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I go with door #3
Steven D. Morgan Records Manager, C.J. Segerstrom & Sons Costa Mesa, CA 714.438.3228 Phone 714.546.9835 Fax Information is the currency of democracy. (Thomas Jefferson)
-----Original Message----- From: Records Management Program [mailto:[log in to unmask]] On Behalf Of Tom Wilson Sent: Thursday, May 21, 2009 2:18 PM To: [log in to unmask] Subject: Records Relevant and Records Produced for Litigation After Release of Hold
After whatever point the duty for preservation begins and records are collected and possibly copied for litigation, when the matter is considered settled and the duty to preserve no longer exists, what do you do with original records with copies of original records?
It might be easier to imagine and respond based on hardcopy records, but my question would apply to any media on which records are maintained and could be copied. For my purposes in asking I'm scoping out the complication of ESI and what part of it may or may not be a record outside the duty to preserve.
Do you
1. return the original records to their original custodian and apply the retention period for the original record type to them while maintaining copies made of the records with the litigation file and applying the retention period for litigation.
2. Same as number 1, but destroy copies made of records leaving the litigation file itself without any evidence of records produced.
3. Maintain all original records produced with the litigation file and all original records and copies associated with the litigation file adopt the retention period for litigation.
4. Or something different.
Also, if you do return original records to their original custodian, keeping copies of records produced or relevant to the litigation with the litigation file, when you destroy the original records, assuming the retention period of the original record types end sooner than the retention period for litigation, do you make note on the destruction or elsewhere that certain records within that record type may still exist within the litigation file?
I understand there can be attorney client privilege, but that may not apply in every case. I wondered what approach some of you may take to this issue.
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