101 F.R.D. 418 | E.D. Pa. | 1983
MEMORANDUM AND ORDER
Plaintiff has submitted to the Court a motion to compel the production of documents addressed to the defendant, defendant responded and oral argument was heard. Defense counsel objected to seven of the eight requests as extremely broad and irrelevant to the subject matter. I am granting plaintiff’s motion as to request number four limited herein and denying the motion as to the other requests. The request for an award of counsel fees for the filing of this motion pursuant to the Federal Rules of Civil Procedure 37(a)(4) is denied.
Courts have held that objections to discovery requests must be specific and supported by an explanation. In re Folding Carton Antitrust Litigation, 83 F.R.D. 260 (N.D.Ill.1979). The test for determining whether material is discoverable is relevancy. Roesberg v. Johns-Mansville, 85 F.R.D. 292, 296 (E.D.Pa.1980). Weahkee v. Norton, 621 F.2d 1080, 1082 (10th Cir.1980).
Plaintiff’s document requests numbered one, two, three
Document request number four
Document request number five
Document request number six, seven and eight
DOCUMENT REQUESTS
1. All documents relating or referring to the acquisition of the stock of Vikonics Inc. by Racal Holdings Inc., including any agreements relating thereto.
2. All documents relating or referring to the sale of the stock of Racal-Vikonics Inc. owned by Racal Holdings Inc. to Racal-Vikonics Inc., including any agreements relating thereto.
3. All documents relating or referring to any dealings with or communications with Racal Electronics Ltd. or any subsidiary of the Racal Electronics Group.
4. All minutes of meetings of the Board of Directors of defendant Racal-Vikonics Inc.
5. Any documents relating or referring to the preparation of Quote # 226-03 of October 9, 1981 addressed to plaintiff regarding the Mechanicsburg project.
6. All documents relating or referring to any suppliers of sub-contractors of any material, parts or components for use in connection with the Mechanicsburg project.
7. All documents relating or referring in any manner to the Mechanicsburg project.
8. All documents received by defendants from any other customers relating or referring to the operation of or performance of the VISCAN II system or any related equipment sold by defendant.
. A copy of the Document Requests is attached as page - and may be referred to when a document request is being addressed herein.
. Id. n. 1.
. Id. n. 1.
. Id. n. 1.