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De Coster v. Amazon.com

United States District Court, Western District of Washington
Jul 31, 2024
2:21-cv-00693-JHC (W.D. Wash. Jul. 31, 2024)

Opinion

2:22-cv-00965-JHC 2:21-cv-00693-JHC 2:20- cv-00424-JHC

07-31-2024

ELIZABETH DE COSTER, et al., on behalf of themselves and all other similarly situated, Plaintiffs, v. AMAZON.COM, INC., a Delaware corporation, Defendant. DEBORAH FRAME-WILSON, et al., on behalf of themselves and all other similarly situated, Plaintiffs, v. AMAZON.COM, INC., a Delaware corporation, Defendant. CHRISTOPHER BROWN, et al., on behalf of themselves and all others similarly situated, Plaintiffs, v. AMAZON.COM, INC., a Delaware corporation, Defendant.

HAGENS BERMAN SOBOL SHAPIRO LLP Steve W. Berman (WSBA No. 12536) Barbara A. Mahoney (WSBA No. 31845) Anne F. Johnson (pro hac vice) KELLER POSTMAN LLC Zina G. Bash (pro hac vice) Jessica Beringer (pro hac vice) Shane Kelly (pro hac vice) Interim Co-Lead Counsel for Plaintiffs and the proposed Class DAVIS WRIGHT TREMAINE LLP John A. Goldmark, WSBA #40980 By: MaryAnn Almeida MaryAnn Almeida, WSBA #49086 PAUL, WEISS, RIFKIND, WHARTON & GARRISON LLP Karen L. Dunn (pro hac vice) William A. Isaacson (pro hac vice) Amy J. Mauser (pro hac vice) Martha L. Goodman (pro hac vice) Kyle Smith (pro hac vice) Attorneys for Defendant Amazon.com, Inc.


HAGENS BERMAN SOBOL SHAPIRO LLP

Steve W. Berman (WSBA No. 12536)

Barbara A. Mahoney (WSBA No. 31845)

Anne F. Johnson (pro hac vice)

KELLER POSTMAN LLC

Zina G. Bash (pro hac vice)

Jessica Beringer (pro hac vice)

Shane Kelly (pro hac vice)

Interim Co-Lead Counsel for Plaintiffs and the proposed Class

DAVIS WRIGHT TREMAINE LLP

John A. Goldmark, WSBA #40980

By: MaryAnn Almeida

MaryAnn Almeida, WSBA #49086

PAUL, WEISS, RIFKIND, WHARTON & GARRISON LLP

Karen L. Dunn (pro hac vice)

William A. Isaacson (pro hac vice)

Amy J. Mauser (pro hac vice)

Martha L. Goodman (pro hac vice)

Kyle Smith (pro hac vice)

Attorneys for Defendant Amazon.com, Inc.

STIPULATED MOTION AND ORDER REGARDING SEALING OF CLASS CERTIFICATION BRIEFING

JOHN H. CHUN, UNITED STATES DISTRICT JUDGE.

The Parties have met and conferred with respect to the upcoming briefing on class certification, and anticipate that their briefs, declarations, exhibits, and expert reports will quote from and/or describe in detail a significant amount of information that has been designated as Confidential or Highly Confidential-Attorneys' Eyes Only by either a Party or Non-Party. Accordingly, in order to ensure that such materials are treated appropriately under the applicable protective order, and to reduce burdens on the Court, the Parties, and Non-Parties, pursuant to LCR 7(d)(1) and 10(g), the Parties and their respective counsel hereby stipulate and agree to the following procedure for filing and sealing in connection with the class certification briefing, subject to the Court's approval.

1. Pursuant to LCR 5(g)(2), each Party will provisionally file under seal its class certification briefs (including any opening, response, and reply briefs), expert declarations or reports, exhibits, and all other evidence and declarations on which that Party relies (collectively, “Class Certification Papers”) which contain material designated Confidential or Highly Confidential-Attorneys' Eyes Only by any Party or Non-Party.

2. Within four weeks of the filing of Plaintiffs' reply brief, pursuant to LCR 5(g), the Parties, and any necessary Non-Parties, will meet and confer and, as appropriate, file (1) public versions of their Class Certification Papers, with necessary redactions, and (2) corresponding motion(s) to seal pursuant to LCR 5(g)(3). The schedule for filing any such public versions of the Parties' Class Certification Papers and corresponding motion(s) to seal shall be as follows:

De Coster

Frame- Wilson

Brown

Reply in Support of Motion to Certify Class

January 24, 2025

May 23, 2025

September 16, 2025

Filing of public versions of Class Certification Papers and corresponding Motions to Seal

February 21, 2025

June 20, 2025

October 14, 2025

See De Coster et al. v. Amazon.com, 7MC.,NO. 2:21-CV-00693-JHC, ECFNO. 160.

3. The Party or Non-Party seeking to maintain material under seal (or under redaction) shall be the movant for purposes of any such motion(s) to seal associated with the Parties' class certification briefing.

IT IS SO STIPULATED THROUGH COUNSEL OF RECORD.

IT IS SO ORDERED.


Summaries of

De Coster v. Amazon.com

United States District Court, Western District of Washington
Jul 31, 2024
2:21-cv-00693-JHC (W.D. Wash. Jul. 31, 2024)
Case details for

De Coster v. Amazon.com

Case Details

Full title:ELIZABETH DE COSTER, et al., on behalf of themselves and all other…

Court:United States District Court, Western District of Washington

Date published: Jul 31, 2024

Citations

2:21-cv-00693-JHC (W.D. Wash. Jul. 31, 2024)