Arista Records LLC et al v. Lime Wire LLC et al
FILING ERROR - DEFICIENT DOCKET ENTRY - DECLARATION of Katherine B. Forrest in Opposition re: 168 MOTION to Strike Plaintiffs' Exhibits Filed as Part of Plaintiffs' Opposition to Defendants' MSJ and Defendants' Motion to Strike., 165 MOTION to Strike Plaintiffs' Exhibits Filed as Part of Plaintiffs' Opposition to Defendants' MSJ and Defendants' Motion to Strike.. Document filed by Capitol Records, Inc., Elektra Entertainment Group, Inc., Interscope Records, Laface Records LLC, Motown Record Company, L.P., Arista Records LLC, Priority Records LLC, Sony BMG Music Entertainment, UMG Recordings, Inc., Virgin Records America, Inc., Warner Bros. Records Inc., Atlantic Recording Corporation, BMG Music. (Attachments: # 1 Exhibit 492 to Forrest December 5, 2008 Declaration, # 2 Exhibit 493 to Forrest December 5, 2008 Declaration, # 3 Exhibit 494 to Forrest December 5, 2008 Declaration, # 4 Exhibit 495 to Forrest December 5, 2008 Declaration, # 5 Exhibit 496 to Forrest December 5, 2008 Declaration, # 6 Exhibit 497 to Forrest December 5, 2008 Declaration, # 7 Declaration of Elizabeth Cuneo, # 8 Declaration of Siobhan Minarovich, # 9 Declaration of Andrew Kempe, # 10 Declaration of Thomas Sehested)(Forrest, Katherine) Modified on 12/8/2008 (jar).
UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK ARISTA RECORDS LLC; ATLANTIC RECORDING CORPORATION; BMG MUSIC; CAPITOL RECORDS INC.; ELEKTRA ENTERTAINMENT GROUP INC.; INTERSCOPE RECORDS; LAFACE RECORDS LLC; MOTOWN RECORD COMPANY, L.P.; PRIORITY RECORDS LLC; SONY BMG MUSIC ENTERTAINMENT; UMG RECORDINGS, INC.; VIRGIN RECORDS AMERICA, INC.; and WARNER BROS. RECORDS INC., Plaintiffs, v. LIME WIRE LLC; LIME GROUP LLC; MARK GORTON; GREG BILDSON; and M.J.G. LIME WIRE FAMILY LIMITED PARTNERSHIP, Defendants. 06 Civ. 5936 (GEL) ECF CASE
DECLARATION OF KATHERINE B. FORREST IN SUPPORT OF PLAINTIFFS' OPPOSITION TO (1) DEFENDANTS' OBJECTIONS TO PLAINTIFFS' MOTION TO STRIKE EXHIBITS FILED AS PART OF PLAINTIFFS' OPPOSITION TO DEFENDANTS' MOTIONS FOR SUMMARY JUDGMENT AND DEFENDANTS' MOTION TO STRIKE AND (2) DEFENDANTS' MOTION TO EXCLUDE THE DECLARATIONS OF THOMAS SEHESTED, ANDREW KEMPE, AND KATHERYN COGGON FOR PLAINTIFFS' FAILURE TO DISCLOSE FACTUAL WITNESSES I, KATHERINE B. FORREST, hereby declare as follows: 1. I represent plaintiffs in the above-captioned action. I submit this
declaration in support of plaintiffs' opposition to (1) Defendants' Objections to Plaintiffs' Exhibits Filed As Part of Plaintiffs' Opposition to Defendants' Motions for Summary Judgment and Defendants' Motion to Strike, and (2) Defendants' Motion to Exclude the Declarations of Thomas Sehested, Andrew Kempe, and Katheryn Coggon for Plaintiffs' Failure to Disclose Factual Witnesses.
