Synthes, Inc. et al v. Knapp

Filing 89

ORDER signed by District Judge Morrison C. England, Jr. on 1/5/2017 GRANTING the parties' 87 Notice of Request to Seal Document(s). Within ten (10) days of the date of this Order, the Parties shall file redacted copies of the following documents on the CM/ECF system Knapp's Undisputed Statement of Facts, Synthes' Response to Knapp's Undisputed Statement of Facts, and Synthes's Statement of Disputed Factsand all accompanying exhibits. (Zignago, K.)

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1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 BLANK ROME LLP Howard M. Knee (SBN 55048) Knee@BlankRome.com 2029 Century Park East, 6th Floor Los Angeles, CA 90067 Telephone: 424.239.3400 Facsimile: 424.239.3434 BLANK ROME LLP Scott F. Cooper (admitted pro hac vice) Cooper@blankrome.com Ann E. Querns (admitted pro hac vice) AQuerns@blankrome.com Anthony Haller (admitted pro hac vice) Haller@blankrome.com One Logan Square 130 North 18th Street Philadelphia, PA 19103 Telephone: 215.569.5690 Facsimile: 215.832.5690 Attorneys for Plaintiffs/Counterclaim Defendants Synthes, Inc. And DePuy Synthes Sales, Inc. SEGAL & ASSOCIATES, P.C. John T. Kinn (SBN 130270) 400 Capitol Mall, Suite 2550 Sacramento, CA 95814 Telephone: 916.441.0886 THE MCSHEA LAW FIRM John P. McShea (admitted pro hac vice) 1500 Market Street Center Square, Suite 4000 Philadelphia, PA 19102 Telephone: 215.599.0800 Facsimile: 215.599.0888 Attorneys for Defendant Gregory Knapp 20 UNITED STATES DISTRICT COURT 21 22 23 24 25 26 DISTRICT OF CALIFORNIA SYNTHES, INC. AND DEPUY SYNTHES SALES, Case No. 2:13-cv-02261-MCE-DAD INC., ORDER GRANTING THE PARTIES’ Plaintiff, REQUEST TO SEAL DOCUMENTS vs. GREGORY KNAPP, Defendants. 27 28 090725.02356/104256967v.1 ORDER GRANTING THE PARTIES’ JOINT REQUEST TO SEAL DOCUMENTS 1 2 3 The Court, having considered all papers submitted, the arguments of counsel, and good cause appearing therefore, it is hereby ORDERED as follows: 1. Select Portions of Knapp Summary Judgment Exhibits 2, 4, 10, 35, and 40 and the 4 corresponding portions of the Knapp’s Undisputed Statement of Facts, Synthes’ Response to 5 Knapp’s Undisputed Statement of Facts, and Synthes’s Statement of Disputed Facts are filed under 6 seal until the conclusion of this case and all appeals thereafter, or until an Order is entered by the 7 Court unsealing the documents. 8 2. Select Portions of Synthes’s Summary Judgment Exhibits A, B, and D and the 9 corresponding portions of the Knapp’s Undisputed Statement of Facts, Synthes’ Response to 10 Knapp’s Undisputed Statement of Facts, and Synthes’s Statement of Disputed Facts are filed under 11 seal until the conclusion of this case and all appeals thereafter, or until an Order is entered by the 12 Court unsealing the documents. 13 3. Knapp’s Summary Judgement Exhibit 33 and Synthes’s Summary Judgment Exhibits 14 G, H, I, J, K, N, P, Q and R and the corresponding portions of the Knapp’s Undisputed Statement of 15 Facts, Synthes’ Response to Knapp’s Undisputed Statement of Facts, and Synthes’s Statement of 16 Disputed Facts are filed under seal until the conclusion of this case and all appeals thereafter, or until 17 an Order is entered by the Court unsealing the documents. 18 4. Within ten (10) days of the date of this Order, the Parties shall file redacted copies of 19 the following documents on the CM/ECF system Knapp’s Undisputed Statement of Facts, Synthes’ 20 Response to Knapp’s Undisputed Statement of Facts, and Synthes’s Statement of Disputed Facts— 21 and all accompanying exhibits. 22 IT IS SO ORDERED. 23 Dated: January 5, 2017 24 25 26 27 28 090725.02356/104256967v.1 ORDER GRANTING THE PARTIES’ JOINT REQUEST TO SEAL DOCUMENTS

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