Lead Opinion
Robert Heekin seeks certiorari review of a discovery order requiring him to furnish Respondents certain personal financiаl information. Mr. Heekin was ordered to deposit $250,000 into the court registry after the court granted summary judgment to Respondents on their breach of fiduciary duty claim. The nonfinal order entered June 8, 2009, gave Mr. Heekin 30 days to make payment. He did not do so and, as a result, Respondents moved to enforce the order and sought discovery of information concerning Mr. Heekin’s financеs. He objected to the discovery requests, and at the hearing on Respondents’ motion to compel production оf financial information and answers to interrogatoriés, the court'advised Mr. Heekin that he may be held in contempt. Mr. Heekin, through counsel, claimed inability to pay the $250,000.
Certiorari review of an order compelling discovery is appropriate whеn the order departs from the essential requirements of law, causing irreparable harm that cannot be remedied on plenary appeal. See Commonwealth Land Title Ins. Co. v. Higgins,
In support of his petition, Mr. Heekin asserts that disclosure of personal information ipso facto causes irreparable harm. Indeed, “ ‘disclosure of personal financial infоrmation may cause irreparable harm to a person forced to disclose it, in a case in which the information is not relevant.’” Friedman v. Heart Inst. of Port St. Lucie, Inc.,
An “order compelling production of relevant financial information cannot be
DENIED.
Notes
We previously dismissed as premature Mr. Heekin's appeal of thаt nonfinal order. See Heekin v. Del Col,
Concurrence Opinion
Concurring.
I concur in the decision to deny the petition for writ of certiorari because there has been no demonstration of a departure from the essential requirements of law.
A petitioner seeking certiorari relief from an order granting discovery is required to demonstrate two circumstances: 1) the order constituted a departure from the essential requirements of law, and 2) production of the material will cause irreparable harm or injury that cannot be remedied оn appeal. Commonwealth Land Title Ins. Co. v. Higgins,
The element of departure from the essential requirements of law concerns an examination оf whether a legal error has occurred and the seriousness of the error. Wolf Creek Land Dev., Inc. v. Masterpiece Homes, Inc.,
The second prong cоncerning irreparable harm has nothing to do with the correctness of the trial court’s legal determination but rather the naturе of the harm caused by the alleged erroneous legal decision. In the context of certiorari review of an ordеr granting discovery, one must look at the legal reason asserted for not providing the information as well as the exact nаture of the information sought to be protected.
For instance, irreparable harm may be demonstrated where it is alleged that the order compelling discovery involves the piercing of an evidentiary privilege. See Fla. E. Coast Ry. L.L.C. v. Jones,
In the instant case, the asserted legal reason for denying discovery is relevance. The legal assertion that material is irrelevant standing alone dоes not demonstrate irreparable harm. Allstate Ins. Co. v. Langston,
In the instant case, Mr. Heekin sought to protect personal financial information. If there had been a demonstration of a departure of essential requirements of law, the prong of irreparable harm would have been met. See Spry v. Prof'l Employer Plans,
