Filed: Jul. 07, 2015
Latest Update: Jul. 07, 2015
Summary: OMNIBUS ORDER RE: MOTIONS TO SEAL (Re: Docket Nos. 360, 380, 393, 400, 406, 409, 413) PAUL S. GREWAL , Magistrate Judge . Before the court are seven administrative motions to seal 44 documents. "Historically, courts have recognized a `general right to inspect and copy public records and documents, including judicial records and documents.'" 1 Accordingly, when considering a sealing request, "a `strong presumption in favor of access' is the starting point." 2 Parties seeking to seal judic
Summary: OMNIBUS ORDER RE: MOTIONS TO SEAL (Re: Docket Nos. 360, 380, 393, 400, 406, 409, 413) PAUL S. GREWAL , Magistrate Judge . Before the court are seven administrative motions to seal 44 documents. "Historically, courts have recognized a `general right to inspect and copy public records and documents, including judicial records and documents.'" 1 Accordingly, when considering a sealing request, "a `strong presumption in favor of access' is the starting point." 2 Parties seeking to seal judici..
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OMNIBUS ORDER RE: MOTIONS TO SEAL
(Re: Docket Nos. 360, 380, 393, 400, 406, 409, 413)
PAUL S. GREWAL, Magistrate Judge.
Before the court are seven administrative motions to seal 44 documents. "Historically, courts have recognized a `general right to inspect and copy public records and documents, including judicial records and documents.'"1 Accordingly, when considering a sealing request, "a `strong presumption in favor of access' is the starting point."2 Parties seeking to seal judicial records relating to dispositive motions bear the burden of overcoming the presumption with "compelling reasons" that outweigh the general history of access and the public policies favoring disclosure.3
However, "while protecting the public's interest in access to the courts, we must remain mindful of the parties' right to access those same courts upon terms which will not unduly harm their competitive interest."4 Records attached to nondispositive motions therefore are not subject to the strong presumption of access.5 Because the documents attached to nondispositive motions "are often unrelated, or only tangentially related, to the underlying cause of action," parties moving to seal must meet the lower "good cause" standard of Rule 26(c).6 As with dispositive motions, the standard applicable to nondispositive motions requires a "particularized showing"7 that "specific prejudice or harm will result" if the information is disclosed.8 "Broad allegations of harm, unsubstantiated by specific examples of articulated reasoning" will not suffice.9 A protective order sealing the documents during discovery may reflect the court's previous determination that good cause exists to keep the documents sealed,10 but a blanket protective order that allows the parties to designate confidential documents does not provide sufficient judicial scrutiny to determine whether each particular document should remain sealed.11
In addition to making particularized showings of good cause, parties moving to seal documents must comply with the procedures established by Civ. L.R. 79-5. Pursuant to Civ. L.R. 79-5(b), a sealing order is appropriate only upon a request that establishes the document is "sealable," or "privileged or protectable as a trade secret or otherwise entitled to protection under the law." "The request must be narrowly tailored to seek sealing only of sealable material, and must conform with Civil L.R. 79-5(d)."12 "Within 4 days of the filing of the Administrative Motion to File Under Seal, the Designating Party must file a declaration as required by subsection 79-5(d)(1)(A) establishing that all of the designated material is sealable."13
With these standards in mind, the courts rules on the instant motions as follows:
Motion Document to be Sealed Result Reason/Explanation
to Seal
360 MobileIron's Omnibus Pages 10:9-11, 21 at n.90, 21:17-22, Only sealed portions
Motion In Limine 21 at n.91 and 22 at n.92 at narrowly tailored to
Docket No. 366-1 SEALED; all confidential business
other designations UNSEALED. information.
360 Exhibit 3 UNSEALED. No declaration in
support filed with the
court as required by
Civ. L.R. 79-5(e)(1).
