Exhibits containing a casino customer's “theoretical win” as determined through a proprietary algorithm were trade secrets and would remain sealed following jury trial of Chapter 11 trustee's fraudulent transfer complaint against casino operator; the theoretical win was irrelevant to the issues tried, the public's right to know this information as part of a court record was low, and so casino operator overcame the strong presumption that these portions of the court records were publicly accessible. In re National Consumer Mortg., LLC, D.Nev.2014, 512 B.R. 639. Records Key Number Symbol 32