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axanar_financials [2016/10/30 06:31] – [Axanar's Financials] Carlos Pedrazaaxanar_financials [2018/02/10 09:37] (current) – [Tit for Tat] Carlos Pedraza
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 </WRAP> </WRAP>
  
-====== Court Grants Studios' Request For Axanar Financials ======+====== Court Grants Studios' Request for Axanar Financials ======
  
 **//Axanar's Attorney Opposes CBS, Paramount's Request for New Peters Deposition//** **//Axanar's Attorney Opposes CBS, Paramount's Request for New Peters Deposition//**
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 On October 28, 2016, Federal magistrate [[federal_magistrate_judge_charles_f._eick|Charles Eick]] signed the order proposed by the studios' attorneys, while Axanar's lawyer [[Erin Ranahan]] made her case for why the magistrate should reject CBS and Paramount's new motion. On October 28, 2016, Federal magistrate [[federal_magistrate_judge_charles_f._eick|Charles Eick]] signed the order proposed by the studios' attorneys, while Axanar's lawyer [[Erin Ranahan]] made her case for why the magistrate should reject CBS and Paramount's new motion.
 +
 +<wrap em>UPDATE</wrap> On Monday, October 31, Judge Charles Eick formally denied the plaintiffs' ex parte motion but still granted them most of what they sought.
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 +<wrap lo>//See also: [[emergency_motion|Court Orders Peters Deposition, Other Plaintiff Requests]]//</wrap>
 +
  
 ===== What CBS and Paramount Want ===== ===== What CBS and Paramount Want =====
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 ==== Tit for Tat ==== ==== Tit for Tat ====
  
-Ranahan went on to tell the court the emergency motion was a tit-for-tat after part of her [[compel_discovery|motion to compel discovery]] resulted in a court order forcing the plaintiffs to hand over more of the documents sought be the defense:+Ranahan went on to tell the court the emergency motion was a tit-for-tat after part of her [[compel_discovery|motion to compel discovery]] resulted in a court order forcing the plaintiffs to hand over more of the documents sought by the defense:
  
 > Apparently in response to being required to finally undertake a diligent search for responsive documents, Plaintiffs suddenly decided to manufacture their own discovery issues. … Defendants have continued to engage in good faith efforts to resolve these disputes, but it appears Plaintiffs were more interested in filing the [emergency motion] than genuinely reaching an efficient and reasonable resolution.((Defendants' Opposition to Plaintiffs' Ex Parte Application for Order, p. 2, 10/28/16.)) > Apparently in response to being required to finally undertake a diligent search for responsive documents, Plaintiffs suddenly decided to manufacture their own discovery issues. … Defendants have continued to engage in good faith efforts to resolve these disputes, but it appears Plaintiffs were more interested in filing the [emergency motion] than genuinely reaching an efficient and reasonable resolution.((Defendants' Opposition to Plaintiffs' Ex Parte Application for Order, p. 2, 10/28/16.))
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 > … a financial summary prepared by [Peters'] accountant. … This document shows the amounts and dates on which Mr. Peters paid himself and his colleagues, and paid for his personal expenses with funds from Star Trek fans.((Plaintiffs’ Ex Parte Application for Order, Memorandum of Points and Authorities, p. 7, 10/27/16.)) > … a financial summary prepared by [Peters'] accountant. … This document shows the amounts and dates on which Mr. Peters paid himself and his colleagues, and paid for his personal expenses with funds from Star Trek fans.((Plaintiffs’ Ex Parte Application for Order, Memorandum of Points and Authorities, p. 7, 10/27/16.))
  
-=== Peters'Attorney's Accounts Contradict ===+=== Peters' and Attorney's Accounts Contradict ===
  
 Contrary to Ranahan's description, as recently as October 29, Peters himself characterized the financial information this way: Contrary to Ranahan's description, as recently as October 29, Peters himself characterized the financial information this way: