Apple Inc. v. Samsung Electronics Co. Ltd. et al
Filing: 1140 Attachment: 24
Administrative Motion to File Under Seal filed by Apple Inc.. (Attachments: # 1 Wheeler Declaration in Support of Administrative Motion, # 2 Proposed Order, # 3 Declaration of Jason R. Bartlett, # 4 Exhibit 1, # 5 Exhibit 2, # 6 Exhibit 3, # 7 Exhibit 4, # 8 Exhibit 5, # 9 Exhibit 6, # 10 Exhibit 7, # 11 Exhibit 8, # 12 Exhibit 9, # 13 Exhibit 10, # 14 Exhibit 11, # 15 Exhibit 12, # 16 Exhibit 13, # 17 Exhibit 14, # 18 Exhibit 15, # 19 Exhibit 16, # 20 Exhibit 17, # 21 Exhibit 18, # 22 Exhibit 19, # 23 Exhibit 20, # 24 Exhibit 21, # 25 Exhibit 22, # 26 Exhibit 23, # 27 Exhibit 24, # 28 Exhibit 25, # 29 Exhibit 26, # 30 Exhibit 27, # 31 Public Declaration of Peter W. Bressler, # 32 Exhibit 1, # 33 Exhibit 2, # 34 Exhibit 3, # 35 Exhibit 4, # 36 Exhibit 5, # 37 Exhibit 6, # 38 Exhibit 7, # 39 Exhibit 8, # 40 Exhibit 9, # 41 Exhibit 10, # 42 Exhibit 11, # 43 Exhibit 12, # 44 Exhibit 13, # 45 Exhibit 14, # 46 Exhibit 15, # 47 Exhibit 16, # 48 Exhibit 17, # 49 Exhibit 18, # 50 Exhibit 19, # 51 Exhibit 20, # 52 Exhibit 21, # 53 Exhibit 22, # 54 Exhibit 23, # 55 Exhibit 24, # 56 Exhibit 25, # 57 Exhibit 26, # 58 Exhibit 27, # 59 Exhibit 28, # 60 Exhibit 29, # 61 Exhibit 30, # 62 Exhibit 31, # 63 Exhibit 32, # 64 Exhibit 33, # 65 Exhibit 34, # 66 Exhibit 35, # 67 Exhibit 36, # 68 Exhibit 37, # 69 Exhibit 38, # 70 Exhibit 39, # 71 Exhibit 40, # 72 Exhibit 41, # 73 Exhibit 42, # 74 Exhibit 43, # 75 Exhibit 44, # 76 Exhibit 45, # 77 Exhibit 46, # 78 Exhibit 47, # 79 Exhibit 48, # 80 Exhibit 49, # 81 Exhibit 50, # 82 Exhibit 51, # 83 Exhibit 52, # 84 Exhibit 53, # 85 Exhibit 54, # 86 Exhibit 55, # 87 Exhibit 56, # 88 Exhibit 57, # 89 Exhibit 58, # 90 Exhibit 59, # 91 Exhibit 60, # 92 Exhibit 61, # 93 Exhibit 62, # 94 Exhibit 63, # 95 Exhibit 64, # 96 Exhibit 65, # 97 Exhibit 66, # 98 Exhibit 67, # 99 Exhibit 68, # 100 Exhibit 69, # 101 Exhibit 70, # 102 Exhibit 71, # 103 Exhibit 72, # 104 Exhibit 73, # 105 Exhibit 74, # 106 Exhibit 75, # 107 Exhibit 76, # 108 Exhibit 77)(Jacobs, Michael) (Filed on 6/26/2012) Modified on 6/27/2012 pursuant to General Order No. 62, attachment #1 sealed (dhm, COURT STAFF).
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HAROLD J. MCELHINNY (CA SBN 66781)
hmcelhinny@mofo.com
MICHAEL A. JACOBS (CA SBN 111664)
mjacobs@mofo.com
JENNIFER LEE TAYLOR (CA SBN 161368)
jtaylor@mofo.com
ALISON M. TUCHER (CA SBN 171363)
atucher@mofo.com
RICHARD S.J. HUNG (CA SBN 197425)
rhung@mofo.com
JASON R. BARTLETT (CA SBN 214530)
jasonbartlett@mofo.com
MORRISON & FOERSTER LLP
425 Market Street
San Francisco, California 94105-2482
Telephone: (415) 268-7000
Facsimile: (415) 268-7522
WILLIAM F. LEE
william.lee@wilmerhale.com
WILMER CUTLER PICKERING
HALE AND DORR LLP
60 State Street
Boston, MA 02109
Telephone: (617) 526-6000
Facsimile: (617) 526-5000
MARK D. SELWYN (SBN 244180)
mark.selwyn@wilmerhale.com
WILMER CUTLER PICKERING
HALE AND DORR LLP
950 Page Mill Road
Palo Alto, California 94304
Telephone: (650) 858-6000
Facsimile: (650) 858-6100
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Attorneys for Plaintiff and
Counterclaim-Defendant APPLE INC.
