Plaintiffs' Interrogatories to Defendant Set Two

Public Court Documents
March 27, 1991

Plaintiffs' Interrogatories to Defendant Set Two preview

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  • Case Files, Matthews v. Kizer Hardbacks. Plaintiffs' Interrogatories to Defendant Set Two, 1991. c0f972ad-5c40-f011-b4cb-0022482c18b0. LDF Archives, Thurgood Marshall Institute. https://ldfrecollection.org/archives/archives-search/archives-item/259a0f0e-ca4d-4567-bbe3-38b3b8a15da4/plaintiffs-interrogatories-to-defendant-set-two. Accessed June 17, 2025.

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    r Me en 

JOEL R. REYNOI a Ss I/ ) 
JACQUELINE WARREN Q 

NATURAL RESOURCES DEFENSE COUNCIL 3 Ph I Ch 

617 S. Olive Street, Suite 1210 

Los Angeles, CA 90014 
(213) 892-1500 

  

JANE PERKINS 

NATIONAL HEALTH LAW PROGRAM 
2639 S. La Cienega Blvd. 

6 Los Angeles, CA 90034 
(213) 204-6010 

STEPHEN RONFELDT 
SUSAN SPELLETICH 
LEGAL AID SOCIETY OF ALAMEDA COUNTY 

. 11440 Broadway. Suite 700 

“loakland, CA 94612 
(415) 451-9261 

10 

11 BILL LANN LEE 
KEVIN S. REED 

12 NAACP LEGAL DEFENSE AND EDUCATIONAL FUND, INC. 

315 W. 9th Street, Suite 208 
13 || Los Angeles, CA 90015 

(213) 624-2405 

14 
MARK D. ROSENBAUM 

ACLU FOUNDATION OF SOUTHERN CALIFORNIA 

633 South Shatto Place 
Los Angeles, CA 90005 
(213) 487-1720 

Attorneys for Plaintiffs 
(Additional counsel on following page) 

  

  

18 
15 UNITED STATES DISTRICT COURT 

NORTHERN DISTRICT OF CALIFORNIA 

20 | GRIKA MATTHEWS; et al., ) Civ. No. C-90-3620 EFL 
21 ) ) CLASS ACTION 

) 
32 plaintiff, ) PLAINTIFFS’ 
» ) INTERROGATORIES 

vs. ) TO DEFENDANT 
) 

24 | xENNETH KIZER, ) [SET TWO] 
) 

gs Defendant. ) 

26 ) 

27     
 



  
  

EDWARD M. CHEN 

ACLU FOUNDATIORYOF NORTHERN CALIFORNIA 

1663 Mission Street, Suite 460 
San Francisco, CA 94103 
(415) 621-2493 

  

 



  
  

Pursuant pS Rule 33 of the Federal Rs of Civil 

Procedure and Local Rule 230-1, plaintiffs hereby request that 

no later than April 26, 1991 defendant Kenneth Kizer, answer 

the following interrogatories fully and separately in writing 

and under oath as provided in said rules. The answers should 

be sent to the offices of the National Health Law Program, 

2639 S. La Cienega Blvd., Los Angeles, CA 90034. The 

following definitions and instructions are applicable to all 

interrogatories herein. 

DEFINITIONS 
  

A. The term "you" refers to defendant herein, his 

respective attorneys, investigators, representatives, 

employees, servants, agents, independent contractors, and all 

persons acting on his behalf in any manner. 

B. The term "document" consists of all "documents" 

within the meaning of Fed. R. Civ. P. 34 and all "writings and 

recordings" within the meaning of Fed. R. Evid. 1001. 

C. The phrase "refer or relate," when used with 

respect to any given subject, means to consist, constitute, 

contain, concern, comprise, embody, reflect, identify, state, 

refer to, relate to, pertain to, deal with, or to have any 

logical or factual connection whatsoever with the subject. 

D. The term "person" means any natural person, 

corporation, firm, partnership, administrative agency, or 

other legal entity. 

E. The term "Department" means the California 

  

 



  
  

Department of@pealth Services, its agenty@Qofficers, 

employees, and any persons acting in concert therewith. 

