OF CIVIL PROCEDURE

Friday 31st October, 2008.

2013 E-DISCOVERY AMENDMENTS TO THE MASSACHUSETTS RULES OF CIVIL PROCEDURE BOSTON E-DISCOVERY SUMMIT 2013 DECEMBER 3, 2013

Article originally appeared in the Fall 2011 issue of The Professional Engineer

Data Preservation Duties and Protocols

E-Discovery Basics For the RIM Professional. Learning Objectives 5/18/2015. What is Electronic Discovery?

How To Find Out What You Know About Esi

and ediscovery Peter Pepiton ediscovery Product Manager CA Information Governance

Case 2:14-cv KHV-JPO Document 12 Filed 07/10/14 Page 1 of 10 IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF KANSAS

FEDERAL PRACTICE. In some jurisdictions, understanding the December 1, 2006 Amendments to the Federal Rules of Civil Procedure is only the first step.

How To Schedule A Case In The Court Of Appeals

IN THE SUPREME COURT OF THE STATE OF ALASKA ORDER NO Pretrial Conferences; Scheduling; Management.

PROPOSED ELECTRONIC DATA DISCOVERY GUIDELINES FOR THE MARYLAND BUSINESS AND TECHONOLOGY CASE MANAGEMENT PROGRAM JUDGES

Amendments to Federal Rules of Civil Procedure. electronically stored information. 6 Differences from Paper Documents

By Faith M. Heikkila

A large and rapidly expanding Digital Universe

ANALYSIS OF ORIGINAL BILL

SEVENTH CIRCUIT ELECTRONIC DISCOVERY PILOT PROGRAM FOR DISCOVERY OF ELECTRONICALLY STORED

THE IMPACT OF THE ELECTRONIC DISCOVERY RULES ON THE EEOC PROCESS

102 ediscovery Shakedown: Lowering your Risk. Kindred Healthcare

Hong Kong High Court Procedure E-Discovery: Practice Direction Effective September 1, 2014

E-discovery: Federal Rules of Civil Procedure and their Implications for Public Sector Corrections Departments

Supreme Court Rule 201. General Discovery Provisions. (a) Discovery Methods.

E-Discovery Technology Considerations

The Top Ten List (and one) of Changes to the Federal Rules

E-DISCOVERY IN THE US

How E-Discovery Will Affect Your Life as a Storage Professional. David Stevens, Carnegie Mellon University

How E-Discovery Will Impact Your Life as a Storage Professional. David Stevens, Carnegie Mellon University

Legal Arguments & Response Strategies for E-Discovery

E-Discovery Toolkit for Educational Institutions

Digital Forensics, ediscovery and Electronic Evidence

ediscovery 101 Myth Busting October 29, 2009 Olivia Gerroll ediscovery Solutions Group Director

Developing an Integrated e-discovery and Corporate Records Management Program. Presented by: Janeine Charpiat Information Security Professional

Measures Regarding Litigation Holds and Preservation of Electronically Stored Information (ESI)

Proactively Using Information Governance and Advance Planning to Reduce the Burden and Expense of E-Discovery

Best Practices in Electronic Record Retention

Predictability in E-Discovery

DOCSVAULT WhitePaper. Concise Guide to E-discovery. Contents

E-Discovery for Paralegals: Definition, Application and FRCP Changes. April 27, 2007 IPE Seminar

E-Discovery Guidance for Federal Government Professionals Summer 2014

ZL UNIFIED ARCHIVE A Project Manager s Guide to E-Discovery. ZL TECHNOLOGIES White Paper

What You Should Know About ediscovery

COURT OF QUEEN S BENCH OF MANITOBA PRACTICE DIRECTION GUIDELINES REGARDING DISCOVERY OF ELECTRONIC DOCUMENTS

California Enacts New E-Discovery Rules that Mirror Federal Court E-Discovery Rules - with One Exception

LEGAL HOLD OBLIGATIONS FOR DISTRICT EMPLOYEES

REINHART. Labor & Employment E-News E-NEWSLETTER ATTORNEYS:

Any and all documents Meets Electronically Stored Information: Discovery in the Electronic Age

Ethics and ediscovery

e-docs and Forensics in the New e-discovery Era

(2) For production of public records or hospital medical records. Where the subpoena commands any custodian of public records or any custodian of hosp

ESI Risk Assessment: Critical in Light of the new E-discovery and notification laws