360 Exhibit 4 at Docket Images on pages 193, 194 and Narrowly tailored to
No. 366-3 200 at Docket No. 366-3 confidential business
SEALED; ¶¶ 224-26 and 231-32 information.
at Docket No. 366-3 SEALED;
Ex. A, page 19 at Docket
No. 366-3 SEALED; Ex. C at
Docket No. 366-3 SEALED;
code in Ex. D at Docket
No. 366-3 SEALED.
360 Exhibit 5 UNSEALED. No declaration in
support filed with the
court as required by
Civ. L.R. 79-5(e)(1).
360 Exhibit 7 ¶¶ 30, 31, 40, 41 at Docket No. Only sealed portions
366-5 SEALED; ¶ 42 at Docket narrowly tailored to
No. 366-5 UNSEALED. confidential business
information.
360 Exhibit 9 UNSEALED. No declaration in
support filed with the
court as required by
Civ. L.R. 79-5(e)(1).
360 Exhibit 10 UNSEALED. No declaration in
support filed with the
court as required by
Civ. L.R. 79-5(e)(1).
360 Exhibit 11 UNSEALED. No declaration in
support filed with the
court as required by
Civ. L.R. 79-5(e)(1).
360 Exhibit 12 UNSEALED. No declaration in
support filed with the
court as required by
Civ. L.R. 79-5(e)(1).
360 Exhibit 14 Page 17 at Docket No. 366-10 Narrowly tailored to
SEALED. confidential business
information.
360 Exhibit 15 UNSEALED. No declaration in
support filed with the
court as required by
Civ. L.R. 79-5(e)(1).
360 Exhibit 17 Monetary values in ¶¶ 9, 10, 11, Narrowly tailored to
12 and 198 at Docket confidential business
No. 366-12 SEALED; information.
percentages in ¶¶ 249, 264, 298
and 97 n.374 at Docket
No. 366-12 SEALED; exhibits
12, 12-1, 12A, 12A-1, 12B, 12B-1,
12C and 12C-1 at Docket
No. 366-12 SEALED.
360 Exhibit 18 Only specific customer names Only sealed portions
between 14:6-15:2 at Docket No. narrowly tailored to
366-13 SEALED. confidential business
information.
360 Exhibit 19 UNSEALED. Not narrowly tailored
to confidential
business information.
360 Exhibit 21 UNSEALED. No declaration in
support filed with the
court as required by
Civ. L.R. 79-5(e)(1).
360 Exhibit 22 UNSEALED. No declaration in
support filed with the
court as required by
Civ. L.R. 79-5(e)(1).
360 Exhibit 30 UNSEALED. No declaration in
support filed with the
court as required by
Civ. L.R. 79-5(e)(1).
360 Exhibit 32 UNSEALED. No declaration in
support filed with the
court as required by
Civ. L.R. 79-5(e)(1).
360 Exhibit 33 UNSEALED. No declaration in
support filed with the
court as required by
Civ. L.R. 79-5(e)(1).
360 Exhibit 34 UNSEALED. No declaration in
support filed with the
court as required by
Civ. L.R. 79-5(e)(1).
360 Exhibit 35 SEALED. Narrowly tailored to
confidential business
information.
360 Exhibit 36 UNSEALED. No declaration in
support filed with the
court as required by
Civ. L.R. 79-5(e)(1).
360 Exhibit 38 SEALED. Narrowly tailored to
confidential business
information.
360 Exhibit 39 SEALED. Narrowly tailored to
confidential business
information.
360 Exhibit 40 SEALED. Narrowly tailored to
confidential business
information.
360 Exhibit 41 UNSEALED. No declaration in
support filed with the
court as required by
Civ.R. 79-5(e)(1).
360 Exhibit 42 SEALED. Narrowly tailored to
confidential business
information.
360 Exhibit 43 SEALED. Narrowly tailored to
confidential business
information.
360 Exhibit 44 SEALED. Narrowly tailored to
confidential business
information.
360 Exhibit 45 SEALED. Narrowly tailored to
confidential business
information.
