Alabama: Confidential and Proprietary Information ProtectedSUMMARY OF AMICUS BRIEF FILED 11/6/2017 Plaintiffs’ attorneys have no right to use the confidential proprietary information they will obtain from IWS during discovery for any purpose outside this litigation. A party has a right to have its confidential and proprietary information protected “to the maximum extent practicable” yet the trial court did nothing to protect IWS’s confidential proprietary information. Therefore, this Honorable Court should issue the writ and direct the trial court to enter a protective order that prohibits Plaintiffs from using IWS’s confidential information for purposes other than this litigation. download the amicus briefread the March 2, 2018 update |