Netquote Inc. v. Byrd

Filing 130

MOTION to Seal Deposition Transcript Excerpt by Defendant Mostchoice.com, Inc.. (Attachments: # 1 Proposed Order (PDF Only) Proposed Order)(Isenberg, Ryan)

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Netquote Inc. v. Byrd Doc. 130 IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO Civil Action No. 07-cv-00630-DME-MEH NETQUOTE INC, a Colorado corporation, Plaintiff, v. BRANDON BYRD, an internet user making use of the IP Addresses 64.136.27.226 and 64.136.26.227, and MOSTCHOICE.COM, Inc., a Georgia corporation Defendants. ______________________________________________________________________________ MOTION TO FILE DOCUMENTS UNDER SEAL IN CONNECTION WITH DEFENDANT'S RESPONSE TO PLAINTIFF'S MOTION TO REOPEN DEPOSITIONS ______________________________________________________________________________ COMES NOW, Mostchoice.com, Inc. and files this Motion to File Documents Under Seal in Connection with Defendant's Response to Plaintiff's Motion to Reopen Depositions and shows this Court the following: 1. The Court entered a protective order [Dkt. #74] on 8/23/07. 2. As part of the protective order, the parties have been granted the ability to designate certain documents as confidential and highly confidential, including documents produced and deposition transcripts. Page 1 of 2 Dockets.Justia.com 3. Defendant Mostchoice.com, Inc. wishes to file a portion of a deposition transcript under file that has been designated as attorney's eyes only. Section 10 of the protective order requires documents that have been so designated to be filed under seal pursuant to LR 7.3. 4. Pursuant to LR 7.1A I have attempted to confer with opposing counsel regarding this motion by providing a copy of the intended transcript portion. Dated this 3rd day of December, 2007. s/ Ryan Isenberg Ryan L. Isenberg, Esq. Isenberg & Hewitt, P.C. 7000 Peachtree Dunwoody Road Building 15, Suite 100 Atlanta, Georgia 30328 Telephone: 770-351-4400 Facsimile: 770-828-0100 (Fax) Email: ryan@isenberg-hewitt.com CERTIFICATE OF SERVICE I hereby certify that on this 3rd Day of December, 2007, I served the foregoing Motion to File Documents under Seal by electronic delivery, as an attachment to an email, to the following counsel of record: David W. Stark Heather Carson Perkins Daniel D. Williams Theresa T. Tate FAEGRE & BENSON LLP 3200 Wells Fargo Center 1700 Lincoln Street Denver, Colorado 80203 dwilliams@faegre.com s/ Ryan Isenberg Page 2 of 2

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