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ARC of Cal. v. Douglas

UNITED STATES DISTRICT COURT EASTERN DISTRICT OF CALIFORNIA
Jan 15, 2013
Case No. 2:11-CV-02545-MCE-CKD (E.D. Cal. Jan. 15, 2013)

Opinion

Case No. 2:11-CV-02545-MCE-CKD

01-15-2013

THE ARC OF CALIFORNIA; UNITED CEREBRAL PALSY ASSOCIATION OF SAN DIEGO, Plaintiffs/Petitioners, v. TOBY DOUGLAS, in his official capacity as Director of the California Department of Health Care Services; CALIFORNIA DEPARTMENT OF HEALTH CARE SERVICES; TERRI DELGADILLO, in her official capacity as Director of the California Department of Developmental Services; CALIFORNIA DEPARTMENT OF DEVELOPMENTAL SERVICES; and DOES 1-100, inclusive, Defendants/Respondents.

William T. McLaughlin II #116348 Ashley N. Emerzian, #278030 Lang, Richer! & Patch Post Office Box 40012 Fresno, California 93755-0012 Chad Carlock, Cal. Bar # 186184 LAW OFFICES OF CHAD CARLOCK Attorneys for Plaintiffs /Petitioners THE ARC OF CALIFORNIA; UNITED CEREBRAL PALSY ASSOCIATION OF SAN DIEGO


William T. McLaughlin II #116348
Ashley N. Emerzian, #278030
Lang, Richer! & Patch
Post Office Box 40012
Fresno, California 93755-0012
Chad Carlock, Cal. Bar # 186184
LAW OFFICES OF CHAD CARLOCK
Attorneys for Plaintiffs /Petitioners THE ARC OF CALIFORNIA; UNITED CEREBRAL
PALSY ASSOCIATION OF SAN DIEGO

STIPULATION AND ORDER

REGARDING SEALING OF

DOCUMENTS SUBMITTED BY

DEFENDANTS AS EXHIBITS A-C TO

THE DECLARATION OF BRIAN

WINFIELD

The parties hereto, by and through their respective attorneys of record, hereby agree and stipulate to seal Exhibits A-C (ECF No. 90-6 at 1-21) to the declaration of Brian Winfield submitted on December 27, 2012 by Defendants in support of their opposition to Plaintiffs' motion for preliminary injunction. Good cause exists for the sealing of these documents because Plaintiffs' contend they contain private information regarding HCBS-DD waiver consumers and their families. Accordingly, in the interests of justice and fairness, the parties hereby request that the Court order the sealing of the documents contained in Exhibits A-C of the Winfield declaration.

LANG, RICHERT & PATCH, PC.

By: _______________

William T. McLaughlin II

Ashley N. Emerzian

Attorney for Plaintiffs

LAW OFFICES OF CHAD CARLOCK

By: _______________

Chad Carlock

Attorney for Plaintiffs

Kamala D. Harris

Attorney General of California

Niromi W. Pfeiffer

Supervising Deputy Attorney General

Rebecca M. Armstrong

Deputy Attorney General

By: _______________

Niromi W. Pfeiffer

Supervising Deputy Attorney General

Rebecca M. Armstrong

Deputy Attorney General

Attorney for Defendants

ORDER

BASED ON THE ABOVE STIPULATION, and GOOD CAUSE appearing, IT IS HEREBY ORDERED that Exhibits A-C attached to the declaration of Brian Winfield, filed in this action at ECF No. 90-6 pages 1-21 be sealed. The Clerk of Court is directed to seal the entire ECF No. 90-6 and Counsel Rebecca Armstrong is directed to file the unsealed portions of 90-6 as a new document entry.

IT IS SO ORDERED.

______________________________

MORRISON C. ENGLAND, JR., CHIEF JUDGE

UNITED STATES DISTRICT COURT


Summaries of

ARC of Cal. v. Douglas

UNITED STATES DISTRICT COURT EASTERN DISTRICT OF CALIFORNIA
Jan 15, 2013
Case No. 2:11-CV-02545-MCE-CKD (E.D. Cal. Jan. 15, 2013)
Case details for

ARC of Cal. v. Douglas

Case Details

Full title:THE ARC OF CALIFORNIA; UNITED CEREBRAL PALSY ASSOCIATION OF SAN DIEGO…

Court:UNITED STATES DISTRICT COURT EASTERN DISTRICT OF CALIFORNIA

Date published: Jan 15, 2013

Citations

Case No. 2:11-CV-02545-MCE-CKD (E.D. Cal. Jan. 15, 2013)