Stipulated Confidentiality Agreement and Protective Order Sample Contracts

STIPULATED CONFIDENTIALITY AGREEMENT AND PROTECTIVE ORDER
Stipulated Confidentiality Agreement and Protective Order • May 30th, 2024

WHEREAS, all the parties to this action (collectively the “Parties” and individually a “Party”) request that this Court issue a protective order pursuant to Federal Rule of Civil Procedure 26(c) to protect the confidentiality of nonpublic and competitively sensitive information that they may need to disclose in connection with discovery in this action;

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STIPULATED CONFIDENTIALITY AGREEMENT AND PROTECTIVE ORDER
Stipulated Confidentiality Agreement and Protective Order • March 1st, 2024

WHEREAS, all of the parties to this action (collectively, the “Parties” and each individually, a “Party”) request that this Court issue a protective order pursuant to Federal Rule of Civil Procedure 26(c) to protect the confidentiality of nonpublic and competitively sensitive information that they may need to disclose in connection with discovery in this action;

Contract
Stipulated Confidentiality Agreement and Protective Order • April 6th, 2017
STIPULATED CONFIDENTIALITY AGREEMENT AND PROTECTIVE ORDER
Stipulated Confidentiality Agreement and Protective Order • March 17th, 2022

This Stipulated Confidentiality Agreement and Protective Order (the “Order”) is entered into by and between Plaintiff Selina Kyle (“Plaintiff” or “Kyle”) and Defendants Pierce Bainbridge Beck Price & Hecht LLP (“Pierce Bainbridge”), Donald D. Lewis (“Lewis”) (collectively with Pierce Bainbridge, “Defendants”) (Plaintiff and Defendants, collectively, the “Parties” and each individually a “Party” to this Agreement). The Parties hereby stipulate and agree that discovery in the above-captioned civil action (the “Action”) will require production of documents and information that one or both of the Parties regards as containing sensitive and non-public business information, financial information, personnel information, personal information, trade secrets, and/or other confidential information. Disclosure of this information to the general public would be prejudicial to the Parties, and litigation over claims of confidentiality would unduly consume the resources and time of the Court and Part

IN THE UNITED STATES BANKRUPTCY COURT FOR THE SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION
Stipulated Confidentiality Agreement and Protective Order • September 1st, 2020
STIPULATED CONFIDENTIALITY AGREEMENT AND PROTECTIVE ORDER
Stipulated Confidentiality Agreement and Protective Order • May 29th, 2024
IN THE UNITED STATES BANKRUPTCY COURT FOR THE SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION
Stipulated Confidentiality Agreement and Protective Order • June 5th, 2020

by and among: (a) the above-captioned debtors and debtors in possession (collectively, the “Debtors”); (b) the Official Committee of Unsecured Creditors (the “Committee”) appointed in

Smolen, Jr. v. Wesley et al Doc. 168
Stipulated Confidentiality Agreement and Protective Order • May 10th, 2022
STIPULATED CONFIDENTIALITY AGREEMENTAND PROTECTIVE ORDER
Stipulated Confidentiality Agreement and Protective Order • February 16th, 2022

WHEREAS, all the parties to this action (collectively the “Parties” and individually a “Party”) request that this Court issue a protective order pursuant to Federal Rule of Civil Procedure 26(c) to protect the confidentiality of nonpublic and competitively sensitive information that they may need to disclose in connection with discovery in this action;

PROPOSED] STIPULATED CONFIDENTIALITY AGREEMENT AND PROTECTIVE ORDER
Stipulated Confidentiality Agreement and Protective Order • December 20th, 2023

WHEREAS, all the parties to this action (collectively the “Parties” and individually a “Party”) request that this Court issue a protective order pursuant to Federal Rule of Civil Procedure 26(c) to protect the confidentiality of nonpublic and competitively sensitive information that they may need to disclose in connection with discovery in this action;

STIPULATED CONFIDENTIALITY AGREEMENT AND PROTECTIVE ORDER
Stipulated Confidentiality Agreement and Protective Order • June 25th, 2021
UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK
Stipulated Confidentiality Agreement and Protective Order • January 24th, 2014
UNITED STATES BANKRUPTCY COURT DISTRICT OF CONNECTICUT HARTFORD DIVISION
Stipulated Confidentiality Agreement and Protective Order • February 24th, 2021
Meredith Operations Corporation v. Better Mortgage Corporation Doc. 18
Stipulated Confidentiality Agreement and Protective Order • August 29th, 2023
Contract
Stipulated Confidentiality Agreement and Protective Order • April 26th, 2022
Thatcher v. Experian Information Solutions, Inc. et al Doc. 29
Stipulated Confidentiality Agreement and Protective Order • May 7th, 2024
IN THE UNITED STATES BANKRUPTCY COURT FOR THE SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION
Stipulated Confidentiality Agreement and Protective Order • April 5th, 2023

by and among: (a) the above-captioned debtors and debtors in possession (collectively, the “Debtors”); (b) Jeffrey Dane and Jonathan Foster, in their capacity as the Debtors’ Disinterested

UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK
Stipulated Confidentiality Agreement and Protective Order • May 3rd, 2024
STIPULATED CONFIDENTIALITY AGREEMENT AND PROTECTIVE ORDER
Stipulated Confidentiality Agreement and Protective Order • May 28th, 2021 • New York

IT IS HEREBY STIPULATED AND AGREED, by and among the parties hereto (collectively, the “Parties” and individually a “Party”), through their undersigned counsel, that the following provisions of this Protective Order (the “Order”) shall govern disclosure and use by the parties of all documents, testimony, exhibits, interrogatory answers, responses to requests for admission, and any other materials and information disclosed or provided in the above- referenced action.

