FA ND Chev, LLC v. Kupper

CourtDistrict Court, D. North Dakota
DecidedJuly 11, 2023
Docket1:20-cv-00138
StatusUnknown

This text of FA ND Chev, LLC v. Kupper (FA ND Chev, LLC v. Kupper) is published on Counsel Stack Legal Research, covering District Court, D. North Dakota primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
FA ND Chev, LLC v. Kupper, (D.N.D. 2023).

Opinion

IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF NORTH DAKOTA

FA ND Chev, LLC, and FA ND Sub, LLC,

Plaintiffs,

vs. Case No. 1:20-cv-00138

Robert Kupper; Bismarck Motor Company; and BMC Marine LLC, d/b/a Moritz Sport & Marine,

Defendants.

ORDER DENYING MOTIONS FOR LEAVE TO FILE UNDER SEAL

INTRODUCTION [¶1] THIS MATTER comes before the Court on nine Motions for Leave to File Under Seal filed by the Parties. Doc. Nos. 141, 147, 153, 159, 203, 208, 225, 227, and 242. Responses have been filed relating to the Motions for Leave to File Under Seal found at Docket Entries 141, 203, 208. Doc. Nos. 148, 213, 219, 220. For the reasons set forth below, each Motion for Leave to File Under Seal is DENIED. BACKGROUND [¶2] The Defendants ask the Court to file certain documents under seal:  Their Memorandum in Support of Defendant Robert Kupper’s Motion to Compel Discovery and for Sanctions;  Deposition transcript of Derek Slemko taken August 30, 2022;  Deposition transcript of Sherry Moos taken on October 25-26;  Representative financial documents producted by Plaintiffs (bates labeled FAND0029162- 29174; 29222-29225; 46164; 46314-46316; 47778; 47963, 47971-47972);  KPMG Project Drives (bates labeled FAND0045033-45089);  2017 and 2018 Bonus Information (bates labeled FAND 0041321-41322);  Deposition transcript of Kevin Kutschinski (Volume I) taken on August 29, 2022;  Deposition transcript of Kevin Kutchinski (Individual) taken on August 31, 2022;  Deposition transcript of Kelsey Hanson taken on August 24, 2022; and  Deposition Exhibit 63;

Doc. No. 141.

 Memorandum in support of Defendant Robert Kupper’s Motion to Compel Discovery and for Sanctions;  Deposition transcript of Shane Hill taken on August 25, 2022;  Deposition transcript of Robert Kupper taken on August 23, 2022;  Deposition transcript of Whitney Wilkens taken on November 3, 2022;  Deposition transcript of Derek Slemko (Volume 2) taken on November 9, 2022.

Doc. No. 153.

 Memorandum in Opposition to Plaintiffs’ Motion for Sanctions against Defendant Robert Kupper;  Deposition exhibit 114 which includes discussion related to topics designated confidential or confidential-attorneys’ eyes only by Plaintiffs.

Doc No. 159.

