Mossop D.C.J.: 1 This is a motion to compel General Motors Corporation to
produce documents in its possession, control or power.
Not exact matches
[23] I find that certain specific
documents in the
possession of the RCMP with respect to the June 25, 2012 incident should be
produced.
I find that certain specific
documents in the
possession of the RCMP with respect to the 2009 incident should be
produced.
McAllister v. Calgary (City) 2012 ABCA 346 Practice — Discovery — What
documents must be produced — Documents in the possession, power or control of a party McAllister was assaulted and injured at a C - Train station in the City of
documents must be
produced —
Documents in the possession, power or control of a party McAllister was assaulted and injured at a C - Train station in the City of
Documents in the
possession, power or control of a party McAllister was assaulted and injured at a C - Train station
in the City of Calgary.
That distinction is recognized
in Ontario
in Rule 30.02 (4): (4) The court may order a party to disclose all relevant
documents in the
possession, control or power of the party's subsidiary or affiliated corporation or of a corporation controlled directly or indirectly by the party and to
produce for inspection all such
documents that are not privileged.
9 Order to go that the defendant disclose all relevant
documents in the
possession, control or power of its affiliated corporation, General Motors Corporation, and
produce for inspection all such
documents that are not privileged.
Indeed, as part of the civil pre-trial discovery process, an alleged offender will have to
produce all relevant, non-privileged
documents in his
possession, power or control and to submit to an oral examination under oath.
[70]
In my view, the appropriate relief is to order Ms. Fric to produce an amended list of documents which identifies the photographs and video in her possession and control in which in which she is feature
In my view, the appropriate relief is to order Ms. Fric to
produce an amended list of
documents which identifies the photographs and video
in her possession and control in which in which she is feature
in her
possession and control
in which in which she is feature
in which
in which she is feature
in which she is featured:
For
documents in a client's «custody or control» but not
in a client's
possession, the response should note what records are available and where they can be
produced.
87 Where an order is made by a judge of the Superior Court of Justice for the production by the Chief Electoral Officer of any
document in his or her
possession relating to an election, the production of it by him or her,
in such manner as is directed by the order, is evidence that the
document relates to the election, and any endorsement appearing on any envelope containing ballots so
produced is evidence that the contents are what they are stated to be by the endorsement.
A party may also submit to the tribunal requests to the other party to
produce documents («requests to
produce»), containing: (i) a sufficiently detailed description of the requested
document or category of
documents; (ii) a statement of how the
document (s) is / are relevant to the case and material to its outcome; and (iii) a statement that the
documents requested are not
in the
possession of the requesting party, are
in the
possession of the other party and why disclosing them would not be an unnecessary burden for the other party (Art 3 (3)-RRB-.