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OCHOA v. McDONALD'S CORP., 14-cv-02098-JD. (2015)

Court: District Court, N.D. California Number: infdco20150812855 Visitors: 30
Filed: Aug. 11, 2015
Latest Update: Aug. 11, 2015
Summary: ORDER RE ADMINISTRATIVE MOTIONS TO FILE UNDER SEAL Re: Dkt. Nos. 101, 106, 120, 128, 142, 177, 196, 227, and 232 JAMES DONATO , District Judge . This order addresses the pending administrative motions to seal in this case. Of the currently-pending motions, the ones at Dkt. Nos. 101, 106, 120, and 142 are moot in light of the Court's prior order at Dkt. No. 155, after which defendants filed a notice that they were no longer seeking to seal some of the documents that were subjects of the ear
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ORDER RE ADMINISTRATIVE MOTIONS TO FILE UNDER SEAL

Re: Dkt. Nos. 101, 106, 120, 128, 142, 177, 196, 227, and 232

This order addresses the pending administrative motions to seal in this case. Of the currently-pending motions, the ones at Dkt. Nos. 101, 106, 120, and 142 are moot in light of the Court's prior order at Dkt. No. 155, after which defendants filed a notice that they were no longer seeking to seal some of the documents that were subjects of the earlier motions, see Dkt. No. 165, and filed a new administrative motion to seal at Dkt. No. 177. In addition, the administrative motion to seal at Dkt. No. 128 is essentially moot, because it seeks to seal a subset of the documents covered by Dkt. No. 142. Finally, the motion at Dkt. No. 227 is also moot because defendants have filed a statement agreeing to de-designate essentially all the material as confidential, apart from a single exhibit that has been re-redacted consistent with the Court's prior orders. See Dkt. Nos. 238, 238-1. The Court strikes those motions, and in this order rules on the motions at Dkt. Nos. 177, 196, and 232.

I. GOVERNING STANDARD

In our circuit, in evaluating a motion to seal, two different standards apply depending on whether the request is being made in connection with a dispositive motion or a non-dispositive motion.

For dispositive motions, the historic, "strong presumption of access to judicial records" fully applies, and a party seeking sealing must establish "compelling reasons" to overcome that presumption. Kamakana v. City and County of Honolulu, 447 F.3d 1172, 1178-80 (9th Cir. 2006) (quoting Foltz v. State Farm Mut. Auto Ins. Co., 331 F.3d 1122, 1136 (9th Cir. 2003)). This standard presents a "high threshold," and "a `good cause' showing will not, without more, satisfy" it. Id. at 1180 (citations omitted). When ordering sealing in this context, the district court must also "articulate the rationale underlying its decision to seal." Apple Inc. v. Psystar Corp., 658 F.3d 1150, 1162 (9th Cir. 2011).

The non-dispositive motion context is different. There, "the usual presumption of the public's right of access is rebutted," the "public has less of a need for access to court records attached only to non-dispositive motions," and the "public policies that support the right of access to dispositive motions, and related materials, do not apply with equal force to non-dispositive materials." Kamakana, 447 F.3d at 1179-80 (citations omitted). Therefore, in that context, materials may be sealed so long as the party seeking sealing makes a "particularized showing" under the "good cause" standard of Federal Rule of Civil Procedure 26(c). Id. at 1180 (quoting Foltz, 331 F.3d at 1138). In either case, however, "[a]n unsupported assertion of `unfair advantage' to competitors without explaining `how a competitor would use th[e] information to obtain an unfair advantage' is insufficient." Hodges v. Apple, Inc., No. 13-cv-01128-WHO, 2013 WL 6070408, at *2 (N.D. Cal. Nov. 18, 2013) (quoting Dunbar v. Google, Inc., No. 5:12-cv-003305-LHK, 2012 WL 6202719, at *4-5 (N.D. Cal. Nov. 18, 2013)).

In our district, in addition to meeting the applicable standard under Kamakana, all parties requesting sealing must also comply with Civil Local Rule 79-5, including that rule's requirement that the request must "establish[] that the document, or portions thereof, are privileged, protectable as a trade secret or otherwise entitled to protection under the law," i.e., is "sealable." Civil L.R. 79-5(b). The sealing request must also "be narrowly tailored to seek sealing only of sealable material." Id.