360 Exhibit 46 SEALED. Narrowly tailored to
confidential business
information.
360 Exhibit 47 SEALED. Narrowly tailored to
confidential business
information.
380 Exhibit 2 UNSEALED. No declaration in
support filed with the
court as required by
Civ. L.R. 79-5(e)(1).
393 Good's Opposition to Page 12:19-20 at Docket Only sealed portions
MobileIron's Motions In No. 393-4 SEALED; page narrowly tailored to
Limine 13:5-6 at Docket No. 393-4 confidential business
SEALED; all other designations information.
UNSEALED.
393 Exhibit 6 SEALED. Narrowly tailored to
confidential business
information.
393 Exhibit 7 UNSEALED. Not narrowly tailored
to confidential
business information.
393 Exhibit 8 UNSEALED. No declaration in
support filed with the
court as required by
Civ. L.R. 79-5(e)(1).
393 Exhibit 9 Page 146:20-147:12 at Docket Narrowly tailored to
No. 393-8 SEALED. confidential business
information.
393 Exhibit 10 UNSEALED. No declaration in
support filed with the
court as required by
Civ. L.R. 79-5(e)(1).
400 Exhibit 1 Designations highlighted in Only sealed portions
yellow at Docket No. 400-3 narrowly tailored to
SEALED EXCEPT Pages 1:14, confidential business
2:6-10, and 5:16-17 information.
UNSEALED.
406 Exhibit 3 Only pages 7-11 at Docket No. Only sealed portions
406-3 SEALED. narrowly tailored to
confidential business
information.
406 Exhibit 4 UNSEALED. Not narrowly tailored
to confidential
business information.
409 Corrected Exhibit 5 UNSEALED. No declaration in
support filed with the
court as required by
Civ. L.R. 79-5(e)(1).
413 MobileIron's Opposition to UNSEALED. No declaration in
Good Technology's support filed with the
Motion For Leave to File court as required by
a Motion for Civ. L.R. 79-5(e)(1).
Reconsideration In Part of
Court's Summary
Judgment Order Regarding
Lost Profits
SO ORDERED.
FootNotes
1. Kamakana v. City & County of Honolulu, 447 F.3d 1172, 1178 (9th Cir. 2006) (quoting Nixon v. Warner Commc'ns, Inc., 435 U.S. 589, 597 & n. 7 (1978)).
2. Id. (quoting Foltz v. State Farm Mut. Auto. Ins. Co., 331 F.3d 1122, 1135 (9th Cir. 2003)).
3. Id. at 1178-79.
4. Apple Inc. v. Samsung Electronics Co., Ltd., 727 F.3d 1214, 1228-29 (Fed. Cir. 2013).
5. See id. at 1180.
6. Id. at 1179 (internal quotations and citations omitted).
7. Id.
8. Phillips ex rel. Estates of Byrd v. Gen. Motors Corp., 307 F.3d 1206, 1210-11 (9th Cir. 2002); see Fed. R. Civ. P. 26(c).
9. Beckman Indus., Inc. v. Int'l Ins. Co., 966 F.2d 470, 476 (9th Cir. 1992).
10. See Kamakana, 447 F.3d at 1179-80.
11. See Civ. L.R. 79-5(d)(1)(A) ("Reference to a stipulation or protective order that allows a party to designate certain documents as confidential is not sufficient to establish that a document, or portions thereof, are sealable.").
12. Civ. L.R. 79-5(b). In part, Civ. L.R. 79-5(d) requires the submitting party to attach a "proposed order that is narrowly tailored to seal only the sealable material" which "lists in table format each document or portion thereof that is sought to be sealed," Civ. L.R. 79-5(d)(1)(b), and an "unredacted version of the document" that indicates "by highlighting or other clear method, the portions of the document that have been omitted from the redacted version." Civ. L.R. 79-5(d)(1)(d).
13. Civ. L.R. 79-5(e)(1).