Andrea Constand v. William H. Cosby, Jr.
Posted: Thu Jul 09, 2015 5:38 am
NOTICE: THIS WORK MAY BE PROTECTED BY COPYRIGHT
IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF PENNSYLVANIA
Andrea Constand, Plaintiff, v. William H. Colby, Jr., Defendant
Civil Action No. 05-1099
ORDER
AND NOW, this 6th day of July, 2015, for the reasons stated in the accompanying memorandum opinion, it is hereby ORDERED as follows:
(1) The Associated Press’s motion to intervene and obtain access to documents filed under seal (ECF No. 99) is GRANTED; [1]
(2) The Clerk of Court shall LIFT the seal on the following documents: ECF Nos. 48, 49, 50, 52, 54, 55, 57, 58, 60, 61, 63, 64, 65, 66, 67, 68;
(3) The motion to admit Joseph Cammarata, Esq., as counsel pro hac vice for proposed Intervenors Green, Serignese, and Traitz (ECF No. 104) is GRANTED; and
(4) The Motion of Tamara Green, Therese Serignese, and Linda Traitz to Intervene and Late-File Memorandum in Support of Lifting Seal (ECF No. 103) is DENIED as moot.
AND IT IS SO ORDERED.
/s/ Eduardo C. Robreno
EDUARDO C. ROBRENO, J.
_______________
Notes:
1 Per the Court’s June 18, 2015, Order (ECF No, 100), the letter from the Associated Press (ECF No. 99) is construed as a motion to intervene and obtain access to documents filed under seal.
_________________________________________________________________________
1. Complaint
19. Plaintiff's Motion to Compel Discovery Responses and to Strike Defendant's General Objections to Plaintiff's First Set of Interrogatories
26. Motion of the Associated Press to Intervene and to File Opposition to Defendant's Motion for Protective Order
48. Plaintiff's Motion Concerning Conduct of Defendant's Deposition and Motion for Sanctions
49. Defendant's Request to Compel and Memorandum Concerning Overarching Issues
50. Plaintiff's Motion to Compel Discovery
52. Defendant's Memorandum in Support of His motion to Strike Plaintiff's "Motion Concerning Conduct of Defendant's Deposition and Motion for Sanctions"
54. (REDACTED) Telephone Conference Before the Honorable Eduardo C. Robreno United States District Court Judge
55. (UNREDACTED) Telephone Conference Before the Honorable Eduardo C. Robreno United States District Court Judge
57. Plaintiff's Reply to defendant's Requests to Compel and Memorandum Concerning Overarching Issues
58. Defendant's Responses to Plaintiff's Motion to Compel and Memorandum Concerning Overarching Issues
60. Plaintiff's Response to Defendant's Motion to Strike Plaintiff's Motion Concerning Conduct of Defendant's Deposition and Motion for Sanctions
61. Plaintiff's Motion to Compel the National Enquirer's Compliance with Subpoena for Document and Request for Expedited Resolution
63. Defendant's Memorandum of Law in Partial Opposition to the Lifting of the Seal Established by Case Management Order 2
64. Defendant's Brief in Opposition to Plaintiff's Motion to Compel the National Enquirer's Compliance with Subpoena for Document and Request for Expedited Resolution
65. Nonparty the National Enquirer's Memorandum of Law in Opposition to Plaintiff's Motion to Compel
66. Plaintiff's Motion for Leave to File Reply Memorandum of Law in Response to Defendant's Memo in Opposition to Plaintiff's Motion to Compel the National Enquirer's Compliance with Subpoena for Documents
67. Plaintiff's Memorandum of Law in Support of the Lifting of the Seal Established by Case Management Order 2
68. Plaintiff's Motion for Leave to File Reply Memorandum of Law in Response to National Enquirer's Memorandum in Opposition to Plaintiff's Motion to Compel Compliance with Subpoena for Documents
99. Letter from Associated Press Counsel to the Honorable Eduardo C. Robreno, dated June 17, 2015
105. Memorandum of Eduardo C. Robreno, J. Re Associated Press's motion to intervene and obtain access to documents filed under seal
106. Order re Associated Press's motion to intervene and obtain access to documents filed under seal
107. Plaintiff's Motion for Injunctive Relief and Other Sanctions for Violations of Confidential Settlement Agreement and Motion to Strike Footnote 5 in Defendant's Brief Filed at Document Number 102
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IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF PENNSYLVANIA
Andrea Constand, Plaintiff, v. William H. Colby, Jr., Defendant
Civil Action No. 05-1099
ORDER
AND NOW, this 6th day of July, 2015, for the reasons stated in the accompanying memorandum opinion, it is hereby ORDERED as follows:
(1) The Associated Press’s motion to intervene and obtain access to documents filed under seal (ECF No. 99) is GRANTED; [1]
(2) The Clerk of Court shall LIFT the seal on the following documents: ECF Nos. 48, 49, 50, 52, 54, 55, 57, 58, 60, 61, 63, 64, 65, 66, 67, 68;
(3) The motion to admit Joseph Cammarata, Esq., as counsel pro hac vice for proposed Intervenors Green, Serignese, and Traitz (ECF No. 104) is GRANTED; and
(4) The Motion of Tamara Green, Therese Serignese, and Linda Traitz to Intervene and Late-File Memorandum in Support of Lifting Seal (ECF No. 103) is DENIED as moot.
