Manning v. Gen. Motors, 2007 WL 4246047 (D. Kan. Dec. 4, 2007)
Key Insight: Although court found it ?difficult to imagine? that defendant did not possess any responsive electronic or paper documents, plaintiff submitted no information upon which to question defendant?s representation and court had no basis to compel production; court instead required defendant to supplement discovery responses unconditionally representing that no responsive documents were in its possession, custody or control
Nature of Case: Employment discrimination
Electronic Data Involved: Electronic records identifying vacant positions at GM plant