II. DISCUSSION

The disputed portions of the motion at Dkt. No. 180, as well as the motions at Dkt. Nos. 196, 227, and 232 involve documents filed in connection with a motion for summary judgment. Since motions for summary judgment are dispositive, the "compelling reasons" standard applies.

Applying this standard, the Court rules on the requests to seal as follows. In each case where a request is denied, personally identifiable information of individuals may be redacted.

A. Dkt. No. 177

Tab Exact Portions to be Defendants' Reason for Sealing Grant or Denial of Sealed Request Exhibit G to Smith's Opposition to Granted. Plaintiffs' Motion for Class Certification (Dkt. No. 106). Exhibit G is the VES Crew Rules and Regulations and includes the name of a Smith employee. This individual is not a party to this lawsuit and has not consented to the public disclosure of her employment information. This document further contains the personal telephone number of Michael Smith, who has not consented to the disclosure of this information. See Smith Declaration, ¶ 5. This Court previously sealed this Individual names and material in its June 5, 2015 Order. (Dkt. 1 phone numbers No. 155). Exhibit A to Plaintiffs' Reply in Granted. Support of their Motion for Class Certification (Guadalupe Ortega Deposition Transcript) (Dkt. No. 120). This portion of the Guadalupe Ortega deposition transcript includes the name of an individual who is not a party to this lawsuit and has not consented to the public disclosure of her employment information. See Smith Declaration, ¶ 5. This Court previously sealed this material in its June 5, 2015 Order. (Dkt. 2 Name at 139:18, 23 No. 155). Exhibit P to the McRee Declaration Denied. (McDonald's USA's National Franchising Standards) (Dkt. No. 142). This Exhibit is McDonald's USA's National Franchising Standards, disclosure of which would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing 6 Entire Document competitors a detailed and firsthand Tab Exact Portions to be Defendants' Reason for Sealing Grant or Denial of Sealed Request account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA. See Vaghani Declaration, ¶ 6. Denied. A prior version of the entire document from which this exhibit is drawn has been filed in the public record in the Eastern District of Michigan, and defendants provide no reason why the Exhibit Q to the McRee Declaration disclosure of this (Full Operations Review) (Dkt. No. version would 142). This Exhibit is the Full Operations inflict additional Review portion of the QSC Playbook. competitive harm. Disclosure of the information contained See Wilson v. in this document would provide McDonald's Corp., competitors of the McDonald's No. 5:14-cv-11082-JCO-MJH Defendants a strategic and unfair (E.D. business advantage by allowing Mich. filed Mar. competitors a detailed and firsthand 24, 2014), Dkt. 11-6; account of the key business strategies Pullen v. and profit-driving factors considered McDonald's Corp., and offered as optional guidance No. 5:14-cv-11081-JCO-MJH exclusively to franchisees of (E.D. McDonald's USA during the interactive Mich. filed Mar. business review process. See Vaghani 24, 2014), Dkt. 12-10. 7 Entire Document Declaration, ¶ 6.

