Free Subpoena - District Court of Delaware - Delaware


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Date: December 31, 1969
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State: Delaware
Category: District Court of Delaware
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Case 1:04-cv-00138-JJF Document 37-7 Filed O3/O2/2005 Page1 of 3

Case 1 :04-cv-00138-JJF Document 37-7 Filed O3/O2/2005 Page 2 of 3

NORTHERN DISTRICT OF ALABAMA
GTECH Corporation,
Plaintiff, SUBPOENA IN A CIVIL CASE
Civil Action No. 04-138-JJF
"· (D. DEL.)
Scientific Games International, Inc., Scientific Games
Holdings Corporation, Scientific Games Finance
Corporation, and Scientific Games Corporation,
Defendants.
TO: Donald H. Keagle
2018 Hansel Avenue
Huntsville, AL 35802
D You ARE COMMANDED to appear in the United States District Court at the place, date, and time specified below to
testify in the above case.
PLACE OF TESTIMONY CoURTRooM
DATE AND TIME
K] You ARE COMMANDElD to appear at the place, date, and time specified below to testify at the taking of a
deposition in the above case:
PLACE OF DEPOSITION DATE AND TIME
Radisson Suites Hotel Huntsville
6000 Memorial Parkway South April 5, 2005 at 9:00 a.m.
Huntsville, AL 35802
lj You ARE COMMANDED to produce and permit inspection and copying of the following documents or objects at
the place, date, and time s ecified below (list documents or ob`ects):
PLACE DATE AND TIME I
C] You ARE COMMANDED to permit inspection of the following premises at the date and time specified below.
PREMISES DATE AND TIME
Any organization not a party to this suit that is subpoenaed for the taking of a deposition shall designate one or more
officers, directors, or managing agents, or other persons who consent to testify on its behalf, and may set forth, for each
person designated, the matters on which a person will testify. Federal Rules of Civil Procedure. 30(b)(6).
ISSUING OFFICER SIGNATURE AND TITLE (INDICATE IP ATTORNEY FOR DATE I
PLAINTIFF OR DEFENDANT) DEFENDANT
I B/L,.J[e1 /111.,.1. z, my
ome for Defen nts
SSUING OFF1CER°S NAME, ADDRESS AND PHONE NUMBER TELE1>I~1oNE
Jack B. Blumenfeld (#1014) (302) 658-9200
MORRIS, NICHOLS, ARSHT & TUNNELL
1201 North Market St.
P.O. Box 1347
Wilmington, DE 19899

Case 1 :04-cv-00138-JJF Document 37-7 Filed O3/O2/2005 Page 3 of 3

PROOF OF SERVICE

DATE PLACE
SERVED Date Place

SERVED ON (PRINT NAME) MANNER or SERVICE

SERVED BV (PRINT NAME) TITLE

DECLARATION on SERVER

I declare under penalty of peij ury under the laws of the United States of America that the foregoing information contained
in the Proof of Service is true and correct:
Executed on:
DATE SIGNATURE or SERVER
ADDRESS OF SERVER

RULE 45, FEDERAL RULES or CIVIL PROCEDURE, PARTS C & D
(c) PROTECTION or PERSONS SUBJECT TO SUBPOENAS. that, subject to the provision of clause (c)(3)(B)(iii) of this rule,
(l) A party or an attomey responsible for the issuance and service Such 8 p€iS°“ may 19 Oidci to aimid ina] be cfimniandcd t° navel from
of a subpoena shall take reasonable steps to avoid imposing undue any Such piacc Within thc State m which thc ma] is h°id= Oi
burden or expense on a person subject to that subpoena. The court on (iii) requires disclosure of privileged or other protected matter
behalf of which the subpoena was issued shall enforce this duty and and no exception or waiver applies, or
impose upon the patty or attomey in breach of this duty an appropriate (IV) Subjects 8 person to undue burden?
sanction, which may include, but is not limited to, lost eamings and a b
reasonable attomey's fee. (B) {fa Su poem
(2)(A) A person commanded to produce and permit inspection and h(i31i€q?H€S disclosure Ofa tiaiji iecrct (ir other confidential
copying of designated books, papers, documents or tangible things, or rcscam ’ cve Opm€m’ or commercial m Omiatlom Or
inspection of premises need not appear in person at the place of (ii) requires disclosure Ofan unretained sxpsnis Opinion or
production or inspection unless commanded to appear for deposition, information not describing specific events or occurrences in dispute and
hearing or trial. resulting from the experts study made not at the request of any party, or
(B) Subject to paragraph (d)(2) of this rule, a person commanded to (iii) requires a person who is not a pa-YYY Oi an Ofiicci dia paiiY
produce and permit inspection and eopying may, within l4 days after to incur substantial expense to travel more than 100 miles to attend trial,
service of the subpoena or before the time specified for compliance if ina €0¤I`T maY, to Prdtsci a Dslsnn subject id OY affected by ina subpoena,
such time is less than 14 days alter service, serve upon the party or Clnasn 0i' mddiiiy ins subpoena on ifinc panY in whose pcnaifinc
attorney designated in the subpoena written objection to inspection or subpoena is issued shows a substantial need for the testimony or material
copying of any or all of the designated materials or of the premises_ if that cannot be otherwise met without undue hardship and assures that the
objection is made, the party serving the subpoena shall not be entitled to P€Ys0¤ to whom ins subpoena is addisssad Wiii be i€as°nabiY
inspect and copy the materials or inspect the premises except pursuant to Cdmpsnsaisdr ins Cdnn maY order appearance Oi piddnpiion 0niY upon
an order of the court by which the subpoena was issued. If objection has Specified conditions-
b€€l'l lTi3Cl€, [l'l€ pélfty SCl”VlI1g the Sl.1bpO€Il8 Up0Il I`l()tlCC to tl`l€ DUTIES IN RESPONDING TO SUBPOENA
person commanded to produce, move at any time for an order to compel (1) A person responding te e subpoena te pmduee documents
the production. Such an order to compel production shall protect any . .
. _ , shall produce them as they are kept In the usual course of business or
person who IS not a party or an officer of a party from significant . . . .
. . . . shall organize and label them to correspond with the categories IH the
expense resulting from the Inspection and copying commanded. demand
3 A O ' l ‘ ` ‘ i . . . . .
< >< > ¤ me Y mom the Crue by Winch 3 Subp ¤¤¤a was oi When information subject to it subpoena is withheld on t
shall quash or modify the subpoena if it . . . . . . . . .
I _ _ _ claim that lt is privileged or subject to protection as trial preparation
(i) fans id allow reasonable nms fd? Cdmpilanssi materials, the claim shall be made expressly and shall be supported by a
(ii) requires a person who is not a party or an Officer ofa party to description of the nature of the documents, communications, or things
travel to a place more than 100 miles from the place where that person not produced that is sufficient to enable the demanding party to contest
resides, is employed or regularly transacts business in person, except ins claim.

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Document 37-7

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