Azima v. Handjani Doc. 30
Stipulated Confidentiality Agreement and Protective Order • September 27th, 2022
In re: ) Chapter 11
Stipulated Confidentiality Agreement and Protective Order • September 1st, 2020

entered into by and among: (a) the above-captioned debtors and debtors in possession (collectively, the “Debtors”); (b) the undersigned ad hoc group of equity holders of the Debtors (the “Ad Hoc Equity Group”); (c) the undersigned ad hoc group of certain holders of Seller Notes2 (“Ad Hoc

MONTEFIORE MEDICAL CENTER and WOODROW WHITAKER,
Stipulated Confidentiality Agreement and Protective Order • July 20th, 2024
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3A Composites USA Inc. v. Livingston International Inc. Doc. 21
Stipulated Confidentiality Agreement and Protective Order • February 1st, 2022
STIPULATED CONFIDENTIALITY AGREEMENT AND PROTECTIVE ORDER
Stipulated Confidentiality Agreement and Protective Order • September 26th, 2023

WHEREAS, all the parties to this action (collectively the “Parties” and individually a “Party”) request that this Court issue a protective order pursuant to Federal Rule of Civil Procedure 26(c) to protect the confidentiality of nonpublic and competitively sensitive information that they may need to disclose in connection with discovery in this action;

UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK
Stipulated Confidentiality Agreement and Protective Order • December 7th, 2023

MONEY TREE CAPITAL FUNDING, LLC, Plaintiff, -against- MONEY TREE CAPITAL MARKETS LLC,a New York limited liability company, MONEY TREE CAPITAL MARKETS LLC,a Delaware limited liability company, and KAMAL MALIK, Defendants. Case No. 22-cv-10084-ER STIPULATED CONFIDENTIALITY AGREEMENT AND [PROPOSED] PROTECTIVE ORDER MONEY TREE CAPITAL MARKETS LLC,a New York limited liability company, MONEY TREE CAPITAL MARKETS LLC,a Delaware limited liability company, and KAMAL MALIK, Counter- and Third-Party Plaintiffs, -against- MONEY TREE CAPITAL FUNDING, LLC, Counter-Defendant, and KEITH STEIN, IRA SAFERSTEIN, OLIVIER COJOT, TITAN CAPITAL ID, LLC, and ELLINGTON MANAGEMENT GROUP, Third-Party Defendants

Contract
Stipulated Confidentiality Agreement and Protective Order • April 17th, 2024
Plaintiffs, : Case No. 2:16-cv-00303
Stipulated Confidentiality Agreement and Protective Order • April 13th, 2017
IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO
Stipulated Confidentiality Agreement and Protective Order • August 11th, 2013
Feldman et al v. Zoetop Business Co., Ltd. Doc. 17
Stipulated Confidentiality Agreement and Protective Order • June 2nd, 2022
STIPULATED CONFIDENTIALITY AGREEMENT AND [PROPOSED] PROTECTIVE ORDER
Stipulated Confidentiality Agreement and Protective Order • January 26th, 2022

WHEREAS, Plaintiff Life Insurance Fund Elite (“Plaintiff”) and Hamburg Commercial Bank AG (“Defendant,” together with Plaintiff, “the Parties”), through their respective counsel, have agreed to the following terms of confidentiality set forth in this Stipulated Confidentiality Agreement and Protective Order (the “Protective Order”), and the Court finds good cause for issuance of an appropriately tailored confidentiality order governing this action to protect the legitimate interests of the Parties and other persons (including non- parties) in maintaining the confidentiality of certain proprietary or sensitive information that may be disclosed in connection with the above-captioned proceeding (the “Producing Parties”);

against-
Stipulated Confidentiality Agreement and Protective Order • September 20th, 2020

NEW YORK CITY DEPARTMENT OF EDUCATION; DONALDA CHUMNEY, JENNIFER REHN- LOSQUARDO, LINDSAY OAKES, LISA STEFANICK, COURTNEY DELANEY and YASMEEN GUTIC,

IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO
Stipulated Confidentiality Agreement and Protective Order • November 24th, 2010
SOUTHERN DISTRICT OF NEW YORK
Stipulated Confidentiality Agreement and Protective Order • September 22nd, 2020

EMPIRE HOTEL DEVELOPMENT, INC. D/B/A HYATT PLACE POUGHKEEPSIE, HYATT CORPORATION, HYATT PLACE FRANCHISING, LLC, HYATT HOTELS CORP., and ERFAN KHAN

STIPULATED CONFIDENTIALITY AGREEMENT AND PROTECTIVE ORDER
Stipulated Confidentiality Agreement and Protective Order • May 16th, 2023

WHEREAS, all the parties to this action (collectively the “Parties” and individually a “Party”) request that this Court issue a protective order pursuant to Federal Rule of Civil Procedure 26(c) to protect the confidentiality of nonpublic and sensitive information that they may need to disclose in connection with discovery in this action;

In re: : Chapter 11
Stipulated Confidentiality Agreement and Protective Order • October 11th, 2023
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