DI-6.9STRICT COURT-4.1 10650SOUTHERN DIST-3.4RI-6.2CT OF FL-3.4ORIDA No 9:08-80736-Civ-Marra/Johnson JANE DOE and JANE DOE UNITE-4.9D JANE NO AND JANE DOE NO MOTION TO TEMP-4.9O-2.9RARILY SEAL THEIR MOTION TO COMP EL ANSWERS-4.4 TO SUPPLEMENTAL REQUES-4.4TS FOR ADMISSIONS AND REQUEST-3.6S FOR PRODUCTION 2619COME NOW Jane Doe No and Jane Doe No the victim8.5s by and through undersigned counsel to file this m8.3o.5tion to tem8.3por arily seal their Motion to Com8.2p.4el Answers to Supplem8.2ental Requests for Adm8.2i-1.8ssion and Requests fo Production hereinafter referred to as the Motion to Com8.8p1el indicated in their Motion to see pa ge at the vict im8.8s have attem8.8p1ted to6 secure the docum7.9ents in question through vo luntary production by requests to both the Governm8e-1nt-7 and an identified non party Those efforts have een unsuccessful prom8.1pting the need for a m8.1o.3tion to the court The victim8.1s are aw are that a no6.3n-party6.3 to th is litigation to intervene and argue that their m8.4o.6tion is not proper should not be a part of the public court file The victim8.8s of course take the view that th6.2eir M5.4o1.2tion to Co6.2mpel is proper and is the appropriate procedural m8.4e-.6thod 7.5for obtaining this inform8.4ati on that clearly m8.3eets the threshold of being reasonably calculated to lead to the discovery of ad m8.4i-1.6ssible evidence In li ght of local rule a which indicates that Court fili ngs are generally a m8.2a-.8tter of pub lic record the victims understand that this m8.1o.3tion would not typically be sealed However in order to give the identified non-party Case Document Entered on FLSD Docket Page of an opportunity to try to raise any argum8.3e-.7nts he wish present to th Court on this issue the victim8.9s request that their on be placed un5.5der a tem8.3por-6.5ary seal.5.5 WHEREF-5ORE the victim8.5s request that their Motion to Com8.4p.6el be placed under seal for ten days or u5.8n.8til the Court has ruled any tion by any non-party to seal the m8.5o.7tion whichever is longer 2750DATED Decem8.2ber Respectf4.3u1.3lly6.3 Subm9.1itted,6.3 Bradley Edwards Bradley E6.3d.5wards FARMER EDWARDS FISTOS LEHRMAN P.L North Andrews Avenue Suite Fort Lauderdale Florida Telephone Facsim8.1ile brad6 pathtoju6s.2tice.com8.8 And Pro Hac Vice S.J 2750Quinney 2750College Salt 2750Lake 2750City cassellp law.utah.edu 1250.5Attorneys for Jane Does No and This day5.9tim8.7e busine4.7ss a4.7ddress is a5.1nd correspondence purposes-5.8 only and is not intended5.8 to im8.6ply institu5.8tiona4.6l en5.8dorsem8.6e-.4nt by the Univer3.8sity Utah5.8 Case Document Entered on FLSD Docket Page of CERTIFICATE OF I 100certify 100that 100the 100foregoing 100docum ent was served on Decem7.9b.1er on the following using the Court?s CM/ECF system8.2 or for non-parties by separate em8.1ail service Dexter Lee A Marie Villafa?a Australian Ave Suite West Palm8.2 Beach FL Fax Dexter.Lee usd5.7o.7j.gov ann.m8.3arie.c.villafana usdoj.gov Attorneys fo5.8r the Govern5.8m3ent Roy Eric Black Jacqueline Black Srebnick Kornspan Stum8pf Biscayne Boulevard Suite Miam8.5i FL Fax Em8.7ail plead5.9i-1.3ng royblack.com8.7 Attorneys fo5.7r Jeffrey Kendall Coffey Fla Bar No kcoffey coffeyburlington.com Gabriel Groism8.1an Fla Bar No ggroism8.2an coffeyburlington.com8.2 Benjam8.1in Brodsky Fla Bar No bbrodsky coffeyburlington.com COFFE-4.8Y BURLINGTON South Bayshore Drive PH1 Miam8.3i Florida Telephone Facsim8.3ile Thom8.7as Scott Jr Cole Scott Kissane Case Document Entered on FLSD Docket Page of Dadeland Centre II Suite Dadeland Boulevard Miam8.5i FL Fax Em9ail thom9as.scott cs5.4k1.2legal.6.2com9 Attorneys fo5.4r Alan Dershowitz Brad5.7ley Edwards Case Document Entered on FLSD Docket Page of
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