The Authors Guild v. Google, Inc.
Filing
6
FORM C, on behalf of Appellant Jim Bouton, Joseph Goulden, Betty Miles and The Authors Guild, FILED. Service date 01/06/2014 by CM/ECF.[1126648] [13-4829]
EXHIBIT2
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CLOSED, APPEAL, ECF
U.S. District Court
Southern District of New York (Foley Square)
CIVIL DOCKET FOR CASE #: 1:05-cv-08136-DC
The Authors Guild et al v. Google Inc.
Assigned to: Judge Denny Chin
Related Cases: 1:05-cv-0888 1-DC
1:1 0-cv-02977-DC
Case in other court: USCA 2nd Circuit, 09-02224-cv
Cause: 17:101 Copyright Infringement
Date Filed: 09/20/2005
Date Terminated: 11/27/2013
Jury Demand: Both
Nature of Suit: 820 Copyright
Jurisdiction: Federal Question
Plaintiff
Herbert Mitgang
TERMINATED: 01/1 7/2012
represented by Michael J. Boni
Boni & Zack LLC
15 St. Asaphs Road
Bala Cynwyd, PA 19004
(610) 822-0200
Fax: (610) 822-0206
Email: mboni@bonizack.com
LEAD ATTORNEY
Sanford P. Dumain
Milberg LLP (NYC)
One Pennsylvania Plaza
New York, NY 10119
212-594-5300
Fax: 212-868-1229
Email: sdumainmi1berg.com
LEAD ATTORNEY
Joanne E. Zack
Boni & Zack LLC
15 St. Asaphs Road
Bala Cynwyd, PA 19004
(61 0)-822-0202
Fax: (610)-822-0206
Email: jzackbonizack.com
Robert J. Larocca
Kohn, Swift & Graf, P.C.
One South Broad Street
Suite 2100
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Philadelphia, PA 19107
(215) 238-1700
Fax: (215) 238-1968
Email: rlarocca@kohnswift. corn
PRO HAC VICE
Plaintiff
Betty Miles
individually and on behaifofall others
similarly situated
represented by Michael J. Boni
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Sanford P. Dumain
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Joanne E. Zack
(See above for address)
ATTORNEY TO BE NOTICED
Robert J. Larocca
(See above for address)
PRO HAC VICE
ATTORNEY TO BE NOTICED
Plaintiff
Daniel Hoffman
individually and on behafofall others
similarly situated
TERMINATED: 01/17/2012
represented by Michael J. Boni
(See above for address)
LEAD ATTORNEY
Sanford P. Dumain
(See above for address)
LEAD ATTORNEY
Joanne E. Zack
(See above for address)
Robert J. Larocca
(See above for address)
PRO HAC VICE
Plaintiff
Paul Dickson
TERMINATED: 01/] 7/2012
2 of204
represented by Joanne E. Zack
(See above for address)
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Michael J. Boni
(See above for address)
Robert J. Larocca
(See above for address)
PRO HAC VICE
Sanford P. Dumain
(See above for address)
Plaintiff
Joseph Goulden
individually and on behaifofall others
similarly situated
represented by Joanne E. Zack
(See above for address)
ATTORNEY TO BE NOTICED
Michael J. Boni
(See above for address)
ATTORNEY TO BE NOTICED
Robert J. Larocca
(See above for address)
PRO HAC VICE
ATTORNEY TO BE NOTICED
Sanford P. Dumain
(See above for address)
ATTORNEY TO BE NOTICED
Plaintiff
Association of American Publishers,
Inc.
represented by Jeffrey Paul Cunard
Debevoise & Plimpton LLP (DC)
919 Third Avenue
New York, NY 10022
212-909-6000
Fax: 212-909-6836
Email: jpcunarddebevoise.com
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Bruce P. Keller
Debevoise & Plimpton, LLP (NYC)
919 Third Avenue,3lst Floor
New York, NY 10022
212 909-6000
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Fax: 212 909-6836
Email: bpkeller@debevoise.com
ATTORNEY TO BE NOTICED
Plaintiff
The McGraw-Hill Companies, Inc.
represented by Jeffrey Paul Cunard
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Bruce P. Keller
(See above for address)
ATTORNEY TO BE NOTICED
Plaintiff
Pearson Education, Inc.
represented by Jeffrey Paul Cunard
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Bruce P. Keller
(See above for address)
ATTORNEY TO BE NOTICED
Plaintiff
Pearson Education, Inc.
represented by Jeffrey Paul Cunard
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Bruce P. Keller
(See above for address)
ATTORNEY TO BE NOTICED
Plaintiff
Simon & Schuster, Inc.
represented by Jeffrey Paul Cunard
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Bruce P. Keller
(See above for address)
ATTORNEY TO BE NOTICED
Plaintiff
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John Wiley & Sons, Inc.
individually and on behaifofall others
similarly situated
https://ecf.nysd.uscourts.gov/cgi-bin/DktRpt.pI?63663 1060226866-...
represented by Jeffrey Paul Cunard
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Bruce P. Keller
(See above for address)
ATTORNEY TO BE NOTICED
Plaintiff
Canadian Standard Association
represented
by Kristin Hackett Neuman
Proskauer Rose LLP (NY)
11 Times Square
New York, NY 10036
(203)321-2924
Email: kneuman@proskauer.com
TERMINA TED: 09/21/2009
LEAD ATTORNEY
William Irwin Kohn
Benesch Friedlander Coplan & Aronoff
LLP
200 Public Square
Cleveland, OH 44114
(21 6)-363-4 182
Fax: (216)-363-4588
Email: wkohn@beneschlaw.com
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Bruce P. Keller
(See above for address)
ATTORNEY TO BE NOTICED
Plaintiff
Jim Bouton
represented by Joanne E. Zack
(See above for address)
ATTORNEY TO BE NOTICED
Michael J. Boni
(See above for address)
ATTORNEY TO BE NOTICED
Plaintiff
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The Authors Guild
https://ecf,nysd.uscourts.gov/cgi-bin/DktRpt.pl?63663 1060226866-...
represented by Edward Henry Rosenthal
Frankfurt Kurnit Klein & Selz, P.C.
488 Madison Avenue
New York, NY 10022
(212)-980-0120
Fax: (212)-593-9175
Email: erosenthal@flcks.com
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Jeremy Seth Goldman
Frankfurt Kurnit Klein & Selz, P.C.
488 Madison Avenue
New York, NY 10022
(212)980-0120 x705-4843
Fax: (212) 593-9175
Email: jgoldmanfkks.com
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Michael J. Boni
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Sanford P. Dumain
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Joanne E. Zack
(See above for address)
ATTORNEY TO BE NOTICED
Robert J. Larocca
(See above for address)
PRO HAC VICE
ATTORNEY TO BE NOTICED
V.
Appellant
Lewis Hyde
TERMINATED: 06/08/201]
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represented by Nathan Z. Dershowitz
Dershowitz, Eiger & Adelson, P.C.
220 Fifth Avenue, Suite 300
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New York, NY 10001
(212) 889-4009
Fax: (212) 889-3595
Email: ndershowitz@lawdea.com
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Martin Garbus
Davis & Gilbert LLP
1740 Broadway
New York, NY 10019
212 468 4883
Fax: 212 468 4888
Email: mgarbus@evw.com
ATTORNEY TO BE NOTICED
Appellant
Harry Lewis
TERMINATED: 06/08/2011
represented by Martin Garbus
(See above for address)
ATTORNEY TO BE NOTICED
Appellant
Open Access Trust Inc.
TERMINATED: 06/08/2011
represented by Martin Garbus
(See above for address)
ATTORNEY TO BE NOTICED
Appellant
Charles Nesson
TERMINATED: 06/08/201]
represented by Charles Nesson
PRO SE
Appellant
Nicholas Negroponte
TERMINATED: 06/08/2011
represented by Nicholas Negroponte
PRO SE
V.
Defendant
Google Inc.
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represented by David J. Silbert
Keker & Van Nest, LLP
710 Sansome Street
San Francisco, CA 94111
(415) 391-5400
Fax: (415) 397-7188
TERMINA TED: 03/24/2009
LEAD ATTORNEY
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PRO HAC VICE
Melissa J. Miksch
Keker & Van Nest, LLP
710 Sansome Street
San Francisco, CA 94111
(415) 391-5400
Fax: (415) 397-7188
Email: mmiksch@kvn.com
TERMINA TED: 03/24/2009
LEAD ATTORNEY
PRO HAC VICE
Robert Jay Bernstein
The Law Offices of Robert J. Bernstein
380 Lexington Avenue, 17th Floor
New York, NY 10022
(212) 551-1068
Fax: (212) 551-1001
Email: rjb@robert-bernsteinlaw.com
TERMJNA TED: 05/11/2006
LEAD ATTORNEY
Ronald Lee Raider
Kilpatrick Townsend & Stockton
LLP(GA)
1100 Peachtree Street
Suite 2800
Atlanta, GA 30309
(404)-532-6909
Fax: (404)-815-6555
Email: rraider@kilpatrickstockton.com
LEAD ATTORNEY
PRO HAC VICE
ATTORNEY TO BE NOTICED
Adam Howard Charnes
Kilpatrick Stockton LLP (NC)
1001 West Fourth Street
Winston-Salem, NC 27101
(336)-607-73 82
Fax: (336)-734-2602
Email:
achames@kilpatricktownsend.com
PRO HAC VICE
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ATTORNEY TO BE NOTICED
Alex Seth Fonoroff, S
Kilpatrick Townsend & Stockton
LLP(GA)
1100 Peachtree Street
Suite 2800
Atlanta, GA 30309
(404)-8 15-6436
Fax: (404)-541-3202
Email:
afonoroff@kilpatrickstockton.com
ATTORNEY TO BE NOTICED
Daralyn Jeannine Dune
Dune Tangri LLP
217 Leidesdorff Street
San Francisco, CA 94111
(415) 362-6666
Fax: (415) 236-6300
Email: dduniedurietangri .com
PROHAC VICE
ATTORNEY TO BE NOTICED
David Floyd McGowan
Dune Tangri LLP
217 Leidesdorff Street
San Francisco, CA 94111
(415) 362-6666
Fax: (415) 236-6300
Email: dmcgowandurietangri.com
PRO HAC VICE
ATTORNEY TO BE NOTICED
Genevieve P Rosloff
Dune Tangri LLP
217 Leidesdorff Street
San Francisco, CA 94111
(415) 632-6666
Fax: (415) 236-6300
Email: jrosloffdurietangri.com
PRO HAC VICE
ATTORNEY TO BE NOTICED
Jeffrey A. Conciatori
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Quinn Emanuel
51 Madison Avenue, 22nd Floor
New York, NY 10010
212-702-8130
Fax: 212-702-8200
Email:
jeffreyconciatoriquinnemanuel. corn
ATTORNEY TO BE NOTICED
Joseph M. Beck
Kilpatrick Townsend & Stockton
LLP(GA)
1100 Peachtree Street
Suite 2800
Atlanta, GA 30309
(404)-8 15-6406
Fax: (404)-541-3 126
Email: jbeck@kilpatrickstockton.com
PRO HAC VICE
ATTORNEY TO BE NOTICED
Joseph C. Gratz
Dune Tangni LLP
217 Leidesdorff Street
San Francisco, CA 94111
(415) 362-6666
Fax: (415) 236-6300
Email: jgratz@durietangri.com
PRO HAC VICE
ATTORNEY TO BE NOTICED
ADR Provider
Jack Beerman
represented by Joseph Solomon Hall
Kellogg, Huber, Hansen, Todd, Evans &
Figel, PLLC (DC)
1615 M Street, N.W., Suite 400
Washington, DC 20036
202 326 7983
Fax: 202 326 7999
Email: jhallkhhte.com
TERMINA TED: 10/30/2009
Michael John Guzman
Kellogg, Huber, Hansen, Todd, Evans &
Figel, PLLC (DC)
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1615 M Street, N.W., Suite 400
Washington, DC 20036
202-326-7910
Fax: 202-326-7999
TERMINATED: 10/30/2009
ADR Provider
Privacy Authors and Publishers
TERMINA TED: 06/08/2011
ADR Provider
Gary Rhoades
ADR Provider
Giles Sandeman-Allen
Objector
David Meininger
represented by Rachel Eve Schwartz
Rachel E. Schwartz, Esq.,
267 Edgecome Avenue
Suite 2H
New York, NY 10031
(646)-41 5-4977
Email: racheleschwartz@juno.com
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
John W. Davis
Law officec of John W. Davis
501 W. Broadway
Suite 800
San Diego, CA 92101
(619) 400-4870
Fax: (619)-342-7170
Email: jwdesq@yahoo.com
ATTORNEY TO BE NOTICED
Objector
Harold Bloom
represented
by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
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Objector
Elliot Abrams
represented
by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
Objector
Phyllis Ammons
represented
by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINA TED: 10/30/2009
Objector
Richard Armey
represented by Joseph Solomon Hall
(See above for address)
TERMINATED. 10/30/2009
Michael John Guzman
(See above for address)
TERMINA TED: 10/30/2009
Objector
Jacques Barzun
represented by Joseph Solomon Hall
(See above for address)
TERMINA TED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
Objector
Nicholas Basbanes
represented by Joseph Solomon Hall
(See above for address)
TERMINA TED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINA TED: 10/30/2009
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Objector
Stephen Bates
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
Objector
Shawn J. Bayern
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINA TED: 10/30/2009
Objector
Michael Behe
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINA TED: 10/30/2009
Objector
Michael Cox
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
Objector
Douglas Crase
represented by Joseph Solomon Hall
(See above for address)
TERMINA TED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
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Ob.j ector
Frank Gonzalez-Crussi
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
Objector
Midge Decter
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
Objector
John Derbyshire
represented by Joseph Solomon Hall
(See above for address)
TERMINA TED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
Ob.j ector
Estate of Thomas M. Disch
represented by Joseph Solomon Hall
(See above for address)
TERMINA TED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINA TED: 10/30/2009
Objector
Gerald Early
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
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Objector
Mel Eisenberg
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
Obj ector
Richard A. Epstein
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
Objector
Henry Fetter
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Gnzman
(See above for address)
TERMINATED: 10/30/2009
Obj ector
David D. Friedman
represented by Joseph Solomon Hall
(See above for address)
TERMINA TED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
Objector
David Gelernter
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINA TED: 10/30/2009
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Objector
Gabrielle Glaser
represented by Joseph Solomon Hall
(See above for address)
TERMINA TED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
Ob ector
Mary Ann Glendon
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
Objector
Victor Davis Hanson
represented by Joseph Solomon Hall
(See above for address)
TERMINA TED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
Objector
Robert Herbold
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINA TED: 10/30/2009
Objector
Arthur Herman
represented
by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
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Charles Hill
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINA TED: 10/30/2009
Objector
Manuela Hoelterhoff
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINA TED: 10/30/2009
Objector
Richard Howard
represented by Joseph Solomon Hall
(See above for address)
TERMINA TED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
Objector
Ishmael Jones
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINA TED: 10/30/2009
Objector
Donald Kagan
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
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Objector
David Kuo
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINA TED: 10/30/2009
Objector
Michael Ledeen
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINA TED: 10/30/2009
Objector
Susan Lee
represented by Joseph Solomon Hall
(See above for address)
TERMINA TED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
Objector
Mary Lefkowitz
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
Objector
David Lehman
represented by Joseph Solomon Hall
(See above for address)
TERMINATED. 10/30/2009
Michael John Guzman
(See above for address)
TERMINA TED: 10/30/2009
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Objector
John Lehman
represented
by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
Objector
Howard Markel
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINA TED: 10/30/2009
Objector
Sherwin B. Nuland
represented by
Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Gnzman
(See above for address)
TERMINATED: 10/30/2009
Ob.j ector
Steven Ozment
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
Objector
Michael Perry
represented by Joseph Solomon Hall
(See above for address)
TERMINA TED.’ 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
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Objector
Norman Podhoretz
represented by Joseph Solomon Hall
(See above for address)
TERMINA TED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
Objector
Diane Ravitch
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
Objector
Ralph Reed
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
Objector
Harriet Rubin
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
Objector
Sarah Ruden
represented
by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
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Obi ector
Peter Schweizer
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
Objector
Roger Simon
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
Objector
Roy Spencer
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
Objector
Geoffrey R. Stone
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINA TED: 10/30/2009
Objector
Charles Sykes
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
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Objector
Terry Teachout
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINA TED: 10/30/2009
Objector
Paco Underhill
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
Objector
Ruth Wisse
represented by Joseph Solomon Hall
(See above for address)
TERMINA TED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
Obj ector
Elizabeth Wurtzel
represented by Joseph Solomon Hall
(See above for address)
TERMINATED. 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
Objector
John Yoo
represented by Joseph Solomon Hall
(See above for address)
TERMINA TED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
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Objector
Amazon.com, Inc.
represented by Alexander F Wiles
Irell & Manella LLP
840 Newport Center Drive, Suite 400
Newport Beach, CA 92660
(310)-277-1010
Fax: (310)-203-7199
Email: awiles@irell.com
LEAD ATTORNEY
PRO HAC VICE
ATTORNEY TO BE NOTICED
David Nimmer
Irell & Manella LLP (Los Angeles)
1800 Avenue of the Stars, Suite 900
Los Angeles, CA 90067
(310) 277-1010
Fax: (310) 203-7199
Email: dnimmer@irell.com
ATTORNEY TO BE NOTICED
David A. Zapoisky
Amazon.Com
Post Office Box 81226
Seattle, WA 98108
(206)-266- 1323
Fax: (206)-266-701 0
Email: davidz@amazon.com
ATTORNEY TO BE NOTICED
Objector
Class Member Objectors
represented by Cindy A. Cohn
Electronic Frontier Foundation
815 Eddy Street
San Francisco, CA 94109
(415) 436-9333
Fax: (415) 436-9993
Email: cindy@eff.org
PRO HAC VICE
ATTORNEY TO BE NOTICED
Objector
Studentlitteratur AB
Objector
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Arlo Guthrie
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represented by Andrew C. DeVore
DeVore & DeMarco, L.L.P.
99 Park Avenue
16th Floor
New York, NY 10016
(212) 922-9499
Fax: (212) 922-1799
Email: acd@devoredemarco.com
TERMINATED: 03/27/2012
LEAD ATTORNEY
Amin S. Kassam
DeVore & DeMarco, L.L.P.
99 Park Avenue
16th Floor
New York, NY 10016
(212) 922-9499
Fax: (212) 922-1799
Email: akassam3bloomberg.net
TERMINA TED: 03/27/2012
Objector
Julia Wright
represented by Andrew C. DeVore
(See above for address)
TERMINA TED. 03/27/2012
LEAD ATTORNEY
Amin S. Kassam
(See above for address)
TERMINATED: 03/27/2012
Objector
Catherine Ryan Hyde
represented
by Andrew C. DeVore
(See above for address)
TERMINATED: 03/27/2012
LEAD ATTORNEY
Amin S. Kassam
(See above for address)
TERMINA TED. 03/27/2012
Objector
Eugene Linden
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represented by Andrew C. DeVore
(See above for address)
TERMINATED: 03/27/2012
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LEAD ATTORNEY
Amin S. Kassam
(See above for address)
TERMINATED: 03/27/2012
Objector
The American Society of Media
Photographers, Inc.
represented
by Shirley Othmana Saed
Dickstein Shapiro LLP (NYC)
1633 Broadway
New York, NY 10019-6708
(212) 277-6687
Fax: (212)277-6501
Email: SaedS@dsmo.com
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Charles D. Ossola
Dickstein Shapiro LLP (DC)
1825 Eye Street, N.W.
Washington, DC 20006-5403
(202) 420-2200
Fax: (202) 420-2201
Email: osso1ac@dicksteinshapiro.com
PRO HAC VICE
ATTORNEY TO BE NOTICED
Christina Jacqueline DeVries
Enterprise Counsel Group
Five Park Plaza
Suite 450
Irvine, CA 92614
(949)-833-8550
Fax: (949)-833-8540
Email: cdevriesenterprisecounseI. corn
AITORNEY TO BE NOTICED
Elaine Metlin
Dickstein Shapiro LLP (DC)