CIVIL DISCOVERY STANDARDS* AUGUST 1999 [NOVEMBER 2003 DRAFT AMENDMENTS TO ELECTRONIC DISCOVERY STANDARDS]

ediscovery: The New Information Management Battleground Developments in the Law and Best Practices

Outlaw v. Willow Oral Argument Motions for Sanctions

E-Discovery Quagmires An Ounce of Prevention is Worth a Pound of Cure Rebecca Herold, CISSP, CISA, CISM, FLMI Final Draft for February 2007 CSI Alert

Case3:11-cv SI Document62-14 Filed02/04/11 Page1 of 6 EXHIBITM. To THE DECLARATION OF HOLLY GAUDREAU IN SUPPORT OF MOTION FOR EXPEDITED

Electronically Stored Information: Focus on Review and Strategies

Electronic Data Retention and Preservation Policy 1

The ediscovery Balancing Act

E-Discovery: The New Federal Rules of Civil Procedure A Practical Approach for Employers

REED COLLEGE. ediscovery GUIDELINES FOR PRESERVATION AND PRODUCTION OF ELECTRONIC RECORDS

Electronic Discovery How can I be prepared? September 2010

Electronic Discovery

PRESERVATION AND PRODUCTION OF ELECTRONIC RECORDS

E-Discovery and Electronically Stored Information (ESI):

EnCase ediscovery. Automatically search, identify, collect, preserve, and process electronically stored information across the network.

Overview of E-Discovery and Depositions in U.S. IP Litigation

Proactive Data Management for ediscovery

Robert S. Bernstein, Moderator Panelists: Douglas Cherry, Shumaker, Loop & Kendrick, LLP Karl Schieneman, Review Less

GENERAL ASSEMBLY OF NORTH CAROLINA SESSION 2011 SESSION LAW HOUSE BILL 380

Spotlight on Electronic Discovery: What Every Audit Control Professional Needs to Know

NightOwlDiscovery. EnCase Enterprise/ ediscovery Strategic Consulting Services

ITC TLA E-Discovery Proposals. The Supreme Court amended the Federal Rules of Civil Procedure, effective on January

Transcription:

Electronic Discovery Presented by: Jonathan Adams www.salixdata.com 513-381-2679

Our Goal Explain E-Discovery in layman s terms Equip you to be able to add value to your organization

SALIX is the region s leading E-Discovery Provider and Litigation Support Company 3 Locations 30 employees 2,500 customers All the local Fortune 500 companies 23 out of the largest 25 law firms in Cinti 9 out of the largest 10 law firms in Dayton Over 100 cases involving E-Discovery last year SERVICE-ACHIEVEMENT-LEADERSHIP-I I NTEGRITY-EXPERTISEEXPERTISE

What is E-Discovery? Paper-Based Discovery- Which file cabinets contain information pertaining to Jon Adams human resource file? What custodians have information in their possession that may pertain to Jon Adams human resource file? Electronic Discovery- What computer systems contain information pertaining to Jon Adams human resource file? What custodians may have information on their computer, laptop, cell phone, email, file server, Facebook page, etc. that pertains to Jon Adams human resource file?

Why Amend the Federal & Ohio Rules of Civil Procure? It was amended to provide a framework for handling electronically stored information as evidence.

What is ESI? ELECTRONICALLY STORED INFORMATION Email, word documents, excel spreadsheets, PDAs, Blackberrys, text messaging, blogs, twitter, web surfing histories, Facebook, MySpace, instant messages, pictures, videos, printer memory, video files, audio files, server data, log files, back-up tapes, PDF images, TIFF, JPEG, BITMAP ANY ELECTRONIC INFORMATION

Paper-Based Discovery Model Paper-Based Discovery Identify ypotentially relevant information Copy the files Review the boxes of paper Determine confidentiality and privilege Copy, bates label, copy Produce to the other side Prepare for and present in trial

Electronic information is growing exponentially if if you have not dealt with E-discovery- you will.

New Role: Legal Technologist It is necessary to thoroughly understand the responding party s computer systems both with respect to active and inactive data (Zubulake) I can t imagine how counsel who is responsible cannot seek relevant electronic information (Judge Preska, author of Metropolitain Opera) Counsel must understand the clients Data Retention Architecture (Zubulake)

4000 Boxes 13,5000,000 pgs 2000 Boxes 6,750,000 pgs 1000 Boxes 3,375,000375 pgs 1 Box 3,375 pgs 4 Boxes 13,500 pgs 16 Boxes 54,000 pgs

Types of Data Active Data (App files and email) Inactive Data (back-ups) Deleted eeted Files Metadata

Types of Data Metadata

Types of Data Active Data (App files and email) Inactive Data (back-ups) Deleted eeted Files Metadata

What is the big deal? NEWORK DIAG

Paper-Based Discovery Model Electronic Discovery Model

What is the benefit of EDRM? Electronic Discovery Reference Model provides a framework of processes and educational materials to help you address the challenges of ELECTRONIC DISCOVERY.