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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SAN JOSE DIVISION
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APPLE INC., a California corporation,
Plaintiff,
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v.
SAMSUNG ELECTRONICS CO., LTD., a
Korean corporation; SAMSUNG
ELECTRONICS AMERICA, INC., a New
York corporation; and SAMSUNG
TELECOMMUNICATIONS AMERICA,
LLC, a Delaware limited liability company,
Case No. 11-cv-01846-LHK (PSG)
ADMINISTRATIVE MOTION TO
FILE UNDER SEAL DOCUMENTS
REGARDING APPLEâS
OPPOSITION TO SAMSUNGâS
DESIGN CLAIM CONSTRUCTION
Defendants.
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ADMIN. MOT. TO FILE UNDER SEAL DOCUMENTS RE APPLEâS OPP. TO DESIGN CLAIM CONSTRUCTION
CASE NO. 11-CV-01846-LHK (PSG)
sf-3163699
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In accordance with Civil Local Rules 7-11 and 79-5, and General Order No. 62, Apple Inc.
(âAppleâ) submits this motion for an order to seal the following documents or portions thereof:
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The confidential, unreacted Declaration of Peter Bressler in Support of Appleâs
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Response to Samsungâs Opening Memorandum Regarding Design Patent Claim
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Construction (âBressler Declarationâ), portions of which have been designated
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confidential as set forth below;
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Exhibits 2-11, 20, 31-37, 39-40 and 72-77 to the Declaration of Peter Bressler in
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Support of Appleâs Response to Samsungâs Opening Memorandum Regarding
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Design Patent Claim Construction, which has been designated confidential as set
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forth below; and
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Exhibits 1-14 and 27 to the Declaration of Jason R. Bartlett In Support of Appleâs
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Response to Samsungâs Opening Memorandum Regarding Design Patent Claim
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Construction (âBartlett Declarationâ), which has been designated confidential as
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set forth below.
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Exhibits 2-11, 31-37, and 72-77 to the Bressler Declaration and Exhibits 1-3 and 5-12 to
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the Bartlett Declaration contain information that is highly confidential as set out in the
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Declaration of Cyndi Wheeler in Support of Appleâs Administrative Motion to File Documents
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Under Seal (Wheeler Declarationâ). It is Appleâs policy not to disclose or describe to third
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parties its confidential patent strategy, design and product development information. (Wheeler
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Declaration ¶ 4.) The Apple-confidential material in these exhibits relate to such confidential
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information, as detailed in the Wheeler Declaration. (Id. ¶ 2-3.) This information is highly
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confidential to Apple and could be used by Appleâs competitors to Appleâs disadvantage if
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disclosed publicly. (Id.) The relief requested in this motion is necessary and is narrowly tailored
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to protect confidential information, focusing only on specific portions of the documents at issue.
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(Id. ¶ 6.)
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Exhibits 20 and 39-40 to the Bressler Declaration and Exhibits 4 and 13-14 to the Bartlett
Declaration contain materials that Samsung has designated as confidential under the protective
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ADMIN. MOT. TO FILE UNDER SEAL DOCUMENTS RE APPLEâS OPP. TO DESIGN CLAIM CONSTRUCTION
CASE NO. 11-CV-01846-LHK (PSG)
sf-3163699
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order entered in this case. Apple expects that, pursuant to Civil Local Rule 79-5(d), Samsung will
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file a declaration seeking to establish good cause to permit the sealing of these materials.
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Finally, to extent the Bressler Declaration refers to or discusses the above-referenced
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confidential materials, it could be used to Appleâs disadvantage by competitors if not filed under
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seal, for the same reasons. (Id. ¶ 5.)
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Pursuant to Civil Local Rule 79-5(c), Apple will lodge with the Clerk the documents at
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issue.
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Dated: June 26, 2012
MORRISON & FOERSTER LLP
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By:
/s/ Michael A. Jacobs
MICHAEL A. JACOBS
Attorneys for Plaintiff
APPLE INC.
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ADMIN. MOT. TO FILE UNDER SEAL DOCUMENTS RE APPLEâS OPP. TO DESIGN CLAIM CONSTRUCTION
CASE NO. 11-CV-01846-LHK (PSG)
sf-3163699
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