Opinion
1:21-mc-00670-PAE
08-12-2021
CLARICK GUERON REISBAUM LLP Jeffrey S. Klein Nora Niedzielski-Eichner WEIL, GOTSHAL & MANGES LLP Edward Soto Zachary A. Schreiber Attorneys for Petitioner Zion Williamson
CLARICK GUERON REISBAUM LLP
Jeffrey S. Klein
Nora Niedzielski-Eichner
WEIL, GOTSHAL & MANGES LLP
Edward Soto
Zachary A. Schreiber
Attorneys for Petitioner Zion Williamson
NOTICE OF PETITIONER ZION WILLIAMSON'S MOTION TO COMPEL COMPLIANCE WITH SUBPOENAS
PAUL A. ENGELMAYER, United States District Judge
PLEASE TAKE NOTICE, that upon the annexed memorandum of law, declaration of Zachary A. Schreiber, Esq., dated August 11, 2021, and the exhibits annexed thereto, Petitioner Zion Williamson hereby moves before this court, at the courthouse located at 500 Pearl St, New York, NY 10007, for an Order:
a. Pursuant to Rule 45 of the Federal Rules of Civil Procedure compelling Defendant Youdy Sanon to produce the documents as required by the Subpoena to Produce Documents, Information, or Objects or to Permit Inspection of Premises in a Civil Action, dated June 16, 2021;
b. Pursuant to Rule 45 of the Federal Rules of Civil Procedure compelling Mr. Sanon to appear for a deposition as required by the Subpoena to Testify at a Deposition in a Civil Action, dated June 16, 2021; and
c. For such other and further relief as the Corn! deems just and proper under the circumstances.
Youdy Sanon is directed to respond by August 27, 2021. Plaintiffs are directed to serve this Order on Youdy Sanon and to file an affidavit of that service on the docket of this case by August 13, 2021 at 5:00 pm.
SO ORDERED.