 Memorandum of Law in Support of Defendant Robert Kupper’s Motion for Summary Judgment;  Deposition transcript of Kevin Kutschinski Volume 2 taken on August 30, 2022;  Deposition transcript of Robert Kupper taken on August 23, 2022;  Deposition transcript of Kelsey Hanson taken on August 24, 2022;  Deposition transcript of Charles Kramer taken on September 1, 2022;  Deposition transcript of Brien Fried taken on October 26, 2022;  Deposition transcript of Sherry Moos taken on October 25-26, 2022;  Deposition transcript of Whitney Wilkens (Volumes I and II) taken on November 3 and December 22, 2022;  Deposition transcript of Kevin Kutschinski (Individual) taken on August 31, 2022; Deposition transcript of Monte Clair taken on September 2, 2022;  Plaintiff’s first supplemental responses to Defendant Robert Kupper’s first set of interrogatories dated August 9, 2021, along with its attached Exhibit C;  Deposition transcript of Shane Hill taken on August 25, 2022;  Deposition transcript of Rodney Sandvig taken on August 25, 2022;  Deposition transcript of Shawn Weekes taken on November 17, 2022;  Expert Report of James Leslie dated January 30, 2023;  Deposition transcript of Jason Ronsberg taken on July 19, 2022;  Deposition exhibit 25 which contains information designated by Plaintiffs as confidential;  Email from Terry Weszner to Brittany Shearer of Foundation Auto dated September 29, 2021 (FAND0049532-49535);  Deposition transcript of Derek Slemko (Volume I) taken on November 8, 2022;  Deposition exhibit 186 which contains information that has been designated by General Motors as confidential;  Deposition exhibit 198 which contains information that has been designated by Plaintiffs as confidential  Deposition transcript of Kevin Kutschinski (Volume I) taken on August 29, 2022;  Deposition exhibit 101, General Motors 2021 year-end dealer operating report dated December 31, 2021;  Deposition exhibit 102, 2021 year-end Subaru dealer financial statement dated December 31, 2021;  General Motors 2018 year-end dealer operating report dated December 31, 2018 (bates labeled FAND009025);  2018 year-end Subaru dealer financial statement dated December 31, 2018 (bates labeled FAND0009057);  General Motors 2022 year-end dealer operating report dated December 31, 2022 (bates labeled FAND0099370);  2022 year-end Subaru financial statement dated December 31, 2022 (bates labeled FAND0099378);  Expert report of Ginger A. Knutsen dated December 30, 2022;  Deposition transcript of Ginger A. Knutsen taken on February 28, 2022;  Deposition exhibit 179, due diligence – priority checklist;  Deposition exhibit 90, General Motors dealer operating report dated September 30, 2018;  Deposition exhibit 182, summary bonuses paid by Plaintiffs to Kramer employees from 2019-2021.

Doc. Nos. 208-211. Defendants ask the Court for leave to file each of the documents noted above under seal because they have been marked either confidential, highly confidential, and/or attorneys’ eyes only under the stipulated protective order. Plaintiffs contend disclosure of the confidential information would create a advantage for their competitors as it gives a detailed picture into Plaintiffs’ operations. [¶3] Defendant BMC Marine LLC d/b/a Moritz Sport & Marine, (“Moritz Sport & Marine”) requests the following be filed under seal:  Transcript of the Deposition of Charles Kramer;  A series of emails ending with an email dated May 11, 2022, and sent from Kelsey Hanson to Robert Kupper;  A series of text messages, with the first visible date being a February 19, 2020 exchange between Robert Kupper and Kevin Kutschinski;  Transcript Deposition of Monte Clair;  Volume 3 of the transcript of the Plaintiffs, FA ND CHEV, LLC and FA ND SUB, LLC, taken through their 30(b)(6) designee, Kevin Kutschinski;  Moritz Sport’s Memorandum of Law in Support of Summary Judgment.

Doc. No. 203. As grounds, Moritz Sport & Marine contend they have been marked or contain information that has been marked confidential by Plaintiffs or Defendant Robert Kupper. Plaintiffs contend the protective order mandates filing these documents under seal and they contain proprietary information not known to other individuals. [¶4] Plaintiffs move for leave to file the following documents under seal:  Response in Opposition to Defendant Robert Kupper’s Motion to Compel Discovery and Sanctions.

Doc. No. 147.  Response in Opposition to Defendant BMC marine LLC d/b/a Moritz Sport & Marine’s Motion for Summary Judgment and several supporting exhibits.

Doc. No. 225.  Response in Opposition to Defendant Robert Kupper’s Motion for Summary Judgment and several supporting exhibits.

Doc. No. 227. As grounds for filing each of the above documents under seal, Plaintiffs assert the documents and deposition transcripts contain information that has been designated confidential or attorney’s eyes only pursuant to the stipulated protective order. In other words, Plaintiffs put forth the same arguments they have each time they have requested their documents be sealed. They maintain disclosure of the materials marked confidential will disclose financial and proprietary business information that could place Plaintiffs at a significant disadvantage in their future business operations.

Free access — add to your briefcase to read the full text and ask questions with AI

Related

Cite This Page — Counsel Stack

Bluebook (online)
FA ND Chev, LLC v. Kupper, Counsel Stack Legal Research, https://law.counselstack.com/opinion/fa-nd-chev-llc-v-kupper-ndd-2023.