The plaintiff brought a motion seeking extensive discovery relief in a contractual dispute, including permission to create a mirror copy of the defendant’s computer hard drive, disclosure of detailed information regarding the defendant’s electronic document searches, enforcement of alleged undertakings, and permission to contact the defendant’s IT manager.
The court held that the Rules of Civil Procedure require production of relevant documents but do not require a party to disclose the methodology used to search for those documents.
The plaintiff’s request for a mirror copy of the defendant’s hard drive was rejected as speculative and invasive, absent evidence that relevant undisclosed documents existed.
The court also found that the undertakings relied upon by the plaintiff had either been fulfilled or had not been given as alleged, and that contacting the defendant’s IT manager directly would breach the Rules of Professional Conduct because he was involved in the conduct of the litigation.