B. Dkt. No. 196

Tab Exact Portions to be Defendants' Reason for Sealing Grant or Denial of Sealed Request 1 3:18-6:7; 13:1-7: 20:13-16; Plaintiffs' Opposition to the Denied. The FB34; 21:7-21 McDonald's Defendants Motion for portions the Summary Judgment (Dkt. No. 183). McDonald's This portion of Plaintiffs' Opposition defendants seek are cites to and describes in detail the file under seal are contents of McDonald's USA's necessary to Franchising Standards and internal understand the business review proces, disclosure of which would provide competitors of the resolution of the McDonald's Defendants a strategic and issues raised in unfair business advantage by allowing their motion, and competitors a detailed and firsthand they have not account of the key business strategies shown a concrete and profit-driving factors considered likelihood of and offered as optional guidance competitive harm exclusively to franchisees of from disclosure of McDonald's USA. See Vaghani the specific Declaration, ¶ 8. portions that they seek to file under seal. 2 3:13-25; 6:17-7:7; 7:14-8:3; Declaration of John Gordon in Denied. FN 16; 13:13-23; FN Support of Plaintiffs' Opposition to 26 the McDonald's Defendants Motion for Summary Judgment (Dkt. No. 190). This portion of the Gordon Declaration cites to and describes in detail the contents of McDonald's USA's National Franchising Standards, disclosure of which would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA. See Vaghani Declaration, ¶ 8. 3 Portions directly citing to Chart of Business Review Documents Denied. Business Review (Exhibit A to the Declaration of Reports, Recap Letters Carlina Perna). Exhibit A to the Perna and Operations Reviews. Declaration cites directly to Exhibits 49, 50, 51, 52, 53, 143 to the Pitts Declaration and Exhibits 122 and 123 to the Perna Declaration. This information contains specific on Smith business operations and suggested guidance from McDonald's USA on how to maximize profits. Disclosure of this document would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA during the interactive business review process See Vaghani Declaration ¶ 7. 4 Entire Document. Full Operations Review Report Denied. (Exhibit B to the Declaration of Carlina Perna). Exhibit B contains specific information on Smith business operations and suggested guidance from McDonald's USA on how to maximize profits. Disclosure of this document would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA during the interactive operations review process See Vaghani Declaration ¶ 7. 5 Entire Document. ROIP Performance Matrix — QSCP Denied. List, Full and Short Operations Review Reports (Exhibit 122 to the Declaration of Carlina Perna). Exhibit 122 contains specific information on Smith business operations and suggested guidance from McDonald's USA on how to maximize profits. Disclosure of this document would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA during the interactive operations review process See Vaghani Declaration ¶ 7. 6 Entire Document. QSCP Matrix, Full and Short Denied. Operations Review Reports (Exhibit 123 to the Declaration of Carlina Perna). Exhibit 123 contains specific information on Smith business operations and suggested guidance from McDonald's USA on how to maximize profits. Disclosure of this document would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA during the interactive operations review process See Vaghani Declaration ¶ 7. 7 139:18; 139:23 Portions of Deposition Transcript of Granted. Guadalupe Ortega (Exhibit B to the Declaration of Casey Pitts). This portion of the Guadalupe Ortega deposition transcript includes the name of an individual who is not a party to this lawsuit and has not consented to the public disclosure of her employment information. See Smith Declaration, ¶ 5. This Court previously sealed this material in its June 5, 2015 Order. (Dkt. No. 155). 8 161:15-21; 164:7-11; Portions of Deposition Transcript of Denied. 168:1-25; 170:1-25; Bruce Steinhilper (Exhibit C to the 172:17-21 Declaration of Casey Pitts). This portion of the Steinhilper transcript cites to and describes in detail the contents of disclosure of which would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA. See Vaghani Declaration, ¶ 7. 9 103:4-104:22; 115:1-116:22; Portions of the Deposition Transcript Denied. 124:11-22; of Daniel Gehret (Exhibit H to the 133:3-22 Declaration of Casey Pitts). This portion of the Gehret transcript cites to and describes in detail the contents of McDonald's USA's National Franchising Standards, disclosure of which would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA. See Vaghani Declaration, ¶ 7. 10 90:22-91:6; 99:7-16; Portions of the Deposition Transcript Denied. 