Court filing
MOTION to Restrict Document filed by Alejandro… — Federal Reserve Bank of San Francisco v. Benworth Capital… (Dkt. 68)
No. 3:23-cv-01034-GMM · Doc. 68 · Docket on CourtListener
Summary
A motion to restrict filed June 12, 2023 as Document 68 by plaintiff Oto Analytics, LLC (f/k/a Oto Analytics, Inc. d/b/a Womply) in Oto Analytics, LLC v. Benworth Capital Partners PR LLC, No. 3:23-cv-01034-GMM, in the U.S. District Court for the District of Puerto Rico. Citing Standing Order No. 9 and the Court's May 3, 2023 Order (ECF No. 58), the plaintiff seeks leave to file its motion for extension of time to serve defendants Bernardo Navarro and Claudia Navarro and for leave to serve by publication, with exhibits, restricted to viewing by the parties, and to file them publicly with redactions. Under Local Civil Rule 5.2 it seeks to redact home addresses, license plate information, drivers' licenses and bank account information. The motion states that the May 3, 2023 Order approved the same redactions.
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Case 3:23-cv-01034-GMM Document 68 Filed 06/12/23 Page 1 of 3
IN THE UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF PUERTO RICO
OTO ANALYTICS, LLC, §
§
Plaintiff, §
§
v. § Civil Action No. 23-01034
§
BENWORTH CAPITAL PARTNERS PR §
LLC, BENWORTH CAPITAL PARTNERS §
LLC, BERNARDO NAVARRO and §
CLAUDIA NAVARRO, §
§
Defendants.
MOTION TO RESTRICT WOMPLY’S MOTION FOR EXTENSION OF TIME TO
SERVE DEFENDANTS BERNARDO NAVARRO AND CLAUDIA NAVARRO AND
FOR LEAVE TO SERVE BY PUBLICATION
Pursuant to Standing Order No. 9 for the United District Court for the District of Puerto
Rico, and in accordance with this Court’s May 3, 2023 Order (ECF No. 58; the “Order”), Plaintiff
Oto Analytics, LLC (f/k/a Oto Analytics, Inc. d/b/a Womply) (“Womply”), by and through its
undersigned counsel, seeks leave to file its Motion for Extension of Time to Serve Defendants
Bernardo Navarro and Claudio Navarro (the “Navarros”) and For Leave to Serve by Publication
(the “Motion”) and exhibits in the above-captioned action restricted to viewing by the parties and
to publicly file its Motion and exhibits with redactions.
Pursuant to Local Civil Rule 5.2, Womply seeks to redact personally identifying
information of the Navarros and their family members, including home addresses, license plate
information, drivers’ licenses, and bank account information. These same redactions were
previously approved by this Court’s Order on May 3, 2023.
Case 3:23-cv-01034-GMM Document 68 Filed 06/12/23 Page 2 of 3
Dated: June 12, 2023
Of Counsel:
Willkie Farr & Gallagher LLP Respectfully submitted,
By: /s/ Alexander L. Cheney By: /s/ Alejandro J. Cepeda Diaz
Alexander L. Cheney (admitted pro hac vice) Alejandro J. Cepeda Diaz
One Front Street USDC-PR 222110
San Francisco, CA 94111 McConnell Valdés LLC
(415) 858-7400 270 Muñoz Rivera Ave.
acheney@willkie.com Hato Rey PR 00918
Tel: (787) 250-5637
Joshua S. Levy (admitted pro hac vice) Email: ajc@mcvpr.com
1875 K Street, N.W.
Washington, D.C. 20006
(202) 303-1000 Attorneys for Plaintiff Oto Analytics, LLC
jlevy@willkie.com
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Case 3:23-cv-01034-GMM Document 68 Filed 06/12/23 Page 3 of 3
CERTIFICATE OF SERVICE
The undersigned certifies that on June 12, 2023, the foregoing document was filed with the
Clerk of the Court using CM/ECF, which sent notices to all parties receiving notifications through
the CM/ECF system.
Dated: June 12, 2023 By: /s/ Alejandro J. Cepeda Diaz
Attorney for Plaintiff Oto Analytics, LLC
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