Sleeping Well, LLC v. The Travelers Indemnity Company

Filing 111

CORRECTED ORDER by Judge Claudia Wilken GRANTING 86 Administrative Motion to File Under Seal (cwlc2, COURT STAFF) (Filed on 7/5/2011).

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1 2 3 4 5 6 SEDGWICK LLP BRUCE D. CELEBREZZE (Bar No. 102181) bruce.celebrezze@sedgwicklaw.com MATTHEW C. LOVELL (Bar No. 189728) matthew.lovell@sedgwicklaw.com ERYK R. GETTELL (Bar No. 245245) eryk.gettell@sedgwicklaw.com One Market Plaza Steuart Tower, 8th Floor San Francisco, CA 94105 Telephone: (415) 781-7900 Facsimile: (415) 781-2635 7 8 Attorneys for Defendant ST. PAUL FIRE AND MARINE INSURANCE COMPANY 9 UNITED STATES DISTRICT COURT 10 NORTHERN DISTRICT OF CALIFORNIA 11 12 13 [PROPOSED] ORDER GRANTING ST. PAUL FIRE AND MARINE INSURANCE COMPANY’S MOTION TO SEAL DOCUMENTS Plaintiff, 14 15 Case No. 4:10-cv-03658-CW SLEEPING WELL, LLC, a Vermont limited liability corporation, v. 18 ST. PAUL FIRE AND MARINE INSURANCE Date: Time: COMPANY, erroneously sued as THE Ctrm: TRAVELERS INDEMNITY COMPANY, a New York Corporation, and DOES 1-20, inclusive, 19 Defendants. 16 17 July 14, 2011 2:00 p.m. 2, 4th Floor 20 21 22 23 24 25 26 27 28 SF/2254709v1 GOOD CAUSE APPEARING, the administrative motion of St. Paul Fire and Marine Insurance Company (“St. Paul”) to seal portions of (1) St. Paul’s motion for summary judgment, (2) the supporting declaration of Matthew C. Lovell and exhibits attached thereto, and (3) the supporting declaration of Laura Enga and exhibits attached thereto is GRANTED. The request to seal has been narrowly tailored to cover only material designated by a party as “Confidential” under the terms of the June 2, 2011 Stipulated Protective Order (ECF No. 74). It is therefore ORDERED: 1. The designated portions of St. Paul’s Motion for Summary Judgment, as 1 Case No. 4:10-cv-03658-CW [PROPOSED] ORDER GRANTING ST. PAUL’S MOTION TO SEAL 1 2 identified in the declaration of Matthew C. Lovell, be filed under seal. 2. The designated portions of the June 9, 2011 Declaration of Matthew C. Lovell in 3 Support of St. Paul’s Motion for Summary Judgment, as identified in the declaration of Matthew 4 C. Lovell, and exhibits 1 through 5 attached thereto, be filed under seal. 5 3. The designated portions of the June 9, 2011 Declaration of Laura Enga in Support 6 of St. Paul’s Motion for Summary Judgment, as identified in the declaration of Matthew C. 7 Lovell, and Exhibit 1 attached thereto, be filed under seal. 8 4. The redacted versions of St. Paul’s Motion for Summary Judgment (ECF No. 80), 9 June 9, 2011 Declaration of Matthew C. Lovell in Support of St. Paul’s Motion for Summary 10 Judgment (ECF No. 81), and the June 9, 2011 Declaration of Laura Enga in Support of St. Paul’s 11 Motion for Summary Judgment (ECF No. 82), electronically filed on June 9, 2011, shall be the 12 only versions available to the public. 13 14 15 16 17 18 5. In accordance with General Order 62, St. Paul shall electronically file unredacted versions of its documents under seal within three days of the date of this Order. July 5, 2011 DATED: _______________ __________________________________________ UNITED STATES DISTRICT JUDGE 19 20 21 22 23 24 25 26 27 28 SF/2254709v1 2 Case No. 4:10-cv-03658-CW [PROPOSED] ORDER GRANTING ST. PAUL’S MOTION TO SEAL

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