103:2-8; 103:22-24; of Ed Smith (Exhibit I to the 132:18-24 Declaration of Casey Pitts). This portion of the Smith transcript cites to and describes in detail the contents of McDonald's USA's National Franchising Standards, disclosure of which would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA. See Vaghani Declaration, ¶ 7. 11 Response to Special Smith Family Partnership Responses Granted. Interrogatory No. 2 to Plaintiff Ernestina Sandoval's (2:19-2:26, 3:4-5:20); Special Interrogatories, Set One Response to Special (Exhibit J to the Declaration of Casey Interrogatory No. 10 Pitts). These portions of the Smith (10:10-18; 10:20-13:7; Interrogatory Responses list the names 13:14-13:17); Exhibit A of Smith and McDonald's employees. (only with respect to the These individuals are not parties to this names and employee lawsuit and have not consented to the number columns). public disclosure of their personal information related to their employment. See Smith Declaration, ¶ 5. This Court previously sealed this material in its June 5, 2015 Order. (Dkt. No. 155). 12 Employee names and Time Punch Change Approval Report Granted. employee ID numbers. (Exhibit 22 to the Declaration of Casey Pitts). Exhibit 22 includes the names and employee ID numbers of Smith employees. These individuals have not consented to the public disclosure of this information. See Smith Declaration, ¶ 5. This Court previously sealed this material in its June 5, 2015 Order. (Dkt. No. 155). 13 Employee names and Daily Crew Schedule report (Exhibit Granted. employee ID numbers. 47 to the Declaration of Casey Pitts). Exhibit 47 includes the names and employee ID numbers of Smith employees. These individuals have not consented to the public disclosure of this information. See Smith Declaration, ¶ 5. This Court previously sealed this material in its June 5, 2015 Order. (Dkt. No. 155). 14 Entire Document. Business Review Report (Exhibit 49 Denied. Although to the Declaration of Casey Pitts). the Court Exhibit 49 is a Business Review Report previously held that containing specifics on Smith business there was good operations and suggested guidance from cause to seal similar McDonald's USA as how to maximize documents, the profits. Disclosure of the information Court finds that contained in this document would they are not provide competitors of the McDonald's sealable under the Defendants a strategic and unfair more stringent business advantage by allowing standard applicable competitors a detailed and firsthand to requests to seal account of the key business strategies associated with and profit-driving factors considered and offered as optional guidance exclusively to franchisees of dispositive motions. McDonald's USA during the interactive business review process. See Vaghani Declaration, ¶ 6. This Court previously sealed Business Review Reports in its June 5, 2015 Order. (Dkt. No. 155). 15 Contents of letter. Business Review Report Recap Letter Denied. (Exhibit 50 to the Declaration of Casey Pitts). Exhibit 50 is a communication between McDonald's USA and Smith contains specifics on Smith business operations and suggested guidance from McDonald's USA as how to maximize profits. Disclosure of the information contained in this document would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA during the interactive business review process. See Vaghani Declaration ¶ 6. This Court previously sealed Business Review Recap Letters in its June 5, 2015 Order. (Dkt. No. 155). 16 Entire Document. Business Review Report (Exhibit 51 Denied. to the Declaration of Casey Pitts). Exhibit 51 is a Business Review Report containing specifics on Smith business operations and suggested guidance from McDonald's USA as how to maximize profits. Disclosure of the information contained in this document would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA during the interactive business review process. See Vaghani Declaration, ¶ 6. This Court previously sealed Business Review Reports in its June 5, 2015 Order. (Dkt. No. 155). 17 Entire Document. Business Review Report (Exhibit 52 Denied. to the Declaration of Casey Pitts). Exhibit 52 is a Business Review Report containing specifics on Smith business operations and suggested guidance from McDonald's USA as how to maximize profits. Disclosure of the information contained in this document would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA during the interactive business review process. See Vaghani Declaration, ¶ 6. This Court previously sealed Business Review Reports in its June 5, 2015 Order. (Dkt. No. 155). 