Roots Ready Made Garments Co. W.L.L. v. Gap, Inc. et al

Filing 285

ORDER TO FILE DOCUMENTS UNDER SEAL; re docket 264 . Signed by Hon. Judge Charles R. Breyer on 9/24/2008. (ls, COURT STAFF) (Filed on 9/24/2008) Modified on 9/26/2008 (mcl, COURT STAFF).

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BRADLEY J. NASH (admittedpro hac vice) (bnash@cov.com) COVINGTON & BURLING LLP 620 Eighth Avenue New York, NY 100 18 Tel.: (2 12) 84 1- 1000 Fax: (212) 841-1010 (Additional Counsel on Signature Page) Attorneys for Plaintiff Roots Ready Made Garments Co. W.L.L. IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF CALIFORNIA ROOTS READY MADE GARMENTS CO. W.L.L., Plaintiff, v. THE GAP, INC., akla, GAP, INC., GAP INTERNATIONAL SALES, INC., BANANA REPUBLIC, LLC, AND OLD NAVY, LLC, Defendants. j ) Case No: C 07 3363 CRB j ) PLAINTIFF'S MISCELLANEOUS ) ADMINISTRATIVE REQUEST TO FILE ) DOCUMENTS UNDER SEAL; ) ORDER 1 ) ) ) ) ) Date: Time: Place: Judge: September 26,2008 2:30 p.m. Courtroom 8, 19th Floor Charles R. Breyer Pursuant to Local Rule 79-5(c), Roots Ready Made Garments Co., W.L.L. ("Roots") hereby makes this Miscellaneous Administrative Request to File certain exhibits and a document (the "Documents") Under Seal. Plaintiffs Motions in Limine refer to deposition transcripts and documents that that the parties have designated as confidential pursuant to the Protective Order entered by the Court on August 7,2007. These deposition transcripts and documents contain confidential -iMISCELLANEOUS ADMINISTRATIVE REQUEST TO FILE DOCUMENTS UNDER SEAL; [PROPOSED] ORDER Case No.: C 07 3363 CRB business information, and the business interests of the parties would be adversely affected if the contents of the Documents were revealed to third parties outside this litigation. True and correct copies of the referenced pages of these transcripts and documents are attached as Exhibits 1-6 and 10-18 to the Declaration of Bradley J. Nash in Support of Plaintiffs Motions in Limine (the "Nash Declaration.") Because the deposition transcripts and documents have been designated as "Confidential" pursuant to Protective Order entered by this Court on August 7,2007, and contain confidential business information, Roots respectfblly requests that: (i) Exhibits 1-6 and 10-18 to the Nash Declaration be filed under seal and lodged in accordance with Civil Local Rule 79-5(c); (ii) The sealed versions of Plaintiffs Motion in Limine No. 2, which refers to the contents of the Documents, be lodged in accordance with Civil Local Rule 79-5(c). Public versions of these documents will be filed electronically with the Court. In the public version, only those portions that constitute or refer to the confidential material will be redacted. Respectfblly submitted, Dated: September 22, 2008 COVINGTON & BLRLING LLP IS/ Bradley J. Nash BRADLEY J. NASH IT IS SO ORDERED. Dated: ' I SEP 2 4 2008 CHARLES R. BREYER United States District Judge .. - 11 MISCELLANEOUS ADMINISTRATIVEREQUEST TO FILE DOCUMENTS UNDER SEAL; [PROPOSED] ORDER Case No.: C 07 3363 CRB

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