Opinion

Allianz Global Investors GmbH v. Bank Of America Corporation

Court
District Court, S.D. New York
Filed
Apr 14, 2022
Cited by
0 cases
Authority
More cited than 27.4%

The opinion

QUINN Emanuel trial tawyers | los angeles

865 South Figueroa Street, roth Floor, Los Angeles, California 90017-2543 | TEL (213) 443-3000 FAX (213) 443-3100

Perret WRITER'S DIRECT DIAL No.

USDC SDNY (212) 849-7345

DOCUMENT

WRITER'S EMAIL ADDRESS

ELECTRONICALLY FILED danbrockett@quinnemanuel.com

DOC #:

April 11, 2022 DATE FILED:__04/14/2022

VIA ECF

The Honorable Stewart D. Aaron

United States Magistrate Judge

Southern District of New York

Daniel Patrick Moynihan Courthouse

500 Pearl Street

New York, NY 10007

United States of America

Allianz Global Investors GmbH, et al., v. Bank of America Corporation, et al., 1:18-cv-10364

Dear Judge Aaron:

Pursuant to Rules I.B.1 and I.D of Judge Schofield’s Individual Rules and Procedures for

Civil Cases, we respectfully seek leave to file under seal certain supporting papers and exhibits

to Plaintiffs’ Motion for Issuance of a Hague Convention Request for International Judicial

Assistance to Take Testimony Overseas. Pursuant to Rule I.D.3, this motion and supporting

papers have been publicly filed with the redactions, and unredacted versions have been

electronically filed under seal and linked to this application.

This request asks the Court to seal the Third Amended Complaint (already filed under

seal), documents that reference numerous chat transcripts that Defendants produced and

designated as confidential, copies of the chat transcripts, and personal information about the

proposed deponent. Given Defendants designated these materials as “confidential,” supporting

papers include documents already filed under seal, and sensitive personal information of the

deponent is contained within these papers, Plaintiffs respectfully request that the Court grant

Plaintiffs permission to file the requested documents in redacted form on ECF and in unredacted

form under seal.

quinn emanuel urquhart & sullivan, lip

ATLANTA | AUSTIN | BOSTON | BRUSSELS | CHICAGO | HAMBURG | HONG KONG | HOUSTON | LONDON | LOS ANGELES | MANNHEIM | MIAMI |

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Respectfully submitted,

/s/ Daniel L. Brockett

Daniel L. Brockett

Quinn Emanuel Urquhart & Sullivan, LLP

51 Madison Avenue, 22nd Floor

New York, New York 10010

Telephone: (212) 849-7000

Fax: (212) 849-7100

danbrockett@quinnemanuel.com

Jeremy D. Andersen (pro hac vice)

Anthony Alden (pro hac vice)

Johanna Ong (pro hac vice)

865 South Figueroa Street, 10th Floor

Los Angeles, California 90017

Telephone: (213) 443-3000

Fax: (213) 443-3100

anthonyalden@quinnemanuel.com

jeremyandersen@quinnemanuel.com

johannaong@quinnemanuel.com

Counsel for Plaintiffs

Request GRANTED. The proposed sealing requests are narrowly tailored

to prevent unauthorized dissemination of sensitive business

information. See Lugosch v. Pyramid Co. of Onondaga, 435 F.3d 110,

119-20 (2d Cir. 2006). SO ORDERED.

Dated: April 14, 2022

Aer SF aA~

This is a copy of a public record, reproduced as it was published. It is not legal advice, and it may not be the version a court would rely on. Check the official source before you cite it.

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