1825 Eye Street, N.W.
Washington, DC 20006-5403
(202) 420-2200
Fax: (202) 420-2201
PRO HAC VICE
ATTORNEY TO BE NOTICED
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Victor Sigmund Penman
American Society of Media
Photographers
150 North Second Street
Philadelphia, PA 19106
(215) 415-2767
Fax: (215) 451-0880
Email: perlman@asmp.org
PRO HAC VICE
ATTORNEY TO BE NOTICED
Objector
Graphic Artists Guild
represented by Shirley Othmana Saed
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Charles D. Ossola
(See above for address)
PRO HAC VICE
ATTORNEY TO BE NOTICED
Christina Jacqueline DeVnies
(See above for address)
ATTORNEY TO BE NOTICED
Elaine Metlin
(See above for address)
PRO HAC VICE
ATTORNEY TO BE NOTICED
Victor Sigmund Penman
(See above for address)
PRO HAC VICE
ATTORNEY TO BE NOTICED
Objector
Picture Archive Council of America
represented by Shirley Othmana Saed
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Charles D. Ossola
(See above for address)
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PRO HAC VICE
ATTORNEY TO BE NOTICED
Christina Jacqueline DeVries
(See above for address)
ATTORNEY TO BE NOTICED
Elaine Metlin
(See above for address)
PRO HAC VICE
ATTORNEY TO BE NOTICED
Victor Sigmund Penman
(See above for address)
PRO HAC VICE
ATTORNEY TO BE NOTICED
Objector
North American Nature Photography
Association
represented by Shirley Othmana Saed
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Charles D. Ossola
(See above for address)
PRO HAC VICE
ATTORNEY TO BE NOTICED
Christina Jacqueline DeVnies
(See above for address)
ATTORNEY TO BE NOTICED
Elaine Metlin
(See above for address)
PRO HAC VICE
ATTORNEY TO BE NOTICED
Victor Sigmund Perlman
(See above for address)
PRO HAC VICE
ATTORNEY TO BE NOTICED
Objector
Joel Meyerowitz
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represented by Shirley Othmana Saed
(See above for address)
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LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Charles D. Ossola
(See above for address)
PRO HAC VICE
ATTORNEY TO BE NOTICED
Christina Jacqueline DeVries
(See above for address)
ATTORNEY TO BE NOTICED
Elaine Metlin
(See above for address)
PRO HAC VICE
ATTORNEY TO BE NOTICED
Victor Sigmund Perlman
(See above for address)
PRO HAC VICE
ATTORNEY TO BE NOTICED
Objector
Dan Budnick
represented
by Shirley Othmana Saed
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Charles D. Ossola
(See above for address)
PRO HAC VICE
ATTORNEY TO BE NOTICED
Christina Jacqueline DeVries
(See above for address)
ATTORNEY TO BE NOTICED
Elaine Metlin
(See above for address)
PRO HAC VICE
ATTORNEY TO BE NOTICED
Victor Sigmund Penman
(See above for address)
PRO HAC VICE
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ATTORNEY TO BE NOTICED
Objector
Peter Turner
represented by Shirley Othmana Saed
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Charles D. Ossola
(See above for address)
PRO HAC VICE
ATTORNEY TO BE NOTICED
Elaine Metlin
(See above for address)
PRO HAC VICE
ATTORNEY TO BE NOTICED
Victor Sigmund Penman
(See above for address)
PRO HAC VICE
ATTORNEY TO BE NOTICED
Objector
Lou Jacobs, Jr
represented by Shirley Othmana Saed
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Charles D. Ossola
(See above for address)
PRO HAC VICE
ATTORNEY TO BE NOTICED
Christina Jacqueline DeVries
(See above for address)
ATTORNEY TO BE NOTICED
Elaine Metlin
(See above for address)
PRO HAC VICE
ATTORNEY TO BE NOTICED
Victor Sigmund Perlman
(See above for address)
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PRO HAC VICE
ATTORNEY TO BE NOTICED
Objector
Ishmael Jones
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Obj ector
Wendy Shalit
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Objector
American Society of Journalists and
Authors
represented by Jennifer Lynch
UC Berkeley School of Law, Samuelson
Clinic
389 Simon Hall
Berkeley, CA 94720
(510) 642-7515
Fax: (510) 643-4625
LEAD ATTORNEY
PRO HAC VICE
ATTORNEY TO BE NOTICED
Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Objector
Charlotte Allen
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Objector
DC Comics
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represented by Katherine B Forrest
Cravath, Swaine & Moore LLP
825 Eighth Avenue
New York, NY 10019
(212) 474-1000
Fax: (212) 474-3700
Email: kforrest@cravath.com
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
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Mark Lloyd Silverstein
Cravath, Swaine & Moore LLP
825 Eighth Avenue
New York, NY 10019
(212)-474-1355
Fax: (21 2)-474-3 700
Email: msilverstein@cravath.com
ATTORNEY TO BE NOTICED
Objector
Microsoft Corporation
represented by Charles Blame Casper
Montgomery, McCracken, Walker &
Rhoads, LLP (PA)
123 South Broad Street
Philadelphia, PA 19109
(215) 772-1500 x7223
Fax: (215) 731-3750
Email: ccasper@mmwr.com
ATTORNEY TO BE NOTICED
Richard Montgomery Donaldson
Montgomery, McCraken, Walker &
Rhoads, LLP (DE)
1105 North Market Street
Suite 1500
Wilmington, DE 19801
(302) 504-7800
Fax: (302) 504-7820
Email: rdonaldson@mmwr.com
PRO HAC VICE
ATTORNEY TO BE NOTICED
Thomas Cort Rubin
Microsoft Corporation
1 Microsoft Way
Redmond, WA 98052
(425)-706-6 149
Fax: (425)-708-4840
Email: tom.rubin@microsoft.com
ATTORNEY TO BE NOTICED
Objector
Hachette Livre SA
represented by Robert C. Micheletto
Jones Day (NYC)
222 East 41St Street
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New York, NY 10017
(21 2)-326-3 690
Fax: (212)-755-7306
Email: rmichelettojonesday.corn
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Nidhi Yadava
Jones Day (NYC)
222 East 41st Street
New York, NY 10017
(212) 326-3939 x3746
Fax: (212) 755-7306
Email: nyadavaj onesday.corn
ATTORNEY TO BE NOTICED
Objector
Librarie Arthme Fayard SA
represented by Robert C. Micheletto
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Nidhi Yadava
(See above for address)
ATTORNEY TO BE NOTICED
Objector
Dunod Editeur SA
represented by Robert C. Micheletto
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Nidhi Yadava
(See above for address)
ATTORNEY TO BE NOTICED
Ob.j ector
Les Editions Hatier SNC
represented
by Robert C. Micheletto
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Nidhi Yadava
(See above for address)
ATTORNEY TO BE NOTICED
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Objector
Editions Larousse SAS
represented by Robert C. Micheletto
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Nidhi Yadava
(See above for address)
ATTORNEY TO BE NOTICED
Objector
Editorial Salvat SL
represented by Robert C. Micheletto
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Nidhi Yadava
(See above for address)
ATTORNEY TO BE NOTICED
Objector
Grupo Anaya SA
represented by Robert C. Micheletto
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Nidhi Yadava
(See above for address)
ATTORNEY TO BE NOTICED
Objector
Algaida Editores, S.A.
represented by Robert C. Micheletto
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Nidhi Yadava
(See above for address)
ATTORNEY TO BE NOTICED
Objector
Alianza Editorial, S.A.
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represented by Robert C. Micheletto
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
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Nidhi Yadava
(See above for address)
ATTORNEY TO BE NOTICED
Objector
Edicions Xerais Be Galicia, S.A.
represented by Robert C. Micheletto
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Nidhi Yadava
(See above for address)
ATTORNEY TO BE NOTICED
Objector
Editorial Barcanova, S.A.
represented by Robert C. Micheletto
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Nidhi Yadava
(See above for address)
ATTORNEY TO BE NOTICED
Objector
Larousse Editorial, S.L
represented by Robert C. Micheletto
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Nidhi Yadava
(See above for address)
ATTORNEY TO BE NOTICED
Objector
Grupo Editorial Bruno, S.L.
represented by Robert C. Micheletto
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Nidhi Yadava
(See above for address)
ATTORNEY TO BE NOTICED
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Objector
Edelsa Grupo Didascalia, S.A.
represented by Robert C. Micheletto
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Nidhi Yadava
(See above for address)
ATTORNEY TO BE NOTICED
Objector
Hachette UK Limited
represented by Robert C. Micheletto
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Nidhi Yadava
(See above for address)
ATTORNEY TO BE NOTICED
Objector
Takashi Atouda
represented by Yasuhiro Saito
Carter, Ledyard & Milburn,L.L.P.
2 Wall Street
New York, NY 10005
212 238 8614
Fax: 212 732 3232
Email: saitoclm.com
ATTORNEY TO BE NOTICED
Objector
Susumu Nakanishi
represented by Yasuhiro Saito
(See above for address)
ATTORNEY TO BE NOTICED
Objector
Akiko Shimojyu
represented by Yasuhiro Saito
(See above for address)
ATTORNEY TO BE NOTICED
Objector
Jiro Asada
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represented
by Yasuhiro Saito
(See above for address)
ATTORNEY TO BE NOTICED
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Objector
Takeaki Hon
represented by Yasuhiro Saito
(See above for address)
ATTORNEY TO BE NOTICED
Objector
Yuko Matsumoto
represented by Yasuhiro Saito
(See above for address)
ATTORNEY TO BE NOTICED
Objector
Chihaya Takahashi
represented by Yasuhiro Saito
(See above for address)
ATTORNEY TO BE NOTICED
Obj ector
Shinobu Yoshioka
represented by Yasuhiro Saito
(See above for address)
ATTORNEY TO BE NOTICED
Objector
Kenta Yamada
represented by Yasuhiro Saito
(See above for address)
ATTORNEY TO BE NOTICED
Objector
Tomotsuyo Aizawa
represented by Yasuhiro Saito
(See above for address)
ATTORNEY TO BE NOTICED
Objector
Yu Ohara
represented by Yasuhiro Saito
(See above for address)
ATTORNEY TO BE NOTICED
Objector
Yasumasa Kiyohara
represented by Yasuhiro Saito
(See above for address)
ATTORNEY TO BE NOTICED
Objector
Takashi Tsujii
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represented by Yasuhiro Saito
(See above for address)
ATTORNEY TO BE NOTICED
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Objector
Akira Nogami
represented by Yasuhiro Saito
(See above for address)
ATTORNEY TO BE NOTICED
Objector
Hiroyuki Shinoda
represented by Yasuhiro Saito
(See above for address)
ATTORNEY TO BE NOTICED
Objector
Toshihiko Yuasa
represented by Yasuhiro Saito
(See above for address)
ATTORNEY TO BE NOTICED
Objector
Koichi Kato
represented by Yasuhiro Saito
(See above for address)
ATTORNEY TO BE NOTICED
Objector
Masahiko Motoki
represented by Yasuhiro Saito
(See above for address)
ATTORNEY TO BE NOTICED
Objector
Hidehiko Nakanishi
represented by Yasuhiro Saito
(See above for address)
ATTORNEY TO BE NOTICED
Objector
Yashio Uemura
represented by Yasuhiro Saito
(See above for address)
ATTORNEY TO BE NOTICED
Objector
Nobuo Uda
represented by Yasuhiro Saito
(See above for address)
ATTORNEY TO BE NOTICED
Objector
Tsukasa Yoshida
represented by Yasuhiro Saito
(See above for address)
ATTORNEY TO BE NOTICED
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Objector
Canadian Standards Association
represented
by Kristin Hackett Neuman
(See above for address)
TERMINA TED: 09/21/2009
LEAD ATTORNEY
Mark Edward Avsec
Mark E. Avsec, Esq.,
200 Public Square
Suite 2300
Cleveland, OH 44114-2378
(216) 363-4500
Fax: (216) 363-4588
Email: mavsec@beneschlaw.com
LEAD ATTORNEY
PRO HAC VICE
ATTORNEY TO BE NOTICED
Bruce P. Keller
(See above for address)
ATTORNEY TO BE NOTICED
Objector
Eric Jager
represented by Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Objector
Privacy Authors and Publishers
Objector
Charles D Weller
Objector
Charles D Weller
Objector
weller
Objector
Charles D Weller
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represented by Edward Frank Siegel
27600 Chagrin Blvd. #340
Cleveland, OH 44124
(216) 831-3424
Fax: (216) 831-6584
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Email: efsiegel@efs-law.com
PRO HAC VICE
ATTORNEY TO BE NOTICED
Objector
Yahoo! Inc.
represented by Robert Cunningham Turner
Winston & Strawn LLP (NY)
200 Park Avenue
New York, NY 10166
(212) 294-3538
Fax: (212) 294-4700
Email: rturner@winston.com
ATTORNEY TO BE NOTICED
Objector
Dirk Sutro
Objector
Free Software Foundation, Inc.
Objector
Songwriters Guild of America
Objector
Darlene Marshall
represented by Matthew Jay Weiss
Weiss & Associates, P.C
419 Park Avenue South
2nd Flr.
New York, NY 10001
(21 2)-683-7373
Fax: (212)-726-0135
Email:
mjweiss@weissandassociatespc.com
ATTORNEY TO BE NOTICED
Paul S. Rothstein
Solo Practitioner
626 N.E. 1st St.
Gainsville, FL 32601
352-376-7650
Fax: 352-374-7133
PRO HAC VICE
ATTORNEY TO BE NOTICED
Objector
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Darlene Marshall
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represented by Paul S. Rothstein
(See above for address)
PRO HAC VICE
ATTORNEY TO BE NOTICED
Objector
Ravensburger Buchverlag Otto
Maier GmbH
Objector
Dietrich zu Kiampen Verlag GbR
Objector
Cornelsen Verlag GmbH
Objector
Cornelsen Verlag Scriptor GmbH &
Co. KG
Objector
Karl-May-Verlag
Objector
VDI Verlag GmbH
Objector
Verlag Europa-Lehrmittel
Objector
Fachbuchverlag Pfanneberg
Objector
Friedrich Kiehl Verlag GmbH
Objector
P. Kerchheim Verlag
Objector
Martin Wichert
Ob.j ector
Tom Kraushaar
Objector
Sakari Laiho
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Objector
Klaus W. Mueller
Objector
Koninklijke Van Gorcum B.V.
Objector
Ulich Pokern
Objector
Tb Knoche
Objector
Dr. W. Georg Olms
Objector
The Deutsche Stiftung
Denkmalschutz
Objector
Vde Verlag GmbH
Objector
Atrium Veriag AG
Objector
Hinstorff Verlag GmbH
Objector
Sautter & Lackmann
Gachbuchhandlung
Objector
Dr. Martina Erdmann
Objector
Junius Verlag GmbH
Objector
Verlag Handwcrk und Technik
GmbH
Objector
Cadmos Verlag GmbH
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Objector
Tanja Graf
Objector
Arche Literatur Verlag AG
Objector
Alba Fachverlag GmbH & Co.KG
Objector
French Publishers Association
Objector
Les Editions De Minuit S.A.
Objector
The Japan Writers’ Association
Objector
The Dutch Publishers Association
(NUV)
Objector
Frommann-holzboog e.K.
Objector
Bouvier Berlag
Objector
“Copyright for Education and
Science” (CCES)
Objector
Adrian Schommers
Objector
Dag Hernried
Objector
Lena Andersson
Objector
Caterin Christell Grimlund
Objector
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David Stansvik
Objector
Par Sjolinder
Objector
Kristoffer Lind
Objector
Karl Heinz Bonny
Objector
Andreas Schulz
Objector
Dr. Martin Wagner
Ob.j ector
Hans-Jurgen Dietrich
Objector
Dr. Susanne Greiner
Objector
Harald Kirbach
Objector
Chris Schoen
Objector
Cordula Walter-Bolbofer
Objector
Georg Holzmeister
Objector
Joachim Weilder
Objector
Peter Hohi
Objector
Dr. Reinhard Martini
Objector
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Torbjorn Santerus
Objector
Russell Davis
Objector
Owen Atkinson
Objector
Gordon Charles Eli
Obj ector
Antonette R Jones
Objector
Ann Louise Mitcalfe
Objector
Malcolm Campbell
Objector
Ulf Heimdahl
Objector
Bernd Vincent Walbaum
Objector
Ingwert Paulsen
Objector
Sudi Shayesteh
Obj ector
Merrill Parra
Objector
Isabelle Jeuge-Maynary
Objector
Nathalie Jouven
Objector
Serge Enyrolles
Objector
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Objector
E.A. van Ingen
Objector
Eva Swartz
Objector
Arnaud Nourry
Objector
Vincent Montagne
Objector
Bjorn Andersson
Objector
Ben-Ami Freier
Objector
Alain Kouck
Objector
Ursula Rosengart
Objector
Alexander Potyka
Objector
Dr. Carsten C. Hubner
Objector
Elisabeth Zerlauth
Objector
Johan de Koning
Objector
Joachim Kamphausen
Objector
Michael Cramm
Objector
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Albrecht Oldenbourg
Objector
Regina Lindhoff
Objector
John C. Lorenz
Objector
Dana P. Tierney
Objector
Paul A. Heider
Objector
Sara Mella
Objector
Diana Kimpton
Objector
Norbert Treuheit
Objector
Teresa Cremisi
Objector
Kristin Nilsson
Objector
Brigitte Fleissner-Mikorey
Objector
Dr. Sven Fund
Objector
Olivier Nora
Objector
Kobushi Shobo
Objector
Bernhard Bucker
Objector
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Hans Nijenhuis
Objector
Tatjana Sepin
Objector
Ulrike Jurgens
Objector
Eginhard Hohne
Objector
Bernd Tofflinger
Objector
Henk Scheenstra
Objector
Antoine Gallimard
Objector
Claude Portmann
Objector
Michael Schweins
Objector
Robert Dimbleby
Objector
Michael Vogtmeier
Objector
Klaas Jarchow
Obj ector
Stephen Cox
Objector
Francis Esmenard
Objector
Oskar Klan
Objector
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Axel Schonberger
Objector
Albrecht Koschutzke
Obj ector
Jean L. Cooper
Objector
Kazufumi Watanabe
Ob.jector
Mitchell Allen
Objector
Jesus Sanchez Garcia
Objector
Comelia Heering
Objector
Karin Schmidt-Friderichs
Objector
Dr. Felix Breidenstein
Objector
Mumia Abu-Tamal
Objector
Federacion de Gremios de Editores
de Espana
Objector
Salley Shannon
Objector
Minoru Ito
Objector
Rose Teo
Objector
Aime Van Hecke
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Objector
Stephanie Golden
Objector
Isabelle Magnac
Objector
Jesse Rutherford
Objector
John Mouldin
Objector
Frank P. Scibilia
Objector
Dirk Sieben
Objector
Klaus Humann
Objector
Barbara Scheuch-Voetterle
Objector
h.c. Karl-Peter Winters
Objector
Vibeke Viteri-Loohuis
Objector
Moritz Hagenmuller
Ob.jector
Tobias Koerner
Objector
Publishing House Dc Geus
Objector
Elizabeth Greenberg
Objector
Rebecca C. Jones
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Objector
Andrea Warren
Objector
The State of Missouri
Objector
Proquest, LLC
Objector
The Washington Legal Foundation
Obj ector
Sarah E. Cazoneri
Objector
Dale Henderson
Objector
Matthew B. Cazoneri
Objector
Donna J. Wood
Objector
Karl Fogel
Objector
Electronic Privacy Information
Center
Objector
Electronic Frontier Foundation et al.
represented
by Cindy A. Cohn
(See above for address)
LEAD ATTORNEY
PRO HAC VICE
ATTORNEY TO BE NOTICED
Objector
Editions Albin Michel
Objector
Editis Group
Ob.j ector
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John Mauldin
Objector
Presses Universitaires de France
Objector
Science Fiction and Fantasy Writers
of America, Inc.
represented by Ron Lazebnik
Lincoln Square Legal Services, Inc.,
Fordham University School of Law
33 West 60th Street
Third Fir.
New York, NY 10023
(212) 636-6934
Fax: (212) 636-6923
Email: rlazebnik@lsls.fordham.edu
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Objector
American Society of Journalists and
Authors, Inc.
represented
by Ron Lazebnik
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
represented
by Jonathan Band
Jonathan Band, Esq.,
21 Dupont Circle, N.W.,
#800
Washington, DC 20036
202-296-5675
Fax: 202-872-0884
Email: jbandpolicybandwidth.com
LEAD ATTORNEY
PRO HAC VICE
ATTORNEY TO BE NOTICED
Objector
America Library Association
Objector
Association of College and Research
Libraries
represented by
Jonathan Band
(See above for address)
LEAD ATTORNEY
PRO HAC VICE
ATTORNEY TO BE NOTICED
Objector
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Assocation of Research Libraries
https://ecf.nysd.uscourts.gov/cgi-bin/DktRpt.pl?63663 1060226866-...
represented by Jonathan Band
(See above for address)
LEAD ATTORNEY
PRO HAC VICE
ATTORNEY TO BE NOTICED
ON ector
Commonwealth of Pennsylvania,
Attorney General
Objector
AT&T CORP.
represented by Derek Tam Ho
Kellogg, Huber, Hansen, Todd, Evans &
Figel, PLLC (DC)
1615 M Street, N.W., Suite 400
Washington, DC 20036
(202)-326-793 1
Fax: (202)-326-7999
Email: dho@khhte.com
ATTORNEY TO BE NOTICED
Kiran Sriram Raj
Kellogg, Huber, Hansen, Todd, Evans &
Figel, PLLC (DC)
1615 M Street, N.W., Suite 400
Washington, DC 20036
(202)-326-7900
Fax: (202)-326-7999
PRO HAC VICE
ATTORNEY TO BE NOTICED
Michael K. Kellogg
Kellogg, Huber, Hansen, Todd, Evans &
Figel, PLLC (DC)
1615 M Street, N.W., Suite 400
Washington, DC 20036
(202) 326-7902
Fax: (202) 326-7999
Email: mkellogg@khhte.com
ATTORNEY TO BE NOTICED
Objector
Writers’ Representatives LLC
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represented by Lynn T. Chu
Writers’ Representatives LLC
116 West 14th Street
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New York, NY 10011
(21 2)-620-9009
Fax: (21 2)-620-0023
Email: lynn@writersreps.com
ATTORNEY TO BE NOTICED
Objector
Questia Media Inc.
Objector
Esq. Robert M. Kunstadt
represented
by Ilaria Maggioni
R. Kunstadt, P.C.
875 6th Ave
Suite 1800
New York, NY 10001
(212) 398-8881
Fax: (212) 398-2922
Email: mail@rkunstadtpc.com
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
V.
Miscellaneous
Publisher’s Association
Miscellaneous
The Canadian Publishers’ Council
Miscellaneous
CEDRO
Miscellaneous
Antoine Gallimard
ChiefExecutive Officer of the Edition
Gallimard, SA
Miscellaneous
Australian Publishers Association
Miscellaneous
Ursula K. LeGuin
Interested Party
Olswang LLP
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Interested Party
United States of America
represented by John Dalton Clopper
U.S. Attorney’s Office, SDNY
86 Chambers Street
New York, NY 10007
(212) 637-2716
Email: john.clopper@usdoj.gov
ATTORNEY TO BE NOTICED
Marisa Chun
U.S. Department of Justice
950 Pennsylvania Avenue NW
Washington, DC 20530
ATTORNEY TO BE NOTICED
William Francis Cavanaugh , Jr
United States Department of Justice
(Antitrust Div)
905 Pennsylvania Avenue
Rm 3214
Washington, DC 20530-0001
(202) 353-1535
Fax: (202) 514-6543
Email: wfcavanaughpbwt.com
ATTORNEY TO BE NOTICED
V.
Amicus
New York Law School, Institute for
Information Law and Policy
represented by Daniel Joseph Kornstein
Kornstein Veisz Wexler & Pollard, LLP
757 Third Avenue
NY,NY 10017
(212) 418-8610
Fax: (212) 826-3640
Email: DKornstein@KVWMail.com
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
James Taylor Lewis Grimmelmann
New York Law School
Institute for Information Law and
Policy
57 Worth Street
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New York, NY 10013
(212) 431-2368
Fax: (212) 791-2144
Email: james.grimmelmann@nyls.edu
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Mikaela Ann McDermott
Kornstein Veisz Wexier & Pollard, LLP
757 Third Avenue
NY,NY 10017
(212)-41 8-8606
Fax: (21 2)-826-3 640
Email: mmcdermott@kvwmail.com
ATTORNEY TO BE NOTICED
Amicus
Computer and Communications
Industry Association
represented by Matthew Christian Schruers
Computer & Communications Industry
Association
900 17th Street Nw, Suite 1100
Washington, DC 20006
(202)-783-0070
Fax: (202)-783-0534
Email: mschruersccianet.org
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Matthew Christian Schrurers
Computer and Communications
Industry Association
900 17th Street
Suite 1100
Washington, DC 20006
(202) 783-0070
Fax: (202) 783-0534
PRO HAC VICE
ATTORNEY TO BE NOTICED
Am icus
Consumer Watchdog
55 of 204
represented
by Daniel J. Fetterman
Kasowitz, Benson, Torres & Friedman,
LLP (NYC)
1633 Broadway
New York, NY 10019
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(212)-506-1934
Fax: (212)-506-1800
Email: dfetterman@kasowitz.com
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Peter Jonathan Toren
Kasowitz, Benson, Torres & Friedman,
LLP (NYC)
1633 Broadway
New York, NY 10019
(212) 506-1986
Fax: (212) 506-1800
Email: ptoren@kasowitz.com
LEAD AITORNEY
AITORNEY TO BE NOTICED
Amicus
Federal Republic of Germany
represented by Theodore Conrad Max
Sheppard, Mullin, Richter & Hampton,
LLP (NYC)
30 Rockefeller Plaza, 24th Fl.
New York, NY 10112
212 692 6891
Fax: 212 983 3115
Email: tmax@sheppardmullin.com
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Amicus
Cornell University
represented by Nelson E. Roth
Cornell University,
300 CCC Building, Garden Avenue
Ithaca, NY 14853
607-255-2796
Fax: 607-255-2794
Email: ner3@cornell.edu
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Amicus
Sony Electronics Inc.
