Case 3:12-cv-30051-MAP Document 147 Filed
04/27/15
Page 1 of 11
AO 8SA Rev,
02/14
Subpoena
to
Testify
at
a
Deposition
in
a
Civil Action
UNITED STATES DISTRICT COURT
for the District
of
Massachusetts
SEXUAL MINORITIES
UGANDA,
) )
v.
)
Civil Action No. 3-12-CV-30051-MAP SCOTT
LIVELY,
individually and
as
President of
)
Abiding Truth Ministries,
)
Defendant
)
SUBPOENA
TO
TESTIFY AT
A
DEPOSITION
IN A
CIVIL
ACTION
To: Martin
Ssempa
(Name personto whom this subpoena is directed)
" Testimony:
YOU ARE
COMMANDED
to appear at the time, date, and place set forth below to testify at a deposition to
be
taken in this civil action.
If
you are an organization, you must designate one or more officers, directors, or managing agents, or designate other persons who consent to testify on your behalf about the following matters, or those set forth in an attachment:
I
Place: Dorsey Whitney
[[P
51
W.
52nd Street, New
Y rk~ ate
and
Time:~ -~-- -~
. New
York
1 0019:
~
check
in
t.he
a~ount
of $1,900 for
05 19 2015
9:30
am
L_~_~_ :~yel
expenses
S
Included
with thiS
subpoena. The deposition will be recorded
by
this method: Stenographically
and
~by_vi_d_eo
_
" Production:
You, or your representatives, must also bring with you to the deposition the following documents, electronically stored information,
or
objects, and must permit inspection, copying, testing,
or
sampling
ofthe
material:
See
attached Exhibit A The following provisions
of
Fed.
R.
Civ. P. 45 are attached -Rule 45(c), relating to the place
of
compliance; Rule 45(d), relating to your protection as a person subject to a subpoena; and Rule 45(e) and (g), relating to your duty to respond to this subpoena and the potential consequences
of
not doing so.
Date/?J..~~~1 :/3:°/~
ROBERT
M
FARRELL
~~~
CLERK OF COURT
Jylt lrtAJ
ct
t
OR
-------.- I-- ~----.--.---~,---.-
.~ .
- -----.~--~---------~~----
g
lure Clerk or Deputy Clerk Attorney's signature
The name, address, e-mail address, and telephone number
ofthe
attorney representing
(name party)
Sexual Minorities , who issues or requests this subpoena, are: Mark Sullivan;
51
West 52nd Street, New
York,
New
York
Notke
to the
person
who
issues
or
requests this
subpoena
If
this subpoena commands the production
of
documents, electronically stored information,
or
tangible things before trial, a notice and a copy
of
the subpoena must be served on each party in this case before it
is
served on the person to whom it
is
directed. Fed.
R.
Civ. P. 45(a)(4).
Case 3:12-cv-30051-MAP Document 148 Filed 04/27/15 Page 1 of 1
Case 3:12-cv-30051-MAP Document 147 Filed
04/27/15
Page 2 of 11
UNITED STATES DISTRICT COURT DISTRICT
O
MASSACHUSETTS SPRINGFIELD DIVISION SEXUAL MINORITIES UGANDA,
Plaintiff
)
Civil Action
No
v
3: 12-CV-30051
SCOTT LIVELY, individually and as President
of
Abiding
Truth
Ministries,
Defendant.
EXHIBIT
INSTRUCTIONS
1
General. You should produce all documents and other materials described below
in
your actual or constructive possession or custody, or subject to your control, as further described herein.
2
Each request covers documents in your possession, custody, or control, which extends to any document
in
the possession, custody, or control
of
any
of
your agents, including but not limited to your employees, advisors, accountants, and attorneys, and includes documents which are not in your custody but are controlled in whole
or
in
part by you, or those which you have an understanding that you may use, inspect, examine,
or
copy.
3
Documents shall be produced as they are kept
in
the usual course
of
business or must be organized and labeled to correspond to the numbered document request(s) to which they respond.
4
If
any document requested was, but
is
no longer,
in
your possession, custody, or control, identifY the document and state what disposition was made
of
it and the date
or
dates
Case 3:12-cv-30051-MAP Document 148-1 Filed 04/27/15 Page 1 of 10
Case 3:12 cv 30051 MAP Document 147 Filed
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Page 3 of
upon which such disposition was made, and additionally, produce all documents relating to the disposition
of
such document. 5.
f
you object to any request, you should:
i)
identify the portion
of
such request claimed to be objectionable and state the nature and basis
ofthe
objection; (ii) identify any documents withheld pursuant to such objection with sufficient particularity and in sufficient detail to permit the court to determine whether the documents fall within the scope
of
such objection; and (iii) produce documents in response to any portion
of
such request that is not claimed to be objectionable.
6
f
you assert a claim
of
privilege with respect to any request, or a portion thereof, you must identify the nature
ofthe
privilege (including work product) that is being claimed and,
if
the privilege is governed by state law, indicate the state's privilege rule being invoked. You must also provide the following information in the objection: (i) the type
of
document, e.g., letter or memorandum;
(ii)
the general subject matter
of
the document; (iii) the date
of
the document; and (iv) the author
of
the document, the addressees
of
the document, and any other recipients, and, where not apparent, the relationship
ofthe
author, addressees, and recipients to each other.
7
f
a document exists only in electronic form, please convert the document into printable form and also provide a copy thereof in electronic form and indicate which software application(s) were used to create the document and/or can be used to open the document.
8
The terms "and," "or," "and/or" have both conjunctive and disjunctive meanings, and the terms "each," "any," and "all" mean "each and every." 9. Any singular term will be deemed to include the plural, and any plural term the singular. All pronouns and variations thereof will be deemed to refer to the feminine, masculine or neuter, singular or plural, as the identity
of
the person or thing referred to requires.
2
Case 3:12-cv-30051-MAP Document 148-1 Filed 04/27/15 Page 2 of 10
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