# Allianz Global Investors GmbH v. Bank Of America Corporation

> District Court, S.D. New York · August 19, 2021

URL: https://www.frixlaw.com/law-library/cases/10334414

## Case

- **Court:** District Court, S.D. New York
- **Decided:** August 19, 2021
- **Opinion:** 100trialcourt
- **Cited by:** 0 later opinions in the Frix Law Library

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## Opinion text

| USDC SDNY
UNITED STATES DISTRICT COURT DOCUMENT
SOUTHERN DISTRICT OF NEW YORK ELECTRONICALLY FILED
DOC #:
Allianz Global Investors GmbH et al., DATE FILED: 8/19/2021
Plaintiffs,
1:18-cv-10364 (LGS) (SDA)
-against- ORDER
Bank of America Corporation et al.,
Defendants.

STEWART D. AARON, UNITED STATES MAGISTRATE JUDGE:
Following a telephone conference with the parties today, for the reasons stated on the
record, the Court hereby ORDERS, as follows:
1. With respect to the dispute raised in the parties’ August 17 Joint Letter regarding
Defendants’ request for additional document custodians from Plaintiffs (see 8/17/2021 Joint Ltr.,
ECF No. 886, at 1-3, 8-11), the Court rules as follows:
a. Defendants’ request is deferred.
b. No later than September 15, 2021, Defendants may request additional
custodians from each of the Plaintiffs based upon documents and information
available to Defendants as of June 25, 2021.2
c. Thereafter, the parties shall meet and confer regarding any additional
custodians and, if agreement cannot be reached, the parties shall set forth

+ The page numbers for the 8/17/2021 Joint Letter that are cited in this Order are the page numbers
reflected at the bottom of the pages to the 14-page summary that is appended to the letter.
As further clarified during today’s conference, after September 15, 2021, Defendants may not request
additional custodians from Plaintiffs, unless such custodians were not reasonably identifiable as critically
relevant based on documents and information available as of June 25, 2021.

their respective positions in the joint letter to be submitted to the Court
pursuant to paragraph 6, infra.
2. With respect to the disputes raised in the parties’ August 17 Joint Letter regarding

Defendants’ FX futures trading data and intermediary trading data (see 8/17/2021 Joint Ltr. at 4,
13), the parties shall meet and confer and raise any unresolved disputes with the Court—on a
Defendant-by-Defendant basis—by setting forth their respective positions in the joint letter to
be submitted to the Court pursuant to paragraph 6, infra.
3. As requested by Plaintiffs (see 8/17/2021 Joint Ltr. at 11), and as discussed during
today’s conference, no later than September 17, 2021, each Defendant shall provide to Plaintiffs

a final, completed data field spreadsheet.
4. The Court hereby imposes the following deadlines on each Defendant’s respective
(i) substantial completion of custodial document production (see ECF Nos. 866, 874-83);
(ii) completion of data production (see 8/17/2021 Joint Ltr. at 4-7, 11-13); and (iii) completion of
transaction unmasking (see id. at 4-7, 14). The Court may extend these deadlines upon showings

of diligence and good cause. Any party seeking an extension must do so at least five (5) days prior
to the existing deadline, and is strongly encouraged to do so for a discrete subset of information
only (e.g., for documents or data corresponding to a particular custodian, geographical region,
time period, database, etc.). Any extension request shall state whether Plaintiffs consent to such
request.
a. Bank of America:

i. Custodial Documents: September 30, 2021.
ii. Data: September 30, 2021.
iii. Unmasking: September 30, 2021.
b. Barclays:
i. Custodial Documents: August 24, 2021.

ii. Data: September 30, 2021.
iii. Unmasking: Fourteen (14) days after data production is complete.
c. BNPP:
i. Custodial Documents: October 29, 2021.
ii. Data: October 29, 2021.
iii. Unmasking: Fourteen (14) days after data production is complete.

d. Citi:
i. Custodial Documents: September 24, 2021.
ii. Data:
1. No later than September 30, 2021, Citi shall complete
production of all data other than data from its GDM system.3
2. All data production complete by October 29, 2021.

iii. Unmasking: Fourteen (14) days after each of the foregoing data
productions is complete.
e. Credit Suisse:
i. Custodial Documents: October 1, 2021.
ii. Data: September 30, 2021.