Amicus
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Antitrust Law and Economics
Professors
Amicus
Richard Blumenthal CT Attorney
General
State of Connecticut
represented by Gary M. Becker
Connecticut Office of the Attorney
General
55 Elm Street
Hartford, CT 06106
(860)-808-5 169
Fax: (860)-808-5033
Email: gary.becker@ct.gov
ATTORNEY TO BE NOTICED
Amicus
Open Book Alliance
represented by Anthony D Boccanfuso
Arnold & Porter, LLP
399 Park Avenue
New York, NY 10022
(212) 715-1315
Fax: (212) 715-1399
Email:
anthony_boccanfuso@aporter.com
ATTORNEY TO BE NOTICED
Amicus
Lyrasis, Inc.
represented by Robert William Clarida
Cowan, Liebowitz & Latman, P.C.
1133 Avenue of the Americ&s
New York, NY 10036
212-7909266
Fax: 212-575-0671
Email: rclarida@reitlerlaw.com
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Amicus
NYLINK
represented by Robert William Clarida
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Amicus
Bibliographical Center for Research
Rocky Mountain, Inc.
57 of 204
represented by Robert William Clarida
(See above for address)
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LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Amicus
French Republic
Amicus
The Internet Archive
Amicus
Public Knowledge
represented by Jef Peariman
Public Knowledge
1875 Connecticut Avenue, N.W.
Suite 650
Washington, DC 20009
(202) 518-0020
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Sherman Sly
Public Knowledge
1875 Connecticut Avenue, N.W.
Suite 650
Washington, DC 20009
(202) 518-0020
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Amicus
Center for Democracy & Technology
represented by John Burnett Morris , Jr.
New York City Law Department
(Bronx)
198 East 161st Street, 3rd Floor
Bronx, NY 10451
(202)-637-9800
Fax: (202)-637-0968
Email: jmorriscdt.org
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Amicus
Japan P.E.N. Club
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represented by Yasuhiro Saito
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
1/6/2014 10:42 AM
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Amicus
Consumer Watchdog
Amicus
Consumer Watchdog
Amicus
Digital Humanities Scholars and Law
Professors
represented by Babak Siavoshy
Samuelson Law, Technology & Public
Policy Clinic
Berkeley Law School, 396 Simon Hall
Berkeley, CA 94720-7200
510-643-6552
Fax: 510-643-4625
Email: bsiavoshy1aw.berke1ey.edu
PRO HAC VICE
ATTORNEY TO BE NOTICED
Jennifer M. Urban
Samuelson Law, Technology & Public
Policy Clinic
Berkeley Law School, 396 Simon Hall
Berkeley, CA 94720-7200
510-642-7338
Fax: 510-643-4625
Email: jurban@law.berkeley.edu
PRO HAC VICE
ATTORNEY TO BE NOTICED
V.
Trustee
Peter Gollasch
V.
Intervenor
Harrasowitz
59
of 204
represented by Alexandra A. E. Shapiro
Shapiro, Arato & Isseries LLP
500 Fifth Avenue, 40th Floor
New York, NY 10110
(21 2)-257-4880
Fax: (212) 202-6417
Email: ashapiro@shapiroarato.com
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LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Cynthia S. Arato
Shapiro, Arato & Isserles LLP
The Grace Building
500 Fifth Avenue, 40th Fl.
New York, NY 10110
(212) 479-6729
Fax: (212)202-6417
Email: carato@shapiroarato.com
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Intervenor
Media24
represented by Alexandra A. E. Shapiro
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Cynthia S. Arato
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Intervenor
Studentlitteratur AB
represented by Alexandra A. E. Shapiro
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Cynthia S. Arato
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Intervenor
Norstedts Forlagsgrupp AB
represented by Alexandra A. E. Shapiro
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Cynthia S. Arato
(See above for address)
LEAD ATTORNEY
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ATTORNEY TO BE NOTICED
Intervenor
Norstedts Kartor AR
represented by Alexandra A. E. Shapiro
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Cynthia S. Arato
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Intervenor
Leopard Forlag AR
represented by Alexandra A. E. Shapiro
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Cynthia S. Arato
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Intervenor
Borsenverein des Dentschen
Buchhandels
represented by Alexandra A. E. Shapiro
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Cynthia S. Arato
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Intervenor
Schweizer Buchhandler und
Verleger-Verband SBVV
-
represented by Alexandra A. E. Shapiro
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Cynthia S. Arato
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
51 of204
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Intervenor
Hauptverband des Osterreichischen
Buchhandels
represented by Alexandra A. E. Shapiro
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Cynthia S. Arato
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Intervenor
Svenska Forlaggareforeningen
represented by Alexandra A. E. Shapiro
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Cynthia S. Arato
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Intervenor
Czernin Verlag
represented by Alexandra A. E. Shapiro
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Cynthia S. Arato
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Intervenor
Czernin Verlag
Intervenor
Carl Hanser Verlag
represented by Alexandra A. E. Shapiro
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Cynthia S. Arato
(See above for address)
LEAD ATTORNEY
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ATTORNEY TO BE NOTICED
Intervenor
Dr. Lynley Hood
represented by Alexandra A. E. Shapiro
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Cynthia S. Arato
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Intervenor
Dr. Lynley Hood
represented by Alexandra A. E. Shapiro
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Cynthia S. Arato
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Intervenor
Dr. Lynley Hood
represented by Alexandra A. E. Shapiro
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Cynthia S. Arato
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Intervenor
New Zealand Society of Authors
represented by Alexandra A. E. Shapiro
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Cynthia S. Arato
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
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Intervenor
Associazone Italiana Editori
represented by
Alexandra A. E. Shapiro
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
Cynthia S. Arato
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
ThirdParty Defendant
represented by Charlotte Allen
PRO SE
Charlotte Allen
Joseph Solomon Hall
(See above for address)
TERMINATED: 10/30/2009
Michael John Guzman
(See above for address)
TERMINATED: 10/30/2009
Date Filed
09/20/2005
#
Docket Text
1
SUMMONS ISSUED as to Google Inc.. (laq, ) (Entered: 09/22/2005)
09/20/2005
09/20/2005
COMPLAINT against Google Inc. (Filing Fee $ 250.00, Receipt Number
555987)Document filed by The Author’s Guild, Herbert Mitgang, Betty Miles,
Daniel Hoffman. (laq,) (Entered: 09/22/2005)
2
RULE 7.1 DISCLOSURE STATEMENT. Document filed by The Author’s
Guild, Herbert Mitgang, Betty Miles, Daniel Hoffman.(laq, ) (Entered:
09/22/2005)
09/20/2005
Magistrate Judge Douglas F. Eaton is so designated. (laq, ) (Entered:
09/22/2005)
09/20/2005
Case Designated ECF. (laq, ) (Entered: 09/22/2005)
10/10/2005
54 of 204
3
SUMMONS RETURNED EXECUTED. Google Inc. served on 9/23/2005,
answer due 10/13/2005. Service was accepted by Ashok Ramani, Legal
Representative, authorized to accept service of Summons in a Civil Action,
Class Action Complaint, Rule 7.1 Statement, Civil Case Cover Sheet,
Magistrate Judge Eaton’s and Judge Sprizzo Rules along with ECF Procedures
and Guidelines, on behalf of Google Inc. Document filed by The Author’s
Guild. (Attachments: # ])(Dumain, Sanford) (Entered: 10/10/2005)
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10/11/2005
STIPULATION AND ORDER that the time for deft to respond to the
complaint is extended 20 days from 10/13 to and including 11/2/05. (Signed
by Judge John E. Sprizzo on 10/7/05) (cd, ) (Entered: 10/12/2005)
Set Answer Due Date purs. to 4 Stipulation and Order as to Google Inc.
answer due on 11/2/2005. (cd, ) (Entered: 10/12/2005)
10/11/2005
5
MOTION for Joseph M. Beck to Appear Pro Hac Vice. Document filed by
Google Inc. (jco, ) (Entered: 10/12/2005)
10/11/2005
6
MOTION for Adam H. Charnes to Appear Pro Hac Vice. Document filed by
Google Inc. (jco, ) (Entered: 10/12/2005)
10/24/2005
7
MOTION for an order, admitting Michael J. Boni to Appear Pro Hac Vice as
counsel for Plaintiffs. Document filed by The Author’s Guild, Herbert
Mitgang, Betty Miles, Daniel Hoffman. Affidavit of Sanford P. Dumain
attached.(sac, ) (Entered: 10/25/2005)
10/24/2005
8
MOTION for an order, admitting J. Kate Reznick to Appear Pro Hac Vice as
counsel for Plaintiffs. Document filed by The Author’s Guild, Herbert
Mitgang, Betty Miles, Daniel Hoffman. Affidavit of Sanford P. Dumain
attached.(sac,) (Entered: 10/25/2005)
10/25/2005
9
ORDER granting 5 Motion for Joseph M. Beck to Appear Pro Hac Vice.
(Signed by Judge John E. Sprizzo on 10/24/05) (jco, ) (Entered: 10/25/2005)
10/25/2005
10/25/2005
Transmission to Attorney Admissions Clerk. Transmitted re: 9 Order on
Motion to Appear Pro Hac Vice, to the Attorney Admissions Clerk for
updating of Attorney Information. (jco, ) (Entered: 10/25/2005)
10
ORDER granting 6 Motion for Adam H. Charnes to Appear Pro Hac Vice.
(Signed by Judge John E. Sprizzo on 10/24/05) (jco, ) (Entered: 10/25/2005)
10/25/2005
Transmission to Attorney Admissions Clerk. Transmitted re: 10 Order on
Motion to Appear Pro Hac Vice, to the Attorney Admissions Clerk for
updating of Attorney Information. (jco, ) (Entered: 10/25/2005)
10/27/2005
CASHIERS OFFICE REMARK on 10 Order on Motion to Appear Pro Hac
Vice, 9 Order on Motion to Appear Pro Hac Vice in the amount of $50.00,
paid on 10/27/2005, Receipt Number 559555. (gm, ) (Entered: 10/27/2005)
10/28/2005
65 of 204
11
ORDER that dft is granted leave to submit its motion for summary judgment
not to exceed 25 pages on or before 11/30/05; plaintiffs shall submit their
response to dft’s motion and any cross motion; together not to exceed 25 pages
on or before 1/6/06; dft shall submit its replyto plaintiffs’ cross motion, if any,
limited to the issues raised therein not to exceed fifteen pages, on or before
1/24/06 and oral argument shall occur on 1/30/06 at 3:00 pm. in courtoom
705, 40 Centre Street. (Signed by Judge John E. Sprizzo on 10/26/05) (dle,)
(Entered: 10/31/2005)
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Set Deadlines/Hearings: Motions due by 11/30/2005. Replies due by
1/24/2006. Responses due by 1/6/2006 Oral Argument set for 1/30/2006 03:00
PM before Judge John E. Sprizzo. (dle, ) (Entered: 10/31/2005)
11/18/2005
12 NOTICE of Appearance by Laura Helen Gundersheim on behalf of all
plaintiffs (Gundersheim, Laura) (Entered: 11/18/2005)
11/30/2005
13
RULE 7.1 DISCLOSURE STATEMENT. Document filed by Google
Inc..(Bernstein, Robert) (Entered: 1 1/30/2005)
11/30/2005
14
ANSWER to Complaint with JURY DEMAND. Document filed by Google
Inc..(Bernstein, Robert) (Entered: 11/30/2005)
12/09/2005
15
AFFIDAVIT of Sanford P. Dumain in Support re: 7 MOTION for Michael J.
Boni to Appear Pro Hac Vice.. Document filed by The Author’s Guild.
(Attachments: # 1 Exhibit l# 2 Exhibit 2)(Gundersheim, Laura) (Entered:
1 2/09/200 5)
12/09/2005
16
AFFIDAVIT of Sanford P. Dumain in Support re: 8 MOTION for J. Kate
Reznick to Appear Pro Hac Vice.. Document filed by The Author’s Guild.
(Attachments: # 1 Exhibit 1# 2 Exhibit 2)(Gundersheim, Laura) (Entered:
12/09/2005)
12/15/2005
17
MOTION for Alex S. Fonoroff to Appear Pro Hac Vice. Attached is Affidavit
of Robert J. Bernstein in support Document filed by Google Inc.. (djc,)
(Entered: 12/16/2005)
12/15/2005
18
ORDER granting 8 Motion for J. Kate Reznick to Appear Pro Hac Vice.
(Signed by Judge John E. Sprizzo on 12/13/05) (jco, ) (Entered: 12/16/2005)
Transmission to Attorney Admissions Clerk. Transmitted re: 18 Order on
Motion to Appear Pro Hac Vice, to the Attorney Admissions Clerk for
updating of Attorney Information. (jco, ) (Entered: 12/16/2005)
12/15/2005
12/15/2005
19
CASHIERS OFFICE REMARK on 19 Order on Motion to Appear Pro Hac
Vice, 18 Order on Motion to Appear Pro Hac Vice in the amount of $50.00,
paid on 12/22/2005, Receipt Number 564907. (jd, ) (Entered: 12/29/2005)
12/29/2005
03/16/2006
20
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ORDER; granting 17 Motion for Alex S. Fonoroff, Esq. to Appear Pro Hac
Vice (Signed by Judge John E. Sprizzo on 3/14/06) (sac, ) (Entered:
03/16/2006)
Transmission to Attorney Admissions Clerk. Transmitted re: 20 Order on
Motion to Appear Pro Hac Vice, to the Attorney Admissions Clerk for
updating of Attorney Information. (sac, ) (Entered: 03/16/2006)
03/16/2006
03/29/2006
ORDER granting 7 Motion for Michael J. Boni to Appear Pro Hac Vice.
(Signed by Judge John E. Sprizzo on 12/13/05) (jco, ) (Entered: 12/16/2005)
21
NOTICE OF APPEARANCE by Alex Seth Fonoroff, S on behalf of Google
Inc. (Fonoroff, Alex) (Entered: 03/29/2006)
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04/13/2006
23
NOTICE OF APPEARANCE by Jeffrey A. Conciatori on behalf of Google
Inc. (Conciatori, Jeffrey) (Entered: 04/12/2006)
1 MOTION for Ronald L. Raider to Appear Pro Hac Vice. Document filed by
Google Inc. (jco, ) (Entered: 04/14/2006)
04/19/2006
24
ORDER granting 23 Motion for Ronald L. Raider to Appear Pro Hac Vice.
(Signed by Judge John E. Sprizzo on 4/18/06) (jco, ) (Entered: 04/20/2006)
Transmission to Attorney Admissions Clerk. Transmitted re: 24 Order on
Motion to Appear Pro Hac Vice, to the Attorney Admissions Clerk for
updating of Attorney Information. (jco, ) (Entered: 04/20/2006)
04/19/2006
05/09/2006
25
NOTICE of Substitution of Attorney. Old Attorney: Robert J. Bernstein, New
Attorney: Jeffrey A. Conciatori, Address: Quinn Emanuel Urquhart Oliver &
Hedges, LLP, 51 Madison Avenue, 22nd fl., New York, New York, United
States 10010, 212-849-7000. Document filed by Google Inc.. (Conciatori,
Jeffrey) (Entered: 05/09/2006)
05/11/2006
26
STIPULATION AND ORDER; that the law firm of Quinn Emanuel Urquhart
Oliver & Hedges, LLP be substituted as counsel for dft. in the place of The
Law Offices of Robert J. Bernstein. (Signed by Judge John E. Sprizzo on
4/27/06) (p1, ) (Entered: 05/11/2006)
05/11/2006
27 NOTICE OF CHANGE OF ADDRESS by Jeffrey A. Conciatori on behalf of
Google Inc.. New Address: Quinn Emanuel Urquhart Oliver & Hedges, LLP,
51 Madison Avenue, 22nd Fl., New York, New York, United States 10010,
212-849-7000. (Conciatori, Jeffrey) (Entered: 05/11/2006)
05/17/2006
28
PROTECTIVE ORDER; regarding procedures to be followed that shall
govern the handling of confidential information. (Signed by Judge John E.
Sprizzo on 5/16/2006) (kkc,) (Entered: 05/18/2006)
05/22/2006
29
CASE MANAGEMENT PLAN: Amended Pleadings due by 6/19/2006.
Motions due by 7/2/2007. Discovery due by 4/9/2007. Pretrial Conference set
for 10/23/2006 03:00 PM before Judge John E. Sprizzo; initial disclosures
under Rule 26(a)(1) shall be exchanged by 5/19/06; disclosure of expert
witnesses required under Rule 26(a)(2) (A) shall be exchanged on 2/16/07;
initial expert reports shall be exchanged on 3/16/07; rebuttal expert reports
shall be exchanged on 4/4/07; expert deposition shall be taken from 4/4/07
through 5/15/07. (Signed by Judge John E. Sprizzo on 5/12/06) (dle,)
(Entered: 05/22/2006)
06/09/2006
30
RULE 26 DISCLOSURE.Document filed by Google Inc. .(Raider, Ronald)
(Entered: 06/09/2006)
06/12/2006
31
RULE 26 DISCLOSURE.Document filed by Google Inc..(Raider, Ronald)
(Entered:
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MOTION to Amend/Correct the Complaint. Document filed by The Author’s
Guild, Herbert Mitgang, Betty Miles, Daniel Hoffman. (Attachments: # I Text
of Proposed Order # 2 Certificate of Service)(Dumain, Sanford) (Entered:
06/19/2006)
06/19/2006
33
DECLARATION of J Kate Reznick in Support re: 32 MOTION to
Amend/Correct the Complaint.. Document filed by The Author’s Guild,
Herbert Mitgang, Betty Miles, Daniel Hoffman. (Attachments: # 1 Exhibit A
(Amended Complaint)# 2 Certificate of Service)(Dumain, Sanford) (Entered:
06/19/2006)
06/19/2006
34
MEMORANDUM OF LAW in Support re:
MOTION to Amend/Correct
the Complaint.. Document filed by The Author’s Guild, Herbert Mitgang,
Betty Miles, Daniel Hoffman. (Attachments: # I Certificate of Service)
(Dumain,_Sanford) (Entered: 06/19/2006)
06/29/2006
35
STIPULATION AND ORDER: The parties agree as follows: Plaintiffs may
amend their complaint as set forth in their moving papers, and the amended
class action complaint attached to the moving papers is deemed filed on June
19, 2006. Defendant shall file a responsive pleading within thirty days of the
date of this stipulation and order. (Signed by Judge John E. Sprizzo on
6/28/06) (js, ) (Entered: 06/30/2006)
07/26/2006
36
AMENDED COMPLAINT amending Complaint against Google
Inc.Document filed by Paul Dickson, Joseph Goulden, The Author’s Guild,
Herbert Mitgang, Betty Miles, Daniel Hoffman. Related document: I
Complaint filed by Betty Miles,, Daniel Hoffman, The Author’s Guild,
Herbert Mitgang.(db, ) (Entered: 07/26/2006)
07/26/2006
37
ANSWER to Amended Complaint. Document filed by Google Inc.. Related
document: 36 Amended Complaint, filed by Betty Miles,, Daniel Hoffman,,
The Author’s Guild,, Herbert Mitgang,, Paul Dickson,, Joseph Goulden,.
(Charnes, Adam) (Entered: 07/26/2006)
09/14/2006
38
NOTICE OF APPEARANCE by Ronald Lee Raider on behalf of Google Inc.
(Raider, Ronald) (Entered: 09/14/2006)
09/26/2006
39
PROTECTIVE ORDER.. .regarding procedures to be followed that shall
govern the handling of confidential material.... (Signed by Judge John E.
Sprizzo on 9/22/2006) (lb, ) (Entered: 09/26/2006)
09/29/2006
40 NOTICE of Intent to Serve Subpoenas. Document filed by Google Inc..
(Attachments: # I Attachment (Part 1 )# 2 Attachment (Part 2)# 3 Attachment
(Part 3))(Raider, Ronald) (Entered: 09/29/2006)
10/04/2006
41
10/06/2006
4 NOTICE/ORDER OF WITHDRAWAL; Shannon M. McKenna an atty at
NOTICE of Intent to Serve Subpoena. Document filed by Google Inc..
(Attachments: # I Attachment A)(Raider, Ronald) (Entered: 10/04/2006)
Milberg Weiss Bershad & Schulman LLP and one of the attorney for Plaintiff-
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The Author’s Guild, hereby withdraws as counsel for said plaintiff. Milberg
Weiss Bershad & Schulman LLP continues to serve as counsel for plaintiff
-The Author’s Guild through its atty Sanford P. Dumain who requests that all
future correspondence and papers in ths action continue to be directed to him.
(Signed by Judge John E. Sprizzo on 10/3/06) (djc, ) (Entered: 10/10/2006)
10/06/2006
MOTION for Hadley Perkins Roeltgen to Appear Pro Hac Vice. Document
filed by The Author’s Guild, Herbert Mitgang, Betty Miles, Daniel Hoffman.
(jco, ) (Entered: 10/10/2006)
10/16/2006
44
AMENDED CASE MANAGEMENT ORDER AND SCHEDULING
ORDER: Amended Pleadings due by 6/19/2006. Motions due by 1/11/2008.
Pretrial Conference set for 3/12/2007 03:00 PM before Judge John E. Sprizzo.
(Signed by Judge John E. Sprizzo on 10/12/06) (kco, ) (Entered: 10/17/2006)
10/16/2006
45
ORDER ADMITTING ATTORNEY PRO HAC VICE. Hadley Perkins
Roeltgen is permitted to argue this case. (Signed by Judge John E. Sprizzo on
10/12/06) (kco,) (Entered: 10/17/2006)
10/17/2006
Transmission to Attorney Admissions Clerk. Transmitted re: 4 Order
Admitting Attorney Pro Hac Vice, to the Attorney Admissions Clerk for
updating of Attorney Information. (kco, ) (Entered: 10/17/2006)
10/19/2006
CASHIERS OFFICE REMARK on 4 Order Admitting Attorney Pro Hac
Vice in the amount of $25.00, paid on 10/19/2006, Receipt Number 593992.
(jd, ) (Entered: 10/19/2006)
11/22/2006
46
NOTICE of Intent To Serve Subpoena. Document filed by Google Inc..
(Raider, Ronald) (Entered: 11/22/2006)
0 1/08/2007
47
AMENDED CASE MANAGEMENT ORDER REGARDING
COORDIANTION AND SCHEDULING;the actions penidng in this Court
are hereby coordinated for all pre-trial purposes before this Court....; The joint
Protective order shall be entered simultaneously with the entry of this Order.
Motions for Summary Judgment, if any, shall be filed Tuesday, March 11,
2008. The pretrial conference previously scheduled for 3/12/07 is adjourned.
(Signed by Judge John E. Sprizzo on 1/3/07) (djc,) (Entered: 01/09/2007)
02/27/2007
48
AMENDED CASE MANAGEMENT ORDER REGARDING
COORDINATION AND SCHEDULING; The captioned actions pending in
this Court are hereby coordinated for a pre-trial purposes before this Court.
