Case 1:15-cv-07433-LAP BOIES. 401 EAST LAS ;.r.5 Document 142 SCHILLER & Filed 05/05/16 FLEXNER Page 1 of 1 LLP oOJLEVARD • SUITE 1200• FORT LAUDERDALE. FL 33301-221• PH. 954.356.0011 • FAX 954.356.0022 Sigrid S. MeCawley, Esq. Email: [email protected] May 5, 2016 Via CM/ECF Honorable Judge Robert W. Sweet District Court Judge United States District Court 500 Pearl Street New York, NY 10007 Re: v. Maxwell, Case no. 15-cv-07433-RWS — Regarding Protective Order Dear Judge Sweet: This is a letter motion to filed Motion to Compel Defendant to Answer Deposition Questions and certain accompanying exhibits under seal pursuant to this Court's Protective Order (DE 62). The Protective Order states: Whenever a party seeks to file any document or material containing CONFIDENTIAL INFORMATION with the Court in this matter, it shall be accompanied by a Motion to Seal pursuant to Section 6.2 of the Electronic Case Filing Rules & Instructions for the Southern District of New York. See Protective Order (DE 62) signed on March 17, 2016 endant has designated Defendant's entire deposition testimony as confidential. takes no position at this time on whether Defendant's designations are proper. Because of the Protective Order, however, believes that she cane tly produce or reference such documents in public court filings. Accordingly, as Reply Brief contains material that Defendant has designated as confidential, she seeks leave to file the Non-Redacted Reply Brief and certain related exhibits under seal. Respectfully submitted, Sigrid S.7vlcCawleey, Esq. cc: Laura Menninger, via CM/ECF Jeffrey Pagliuca, via CM/ECF WWW.BSFLLP.COM EFTA02796787