Stages of EDRM

Information (Records) Management Review Policies (Retention, Legal Hold, Email, etc.) Most policies are inadequate Creates risk Sarbanes-Oxley Act, FACTA, HIPAA, GLB, and other regulations cover corporate data responsibility. "Document retention ti policies, lii which hihare created tdin part tto keep certain ti information if from getting into the hands of others, including the Government, are common in business... It is, of course, not wrongful for a manager to instruct his employees to comply with a valid document retention policy under ordinary circumstances." Arthur Andersen v. U.S., 125 S.Ct. 2129, 2135 (U.S. May 31, 2005). Legal Hold policy needs to be clear, implemented quickly, regular communicationdefensible Amended ORCP 37 (f)- No sanctions for ESI lost as a result of the routine, good-faith operation of an electronic information system.

ORCP 37 (f)- Safe Harbor 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 the routine, good-faith operation of an electronic information system. The court may consider the following factors in determining whether to impose sanctions under this division: 1. Whether and when any obligation to preserve the information was triggered; 2. Whether the information was lost as a result of the routine alteration or deletion of information that attends the ordinary use of the system in issue; 3. Whether the party intervened in a timely fashion to prevent the loss of information; 4. Any steps taken to comply with any court order or party agreement requiring preservation of specific information; 5. Any other facts relevant to its determination i under this division. i i

Good Compliance Cuts Legal Costs, Information Management, Jan/Feb 2009

Stages of EDRM

High Level overview of E-Discovery Identify Preserve & Capture Search & Cull Review Produce

Identification The process of learning the location of all data which you or your client may have a duty to preserve and potentially disclose in a pending or prospective legal proceeding. Steps in Determining Scope of Responsive Data Likely custodians of relevant information Where and how is data stored? Backed-up? Differences between actual practice and written procedures Casting a Broad Net Amended ORCP 26(B) (4)- The party is not required to provide ESI if production is too burdensome or expensive compared to the potential value of the discovery. Potentially limits i scope

ORCP 26 (B) (4) Electronically stored information. A party need not provide discovery of electronically stored information when the production imposes undue burden or expense. On motion to compel discovery or for a protective order, the part from whom electronically stored information is sought must show that the information is not reasonably accessible because of undue burden or expense. If a showing of undue burden or expense is made, the court may nonetheless order production of electronically ll stored information if the requesting party shows good cause. The court shall consider the following factors when determining if good cause exists:

ORCP 26 (B) (4) cont. (a) (b) (c) (d) Whether the discovery sought is unreasonably cumulative or duplicative; Whether the information sought can be obtained from some other source that is less burdensome, or less expensive; Whether the party seeking discovery has had ample opportunity by discovery in the action to obtain the information sought; and Whether the burden or expense of the proposed discovery outweighs the likely benefit, taking into account the relative importance in the case of the issues on which electronic discovery is sought, the amount in controversy, the parties d th i t f th d di i l i th i resources, and the importance of the proposed discovery in resolving the issues. In ordering production of electronically stored information, the court may specify the format, extent, timing, allocation of expenses and other conditions for the discovery of the electronically stored information.

Preservation Enormous challenge for organizations Must begin as soon as litigation is reasonably anticipated ORCP 37 (F)(1) & (3) The importance of the Meet and Confer FRCP- required; ORCP- discretionary Manage the Legal Hold Process Written instructions to possible custodians and stakeholders not to delete relevant information Issue communication early and reminders often Case law Amended ORCP 37 (f)- No sanctions for ESI lost as a result of the routine, good-faith operation of an electronic information system.