F. The term "State" means the State of California. 

G. The term "Medi-Cal" refers to the California 

Medical Assistance Program, and specifically includes the 

programs known as Early and Periodic Screening, Diagnosis and 

Treatment ("EPSDT") and Child Health and Disability Prevention 

("CHDP"). 

INSTRUCTIONS 
  

A. Where a document is required to be identified, with 

respect to such document: 

(a) state the type of document (e.g., letter, 

financial record, memoranda, telephone log), its date and 

caption, if any, and its present location; and 

(b} identify each person who prepared it, each 

person for whom it was prepared, and each person who currently 

has custody of it. 

B. If you claim a privilege with respect to any 

document and the identification will be otherwise required by 

these interrogatories, with respect to each document for which 

a privilege is claimed: 

(a) identify the date thereof; 

(b) state sufficient facts to support your claim of 

privilege; and 

(c) identify all persons who participated in the 

document’s preparation and all persons to whom it was 

  

 



  
  

disclosed, incdgyling all recipients there 

INTERROGATORIES 
  

12. Please identify the names and addresses of the 

providers whose provider numbers are listed in the document 

entitled, "Statewide: July 1990 Thru January 1991 - Provider 

Number By Age Group by Funding Source by Lead Test Other Tests 

Lead Codes 14 (FEP) and 15 (Blood) Excludes refused, 

contra-indicated, not needed," which was produced in response 

to Plaintiff's Interrogatory No. 3. (A copy of this document 

is attached for your convenience.) 

13. For each year from January 1, 1985, up until the 

present, please state the number of Medi-Cal recipients in the 

State and in each county, by race and ethnicity, who (a) were 

eligible for the EPSDT Program, (b) who received screening 

exams through the EPSDT Program, and (c) who had referable 

conditions diagnosed during EPSDT screens, for the following 

age groups: 

(a) 0 through 5 years; and 
(b} 6 through 20 years. 

If data are not available for the above age categories or 

timeframes, so state, and answer this interrogatory using the 

age categories and timeframes that are used by the Department. 

Date: March], 1991 Natural Resources Defense Council 
National Health Law Program 
NAACP - Legal Defense and 
Educational Fund, Inc. 

ACLU of Southern California 
ACLU of Northern California 

sve us. bos Lies 
  

(Jane Perkins 
(7308 Pat for Plaintiffs 

  

 



STATEWIDE: JULY 1990 THRU JANUARY 1991 20:13 FRIDAY, FEBRUARY 15, 1991 14 
PROVIDER NUMBER BY AGE GROUP BY FUNDING SOURCE BY LEAD TEST 

OTHER TESTS...LEAD CODES 14 (FEP) AND 15 (BLOOD) 
EXCLUDES REFUSED ,CONTRA-INDICATED,NOT NEEDED 

MED | -CAL 
fm oe mm a 

LEAD TEST 

15- 
FEP [BLOOD 

LEAD TEST 
| 

W- | 15- | 
FEP |BLOOD|TOTAL 

| 

| mercer cree = Femme, ———————— 

|CHO231 |6-20 YRS 
| a —— — = ———— 

Lo anne 10-5 YRS 
er ET TTT TTT fn nan an -———-—-— 

| CMM70405F 10-5 YRS 
| =m rrr ccc eee frm mr mre ee ———— 

IGR0O016852 
| 
| GR0O028300 
EE tom mmmer———————— 
| GR0029200 16-20 YRS 

$
=
 

—
t
—
 

m
F
 
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—
 

Fp 
— 

Fp 
——

 
fp 

— 
§ 

— 

t
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Fp 
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tb 
—¢

 

|HSPLO320F 
| mmm rere tomer ——— 

|ZZR11781F 

| 
|ZZR11783F 
| mmm mcr mc ccc rm rrr rece ———— 

|ZZT11672F 

[|] ) ! I 1 
—
t
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+ 

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— 

PF 

[} } L] t [| 

|ZZT11782F 
| 
|6-20 YRS 

| mmm — trem —————— 

|ZZT11838F 0-5 YRS 
| -——— ——-— ——— = ro 

|ZZT11848F |0-5 YRS 

—
t
—
—
 

4 
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|ZZT18880F 
WE ED NR WS WE EF ES MS SS Te ER GS ED We Wr UP TE GE Sh ED GR Ge PP ED GD GS EE Ge OD ee ED SP Se Ge SP PG Ge GS EE Ge Ge SE ee 

