Free Notice (Other) - District Court of Delaware - Delaware


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Case 1:04-cv—O1551-JJF Document 352-3 Filed O9/28/2007 Page1 of 4
EXHIBIT B

Case 1:04-cv—O1551-JJF Document 352-3 Filed O9/28/2007 Page 2 of 4
Uzvrrerm Sm res Drsrnrcr C0 Ure r
Fon DISTRICT or Det.,4 Wa rcs
In Re: Student iiinence Corporation, SUBPOENA IN A CIVIL CASE
Debtor
Charles A. Stanziale, Jr., Chapter 7 Trustee of Student _ _ _
Fimmcc Cmpm_mmn’ Crvii Action Nc. 04-1551 (JJF)
Plaintiff,
v.
Pepper Hamilton LLP, etal ,
Defendants.
Wells Fargo Bank N A. ffk/e Weils Fargo Bank _ _
Minnesota, N A. as Trustee of SFC Grantor Trust, mul Acmm N°' 02`1294 (UF}
Series 2000·I, SFC Grantor Trust, Series 2000-2, SFC
Grantor Trust, Series 2000-3, SFC Grantor Trust,
Series 2000-4, SFC Grantor Trust, Series 200E-l, SFC
Grantor Trust, Series 200l-2, SFC Owner Trust 200t-
I, and SFC Grantor Trust, Series 2001 -3,
Plaintiff}/Counterciaim
Defendant,
v.
Royal Indemnity Company,
Defendant/Countercleim
Plaintiff
lqohyaiindemnity Company, _
Thi{.d_Pm_,y Plaintiff Civil Action Not 02-1294 (JJF)
v.
Student Loan Servicing, LLC, et at ,
Third-Party Defendants.
TO; M Duncan Grant, Esquire
c/o Pepper Hamilton LLP
2 Logan Square, Suite 3000
Eighteenth and Arch Streets
Phiiadeipitia, Pennsylvania l9l03
( X ) You Ans Cowtmauoso to appear in the United States District Court at the niece, date and time specitied below to testify to
the above case.
""°E °F TEST""°'" .1 Caleb Boggs Federal Building EGURTRDGM 4B
844 N King gucci oars new mis
Wilmington, DE 19801 _ _
October I0, 2007, 9 am (continuing day to
day thereafter until completed)
(I You Arte Cotnvmuoso to appear at the place, date, and time specified below to testify at the taking of a deposition in the
above case. Testimony will be recorded by steoographte means
PLACE OF DEPOSITIDN I {MTE ANB NME
( ) You Arte Commnnoeo to produce and permit inspection and copying of the toilowing documents or objects at the piece,
date, and time specified below (list documents or objects):
( ) You Ans Corviivwnoso to permit inspection of the following premises at the date and time specified below.

Case 1 :04-cv-01551-JJF Document 352-3 Filed O9/28/2007 Page 3 of 4
Any organization not a party to this suit that is subpoenaed for the taking of a deposition shall designate one or more ofncers,
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 the person will tesdfys Federal Rules of Civil Procedure, 30(b)(f:3).
ISSBING OFFICER SlGNATt}RE AND TITLE INDICATE li A“l"¥U5;~lEY FOR. PLAINTIFF OR DEFENDAHT} DATE
_ I
By: ·—- September 28, 2007
Attorneys or ?latntift`Cl1a es A Stanziaie, Jr ,
Chapter 7 Trustee of Stu t Finance Corporation
iS5UiNG OFFICER'! NAME. ADDRESS AN?) PHONE NUMBER
Mary E Augustine, Esc; Teicpbone: (302) 655-5000
Tire Brtvnno YIRM
222 Delaware Avenue, Suite 900
Wiimington, Delaware l9899
Eau Ruin 45 Fudnml Ruins nl Cwll Frucnduru Pons c 5 it an Rnvursu

PROOF OF SERViCE
UATE PLACE
SERVED
Seiwtzo ow (Perm rtnnte) Maureen or ssnvrcti
SERVED BY [PRtNT NAME) TiTi..E


DECLARATION CIF SERVICE
. I
ideciare upon penalty of perjury under the laws of the United Sates of America that the foregoing information
contained in the Proof of Service is true and correct.

Exscureo on
SIGNATURE OF SERVER
ADDRESS DF SERVER



Hula 45 Federal Rules ol Civil Procedure Parts tc) it (d):
(c} PROTECTION OF PERSONS SUBJECT TO SUBPOENAS copying oi any and atl of the designated materials or ofthe premises it
objection is made, the party serving the subpoena shall not be entltied to
(1) A party or an attorney responsible for the issuance and senrtce of inspect and copy the materials or inspect the premises except pursuant
a subpoena shall take reasonable steps to avoid imposing undue to an order of the court by which the subpoena was issued lf objection
burden or expense on a person subiect to that subpoena The court on has been made, the party serving the subpoena may, upon notice to the
behalf of which the subpoena was Issued shail enforce this duty and person commanded to produce, move at any time for an order to compel
impose upon the party or attorney in breach of this duty an appropriate the production Such an order to complete production shalt protect any
sanction. which may lnctude. but is not limited to, lost earnings and a person who is not a party or an otticer of a party from significant expense
reasonable attorney‘s fee resulting from the Inspection and copying commanded
{2)(A) A person commanded to produce and permit inspection and (3)(A) On timely motion. the court by which a subpoena was issued
copying of designated books. papers. documents or tangible things or shall quash or modify the subpoena if it
inspection of premises need not appear in person at the piace ol
production or inspection unless commanded to appear for deposition, (i) falls to allow reasonatate time for compliance;
hearing or trial (ii) requires a person who ls not a party or an officer oi a party to
travel to a piece more than 100 mites from the place where that
(B) Subject to paragraph (d}(2) of this rule. a person commanded person resides. is employed or regularly transacts business in
to produce and permit inspection and copying may, within 14 days after person. except that. suhiect to the provisions ot clause (c)(3}(B)(iii)
service of the subpoena or before the time specified for compliance if of this ruie. such a person may in order to attend trial be
such time is less than 14 days atter service, serve upon the party or commanded to travel from any such place within the state in which
attorney designated in the subpoena written objection to inspection or the triai is held. or

Case 1 :04-cv-01551-JJF Document 352-3 Filed O9/28/2007 Page 4 of 4
(til) requires disclosure of privileged or other protected matldr
and no exception or waiver applies. or
{iv) subjects a person to undue burden
(B) lt a subpoena
(i) requires disciosure of a trade secret or other contidentlel
research, development, or commercial information or
(ii) requires discioscre of an unretained expert's opinion or
information not describing specific events or occurrences in
dispute and resulting from the experts study made not at the
request ot any party, or
(iii) requires a person whois not a party or an officer of a party to
incur substantial expense to travel more than 100 miles to
attend trial. the court may, to protect a person subject to or
affected ny the subpoena. quash or modify the subpoena or, lt
the party in whose behalf the subpoena is issued shows a
substantial need for the testimony or material that cannot be
otherwise met with undue hardship and assures that the person
to whom the subpoena is addressed will be reasonably
compensated. the court may order appearance or production
only upon specified conditions
td) DUTIES IN RESPONDING TO SUBPOENA
(1)A person responding to a subpoena to produce documents shall
produce them as they are kept in the usual course of business or shail
organize and labet them to correspond with the categories in the
demand
{2) When information subject to a subpoena is withheld on e claim
that is privileged or subject to protection as trial preparation materials,
the claim snail be made expressly and shall be supported by a
description of the nature of the documents, communications. or things
not produced that is sufficient to enable the demanding party to contest
the claim