Court filing
Womply Motion to Restrict Filing of Motion to Compel (D.E. 183) — OTO Analytics v. Benworth (N.D. Cal. No. 3:24-cv-03975)
Filed December 6, 2024 in Oto Analytics v. Benworth; one of 111 filings from this case.
Record facts
| Court | U.S. District Court for the District of Puerto Rico |
|---|---|
| Filed | 2024-12-06 |
U.S. District Court for the District of Puerto Rico · No. 3:23-cv-01034-GMM · Doc. 183 · 2024-12-06 · Docket on CourtListener
Full text
IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF PUERTO RICO OTO ANALYTICS, LLC, Plaintiff, v. BENWORTH CAPITAL PARTNERS PR LLC; BENWORTH CAPITAL PARTNERS, LLC; BERNARDO NAVARRO and CLAUDIA NAVARRO, Defendants. FEDERAL RESERVE BANK OF SAN FRANCISCO, Plaintiff-Intervenor, v. OTO ANALYTICS, LLC; BENWORTH CAPITAL PARTNERS PR, LLC; BENWORTH CAPITAL PARTNERS, LLC; BERNARDO NAVARRO and CLAUDIA NAVARRO, Defendants in Intervention. § § § § § § § § § § § § § § § § § § § § § § § § § § Civil No. 23-01034 (GMM) cons. Civil No. 24-01313 (GMM) MOTION TO RESTRICT WOMPLY’S MOTION TO COMPEL Pursuant to Standing Order No. 9 for the United District Court for the District of Puerto Rico, and in accordance with the October 7, 2024 Protective Order in this action (“Protective Order”; ECF No. 176), 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 to Compel (1) Responses to Interrogatory Nos. 1, 2, and 4 to the Navarros; (2) Documents Responsive to Document Requests Nos. 6, 7, 11, and 12 to the Navarros; and (3) Documents Responsive to Document Request No. 18 to Benworth FL and Benworth PR (“Motion to Compel”) and exhibits Case 3:23-cv-01034-GMM Document 183 Filed 12/06/24 Page 1 of 4 - 2 - restricted to viewing by the parties and to publicly file its Motion to Compel and exhibits with redactions. The Motion to Compel quotes, describes, and references four documents that Defendants designated as “Confidential” under the Protective Order, and attaches these four documents as exhibits. Womply seeks to redact the material Defendants designated as “Confidential” in its public filing and file the unredacted Motion to Compel and exhibits restricted to viewing by the parties. Womply takes no position on whether such material is properly restricted to reviewing by the parties. Because Defendants have designated this material “Confidential,” it is Defendants’ burden to justify denying public access to this material. See Standing Order No. 9 at 4 (“Stipulations between the parties are insufficient to justify restricted access.”). Case 3:23-cv-01034-GMM Document 183 Filed 12/06/24 Page 2 of 4 - 3 - Dated: December 6, 2024 Of Counsel: Willkie Farr & Gallagher LLP By: /s/ Alexander L. Cheney Alexander L. Cheney (admitted pro hac vice) 333 Bush Street San Francisco, CA 94111 (415) 858-7400 acheney@willkie.com Stuart R. Lombardi (admitted pro hac vice) 787 7th Avenue New York, NY 10019 (212) 728-8000 slombardi@willkie.com Joshua S. Levy (admitted pro hac vice) 1875 K Street, N.W. Washington, D.C. 20006 (202) 303-1000 jlevy@willkie.com Respectfully submitted, By: /s/ Alejandro J. Cepeda Diaz Alejandro J. Cepeda Diaz USDC-PR 222110 McConnell Valdés LLC 270 Muñoz Rivera Ave. Hato Rey PR 00918 Tel: (787) 250-5637 Email: ajc@mcvpr.com Attorneys for Plaintiff Oto Analytics, LLC Case 3:23-cv-01034-GMM Document 183 Filed 12/06/24 Page 3 of 4 - 4 - CERTIFICATE OF SERVICE The undersigned certifies that on December 6, 2024, 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: December 6, 2024 By: /s/ Alejandro J. Cepeda Diaz Attorney for Plaintiff Oto Analytics, LLC Case 3:23-cv-01034-GMM Document 183 Filed 12/06/24 Page 4 of 4
File and source
- File
- gov.uscourts.prd.175040.183.0.pdf
- Size
- 23,648 bytes
- SHA-256
- 65e787c15b23aac2268f6c0c5aa475be295834855daef8a4617525f5b2bcc4f3
- Original
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