These actions shall be referred to herein as “Coordinated Actions”. Motions
due by 6/9/2007., Pretrial Conference set for 7/26/2007 03:00 PM before
Judge John E. Sprizzo. (Signed by Judge John E. Sprizzo on 2/26/07) (djc)
(Entered: 02/28/2007)
04/03/2007
4 NOTICE of Change of Firm Affiliation and Entry of Appearance. Document
filed by Paul Dickson, Joseph Goulden, The Author’s Guild, Herbert Mitgang,
Betty Miles, Daniel Hoffman. (Boni, Michael) (Entered: 04/03/2007)
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AMENDED CASE MANAGEMENT ORDER REGARDING
COORDINATION AND SCHEDULING: Third party discovery due by
4/20/2006, Merits discovery due by 5/12/2008, Disclosure of expert witnesses
under Rule 26(a)(2)(A) due by 3/17/2008, Initial expert reports to be
exchanged 4/14/2008. Rebuttal experts reports shall be exchanged on
5/5/2008, Expert disposition taken from 5/5/2008 6/16/2008. Summary
Judgment Motions due by 8/11/2008; responses due 60 days. Responses due
30 days of service of the motion. Pretrial Conference set for 9/24/2007 03:00
PM before Judge John E. Sprizzo. SO ORDERED. (Signed by Judge John E.
Sprizzo on 5/17/2007) (jar) (Entered: 05/24/2007)
-
07/25/2007
52
AMENDED CASE MANAGEMENT ORDER REGARDING
COORDINATION AND SCHEDULING: IT IS HEREBY ORDERED that
the above-captioned actions pending in this Court are hereby coordinated for
all pre-trial purposes before this Court and as further set forth in this Order.
Motions for Summary Judgment due by 12/15/2008. If parties wish to file
motions they shall request a pre-motion conference prior to any filings.
Oppositions to Motions for Summary Judgment shall be filed within 30 days
of service of the motion for summary judgment. Merits Discovery due by
9/15/2008. Production of Documents deadline due by 11/26/07. Expert
Depositions shall be taken from Monday, 9/8/08 through Monday, 10/20/08.
Defendant’s Opposition to any Motion for Class Certification shall be filed 60
days after the motion for class certification has been filed. Plaintiffs’ Reply in
support of Class Certification shall be filed 30 days after the Opposition is
filed. All conference previously scheduled in the Coordinated Actions are
hereby adjourned. The Pretrial Conference shall take place on Tues., Nov. 18,
2008. (Signed by Judge Kevin Thomas Duffy on 9/28/07)- Part I (tro)
(Entered: 10/02/2007)
11/21/2007
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AMENDED CASE MANAGEMENT ORDER REGARDING
COORDINATION AND SCHEDULING: Motions for Summary Judgment
due by 10/13/2008. Pretrial Conference set for 11/27/2007 at 03:00 PM before
Judge John E. Sprizzo. All other deadlines are set forth in this order. (Signed
by Judge John E. Sprizzo on 7/20/07) (kco) (Entered: 07/26/2007)
10/02/2007
70
51
53
AMENDED CASE MANAGEMENT ORDER REGARDING
COORDINATION AND SCHEDULING: The production of documents
requests served shall be completed by 1/28/2008. Merit discovery due
11/17/2008. Disclosure of expert witnesses shall be exchanged on 9/22/2008.
Initial expert reports shall be exchanged on 10/20/2008. Rebuttal expert
reports due 11/10/2008. Expert depositions to be taken from 11/10/2008
through 12/22/2008. Motions for summary judgment due by 2/16/2009.
Oppositions to Motion for summary judgment due within 30 days of service
of the motion. Plaintiffs’ Motion for Class Certification due 30 days after the
Courts decision with respect to summary judgment. Defendant’s Opposition to
Motion for Class Certification due 60 days after the motion for class
certification, Plaintiffs’ reply in support of Class Certification due 30 days
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after the Opposition is filed. The pretrial conference shall take place on
11/18/2008 for the purpose of informing the Court of the status of the case.
However, the parties must, in addition, contact the Court to schedule a
pre-motion conference before filing any motion. (Signed by Judge Peter K.
Leisure for Judge John E. Sprizzo on 11/19/2007) (jar) (Entered: 11/21/2007)
01/29/2008
AMENDED CASE MANAGEMENT ORDER REGARDING
COORDINATION AND SCHEDULING ( Expert Witness List due by
11/24/2008. Discovery due by 1/20/2009. Motions due by 4/16/2009.)
Defendant’s Opposition to any Motion for Class Certification shall be 60 days
after the motion for class certification shall be filed 60 days after the motion
for class certification has been filed. Plaintiffs’ Reply in support of Class
Certification shall be filed 30 days after the Opposition is filed. All
conferences previously scheduled in the Coordinated Actions are hereby
adjourned. So Ordered. (Signed by Judge John E. Sprizzo on 1/29/08) (js)
(Entered: 0 1/30/2008)
10/28/2008
55
MOTION to Approve /Notice ofMotion for Preliminary Settlement Approval.
Document filed by Paul Dickson, Joseph Goulden, The Author’s Guild,
Herbert Mitgang, Betty Miles, Daniel Hoffman.(Boni, Michael) (Entered:
10/28/2008)
10/28/2008
56
DECLARATION of Michael J. Boni and Exhibits in Support re: 55 MOTION
to Approve /Notice ofMotion for Preliminary Settlement Approval..
Document filed by Paul Dickson, Joseph Goulden, The Author’s Guild,
Herbert Mitgang, Betty Miles, Daniel Hoffman. (Boni, Michael) (Entered:
10/28/2008)
10/28/2008
57
MEMORANDUM OF LAW in Support re: 55 MOTION to Approve /Notice
ofMotion for Preliminary Settlement Approval.. Document filed by Paul
Dickson, Joseph Goulden, The Author’s Guild, Herbert Mitgang, Betty Miles,
Daniel Hoffman. (Boni, Michael) (Entered: 10/28/2008)
10/29/2008
60
MOTION for Daralyn J. Dune to Appear Pro Hac Vice. Document filed by
Google Inc.(dle) (Entered: 11/03/2008)
10/29/2008
61
MOTION for David J. Silbert to Appear Pro Hac Vice. Document filed by
Google Inc.(dle) (Entered: 11/03/2008)
10/29/2008
62
MOTION for Joseph C. Gratz to Appear Pro Hac Vice. Document filed by
Google Inc.(dle) (Entered: 11/03/2008)
10/29/2008
63
MOTION for Melissa J. Miksch to Appear Pro Hac Vice. Document filed by
Google Inc.(dle) (Entered: 11/03/2008)
10/30/2008
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54
58
STIPULATION AND ORDER FOR AMENDMENT OF PLEADINGS; that
pursuant to Rule 1 5(a)(2) of the Federal Rules of Civil Procedure, the parties
to the above-captioned case and to The McGraw-Hill Companies, Inc., et al. v.
Google Inc., No. 05 CY 8881, by and through their undersigned counsel,
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hereby agree that plaintiffs may. (Signed by Judge John E. Sprizzo on
10/29/08) (p1) (Entered: 10/30/2008)
10/31/2008
59
SECOND AMENDED COMPLAINT amending 36 Amended Complaint,
against Google Inc. Document filed by Association of American Publishers,
Inc., Associational Plaintiffs, The McGraw-Hill Companies, Inc., Pearson
Education, Inc., Simon & Schuster, Inc., John Wiley & Sons, Inc., Paul
Dickson, Joseph Goulden, The Author’s Guild, Herbert Mitgang, Betty Miles,
Daniel Hoffman. Related document: 36 Amended Complaint, filed by The
Author’s Guild, Betty Miles, Joseph Goulden, Paul Dickson, Herbert Mitgang,
Daniel Hoffman.(dle) (Entered: 11/03/2008)
11/17/2008
64
ORDER GRANTING PRELIMINARY SETTLEMENT APPROVAL:
Accordingly, it is hereby ORDERED as follows: The motion is GRANTED.
The Settlement Agreement is hereby preliminarily approved. Unless otherwise
specified, all defined terms herein shall have the same meaning as in the
Settlement Agreement. The Settlement Class set forth within and two
Sub-Classes are provisionally certified for settlement purposes only. A final
settlement/fairness hearing shall be held on June 1 1, 2009, at 1:00 p.m., before
the undersigned in Courtroom I 4C, United States District Court for the
Southern District of New York, Daniel Patrick Moynihan United States
Courthouse, 500 Pearl Street, New York, NY 10007. The Notice
Commencement Date shall be January 5, 2009. The Opt-Out Deadline shall be
May 5, 2009.. (Signed by Judge John E. Sprizzo on 11/14/2008) (jfe)
(Entered: 11/17/2008)
11/17/2008
Set/Reset Hearings: Settlement Conference set for 6/11/2009 at 01:00 PM in
Courtroom 14C, 500 Pearl Street, New York, NY 10007 before Judge John E.
Sprizzo. (jfe) (Entered: 11/21/2008)
11/19/2008
CASHIERS OFFICE REMARK on 63 Motion to Appear Pro Hac Vice, 60
Motion to Appear Pro Hac Vice, 62 Motion to Appear Pro Hac Vice, 61
Motion to Appear Pro Hac Vice in the amount of $100.00, paid on
10/31/2008, Receipt Number 667652. (jd) (Entered: 11/19/2008)
12/04/2008
MEMORANDUM OF LAW in Opposition //JOINT OPPOSITION by
Plaintffs and Defendant to Claudia Pearson Motion Requesting Change of
Date for Final Fairness Hearing (NB.: Motion has not yet been filed in the
ECF System). Document filed by Association of American Publishers, Inc.,
The McGraw-Hill Companies, Inc., Pearson Education, Inc., Simon &
Schuster, Inc., John Wiley & Sons, Inc.. (Keller, Bruce) (Entered: 12/04/2008)
12/10/2008
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65
66
ORDER It is hereby ordered that Claudia Pearsons motion shall be and hereby
is denied; and it is further ordered that the Fairness Hearing shall occur on
June 11, 2009 at 1:00 p.m. in Courtroom 1 4C, 500 pearl Street. (Signed by
Judge Peter K. Leisure for John E. Sprizzo on 12/9/08) (mme) (Entered:
12/10/2008)
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1
MOTION to Approve Claim Forms /Notice ofMotion on Consent for
Approval of Claim Forms. Document filed by Association of American
Publishers, Inc., The McGraw-Hill Companies, Inc., Pearson Education, Inc.,
Simon & Schuster, Inc., John Wiley & Sons, Inc..(Keller, Bruce) (Entered:
12/18/2008)
12/18/2008
68
MEMORANDUM OF LAW in Support re: 67 MOTION to Approve Claim
Forms / Notice ofMotion on Consentfor Approval of Claim Forms. /
Memorandum ofLaw in Support ofMotion on Consentfor Approval ofClaim
Forms. Document filed by Association of American Publishers, Inc., The
McGraw-Hill Companies, Inc., Pearson Education, Inc., Simon & Schuster,
Inc., John Wiley & Sons, Inc.. (Attachments: # I Part 2 of 4, # 2 Part 3 of 4, #
3 Part 4 of 4)(Keller, Bruce) (Entered: 12/18/2008)
12/23/2008
69
ORDER APPROVING CLAIM FORMS: granting 67 Motion to Approve
Claims Forms. The Motion is GRANTED. The Court approves as to forms
attached to the to the Motions as Exhibits B and C, respectively. (Signed by
Judge Paul A. Crotty on 12/23/2008) (tve) (Entered: 12/23/2008)
01/08/2009
70
NOTICE OF CASE REASSIGNMENT to Judge Denny Chin. Judge John E.
Sprizzo is no longer assigned to the case. (mbe) (mbe). (Entered: 01/09/2009)
02/02/2009
71
NOTICE of Substitution of Attorney. Old Attorney: Asim Bhansali, New
Attorney: Daralyn J. Dune, Address: Dune Tangri Lemley Roberts & Kent
LLP, 332 Pine Street, Suite 200, San Francisco, CA, USA 94104,
415-362-6666. Document filed by Google Inc.. (Gratz, Joseph) (Entered:
02/02/2009)
03/20/2009
72 NOTICE of Opt-Out of proposed settlement agreement to this case, in both
the author and the publisher sub-class. Filed by Joe Landwehr, author and
publisher (DBA Ancient Tower Press). (djc) (Entered: 03/23/2009)
03/24/2009
73
MEMO ENDORSEMENT: So ordered on: 71 Notice of Substitution of
Attorney, filed by Google Inc. (Signed by Judge Denny Chin on 3/24/09) (cd)
(Entered: 03/24/2009)
03/30/2009
81
Objection to Proposed Settlement. (filed by Robert M. Kunstadt). (djc)
(Entered: 04/14/2009)
03/31/2009
74
OBJECTION TO PROPOSED SETTLEMENT: Google pursued its copying
project in calculated disregard of authors’ rights. Its business plan was: “So,
sue me”. To approve the proposed settlement would vindicate Google’s street
ethics: that the law is whatever you can grab and get away with. Google’s
added twist its update on the Dickensian street pickpocket is that if you
take very little from very many people, with a technological efficiency
unimaginable to Fagan and outsourced at a low cost that he would have
envied, you have some real money. Google’s case should be referred to the
U.S. Attorney for prosecution. Equal Justice demands no less. Filed by Robert
M. Kunstadt (jpo) (Entered: 03/31/2009)
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ENDORSED LETTER addressed to Judge Denny Chin from Daniel
Kornstein dated 3/27/09 re: Request that the Institute file its brief by 5/5/09.
ENDORSEMENT: Approved. (Brief due by 5/5/2009.) (Signed by Judge
Denny Chin on 4/1/09) (cd) (Entered: 04/01/2009)
04/08/2009
76
MOTION for Joseph C. Gratz to Appear Pro Hac Vice. Document filed by
Google Inc.(dle) (Entered: 04/09/2009)
04/08/2009
77
MOTION for Daralyn J. Dune to Appear Pro Rae Vice. Document filed by
Google Inc.(dle)_(Entered: 04/09/2009)
04/09/2009
78
LETTER addressed to Office of the Clerk, J. Michael McMahon from Dr.
Erik H. Fournier dated 3/21/2009 re: Requesting the reimbursement of
necessary attorney costs by Google Inc., Defendant, from cause of the authors
copyright perception in this procedure in accordance with F.R.C.P. Rule 54 (b)
(1) and (2). (jpo) (Entered: 04/09/2009)
04/10/2009
7 ORDER FOR ADMISSION PRO HAC VICE: granting 60 Motion for
Daralyn J. Dun to Appear Pro Hac Vice. (Signed by Judge Denny Chin on
4/14/2009) (jfe) (jfe). (Entered: 04/14/2009)
04/14/2009
80
04/14/2009
ORDER FOR ADMISSION PRO HAC VICE: granting 62 Motion for Joseph
C. Gratz to Appear Pro Rae Vice. (Signed by Judge Denny Chin on
4/14/2009) (jfe) (Entered: 04/14/2009)
Transmission to Attorney Admissions Clerk. Transmitted re: 79 Order on
Motion to Appear Pro Rae Vice, 80 Order on Motion to Appear Pro Rae Vice,
to the Attorney Admissions Clerk for updating of Attorney Information. (jfe)
(Entered: 04/14/2009)
04/16/2009
LETTER addressed to Judge Denny Chin and Mr. McMahon from Linda
Tadic dated 4/7/2009 re: Author and member of the Author Class writes to
raise objections to the parts of the settlement that will potentially impact how
archives and libraries preserve access to orphan works. (tve) (Entered:
04/24/2009)
84
LETTER addressed to J. Michael McMahon from Hope Ryden dated
4/17/2009 re: Author writes to raise objections to language in the Google
Book Settlement. (tve) (Entered: 04/24/2009)
04/23/2009
204
83
04/23/2009
of
Objection to Class Action Settlement. (filed by Anthony L. DeWitt, Atty at
Law Pro Se here). (djc) (Entered: 04/20/2009)
04/23/2009
74
82
85
LETTER addressed to J. Michael McMahon from John J. Hubbard dated
4/6/2009 re: Author wishes to opt-out of the proposed settlement and instructs
Google not to include copies of any of his work, in whole or in part, including
but not limited to the list further set forth in this letter in any of its databases.
(tve) (Entered: 04/24/2009)
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LETTER addressed to J. Michael McMahon from Barbara Burke aka Barbara
Burke Hubbard dated 4/6/2009 re: Author writes to confirm that she opted-out
of the settlement and instruct Google not to include copies of any of her work,
in whole or in part, including but not limited to the list further set forth in this
letter in any of its databases. (tve) (Entered: 04/24/2009)
04/24/2009
92
ORDER re letters requesting a pre-motion conference from proposed
interveners, Internet Archive, Lewis Hyde, Harry Lewis, and the Open Access
Trust seeking leave to intervene: I have construed their letters as motions to
intervene, and the motions are denied. The proposed interveners are, however,
free to file objections to the proposed settlement or amicus briefs, either of
which must be filed by the 5/5/09 objection deadline. (Signed by Judge Denny
Chin on 4/24/09) (cd) (Entered: 04/30/2009)
04/27/2009
7 NOTICE OF APPEARANCE by Daniel Joseph Kornstein on behalf of New
York Law School, Institute for Information Law and Policy (Kornstein,
Daniel) (Entered: 04/27/2009)
04/27/2009
88
04/27/2009
04/28/2009
75 of204
NOTICE OF APPEARANCE by Mikaela Ann McDermott on behalf of New
York Law School, Institute for Information Law and Policy (McDermott,
Mikaela) (Entered: 04/27/2009)
CASHIERS OFFICE REMARK on 77 Motion to Appear Pro Hac Vice, 76
Motion to Appear Pro Hac Vice in the amount of $50.00, paid on 04/08/2009,
Receipt Number 683670. (jd) (Entered: 04/27/2009)
89
ORDER: Upon consideration of the letters, I will grant approximately a
four-month extension, as follows:(1) Paragraph 15 of the Preliminary
Approval Order is amended to extend the Opt-Out deadline to September 4,
2009 (‘Extended Opt-Out Deadline”). (2) References in Paragraphs 22 and 23
of the Preliminary Approval Order to May 5, 2009 (the original “Opt-Out
Deadline”) are amended to refer to the Extended Opt-Out Deadline of
September 4, 2009. To the extent the Court gave objectors and amici curiae
until May 5, 2009 to submit their views to the Court, that date is also extended
to September 4, 2009. (3) No other deadlines or provisions set forth in the
Settlement Agreement will be affected by this Order. (4) Paragraph 10 of the
Preliminary Approval Order is amended to provide that the Final Fairness
Hearing will be held on October 7, 2009 at 10:00 a.m. before the undersigned
in Courtroom ilA, United States District Court for the Southern District of
New York, Daniel Patrick Moynihan United States Courthouse, 500 Pearl
Street, New York, New York, 1 0007.(5) Class Counsel will promptly (a) post
notice of the Extended Opt-Out Deadline and Final Fairness Hearing date at
the top of the home page of the official Settlement website, (b)issue a press
release to announce these dates, and (c) notif’ IFRRO and the other major
rights organizations that have assisted the Notice Provider. So Ordered.
(Signed by Judge Denny Chin on 4/28/09) (js)_(Entered: 04/28/2009)
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LETTER addressed to J. Michael McMahon, Clerk of Court from Lee
Killough dated April 20, 2009 re: I am writing to object to one provision of
the Google settlement. (rw) (Entered: 04/29/2009)
04/28/2009
91
LETTER addressed to J. Michael McMahon, Clerk of Court from Donica
Bettanin dated 20 April 2009 re: We wish to object the impending Google
Book Settlement, the Fairness Hearing for which is scheduled for 11 June
2009. Our objection is enclosed. (rw) (Entered: 04/29/2009)
04/30/2009
ENDORSED LETTER addressed to Judge Denny Chin from Jeffrey Peariman
dated 4/28/2009 re: We write to request permission for Public Knowledge to
file a brief amicus curiae on behalf of itself and other similarly interested
amici in the above-captioned case on the issue of the proposed settlement’s
effects on orphan works-copyrighted works whose owners cannot be located.
The brief, in support of neither party, will be no longer than 25 pages, and will
be filed no later than May 5,2009, the date set for opt-outs and objections to
the proposed settlement agreement. ENDORSEMENT: Approved. The brief
shall be filed by the new opt-out date. ( Brief due by 5/5/2009.) (Signed by
Judge Denny Chin on 4/30/2009) (jmi) (Entered: 05/01/2009)
05/01/2009
94
LETTER addressed to J. Michael McMahon from Mayer Brenner dated
4/24/09 re: Counsel writes to objection to several provisions of the Settlement.
(mme) (Entered: 05/01/2009)
05/01/2009
95
LETTER addressed to J. Michael McMahon from Shirley A. Young dated
4/23/09 re: Counsel writes to objection to Google scanning or displaying any
part of her book and it is so noted on the cover page that all rights reserved
including the rights to reproduce this book or parts thereof in any form
without prior written permission from the author. (mme) (Entered:
05/01 /2 009)
05/01/2009
96
LETTER addressed to J. Michael McMahon from John Moore dated 4/22/09
re: Counsel objects to the “opt-out” provisions of the settlement and request
that the Court reject the settlement unless it is modified to “opt-in.” (mme)
(Entered: 05/01/2009)
05/01/2009
LETTER addressed to Settlement Administrator from Dennis Eddings dated
4/22/09 re: Counsel writes this letter to serve as an official notice that on
behalf of his brother David Eddings, he is opting out of the Google Settlement
for works by David Eddings, per the attached sheet. (mme) (Entered:
05/01/2009)
05/06/2009
98
NOTICE OF APPEARANCE by Joanne E. Zack on behalf of Paul Dickson,
Joseph Goulden, The Author’s Guild, Herbert Mitgang, Betty Miles, Daniel
Hoffman (Zack, Joanne) (Entered: 05/06/2009)
05/06/2009
76 of 204
97
99
MOTION for John W. Davis to Appear Pro Hac Vice. Document filed by
David Meininger.(dle) (Entered: 05/08/2009)
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100
LIBRARY ASSOCIATION COMMENTS ON THE PROPOSED
SETTLEMENT. (tro) (Entered: 05/13/2009)
05/12/2009
101
LETTER addressed to J. Michael McMahon from Elanor Wood dated 5/5/09
re: Copies of the opt-out letters signed by authors and estate proprietors, as
well as their lists of published works, are available upon request. (tro)
(Entered: 05/13/2009)
05/12/2009
102
LETTER addressed to Judge Denny Chin from Australian Society of Authors
dated 4/29/09 re: Submission to Fairness Hearing, Google books settlement,
New York 11 June, by Australian Society of Authors. (tro) (Entered:
05/13/2009)
05/13/2009
103
NOTICE of opt out. Document filed by Linda D. Delgado. (djc) Modified on
5/18/2009 (tro). (tro). (Entered: 05/13/2009)
05/13/2009
104 Notice of Opt Out of Habibullah Saleem. (djc) (tro). (Entered: 05/13/2009)
05/13/2009
105
NOTICE of opt out of Maryann Mahmoodian. (djc) (tro). (Entered:
05/13/2009)
05/13/2009
106
NOTICE of opt out of Linda Kay Jitmoud. (djc) (tro). (Entered: 05/13/2009)
05/13/2009
107 NOTICE of Opt Out of Shirley Gavin Anjum. (djc) (tro). (Entered:
05/13/2009)
05/13/2009
108
05/14/2009
05/15/2009
NOTICE of Opt Out of Saaleh E. Bhamjee. (djc) (tro). (Entered: 05/13/2009)
CASHIERS OFFICE REMARK on 99 Motion to Appear Pro Hac Vice in the
amount of $25.00, paid on 05/06/2009, Receipt Number 687220. d)
(Entered: 05/14/2009)
109
05/15/2009
ORDER granting 99 Motion for John W. Davis to Appear Pro Hac Vice for
class member David Meininger.. (Signed by Judge Denny Chin on 5/15/09)
(cd) (Entered: 05/15/2009)
Transmission to Attorney Admissions Clerk. Transmitted re: 109 Order on
Motion to Appear Pro Hac Vice, to the Attorney Admissions Clerk for
updating of Attorney Information. (cd) (Entered: 05/15/2009)
05/15/2009
LETTER addressed to the Clerk of Court from Dr. Else Maria Wischermann
dated 5/5/09 re: Google settlement agreement (letter in German, no translation
provided). (cd) (Entered: 05/15/2009)
05/15/2009
111
Submission To Fairness Hearing, Google Books Settlement, NY 6/11, by
Australian Society of Authors, dated 4/29/09. (cd) (Entered: 05/15/2009)
05/22/2009
77 of 204
110
jj ENDORSED LETTER addressed to Judge Denny Chin from Michael J. Boni
dated 5/20/2009 re: We write on behalf of all the settling parties to inform the
Court of our position on an issue raised by Your Honor’s Order of April 24,
2009. That Order states that the proposed intervenors are “free to file
objections to the proposed settlement or amicus briefs...” (emphasis added).
