Snyder v. Phelps et al
MOTION to Seal Responses to Motions for Reconsideration by Albert Snyder. Responses due by 9/4/2007 (Attachments: # 1 Text of Proposed Order)(Summers, Sean)
Snyder v. Phelps et al
IN THE UNITED STATES DISTRICT COURT DISTRICT OF MARYLAND ALBERT SNYDER, Plaintiff Civil Action No. 06-CV-1389 RDB v. FRED W. PHELPS, SR., SHIRLEY L. PHELPS-ROPER; REBEKAH A. PHELPS-DAVIS; and WESTBORO BAPTIST CHURCH, INC. Defendants PLAINTIFF'S INTERIM SEALING MOTION PURSUANT TO L.R. 104.13(c) Plaintiff, Albert Snyder, by and through his undersigned counsel, files the following Motion pursuant to L.R. 104.13(c): 1. By Order of February 23, 2007, your Honorable Court approved the parties'
Stipulated Order Regarding Confidentiality of Discovery Material (Doc. 66). 2. The defendants Fred W. Phelps, and Westboro Baptist Church, Inc., have given
notice of their intention to file under seal a Motion to Reconsider Limits on Discovery, and Motion for Limited Extension of Discovery (Doc. 107). 3. The pro se defendants, Rebekah A. Phelps-Davis and Shirley L. Phelps-Roper,
have given notice of their intention to file under seal a Motion to Reconsider Motion to Compel and Motion to Extend Discovery Deadline (Doc. 108). 4. 5. Plaintiff desires to respond to the aforementioned Motions. Plaintiff believes and therefore avers that the filing of these Motions and
Responses under seal will prevent public disclosure of confidential information disclosed during the course of discovery and will accord with the terms of the Confidentiality Stipulation and Order. 1
Plaintiff requests that his Responses to the Motions be filed under seal.
WHEREFORE, Plaintiff, Albert Snyder, requests your Honorable Court permit the filing of his Responses under seal. BARLEY SNYDER LLC By: ____________/s/ Sean E. Summers____________ Paul W. Minnich Sean E. Summers 100 East Market Street P.O. Box 15012 York, PA 17405-7012 (717) 846-8888 Craig T. Trebilcock Shumaker Williams PC 135 North George Street York, PA 17401 (717) 848-5134
CERTIFICATE OF SERVICE I hereby certify that on this date I have served true and correct copies of Plaintiff's Interim Sealing Motion by depositing the same in the United States mail, postage prepaid, at York, Pennsylvania, addressed as follows: Jonathan L. Katz, Esquire Marks & Katz, LLC 1400 Spring Street Suite 410 Silver Spring, MD 20910 Shirley L. Phelps-Roper 3640 Churchill Road Topeka, KS 66604 Rebekah A. Phelps-Davis 1216 Cambridge Topeka, KS 66604 BARLEY SNYDER LLC By: _______/s/ Sean E. Summers_____________ Paul W. Minnich Sean E. Summers 100 East Market Street P.O. Box 15012 York, PA 17405-7012 (717) 846-8888 Craig T. Trebilcock Shumaker Williams PC 135 North George Street York, PA 17401 (717) 848-5134 August 16, 2007
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