Cambridge University Press et al v. Patton et al
Filing
428
MOTION To Maintain Certain Trial Exhibits Under Seal by Cambridge University Press, Oxford University Press, Inc., Sage Publications, Inc.. (Rains, John)
UNITED STATES DISTRICT COURT
NORTHERN DISTRICT OF GEORGIA
ATLANTA DIVISION
CAMBRIDGE UNIVERSITY PRESS,
et al.,
Plaintiffs,
Civil Action File
No.1:08-CV-1425-ODE
v.
MARK P. BECKER, in his official
capacity as Georgia State University
President, et al.,
Defendants.
MOTION TO MAINTAIN CERTAIN TRIAL EXHIBITS UNDER SEAL
Pursuant to Fed. R. Civ. P. 26(c) and this Court’s local rules, Plaintiffs
respectfully request that certain of their trial exhibits be maintained under seal at
the conclusion of this action. The exhibits at issue contain confidential, personal
information such as social security numbers and home addresses, and were
designated as either Confidential or Highly Confidential by Plaintiffs. During
discovery these documents were handled in accordance with the protective order in
this case, which permitted such documents to be filed under seal. Plaintiffs’
counsel have conferred with Defendants’ counsel over this issue, and they do not
object to this motion.
909919.1
Plaintiffs therefore respectfully request that the following Plaintiffs’ trial
exhibits be maintained under seal at the conclusion of this action: 16, 35, 40, 66,
91, 100, 105, 115, 135, 139, 203, 204, 210, 211, 212, 218, 219, 220, 226, 227, 232,
233, 234, 235, 245, 246, 251, 252, 253, 260, 269, 270, 271, 272, 273, 274, 275,
276, 277, 278, 279, 280, 281, 294, 299, 307, 311, 312, 317, 324, 355, 369, 373,
389, 393, 407, 434, 442, 443, 446, 449, 455, 459, 478, and 486.
Respectfully submitted this 8th day of June, 2012.
/s/ John H. Rains IV
Edward B. Krugman
Georgia Bar No. 429927
John H. Rains IV
Georgia Bar No. 556052
BONDURANT, MIXSON & ELMORE, LLP
1201 West Peachtree Street NW
Suite 3900
Atlanta, Georgia 30309
(404) 881-4100
R. Bruce Rich (pro hac vice)
Randi Singer (pro hac vice)
Jonathan Bloom (pro hac vice)
Todd D. Larson (pro hac vice)
WEIL, GOTSHAL & MANGES LLP
767 Fifth Avenue
New York, New York 10153
Attorneys for Plaintiffs
909919.1
CERTIFICATE OF SERVICE
I hereby certify that I have this day filed the foregoing MOTION TO
MAINTAIN CERTAIN TRIAL EXHIBITS UNDER SEAL with the Clerk of
Court using the CM/ECF filing system which will send e-mail notification of such
filing to opposing counsel as follows:
John W. Harbin, Esq.
Natasha H. Moffitt, Esq.
Mary Katherine Bates, Esq.
KING & SPALDING
1180 Peachtree Street
Atlanta, Georgia 30309
Katrina M. Quicker, Esq.
Richard W. Miller, Esq.
BALLARD SPAHR, LLP
999 Peachtree Street, Suite 1000
Atlanta, Georgia 30309
Anthony B. Askew, Esq.
Stephen M. Schaetzel, Esq.
MCKEON, MEUNIER, CARLIN & CURFMAN, LLC
817 W. Peachtree Street, Suite 900
Atlanta, Georgia 30308
Mary Jo Volkert, Esq.
Assistant State Attorney General
40 Capitol Square
Atlanta, Georgia 30334
This 8th day of June, 2012.
/s/ John H. Rains IV
John H. Rains IV
909919.1
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