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Case 2:20-cv-07872-GW-PVC Document 441 Filed 05/17/24 Page 1 of 4 Page ID #:53880
`
`
`
`QUINN EMANUEL URQUHART
` & SULLIVAN, LLP
`James R. Asperger (Bar No. 83188)
`jimasperger@quinnemanuel.com
`Rachael McCracken
`rachaelmccracken@quinnemanuel.com
`865 South Figueroa Street, 10th Floor
`Los Angeles, CA 90017-2543
`Telephone: (213) 443-3000
`Facsimile: (213) 443-3100
`
`QUINN EMANUEL URQUHART
` & SULLIVAN, LLP
`Kevin P.B. Johnson (Bar No. 177129)
`kevinjohnson@quinnemanuel.com
`Todd M. Briggs (Bar No. 209282)
`toddbriggs@quinnemanuel.com
`Brice C. Lynch (Bar No. 288567)
`bricelynch@quinnemanuel.com
`555 Twin Dolphin Drive, 5th Floor
`Redwood Shores, California 94065
`Telephone: (650) 801-5000
`Facsimile: (650) 801-5100
`
`QUINN EMANUEL URQUHART
` & SULLIVAN, LLP
`Eric Huang (pro hac vice)
`erichuang@quinnemanuel.com
`51 Madison Avenue, 22nd Floor
`New York, New York 10010
`Telephone: (212) 849-7000
`Facsimile: (212) 849-7100
`
`Attorneys for Plaintiffs
`NANTWORKS, LLC and NANT HOLDINGS IP, LLC
`
`
`
`
`UNITED STATES DISTRICT COURT
`
`FOR THE CENTRAL DISTRICT OF CALIFORNIA
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`NANTWORKS, LLC, a Delaware
`limited liability company, and NANT
`HOLDINGS IP, LLC, a Delaware
`limited liability company,
`
`
`Plaintiffs,
`
`
`BANK OF AMERICA
`CORPORATION, a Delaware
`corporation, and BANK OF
`AMERICA, N.A., a national banking
`association,
`
`
`vs.
`
`Defendants.
`
`
` CASE NO. 2:20-cv-7872-GW-PVC
`
`PLAINTIFFS’ APPLICATION TO
`FILE DOCUMENTS UNDER SEAL
`
`
`Judge: Hon. George H. Wu
`Ctrm: 9D
`
`
`Case No. 2:20-cv-7872-GW-PVC
`PLAINTIFFS’ APPLICATION TO FILE DOCUMENTS UNDER SEAL
`
`
`
`
`
`
`
`
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`
`
`

`

`Case 2:20-cv-07872-GW-PVC Document 441 Filed 05/17/24 Page 2 of 4 Page ID #:53881
`
`
`
`
`PLEASE TAKE NOTICE that pursuant to Civil Local Rule 79-5, Plaintiffs
`
`NantWorks, LLC, and Nant Holdings IP, LLC (collectively, “NantWorks”),
`
`respectfully submit this application to the Court for an order sealing the materials
`
`described below that are filed in connection with Plaintiffs’ Opposition to Defendants’
`
`Motion to Strike Certain Opinions in Dr. Schonfeld’s Opening Expert Report
`
`Regarding Infringement. This application pertains to the following items:
` Plaintiffs’ Opposition to Defendants’ Motion to Strike Certain Opinions
`in Dr. Schonfeld’s Opening Expert Report Regarding Infringement (the
`
`“Opposition to Motion to Strike”);
` Exhibits 1-2, 4-6, and 8-9 to the Declaration of Brice C. Lynch in Support
`of Plaintiffs’ Opposition to Motion to Strike.
`
`
`
`
`
`As set forth in the Declaration of Brice C. Lynch in Support of Plaintiffs’
`
`Application to File Under Seal submitted herewith, the material described above are:
`
`a) the deposition transcript of Charles Christopher Harbinson, dated October 19,
`
`2023, which was designated “Contains Confidential Attorney Eyes Only
`
`Material”;
`
`b) the Expert Report of James Storer served on January 30, 2024, which was
`
`designated “Highly Confidential – Attorney Eyes Only”;
`
`c) the deposition transcript of Pavan Chayanam dated October 10, 2023, which
`
`was designated “Highly Confidential Attorneys’ Eyes Only” and “Contains
`
`Highly Confidential Source Code”;
`
`d) the deposition transcript of Fred Fortaleza Fernandez, Jr. dated November 16,
`
`2023, which was designated “Highly Confidential – Attorney Eyes Only” and
`
`“Highly Confidential Source Code”;
`
`e) a copy of the letter correspondence from counsel for defendants, Danielle T.
`
`Williams, to me dated February 23, 2024, which was designated as “Highly
`
`Confidential – Attorney’s Eyes Only”;
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`-1-
`Case No. 2:20-cv-7872-GW-PVC
`PLAINTIFFS’ APPLICATION TO FILE DOCUMENTS UNDER SEAL
`
`

`

`Case 2:20-cv-07872-GW-PVC Document 441 Filed 05/17/24 Page 3 of 4 Page ID #:53882
`
`
`f) the Expert Report of Patrick F. Kennedy, Ph.D, dated January 30, 2024, which
`
`was designated as “CONFIDENTIAL – ATTORNEYS’ EYES ONLY”;
`
`g) the deposition transcript of Dr. Dan Schonfeld, dated April 10-11, 2024, which
`
`was designated “Highly Confidential, Attorneys’ Eyes Only.”
`
`h) Plaintiffs’ Opposition to Defendants’ Motion to Strike Certain Opinions in Dr.
`
`Schonfeld’s Opening Expert Report Regarding Infringement, submitted
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`contemporaneously herewith, which contains quotations from, references to,
`
`and descriptions of statements made in the documents referenced above in (a)-
`
`(g).
`
`
`
`Pursuant to L.R. 79-5.2.2, NantWorks conferred with BoA and BoA
`
`confirmed that they do not object sealing these materials to be filed with NantWorks’
`
`Opposition to Motion to Strike.
`
`
`
`Accordingly, NantWorks respectfully requests for an order permitting that the
`
`following documents be filed under seal:
`
`i. Plaintiffs’ Opposition to Motion to Strike;
`
`ii. Exhibits 1-2, 4-6, and 8-9 to the Declaration of Brice C. Lynch in
`
`Support of Plaintiffs’ Opposition Motion to Strike
`
`
`
`
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`
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`-2-
`Case No. 2:20-cv-7872-GW-PVC
`PLAINTIFFS’ APPLICATION TO FILE DOCUMENTS UNDER SEAL
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`Case 2:20-cv-07872-GW-PVC Document 441 Filed 05/17/24 Page 4 of 4 Page ID #:53883
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`
`DATED: May 17, 2024
`
`
`
`
`
`
`
`
`Respectfully submitted,
`
`QUINN EMANUEL URQUHART &
`SULLIVAN, LLP
`
`By
`/s/ Todd M. Briggs
`James R. Asperger
`Kevin P.B. Johnson
`Todd M. Briggs
`Eric Huang
`Brice C. Lynch
`
`Attorneys for Plaintiff, NANTWORKS,
`LLC and NANT HOLDINGS IP, LLC
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`-3-
`Case No. 2:20-cv-7872-GW-PVC
`PLAINTIFFS’ APPLICATION TO FILE DOCUMENTS UNDER SEAL
`
`

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