SILVERSTEIN v. ACCURATE BOX COMPANY, INC. et al
Filing
100
ORDER granting 97 Motion to Redact 93 Transcript, that the version of the transcript of motion via zoom conference held on May 27, 2020 filed on December 1, 2020 as docket number 93, to be permanently redacted and sealed in accordance with this Order.. Signed by Magistrate Judge Cathy L. Waldor on 2/16/2021. (ld, )
Case 2:17-cv-01737-KSH-CLW Document 100 Filed 02/16/21 Page 1 of 2 PageID: 3735
Brittany L. Primavera (Attorney Id. No. 064442013)
GORDON REES SCULLY MANSUKHANI, LLP
Attorneys for Defendants Accurate Box Company, Inc.,
Mark Schlossman, and John Dennehy
1 Battery Park Plaza, 28th Floor
New York, NY 10004
Tel: 212-453-0737
bprimavera@grsm.com
UNITED STATES DISTRICT COURT
DISTRICT OF NEW JERSEY
:
MICHAEL SILVERSTEIN,
:
:
:
Plaintiff,
:
:
v.
:
ACCURATE BOX COMPANY, INC., MARK :
:
SCHLOSSMAN, AND JOHN DENNEHY,
:
:
Defendants.
:
Case No: 2:17-cv-1737-KSH-CLW
ORDER GRANTING MOTION TO
REDACT AND SEAL
THIS MATTER having come before this Court on the Defendants’ motion to redact and
seal Accurate Box’s confidential business and financial information contained in the transcript of
oral argument on Defendants’ Motion for Summary Judgment dated May 27, 2020. After having
considered Defendants’ submission; and for good cause shown:
WHEREAS on December 1, 2020, docket entry 93 the Court ordered the parties seeking
to redact and seal the transcript pursuant to L.Civ.R. 5.3(g) to e-file a motion to redact and seal
the transcript;
WHEREAS on December 8, 2020, Defendants filed a Notice of Intent to Request
Redaction of the transcript;
WHEREAS on December 22, 2020, the redacted version of the transcript was filed
under docket number 95.
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Case 2:17-cv-01737-KSH-CLW Document 100 Filed 02/16/21 Page 2 of 2 PageID: 3736
WHEREAS Defendants request that this Court formally redact and seal the May 27,
2020 transcript;
WHEREAS on February 12, 2021, Defendants’ Counsel filed a Declaration in support of
its motion to seal the May 27, 2020 transcript;
Defendants’ Proposed Conclusions of Law
1.
With regard to Accurate Box’s confidential business and financial information,
the Discovery Confidentiality Order and the Federal Rules of Civil Procedure protect the
Defendants’ personal information from public disclosure.
2.
With regard to the May 27, 2020 transcript, Defendants have an interest in
protecting their confidential business and financial information from being made available to the
public.
3.
Defendants are only seeking to seal documents that contain confidential business
and financial information and that could harm their competitive standing if disclosed.
4.
There are no less restrictive means available than the relief sought by the
Defendants. BASED UPON the foregoing findings of fact and conclusions of law:
IT IS on this 16th day of February, 2021; ORDERED that the Defendants’ Motion to
Seal is GRANTED; and
IT IS FURTHER ORDERED that the version of the transcript of motion via zoom
conference held on May 27, 2020 filed on December 1, 2020 as docket number 93, to be
permanently redacted and sealed in accordance with this Order.
/s/ Cathy L. Waldor
Honorable Cathy L. Waldor, U.S.M.J.
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