Apple Inc. v. Samsung Electronics Co. Ltd. et al
Filing
1318
Administrative Motion to File Under Seal Dkt. Nos. 927, 991, 1013, 1022, 1060, and 1206 filed by Samsung Electronics America, Inc.(a New York corporation), Samsung Electronics Co. Ltd., Samsung Telecommunications America, LLC(a Delaware limited liability company). (Attachments: # 1 Exhibit 1 to Samsung's Motion)(Maroulis, Victoria) (Filed on 7/24/2012)
EXHIBIT 1 TO SAMSUNG’S ADMINISTRATIVE MOTION
Table A – Documents to Be Sealed
Docket #
Name of Filing
Portion to Be Sealed
927
Samsung’s Motion to
Exclude Opinions of
Certain of Apple’s
Experts
Highly sensitive financial
information related to costs of
goods.
927
Ex. 1 to Martin
Declaration in Support
of Samsung’s Notice
of Motion and Motion
to Exclude Opinions
of Certain of Apple’s
Experts
Highly sensitive financial
information related to operating
profits
927
Ex. 2 to Martin Decl.
of Giho Ro in Support
of Samsung’s Motion
to Exclude Opinions
of Certain of Apple’s
Experts
Highly sensitive financial
information related to costs of
goods, and profits
02198.51845/4872159.5
Compelling Reason for
Sealing
Highly sensitive financial
information is subject to
extraordinary level of security
within Samsung, has never been
made public, represents
extensive investment, and could
be vehicle for improper
purposes in hands of
competitors and others. (Decl.
of Giho Ro at ¶ 3-4, 6.) See
Bauer Bros. LLC v. Nike, Inc.,
No. 09cv500–WQH–BGS, 2012
WL 1899838, at *3-4 (S.D. Cal.
May 24, 2012).
Highly sensitive financial
information is subject to
extraordinary level of security
within Samsung, has never been
made public, represents
extensive investment, and could
be vehicle for improper
purposes in hands of
competitors and others. (Decl.
of Giho Ro at ¶ 5-6.) See Bauer
Bros. LLC v. Nike, Inc., No.
09cv500–WQH–BGS, 2012 WL
1899838, at *3-4 (S.D. Cal.
May 24, 2012).
Highly sensitive financial
information is subject to
extraordinary level of security
within Samsung, has never been
made public, represents
extensive investment, and could
be vehicle for improper
purposes in hands of
competitors and others. (Decl.
of Giho Ro at ¶ 7-8.) See Bauer
Bros. LLC v. Nike, Inc., No.
09cv500–WQH–BGS, 2012 WL
1899838, at *3-4 (S.D. Cal.
May 24, 2012).
Docket #
Name of Filing
Portion to Be Sealed
927
Ex. 3 to Martin
Declaration in Support
of Samsung’s Motion
to Exclude Opinions
of Certain of Apple’s
Experts
Highly sensitive financial
information related to costs of
goods, profits, and transfer pricing
927
Ex. 5 to Martin
Declaration in Support
of Samsung’s Motion
to Exclude Opinions
of Certain of Apple’s
Experts
Highly sensitive financial
information related to costs of
goods and profits
991
Ex. F to Declaration of
Terry L. Musika in
Support of Apple’s
Opposition to
Samsung’s Motion for
Summary Judgment
Highly sensitive financial
information related to profits and
profit margins, losses, and costs of
goods
02198.51845/4872159.5
Compelling Reason for
Sealing
Highly sensitive financial
information is subject to
extraordinary level of security
within Samsung, has never been
made public, represents
extensive investment, and could
be vehicle for improper
purposes in hands of
competitors and others. (Decl.
of Giho Ro at ¶ 5-6.) See Bauer
Bros. LLC v. Nike, Inc., No.
09cv500–WQH–BGS, 2012 WL
1899838, at *3-4 (S.D. Cal.
May 24, 2012).
Highly sensitive financial
information is subject to
extraordinary level of security
within Samsung, has never been
made public, represents
extensive investment, and could
be vehicle for improper
purposes in hands of
competitors and others. (Decl.
of Giho Ro at ¶ 5-6.) See Bauer
Bros. LLC v. Nike, Inc., No.
09cv500–WQH–BGS, 2012 WL
1899838, at *3-4 (S.D. Cal.
May 24, 2012).
Highly sensitive financial
information is subject to
extraordinary level of security
within Samsung, has never been
made public, represents
extensive investment, and could
be vehicle for improper
purposes in hands of
competitors and others. (Decl.
of Giho Ro at ¶ 9.) See Bauer
Bros. LLC v. Nike, Inc., No.
09cv500–WQH–BGS, 2012 WL
1899838, at *3-4 (S.D. Cal.
May 24, 2012).
Docket #
Name of Filing
Portion to Be Sealed
991
Ex. G to Declaration
of Terry L. Musika in
Support of Apple’s
Opposition to
Samsung’s Motion for
Summary Judgment
Highly sensitive financial
information related to profits and
profit margins, losses, and costs of
goods
1013
Exhibit O to the
Declaration of Michel
Maharbiz in Support
of Apple’s Opposition
to Samsung’s Motion
for Summary
Judgment
Highly sensitive financial
information related to costs of
goods.
