D.T. v NECA/IBEW Family Medical Care Plan et al
Filing
188
ORDER ON MOTIONS TO SEAL re Parties' 133 Statement regarding the sealing of confidential documents. Signed by Judge Richard A. Jones. (MW)
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HONORABLE RICHARD A. JONES
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UNITED STATES DISTRICT COURT
WESTERN DISTRICT OF WASHINGTON
AT SEATTLE
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D.T. by and through his parents and
guardians, K.T. and W.T., individually, on
No. 17-cv-00004-RAJ
behalf of similarly situated individuals,
and on behalf of the NECA/IBEW Family
Medical Care Plan,
ORDER ON MOTIONS TO SEAL
Plaintiff,
v.
NECA/IBEW FAMILY MEDICAL
CARE PLAN, THE BOARD OF
TRUSTEES OF THE NECA/IBEW
FAMLY MEDICAL CARE PLAN,
SALVATORE J. CHILIA, ROBERT P.
KLEIN, DARRELL L. MCCUBBINS,
GEARY HIGGINS, LAWRENCE J.
MOTER, JR., KEVIN TIGHE, JERRY
SIMS, AND ANY OTHER
INDIVIDUAL MEMBER OF THE
BOARD OF TRUSTEES OF
NECA/IBEW FAMILY MEDICAL
CARE PLAN,
Defendants.
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This matter is before the Court on the parties’ joint statement regarding the sealing
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of confidential documents. Dkt. # 133. IT IS HEREBY ORDERED that the following
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Motions to Seal are GRANTED for good cause shown, and that the associated documents
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shall remain sealed:
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1. Dkt. 61-1 (Exhibit 1) Administrative Services Agreement between NECA/IBEW
and BCBSGa (dated April 1, 2010); and
ORDER - 1
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2. Dkt. 61-2 (Exhibit 2) Administrative Services Agreement between NECA/IBEW
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and BCBSGa (dated January 1, 2018).
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It is further ORDERED that the following documents be withdrawn from the
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record and refiled in redacted form to protect the confidential information contained
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therein:
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1. Dkt. # 85-4 (Exhibit D) Email communication between counsel which contains
detailed financial analysis from BCBSGa regarding costs for coverages based on
Anthem’s proprietary information;
2. Dkt. # 110-4 (Exhibit 4) SavRx Summary of Medicinal Treatments and Formulary
List;
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3. Dkt. # 117-3 (Exhibit H) Email communication between counsel which contains
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detailed financial analysis from BCBSGa regarding costs for coverages based on
Anthem’s proprietary information;
4. Dkt. # 117-4 (Exhibit I) Email communication between counsel which contains
detailed financial analysis from BCBSGa regarding costs for coverages based on
Anthem’s proprietary information; and
5. Dkt. # 117-5 (Exhibit J) Email communication between counsel which contains
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detailed financial analysis from BCBSGa regarding costs for coverages based on
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Anthem’s proprietary information.
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All other documents on the record for which a motion to seal is pending shall be
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unsealed.
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Dated this 31st day of March, 2020.
A
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The Honorable Richard A. Jones
United States District Judge
_____________________________
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ORDER - 2
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