Hollaway v. Gemini Direct, LLC
Trial Court Opinion
1 DAWN B. EYERLY (BAR NO. 185074) [email protected] SAUL EWING, LLP 1888 Century Park East, Suite 1500 Los Angeles, California 90067 Telephone: (310) 255-6100 Facsimile: (310) 255-6200 Attorney for Defendant GEMINI DIRECT, LLC d/b/a/ CREDIT INNOVATION GROUP 8 UNITED STATES DISTRICT COURT 9 EASTERN DISTRICT OF CALIFORNIA
11 MICHAEL E. HOLLAWAY, Case No. 2:24-cv-00644-KJM-CKD 12 Plaintiff, ORDER GRANTING DEFENDANT’S REQUEST TO SEAL DOCUMENTS v. GEMINI DIRECT, LLC d/b/a/ CREDIT INNOVATION GROUP, Defendant.
18 Before the Court is a Request to Seal a Document attached to Defendant’s Motion to Compel Arbitration submitted by Defendant, Gemini Direct, LLC d/b/a/ Credit Innovation Group.
20 Defendant’s Request to Seal indicates the following document should be filed under seal: 21 Document 5.2: Declaration of Marion Timpson, pages 3-14 22 Defendant has shown compelling reasons for the requests. See Kamakana v. City of Honolulu, 447 F.3d 1172, 1178 (9th Cir. 2006); Fed. R. Civ. P. 5.2(a). The court hereby orders that the Declaration of Marion Timpson (ECF 5.2) attached to Defendant’s Motion to Compel Arbitration is sealed. Defendant shall file a redacted copy of the sealed document to remain unsealed on the docket promptly and within seven (7) days of the filing date of this order.
27 /// 1 This resolves ECF No. 16.
2 SO ORDERED.
3|| DATED: May 31, 2024.
CHIEF ED STATES DISTRICT JUDGE
(14 1S < 16
Case-law data current through December 31, 2025. Source: CourtListener bulk data.