18 Contents of letter. Business Review Report Recap Letter Denied. (Exhibit 53 to the Declaration of Casey Pitts). Exhibit 53 is a communication between McDonald's USA and Smith contains specifics on Smith business operations and suggested guidance from McDonald's USA as how to maximize profits. Disclosure of the information contained in this document would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA during the interactive business review process. See Vaghani Declaration ¶ 6. This Court previously sealed Business Review Recap Letters in its June 5, 2015 Order. (Dkt. No. 155). 19 Data in report. Labor Analysis Summary Report Granted as to the (Exhibit 69 to the Declaration of specific numbers, Casey Pitts). Exhibit 69 includes but otherwise specific financial data, including sales denied. information. This infomation is not publicly avaiable and could not be recreated from public avaiable sources. See Smith Declaration, ¶ 6. 20. Data in report. Daily Activity Report (Exhibit 71 to Granted, except as the Declaration of Casey Pitts). to the First bullet Exhibit 71 includes specific financial point. data includes sales information See Smith Declaration ¶ 6. This Court previously sealed this material in its June 5, 2015 Order. (Dkt. No. 155). 21 Entire Document QSC PlayBook (Exhibit 106 to the Denied. Declaration of Casey Pitts). This Exhibit is Version 7.0 of the QSC Playbook. Disclosure of the information contained in this document would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA during the interactive business review process. See Vaghani Declaration, ¶ 6. 22 Entire Document National Franchising Standards Denied. (Exhibit 107 to the Declaration of Casey Pitts). This Exhibit is McDonald's USA's National Franchising Standards, disclosure of which would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA. See Vaghani Declaration, ¶ 6. 23 Entire Document. National Franchising Standards Denied. (Exhibit 109 to the Declaration of Casey Pitts; Exhibit 3 to the Declaration of John Gordon). This Exhibit is McDonald's USA's National Franchising Standards, disclosure of which would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA. See Vaghani Declaration, ¶ 6. 24 Entire Document. Improvement Process for Denied. Underperforming Restaurants & Related Documents (Exhibit 112 to the Declaration of Casey Pitts). This Exhibit includes specific details regarding McDonald's USA's Improvement Process for Underperforming Restaurants, disclosure of which would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA. See Vaghani Declaration, ¶ 6. 25 Employee names and Time Punch Change Approval Report Granted. employee ID numbers. (Exhibit 129 to the Declaration of Casey Pitts). Exhibit 129 includes the names and employee ID numbers of Smith employees. These individuals have not consented to the public disclosure of this information. See Smith Declaration, ¶ 5. This Court previously sealed this material in its June 5, 2015 Order. (Dkt. No. 155). 26 Employee names and Time Punch Change Approval Report Granted. employee ID numbers. (Exhibit 130 to the Declaration of Casey Pitts). Exhibit 130 includes the names and employee ID numbers of Smith employees. These individuals have not consented to the public disclosure of this information. See Smith Declaration, ¶ 5. This Court previously sealed this material in its June 5, 2015 Order. (Dkt. No. 155). 27 Sales data and employee Focus on Service Daily Report Granted. names. (Exhibit 131 to the Declaration of Casey Pitts). Exhibit 131 describes in detail confidential Smith business records and data related to the daily operations of the restaurant as well as employee names. These individuals are not parties to this action and have not consented to the public disclosure of this information. The information sought to be sealed is not available to the public and could not be recreated from publicly available sources. This confidential report contains detailed sales data and related information regarding the daily operations of a Smith restaurant. The information in this report (e.g., sales data, order data, transaction time, etc.), has commercial value to competitors and would provide them with an unfair business advantage. See Smith Declaration, ¶ 6. 28 Entire Document. Visit Preparation Report (Exhibit 142 Denied. to the Declaration of Casey Pitts). Exhibit 142 contains specific information on Smith business operations and suggested guidance from McDonald's USA on how to maximize profits. Disclosure of this document would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA during the interactive operations review process See Vaghani Declaration ¶ 7. 29 Entire Document. Full Operations Review Report Denied. (Exhibit 143 to the Declaration of Casey Pitts). Exhibit 143 contains specific information on Smith business operations and suggested guidance from McDonald's USA on how to maximize profits. Disclosure of this document would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA during the interactive operations review process See Vaghani Declaration ¶ 7. 