Filed: Jan. 17, 2020
Latest Update: Jan. 17, 2020
Summary: APPELLANTS' MOTION TO ACCEPT DOCUMENTS SEALED BY THE BANKRUPTCY COURT AS PART OF THE RECORD ON APPEAL KENNETH M. KARAS , District Judge . Pursuant to Federal Rule of Bankruptcy Procedure 8009(f), Appellants respectfully request that the District Court accept as part of the Record on Appeal, the following documents (including, without limitation, all statements, appendices, exhibits, attachments, declarations, and/or related affidavits) filed under seal with the Bankruptcy Court pursuant to
Summary: APPELLANTS' MOTION TO ACCEPT DOCUMENTS SEALED BY THE BANKRUPTCY COURT AS PART OF THE RECORD ON APPEAL KENNETH M. KARAS , District Judge . Pursuant to Federal Rule of Bankruptcy Procedure 8009(f), Appellants respectfully request that the District Court accept as part of the Record on Appeal, the following documents (including, without limitation, all statements, appendices, exhibits, attachments, declarations, and/or related affidavits) filed under seal with the Bankruptcy Court pursuant to ..
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APPELLANTS' MOTION TO ACCEPT DOCUMENTS SEALED BY THE BANKRUPTCY COURT AS PART OF THE RECORD ON APPEAL
KENNETH M. KARAS, District Judge.
Pursuant to Federal Rule of Bankruptcy Procedure 8009(f), Appellants respectfully request that the District Court accept as part of the Record on Appeal, the following documents (including, without limitation, all statements, appendices, exhibits, attachments, declarations, and/or related affidavits) filed under seal with the Bankruptcy Court pursuant to the parties' Confidentiality Agreement and Stipulated Protective Order (Adv. Proc. 19-08246, Dkt. No. 74):
Item No. Date Docket No. Document Title
1 11/15/2019 118 Defendants' Motion to Seal Certain
Documents in Support of Defendants'
Motion to Exclude the Testimony of John
C. Jarosz [Dkt. No. 115]
2 11/15/2019 128 Debtors' Motion to Seal Certain Portions of
(A) Debtors' Memorandum of Law in
Support of Their Motion for Summary
Judgment (B) Statement of Undisputed
Material Facts and (C) Certain Exhibits
attached to the Declarations of Jeffrey H.
Auman, Paul Strickland, Jr., and Grace A.
Thompson
3 12/06/2019 142 Defendants' Motion to Seal Documents in
Connection with Memorandum in
Opposition to Debtors' Partial Summary
Judgment
4 12/06/2019 159 Debtors' Motion to Seal Portions of A)
Debtors' Memorandum of Law in
Opposition to Defendants' Motion for
Summary Judgment (B) Debtors' Response
to Defendants' Statement of Facts (C)
Certain Exhibits attached to the Declaration
of Grace A. Thompson and (D) Declaration
of Jeffrey H. Auman in Support of the
Debtors' Opposition to Defendants'
Summary Judgment
5 12/13/2019 173 Debtors' Motion to Seal Certain Portions of
(A) Debtors' Reply Memorandum in
Support of Their Motion for Summary
Judgment (B) Debtors' Reply Statement of
Facts and (C) Debtors' Response to
Defendants' Statement of Additional Facts
6 01/02/2020 205 Defendants' Motion to Seal Objections to
Report and Recommendation
Dated: January 16, 2020 Respectfully submitted,
THOMPSON COBURN LLP
By /s/ John Kingston
John Kingston (pro hac vice)
Michael Nepple (pro hac vice)
Brian Hockett (pro hac vice)
THOMPSON COBURN LLP
One U.S. Bank Plaza, Suite 2700
St. Louis, MO 63101
314-552-6000
314-552-7000 (fax)
jkingston@thompsoncoburn.com
mnepple@thompsoncoburn.com
bhockett@thompsoncoburn.com
Attorneys for Charter Communications, Inc. and
Charter Communications Operating, LLC
Granted.
So Ordered.