(CONTINUED) 

SOURCE: HDSSHIP,SAS.OTHER.LEAD.JULJAN.FYR9091 
DATA REFLECTS NUMBER OF CLAIMS PAID  



STATEWIDE: JULY 1990 THRU JANUARY 1991 20:13 FRIDAY, FEBRUARY 15, 1991 15 
PROVIDER NUMBER BY AGE GROUP BY FUNDING SOURCE BY LEAD TEST 

OTHER TESTS...LEAD CODES 14 (FEP) AND 15 (BLOOD) 
EXCLUDES REFUSED ,CONTRA- INDICATED ,NOT NEEDED 

  

| | 
| MEDI-CAL | STATE | 
| mmr mca tem ———— 
| LEAD TEST | LEAD TEST | 
EE tome ———— 

I | W- | 15 | Wy | 15- | 
| | FEP |BLOOD| FEP |BLOOD|TOTAL | 
I | =———- +--—-- +o ———— fr m——— + | 

Foes "NN SN NC 
EE re RA to———— ———— tom ——— om | 
|PROVIDER NUMBER |AGE GROUP 
| =r rrr —— Frm —————————— 

| ZZW16010F 10-5 YRS | | 1] I 1] 
mm ———————————— ata a | 

» | ZZWY3004F [0-5 YRS | | 11 | | 1] 
Et Ea EE a | 

| ZZZTT 1472 10-5 YRS I 11 | | 1| 
EE torr —————— tom ——— tom ——— fomc——- to———— to ———— | 
|ZZZ78153Z |0-5 YRS I 721 | 71 791 
EE Ee Trp tom——— tm———— RA rp ro sm sr rf em ne | 

16-20 YRS I 271 I 2] | 29 | 
Et artes tem ccc —— tom to———— to ——— to ———— to———— | 
| OOAX54640 |0-5 YRS I 1] I | | 1] 
mmm cena a to———— to———— fm———— Yom——— tom ——— | 
| 00A209570 |0-5 YRS | 11 1] 
cm, ——— et al 

|00ALL49271 16-20 YRS I | 11 | | 1] 
| emer cmc mmc e Former meee ————— tm ————— tm———— m———— trm———— to———— | 

|00G195490 |0-5 YRS | | 6 | 6 
| | meeecccccccnce- m———— RA tm———- ro ——— o———— ! 
| |6-20 YRS I | | 13] I 13} 
| mmr mmc ccc cm a tt trem —— to to ———-— ne sm m———— | 

|00G328750 16-20 YRS | | | | 11 1] 
El yu, o———— to———— tom mmtn———— 
| TOTAL }=2 128} 191 42 | 25) 2M} 

SOURCE: HDSSHIP.SAS.OTHER.LEAD.JULJAN.FYR9091 
DATA REFLECTS NUMBER OF CLAIMS PAID 

 



  

  

2 CERTIFICATE OF SERVICE 

I, Valerie Zachary, declare: 

I am over the age of 18 years and not a party to the 

within action. My business address is 2639 S. La Cienega 

Blvd., Los Angeles, CA 90034. 

On March 21, 1991, 1 served the within PLAINTIFFS’ 

INTERROGATORIES TO ALL DEFENDANTS [SET TWO] on defendants by 

depositing same in the U.S. Mails at Los Angeles, California, 

in a sealed, postage-paid envelope, addressed as follows: 

Harlan E. Van Wye 
Deputy Attorney General 
State of California 
Department of Justice 
2101 Webster Street 
Oakland, CA 94612-3049 

Linda Jane Slaughter 
State of California 
Department of Health Services 
Office of Legal Services 
714 P Street, Room 1216 
Sacramento, CA 95814 

Executed this 27 day of March, 1991 at Los Angeles, 

California. 

I declare under penalty of perjury that the foregoing 

is true and correct. 

  

/ 

  
  

 



 
 

A —. 

PM

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