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Melgar v. Zicam LLC, 2:14-cv-00160-MCE-AC. (2015)

Court: District Court, E.D. California Number: infdco20150721708 Visitors: 3
Filed: Jul. 17, 2015
Latest Update: Jul. 17, 2015
Summary: PLAINTIFF'S NOTICE OF REQUEST AND REQUEST TO SEAL DOCUMENTS RELATED TO PLAINTIFF'S REBUTTAL EXPERT DISCLOSURES AND ORDER MORRISON C. ENGLAND, Jr. , Chief District Judge . TO ALL PARTIES AND THEIR COUNSEL OF RECORD: PLEASE TAKE NOTICE THAT Plaintiff Yesenia Melgar ("Plaintiff") files this request pursuant to Local Rule 141 for leave to file certain confidential documents under seal in conjunction with Plaintiff's Rebuttal Expert Disclosures. The documents that incorporate confidential infor
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PLAINTIFF'S NOTICE OF REQUEST AND REQUEST TO SEAL DOCUMENTS RELATED TO PLAINTIFF'S REBUTTAL EXPERT DISCLOSURES AND ORDER

TO ALL PARTIES AND THEIR COUNSEL OF RECORD: PLEASE TAKE NOTICE THAT Plaintiff Yesenia Melgar ("Plaintiff") files this request pursuant to Local Rule 141 for leave to file certain confidential documents under seal in conjunction with Plaintiff's Rebuttal Expert Disclosures. The documents that incorporate confidential information are:

• The Rebuttal Declaration of Dr. Edzard Ernst at 7:9-19; 7:27-9:2; 9:10-12; 10:2-3; 10:6-10; 10:24-11:9; 11:15-17:20; 18:1-3; 18:10-12; 18:16-22; 18:27-28; 22:4-12; and • The Rebuttal Declaration of Elizabeth Howlett, Ph.D. at 7:26-8:6; 8:9-13; 8:22-9:10; 9:17-18; 10:4-6; 10:27-11:1; 11:7; 11:11; 11:20; 11:23-26; 12:18-19; 12:24; and 12:25-27.

The above documents contain information designated by Defendant as "Confidential" pursuant to the parties' Agreement for the Discovery of Confidential Information ("Confidentiality Agreement"). The Confidentiality Agreement is attached hereto as Exhibit A. The information is "Confidential Discovery Material" pursuant to Section 1(c) of the Confidentiality Agreement because it is "confidential research, development, or commercial information, within the meaning of Rule 26(c)(1)(G) of the Federal Rules of Civil Procedure" and/or proprietary information that is not generally available to or accessible by the general public. See Confidentiality Agreement, Exh. A at 2. For this reason, Plaintiffs request that the above-listed documents and portions thereof be filed under seal. Defendants Matrixx Initiatives, Inc. and Zicam LLC shall have access to the confidential documents.

Plaintiff has submitted this Notice of Request, Request to Seal Documents related to Plaintiff's Rebuttal Expert Disclosures, the [Proposed] Order, and the documents themselves via electronic mail to the Court. The email has been set to Judge England's proposed orders email box, with the email subject line including the case number and the statement: "Request to Seal Documents." Further, this Notice of Request, Request to Seal Documents related to Plaintiff's Rebuttal Expert Disclosures, and [Proposed] Order have been served on all parties via electronic mail.

ORDER

Having considered Plaintiff's Request to Seal Documents and the documents labeled "Confidential" pursuant to the parties' Agreement for the Discovery of Confidential Information, the Court GRANTS Plaintiff's Request to Seal Documents and finds and orders as follows:

The Court finds that the following documents at issue should be filed under seal:

• The Rebuttal Declaration of Dr. Edzard Ernst at 7:9-19; 7:27-9:2; 9:10-12; 10:2-3; 10:6-10; 10:24-11:9; 11:15-17:20; 18:1-3; 18:10-12; 18:16-22; 18:27-28; 22:4-12; and • The Rebuttal Declaration of Elizabeth Howlett, Ph.D. at 7:26-8:6; 8:9-13; 8:22-9:10; 9:17-18; 10:4-6; 10:27-11:1; 11:7; 11:11; 11:20; 11:23-26; 12:18-19; 12:24; and 12:25-27.

IT IS SO ORDERED.

Source:  Leagle

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