Bentkowsky v. Benchmark Recovery, Inc et al

Filing 79

Order by Hon. Vince Chhabria granting 78 Stipulation re Filing Certain Documents Under Seal.(knm, COURT STAFF) (Filed on 9/5/2014)

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1 2 3 4 5 6 Fred W. Schwinn (SBN 225575) Raeon R. Roulston (SBN 255622) CONSUMER LAW CENTER, INC. 12 South First Street, Suite 1014 San Jose, California 95113-2418 Telephone Number: (408) 294-6100 Facsimile Number: (408) 294-6190 Email Address: fred.schwinn@sjconsumerlaw.com Attorneys for Plaintiff WILLIAM BENTKOWSKY 7 IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF CALIFORNIA SAN FRANCISCO DIVISION 8 9 10 WILLIAM BENTKOWSKY, 11 12 13 Case No. 3:13-CV-01252-VC-JCS Plaintiff, v. 15 BENCHMARK RECOVERY, INC., a Washington corporation, and JEFFREY J. LASNIER, individually and in his official capacity, 16 STIPULATION AND [PROPOSED] ORDER RE FILING CERTAIN DOCUMENTS UNDER SEAL Defendants. 14 17 18 19 20 The parties, having met and conferred on the issue consistent with the terms of the Protective Order for Litigation Involving Confidential Information and Trade Secrets (Doc. 73) entered in this action on July 30, 2014, hereby stipulate and agree that, pursuant to Civil Local Rule 7-11 and Civil 21 Local Rule 79-5(d), either party may file the following document under seal so that it may be 22 considered by the court in connection with the motions for summary judgment in this action: 23 24 25 26 1. Document titled “Collection Agency Agreement,” Bates-numbered BENTKOWSKY-BRI000164 to BENTKOWSKY-BRI000168, inclusive. By so stipulating, Plaintiff does not agree that the document qualifies for protection under the 27 Protective Order, and has only agreed that it may be filed under seal so that the Court can determine 28 whether it qualifies for protection. -1STIPULATION RE FILING CERTAIN DOCUMENTS UNDER SEAL Case No. 3:13-CV-01252-VC-JCS IT IS SO STIPULATED. 1 2 CONSUMER LAW CENTER, INC. 3 4 Dated: August 28, 2014 5 6 7 By: /s/ Fred W. Schwinn Fred W. Schwinn, Esq. Attorney for Plaintiff WILLIAM BENTKOWSKY KRONICK, MOSKOVITZ, TIEDEMANN & GIRARD 8 9 10 Dated: August 28, 2014 11 12 By: /s/ June D. Coleman June D. Coleman, Esq. Attorney for Defendants BENCHMARK RECOVERY, INC., and JEFFREY J. LASNIER 13 14 15 16 17 18 THE FOREGOING STIPULATION IS APPROVED AND IS SO ORDERED. Dated: September 4, 2014 The Honorable Vince Chhabria United States District Judge 19 20 21 22 23 24 25 26 27 28 -2STIPULATION RE FILING CERTAIN DOCUMENTS UNDER SEAL Case No. 3:13-CV-01252-VC-JCS

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