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While the April 24 Order does not expressly state that any proposed
intervenors who are not also members of the Settlement Class have standing
to object, out of an abundance of caution we write now only to state our
position that those persons lack such standing. ENDORSEMENT: My 4/24/09
Order does not purport to bestow standing on any persons who do not have
standing. SO ORDERED. (Signed by Judge Denny Chin on 5/22/2009) (jmi)
Modified on 5/27/2009 (jmi). (Entered: 05/22/2009)
05/26/2009
113
NOTICE OF APPEAL from 92 Order. Document filed by Lewis Hyde, Harry
Lewis, Open Access Trust Inc. Filing fee $ 455.00, receipt number E 688957.
(nd) (Entered: 05/26/2009)
05/26/2009
Transmission of Notice of Appeal to the District Judge re: 113 Notice of
Appeal. (nd) (Entered: 05/26/2009)
05/26/2009
Transmission of Notice of Appeal and Certified Copy of Docket Sheet to US
Court of Appeals re: 113 Notice of Appeal. (nd) (Entered: 05/26/2009)
06/01/2009
114
LETTER addressed to J. Michael McMahon, Clerk of Court from A. Michael
Noll, Ph. D dated 5/19/09 re: Mr. Noll writes to object to the Google class
action settlement. (tro) (Entered: 06/01/2009)
06/01/2009
115
LETTER addressed to J. Michael McMahon, Clerk of Court from Barbara
Ann Gorte dated 4/3/09 re: Comments and Objections to Settlement for the
Court’s Consideration. (tro) (Entered: 06/01/2009)
06/05/2009
116
LETTER addressed to Judge Denny Chin from Takasu Jiro, Chairman of
Ryutaikyo, Tokyo, Japan dated (no date provided), Re: As the chairman of a
Japanese publishers’ association comprising of 98 members, I hereby declare
that we oppose to the Settlement so as to protect our publishing tradition from
unlawful digitization by Google. (ae) (Entered: 06/05/2009)
06/12/2009
117
The Publishers’ Association on Book Distribution, dated 5/18/09. (p1)
(Entered: 06/12/2009)
06/15/2009
USCA Case Number 09-2224-cv from the USCA 2nd Circuit assigned to 113
Notice of Appeal filed by Lewis Hyde, Open Access Trust Inc., Harry Lewis.
(tp) (Entered: 06/15/2009)
06/24/2009
118
MOTION for James Grimmelman to Appear Pro Hac Vice. Document filed
by New York Law School, Institute for Information Law and Policy.(dle)
(Entered: 06/25/2009)
07/01/2009
119
LETTER addressed to Judge Denny Chin from Angela EBer, Jurgen Kehrer
and Andreas Izquierdo re: Representing more than 500 crime writers from
Germany, Austria and Switzerland we as spokesmen for the “SYNDlKAT
Autorengruppe deutschsprachige Kriminalliteratur” are deeply concerned
about the unauthorized scanning of literary texts and whole books by the
Google cooperation for use in their online library on the internet. This kind of
action is a violation of German and European copyright laws that calls for
-
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legal punishment. Among the authors concerned are a huge number of writers
of the German language whose personal rights and private contracts for their
books that they have signed with German publishers are violated by Google.
(jmi) (Entered: 07/01/2009)
07/01/2009
CASHIERS OFFICE REMARK on 118 Motion to Appear Pro Hac Vice in
the amount of $25.00, paid on 06/24/2009, Receipt Number 691944. (jd)
(Entered: 07/01/2009)
07/02/2009
120
ORDER, that by letter dated July 2, 2009, a copy of which is attached hereto,
the Government advises the Court that it has opened an antitrust investigation
into the proposed settlement in this case.The fairness hearing is scheduled for
October 7, 2009. The Court intends to conduct the hearing on that date. If the
Government wishes to present its views in writing, it must do so by
September 18, 2009. The Government may also appear at the hearing to
present its views orally. (Signed by Judge Denny Chin on 7/2/09) (p1)
(Entered: 07/02/2009)
07/02/2009
121
ORDER FOR ADMISSION PRO HAC VICE ON WRITTEN MOTION,
granting 118 Motion for James Grimmelman to Appear Pro Hac Vice. (Signed
by Judge Denny Chin on 7/2/09) (p1) (Entered: 07/02/2009)
07/02/2009
Transmission to Attorney Admissions Clerk. Transmitted re: 121 Order on
Motion to Appear Pro Hac Vice, to the Attorney Admissions Clerk for
updating of Attorney Information. (p1) (Entered: 07/02/2009)
07/23/2009
ENDORSED LETTER addressed to Judge Denny Chin from R. Emmett
McAuliffe dated July 16,2009 re: Pursuant to Your Honor’s Individual
Practice 2(A), we write on behalf of The Media Exchange Company, Inc.
(“TMEC”) to request a clarification of TMEC’s right to object to the
Settlement as anon-class member and/or file an amicus curiae brief. Despite
not being a class member, TMEC believes it and its customers have an interest
in the proceeding. ENDORSEMENT: Application GRANTED. TMEC may
object as a non-class member and/or file an amicus brief. The Court prefers
one submission. This is without prejudice to any argument the parities may
make that TMEC lacks standing to object. SO ORDERED. (Signed by Judge
Denny Chin on 7/23/2009) (jmi) (Entered: 07/23/2009)
07/23/2009
123
LETTER addressed to Clerk of the Court from Claude Almansi-Beguin dated
7/9/09 re: Objections to the Google Book Search Settlement Agreement. (db)
(Entered: 07/23/2009)
07/23/2009
124
LETTER addressed to Administrator from John Larry Ray dated 7/12/09 re:
Questions regarding the Google lawsuit settlement. (db) (Entered:
07/23/2009)
07/30/2009
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122
133
MOTION for Matthew Christian Schruers to Appear Pro Hac Vice. Document
filed by Computer and Communications Industry Association.(dle) (Entered:
08/17/2009)
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LETTER addressed to Judge Denny Chin from Andrew J. Imparato dated
7/27/2009 re: Counsel writes on behalf of The American Association of
People with Disabilities (AAPD) to respectfully ask that the Court approve the
proposed settlement between the Authors Guild and Google in the above
captioned case. (tve) (Entered: 08/06/2009)
08/05/2009
126
LETTER addressed to Judge Denny Chin from Kathy Rowland dated
8/3/2009 re: Counsel writes to inform the Court that an objection is made to
the proposed settlement. (tve) (Entered: 08/06/2009)
08/05/2009
127
LETTER from Robert Pullman dated 7/30/2009 re: The Chair of the
Australian Society of Authors writes to inform the the Court that they
welcomes the agreement and does not oppose it. (tve) (Entered: 08/06/2009)
08/07/2009
128
LETTER addressed to Office of the Clerk, J. Michael McMahon from Prof.
Dr. Thomas Meir dated 8/1/2009 re: I want to object to the settlement as
actually proposed that there is no choice to accept the digitalization of my
works under the condition that they are made accessible on an open access
basis only. (jpo) (Entered: 08/07/2009)
08/07/2009
j
LETTER addressed to Judge Denny Chin from John B. Forkenbrock dated
8/7/2009 re: I request the Court’s permission to submit this letter in support of
final settlement approval in the aforementioned case. (jpo) (Entered:
08/07/2009)
08/12/2009
130
LETTER addressed to Judge Denny Chin from Brent Wilkes, LULAC
National Executive Director, dated 8/10/2009 re: The League of United Latin
American Citizens wishes to formally submit this letter as amicus curiae in
support of the final settlement approval. (tve) (Entered: 08/12/2009)
08/13/2009
131
LETTER addressed to Judge Denny Chin from Scott James aka Kemble Scott,
author of the novels SoMa and The Sower dated August 10, 2009 re: I’m a
published author whose work is at stake in the proposed settlement for The
Authors Guild et al., vs. Google, Inc. I’m not a lawyer, so you’ll have to
excuse my lack of legalese, but... this deal stinks. Please put an end to it. It’s
wrong on so many levels. (rw) (Entered: 08/14/2009)
08/13/2009
132
LETTER addressed to Judge Denny Chin from Scott James dated 8/10/09 re:
I’m a published author whose work is at stake in the proposed settlement for
The Authors Guild, et a!., vs. Google, Inc. I object to The Authors Guild, et
al., vs. Google, Inc. settlement. Please intervene and stop it. (p1) (Entered:
08/14/2009)
CASHIERS OFFICE REMARK on 133 Motion to Appear Pro Hac Vice in
the amount of $25.00, paid on 07/30/2009, Receipt Number 696015. (jd)
(Entered: 08/1 7/2 009)
08/17/2009
08/17/2009
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LETTER addressed to J. Michael McMahon from Mary Croughan, Henry
Powell et a!, dated 8/13/09 re: Not opposed to the settlement. (cd) (Entered:
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Objection To Proposed Class Action Settlement On Behalf Of Author’s Rights
Class Member Ian Franckenstein, dated 8/13/09. (cd) (Entered: 08/18/2009)
136
MANDATE of USCA WITHDRAWING APPEAL (Certified Copy) as to 113
Notice of Appeal filed by Lewis Hyde, Open Access Trust Inc., Harry Lewis
USCA Case Number 09-2224-cv. .that the appeal is hereby WITHDRAWN
pursuant to Rule 42(b) of the Federal Rules of Appellate Procedure. Catherine
Hagan
T
O Wolfe, Clerk USCA. Certified: 8/17/2009. (nd) (Entered:
08/1 8/2 009)
.
08/18/2009
Transmission of USCA Mandate/Order to the District Judge re:
Mandate Withdrawing Appeal,. (nd) (Entered: 08/18/2009)
08/18/2009
***JJECTION OF ATTEMPTED PAPER FILING IN ECF CASE. The
following document(s) Objection to propose class action settlement on behalf
of author’s rights class member Ian Franckensteinl by Attorney Jerome M.
Garchik, was rejected by the Clerk’s Office and must be FILED
ELECTRONICALLY on the Court’s ECF System. (eef) (Entered: 08/18/2009)
USCA
08/19/2009
138
LETTER addressed to Denny Chin from Gregory Cendana dated 8/17/2009
re: The United States Student Association (USSA) hereby requests this court’s
permission to submit this letter as an amicus curiae supporting final settlement
approval in the above-referenced case. (tve) (Entered: 08/19/2009)
08/19/2009
j LETTER addressed to Judge Denny Chin from John G. Flores dated
8/17/2009 re: The United States Distance Learning Association (USDLA)
requests the court’s permission to submit this letter as an amicus curiae
supporting final settlement approval in The Authors Guild et al. v. Google,
Inc, Case. (tve) (Entered: 08/19/2009)
08/19/2009
140 NOTICE of Intent to appear. I, Scott E. Gant, hereby notif’ the Court of my
intent to appear at the Fairness Hearing in the above-captioned case, currently
scheduled for October 7, 2009. As Explained in my Objection, being filed
contemporaneously with this Notice, I will be appearing in my individual
capacity, as a member of the proposed Author Sub-Class. (mbe) (Entered:
08/20/2009)
08/19/2009
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ORDER FOR ADMISSION PRO HAC VICE ON WRITTEN MOTION
granting 133 Motion for Matthew Christian Schruers to Appear Pro Hac Vice.
Matthew Christian Schruers is admitted to practice pro hac vice as counsel for
Computer and Communications Industry Association in the above captioned
case in this action. Counsel shall forward the pro hac vice fee to the Clerk of
Court. (Signed by Judge Denny Chin on 8/18/09) (tro) (Entered: 08/19/2009)
08/19/2009
I
137
141
Objection of Scott E. Gant to proposed settlement, and to certification of the
proposed settlement class and sub-classes. (mbe) (Entered: 08/20/2009)
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Transmission to Attorney Admissions Clerk. Transmitted re: 137 Order on
Motion to Appear Pro Rae Vice, to the Attorney Admissions Clerk for
updating of Attorney Information. (tro) (Entered: 08/21/2009)
08/20/2009
142
NOTICE of Urban Libraries Council Comments on the Proposed Settlement.
(mbe) (Entered: 08/20/2009)
08/20/2009
143
Objection of Scott E. Gant to proposed settlement, and to certification of the
proposed settlement class and sub-classes. (jfe) (Entered: 08/20/2009)
08/20/2009
144
LETTER addressed to Judge Denny Chin from E. Ted Fox dated 8/19/2009
re: Counsel request the court’s permission to submit this letter as an amicus
curiae supporting final settlement approval in the above-referenced case. (jfe)
(Entered: 08/20/2009)
08/20/2009
154
MOTION for Jennifer Lynch to Appear Pro Hac Vice. Document filed by
Class Member Objectors. (die) (Entered: 08/27/2009)
08/20/2009
156
MOTION for Cindy Cohn to Appear Pro Hac Vice. Document filed by Class
Member Objectors.(dle) (Entered: 08/27/2009)
08/24/2009
145
FILING ERROR DEFICIENT DOCKET ENTRY (WRONG FILER
SELECTED) NOTICE OF APPEARANCE by Joseph Solomon Hall on
behalf of The Author’s Guild (Hall, Joseph) Modified on 8/25/2009 (Ib).
(Entered:_08/24/2009)
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08/25/2009
146
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***NOTE TO ATTORNEY TO RE-FILE DOCUMENT DEFICIENT
DOCKET ENTRY ERROR. Note to Attorney Joseph Hail to RE-FILE
Document 146 Notice of Appearance. ERROR(S): Each individual plaintiff
listed on the Notice of Appearance must be added on to the docket. (jar)
(Entered: 08/26/2009)
08/25/2009
08/26/2009
FILING ERROR DEFICIENT DOCKET ENTRY NOTICE OF
APPEARANCE by Joseph Solomon Hall on behalf of Harold Bloom (Hall,
Joseph) Modified on 8/26/2009 (jar). (Entered: 08/25/2009)
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147
NOTICE OF APPEARANCE by Joseph Solomon Hall on behalf of Elliot
Abrams, Charlotte Allen, Phyllis Ammons, Richard Armey, Jacques Barzun,
Nicholas Basbanes, Stephen Bates, Shawn J. Bayern, Jack Beerman, Michael
Behe, Michael Cox, Douglas Crase, Frank Gonzalez-Crussi, Midge Decter,
John Derbyshire, Thomas M. Disch, Gerald Early, Mel Eisenberg, Richard A.
Epstein, Henry Fetter, David D. Friedman, David Gelernter, Gabrielle Glaser,
Mary Ann Glendon, Victor Davis Hanson, Robert Herbold, Arthur Herman,
Charles Hill, Manuela Hoelterhoff, Richard Howard, Ishmael Jones, Donald
Kagan, David Kuo, Michael Ledeen, Susan Lee, Mary Leflcowitz, David
Lehman, John Lehman, Howard Markel, Sherwin B. Nuland, Steven Ozment,
Michael Perry, Norman Podhoretz, Diane Ravitch, Ralph Reed, Harriet Rubin,
Sarah Ruden, Peter Schweizer, Roger Simon, Roy Spencer, Geoffrey R.
Stone, Charles Sykes, Terry Teachout, Paco Underhill, Ruth Wisse, Elizabeth
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08/26/2009
151
MOTION for David Nimmer to Appear Pro Hac Vice. Document filed by
Amazon.com, Inc.(dle) (Entered: 08/27/2009)
08/26/2009
152
MOTION for Alexander F. Wiles to Appear Pro Hac Vice. Document filed by
Amazon.com, Inc.(dle) (Entered: 08/27/2009)
08/27/2009
148
ENDORSED LETTER addressed to Judge Denny Chin from Jennifer B.
Caplan dated 8/26/2009 re: Requesting permission for Sony Electronics Inc.
to file an amicus curiae brief in support of approval of the proposed settlement
in this matter. ENDORSEMENT: Application granted, but the amicus brief
must be filed by September 4, 2009. (Signed by Judge Richard J. Sullivan on
8/27/2009) (jpo) (Entered: 08/27/2009)
08/27/2009
149
LETTER addressed to Judge Denny Chin from Kenneth L. Frazier dated
8/14/2009 re: Requesting that the Court approve the settlement agreement
among the parties in this case. (jpo) (Entered: 08/27/2009)
08/27/2009
Q LETTER addressed to Judge Denny Chin from E. Ted Fox dated 8/19/2009
re: The Court should approve the Settlement in such a manner as to maximize
benefits to the public and to create a platform for similar developments
relating to photo imaging. (jpo) (Entered: 08/27/2009)
08/27/2009
153
08/27/2009
j LETTER addressed to Judge Denny Chin from Sallie Lowenstein dated
8/17/2009 re: Requesting that the Court does not approve the settlement and
hence deny Google permission to change how ownership of intellectual
property is protected through a settlement that is so dense that lawyers can’t
agree on what it means and which is clearly close to incomprehensible to the
average author. (jpo) (Entered: 08/27/2009)
08/27/2009
157
LETTER addressed to Office of the Clerk, J. Michael McMahon from Yin Po
Tschang re: Digitization is good. Google has the freedom to do whatever it
wants. But it has no right to impose a new principle of law on us, especially
one that goes against the spirit and letter of the principle of common heritage
of mankind. (jpo) (Entered: 08/27/2009)
LETTER addressed to Judge Denny Chin from Jonathan Brown dated
8/14/2009 re: We believe the proposed settlement will offer benefits to users
of content in colleges and universities large and small. We hope that the
proposed settlement will be approved.(jpo) (Entered: 08/27/2009)
08/27/2009
08/27/2009
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LETTER addressed to Judge Denny Chin from Susan Benton dated 8/19/2009
re: Requesting that the Court require the parties to address the issues raised in
this document before approving the proposed settlement. (jpo) (Entered:
08/27/2009)
CASHIERS OFFICE REMARK on 154 Motion to Appear Pro Hac Vice, 156
Motion to Appear Pro Hac Vice in the amount of $50.00, paid on 08/20/2009,
Receipt Number 697871. (jd) (Entered: 08/27/2009)
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CASHIERS OFFICE REMARK on 151 Motion to Appear Pro Hac Vice, 152
Motion to Appear Pro Hac Vice in the amount of $50.00, paid on 08/26/2009,
Receipt Number 698403. (jd) (Entered: 08/27/2009)
08/28/2009
159
LETTER addressed to Judge Denny Chin from Jeanine Varner, Ph.D.,
Provost, Abilene Christian Inversity, dated August 26, 2009 re: We, the
undersigned, request your permission to submit this letter as an amicus curiae
in support of final settlement approval in the above case. (rw) (Entered:
08/28/2009)
08/28/2009
160
LETTER addressed to Office of the Clerk, J. Michael McMahon, from Arthur
Ramous dated August 21, 2009 re: I’m staying in the Settlement; however I
have the following comment to make. (rw) Modified on 8/28/2009 (rw).
(Entered: 08/28/2009)
08/28/2009
161
LETTER addressed to Office of the Clerk, J. Michael McMahon from
Virginia Aronson dated 8/19/2009 re: I am writing to file my objection to the
settlement by Google Books with copyright holders (case NO 05CV8 136
(SDNY). I am a writer with more than 30 titles for which I am the author or
coauthor. Two of these titles have already been scanned and added to Google’s
electronic database without my knowledge or permission. I am the copyright
holder in both cases. I object to this infringement of copyright and I object to
the settlement on my behalf undertaken without my knowledge.(rw) (Entered:
08/28/2009)
08/28/2009
162
LETTER addressed to Office of the Clerk, J. Michael McMahon from Erika
Mailman dated August 21, 2009 re: I’m writing to object to, and express my
horror at, the Google Book Settlement currently on Judge Denny Chin’s desk.
(rw)_(Entered: 08/28/2009)
08/31/2009
163
NOTICE OF APPEARANCE by Alexandra A. E. Shapiro on behalf of
Harrasowitz, Media24, Studentlitteratur AB, Norstedts Forlagsgrupp AB,
Norstedts Kartor AB, Leopard Forlag AB, Borsenverein des Deutschen
Buchhandels, Schweizer Buchhandler und Verleger-Verband SBVV
Hauptverband des Osterreichischen Buchhandels, Svenska
Forlaggareforeningen (Shapiro, Alexandra) (Entered: 08/31/2009)
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08/31/2009
164
NOTICE OF APPEARANCE by Daniel J. Fetterman on behalf of Consumer
Watchdog (Fetterman, Daniel) (Entered: 08/31/2009)
08/31/2009
165
NOTICE OF APPEARANCE by Peter Jonathan Toren on behalf of Consumer
Watchdog (Toren, Peter) (Entered: 08/31/2009)
08/31/2009
166 NOTICE OF APPEARANCE by Cynthia S. Arato on behalf of Harrasowitz,
Media24, Studentlitteratur AB, Norstedts Forlagsgrupp AB, Norstedts Kartor
AB, Leopard Forlag AB, Borsenverein des Deutschen Buchhandels,
Schweizer Buchhandler und Verleger-Verband SBVV Hauptverband des
Osterreichischen Buchhandels, Svenska ForLaggareforeningen (Arato,
Cynthia) (Entered: 08/31/2009)
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167
Objection To Proposed Settlement. Document filed by Harrasowitz, Media24,
Studentlitteratur AB, Norstedts Forlagsgrupp AB, Norstedts Kartor AB,
Leopard Forlag AB, Borsenverein des Deutschen Buchhandels, Schweizer
Buchhandler und Verleger-Verband SBVV Hauptverband des
Osterreichischen Buchhandels, Svenska Forlaggareforeningen. (Shapiro,
Alexandra) (Entered: 08/31/2009)
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08/31/2009
168
DECLARATION of Barbara Krauss in Support re: 167 Objection
(non-motion), Objection (non-motion). Document filed by Harrasowitz.
