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UNITED STATES BANKRUPTCY COURT


FOR THE WESTERN DISTRICT OF NORTH CAROLINA
Charlotte Division

__________________________________________
)
In Re: ) Chapter 11
)
GARLOCK SEALING TECHNOLOGIES ) Case No. 10-31607
LLC, et al.
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)
)
Debtors. ) Jointly Administered
__________________________________________)

WILLIAMS KHERKHER HART BOUNDAS, LLPS JOINDER IN OPPOSITION TO
DEBTORS MOTION TO REMOVE CONFIDENTIALITY DESIGNATIONS FROM
CERTAIN EVIDENCE FOR PURPOSES OF TRIAL

Williams Kherkher Hart Boundas, LLP (Williams Kherkher) hereby joins in Certain
Law Firms Objection to Debtors Motion to Remove Confidentiality Designations from Certain
Evidence for Purposes of Trial, and joins in the Official Committee of Asbestos Personal Injury
Claimants Objection to Debtors Motion to Remove Confidentiality Designations from Certain
Evidence for Purposes of Trial. For the reasons fully set forth in both Objections, Williams
Kherkher objects to removal of the confidentiality designations applicable to the Rule 30(b)(6)
Deposition of Williams Kherkher taken in this matter on January 11, 2013, and from documents
produced by Williams Kherkher pursuant to Subpoena issued in November 2012.
This the 17th day of July, 2013.
/s/ Sara W. Higgins
Raymond E. Owens, Jr.
N.C. Bar #8439
Sara W. Higgins
N.C. Bar #22111
HIGGINS & OWENS, PLLC
5925 Carnegie Blvd., Suite 530

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Debtors consist of Garlock Sealing Technologies LLC and Garrison Litigation Management
Group, Ltd. (together, Garlock), and also The Anchor Packing Company.
Case 10-31607 Doc 3047 Filed 07/17/13 Entered 07/17/13 21:43:45 Desc Main
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Charlotte, NC 28209
Telephone: 704-295-4509
Facsimile: 704-749-9451
rowens@higginsowens.com
shiggins@higginsowens.com
Case 10-31607 Doc 3047 Filed 07/17/13 Entered 07/17/13 21:43:45 Desc Main
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