1022
Ex. 37 to Declaration
of Peter Bressler in
support of Apple’s
Opposition to
Samsung’s Motion for
Summary Judgment
Highly sensitive financial
information related to profits and
costs of goods
02198.51845/4872159.5
Compelling Reason for
Sealing
Highly sensitive financial
information is subject to
extraordinary level of security
within Samsung, has never been
made public, represents
extensive investment, and could
be vehicle for improper
purposes in hands of
competitors and others. (Decl.
of Giho Ro at ¶ 9.) See Bauer
Bros. LLC v. Nike, Inc., No.
09cv500–WQH–BGS, 2012 WL
1899838, at *3-4 (S.D. Cal.
May 24, 2012).
Highly sensitive financial
information is subject to
extraordinary level of security
within Samsung, has never been
made public, represents
extensive investment, and could
be vehicle for improper
purposes in hands of
competitors and others. (Decl.
of Giho Ro at ¶ 10.) See Bauer
Bros. LLC v. Nike, Inc., No.
09cv500–WQH–BGS, 2012 WL
1899838, at *3-4 (S.D. Cal.
May 24, 2012).
Highly sensitive financial
information is subject to
extraordinary level of security
within Samsung, has never been
made public, represents
extensive investment, and could
be vehicle for improper
purposes in hands of
competitors and others. (Decl.
of Giho Ro at ¶ 11.) See Bauer
Bros. LLC v. Nike, Inc., No.
09cv500–WQH–BGS, 2012 WL
1899838, at *3-4 (S.D. Cal.
May 24, 2012).
Docket #
Name of Filing
Portion to Be Sealed
1060
Ex. B to Declaration
of Michael J. Wagner
in Support of
Samsung’s Reply in
Support of Motion to
Strike Expert
Testimony Based on
Undisclosed Facts and
Theories
Highly sensitive information
related to revenues, pricing, and
profits.
1206
Apple’s Opposition to
Samsung’s Motions in
Limine
Highly sensitive information
related to tax accounting and
profits
1206
Ex. 42 to Declaration
of Kanada in Support
of Apple’s Opposition
to Samsung’s Motions
in Limine
Highly sensitive financial
information related to profits
(broken down by product)
02198.51845/4872159.5
Compelling Reason for
Sealing
Highly sensitive financial
information is subject to
extraordinary level of security
within Samsung, has never been
made public, represents
extensive investment, and could
be vehicle for improper
purposes in hands of
competitors and others. (Decl.
of Giho Ro at ¶ 12-13.) See
Bauer Bros. LLC v. Nike, Inc.,
No. 09cv500–WQH–BGS, 2012
WL 1899838, at *3-4 (S.D. Cal.
May 24, 2012).
Highly sensitive financial
information is subject to
extraordinary level of security
within Samsung, has never been
made public, represents
extensive investment, and could
be vehicle for improper
purposes in hands of
competitors and others. (Decl.
of Giho Ro at ¶ 14.) See Bauer
Bros. LLC v. Nike, Inc., No.
09cv500–WQH–BGS, 2012 WL
1899838, at *3-4 (S.D. Cal.
May 24, 2012).
Highly sensitive financial
information is subject to
extraordinary level of security
within Samsung, has never been
made public, represents
extensive investment, and could
be vehicle for improper
purposes in hands of
competitors and others. (Decl.
of Giho Ro at ¶ 15.) See Bauer
Bros. LLC v. Nike, Inc., No.
09cv500–WQH–BGS, 2012 WL
1899838, at *3-4 (S.D. Cal.
May 24, 2012).
Docket #
Name of Filing
Portion to Be Sealed
1206
Ex. 43 to Declaration
of Kanada in Support
of Apple’s Opposition
to Samsung’s Motions
in Limine
Highly sensitive financial
information related to profits
1206
Ex. 44 to Declaration
of Kanada in Support
of to Apple’s
Opposition to
Samsung’s Motions in
Limine
Highly sensitive financial
information related to profits
02198.51845/4872159.5
Compelling Reason for
Sealing
Highly sensitive financial
information is subject to
extraordinary level of security
within Samsung, has never been
made public, represents
extensive investment, and could
be vehicle for improper
purposes in hands of
competitors and others. (Decl.
of Giho Ro at ¶ 16.) See Bauer
Bros. LLC v. Nike, Inc., No.
09cv500–WQH–BGS, 2012 WL
1899838, at *3-4 (S.D. Cal.
May 24, 2012).
Highly sensitive financial
information is subject to
extraordinary level of security
within Samsung, has never been
made public, represents
extensive investment, and could
be vehicle for improper
purposes in hands of
competitors and others. (Decl.
of Giho Ro at ¶ 17.) See Bauer
Bros. LLC v. Nike, Inc., No.
09cv500–WQH–BGS, 2012 WL
1899838, at *3-4 (S.D. Cal.
May 24, 2012).
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