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Hostway Corporation v. IAC Search & Media, Inc. Doc.

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Case 3:07-cv-03759-JCS Document 18 Filed 07/25/2007 Page 1 of 2

1 DOUGLAS L. HENDRICKS (CA SBN 83611)


DHendricks@mofo.com
2 ELIZABETH O. GILL (CA SBN 218311)
EGill@mofo.com
3 MORRISON & FOERSTER LLP
425 Market Street
4 San Francisco, California 94105-2482
Telephone: 415.268.7000
5 Facsimile: 415.268.7522

6 Attorneys for Defendant


IAC SEARCH & MEDIA, INC.
7

8 UNITED STATES DISTRICT COURT


9 NORTHERN DISTRICT OF CALIFORNIA
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11 HOSTWAY CORPORATION, an Illinois Case No. C 07-3759 JCS


Corporation,,
12 DEFENDANT IAC SEARCH &
Plaintiff, MEDIA, INC.’S
13 ADMINISTRATIVE MOTION
v. PURSUANT TO CIVIL L.R. 79-5
14 TO FILE DOCUMENTS UNDER
IAC SEARCH & MEDIA, INC., a Delaware SEAL
15 Corporation,
Date: July 27, 2007
16 Defendant. Time: 3:30 p.m.
Place: Courtroom A, 15th Floor
17 The Hon. Joseph C. Spero

18 Complaint filed: July 23, 2007

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DEFENDANT’S ADMINISTRATIVE MOTION TO SEAL
Case No. C 07-3759 JCS 1
sf-2361964
Dockets.Justia.com
Case 3:07-cv-03759-JCS Document 18 Filed 07/25/2007 Page 2 of 2

1 ADMINISTRATIVE MOTION TO SEAL

2 Pursuant to Local Rules 7-11 and 79-5, defendant IAC Search & Media, Inc. (“Ask”)

3 hereby moves to seal documents filed in connection with plaintiff Hostway Corporation’s Motion

4 for Temporary Restraining Order.

5 As set forth in the Declaration of Andrew Moers in support of Defendant’s Administrative

6 Motion to Seal, the documents are confidential, and defendant respectfully requests that the Court

7 file them under seal:

8 (1) Complaint for Breach of Contract, Injunctive Relief, and Damages, Exhibit 1

9 (Advertising Services and Search Services Syndication Agreement, March 2,

10 2007); and

11 (2) Declaration of Namit Merchant In Support of Plaintiff Hostway Corporation’s

12 Motion for Temporary Restraining Order, Exhibit 1 (Advertising Services and

13 Search Services Syndication Agreement, March 2, 2007); and

14 (3) Declaration of Dmitry Ryaboy In Support of Defendant IAC Search & Media,

15 Inc.’s Opposition to Plaintiff’s Motion for Temporary Restraining Order.

16 In addition, as required by Local Rule 7-11 and as set forth in the Declaration of Douglas

17 L. Hendricks in support of Defendant’s Administrative Motion to Seal, counsel for Ask contacted

18 counsel for Hostway regarding Hostway’s stipulation to Ask’s Administrative Motion to Seal, but

19 counsel for Ask did not receive any response to its request.

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21 Dated: July 25, 2007 DOUGLAS L. HENDRICKS
ELIZABETH O. GILL
22 MORRISON & FOERSTER LLP
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24 By: /s/ Douglas L. Hendricks


Douglas L. Hendricks
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Attorneys for Defendant
26 IAC SEARCH & MEDIA, INC.
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DEFENDANT’S ADMINISTRATIVE MOTION TO SEAL
Case No. C 07-3759 JCS 1
sf-2361964

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