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Case 5:15-cv-02008-EJD Document 84 Filed 04/13/16 Page 1 of 3
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`GEORGE A. RILEY (S.B. #118304)
`griley@omm.com
`LUANN L. SIMMONS (S.B. #203526)
`lsimmons@omm.com
`MELODY DRUMMOND HANSEN (S.B. #278786)
`mdrummondhansen@omm.com
`O’MELVENY & MYERS LLP
`Two Embarcadero Center, 28th Floor
`San Francisco, California 94111-3823
`Telephone:
`(415) 984-8700
`Facsimile:
`(415) 984-8701
`
`RYAN K. YAGURA (S.B. #197619)
`ryagura@omm.com
`XIN-YI ZHOU (S.B. #251969)
`vzhou@omm.com
`BRIAN M. COOK (S.B. #266181)
`bcook@omm.com
`KEVIN MURRAY (S.B. #275186)
`kmurray2@omm.com
`O’MELVENY & MYERS LLP
`400 South Hope Street
`Los Angeles, California 90071-2899
`Telephone:
`(213) 430-6000
`Facsimile:
`(213) 430-6407
`Attorneys for Defendant Apple Inc.
`
`
`UNITED STATES DISTRICT COURT
`
`NORTHERN DISTRICT OF CALIFORNIA
`
`SAN JOSE
`
`OpenTV, Inc., Nagravision, SA, and Nagra
`France S.A.S.,
`
`Plaintiffs,
`
`Case No. 5:15-CV-02008-EJD
`
`APPLE, INC.’S ADMINISTRATIVE
`MOTION TO FILE UNDER SEAL
`DEFENDANT’S MOTION TO
`PRECLUDE AND CERTAIN
`SUPPORTING EXHIBITS
`
`Defendant.
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`APPLE ADMIN. MOTION TO FILE UNDER SEAL
`3:14-CV-02008-EJD
`
`v.
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`Apple Inc.,
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`Case 5:15-cv-02008-EJD Document 84 Filed 04/13/16 Page 2 of 3
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`Pursuant to Civil L.R. 79-5 (d) and (e), Defendant Apple, Inc. (“Apple”) hereby files this
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`administrative motion to file under seal portions of “Defendant’s Motion to Preclude Reliance on
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`Certain Invention Dates and to Strike Certain Allegations” (“Motion to Preclude”), as well as
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`supporting Exhibits 2, 7, and 8, filed herewith.
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`Apple brings this motion because the Motion to Preclude and Exhibits 2, 7, and 8 contain
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`information designated “Highly Confidential - Attorneys’ Eyes Only” by Plaintiffs.
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`O’MELVENY & MYERS LLP
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`By:
`
`
`/s/ Melody Drummond Hansen
`Melody Drummond Hansen
`
`Attorney for Apple, Inc.
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`
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`
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`- 1 -
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`APPLE ADMIN. MOTION TO FILE UNDER SEAL
`3:14-CV-02008-EJD
`
`A
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`Dated: April 13, 2016
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`Case 5:15-cv-02008-EJD Document 84 Filed 04/13/16 Page 3 of 3
`Case 5:15—cv—O2008—EJD Document 84 Filed 04/13/16 Page 3 of 3
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`CERTIFICATE OF SERVICE
`
`Pursuant to Civil L.R. 5-5 and 79-5(e), I certify that I served the below documents by
`express mail at the address below and electronic mail at the email addresses below upon the
`below recipients on the below date.
`
`Documents:
`
`0 APPLE, INC.’S ADMINISTRATIVE MOTION TO FILE UNDER SEAL
`DEFENDANT’S MOTION TO PRECLUDE AND CERTAIN SUPPORTING
`
`EXHIBITS (attached to this administrative motion)
`0 DEFENDANT’S MOTION TO PRECLUDE RELIANCE ON CERTAIN
`
`INVENTION DATES AND TO STRIKE CERTAIN ALLEGATIONS
`
`(unredacted version) (attached to this administrative motion)
`0 DEFENDANT’S MOTION TO PRECLUDE RELIANCE ON CERTAIN
`
`INVENTION DATES AND TO STRIKE CERTAIN ALLEGATIONS (redacted
`version) (attached to this administrative motion)
`
`0 Unredacted Exhibits 2, 7, 8 (attached to this administrative motion)
`
`Proposed Order (attached to this administrative motion)
`0
`0 Declaration of Melody Drummond Hansen in support of this Administrative
`Motion to Seal (attached to this administrative motion)
`
`Recipient:
`
`- Robert F. MeCauIey; Jacob A. Schroeder; Gerald F. Ivey; Smith R. Brittingham
`IV; Elizabeth A. Niemeyer; John M. Williamson; Aliza A. George; Robert D.
`Wells; Stephen E. Kabakoff
`
`-
`
`FINNEGAN, HENDERSON, FARABOW, GARRETT & DUNNER, LLP 3300
`
`Hillview Avenue Palo Alto, CA 94304-1203
`
`0 Elizabetl’:.Nicmever@finneeancom;O cnTV-A le«2008r?i?aiitneizaimcont
`I
`A‘
`
`Date: April 13, 2016
`
`/
`
`O’Melveny & Myers LLP
`400 S. I-lope St.
`Los Angeles, CA, 90017
`
`/\I’PI.E ADMIN. MOTION TO FILE UNDER SEAL
`3: 14-CV-02008-EJD
`
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