provision_id,doc_id,judge_id,rule_number,title,text,source_page,topics,cross_references,judicial_district,county,court_type,doc_type COHEN3-PCO-V,186,NY-COMDIV-COHEN-J,§V,Initial Disclosures,Please confirm that you have exchanged initial disclosures as required by Commercial Division Rule 11-h.,,"[""discovery-scheduling""]","[""Commercial Division Rule 11-h""]",1,New York,supreme,preliminary_conference_order COHEN3-V,188,NY-COMDIV-COHEN-J,V,Confidentiality Orders,"Any proposed order regarding the confidential exchange of information shall be based on the model Stipulation and Order for the Production and Exchange of Confidential Information. If the parties propose to deviate from the Model Order, they shall file: (1) a copy of the parties' proposed confidentiality order; (2) a redline showing proposed deviations; and (3) a letter explaining the reasons for deviations.",,"[""discovery-scheduling""]","[""Commercial Division Rule 11-g""]",1,New York,supreme,part_rules MASLEY48-PCO-1,181,NY-COMDIV-MASLEY,¶1,Interrogatories,Interrogatories shall be served by the date set in the order. Answers to interrogatories shall be served by the date set in the order. Interrogatories are limited both in terms of topics covered and number permitted (25 including subparts). No additional interrogatories regarding claims and contentions of the parties shall be permitted.,,"[""discovery-scheduling""]","[""CD Rule 11-a""]",1,New York,supreme,preliminary_conference_order NY-SC-1JD-CATANZARO-P37-011,70,NY-SC-1JD-CATANZARO,VI,Judicial Subpoenas - Affirmation of Necessity Required,Parties seeking a judicial subpoena must include the documents for review and an attorney affirmation giving the reasons why a judicial subpoena is necessary. The documents must be emailed as attachments to sfc-part37-clerk@nycourts.gov with only the parties to the action copied.,,"[""discovery-scheduling""]",[],1,New York,supreme,part_rules SCHECTER54-CONFID-3,179,NY-COMDIV-SCHECTER,¶3,Definition of Confidential Information,"'Confidential Information' means all Documents and Testimony containing trade secrets, proprietary business information, competitively sensitive information, or other information the disclosure of which would, in the good faith judgment of the party designating the material, be detrimental to the conduct of that party's business or the business of any of its customers or clients.",,"[""discovery-scheduling""]",[],1,New York,supreme,confidentiality_stipulation