Skip to main content
Skip to content
Case File
sd-10-EFTA01379753Dept. of JusticeOther

EFTA Document EFTA01379753

Page 7 2009 U.S. Dist. LEXIS 29508, * For Production No. 8 and an indication that the documentation is all of the responsive documentation in the possession, custody, or control of the defendant. Interrogatory No. 15 and Request for Production No. 11: The Court finds this inquiry to be relevant. The Takata Defendants have agreed to determine what, if any, customer complaint information related to the seat belt restraint system at issue in this litigation they have in their possession and

Date
Unknown
Source
Dept. of Justice
Reference
sd-10-EFTA01379753
Pages
1
Persons
0
Integrity
Loading PDF viewer...

Summary

Page 7 2009 U.S. Dist. LEXIS 29508, * For Production No. 8 and an indication that the documentation is all of the responsive documentation in the possession, custody, or control of the defendant. Interrogatory No. 15 and Request for Production No. 11: The Court finds this inquiry to be relevant. The Takata Defendants have agreed to determine what, if any, customer complaint information related to the seat belt restraint system at issue in this litigation they have in their possession and

Ask AI About This Document

0Share
PostReddit

Extracted Text (OCR)

EFTA Disclosure
Text extracted via OCR from the original document. May contain errors from the scanning process.
Page 7 2009 U.S. Dist. LEXIS 29508, * For Production No. 8 and an indication that the documentation is all of the responsive documentation in the possession, custody, or control of the defendant. Interrogatory No. 15 and Request for Production No. 11: The Court finds this inquiry to be relevant. The Takata Defendants have agreed to determine what, if any, customer complaint information related to the seat belt restraint system at issue in this litigation they have in their possession and contact plaintiffs' counsel to attempt to reach a resolution related to the same. If a resolution cannot be reached, a phone call will be scheduled with the Court. Interrogatory No. 16: Takata shall determine how many vehicles contain the retractor involved in this litigation and, if Takata determines that listing the number of vehicles is overly burdensome, it shall notify the Court and request that the Motion as to this interrogatory be denied on that basis. If Takata determines that the number of vehicles is not overly burdensome to produce, it shall list the vehicles containing the retractor in a verified supplemental response. Request for Production 12: The Court finds that this request seeks relevant information, and therefore [*1 5] documents responsive to this request shall be produced, only to the extent the Takata Defendants contend that there are differences in safety performance between the restraint system used by Takata Defendants in the 2005 GMC Yukon and other restraint systems used by Takata Defendants, with the same retractor employed in the 2005 Yukon, in other SUV-type vehicles. This information is relevant for plaintiffs to show substantial similarity for other incidents involving SUVs using the same seat belt system (i.e. a system that uses the same retractor used in the 2005 GMC Yukon). Unlike the facts of the Gibson case cited by the defendants -- where the plaintiffs failed to present sufficient support to demonstrate the similarity of the products at issue -- the plaintiffs in the present case seek discovery of seat belt systems with the same "pertinent characteristics," as they relate to the accident at issue. Takata Defendants will only need to produce records if they contend that their seat belt systems used in SUVs, despite using the same retractors, somehow perform differently from the seat belt system in the 2005 Yukon. If the Takata Defendants contend that there are no differences in [*16] terms of safety performance, then the Takata Defendants will not have to produce any documents in response to this request. 2 2 In addition. the Gibson case is not binding authority on this court. Request for Production 13: The court finds that this request seeks relevant information, so long as the information on rollover research and development is limited to seat belt systems using the same retractor as the retractor used in the 2005 GMC Yukon. However, request 13.03, which relates to research and development regarding the effectiveness of pretensioning devices in protecting occupants in a rollover, will not be limited to only seat belt systems using the same retractor. The Takata Defendants shall respond to this request — which relates more directly to the spool out allegation and the existence of a safer alternative design — in its current form. III. CONCLUSION For internal use only CONFIDENTIAL - PURSUANT TO FED. R. CRIM. P. 6(e) DB-SDNY-0077525 CONFIDENTIAL SDNY_GM_00223709 EFTA01379753

Related Documents (6)

Dept. of JusticeOtherUnknown

EFTA Document EFTA01299130

KYC Print Page 1 of' 19 DB PWM GLOBAL KYC/NCA: PART A Int KYC Case # : 01141308 One sheet must be established per relationship - list all accounts included in the relationship 1. Relationship Details Relationship Name: EPSTEIN, JEFFREY RELATIONSHIP:00000483290 Booking Center: New York Relationship Manager: Paul Moms Relationship to PWM: 17 New PWM Relationship F Existing PWM Relationship If existing, please indicate since when the relationship exists, provide reason for new profi

19p
OtherUnknown

Deutsche Bank

DOJ EFTA Data Set 10 document EFTA01285353

3p
Dept. of JusticeOtherUnknown

EFTA Document EFTA01488410

J.PMorgan Primary Account: For the Period 5129/10 to 6/30/10 Important Information About Your Statement In Case of Error. or (Natiloin About 1. our Electronic Funds Transfers Oil or unto bo the ILtt Waistlines tad me the I haw number .el Mateo on frau of itiorwni and noaconareners that l.P Magna Toon 0vitact infonnation youdunk ram' ginned or recapl is memo* or if yak axd more Informatics ah'ua do:aortic traria:non on a titarea or reatie We mita hati fimru no lam than f0 dayk anti we wan

1p
OtherUnknown

Deutsche Bank

DOJ EFTA Data Set 10 document EFTA01285114

4p
Dept. of JusticeOtherUnknown

EFTA Document EFTA01485406

J.P. Morgan JEFFREY EPSTEIN ACCT For the Period I I/1/O9 to 11/30/09 Important Information Regarding Auction Rate Securities (ARS). ARS are debt or preferred securities with an interest or dividend rate reset periodically in an auction. Although there may be daily. weekly and monthly resets, there is no guarantee that there will be liquidity. If there are not enough bids at an auction to redeem the securities available for sale, the result may be a failed auction. In a failed auction, ther

1p
OtherUnknown

Invoice Number: 4-826-89274

DOJ EFTA Data Set 10 document EFTA01318437

10p

Forum Discussions

This document was digitized, indexed, and cross-referenced with 1,400+ persons in the Epstein files. 100% free, ad-free, and independent.

Annotations powered by Hypothesis. Select any text on this page to annotate or highlight it.