ORDER RE: ABD DOCUMENTS
By letter briefs, 1 the parties bring before the Court a dispute regarding the production of third-party documents that Atmel claims are protected under the attorney-client privilege and work product doctrine. This issue was previously raised by defendant’s motion to compel and the Court held a hearing on that motion on July 1, 2005. The Court ordered the parties to meet and confer, in order to allow Atmel to produce additional information about its privilege claim. 2 After the meet- and-confer, St. Paul has renewed its request to compel production of documents through this letter brief.
At issue in this motion are approximately 80 documents in ABD’s possession that Atmel has asked ABD to withhold on the grounds of the attorney-client and work product privilege. St. Paul claims that Atmel waived any privilege when these documents were provided to ABD, its insurance broker.
Disclosure of an attorney-client communication to a third party does not automatically waive privilege. Instead, the privilege remains intact if disclosure occurs to “no third persons other than those who are present to further the interest of the client in the consultation or those to whom disclosure is reasonably necessary for the transmission of the information.... ” Cal. Evid.Code § 952. St. Paul argues that ABD, as an independent insurance broker, does not satisfy the requirements of § 952. In support, St. Paul cites
McKesson HBOC, Inc. v. Superior Court,
St. Paul argues that insurance brokers are independent contractors, relying on
Rios v. Scottsdale Ins. Co.,
Atmel asserts that ABD negotiated insurance policies with Royal, AIG and St. Paul on its behalf. After the policies were purchased, ABD served as a “necessary advisor for both general coverage questions and regarding specific claims tendered to carriers.” Therefore, ABD served as a conduit of information between Atmel and the insurers. Atmel and ABD worked together to provide relevant information about litigation or claims to the insurers. Atmel contends that ABD’s ex *1182 pertise was necessary to understand general liability, coverage and litigation issues.
Given the relationship between ABD and Atmel, the attorney client privilege was not waived because ABD was present to further Atmel’s interests and disclosure to ABD was reasonably necessary to provide information to the insurers. The factual situation here is similar to that in
Royal Surplus Lines Ins. Co. v. Sofamor Danek Group, Inc.,
Therefore, the Court finds that communications between ABD and Atmel are entitled to protection under the attorney-client privilege under § 952 because ABD was present to further the interests of Atmel and the disclosure was reasonably necessary for the transfer of necessary information to the insurers.
St. Paul also contends that Atmel is not entitled to the work product privilege. St. Paul asserts that the documents were not prepared in anticipation of litigation or trial, but instead contain communications about facts relating to Atmel’s various insurance providers. St. Paul provides a lengthy discussion of
National Congress for Puerto Rican Rights v. City of New York,
Although Atmel has properly asserted the attorney-client and work product privilege for many of the documents in its privilege log, Atmel also asserts privilege for communications between non-attorneys. See Ex. A, entries 19, 70, 76-85. It is unclear to the Court how these communications can be privileged; therefore, the parties are instructed to meet an confer on this issue, taking into consideration this Order.
IT IS SO ORDERED.
Notes
. Defendant filed its motion on August 1, 2005. Atmel responded on August 8, 2005. Defendant replied on August 9, 2005.
. Therefore, the Court DENIES without prejudice St. Paul's pending motion to compel against ABD, AIG, and Royal Indemnity Company, which the Court has already heard argument on. Instead, it may raise any requests to compel through letter briefs, as it has already done.
. St. Paul cites
SR International Business Ins. Co., Ltd. v. World Trade Center Properties LLC,