On September 26, 2008, defendants in the above-captioned case filed:
(i) Defendants' Objections to Plaintiffs' Exhibits and Deposition Excerpts to Their Motion for Partial Summary Judgment and Defendants' Motion to Strike Plaintiffs' Exhibits and Deposition Excerpts, (ii) Defendants' Settlement Related and Pre-August 2003 Objections to Plaintiffs' Exhibits To Their Motion for Partial Summary Judgment and Defendants' Motion to Strike Plaintiffs' Exhibits, and (iii) Defendants' Motion to Exclude Plaintiffs' Proffered Expert Summary Judgment Evidence from the Depositions and Reports of Ellis Horowitz, Ph.D and Richard P. Waterman, Ph.D. On November 25, 2008, defendants filed reply papers in further support of those motions, in which they withdrew a number of objections made in their September 26 opening papers. (See Defs.' 11/25/08 Reply In Further Supp. of Defs. Objections to Pls.' Exs. and Dep. Excerpts to Their Motion for Partial Summary Judgment and Defs.' Mot. to Strike Pls.' Exs. and Dep. Excerpts, Attachments A & B.) Under my supervision and at my direction, defendants' November 25, 2008 reply papers were reviewed and we determined that defendants have now withdrawn 69 out of their 90 original exhibit objections based on authenticity, 50 out of their original 128 exhibit objections based on hearsay, and 14 out of their original 31 exhibit objections based on relevance. (Compare Defs. 9/26/08 Mot. to Strike, Attachment A with Defs. 11/25/08 Reply Mot. to Strike, Attachment A.) Defendants have also now withdrawn their objection to the admissibility of Dr. Ellis Horowitz's report on the basis of it having been submitted "unsworn" by Dr. Horowitz. (See Defs. 11/25/08 Reply Mot. to Strike, Attachment B, at 9.) 3. In plaintiffs' October 24, 2006 Rule 26(a) disclosures, the very first name
listed as "likely to have discoverable information" was "Thomas Carpenter . . . MediaSentry Services, SafeNet, Inc . . .". (See Plaintiffs / Counterclaim Defendants' Initial Disclosures -2-
Pursuant to Rule 26(a)(1) of the Federal Rules of Civil Procedure (attached hereto as Exhibit 492) at 2.) 4. Defendants never requested depositions of Thomas Carpenter or any
representative of MediaSentry, including Andrew Kempe. 5. Katheryn Coggan. 6. Plaintiffs disclosed a total of 86 individuals in their 26(a) disclosures. Defendants also never requested depositions of Thomas Sehested or
(See Exhibit 492.) Defendants requested and took the depositions of 11 of these 86 disclosed individuals. 7. On January 31, 2008, my partner, Teena-Ann Sankoorial, wrote a letter to
defendants' counsel to inform defendants of the 31 (now 30) music tracks downloaded using the LimeWire application that plaintiffs intended to rely on to support their direct infringement claims. (See Jan. 31, 2008 letter from Teena-Ann Sankoorial to Joseph Cohen (submitted herewith as Ex. 495).) Defendants served no document requests related to these tracks, took no depositions of anyone with knowledge of the alleged infringement of these tracks and asked no deponent any questions relating to these tracks. 8. Accompanying this declaration is Volume XIV containing exhibits and
declarations as follows: VOLUME XIV · EXHIBIT 492 is a true and correct copy of Plaintiffs / Counterclaim Defendants' Initial Disclosures Pursuant to Rule 26(a)(1) of the Federal Rules of Civil Procedure, dated October 24, 2006.
EXHIBIT 493 is a true and correct copy of Defendants Lime Wire LLC's, Lime Group LLC's, Mark Gorton's and Greg Bildson's Initial Disclosures Pursuant to Federal Rule of Civil Procedure 26(a)(1), dated October 24, 2006.
EXHIBIT 494 is a true and correct copy of Defendants' First Supplemental Disclosures Pursuant to Federal Rule of Civil Procedure 26(a)(1), dated Feb. 22, 2008.
EXHIBIT 495 is a true and correct copy of a letter from Teena-Ann Sankoorial to Joseph Cohen, dated Jan. 31, 2008.
EXHIBIT 496 is a true and correct copy of a CD-ROM requested by plaintiffs and provided to plaintiffs by defendants on August 4, 2008, containing the files Susan Cates said in her declaration, dated July 17, 2008, that she had downloaded.
EXHIBIT 497 is a compilation of true and correct copies of 35 publicly filed judgments entering, inter alia, permanent injunction and damages orders enjoining various defendants from directly or indirectly infringing plaintiffs' rights under federal or state law.
Declarations · · · · Cuneo, Elizabeth Kempe, Andrew Minarovich, Siobhain Sehested, Thomas -4-
I declare under penalty of perjury that the above is true and correct.
Executed on December 5, 2008
Katherine B. Forrest