AND IT IS SO ORDERED.
/s/ Eduardo C. Robreno
EDUARDO C. ROBRENO, J.
_______________
Notes:
1 Per the Court’s June 18, 2015, Order (ECF No, 100), the letter from the Associated Press (ECF No. 99) is construed as a motion to intervene and obtain access to documents filed under seal.
_________________________________________________________________________
1. Complaint
19. Plaintiff's Motion to Compel Discovery Responses and to Strike Defendant's General Objections to Plaintiff's First Set of Interrogatories
26. Motion of the Associated Press to Intervene and to File Opposition to Defendant's Motion for Protective Order
48. Plaintiff's Motion Concerning Conduct of Defendant's Deposition and Motion for Sanctions
49. Defendant's Request to Compel and Memorandum Concerning Overarching Issues
50. Plaintiff's Motion to Compel Discovery
52. Defendant's Memorandum in Support of His motion to Strike Plaintiff's "Motion Concerning Conduct of Defendant's Deposition and Motion for Sanctions"
54. (REDACTED) Telephone Conference Before the Honorable Eduardo C. Robreno United States District Court Judge
55. (UNREDACTED) Telephone Conference Before the Honorable Eduardo C. Robreno United States District Court Judge
57. Plaintiff's Reply to defendant's Requests to Compel and Memorandum Concerning Overarching Issues
58. Defendant's Responses to Plaintiff's Motion to Compel and Memorandum Concerning Overarching Issues
60. Plaintiff's Response to Defendant's Motion to Strike Plaintiff's Motion Concerning Conduct of Defendant's Deposition and Motion for Sanctions
61. Plaintiff's Motion to Compel the National Enquirer's Compliance with Subpoena for Document and Request for Expedited Resolution
63. Defendant's Memorandum of Law in Partial Opposition to the Lifting of the Seal Established by Case Management Order 2
64. Defendant's Brief in Opposition to Plaintiff's Motion to Compel the National Enquirer's Compliance with Subpoena for Document and Request for Expedited Resolution
65. Nonparty the National Enquirer's Memorandum of Law in Opposition to Plaintiff's Motion to Compel
66. Plaintiff's Motion for Leave to File Reply Memorandum of Law in Response to Defendant's Memo in Opposition to Plaintiff's Motion to Compel the National Enquirer's Compliance with Subpoena for Documents
67. Plaintiff's Memorandum of Law in Support of the Lifting of the Seal Established by Case Management Order 2
68. Plaintiff's Motion for Leave to File Reply Memorandum of Law in Response to National Enquirer's Memorandum in Opposition to Plaintiff's Motion to Compel Compliance with Subpoena for Documents
99. Letter from Associated Press Counsel to the Honorable Eduardo C. Robreno, dated June 17, 2015
105. Memorandum of Eduardo C. Robreno, J. Re Associated Press's motion to intervene and obtain access to documents filed under seal
106. Order re Associated Press's motion to intervene and obtain access to documents filed under seal
107. Plaintiff's Motion for Injunctive Relief and Other Sanctions for Violations of Confidential Settlement Agreement and Motion to Strike Footnote 5 in Defendant's Brief Filed at Document Number 102