Kim v. Coach, Inc, et al

Filing 40

MOTION to Seal Defendants' Motion to Strike Class Allegations and Declarations of John Macaluso and Nancy Axilrod by Defendants Coach Services Inc, Coach, Inc., Counter Claimant Coach, Inc.. (Attachments: # 1 Proposed Order) Noting Date 4/22/2011, (Keehnel, Stellman)

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THE HONORABLE RICARDO S. MARTINEZ 1 2 3 4 5 6 7 UNITED STATES DISTRICT COURT WESTERN DISTRICT OF WASHINGTON AT SEATTLE 8 9 10 11 GINA KIM, on behalf of a class consisting of herself and all other persons similarly situated, 12 13 14 15 16 17 v. Plaintiffs, and as to Ms. Kim, counterclaim defendant, COACH, INC., a Maryland corporation, and COACH SERVICES, INC., a Maryland corporation, NO. 2:11-cv-00214-RSM [PROPOSED] ORDER GRANTING MOTION TO SEAL MOTION TO STRIKE CLASS ALLEGATIONS AND DECLARATIONS OF JOHN MACALUSO AND NANCY AXILROD NOTE ON MOTION CALENDAR: APRIL 22, 2011 Defendants, and, as to Coach, Inc., counterclaim plaintiff. 18 19 THIS MATTER came before the Court on Defendants’ Motion to Seal (the “Motion”) 20 three documents: (1) Defendants’ Motion to Strike Class Allegations (the “Motion to Strike”), 21 (2) the Declaration of John Macaluso (and attached exhibits) in Support of Defendants’ Motion 22 to Strike, and (3) the Declaration of Nancy Axilrod in Support of Defendants’ Motion to Strike. 23 The Court reviewed the Motion, the Declaration of Patrick Eagan in Support of the Motion, the 24 Motion to Strike, and the Declarations of John Macaluso and Nancy Axilrod. Having been 25 fully advised, the Court finds that the Motion should be granted. Now, therefore 26 IT IS HEREBY ORDERED that [PROPOSED] ORDER GRANTING MOTION TO SEAL MOTION TO STRIKE CLASS ALLEGATIONS AND DECLARATIONS – 1 NO. 2:11-cv-00214-RSM DLA Piper LLP (US) 701 Fifth Avenue, Suite 7000 Seattle, WA 98104-7044 ● Tel: 206.839.4800 1 A. Defendants’ Motion to File Under Seal is GRANTED; and 2 B. Defendants are permitted to file, under seal, the Motion to Strike, the 3 Declaration of John Macaluso (and attached exhibits) in Support of the Motion to Strike, and 4 Declaration of Nancy Axilrod in Support of the Motion to Strike. 5 Dated this ____ day of _________________, 2011. 6 7 HON. RICARDO S. MARTINEZ United States District Judge 8 9 Presented by: 10 11 12 13 14 15 16 17 18 s/ Stellman Keehnel Stellman Keehnel, WSBA No. 9309 R. Omar Riojas, WSBA No. 35400 Patrick Eagan, WSBA No. 42679 DLA Piper LLP (US) 701 Fifth Avenue, Suite 7000 Seattle, WA 98104 Tel: 206.839.4800 Fax: 206.839.4801 E-mail: stellman.keehnel@dlapiper.com E-mail: omar.riojas@dlapiper.com E-mail: patrick.eagan@dlapiper.com Attorneys for defendant and counterclaim plaintiff Coach, Inc., and defendant Coach Services, Inc. 19 20 21 22 23 24 25 26 [PROPOSED] ORDER GRANTING MOTION TO SEAL MOTION TO STRIKE CLASS ALLEGATIONS AND DECLARATIONS – 2 NO. 2:11-cv-00214-RSM DLA Piper LLP (US) 701 Fifth Avenue, Suite 7000 Seattle, WA 98104-7044 ● Tel: 206.839.4800 1 CERTIFICATE OF SERVICE 2 I hereby certify that on April 14, 2011, I electronically filed the foregoing with the 3 Clerk of the Court using the CM/ECF System which will send notification of such filing to all 4 counsel of record. 5 Dated this 14th day of April, 2011. 6 s/Stellman Keehnel Stellman Keehnel, WSBA No. 9309 7 8 9 10 WEST\223350352.1 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 [PROPOSED] ORDER GRANTING MOTION TO SEAL MOTION TO STRIKE CLASS ALLEGATIONS AND DECLARATIONS – 3 NO. 2:11-cv-00214-RSM DLA Piper LLP (US) 701 Fifth Avenue, Suite 7000 Seattle, WA 98104-7044 ● Tel: 206.839.4800

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