30 Entire Report. Full Operations Review Report Denied. (Exhibit 144 to the Declaration of Casey Pitts). Exhibit 144 contains specific information on Smith business operations and suggested guidance from McDonald's USA on how to maximize profits. Disclosure of this document would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA during the interactive operations review process See Vaghani Declaration ¶ 7. 31 Entire Report. Action Plan Report (Exhibit 145 to Denied. the Declaration of Casey Pitts). Exhibit 145 contains specific information on Smith business operations and suggested guidance from McDonald's USA on how to maximize profits. Disclosure of this document would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA during the interactive operations review process. See Vaghani Declaration ¶ 7. 32 Sales data. Crew Size Planning Matrix (Exhibit Granted. 206 to the Declaration of Casey Pitts). Exhibit 206 describes in detail confidential Smith business records and data related to the daily operations of the restaurant. The information sought to be sealed is not available to the public and could not be recreated from publicly available sources. This confidential report contains detailed sales data and related information regarding the daily operations of a Smith restaurant. The information in this report (e.g., sales data, order data, transaction time, etc.), has commercial value to competitors and would provide them with an unfair business advantage. See Smith Declaration, ¶ 6. 33 Employee names and Spreadsheet of LMS Completion Date Granted. employee ID numbers. by Employee (Exhibit 243 to the Declaration of Casey Pitts). Exhibit 243 includes the names and employee ID numbers of Smith employees. These individuals have not consented to the public disclosure of this information. See Smith Declaration, ¶ 5. This Court previously sealed this material in its June 5, 2015 Order. (Dkt. No. 155). 34 Contents of email. Email from J. Watt to S. Dubois Denied. (Exhibit 265 to the Declaration of Casey Pitts). Exhibit 265 is an internal email between McDonald's employees and U.S. owner-operators. The contents of this email contain information related to resources offered to franchisees, such as Smith, in the context of employee engagement, including sensitive information regarding McDonald's strategies in response to employee engagement. See Vaghani Declaration, ¶ 6. 35 Contents of email and Email from E. DeLuna to Owner-Operators Denied. attachments. (Exhibit 266 to the Declaration of Casey Pitts). Exhibit 265 is an internal email between a McDonald's employee and U.S. owner-operators. The contents of this email contain information related to resources offered to franchisees, such as Smith, in the context of employee engagement, including sensitive information regarding McDonald's strategies in response to employee engagement. See Vaghani Declaration, ¶ 6. 36 Consents of letter. Business Review Report Recap Letter Denied. (Exhibit 296 to the Declaration of Casey Pitts). Exhibit 296 is a communication between McDonald's USA and Smith contains specifics on Smith business operations and suggested guidance from McDonald's USA as how to maximize profits. Disclosure of the information contained in this document would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA during the interactive business review process. See Vaghani Declaration ¶ 6. This Court previously sealed Business Review Recap Letters in its June 5, 2015 Order. (Dkt. No. 155). 37 Entire Document. National Restaurant Building and Denied. Equipment Standards for Traditional Restaurants FAQs (Exhibit 324 to the Pitts Declaration). This Exhibit includes specific details regarding the National Restaurant Building and Equipment Standards, disclosure of which would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA. See Vaghani Declaration, ¶ 6. 38 Entire Document. National Restaurant Building and Denied. Equipment Standards for Traditional Restaurants (Exhibit 325 to the Declaration of Casey Pitts). This Exhibit includes specific details regarding the National Restaurant Building and Equipment Standards, disclosure of which would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA. See Vaghani Declaration, ¶ 6. 39 Entire Document. National Franchising Standards Denied. FAQs (Exhibit 344 to the Declaration of Casey Pitts). This Exhibit includes specific details regarding McDonald's USA's National Franchising Standards, disclosure of which would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA. See Vaghani Declaration, ¶ 6.

