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Case3:10-cv-00257-JSW Document56 Filed07/23/10 Page1 of 2

1 JAMES R. MCGUIRE (CA SBN 189275)


JMcGuire@mofo.com
2 GREGORY P. DRESSER (CA SBN 136532)
GDresser@mofo.com
3 RITA F. LIN (CA SBN 236220)
RLin@mofo.com
4 MORRISON & FOERSTER LLP
425 Market Street
5 San Francisco, California 94105-2482
Telephone: 415.268.7000
6 Facsimile: 415.268.7522
7 JENNIFER C. PIZER (CA SBN 152327)
JPizer@lambdalegal.org
8 LAMBDA LEGAL, Western Regional Office
3325 Wilshire Boulevard, Suite 1300
9 Los Angeles, CA 90010-1729
Telephone: 213.382.7600
10 Facsimile: 213.351.6050
11 Attorneys for Plaintiff
KAREN GOLINSKI
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13 UNITED STATES DISTRICT COURT

14 NORTHERN DISTRICT OF CALIFORNIA

15 OAKLAND DIVISION

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17 KAREN GOLINSKI, Case No. 4:10-cv-00257 (SBA)

18 Plaintiff, ORDER GRANTING


PLAINTIFF’S ADMINISTRATIVE
19 v. MOTION FOR LEAVE TO FILE
SUPPLEMENTAL DECLARATION
20 UNITED STATES OFFICE OF PERSONNEL IN SUPPORT OF MOTION FOR
MANAGEMENT, and JOHN BERRY, Director PRELIMINARY INJUNCTION
21 of the United States Office of Personnel AND TO FILE PORTIONS OF
Management, in his official capacity, SUCH DECLARATION UNDER
22 SEAL
Defendants.
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[PROPOSED] ORDER GRANTING PLAINTIFF’S MOTION FOR LEAVE TO FILE SUPP. DECL. UNDER SEAL
Case No 4:10-cv-00257 (SBA)
sf-2868256
Case3:10-cv-00257-JSW Document56 Filed07/23/10 Page2 of 2

1 Before the Court is Plaintiff’s Administrative Motion for Leave to File Supplemental
2 Declaration in Support of Motion for Preliminary Injunction and to File Portions of Such
3 Declaration Under Seal (the “Motion for Leave”). Having considered the Motion, the documents
4 filed in support thereof, and GOOD CAUSE APPEARING:
5 The Motion for Leave is hereby GRANTED. Plaintiff’s Supplemental Declaration in
6 Support of Motion for Preliminary Injunction, attached as Exhibit A to the Motion for Leave, is
7 deemed filed. The unredacted version of Plaintiff’s Supplemental Declaration in Support of
8 Motion for Preliminary Injunction shall be filed under seal in order to protect the medical and
9 financial privacy of plaintiff and her family. The information redacted from Plaintiff’s
10 Supplemental Declaration shall be treated as confidential by the other parties in the litigation and
11 any future filings incorporating or referencing such information shall be made under seal.
12 IT IS SO ORDERED.
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14 Dated: 7/22/10 ______________________________________


Hon. Saundra B. Armstrong
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[PROPOSED] ORDER GRANTING PLAINTIFF’S MOTION FOR LEAVE TO FILE SUPP. DECL. UNDER SEAL 1
Case No 4:10-cv-00257 (SBA)
sf-2868256