What is the big deal? NEWORK DIAG

Collection The acquisition of electronic information marked as potentially relevant in a pending litigation. It should be collected in a manner that is comprehensive, maintains it content integrity and preserves its form. Metadata If it needs to be produced, do not alter (open, copy, etc.) Options for Collections Forensic Collection Live Collection Chain of Custody Document collection activity, document access, document personnel Hashing ESI- creating a fingerprint to confirm that data has not be altered

High Level overview of E-Discovery Identify Preserve & Collect Search & Cull Review Produce

Processing Culling- the process of programmatically removing content that is irrelevant Deduplication System Files/Known File Types National Institute of Standards and Technologies Searching- the process of identifying content that is most likely relevant and will require review Keyword Search Custodian List Timeframe/Date Range File Type More than 90% of collected electronic content can be non-responsive

High Level overview of E-Discovery Identify Preserve & Capture Search & Cull Review Produce

Review Technology that enhances the process Online Review Tools In-House Review Tools Native v. TIFF/PDF Review Native : (Excel), cost, original state TIFF/PDF Review: Redaction

Analysis The process of evaluating a collection of electronic discovery materials to determine relevant summary information, i such as key topics of the case important people specific vocabulary and jargon important individual document Brief overview of analytic tools that are available

Analytic Tools Analytic tools helps clients pare down review sets, find key documents, identify confidential or privileged documents, remove spam and analyze large document populations. p Cut Review Costs with Key Document Clustering. Identify key documents and use them to find similar documents from the larger population. Cluster documents based on concepts. Segregate spam and other irrelevant content to reduce review populations. Target Review through Predictive Ranking. Use initial tagging as a base to find other potentially responsive documents for more efficient review. Rank by likely l relevance. Drill into Results Sets by Key Concepts. Analyze search results by concepts and drill down dynamically into your document population. Review Email Threads and Near Dupes. Cut through redundant data and group similar documents.

Produce Paper- ESI is printed to paper and paper is produced to the other side Images- ESI is produced as.tif or.pdf files, along with the associated metadata and full text Quasi-native- For example, an IBM AS400 database would be produced as an ASCII, comma-delimited file with associated file and field structural information Native- ESI is produced as it is maintained and used Amended ORCP Rule 34(B) and 34(B)(3) ) Request may specify the form or forms in which ESI is to be produced. Best Practice: Attempt to agree in advance on production formats Qualcomm, Inc v. Broadcom Corp. (S.D. Cal. January 7, 2008) Amended ORCP Rule 26(B) (6)(b) Clawback provision

Qualcomm, Inc v. Broadcom Corp. (S.D. Cal. January 7, 2008) 21 Emails found Over 200,000 more pages of emails eventually located--- AFTER the trial Counsel failed to follow-up on indications that additional responsive ESI existed. Over $8 million in sanctions Responsibility to produce responsive ESI is a continuing one.

ORCP 34 (B) Procedure. Without leave of court, the request may be served upon the plaintiff after commencement of the action and upon any other party with or after service of the summons and complaint upon the part. The request shall set forth the items to be inspected either by individual item or by category and describe each item and category with reasonable particularity. The request shall specify a reasonable time, place, and manner of making the inspection and performing the related acts. The request may specify the form or forms in which electronically stored information is to be produced, but may not require the production of the same information in more than one form.

ORCP 34 (B) (3) If a request does not specify the form or forms for producing electronically stored information, a responding party may produce the information in a form of forms in which the information is ordinarily maintained if that form is reasonably useable, or in any form that is reasonably useable. Unless ordered by the court or agreed to by the parties, a party need not produce the same electronically ll stored information in more than one form.

ORCP 26 (B) (6) (b)- Clawback Provision Information Produced: If information is produced in discovery that is subject to a claim of privilege or of protection as trial preparation material, the party making the claim may notify any party that received the information of the claim and the basis for it. After being notified, a receiving party must promptly return, sequester, or destroy the specified information and any copies within the party s possession, custody or control. A party may not use or disclose the information until the claim is resolved. A receiving gparty may ypromptly p ypresent the information to the court under seal for a determination of the claim of privilege or of protection as trial preparation material. If the receiving party disclosed the information before being notified, it must take reasonable steps to retrieve it. The producing party must preserve the information until the claim is resolved.

High Level overview of E-Discovery Identify Preserve & Capture Search & Cull Review Produce

Stages of EDRM

Presentation Using ESI in Depositions, Hearings & Trial Printed copy Electronic presentation PowerPoint, Trial Director, Sanction

Key Takeaways The EDRM starts with good records management Studies show that real dollars can be saved Get you arms around the legal hold process Most attorneys are not legal technologists Don t be intimidated Importance of Meet & Confer- How can you help? # of relevant custodians File types & locations Accessible vs. inaccessible ESI Format of production Reasonable timeframe

SALIX The Content Company 513-381-2679 www.salixdata.com