E. & J. Gallo Winery v. Instituut Voor Landbouw-En Visserijonderzoek, 17-cv-00808-DAD-EPG. (2018)
Court: District Court, E.D. California
Number: infdco20180529735
Visitors: 15
Filed: May 25, 2018
Latest Update: May 25, 2018
Summary: ORDER RE PLAINTIFFS' REQUEST TO FILE (ECF Nos. 58, 76) ERICA P. GROSJEAN , Magistrate Judge . TO ALL PARTIES AND THEIR ATTORNEYS OF RECORD: The Court, pursuant to Local Rule 141, has considered Plaintiffs' Requests to File Documents Under Seal. Because the documents describe Plaintiffs' trade secrets, the Court hereby grants Plaintiffs' Requests to File Documents Under Seal, allowing for the permanent sealing from the general public until, and only if, otherwise ordered by this Court. Gal
Summary: ORDER RE PLAINTIFFS' REQUEST TO FILE (ECF Nos. 58, 76) ERICA P. GROSJEAN , Magistrate Judge . TO ALL PARTIES AND THEIR ATTORNEYS OF RECORD: The Court, pursuant to Local Rule 141, has considered Plaintiffs' Requests to File Documents Under Seal. Because the documents describe Plaintiffs' trade secrets, the Court hereby grants Plaintiffs' Requests to File Documents Under Seal, allowing for the permanent sealing from the general public until, and only if, otherwise ordered by this Court. Gall..
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ORDER RE PLAINTIFFS' REQUEST TO FILE (ECF Nos. 58, 76)
ERICA P. GROSJEAN, Magistrate Judge.
TO ALL PARTIES AND THEIR ATTORNEYS OF RECORD:
The Court, pursuant to Local Rule 141, has considered Plaintiffs' Requests to File Documents Under Seal. Because the documents describe Plaintiffs' trade secrets, the Court hereby grants Plaintiffs' Requests to File Documents Under Seal, allowing for the permanent sealing from the general public until, and only if, otherwise ordered by this Court. Gallo may file the following documents under seal in their entirety on May 25, 2018; but, unless it has already done so, Gallo shall file redacted copies of the same before May 30, 2018:
• Joint Discovery Statement;
• Exhibit A (MCD's Second Supplemental Interrogatory Responses); and
• Exhibit B (MCD's Revised Second Supplemental Interrogatory Responses).
• Joint Statement Re Discovery Disagreement
• Exhibit 3 to the Werdegar Declaration
• Exhibit 6 to the Werdegar Declaration (MCD's Objection and Responses to ILVO's First Set of Interrogatories)
• Exhibit 7 to the Werdegar Declaration (SJVC's Objections and Responses to ILVO's First Set of Interrogatories)
• Exhibit 8 to the Werdegar Declaration (G3's Objections and Responses to ILVO's First Set of Interrogatories)
• Exhibit 10 to the Werdegar Declaration (MCD's First Supplemental Objections and Responses to ILVO's First Set of Interrogatories)
• Exhibit 11 to the Werdegar Declaration (SJVC's First Supplemental Objections and Responses to ILVO's First Set of Interrogatories)
• Exhibit 12 to the Werdegar Declaration (G3's First Supplemental Objections and Responses to ILVO's First Set of Interrogatories)
• Exhibit 20 to the Werdegar Declaration (MCD_ILVO00000027-30)
• Exhibit 21 to the Werdegar Declaration (MCD_ILVO00000054-58)
• Exhibit 22 to the Werdegar Declaration (MCD_ILVO00000985-987)
• Exhibit 23 to the Werdegar Declaration (MCD_ILVO00000113-115)
• Exhibit 24 to the Werdegar Declaration (MCD_ILVO00000812)
• Exhibit 25 to the Werdegar Declaration (MCD_ILVO00000609-612)
• Exhibit 30 to the Werdegar Declaration (MCD_ILVO00000323-325)
• Exhibit 31 to the Werdegar Declaration (MCD_ILVO00000326)
• Bowser Declaration.
IT IS SO ORDERED.
Source: Leagle