Holding that the NLRB was not conducting "improper pre-trial discovery" by issuing investigative subpoenas because it "was merely exercising its congressionally authorized investigative powers, nothing more."
421 S.W.3d 597 (Tenn. Ct. App. 2013) Cited 10 times
In Patterson v. Convention Center Authority of Metro. Government of Nashville, 421 S.W.3d 597 (Tenn.Ct.App.2013), the Convention Center Authority (“CCA”) appealed the trial court's determination that the residential addresses of employees of third-party contractors contained in payroll records submitted by the contractors to the Convention Center Authority were not exempt from disclosure under the Tennessee Public Records Act (“TPRA”).