(Shapiro, Alexandra) (Entered: 08/31/2009)
08/31/2009
169
DECLARATION of Ashoek Adhikari in Support re:
Objection
(non-motion), Objection (non-motion). Document filed by Media24.
(Attachments: #1 Appendix Appendix A)(Shapiro, Alexandra) (Entered:
08/31/2009)
08/31/2009
170
DECLARATION of Jerker Fransson in Support re: 167 Objection
(non-motion), Objection (non-motion). Document filed by Studentlitteratur
AB. (Shapiro, Alexandra) (Entered: 08/31/2009)
08/31/2009
171
DECLARATION of Maria Hamrefors in Support re: 167 Objection
(non-motion), Objection (non-motion). Document filed by Norstedts
Forlagsgrupp AB, Norstedts Kartor AB. (Shapiro, Alexandra) (Entered:
08/31/2009)
08/31/2009
172
DECLARATION of Dan Israel in Support re: 167 Objection (non-motion),
Objection (non-motion). Document filed by Leopard Forlag AB. (Shapiro,
Alexandra) (Entered: 08/31/2009)
j
08/31/2009
08/31/2009
174 NOTICE OF APPEARANCE by Theodore Conrad Max on behalf of Federal
Republic of Germany (Max, Theodore) (Entered: 08/31/2009)
08/31/2009
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173
175
ENDORSED LETTER addressed to Judge Deniy Chin from John B. Morris,
Jr. dated 8/28/2009 re: Counsel writes on behalf of CDT, to request permission
for CDT to file a brief amicus curiae, to be filed in support of neither party,
will not exceed 25 pages, and will be filed by 9/4/2009. ENDORSEMENT:
Approved. (Signed by Judge Denny Chin on 8/31/2009) (tve) (Entered:
08/31/2009)
DECLARATION of Christian Sprang in Support re: 167 Objection
(non-motion), Objection (non-motion). Document filed by Borsenverein des
Deutschen Buchhandels. (Attachments: # 1 Appendix Pages 11-20 of Sprang
Declaration, # 2 Exhibit A (1 of 4), # 3 Exhibit A (2 of 4), # 4 Exhibit A (3 of
4), # 5 Exhibit A (4 of 4), # 6 Exhibit B (1 of4), # 7 Exhibit B (2 of 4), # 8
Exhibit B (3 of 4), # 9 Exhibit B (4 of 4), # 10 Exhibit C, # 11 Exhibit D (1 of
4), # 12 Exhibit D (2 of 4), # 13 Exhibit D (3 of 4), # 14 Exhibit D (4 of 4), #
15 Exhibit E, # 16 Exhibit F (1 of 4), # 17 Exhibit F (2 of 4), # 18 Exhibit F (3
of 4), # 19 Exhibit F (4 of 4), # 20 Exhibit G, # 21 Exhibit H, # 22 Exhibit I, #
23 Exhibit J, # 24 Exhibit K)(Shapiro, Alexandra) (Entered: 08/31/2009)
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DECLARATION of Dani Landolf in Support re: 167 Objection (non-motion),
Objection (non-motion). Document filed by Schweizer Buchhandler und
Verleger-Verband SBVV. (Shapiro, Alexandra) (Entered: 08/31/2009)
176
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08/31/2009
177
08/31/2009
j_7 DECLARATION of Kristina Ahlinder in Support re: 167 Objection
(non-motion), Objection (non-motion). Document filed by Svenska
Forlaggareforeningen. (Attachments: # I Exhibit A, # 2 Exhibit B (1 of 4), # 3
Exhibit B (2 of 4), # 4 Exhibit B (3 of 4), # 5 Exhibit B (4 of 4), # 6 Exhibit
C)(Shapiro,_Alexandra) (Entered: 08/31/2009)
08/31/2009
179
MEMORANDUM OF LAW in Opposition to the Settlement Proposal on
Behalf ofthe Federal Republic ofGermany. Document filed by Federal
Republic of Germany. (Max, Theodore) (Entered: 08/31/2009)
08/31/2009
180
DECLARATION of Ministerialdirigent Dr. Johannes Christian Wichard in
Opposition re: 179 Memorandum of Law in Opposition. Document filed by
Federal Republic of Germany. (Max, Theodore) (Entered: 08/31/2009)
08/31/2009
183
ENDORSED LETTER addressed to Judge Denny Chin from Hadrian R. Katz
dated 8/31/2009 re: Counsel respectfully seek leave from the Court to file, in
addition, an amicus brief on behalf of the Open Book Alliance, a coalition of
diverse organizations including Amazon.com, Inc., The American Society of
Journalists and Authors, The Council of Literary Magazines and Presses,
Microsoft Corporation, The New York Library Association, Small Press
Distribution, The Special Libraries Association, and Yahoo! Inc., as well as
the Internet Archive. With the Court’s permission, that amicus brief as well
will be filed by the September 4, 2009 objection deadline. ENDORSEMENT:
Application Granted. So Ordered. (Signed by Judge Denny Chin on
8/31/2009) (j fe) (Entered: 09/01/2009)
08/31/2009
233
MOTION for Michael John Guzman to Appear Pro Hac Vice. Document filed
by Harold Bloom, Elliot Abrams, Charlotte Allen, Phyllis Ammons, Richard
Armey, Jacques Barzun, Nicholas Basbanes, Stephen Bates, Shawn J. Bayem,
Jack Beerman, Michael Behe, Michael Cox, Douglas Crase, Frank Gonzalez
Crussi, Midge Decter, John Derbyshire, Thomas M. Disch, Gerald Early, Mel
Eisenberg, Richard A. Epstein, Henry Fetter, David D. Friedman, David
Gelernter, Gabrielle Glaser, Mary Ann Glendon, Victor Davis Hanson, Robert
Herbold, Arthur Herman, Charles Hill, Manuela Hoelterhoff, Richard
Howard, Ishmael Jones, Donald Kagan, David Kuo, Michael Ledeen, Susan
Lee, Mary Lefkowitz, David Lehman, John Lehman, Howard Markel,
Sherwin B. Nuland, Steven Ozment, Michael Perry, Norman Podhoretz, Diane
Ravitch, Ralph Reed, Harriet Rubin, Sarah Ruden, Peter Schweizer, Roger
Simon, Roy Spencer, Geoffrey R. Stone, Charles Sykes, Terry Teachout, Paco
DECLARATION of Inge Kralupper in Support re: 167 Objection
(non-motion), Objection (non-motion). Document filed by Hauptverband des
Osterreichischen Buchhandels. (Attachments: # I Exhibit A)(Shapiro,
Alexandra) (Entered: 08/31/2009)
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Underhill, Ruth Wisse, Elizabeth Wurtzel, John Yoo.(dle) (Entered:
09/03/2009)
08/31/2009
370
LETTER addressed to Office of the Clerk from Ian Muller dated 8/31/09 re:
Koninklijke Van Gorcum B.V. objects to Settlement Agreement. Document
filed by Koninklijke Van Gorcum B.V..(dle) (Entered: 09/10/2009)
09/01/2009
181
NOTICE OF APPEARANCE by Alexandra A. E. Shapiro on behalf of
Czemin Verlag (Shapiro, Alexandra) (Entered: 09/01/2009)
09/01/2009
182 NOTICE OF APPEARANCE by Cynthia S. Arato on behalf of Czernin
Verlag_(Arato,_Cynthia)_(Entered:_09/01/2009)
09/01/2009
184
FILING ERROR WRONG EVENT TYPE SELECTED FROM MENU
(Joinder) NOTICE of Joinder re: 167 Objection (non-motion), Objection
(non-motion). Document filed by Czernin Verlag. (Arato, Cynthia) Modified
on 9/2/2009 (jar). (Entered: 09/01/2009)
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09/01/2009
185
FILING ERROR DEFICIENT DOCKET ENTRY (LINKED TO A
DEFICIENT DOCKET ENTRY, SEE DOCUMENT #220) DECLARATION
of Benedikt Foeger in Support re: 184 Notice (Other), 167 Objection
(non-motion), Objection (non-motion). Document filed by Czernin Verlag.
(Arato, Cynthia) Modified on 9/8/2009 (Ib). (Entered: 09/01/2009)
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09/01/2009
186
RULE 7.1 CORPORATE DISCLOSURE STATEMENT. No Corporate
Parent. Document filed by Harrasowitz, Studentlitteratur AB, Norstedts
Forlagsgrupp AB, Norstedts Kartor AB, Leopard Forlag AB, Borsenverein
des Deutschen Buchhandels, Schweizer Buchhandler und Verleger-Verband
SBVV, Hauptverband des Osterreichischen Buchhandels, Svenska
Forlaggareforeningen, Czernin Verlag.(Arato, Cynthia) (Entered: 09/01/2009)
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09/01/2009
187
RULE 7.1 CORPORATE DISCLOSURE STATEMENT. Identifying Naspers
Ltd. as Corporate Parent. Document filed by Media24.(Arato, Cynthia)
(Entered: 09/01 /2 009)
09/01/2009
188
LETTER addressed to Judge Denny Chin from Robert Cooper Ramo dated
8/31/2009 re: In light of the objections set within, the Institute requests that
the Court decline to approve the GBS as currently drafted. (jfe) (Entered:
09/01/2009)
09/01/2009
189
LETTER addressed to Judge Colleen McMahon from Martine Schaap dated
8/27/2009 re: We (Uitgeverij Ploegsma BV) are writing to you in regards to
the proposed Settlement Agreement between Google Inc., and the Authors
Guild and the Association of American Publishers. We would like to raise the
following concerns and objections to this Settlement. (jfe) (Entered:
09/01/2009)
190
LETTER addressed to Judge Colleen McMahon from Barbel Dorweiler dated
8/27/2009 re: We (Queridos Childrens Books) are writing to you in regards to
the proposed Settlement Agreement between Google Inc., and the Authors
I
09/01/2009
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Guild and the Association of American Publishers. We would like to raise the
following concerns and objections to this Settlement. (jfe) (Entered:
09/01/2009)
09/01/2009
191
LETTER addressed to Judge Colleen McMahon from Manja Heerze dated
8/27/2009 re: We (Uitgeverij Leopold BV) are writing to you in regards to the
proposed Settlement Agreement between Google Inc., and the Authors Guild
the Association of American Publishers. We would like to raise the
and
following concerns and objections to this Settlement. (jfe) (Entered:
09/01/2009)
09/01/2009
192
LETTER addressed to Sir Michael McMahon from Mark Pieters dated
8/27/2009 re: We (Em. Queridos Uitgeverij BY) are writing to you in regards
to the proposed Settlement Agreement between Google Inc., and the Authors
Guild and the Association of American Publishers. We would like to raise the
following concerns and objections to this Settlement. (jfe) (Entered:
09/01/2009)
09/01/2009
193
LETTER addressed to Sir Michael McMahon from Paul Roosenstein dated
8/27/2009 re: We, SWP publisher, are writing to you in regards to the
proposed Settlement Agreement between Google Inc., and the Authors Guild
and the Association of American Publishers. We would like to raise the
following concerns and objections set forth within to this Settlement. (jfe)
(Entered: 09/01/2009)
09/01/2009
194
LETTER addressed to Sir Michael McMahon from Mark Pieters dated
8/27/2009 re: We (Athenaeum Polak & Van Gennep) are writing to you in
regards to the proposed Settlement Agreement between Google Inc., and the
Authors Guild and the Association of American Publishers. We would like to
raise the following concerns and objections to this Settlement. (jfe) (Entered:
09/01 /2009)
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09/01/2009
] LETTER addressed to Sir Michael McMahon from Vic Van de Reijt dated
8/27/2009 re: We (Nijgh & Van Ditmar) are writing to you in regards to the
proposed Settlement Agreement between Google Inc., and the Authors Guild
and the Association of American Publishers. We would like to raise the
following concerns and objections to this Settlement. (jfe) (Entered:
--—-.-
09/01/2009
09/01/2009
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196
197 NOTICE OF APPEARANCE by David A. Zapoisky on behalf of
[Amazon.corn,Jnc.(Zapolsky, David) (Entered: 09/01/2009)
LETTER addressed to Sir Michael McMahon from Jerker Nilsson dated
8/28/2009 re: We (Liber AB, herein after called Libe?’) are writing to you in
regards to the proposed Settlement Agreement between Google Inc., and the
Authors Guild and the Association of American Publishers. (jfe) (Entered:
09/01/2009)
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198
RULE 7.1 CORPORATE DISCLOSURE STATEMENT. No Corporate
Parent. Document filed by Amazon.com, Inc..(Zapolsky, David) (Entered:
09/01/2009)
09/01/2009
199
LETTER addressed to Mr. McMahon from Peter Van Haaften dated 8/27/2009
re: Counsel writes to make the following objections and comments set forth
within to the Google Book Settlement. (jfe) (Entered: 09/01/2009)
09/01/2009
200
LETTER addressed to Mr. McMahon from Peter Van Haaften dated 8/27/2009
re: Counsel writes to make the following objections and comments set forth
within to the Google Book Settlement. (jfe) (Entered: 09/01/2009)
09/01/2009
201
LETTER addressed to Mr J. Michael McMahon from Miss Lynne Gamer
dated 8/27/2009 re: Counsel writes to object to the Google Book Settlement..
(jfe) (Entered: 09/01/2009)
09/01/2009
202
LETTER addressed to Judge Denny Chin from Scott James dated 8/27/2009
re: For all of the reasons set forth within, Counsel objects to The Authors
Guild, et al., vs. Google, Inc. settlement. Please intervene and stop it.(jfe)
(Entered: 09/01/2009)
09/01/2009
203
NOTICE OF APPEARANCE by Andrew C. DeVore on behalf of Arlo
Guthrie, Julia Wright, Catherine Ryan Hyde, Eugene Linden (DeVore,
Andrew) (Entered: 09/01/2009)
09/01/2009
204 NOTICE OF APPEARANCE by Shirley Othmana Saed on behalf of The
American Society of Media Photographers, Inc., Graphic Artists Guild,
Picture Archive Council of America, North American Nature Photography
Association, Joel Meyerowitz, Dan Budnick, Peter Turner, Lou Jacobs, Jr
(Saed, Shirley) (Entered: 09/01/2009)
09/01/2009
205
NOTICE OF APPEARANCE by Amin S. Kassam on behalf of Arlo Guthrie,
Julia Wright, Catherine Ryan Hyde, Eugene Linden (Kassam, Amin) (Entered:
9102009
—__L°
09/01/2009
206
Objection ofAmazon.com, Inc. to Proposed Settlement. Document filed by
Amazon.com, Inc.. (Zapolsky, David) (Entered: 09/01/2009)
09/01/2009
207
DECLARATION of David Nimmer in Support re: 206 Objection
(non-motion). Document filed by Amazon.com, Inc.. (Attachments: #1
Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D, # 5 Exhibit E, # 6
Exhibit F)(Zapolsky, David) (Entered: 09/01/2009)
09/01/2009
208
NOTICE of Intent to Appear by Amazon.com, Inc. re: 206 Objection
(non-motion). Document filed by Amazon.com, Inc.. (Zapolsky, David)
(Entered: 09/01/2009)
09/01/2009
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***NOTE TO ATTORNEY TO RE-FILE DOCUMENT EVENT TYPE
ERROR. Note to Attorney Cynthia Arato to RE-FILE Document 184 Notice
(Other). Use the event type Joinder found under the event list Other
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Documents. (jar) (Entered: 09/02/2009)
09/01/2009
232
MOTION for Edwin C. Komen to Appear Pro Hac Vice. Document filed by
Federal Republic of Germany.(dle) (Entered: 09/03/2009)
09/02/2009
209
Objection to Proposed Settlement. Document filed by Arlo Guthrie, Julia
Wright, Catherine Ryan Hyde, Eugene Linden. (DeVore, Andrew) (Entered:
09/02/2009)
09/02/2009
210
DECLARATION of Annie Guthrie on Behalf of Arlo Guthrie in Support re:
209 Objection (non-motion). Document filed by Arlo Guthrie. (DeVore,
Andrew) (Entered: 09/02/2009)
09/02/2009
211
DECLARATION of Julia Wright in Support re: 209 Objection (non-motion).
Document filed by Julia Wright. (DeVore, Andrew) (Entered: 09/02/2009)
09/02/2009
09/02/2009
DECLARATION of Catherine Ryan Hyde in Support re: 209 Objection
(non-motion). Document filed by Catherine Ryan Hyde. (DeVore, Andrew)
(Entered: 09/02/2 009)
213
[ DECLARATION of Eugene Linden in Support re: 209 Objection
(non-motion). Document filed by Eugene Linden. (DeVore, Andrew)
(Entered: 09/02/2009)
09/02/2009
DECLARATION of Laura Leslie on Behalf of the Estate of Philip K. Dick in
Support re: 209 Objection (non-motion). Document filed by Arlo Guthrie,
Julia Wright, Catherine Ryan Hyde, Eugene Linden. (DeVore, Andrew)
(Entered: 09/02/2009)
09/02/2009
215
DECLARATION of Andrew C. DeVore in Support re: 209 Objection
(non-motion). Document filed by Arlo Guthrie, Julia Wright, Catherine Ryan
Hyde, Eugene Linden. (Attachments: # 1 Exhibit A, # 2 Exhibit Bi, # 3
Exhibit B2, # 4 Exhibit B3, # 5 Exhibit B4, # 6 Exhibit B5, # 7 Exhibit C, # 8
Exhibit D, # 9 Exhibit E, # 10 Exhibit F, # 11 Exhibit G, # 12 Exhibit H, # 13
Exhibit I, # 14 Exhibit J, # 15 Exhibit K, # 16 Exhibit L)(DeVore, Andrew)
(Entered: 09/02/2009)
09/02/2009
216
ENDORSED LETTER addressed to Judge Denny Chin from Daniel
Fetterman dated 9/1/2009 re: request permission to file an amicus curiae brief,
and to appear at the hearing, to address certain antitrust and copyright
concerns with the proposed settlement agreement in this proceeding.
ENDORSEMENT: This application is granted, but in light of the volume of
materials being submitted to the Court, I would suggest that a 25-page brief
would be more effective than a 40-page brief. As for permission to speak at
the hearing, the Court will address this question in a future order. We need to
see how many requests there are to speak. (Signed by Judge Denny Chin on
9/2/2009) (jar) (Entered: 09/02/2009)
09/02/2009
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214
217
ORDER: The deadline for filing objections and amicus curiae briefs in this
case is hereby extended to 10:00 a.m. EST on Tuesday, September 8, 2009.
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Objectors and amici are also reminded that they are required to send a
courtesy copy of any documents filed electronically to my Chambers. (Brief
due by 9/8/2009.) (Signed by Judge Denny Chin on 9/2/2009) (jar) (Entered:
09/02/2009)
09/02/2009
Objection to Proposed Settlement. Document filed by The American Society
of Media Photographers, Inc., Graphic Artists Guild, Picture Archive Council
of America, North American Nature Photography Association, Joel
Meyerowitz, Dan Budnick, Peter Turner, Lou Jacobs, Jr. (Attachments: # 1
Exhibit A, #2 Exhibit B, # 3 Exhibit C, #4 Exhibit Exhibit D, # 5 Exhibit
E)(Saed, Shirley) (Entered: 09/02/2009)
09/02/2009
219
JOINDER to join re: 167 Objection (non-motion), Objection (non-motion).
Document filed by Czernin Verlag.(Arato, Cynthia) (Entered:_09/02/2009)
09/02/2009
220
DECLARATION of Benedikt Foeger re: 219 Joinder, 167 Objection
(non-motion), Objection (non-motion)., DECLARATION of Benedikt Foeger
in Support. Document filed by Czernin Verlag. (Arato, Cynthia) (Entered:
09/02/2009)
09/02/2009
221
LETTER addressed to Office of the Clerk J. Michael MeMahon from
Uitgeverij Balans dated 8/27/09 re: The hearing in October 2009 regarding the
Google settlement. (p1) (Entered: 09/02/2009)
09/02/2009
222
LETTER addressed to Michael McMahon, Clerk of Court from Uitgeverij
Agon dated 8/27/09 re: The hearing in October 2009 regarding the Google
settlement. We would like to draw your attention to the copyrights of the
Dutch books owned by our publishing house which appear to be included in
the settlement reached between Google and the Authors Guild and
Association of American Publishers. (p1) (Entered: 09/02/2009)
09/02/2 009
223
LETTER addressed to J. Michael McMahon, Clerk of Court from Uitgeverij
De Arbeiderspers dated 8/27/09 re: The hearing in October 2009 regarding the
Google settlement. (p1) (Entered: 09/02/2009)
09/02/2009
224
LETTER addressed to J. Michael McMahon, Clerk of Court from Uitgeverij
Singel Pockets dated 8/27/09 re: The hearing in October 2009 regarding the
Google settlement. (p1)_(Entered: 09/02/2009)
09/02/2009
225
LETTER addressed to Judge Denny Chin from Michael A. Banks dated
9/1/2009 re: Author writes to request this court’s permission to submit this
letter as an amicus curiae supporting final settlement approval. (tve) (Entered:
09/02/2009)
09/02/2009
226
LETTER addressed to Judge Denny Chin from Filomena Periera re: Author
writes requesting this Court’s permission to submit this letter as an amicus
curiae supporting final settlement approve in the above referenced case. (tve)
j(Entered: 09/02/2009)
.
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ENDORSED LETTER addressed to Judge Denny Chin from Matthew D.
