Professional Documents
Culture Documents
TABLE OF CONTENTS
VOLUME I
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VOLUME II
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TAB 19:
Exhibits 3, 4, 11, 12, 16, 18, 19, 20, 21, 22, 30, 39, 40, 41 and
42 filed in Support of the Joint Opposition to Plaintiffs
Emergency Motion to Conduct Discovery Concerning Potential
Violation of Protective Order, to Compel Turnover of
Confidential Discovery Materials and for Order to Show Cause
(filed August 11, 2015)
TAB 20:
TAB 21:
TAB 22:
Exhibits 3, 4, 11, 12, 16, 18, 19, 20, 21, 22, 30, 39,
40, 41 and 42 filed in Support of the Joint
Opposition to Plaintiffs Emergency Motion to
Conduct Discovery Concerning Potential Violation
of Protective Order, to Compel Turnover of
Confidential Discovery Materials and for Order to
Show Cause, filed on August 11, 2015
ORDER:
PARAGRAPH: 10.D(14)
*These documents also were sealed under Paragraph 8.D(14) of the October
27, 2015 Order.
CONFIDENTIAL
EXHIBIT 18-C
to the
JOINT OPPOSITION OF THE GAWKER DEFENDANTS AND THEIR
COUNSEL TO PLAINTIFFS EMERGENCY MOTION TO CONDUCT
DISCOVERY CONCERNING POTENTIAL VIOLATION OF
PROTECTIVE ORDER, TO COMPEL TURNOVER OF CONFIDENTIAL
DISCOVERY MATERIALS AND FOR ORDER TO SHOW CAUSE
This exhibit is an audio/visual file that cannot be electronically filed. It can be
found on the disc labeled Confidential Audio/Visual Exhibit to the Joint
Opposition to Plaintiffs Emergency Motion, a copy of which is being provided
to the Court and all counsel of record.