Tampa Bay Water v. HDR Eng?g, Inc., No. 8:08-CV-2446-T-27TBM, 2012 Wl 5387830 (M.D. Fla. Nov. 2, 2012)
Key Insight: Court noted that the Third Circuit has ?persuasively reasoned that ?only the conversion of native files to TIFF (the agreed-upon default format for production of ESI), and the scanning of documents to create digital duplicates are generally recognized as the taxable ?making copies of material,?? (Race Tires Am., Inc. v. Hoosier Racing Tire Corp, 674 F.3d 158 (3d Cir. 2012)) but held that in the present case, the ?precise scope of ? 1920(4) [was] immaterial? because of the parties? contract regarding costs and expenses and declined to deny recovery or reduce the amount sought
Nature of Case: Engineering malpractice
Electronic Data Involved: taxable costs