Ingber dated 9/2/2009 re: The Amici respectfully request that the Court grant
them leave to file a brief amicus curiae. ENDORSEMENT: APPLICATION
GRANTED. SO ORDERED. (Signed by Judge Denny Chin on 9/2/2009)
(tve) (Entered: 09/02/2009)
09/02/2009
228
ORDER FOR ADMISSION PRO HAC VICE: granting 151 Motion for David
Nimmer to Appear Pro Hac Vice. (Signed by Judge Denny Chin on 9/2/2009)
(tve) (Entered: 09/02/2009)
09/02/2009
229
ORDER FOR ADMISSION PRO HAC VICE: granting 152 Motion for
Alexander F. Wiles to Appear Pro Hac Vice. (Signed by Judge Denny Chin on
9/2/2009) (tve) (Entered: 09/02/2009)
09/02/2009
230
ORDER FOR ADMISSION PRO HAC VICE ON WRITTEN MOTION:
granting 154 Motion for Jennifer Lynch to Appear Pro Hac Vice. (Signed by
Judge Denny Chin on 9/2/2009) (tve) (Entered: 09/02/2009)
09/02/2009
231
ORDER FOR ADMISSION PRO HAC VICE ON WRITTEN MOTION:
granting 156 Motion for Cindy Cohn to Appear Pro Hac Vice. (Signed by
Judge Denny Chin on 9/2/2009) (tve) (Entered: 09/02/2009)
09/02/2009
Transmission to Attorney Admissions Clerk. Transmitted re: 229 Order on
Motion to Appear Pro Hac Vice, 231 Order on Motion to Appear Pro Hac
Vice, 228 Order on Motion to Appear Pro Hac Vice, 230 Order on Motion to
Appear Pro Hac Vice, to the Attorney Admissions Clerk for updating of
Attorney Information. (tve) (Entered: 09/02/2009)
09/02/2009
MOTION for John B. Morris, Jr. to Appear Pro Hac Vice. Document filed by
Amicus Curaie. .(mro)_(Entered: 09/08/2009)
09/02/2009
428
ORDER: The Court has received requests for pre-motion conferences by the
American Society of Media Photographers, Inc., the Graphic Artists Guild,
the Picture Archive Council of America, the North American Nature
Photographers Association, Joel Meyerowitz, Dan Budnik, Peter Turner, and
Lou Jacobs, Jr., seeking leave to intervene in this action. I have construed their
letters as motions to intervene and the motions are denied. The proposed
interveners are free to file objections to the proposed settlement, but they must
do so by the September 4, 2009 deadline. (Signed by Judge Denny Chin on
9/2/2009) (jar) (Entered: 09/10/2009)
09/02/2009
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266
506
LETTER addressed to J. Michael McMahon from Mai Spijkers dated
8/26/2009 re: We Prometheus/Bert Bakker are writing to you in regards to the
propose settlement Agreement between Google Inc., and the Authors Guild
and the Association of American Publishers. We would like to raise the
following concerns and Objections to this Settlement. (jmi) (Entered:
09/11/2009)
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4 NOTICE OF APPEARANCE by Joseph Solomon Hall on behalf of Ishmael
Jones, Wendy Shalit, American Society of Journalists and Authors, Charlotte
Allen, Harold Bloom, Elliot Abrams, Richard Armey, Jacques Barzun,
Nicholas Basbanes, Stephen Bates, Shawn J. Bayern, Jack Beerman, Michael
Behe, Michael Cox, Douglas Crase, Frank Gonzalez-Crussi, Midge Decter,
John Derbyshire, Thomas M. Disch, Gerald Early, Mel Eisenberg, Richard A.
Epstein, Henry Fetter, David D. Friedman, David Gelernter, Gabrielle Glaser,
Mary Ann Glendon, Victor Davis Hanson, Robert Herbold, Arthur Herman,
Charles Hill, Manuela Hoelterhoff, Richard Howard, Donald Kagan, David
Kuo, Michael Ledeen, Susan Lee, Mary Lefkowitz, David Lehman, John
Lehman, Howard Markel, Sherwin B. Nuland, Steven Ozment, Michael Perry,
Norman Podhoretz, Diane Ravitch, Ralph Reed, Harriet Rubin, Sarah Ruden,
Peter Schweizer, Roger Simon, Roy Spencer, Geoffrey R. Stone, Charles
Sykes, Terry Teachout, Paco Underhill, Ruth Wisse, Elizabeth Wurtzel, John
Yoo (Hall, Joseph) (Entered: 09/03/2009)
09/03/2009
235
09/03/2009
NOTICE OF APPEARANCE by Katherine B Forrest on behalf of DC Comics
(Forrest, Katherine) (Entered: 09/03/2009)
CASHIERS OFFICE REMARK on 233 Motion to Appear Pro Hac Vice,,, in
the amount of $25.00, paid on 08/31/2009, Receipt Number 698602. (jd)
(Entered: 09/03/2009)
09/03/2009
236
09/03/2009
7 RULE 7.1 CORPORATE DISCLOSURE STATEMENT. E.C. Publications,
NOTICE OF APPEARANCE by Mark Lloyd Silverstein on behalf of DC
Comics (Silverstein, Mark) (Entered: 09/03/2009)
Inc., Time Warner Communications Inc. and Warner Communications Inc as
Corporate Parents. Document filed by DC Comics.(Forrest, Katherine)
(Entered: 09/03/2009)
09/03/2009
Objection to the Proposed Settlement Agreement. Document filed by DC
Comics. (Forrest, Katherine) (Entered: 09/03/2009)
09/03/2009
239
BRIEF Amicus Curiae. Document filed by New York Law School, Institute
for Information Law and Policy.(Grimmelmann, James) (Entered: 09/03/2009)
09/03/2009
240 NOTICE OF APPEARANCE by Thomas Cort Rubin on behalf of Microsoft
Corporation (Rubin, Thomas) (Entered: 09/03/2009)
09/04/2009
298
ORDER. The Electronic Privacy Information Center moves, pursuant to
FRCP 24(b), to intervene in this action. The motion is denied. This case was
filed some four years ago and has been conditionally settled; it is simply too
late to permit new parties into the case. EPIC is free to file an objections to the
proposed settlement, but it must do so by 10:00 a.m. EST on September 8,
2009 (Signed by Judge Denny Chin on 9/4/09)_(djc)_(Entered: 09/08/2009)
09/04/2009
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304
MOTION for Philip Roberts to Appear Pro Hac Vice. Document filed by
Canadian Standard Association, Paul Dickson, Joseph Goulden, Association
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of American Publishers, Inc., Associational Plaintiffs, The McGraw-Hill
Companies, Inc., Pearson Education, Inc., Simon & Schuster, Inc., John Wiley
& Sons, Inc., The Autho?s Guild, Herbert Mitgang, Betty Miles, Daniel
Hoffman.(mro) (Entered: 09/09/2009)
09/07/2009
241
Amicus Curiae APPEARANCE entered by Nelson E. Roth on behalf of
Cornell University. (Attachments: # I Amicus Curiae Letter from Cornell
University)(Roth, Nelson) (Entered: 09/07/2009)
09/08/2009
242
NOTICE OF APPEARANCE by Nidhi Yadava on behalf of Hachette Livre
SA, Librarie Arthme Fayard SA, Dunod Editeur SA, Les Editions Hatier
SNC, Editions Larousse SAS, Editorial Salvat SL, Grupo Anaya SA, Algaida
Editores, S.A., Alianza Editorial, S.A., Edicions Xerais De Galicia, S.A.,
Editorial Barcanova, S.A., Larousse Editorial, S.L, Grupo Editorial Bruno,
S.L., Edelsa Grupo Didascalia, S.A., Hachette UK Limited (Yadava, Nidhi)
(Entered: 09/08/2009)
09/08/2009
243
NOTICE OF APPEARANCE by Robert C. Micheletto on behalf of Hachette
Livre SA, Librarie Arthme Fayard SA, Dunod Editeur SA, Les Editions
Hatier SNC, Editions Larousse SAS, Editorial Salvat SL, Grupo Anaya SA,
Algaida Editores, S.A., Alianza Editorial, S.A., Edicions Xerais De Galicia,
S.A., Editorial Barcanova, S.A., Larousse Editorial, S.L, Grupo Editorial
Bruno, S.L., Edelsa Grupo Didascalia, S.A., Hachette UK Limited
(Micheletto, Robert) (Entered: 09/08/2009)
09/08/2009
244
RULE 7.1 CORPORATE DISCLOSURE STATEMENT. Identifying
Hachette, S.A. as Corporate Parent. Document filed by Hachette Livre
SA.(Micheletto, Robert) (Entered: 09/08/2009)
09/08/2009
245
RULE 7.1 CORPORATE DISCLOSURE STATEMENT. Identifying Hachette
Livre, S.A as Corporate Parent. Document filed by Librarie Arthme Fayard
SA.(Micheletto, Robert) (Entered: 09/08/2009)
09/08/2009
246
RULE 7.1 CORPORATE DISCLOSURE STATEMENT. Identifying Hachette
Livre, S.A. as Corporate Parent. Document filed by Dunod Editeur
SA.(Micheletto, Robert) (Entered: 09/08/2009)
09/08/2009
247
RULE 7.1 CORPORATE DISCLOSURE STATEMENT. Identifying Hachette
Livre, S.A. as Corporate Parent. Document filed by Les Editions Hatier
SNC (Micheletto, Robert) (Entered: 09/08/2009)
.
09/08/2009
RULE 7.1 CORPORATE DISCLOSURE STATEMENT. Identifying Hachette
Livre, S.A. as Corporate Parent. Document filed by Editions Larousse
SAS. (Micheletto, Robert) (Entered: 09/08/2009)
09/08/2009
42 RULE 7.1 CORPORATE DISCLOSURE STATEMENT. Identifying Hachette
Livre Espana, S.A.U. as Corporate Parent. Document filed by Grupo Anaya
SA.(Micheletto, Robert) (Entered: 09/08/2009)
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RULE 7.1 CORPORATE DISCLOSURE STATEMENT. Identifying Hachette
Livre Espana, S.A.U. as Corporate Parent. Document filed by Editorial Salvat
SL.(Micheletto, Robert) (Entered: 09/08/2009)
09/08/2009
251
RULE 7.1 CORPORATE DISCLOSURE STATEMENT. Identifying Grupo
Anaya, S.A. as Corporate Parent. Document filed by Algaida Editores,
S.A. .(Micheletto, Robert) (Entered: 09/08/2009)
09/08/2009
252
RULE 7.1 CORPORATE DISCLOSURE STATEMENT. Identifying Grupo
Anaya, S.A. as Corporate Parent. Document filed by Alianza Editorial,
S.A. .(Micheletto, Robert) (Entered: 09/08/2009)
09/08/2009
253
RULE 7.1 CORPORATE DISCLOSURE STATEMENT. Identifying Hachette
Livre, S.A. as Corporate Parent. Document filed by Edelsa Grupo Didascalia,
S.A. (Micheletto, Robert) (Entered: 09/08/2009)
.
09/08/2009
4 RULE 7.1 CORPORATE DISCLOSURE STATEMENT. Identifying Grupo
Anaya, S.A. as Corporate Parent. Document filed by Edicions Xerais De
Galicia, S.A. .(Micheletto, Robert) (Entered: 09/08/2009)
09/08/2009
255
09/08/2009
RULE 7.1 CORPORATE DISCLOSURE STATEMENT. Identifying Grupo
Anaya, S.A. as Corporate Parent. Document filed by Editorial Barcanova,
S .A. .(Micheletto, Robert) (Entered: 09/08/2009)
RULE 7.1 CORPORATE DISCLOSURE STATEMENT. Identifying Hachette
Livre Espana, S.A.U. as Corporate Parent. Document filed by Grupo Editorial
Bruno, S.L. .(Micheletto, Robert) (Entered: 09/08/2009)
09/08/2009
RULE 7.1 CORPORATE DISCLOSURE STATEMENT. Identifying Grupo
Anaya S.A. and Education Management, S.A. as Corporate Parent. Document
filed by Larousse Editorial, S.L.(Micheletto, Robert) (Entered: 09/08/2009)
09/08/2009
258
RULE 7.1 CORPORATE DISCLOSURE STATEMENT. Identifying Hachette
U.K. Holding Ltd. as Corporate Parent. Document filed by Hachette UK
Limited.(Micheletto, Robert) (Entered: 09/08/2009)
09/08/2009
259
NOTICE OF APPEARANCE by Matthew Christian Schruers on behalf of
Computer and Communications Industry Association (Schruers, Matthew)
(Entered: 09/08/2009)
09/08/2009
260
RULE 7.1 CORPORATE DISCLOSURE STATEMENT. No Corporate
Parent. Document filed by Computer and Communications Industry
Association. (Schruers, Matthew) (Entered: 09/08/2009)
09/08/2009
261
MOTION to File Amicus Brief ofComputer & Communications Industry
Association. Document filed by Computer and Communications Industry
Association. (Attachments: #1 CCIA Amicus Curiae Brief)(Schruers,
Matthew) (Entered: 09/08/2009)
09/08/2009
of 204
257
262
NOTICE OF APPEARANCE by Yasuhiro Saito on behalf of Takashi Atouda,
Susumu Nakanishi, Akiko Shimojyu, Jiro Asada, Takeaki Hori, Yuko
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Matsumoto, Chihaya Takahashi, Shinobu Yoshioka, Kenta Yamada,
Tomotsuyo Aizawa, Yu Ohara, Yasumasa Kiyohara, Takashi Tsujii, Akira
Nogami, Hiroyuki Shinoda, Toshihiko Yuasa, Koichi Kato, Masahiko Motoki,
Hidehiko Nakanishi, Yashio Uemura, Nobuo Uda, Tsukasa Yoshida
(Attachments: # I Certificate of Seervice)(Saito, Yasuhiro) (Entered:
09/08/2009)
09/08/2009
BRIEF AMICUS CURIAE of Consumer Watchdog in Opposition to the
Proposed Settlement Agreement. Document filed by Consumer Watchdog.
(Fetterman, Daniel) (Entered: 09/08/2009)
09/08/2009
264
Objection to the Proposed Settlement and to Certjfication of the Proposed
Settlement Class and Sub-Class by Members ofJapan PE.N. Club. Document
filed by Takashi Atouda, Susumu Nakanishi, Akiko Shimojyu, Jiro Asada,
Takeaki Hori, Yuko Matsumoto, Chihaya Takahashi, Shinobu Yoshioka, Kenta
Yamada, Tomotsuyo Aizawa, Yu Ohara, Yasumasa Kiyohara, Takashi Tsujii,
Akira Nogami, Hiroyuki Shinoda, Toshihiko Yuasa, Koichi Kato, Masahiko
Motoki, Hidehiko Nakanishi, Yashio Uemura, Nobuo Uda, Tsukasa Yoshida.
(Attachments: # I Declaration of Jiro Makino in Support of Objection, # 2
Declaration of Naoki Gokita in Support of Objection, # 3 Certificate of
Service)(Saito, Yasuhiro) (Entered: 09/08/2009)
09/08/2009
265
NOTICE of of Intent To Appear and Be Heard At The Fairness Hearing.
Document filed by Takashi Atouda, Susumu Nakanishi, Akiko Shimojyu, Jiro
Asada, Takeaki Hori, Yuko Matsumoto, Chihaya Takahashi, Shinobu
Yoshioka, Kenta Yamada, Tomotsuyo Aizawa, Yu Ohara, Yasumasa Kiyohara,
Takashi Tsujii, Akira Nogami, Hiroyuki Shinoda, Toshihiko Yuasa, Koichi
Kato, Masahiko Motoki, Hidehiko Nakanishi, Yashio Uemura, Nobuo Uda,
Tsukasa Yoshida. (Attachments: # 1 Certificate of Service)(Saito, Yasuhiro)
(Entered: 09/08/2009)
09/08/2009
267
NOTICE OF APPEARANCE by Joseph Solomon Hall on behalf of Harold
Bloom, Elliot Abrams, Richard Armey, Jacques Barzun, Nicholas Basbanes,
Stephen Bates, Shawn J. Bayern, Jack Beerman, Michael Behe, Michael Cox,
Douglas Crase, Frank Gonzalez-Crussi, Midge Decter, John Derbyshire,
Thomas M. Disch, Gerald Early, Mel Eisenberg, Richard A. Epstein, Henry
Fetter, David D. Friedman, David Gelernter, Gabrielle Glaser, Mary Ann
Glendon, Robert Herbold, Arthur Herman, Charles Hill, Manuela Hoelterhoff,
Richard Howard, Ishmael Jones, Donald Kagan, David Kuo, Michael Ledeen,
Susan Lee, Mary Lefkowitz, David Lehman, John Lehman, Howard Markel,
Steven Ozment, Michael Perry, Norman Podhoretz, Diane Ravitch, Ralph
Reed, Harriet Rubin, Sarah Ruden, Peter Schweizer, Roger Simon, Roy
Spencer, Geoffrey R. Stone, Charles Sykes, Terry Teachout, Paco Underhill,
Ruth Wisse, Elizabeth Wurtzel, John Yoo, Wendy Shalit, American Society of
Journalists and Authors, Charlotte Allen (Hall, Joseph) (Entered: 09/08/2009)
09/08/2009
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263
268
NOTICE OF APPEARANCE by Kristin Hackett Neuman on behalf of
Canadian Standard Association (Neuman, Kristin) (Entered:_09/08/2009)
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269
RULE 7.1 CORPORATE DISCLOSURE STATEMENT. Identifying None as
Corporate Parent. No Corporate Parent. Document filed by Microsoft
Corporation.(Rubin, Thomas) (Entered: 09/08/2009)
09/08/2009
270
NOTICE of OF FILING OF OBJECTIONS TO PROPOSED SETTLEMENT
BY HACHETTE LIVRE, S.A., LIBRARIE ARTHME FAYARD, S.A.,
DTJNOD EDITEUR, S.A., LES EDITIONS HATTER, S.N.C., EDITIONS,
LAROUSSE, S.A.S., EDITORIAL SALVAT, S.L., GRUPO ANAYA, S.A.,
ALGAIDA EDITORES, S.A., ALIANZA EDITORIAL, S.A., EDICIONS
XERAIS DE GALICIA, S.A., EDITORIAL BARCANOVA, S.A.,
LAROUSSE EDITORIAL, S.L., GRUPO EDITORIAL BRUO, S.L.,
EDELSA GRUPO DIDASCALIA, S.A., AND HACHETTE U.K. LIMITED.
Document filed by Akiko Shimojyu. (Attachments: # I Exhibit 1, # 2 Exhibit
2, # 3 Exhibit 3, #4 Exhibit 4, # 5 Exhibit 5, # 6 Exhibit 6, # 7 Exhibit 7, # 8
Exhibit 8, # 9 Exhibit 9, # 10 Exhibit I 0)(Micheletto, Robert) (Entered:
09/08/2009)
09/08/2009
271
RULE 7.1 CORPORATE DISCLOSURE STATEMENT. No Corporate
Parent. Document filed by Canadian Standards Association.(Neuman, Kristin)
(Entered: 09/08/2009)
09/08/2009
272
Objection of Canadian Standards Association to Proposed Settlement.
Document filed by Canadian Standards Association. (Neuman, Kristin)
(Entered: 09/08/2009)
09/08/2009
273
Objection to Proposed Settlement and Notice ofIntent to Appear. Document
filed by Eric Jager, Harold Bloom, Elliot Abrams, Richard Armey, Jacques
Barzun, Nicholas Basbanes, Stephen Bates, Shawn J. Bayern, Michael Behe,
Michael Cox, Douglas Crase, Frank Gonzalez-Crussi, Midge Decter, John
Derbyshire, Thomas M. Disch, Gerald Early, Mel Eisenberg, Richard A.
Epstein, Henry Fetter, David D. Friedman, David Gelernter, Gabrielle Glaser,
Mary Ann Glendon, Victor Davis Hanson, Robert Herbold, Arthur Herman,
Charles Hill, Manuela Hoelterhoff, Richard Howard, Ishmael Jones, Donald
Kagan, David Kuo, Michael Ledeen, Susan Lee, Mary Leflcowitz, David
Lehman, John Lehman, Howard Markel, Sherwin B. Nuland, Steven Ozment,
Norman Podhoretz, Diane Ravitch, Ralph Reed, Harriet Rubin, Sarah Ruden,
Peter Schweizer, Roger Simon, Roy Spencer, Geoffrey R. Stone, Charles
Sykes, Terry Teachout, Paco Underhill, Ruth Wisse, Elizabeth Wurtzel, John
Yoo, Wendy Shalit, American Society of Journalists and Authors, Charlotte
Allen. (Attachments: # I Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit
D, # 5 Exhibit E, # 6 Exhibit F, # 7 Exhibit G)(Hall, Joseph) (Entered:
09/08/2009)
I
09/08/2009
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274
BRIEF Amicus Curiae Brief ofSony Electronics Inc. In Support OfProposed
Google Book Search Settlement. Document filed by Sony Electronics
Inc. .(Coplan, Jennifer) (Entered: 09/08/2009)
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BRIEF Amicus BriefofAntitrust Law and Economics Professors In Support
Of The Settlement. Document filed by Antitrust Law and Economics
Professors. (Ingber, Matthew) (Entered: 09/08/2009)
09/08/2009
276
Objection re: 64 Order on Motion to Approve,,, Objections ofMicrosoft
Corporation to Proposed Settlement and Cert/Ication ofProposed Settlement
Class and Sub-Classes. Document filed by Microsoft Corporation.
(Attachments: # I Exhibit A to G, # 2 Exhibit H to 0, # 3 Exhibit P to Q, #4
Exhibit R, # 5 Exhibit S to T, # 6 Exhibit U part 1 of 6, # 7 Exhibit U part 2 of
6, # 8 Exhibit U part 3 of 6, # 9 Exhibit U part 4 of 6, # 10 Exhibit U part 5 of
6, # 11 Exhibit U part 6 of 6, # 12 Exhibit V to Z)(Rubin, Thomas) (Entered:
09/08/2009)
09/08/2009
277
Amicus Curiae APPEARANCE entered by Gary M. Becker on behalf of
Richard Blumenthal CT Attorney General.(Becker, Gary) (Entered:
09/08/2009)
09/08/2009
278
OPPOSITION BRIEF re: 64 Order on Motion to Approve,,, Objection to
Proposed Settlement: Proposed Settlement Violates State Unclaimed Property
Laws and Chartible Trust Laws, State May Not Be Included in Class Without
its Consent. Document filed by Richard Blumenthal CT Attorney General.
(Becker, Gary) (Entered: 09/08/2009)
09/08/2009
279
NOTICE of Intent to Appear. Document filed by Privacy Authors and
Publishers. (Rudman, Samuel) (Entered: 09/08/2009)
09/08/2009
280
Objection to Settlement Agreement. Document filed by Charles D Weller,
weller. (Attachments: # 1 Exhibit A
Class Action Reports)(Horowitz, Eric)
(Entered: 09/08/2009)
[
---
09/08/2009
09/08/2009
282
MEMORANDUM OF LAW MEMORANDUM OFAMICUS CURIAE OPEN
BOOK ALLIANCE IN OPPOSITION TO THE PROPOSED SETTLEMENT
BETWEEN THE A UTHORS G UILD, INC., ASSOCIATION OF AMERICAN
PUBLISHERS, INC., ETAL., AND GOOGLE INC.. Document filed by Open
Book Alliance. (Boccanfuso, Anthony) (Entered: 09/08/2009)
09/08/2009
of 204
j. BRIEF IN OBJECTION TO PROPOSED SETTLEMENT. Document filed by
Privacy Authors and Publishers. (Attachments: #1 Appendix A)(Rudman,
Samuel) (Entered:_09/08/2009)
283
MOTION for Discovery ofPutative Class Representatives and Defendant
Google Inc.. Document filed by Eric Jager, Harold Bloom, Elliot Abrams,
Phyllis Ammons, Jacques Barzun, Nicholas Basbanes, Stephen Bates, Shawn
J. Bayern, Michael Behe, Michael Cox, Douglas Crase, Frank Gonzalez
Crussi, Midge Decter, John Derbyshire, Thomas M. Disch, Gerald Early, Mel
Eisenberg, Richard A. Epstein, Henry Fetter, David D. Friedman, David
Gelernter, Gabrielle Glaser, Mary Ann Glendon, Victor Davis Hanson, Robert
Herbold, Arthur Herman, Charles Hill, Manuela Hoelterhoff, Richard
Howard, Ishmael Jones, Donald Kagan, David Kuo, Michael Ledeen, Susan
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Lee, Mary Lefkowitz, David Lehman, John Lehman, Howard Markel,
Sherwin B. Nuland, Steven Ozment, Norman Podhoretz, Diane Ravitch, Ralph
Reed, Harriet Rubin, Sarah Ruden, Peter Schweizer, Roger Simon, Roy
Spencer, Geoffrey R. Stone, Charles Sykes, Terry Teachout, Paco Underhill,
Ruth Wisse, Elizabeth Wurtzel, John Yoo, Julia Wright, Wendy Shalit,
American Society of Journalists and Authors, Charlotte Allen. Return Date set
for 9/18/2009 at 05:00 PM. (Attachments: # I Exhibit Discovery Requests)
(Hall, Joseph) (Entered: 09/08/2009)
09/08/2009
284
NOTICE OF APPEARANCE by Robert William Clarida on behalf of Lyrasis,
Inc., NYLINK, Bibliographical Center for Research Rocky Mountain, Inc.
