`
`Charles M. Lizza
`William C. Baton
`SAUL EWING LLP
`One Riverfront Plaza, Suite 1520
`Newark, New Jersey 07102-5426
`(973) 286-6700
`clizza@saul.com
`
`Attorneys for Plaintiff
`Jazz Pharmaceuticals, Inc.
`
`UNITED STATES DISTRICT COURT
`DISTRICT OF NEW JERSEY
`
`JAZZ PHARMACEUTICALS, INC.,
`
`Plaintiff,
`
`v.
`
`AMNEAL PHARMACEUTICALS, LLC, et
`al.,
`
`Defendants.
`
`Civil Action No. 13-391 (ES)(JAD)
`(Consolidated)
`
`(Filed Electronically)
`
`ORDER TO SEAL CERTAIN MATERIALS PURSUANT TO L. CIV. R. 5.3
`
`THIS MATTER, having been brought before the Court on Defendant Par
`
`Pharmaceutical, Inc.'s ("Par") Motion to Seal (D.I. 210) Pursuant to L. Civ. R. 5.3; and the Court
`
`having considered the submissions of the parties in connection with the motion; and the Court
`
`having considered the factors contained in L. Civ. R. 5.3(c)(2), the Court makes the following
`
`Findings of Fact and Conclusions of Law:
`
`• Par's January 19, 2016 letter and exhibits to the Hon. Joseph A. Dickson,
`
`U.S.M.J. (D.I. 205) (hereinafter, the "Confidential Materials") contain
`
`confidential technical and business information that has been designated as
`
`"HIGHLY CONFIDENTIAL-SUBJECT TO DISCOVERY
`
`
`
`Case 2:13-cv-00391-ES-JAD Document 250 Filed 03/29/16 Page 2 of 2 PageID: 4867
`
`CONFIDENTIALITY ORDER" by Jazz under the Discovery Confidentiality
`
`Order entered in this case (D.I. 144).
`
`•
`
`Jazz has a legitimate interest in protecting the confidentiality of its trade secret
`
`and other confidential research, development, commercial and technical
`
`information.
`
`• Public disclosure of this information would cause Jazz significant harm because
`
`public disclosure of this trade secret and other confidential research, development,
`
`commercial, and technical information would provide the public insight into the
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`business and operations of Jazz, their processes in considering and developing its
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`proprietary technology, and would give competitors an unfair advantage.
`
`• Par's requested sealing is the least restrictive alternative because it includes only
`
`the Confidential Materials, which contain confidential technical and business
`
`information that has been designated by Jazz as "HIGHLY CONFIDENTIAL-
`~ .\-~c (o....-t w dt {ett.v.ae Tr,.-z.I...
`SUBJECT TO DISCOVERY CONFIDENTIALITY ORDER/'~ 5..,i,,,..,t- a ~rofd<'~ reJ.-..c+teJ vrC$k,
`o-(l-~c (tl\6' if\<(..VC-S-110""\ .
`WHEREFORE, the Court having found that there ar~ legitimate public and private
`~+~+~ P«-+16 l'\1wc col/c·clA.,117
`~ .. +1~+1c-.J +'1e
`.
`C€1(, .. ife.,..t<1f., of L.,cc.l ( 'vll Ruf., S, 5
`•
`•
`•
`mterests which warrant the rehef sought~ and for good cause shown:
`'
`J
`~~
`IT IS ON THIS 'tl~-- day of~°"£ tb
`
`, 2016 ORDERED THAT:
`
`I
`
`Portions of Par's January 19, 2016 Letter to the Honorable Joseph A. Dickson, U.S.M.J.
`
`are hereby SEALED.
`
`IT IS FURTHER ORDERED that within 14 days of the entry of this Order, Jazz shall file
`
`on the public docket a copy of Par's letter (D.I. 205) with Jazz's confidential information
`
`redacted from the letter.
`
`Hon.2.~.M.J
`
`- 2 -
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`