Request #19-599
  Closed

This is a request under the California Public Records Act and the California Constitution for records relating to the convect of the people's business, and the use of public funds. The below requests relate primarily to the settled civil action Huskins, et al. v. Vallejo et al. in US District Court #2:16-CV-00603-TLN-EFB (the "Huskins/Quinn matter"). Please provide the following:

#1 Initial disclosures by all parties in the Huskins/Quinn matter;

#2 Privilege log provided to the defendants on February 28th, 2017, by the plaintiffs in the Huskins/Quinn matter;

#3 Transcripts of all precipient witness depositions taken in the Huskins/Quinn matter;

#4 Documents produced to the defendants by the plaintiffs in the Huskins/Quinn matter, Bates numbered EHAQ 1-3213;

#5 All communications in any form produced to the defendants in the Huskins/Quinn matter between the Solano County district attorney's office and Aaron Quinn or Denise Huskins;

#6 The agenda and minutes of the December 2017 California Joint Powers Risk Management Authority board meeting which the City's continued membership in the risk pool was discussed.

If any documents responsive to the above requests are withheld, please preserve those documents pending litigation, whether the withheld documents are in the City's actual possession or in its constructive possession via a third party such as a law firm. Please provide any segregable nonexpempt portion of documents the City maintains are exempt. Please provide a list of documents being withheld sufficient to identify each responsive item the City has withheld.

Thank you.


Received

October 8, 2019 via web


Departments


Requester

Matthew Muller

Documents

Public

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Staff

Point of Contact

Vanessa Garcia, Law Office Supervisor

Request Closed   Hide Public

The City is releasing the requested information that is publicly available.  Information gleaned from investigatory records is exempt from disclosure pursuant to Government Code section 6254(f).  Furthermore, names and contact information of third party witnesses are also exempt from disclosure pursuant to Government Code section 6255 and have been redacted.  These individuals have a heightened privacy interest in not allowing the general public to know their names, home address and phone numbers, as they were not willing participants in the lawsuit.  Furthermore, since criminal proceedings are still underway in connection with the underlying crime, it is not appropriate to release these names or contact information. Finally, the names of the plaintiffs’ employers have been redacted under Government Code section 6255 to preserve their right to privacy. The undersigned is responsible for this response.

Kelly J. Trujillo, Assistant City Attorney

 

December 9, 2019, 5:31pm by Vanessa Garcia, Law Office Supervisor
Document(s) Released   Details Public
Stipulated Protective Order, #21.pdf
PRA 19-599.pdf
Redacted Plaintiffs Initial Disclosures.pdf
Redacted Pls' Supp. Initial Disclosures.pdf
Redacted Defs Initial Disclosures-9-20-16.pdf
Redacted Plaintiff's 2nd supplemental disclosures.pdf
December 9, 2019, 5:27pm by Vanessa Garcia, Law Office Supervisor
Document(s) Released Public
PRA 19-599.pdf
November 27, 2019, 1:44pm by Deena York, Legal Secretary
Document(s) Released Public
Stipulated Protective Order, #21.pdf
November 1, 2019, 2:15pm by Deena York, Legal Secretary
Request Published Public
October 8, 2019, 12:26pm by Dawn Abrahamson, City Clerk
Department Assignment Public
Removed: All Other Departments.
October 8, 2019, 12:26pm by Dawn Abrahamson, City Clerk
Department Assignment Public
All Other Departments
October 8, 2019, 11:25am
Request Opened Public
Request received via web
October 8, 2019, 11:25am