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In re Valve Antitrust Litig.

United States District Court, Western District of Washington
Jul 1, 2024
Civil Action 2:21-cv-00563-JCC (W.D. Wash. Jul. 1, 2024)

Opinion

Civil Action 2:21-cv-00563-JCC

07-01-2024

IN RE VALVE ANTITRUST LITIGATION

Cara Wallace, Bar No. 50111 Perkins Coie LLP Attorney for Microsoft Corp.


Cara Wallace, Bar No. 50111 Perkins Coie LLP Attorney for Microsoft Corp.

ORDER GRANTING UNOPPOSED MOTION TO KEEP NON-PARTY MICROSOFT'S HIGHLY CONFIDENTIAL - ATTORNEY'S EYES-ONLY INFORMATION UNDER SEAL

THE HONORABLE JOHN C. COUGHENOUR UNITED STATES DISTRICT JUDGE

This matter came before the Court on Non-Party Microsoft's Motion (Dkt. No. 260) to Keep Highly Confidential - Attorney's Eyes-Only information under seal. The Court having reviewed the Motion, the pleadings filed in opposition to and in support thereof, the pleadings and files of record, the applicable law, and being fully advised, HEREBY ORDERS that:

1. Non-Party Microsoft's Motion to Seal is GRANTED.

2. The material in the Schwartz Report that are derived from Microsoft's nonpublic Highly Confidential - Attorney's Eyes-Only information as reflected in Exhibit A and Exhibits E-H to the Declaration of Adam Fossa and summarized in the below table shall REMAIN UNDER SEAL.

Sealed Document

Microsoft Materials to Keep Sealed

Support for Compelling Reasons

Schwartz Report

Page 92, n. 410, n. 411, which are highlighted portions of Fossa Decl., Ex. A.

Fossa Decl. ¶ 4.

Schwartz Report

Attachment E-1, which are highlighted portions of Fossa Decl., Ex. E.

Fossa Decl. ¶ 5.

Schwartz Report

Attachment E-8, which are highlighted portions of Fossa Decl., Ex. F.

Fossa Decl. ¶ 6.

Schwartz Report

Attachment X-4, which is reflected in Fossa Decl., Ex. G.

Fossa Decl. ¶ 7.

Schwartz Report

Attachment X-5, which is reflected in Fossa Decl., Ex. H.

Fossa Decl. ¶ 8.

3. The material in Valve's Opposition Materials that are derived from Microsoft's nonpublic Highly Confidential - Attorney's Eyes-Only information as reflected in Exhibits B-D to the declaration of Adam Fossa and Exhibits A-C to the Declaration of Aaron Greenberg and summarized in the below table shall REMAIN UNDER SEAL.

Sealed Document

Microsoft Materials to Keep Sealed

Support for Compelling Reasons

Valve Opposition Motion

Page 12, which are highlighted portions of Fossa Decl., Ex. B and highlighted portions of Greenberg Decl., Ex. A.

Fossa Decl. ¶ 4; Greenberg Decl. ¶ 4.

Chiou Report

Page 113, which are highlighted portions of Fossa Decl., Ex. C and highlighted portions of Greenberg Decl., Ex. B.

Fossa Decl. ¶ 4; Greenberg Decl. ¶ 4.

Ex. 23 to Declaration of Blake Marks-Dias

25:3-25, which are highlighted portions of Fossa Decl., Ex. D.

Fossa Decl. ¶ 4.

Ex. 24 to Declaration of Blake Marks-Dias

39:8-39:20, which are highlighted portions of Greenberg Decl., Ex. C.

Greenberg Decl. ¶ 4.

IT IS SO ORDERED.

Presented by:


Summaries of

In re Valve Antitrust Litig.

United States District Court, Western District of Washington
Jul 1, 2024
Civil Action 2:21-cv-00563-JCC (W.D. Wash. Jul. 1, 2024)
Case details for

In re Valve Antitrust Litig.

Case Details

Full title:IN RE VALVE ANTITRUST LITIGATION

Court:United States District Court, Western District of Washington

Date published: Jul 1, 2024

Citations

Civil Action 2:21-cv-00563-JCC (W.D. Wash. Jul. 1, 2024)