Students for Fair Admissions, Inc. v. President and Fellows of Harvard College et al
Filing
327
Assented to MOTION to Seal SFFA's Reply Letter in support of its Letter Motion regarding Performance Reports by Students for Fair Admissions, Inc..(Caldwell, Benjamin)
IN THE UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF MASSACHUSETTS
STUDENTS FOR FAIR ADMISSIONS, INC.,
Plaintiff,
v.
Civil Action No. 1:14-cv-14176-ADB
PRESIDENT AND FELLOWS OF HARVARD
COLLEGE (HARVARD CORPORATION),
Defendant.
PLAINTIFF’S ASSENTED-TO MOTION TO FILE UNDER SEAL
REPLY LETTER IN SUPPORT OF LETTER MOTION
REQUESTING THE PRODUCTION OF PERFORMANCE REPORTS BY ETHNICITY
Pursuant to Local Rule 7.2 and this matter’s Stipulated Protective Order (Dkt. No. 55),
Plaintiff, Students for Fair Admissions, Inc. (“SFFA”), hereby brings this assented-to motion
seeking an order to file under seal a reply letter in support of SFFA’s letter motion which was
filed under seal on May 22, 2017. Through that letter motion SFFA requests that the Court
compel Defendant to produce reports Defendant has prepared regarding its students’ areas of
concentration, academic performance and academic preparation by ethnicity. This reply letter
will address certain assertions and arguments in Defendant’s response letter which was filed
under seal on June 14, 2017. Like the original letter motion, this reply letter will contain
information that has been designated as Confidential and/or Highly Confidential – Attorneys’
Eyes Only pursuant to the Stipulated Protective Order. To comply with those designations,
SFFA requests an order that allows the reply letter and any accompanying exhibits to be filed
under seal in its entirety. Pursuant to Local Rule 7.1(a)(2), Defendant was aware of this motion
and assents to it.
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WHEREFORE, SFFA respectfully requests that the Court grant this motion and allow the
reply letter and any accompany exhibits to be filed under seal until further order of the Court and
to be viewed only by the Judge, her clerk(s), and Court personnel.
Respectfully submitted,
By: /s/ Benjamin C. Caldwell
Paul M. Sanford BBO #566318
Benjamin C. Caldwell BBO #675061
BURNS & LEVINSON LLP
One Citizens Plaza, Suite 1100
Providence, RI 02903
Tel: 617-345-3000
Fax: 617-345-3299
psanford@burnslev.com
bcaldwell@burnslev.com
William S. Consovoy
Thomas R. McCarthy
J. Michael Connolly
CONSOVOY MCCARTHY PARK PLLC
3033 Wilson Boulevard, Suite 700
Arlington, Virginia 22201
Tel: 703-243-4923
Fax: 703.243.4923
will@consovoymccarthy.com
tom@consovoymccarthy.com
mike@consovoymccarthy.com
Patrick Strawbridge BBO #678274
CONSOVOY MCCARTHY PARK PLLC
Ten Post Office Square
8th Floor South PMB #706
Boston, MA 02109
Tel: 617-227-0548
patrick@consovoymccarthy.com
Michael H. Park
CONSOVOY MCCARTHY PARK PLLC
2 Columbus Circle, 15th Floor
New York, NY 10024
Tel.: 212.247.8006
park@consovoymccarthy.com
Counsel for Plaintiff SFFA
Dated: June 16, 2017
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CERTIFICATE OF CONFERENCE
In accordance with Local Rule 7.1(a), I hereby certify that Defendant’s counsel was made
aware of this motion before it was filed and assents to the relief requested therein.
/s/ Benjamin C. Caldwell
CERTIFICATE OF SERVICE
I hereby certify that this document filed through the CM/ECF system will be sent
electronically to all counsel of record via the CM/ECF system.
/s/ Benjamin C. Caldwell
4836-8514-3626.1
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