3 No later than September 10, 2021, Citi shall update Plaintiffs on the progress of its efforts to “re-
produce” GDM data.
iii. Unmasking: Fourteen (14) days after data production is complete.
f. Deutsche:
i. Custodial Documents: August 24, 2021.

ii. Data: September 30, 2021.
iii. Unmasking: September 30, 2021.
g. Goldman:
i. Custodial Documents: October 29, 2021.
ii. Data: September 30, 2021.
iii. Unmasking: September 30, 2021.

h. HSBC:
i. Custodial Documents: September 8, 2021.
ii. Data: September 30, 2021.
iii. Unmasking: September 30, 2021.
i. JPMorgan:
i. Custodial Documents:

1. Documents not subject to privilege, state secrecy or foreign-
language review: September 8, 2021.
2. Documents subject to privilege, state secrecy or foreign-
language review: October 29, 2021.
ii. Data:

1. No later than September 10, 2021, Citi shall update Plaintiffs on
the status of any outstanding supplemental data.
2. All data production complete by October 29, 2021.
iii. Unmasking: Fourteen (14) days after data production is complete.
j. Morgan Stanley:

i. Custodial Documents: October 29, 2021.
ii. Data: September 30, 2021.
iii. Unmasking: September 30, 2021.
k. RBC:
i. Custodial Documents: August 24, 2021.
ii. Data:

1. No later than September 10, 2021, RBC shall update Plaintiffs
as to the status of its investigation into the possible omission of
certain fields from its produced options data.
2. No later than September 30, 2021, RBC shall complete
production of all data not impacted by any such omission, along

with a projected timeline for production of any impacted data.
3. All data production complete by October 29, 2021.
iii. Unmasking: Fourteen (14) days after each of the foregoing data
productions is complete.
l. RBS:
i. Custodial Documents: August 24, 2021.

ii. Data: September 30, 2021.
iii. Unmasking: September 30, 2021.4
m. Société Générale:
i. Custodial Documents: August 24, 2021.

ii. Data: September 30, 2021.
iii. Unmasking: September 30, 2021.
n. Standard Chartered:
i. Custodial Documents: September 24, 2021.
ii. Data:
1. No later than September 30, 2021, Standard Chartered shall

complete production of all data other than data from its FX-
MXCASH database.5
2. All data production complete by October 29, 2021.
iii. Unmasking: Fourteen (14) days after each of the foregoing data
productions is complete.
o. UBS:

i. Custodial Documents:
1. Documents from non-Singaporean, non-Swiss custodians by
September 8, 2021.
2. Documents from Singaporean and Swiss custodians by October

4 RBS and Plaintiffs will meet and confer regarding whether certain Singapore-related transactions will be
unmasked, and, if so, regarding the timing thereof.
5 No later than September 17, 2021, Standard Chartered shall update Plaintiffs on the status of its
production of data from its FX-MXCASH database.
29, 2021.
ii. Data: October 29, 2021.
iii. Unmasking: Fourteen (14) days after data production is complete.6

5. The parties’ Joint Letter Motion to Seal (ECF No. 885) is GRANTED. ECF No. 886
shall remain under seal.7 Although “[t]he common law right of public access to judicial documents
is firmly rooted in our nation’s history,” this right is not absolute, and courts “must balance
competing considerations against” the presumption of access. Lugosch v. Pyramid Co. of
Onondaga, 435 F.3d 110, 11920 (2d Cir. 2006) (internal quotation marks omitted). Maintaining
the unredacted version of the parties’ August 17 Joint Letter under seal is necessary to prevent

the unauthorized dissemination of confidential business information.
6. No later than Monday, October 11, 2021, at 6:00 p.m. EDT, the parties shall file a
joint letter regarding the status of discovery and any existing disputes.
7. The parties are directed to appear for a Telephone Conference in this action on
Thursday, October 14, 2021, at 2:00 p.m. EDT. At the scheduled time, the parties shall each

separately call (888) 278-0296 (or (214) 765-0479) and enter access code 6489745.
8. This Order resolves the gavels at ECF Nos. 876, 877, 883 and 885.
SO ORDERED.

6 Plaintiffs may consent to an extension of this deadline for a period not to exceed thirty (30) days without
leave of Court. If UBS seeks an extension of this deadline, and Plaintiffs object, then UBS shall, no later
than seven (7) days after its data production is complete, file a letter with the Court setting forth good
cause why the unmasking cannot be accomplished within a fourteen (14) day period.
7 ECF No. 886 is an unredacted version of the Joint Letter filed at ECF No. 884.
Dated: New York, New York
August 19, 2021

STEWART D. AARON
United States Magistrate Judge

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Source: Frix Law Library, https://www.frixlaw.com/law-library/cases/10334414. Public record. Not legal advice.
