Cybergun S.A. et al v. JAG Precision
Filing
204
ORDER Granting Plaintiff's 196 Motion to Seal 200 Reply to Response re 158 Motion to Strike Previously Undisclosed Witness, Chris Butler and Previously Undisclosed Documents and [197 ] Reply to Response re 159 Motion in Limine to Exclude Testimony from Expert Howard D. Kent and 199 Exhibit C. Signed by Judge Andrew P. Gordon on 4/15/2014. (Copies have been distributed pursuant to the NEF - SLD)
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J. Stephen Peek, Esq.
Nevada Bar No. 1758
Michael W. Wadley, Esq.
Nevada Bar No. 12119
HOLLAND & HART LLP
9555 Hillwood Drive, 2nd Floor
Las Vegas, Nevada 89134
702-669-4600
702-669-4650 – fax
speek@hollandhart.com
mwwadley@hollandhart.com
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Brett L. Foster, Esq. (pro hac admission)
Mark A. Miller, Esq. (pro hac admission)
HOLLAND & HART LLP
222 S. Main Street, Suite 2200
Salt Lake City, Utah 84101
801-799-5800
801-799-5700 – fax
blfoster@hollandhart.com
mamiller@hollandhart.com
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Attorneys for Plaintiffs
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HOLLAND & HART LLP
9555 Hillwood Drive, 2nd Floor
Las Vegas, Nevada 89134
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
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CYBERGUN S.A., a French Corporation, and
16 FN HERSTAL, S.A., a Belgian Corporation,
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-APG-GWF
CASE NO. 2:12-cv-00074-KJD-GWF
[PROPOSED] ORDER GRANTING
MOTION TO FILE UNDER SEAL (1)
REPLY IN SUPPORT OF MOTION TO
STRIKE PREVIOUSLY UNDISCLOSED
WITNESS, CHRIS BUTLER, AND
PREVIOUSLY UNDISCLOSED
DOCUMENTS; AND (2) REPLY IN
SUPPORT OF MOTION IN LIMINE TO
EXCLUDE TESTIMONY FROM
PURPORTED FUNCTIONALITY
EXPERT, HOWARD D. KENT AND
RELATED DOCUMENTS
Plaintiffs,
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19 JAG PRECISION, INC., a California
Corporation,
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Defendant.
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Plaintiffs filed their Motion to File Under Seal (1) Reply in Support of Motion to Strike
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Previously Undisclosed Witness, Chris Butler, and Previously Undisclosed Documents; and (2)
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Reply in Support of Motion in Limine to Exclude Testimony from Purported Functionality Expert,
Howard D. Kent and Related Documents from the general public.
IT IS HEREBY ORDERED that Plaintiffs’ (1) Reply in Support of Motion to Strike
Previously Undisclosed Witness, Chris Butler, and Previously Undisclosed Documents; and (2)
Reply in Support of Motion in Limine to Exclude Testimony from Purported Functionality Expert,
Howard D. Kent and Exhibit C to the Declaration of Brett L. Foster in Further Support of Motion
in Limine to Exclude Testimony from Purported Functionality Expert, Howard D. Kent shall be
sealed by the Clerk of the Court and such documentation shall not be open to inspection except to
the parties or their attorneys, or until further order of this Court.
DATED this 15th day of April, 2014.
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HOLLAND & HART LLP
9555 Hillwood Drive, 2nd Floor
Las Vegas, Nevada 89134
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UNITED STATES DISTRICT JUDGE
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6802255_1
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