Illinois Computer Research, LLC v. Fish & Richardson, et al,

Filing 152

MOTION by Plaintiff Illinois Computer Research, LLC, Third Party Defendant Scott C Harris, Counter Defendant Illinois Computer Research, LLC, Counter Claimant Scott C Harris To Remove Exhibit A From The Docket and For Leave to Refile Exhibit A Under Seal (Attachments: # 1 Removed per court order dated 5/23/08)(Vickrey, Paul) (mb, ).

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Illinois Computer Research, LLC v. Google Inc. Doc. 152 IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF ILLINOIS EASTERN DIVISION ILLINOIS COMPUTER RESEARCH, LLC., Plaintiff and Counterclaim Defendant, v. FISH & RICHARDSON P.C., Defendant, Counterclaimant and Third-Party Plaintiff, v. SCOTT C. HARRIS, Third-Party Defendant and Counterclaimant, v. FISH & RICHARDSON P.C., Defendant, Counterclaimant, Third-Party Plaintiff and Counterclaim Defendant. ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) Case No. 07 C 5081 Honorable Rebecca R. Pallmeyer Magistrate-Judge Maria Valdez MOTION TO REMOVE EXHIBIT A FROM THE DOCKET AND FOR LEAVE TO REFILE EXHIBIT A TO THE MEMORANDUM IN SUPPORT OF THE MOTION TO COMPEL UNDER SEAL Illinois Computer Research, LLC ("ICR") and Scott Harris ("Harris") respectfully seek the Court's permission to file the following under seal: · Exhibit A ­ Fish and Richardson's Privilege Log Exhibit A to Harris and ICR's Motion To Compel Documents Improperly Withheld On The Grounds of Attorney-Client Privilege and Work-Product Immunity is a copy of Fish and Richardson's privilege log. This document has been designated by Fish and Richardson as Confidential under the Protective Order. Harris and ICR inadvertently filed Exhibit A as a public document attached to its supporting Memorandum. Dockets.Justia.com Accordingly, Harris and ICR respectfully request that the Court enter an Order removing Exhibit A from the docket and seek leave to refile the Memorandum In Support of the Motion to Compel with Exhibit A filed under seal consistent with the Protective Order entered in this case and the Local Rules of this Court. Respectfully submitted, /s/ Paul K. Vickrey Raymond P. Niro Paul K. Vickrey Niro, Scavone, Haller & Niro 181 West Madison, Suite 4600 Chicago, Illinois 60602-4515 (312) 236-0733 Fax: (312) 236-3137 Attorneys for Illinois Computer Research, LLC and Scott C. Harris 2 CERTIFICATION OF SERVICE The undersigned hereby certifies that a copy of the foregoing Motion To Remove Exhibit A From The Docket And For Leave To Refile Exhibit A To The Memorandum In Support of the Motion to Compel Under Seal was electronically filed with the Clerk of Court using CM/ECF system, which will send notification by electronic mail to the following: David J. Bradford - dbradford@jenner.com Eric A. Sacks - esacks@jenner.com Daniel J. Weiss - dweiss@jenner.com Terrence J. Truax - ttruax@jenner.com Jenner & Block LLP 330 N. Wabash Avenue Chicago, IL 60611 (312) 222-9350 Counsel for Fish & Richardson, P.C. on May 1, 2008. /s/ Paul K. Vickrey

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