Mayfield v. Orozco, et al.
Filing
208
ORDER signed by District Judge John A. Mendez on 2/2/2017 GRANTING 198 Notice of Request to Seal Documents filed in support of defendants' reply to opposition to motion for summary judgment. (Zignago, K.)
1 WILKE, FLEURY, HOFFELT, GOULD & BIRNEY, LLP
SCOTT L. GASSAWAY (SBN 53581)
2 sgassaway@wilkefleury.com
ROBERT F. TYLER, JR. (SBN 63055)
3 rtyler@wilkefleury.com
NEAL C. LUTTERMAN
4 nlutterman@wilkefleury.com (SBN 174681)
BIANCA S. WATTS (SBN 278231)
5 bwatts@wilkefleury.com
400 Capitol Mall, Twenty-Second Floor
6 Sacramento, California 95814
Telephone:
(916) 441-2430
7 Facsimile:
(916) 442-6664
8 Attorneys for Defendants
REGENTS OF THE UNIVERSITY OF CALIFORNIA,
9 now sued as the UNIVERSITY OF CALIFORNIA DAVIS
HEALTH SYSTEM, DR. GREGORY SOKOLOV, sued in
10 his individual capacity, and DR. ROBERT HALES, sued in
his individual capacity
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UNITED STATES DISTRICT COURT
13
EASTERN DISTRICT OF CALIFORNIA, SACRAMENTO DIVISION
14
Estate of JAMES JOSHUA MAYFIELD, by
15 and through LISA BERG, as Conservator;
JAMES ALLISON MAYFIELD, JR.; and
16 TERRI MAYFIELD,
Case No. 2:13-CV-02499-JAM-AC
17
ORDER GRANTING REQUEST TO SEAL
RECORDS FILED IN SUPPORT OF
DEFENDANTS’ REPLY TO OPPOSITION
ON MOTION FOR SUMMARY
JUDGMENT
Plaintiffs,
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v.
19 IVAN OROZCO, in his individual capacity;
SHERIFF SCOTT JONES, in his individual
20 and official capacity; RICK PATTISON, in his
individual and official capacity, COUNTY OF
21 SACRAMENTO; UNIVERSITY OF
CALIFORNIA DAVIS HEALTH SYSTEM;
22 and DR. GREGORY SOKOLOV, in his
individual capacity; DR. ROBERT HALES, in
23 his individual capacity, and DOES 1-5,
24
ASSIGNED TO THE HONORABLE JOHN
A. MENDEZ – COURTROOM 6
Complaint Filed: December 3, 2013
1st Amended Complaint Filed: March 26, 2014
2nd Amended Complaint Filed: March 19, 2015
3rd Amended Complaint Filed: June 22, 2015
4th Amended Complaint Filed: June 20, 2016
Trial Date: May 1, 2017
Defendants.
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W I LK E , F LE U R Y ,
H O F FE L T , G O U LD &
B IR NE Y , LLP
ATTORNEYS AT LAW
SACRAMENTO
1554841.1
-1-
2:13-CV-02499-JAM-AC
[PROPOSED] ORDER ON REQUEST TO SEAL
RECORDS
1
The REGENTS OF THE UNIVERSITY OF CALIFORNIA, now sued as the UNIVERSITY
2 OF CALIFORNIA DAVIS HEALTH SYSTEM’s, DR. GREGORY SOKOLOV’s, and DR. ROBERT
3 HALES’s, Request to Seal Records to Be Filed in Support of Defendants’ Reply to Opposition of
4 Defendants’ Motion for Summary Judgment is GRANTED.
5
IT IS HEREBY ORDERED that:
6
1.
The UC Defendants’ Reply, Objections to Evidence and Opposition to Motion to Strike
7 Dr. Penn’s Declaration, and the records contained in the exhibits in support of Defendants’ papers
8 including all attachments thereto, in support of their Reply to Opposition to Defendants’ Motion for
9 Summary Judgment shall be filed and sealed.
10
2.
Other than the Court and its staff, the foregoing records will be visible and accessible
11 to the following individuals only:
12
a.
Barbara Enloe Hadsell, Dan Stormer, Joshua Piovia-Scott, Acrivi Coromelas,
13 and Caitlan McLoon of HADSELL STORMER & RENICK LLP and associate attorneys in their
14 office, and Lori Rifkin of the RIFKIN LAW OFFICE, and associate attorneys in her office, as counsel
15 for Plaintiffs JAMES JOSHUA MAYFIELD, JAMES ALLISON MAYFIELD JR., and TERRI
16 MAYFIELD, in the case enumerated above;
17
b.
Van Longyear, Peter Zilaff, and Nicole Cahill of LONGYEAR, O’DEA &
18 LAVRA, LLP and associate attorneys in their office, as counsel for Defendants COUNTY OF
19 SACRAMENTO, SCOTT JONES, JAMES LEWIS, and RICK PATTISON, in the case enumerated
20 above;
21
c.
Robert F. Tyler, Jr., Neal C. Lutterman, Scott Gassaway and Bianca S. Watts of
22 WILKE, FLEURY, HOFFELT, GOULD & BIRNEY, LLP and associate attorneys of their office, as
23 counsel for Defendants UNIVERSITY OF CALIFORNIA DAVIS HEALTH SYSTEM, DR.
24 GREGORY SOKOLOV, and DR. ROBERT HALES, in the case enumerated above; and
25
d.
John Whitefleet and Adam Debow PORTER SCOTT, and associate attorneys in
26 their office, as counsel for Defendant IVAN OROZCO, in the case enumerated above; and
27
e.
Paralegal, clerical, and secretarial personnel regularly employed by counsel
28 referred to in subparts (a)-(d) immediately above, including stenographic deposition reports or
W I LK E , F LE U R Y ,
H O F FE L T , G O U LD &
B IR NE Y , LLP
ATTORNEYS AT LAW
SACRAMENTO
1554841.1
-2-
2:13-CV-02499-JAM-AC
[PROPOSED] ORDER ON REQUEST TO SEAL
RECORDS
1 videographers retained in connection with this action.
2
3.
The foregoing records contained will remain under seal until the conclusion of this
3 litigation.
4
IT IS SO ORDERED.
5
DATED: 2/2/2017
6
/s/ John A. Mendez_____________
7
United States District Court Judge
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W I LK E , F LE U R Y ,
H O F FE L T , G O U LD &
B IR NE Y , LLP
ATTORNEYS AT LAW
SACRAMENTO
1554841.1
-3-
2:13-CV-02499-JAM-AC
[PROPOSED] ORDER ON REQUEST TO SEAL
RECORDS
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