C. Dkt. No. 227

Although defendants filed a statement of non-opposition at Dkt. No. 238 agreeing that Plaintiffs' Motion for Partial Summary Judgment on Miscalculated Wages and Daily Overtime Violations and Derivative Claims and Exhibits A, B, D, 310, and 311 to the Declaration of Abigail E. Shafroth in Support of the Motion, can be filed in the public record, it appears that unredacted versions have not been filed in the public record. The parties are directed to file unredacted versions of these documents within 7 days of this order.

D. Dkt. No. 232

Tab Exact Portions to be Defendants' Reason for Sealing Grant or Denial of Sealed Request 1 4:11-18 McDonald's Defendants Reply Brief Denied. in Support of Motion for Summary Judgment. This portion of the McDonald's Defendants' Reply cites to and describes in detail the contents of McDonald's USA's National Franchising Standards and internal business review process, disclosure of which would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA. See Vaghani Declaration, ¶ 8. 2 216:8-13; 216:23-217:13 Portions of Deposition Transcript of Denied. Steve Dubois (Exhibit H to the Declaration of Elizabeth B. McRee). This portion of the Steve Dubois transcript cites to and describes in detail the contents of optional advice offered by McDonald's USA to Smith during the operations review process, disclosure of which would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA. See Vaghani Declaration, ¶ 7. 3 Entire Document Exhibit 49 to the Declaration of Denied. Elizabeth B. McRee (Business Review Report — February 27, 2012). Exhibit 49 is a Business Review Report containing specifics on Smith business operations and suggested guidance from McDonald's USA as how to maximize profits. Disclosure of the information contained in this document would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA during the interactive business review process. See Vaghani Declaration, ¶ 6. This Court previously sealed Business Review Reports in its June 5, 2015 Order. (Dkt. No. 155). 4 Entire Document Exhibit 51 to the Declaration of Denied. Elizabeth B. McRee (Business Review Report — April 28, 2010). Exhibit 51 is a Business Review Report containing specifics on Smith business operations and suggested guidance from McDonald's USA as how to maximize profits. Disclosure of the information contained in this document would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA during the interactive business review process. See Vaghani Declaration, ¶ 6. This Court previously sealed Business Review Reports in its June 5, 2015 Order. (Dkt. No. 155). 5 Entire Document Exhibit 52 to the Declaration of Denied. Elizabeth B. McRee (Business Review Report — January 22, 2014). Exhibit 52 is a Business Review Report containing specifics on Smith business operations and suggested guidance from McDonald's USA as how to maximize profits. Disclosure of the information contained in this document would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA during the interactive business review process. See Vaghani Declaration, ¶ 6. This Court previously sealed Business Review Reports in its June 5, 2015 Order. (Dkt. No. 155). 6 McDonald's USA's Exhibit 106 to the Declaration of Denied. internal business Elizabeth B. McRee (QSC PlayBook). strategies Exhibit 106 is Version 7.0 of the QSC Playbook. Disclosure of the information contained in this document would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA during the interactive business review process. See Vaghani Declaration, ¶ 6. 7 Entire Document Exhibit 107 to the Declaration of Denied. Elizabeth B. McRee (National Franchising Standards). Exhibit 107 is McDonald's USA's National Franchising Standards, disclosure of which would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA. See Vaghani Declaration, ¶ 6. 8 Entire Document Exhibit 109 to the Declaration of Denied. Elizabeth B. McRee (National Franchising Standards). Exhibit 109 is McDonald's USA's National Franchising Standards, disclosure of which would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA. See Vaghani Declaration, ¶ 6. 9 Entire Document. Exhibit 122 to the Declaration of Denied. Elizabeth B. McRee (ROIP Performance Matrix — QSCP List, Full and Short Operations Review Reports). Exhibit 122 contains specific information on Smith business operations and suggested guidance from McDonald's USA on how to maximize profits. Disclosure of this document would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA during the interactive operations review process See Vaghani Declaration ¶ 6. 10 Entire Document Exhibit 123 to the Declaration of Denied. Elizabeth B. McRee (QSCP Matrix, Full and Short Operations Review Reports). Exhibit 123 contains specific information on Smith business operations and suggested guidance from McDonald's USA on how to maximize profits. Disclosure of this document would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as optional guidance exclusively to franchisees of McDonald's USA during the interactive operations review process See Vaghani Declaration ¶ 6. 11 Entire Document Exhibit 325 to the Declaration of Denied. Elizabeth B. McRee (National Restaurant Building and Equipment Standards for Traditional Restaurants). Exhibit 325 includes specific details regarding the National Restaurant Building and Equipment Standards, disclosure of which would provide competitors of the McDonald's Defendants a strategic and unfair business advantage by allowing competitors a detailed and firsthand account of the key business strategies and profit-driving factors considered and offered as guidance exclusively to franchisees of McDonald's USA. See Vaghani Declaration, ¶ 6.

III. CONCLUSION

Pursuant to Civil Local Rule 79-5(f), the parties must file revised documents comporting with this order within 7 days if they wish the Court to consider the documents sought to be sealed. In addition, the Court requests that the parties jointly lodge binders of Plaintiffs' Response to the McDonald's Defendants' Motion for Summary Judgment, see Dkt. No. 183, and the McDonald's Defendants' Reply, see Dkt. No. 229, including unredacted copies of any associated declarations and exhibits.

IT IS SO ORDERED.

Source:  Leagle

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