Opinion
7:20-cv-07561
11-11-2021
JOINT MOTION TO SEAL
In accordance with the Court's Individual Practice 5(B), Plaintiffs and Defendants in the above-captioned matter (jointly the “Parties”) seek leave to file Plaintiffs' Exhibits 1-6, and Defendants' Exhibits A-G attached to the Parties' Joint Pre-Motion Letter under seal.
In support of this Motion, the Parties state that the Joint Pre-Motion Letter quotes documents that have been designated as Confidential pursuant to the terms of the Protective Order (Doc. 121) because they disclose sensitive business and corporate financial information. Because these quotations form the basis of the discovery dispute outlined in the Joint Pre-Motion Letter, the Parties submit the documents from which they were drawn to provide the Court the context in which these quotations were made.
For these reasons, the Parties respectfully request that the Court grant the Parties' Motion to Seal Plaintiffs' Exhibits 1-6 and Defendants' Exhibits A-G to the Parties' Joint Pre-Motion Letter.