United States District Court, D. Nebraska
MEGAN SWIGART individually and on behalf of PEARL SWIGART and PYPER SWIGART, minor children, and JOSHUA SWIGART, Plaintiffs,
UNITED STATES OF AMERICA and DERRICK VAUGHN, Defendants.
STIPULATED PROTECTIVE ORDER
Michael D. Nelson United States Magistrate Judge
matter is before the Court on the parties' Joint Motion
for Entry of Stipulated Protective Order (Filing No.
32). Upon a showing of good cause in support of the
entry of a protective order to control the discovery and
dissemination of confidential or proprietary information in
this case (hereafter collectively referred to as
“Confidential Information”), IT IS
Confidential Information will include confidential or
proprietary business information. For purposes of this Order,
the following categories of documents and information will
generally be considered “Confidential
Information” and subject to this Protective Order:
• Plaintiffs Megan Swigart, Pearl Swigart and Pyper
Swigart's medical or healthcare records;
• Plaintiffs Megan Swigart and Joshua Swigart's tax
• Confidential or proprietary business information.
Confidential Information subject to this Protective Order
may, depending on the content, be included in a variety of
documents, including but not limited to, Agency records,
documents produced pursuant to written discovery, answers to
interrogatories, responses to requests for admission,
deposition testimony, including all copies thereof, and other
information disclosed in the context of discovery of this
case by either party or disclosed pursuant to the discovery
procedures created by the Federal Rules of Civil Procedure.
Except as otherwise provided herein, Confidential Information
shall not be disclosed or used for any purpose except the
preparation and trial of this case, Megan Swigart
individually and on behalf of Pearl Swigart and Pyper
Swigart, minor children, and Joshua Swigart v. United States
of America and Derrick Vaughn, and will not be used in
any other litigation.
Confidential Information shall not, without the consent of
the party producing it or further Order of the Court, be
disclosed except that such information may be disclosed to:
a. attorneys actively working on this case;
b. any person who previously received or authored the
c. persons regularly employed or associated with the
attorneys actively working on the case;
e. Defendants and Representatives of ...