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SAO"), have instituted a "Litigation Hold" in connection with the claims set forth in lone Does nand #21 United States, Case No.: 08.80736-CIV-MARRA/Johnson regarding alleged violation of the petitioners' rights under the Crime Victim's Rights Act ("CVRA"). To institute this Litigation Hold, we are impl
bases, calendars, telephone logs, internet usage files, network access information, and information on other kinds of media, including PDAs (such as Palm Pilots, BlackBerries, and cell phones), thumb drives, CDs, as well as digital voicemail and text messages. Because the USAO must take reasonable steps to
SAO"), have instituted a "Litigation Hold" in connection with the claims set forth in lone Does nand #21 United States, Case No.: 08.80736-CIV-MARRA/Johnson regarding alleged violation of the petitioners' rights under the Crime Victim's Rights Act ("CVRA"). To institute this Litigation Hold, we are impl
bases, calendars, telephone logs, internet usage files, network access information, and information on other kinds of media, including PDAs (such as Palm Pilots, BlackBerries, and cell phones), thumb drives, CDs, as well as digital voicemail and text messages. Because the USAO must take reasonable steps to
have received and read the Litigation Hold letter dated November 2, 2010 regarding Jane Does #1 and #2 v. United States, Case No.: 08-80736-Mt-MARRA/Johnson and I have taken and agree to continue to take all reasonable steps necessary to preserve the documents and data as instructed in the letter and Fo
bases, calendars, telephone logs, internet usage files, network access information, and information on other kinds of media, including PDAs (such as Palm Pilots, BlackBerries, and cell phones), thumb drives, CDs, as well as digital voicemail and text messages. Because the USAO must take reasonable steps to
AO"), have instituted a 'Litigation Holt in connection with the claims set forth in Jane Does #1 and #21 United States, Case No.: 08-80736-CIV-MARRA/Johnson regarding alleged violation of the petitioners' rights under the Crime Victim's Rights Act ("CVRA"). To institute this Litigation Hold, we are impl
bases, calendars, telephone logs, Internet usage files, network access Information, and Information on other kinds of media, including PDAs (such as Palm Pilots, BlackBerries, and cell phones), thumb drives, CDs, as well as digital voicemail and text messages. Because the USA° must take reasonable steps to
Entities connected to both Scarlett Johansson and Palm Pilots

Kenneth Marra
PERSON
Southern District of New York
ORGANIZATIONLit Hold Coordinator
ORGANIZATIONthe Complaint/Claims
ORGANIZATIONPersonal (N, H & M
ORGANIZATIONNon-Network Data
ORGANIZATIONUSAO Systems
ORGANIZATIONPersonal Non-Network Data
ORGANIZATIONUSAO System - Microsoft Outlook
ORGANIZATIONK Inter-
ORGANIZATION