(Clarida, Robert) (Entered: 09/08/2009)
09/08/2009
285
NOTICE OF APPEARANCE by Robert Cunningham Turner on behalf of
Yahoo! Inc. (Turner, Robert) (Entered: 09/08/2009)
09/08/2009
286
Objection to Settlement Agreement. Document filed by Dirk Sutro.
(Attachments: # I Exhibit A Class Action Reports)(Horowitz, Eric)
(Entered: 09/08/2009)
--
09/08/2009
MEMORANDUM OF LAW in Opposition To The Settlement Proposal On
Behafofthe French Republic. Document filed by French Republic. (Max,
Theodore) (Entered: 09/08/2009)
09/08/2009
288
MEMORANDUM OF LAW in Opposition re: 55 MOTION to Approve
/Notice ofMotion for Preliminary Settlement Approval.. Document filed by
Yahoo! Inc.. (Turner, Robert) (Entered: 09/08/2009)
09/08/2009
289
RULE 7.1 CORPORATE DISCLOSURE STATEMENT. No Corporate
Parent. Document filed by Lyrasis, Inc., NYLINK, Bibliographical Center for
Research Rocky Mountain, Inc. .(Clarida, Robert) (Entered: 09/08/2009)
09/08/2009
290
DECLARATION of Nicolas Georges in Opposition re: 7 Memorandum of
Law in Opposition. Document filed by French Republic. (Max, Theodore)
(Entered: 09/08/2009)
09/08/2009
291
MEMORANDUM OF LAW MEMORANDUM OFAMICUS CURIAE THE
INTERNET ARCHIVE IN OPPOSITION TO SETTLEMENT A GREEMENT.
Document filed by The Internet Archive. (Boccanfuso, Anthony) (Entered:
09/08/2009)
09/08/2009
292
BRIEF AMICI CURIAE OFLYRASIS, INC., NYLINKAND
BIBLIOGRAPHICAL CENTER FOR RESEARCH ROCKY MO UNTA IN, INC.
IN SUPPORT OF MODIFICATION OF PROPOSED SETTLEMENT.
Document filed by Lyrasis, Inc., NYLINK, Bibliographical Center for
Research Rocky Mountain, Inc. .(Clarida, Robert) (Entered: 09/08/2009)
09/08/2009
of 204
287
293
Objection to Proposed Settlement. Document filed by Free Software
Foundation, Inc.. (Williamson, Aaron) (Entered: 09/08/2009)
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NOTICE of Intent to Appear at the Fairness Hearing on October 7, 2009, on
behalf of the aforementioned members of the Publisher Sub-Class.. Document
filed by Hachette Livre SA, Librarie Arthme Fayard SA, Dunod Editeur SA,
Les Editions Hatier SNC, Editions Larousse SAS, Editorial Salvat SL, Grupo
Anaya SA, Algaida Editores, S.A., Alianza Editorial, S.A., Edicions Xerais
De Galicia, S.A., Editorial Barcanova, S.A., Larousse Editorial, S.L, Grupo
Editorial Bruno, S.L., Edelsa Grupo Didascalia, S.A., Hachette UK Limited.
(Micheletto, Robert)_(Entered: 09/08/2009)
***REJECTION OF ATTEMPTED PAPER FILING IN ECF CASE. The
following document(s) Epic’s Motion to Intervene, by Mark Rotenberg, was
rejected by the Clerk’s Office and must be FILED ELECTRONICALLY on
the Court’s ECF System. (eef) (Entered: 09/08/2009)
09/08/2009
09/08/2009
295
AFFIDAVIT OF SERVICE. Document filed by French Republic. (Max,
Theodore) (Entered: 09/08/2009)
09/08/2009
296
Objection Of Proquest LLC To Proposed Settlement. (rw) (rw). (Entered:
09/08/2009)
09/08/2009
297
AFFIRMATION of Charles J. Sanders in Opposition re:
MOTION to
Approve /Notice ofMotion for Preliminary Settlement Approval.. Document
filed by Songwriters Guild of America. (Attachments: #1 Civil Cover Sheet
Cover letter explaining delay in filing.)(Fedele, John) (Entered: 09/08/2009)
09/08/2009
299
MOTION to Intervene. Document filed by Lewis Hyde, Harry Lewis, Open
Access Trust Inc.. Return Date set for 9/30/2009 at 09:30 AM. (Attachments:
# 1 Supplement Affirmation of Charles R. Nesson, # 2 Supplement Objections
and Memorandum of Law)(Garbus,_Martin) (Entered: 09/08/2009)
09/08/2009
300
FILING ERROR WRONG EVENT TYPE SELECTED FROM MENU
MOTION to Intervene Objections to Proposed Settlement and Memorandum
in Support ofMotion to Intervene. Document filed by Lewis Hyde, Harry
Lewis, Open Access Trust Inc.. Return Date set for 9/30/2009 at 09:30
AM.(Garbus, Martin) Modified on 9/9/2009 (jar). (Entered: 09/08/2009)
09/08/2009
301
REQUEST TO PARTICIPATE of Darlene Marshall Objection to Class Action
Settlement and Notice ofIntent to Appear. Document filed by Darlene
Marshall .(Weiss, Matthew) (Entered: 09/08/2009)
***NOTE TO ATTORNEY TO RE-FILE DOCUMENT EVENT TYPE
ERROR. Note to Attorney Martin Garbus to RE-FILE Document
MOTION to Intervene Objections to Proposed Settlement and Memorandum
in Support ofMotion to Intervene. Use the event type Memorandum of Law in
Opposition found under the event list Replies, Oppositions, Supporting
Documents. (jar) (Entered: 09/09/2009)
09/08/2009
09/08/2009
)0 of 204
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MOTION for Gary Leland Reback to Appear Pro Hac Vice. Document filed
by Open Book Alliance.(pl) (Entered: 09/15/2009)
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LETTER addressed to Judge Denny Chin from Edward Feigenbaum, Jennifer
Widom, Daphne Koller, Monica Lam, Nils Nilsson, Jeffrey Uliman, Terry
Winograd, Jure Leskovec, John Ousterhout, Mehran Sahami, Russ Altman,
Gary Bradski, Stuart Card, Goeff Gordon and Shirley Tessler dated September
3, 2009 re: Amicus curiae in support of the approval of the final settlement.
(ad) (Entered: 09/09/2009)
09/09/2009
303
LETTER addressed to Judge Denny Chin from Erez Lieberman-Aiden and
Jean-Baptiste Michel dated September 3, 2009 re: Amici curiae in support of
the settlement. Document filed by Darlene Marshall.(ad) (Entered:
09/09/2009)
09/09/2009
305
LETTER addressed to Office of the Clerk from Anette Ziethen dated 9/1/09
re: join in the objections that have been presented to this court by Scott Gant
and the group of foreign publishers and publishing associations...; (djc)
(Entered:_09/09/2009)
09/09/2009
306
ORDER The Computer and Communications Industry Association (“CCIA”)
moves for leave to file an amicus curiae brief in this case. CCIA’s motion is
granted, and its brief is accepted. SO ORDERED. (Signed by Judge Denny
Chin on 9/9/2009) (jmi) (Entered: 09/10/2009)
09/09/2009
307
ORDER denying 283 Motion for Discovery.The Bloom Objectors’ motion is
denied. (Signed by Judge Denny Chin on 9/9/2009) (jmi) (Entered:
09/10/2009)
09/09/2009
308
ORDER denying 299 Motion to Intervene. Lewis Hyde, Harry Lewis, and the
Open Access Trust, Inc. (the “proposed interveners”) move, pursuant to
Federal Rule of Civil Procedure 24(b), to intervene in this action. The motion
is denied. This case was filed some four years ago and has been conditionally
settled; it is simply too late to permit new parties into the case. The Court will,
however, consider the objections raised by the proposed interveners. SO
ORDERED.(Signed by Judge Denny Chin on 9/9/2009) (jmi) (Entered:
09/10/2009)
09/09/2009
)1 of 204
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309
ORDER granting
Motion for Michael J. Guzman to Appear Pro Hac Vice
for Harold Bloom, Elliot Abrams, Charlotte Allen,Phyllis Ammons, Dick
Armey, Jacques Barzun, Nicholas A. Basbanes, Stephen Bates, Shawn
J.Bayem, Jack Beerman, Michael Behe, Michael Cox, Douglas Crase, Frank
Gonzalez-Crussi, MidgeDeeter, John Derbyshire, The Estate of Thomas M.
Disch, Gerald Early, Mel Eisenberg, Richard A.Epstein, Henry Fetter, David
D. Friedman, David Gelemter, Gabrielle Glaser, Mary Ann Glendon,Victor
Davis Hanson, Robert Herbold, Arthur Herman, Charles Hill, Manuela
Hoelterhoff RichardHoward, Ishmael Jones, Donald Kagan, David Kuo,
Michael Ledeen, Susan Lee, Mary Lefkowitz,David Lehman, John Lehman,
Howard Markel, Sherwin B. Nuland, Steven Ozment, Michael Perry,Norman
Podhoretz, Diane Ravitch, Ralph Reed, Harriet Rubin, Sarah Ruden, Peter
Schweizer, RogerSimon, Roy Spencer, Geoffrey R. Stone, Charles Sykes,
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(Signed by Judge Denny Chin on 9/9/2009) (jmi) (Entered: 09/10/2009)
09/09/2009
Transmission to Attorney Admissions Clerk. Transmitted re:
Order on
Motion to Appear Pro Hac Vice, to the Attorney Admissions Clerk for
updating of Attorney Information. (jmi) (Entered: 09/10/2009)
09/09/2009
310
ORDER granting 232 Motion for Edwin C. Komen to Appear Pro Hac Vice
for Federal Republic of Germany. (Signed by Judge Denny Chin on 9/9/2009)
(jmi) (Entered: 09/10/2009)
09/09/2009
3jj
ORDER granting 4 Motion for Philip Roberts to Appear Pro Hac Vice for
Canadian Standard Association, Paul Dickson, Joseph Goulden, Association
of American Publishers, Inc., Associational Plaintiffs, The McGraw-Hill
Companies, Inc., Pearson Education, Inc., Simon & Schuster, Inc., John Wiley
& Sons, Inc., The Author’s Guild, Herbert Mitgang, Betty Miles, Daniel
Hoffman. (Signed by Judge Denny Chin on 9/9/2009) (jmi) (Entered:
09/10/2009)
09/09/2009
312
QUESTIA MEDIA, INC.’S AMICUS CURIAE OPPOSITION BRIEF TO
THE SETTLEMENT AGREEMENT: Questia Media, Inc. (“Questia”) urges
the Court not to approve the Settlement Agreement between Google, Inc. and
the Plaintiffs. (jmi) (Entered: 09/10/2009)
09/09/2009
313
BRIEF AMICUS CURIAE OF CONSUMER WATCHDOG IN
OPPOSITION TO THE PROPOSED SETTLEMENT AGREEMENT The
proposed Settlement Agreement would strip rights from millions of absent
class members, worldwide, in violation of national and international copyright
law, for the sole benefit of Google. If as Google claims, its “limited” searchengine activities were protected by fair use, the public deserves an
adjudication on this matter, to allow the creation of a competitive book-search
market. And it is up to Congress to create a solution to the orphan-works
problem that would allow all potential users to benefit, while protecting the
copyright holders as well as international interests. The parties simply cannot
justify this “solution” which does not adequately protect the Rightsholders and
unfairly benefits a single party. Accordingly, Consumer Watchdog respectfully
asks that the Court not approve the settlement. (jmi) (Entered: 09/10/2009)
09/09/2009
314
BRIEF AMICUS CURIAE OF THE CENTER FOR DEMOCRACY &
TECHNOLOGY IN SUPPORT OF APPROVAL OF THE SETTLEMENT
AND PROTECTION OF READER PRIVACY The New Services enabled by
the Proposed Settlement will be extraordinarily valuable, and will make
available to the public a vast amount of knowledge and information that is
largely inaccessible today. The Settlement should be approved. But the New
Services create serious privacy concerns, and the Court must take affirmative
action as part of the settlement approval to protect reader privacy. (jmi)
(Entered: 09/10/2009)
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BRIEF OF AMICUS CURIAE The Court should advise the parties to amend
the settlement to uphold the rights of book owners, all copyright owners and
embody the principles of a digital media exchange. Amicus request
permission to appear at the Fairness Hearing currently set to be held on
October 7, 2009. (jmi) (Entered: 09/10/2009)
09/09/2009
316
LETTER addressed to Denny Chin from Edward John Hasbrouck dated
8/31/2009 re: By this letter, I opt out of the proposed settlement in this case.
Although the settlement notice claims that, “your opt-out request.., must state
which Sub-Class you wish to opt out of (either the Author Sub-Class or
Publisher Sub-Class),” I believe that this is both incorrect and improper: Since
I am opting out of the proposed settlement, I am not subject to its purported
division of the proposed class into sub-classes. (jmi) (Entered: 09/10/2009)
09/09/2009
317
OBJECTION TO PROPOSED SETTLEMENT Unless both the foregoing
concerns can be resolved, I respectfully request that the proposed settlement
agreement be rejected by this Court. I am submitting this in my capacity as an
author and a member ofthe Authors Guild, not in my capacity as a lawyer.
(jmi) (Entered: 09/10/2009)
09/09/2009
318
LETTER addressed to The Office of the Clerk from Susanne Franzkeit dated
9/1/09 re: I am the managing director of the V&R unipress GmbH, a book
publisher located in Gottingen, Germany; We write to object to the settlement
agreement. We do not have the resources to provide this Court with legal
briefing regarding our objections nor do we wish to burden this Court with
duplicate filings. We therefore join in the objections that have been presented
to this Court by Scott Gant and the group of foreign publishers and publishing
associations. (mro) (Entered: 09/10/2009)
09/09/2009
319
LETTER addressed to Office of the Clerk from Reinhard Kawohl dated
9/1/09 re: I am proprietor and managing director of the Kawohl Verlag, a
publisher of books, calendars and gifts located in Wesel, Germany; We write
to object to the settlement agreement; In addition, we wish to inform this
Court that our company did not receive any written notice of the settlement
agreement, nor did we see any published notice of the settlement agreement.
(mro) (Entered: 09/10/2009)
09/09/2009
320
LETTER addressed to Office of the Clerk from Ludwig Paulmichl dated
9/1/09 re: I am publisher of the Folio publishing house, a book publisher
located in Vienna. We write to object to the settlement agreement. (mro)
(Entered: 09/10/2009)
09/09/2009
13 of 204
315
321
LETTER addressed to Judge Denny Chin from Rayan Radia dated 9/4/2009
re: The Competitive Enterprise Institute, a 501(3) non-profit public interest
organization that studies the intersection of risk, regulation and markets,
hereby requests the Courts permission to submit this letter as an amicus curiae
in the Authors Guild et al. vGoogle, Inc. (jmi) (Entered: 09/10/2009)
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LETTER addressed to Sir Michael McMahon from Uitgeverij Malmberg,
Johan Leenaars dated 8/25/09 re: We, uitgeverij Malmberg, are writing in
regards to the proposed settlement agreement. We would like to raise the
following concerns and objections to this settlement: Consequences for
European right holders; Determination of commercial availability; Bad quality
of the database; Uncertainty about digitization status; Lack of representation
of non-US rights holders in the Book Rights Registry; Deadline for making
objections or opting out still too short. (mro) (Entered: 09/10/2009)
09/09/2009
324
LETTER addressed to Office of the Clerk from Dr. Manfred Biehal dated
9/1/09 re: I am CEO of the Deutscher Genossenschafts-Verlag eG, a book
publisher located in Wiesbaden, Germany; We write to object to the settlement
agreement. We do not have the resources to provide this Court with legal
briefing regarding our objections nor do we wish to burden this Court with
duplicate filings. We therefore join in the objections that have been presented
to this Court by Scott Gant and the group of foreign publishers and publishing
associations. (mro) (Entered: 09/10/2009)
09/09/2009
325
PRIVACY AUTHORS AND PUBLISHERS’ OBJECTION TO PROPOSED
SETTLEMENT. (jmi)_(Entered: 09/10/2009)
09/09/2009
326
LETTER addressed to Office of the Clerk from Alexandra Eib dated 9/1/09
re: I am the lawyer for the Bibliographisches Institut AG, a book publisher
located in Maimheim, Germany; We write to object to the settlement
agreement; In addition, we wish to inform this Court that the written notice
that our company received of the Settlement agreement in German was
extremely difficult to read and included a number of meaningless or
nonsensical terms and had been translated very poorly.(mro) (Entered:
09/10/2009)
09/09/2009
of 204
LETTER addressed to Office of the Clerk from Michael Schmitt dated 9/1/09
re: I am Managing Director of the Fachverlag Hans Carl GmbH, a book
publisher located in Nuremberg, Germany; We write to object to the
settlement agreement. We do not have the resources to provide this Court with
legal briefing regarding our objections nor do we wish to burden this Court
with duplicate filings. We therefore join in the objections that have been
presented to this Court by Scott Gant and the group of foreign publishers and
publishing associations. Document filed by Federal Republic of
Germany.(mro) (Entered: 09/10/2009)
09/09/2009
)4
322
327
LETTER addressed to Office of the Clerk from Wolf Dieter Eggert dated
9/1/09 re: I am Managing Director of the Hueber Verlag GmbH & Co. KG, a
book publisher located in Ismaning, Germany; We write to object to the
settlement agreement. We do not have the resources to provide this Court with
legal briefing regarding our objections nor do we wish to burden this Court
with duplicate filings. We therefore join in the objections that have been
presented to this Court by Scott Gant and the group of foreign publishers and
publishing associations. (mro) (Entered: 09/10/2009)
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LETTER addressed to Judge Denny Chin from Liana Levi dated 9/3/2009 re:
My name is Liana Levi, and I am Manager and Editor in Chief of the Editions
Liana Levi, a book publisher located in France. Editions Liana Levi is a
member of the settlement class embraced by the proposed settlement
agreement that is before this Court in this action (the “Settlement
Agreement”), because it owns rights in books that are protected by U.S.
copyright law. We write to object to the Settlement Agreement. (jmi)
(Entered: 09/10/2009)
09/09/2009
329
LETTER addressed to Judge Denny Chin from Jay Starkman dated 9/1/2009
re: I am the author and copyright holder of The Sex of a Hippopotamus: A
Unique History of Taxes and Accounting (Twinset, 2008). It is detestable that
the court would write judicial legislation through a “settlement” vehicle
abridging my rights (and those of others) and granting those involuntarily
ceded rights to Google or any other entity. (jmi) (Entered: 09/10/2009)
09/09/2009
330
LETTER addressed to Office of the Clerk from Jan Weitendorf dated 9/1/09
re: I represent “Verlagsgrupe Oetinger” as CEO and publisher, a book
publisher located in Hamburg, Germany; We write to object to the settlement
agreement; We cannot afford to loose rights to Google via internet-this way of
selling books has to be one of our “recoupment” possibilities for the future.
(mro) (Entered: 09/10/2009)
09/09/2009
331
LETTER addressed to Office of the Clerk from Joachim Schmidt dated 9/1/09
re: I am CEO of the Erich Schmidt Verlag GmbH & Co., a book publisher
located in Berlin, Germany; We write to object to the settlement agreement.
We do not have the resources to provide this Court with legal briefing
regarding our objections nor do we wish to burden this Court with duplicate
filings. We therefore join in the objections that have been presented to this
Court by Scott Gant and the group of foreign publishers and publishing
associations. (mro) (Entered: 09/10/2009)
09/09/2009
332
LETTER addressed to Michael McMahon from Lex Jansen dated 8/27/09 re:
The hearing in October 2009 regarding the Google settlement; We would like
to draw your attention to the copyrights of the Dutch books owned by our
publishing house which appear to be included in the settlement reached
between Google and the Authors Guild and Association of American
Publishers. We should first like to point out that we have not yet been
consulted or heard in this settlement, even though our copyrights are involved;
We have no problem with snippets of works published by our publishing
house appearing in search results on Google, but we do intend to retain all
rights on works jointly owned by us, our authors and/or our translators now
and in the future. (mro) (Entered: 09/10/2009)
09/09/2009
5 of 204
328
333
LETTER addressed to Office of the Clerk from Detlef Holtgrefe dated 9/1/09
re: I am Publisher and President of the Brunnen Verlag GmbH, a book
publisher located in GieBen, Germany; We write to object to the settlement
We do not have the resources to provide this Court with legal
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briefing regarding our objections nor do we wish to burden this Court with
duplicate filings. We therefore join in the objections that have been presented
to this Court by Scott Gant and the group of foreign publishers and publishing
ssociations. (mro) (Entered: 09/10/2009)
..
09/09/2009
—
LETTER addressed to Judge Denny Chin from Jennifer Jackson (Attorney
General of Texas) dated 9/4/09 re: Texas asks the Court to modify the
settlement agreement. (cd) (Entered: 09/10/2009)
09/09/2009
LETTER addressed to Office of the Clerk from Stephan D. Job dated 9/1/09
re: I am managing directior of the Carl Hanser Verlag GmbH & Co. KG, a
book publisher located in Munich, Germany; We write to object to the
settlement agreement. (rnro) (Entered: 09/10/2009)
09/09/2009
336
LETTER addressed to Judge Denny Chin from Pamela Samuelson (Berkeley
Law) dated 9/3/09 re: Google should not have a monopoly on a digital
database of books. (Cd) (Entered:_09/10/2009)
09/09/2009
337
LETTER addressed to Office of the Clerk from Gerhard Grossmann dated
9/1/09 re: I am Corporate Counsel of the et+k, edition text + kritik in Richard
Boorberg Verlag GmbH& Co. KG, a book publisher located in Munchen,
Germany; We write to object to the settlement agreement. We do not have the
resources to provide this Court with legal briefing regarding our objections
nor do we wish to burden this Court with duplicate filings. We therefore join
in the objections that have been presented to this Court by Scott Gant and the
group of foreign publishers and publishing associations; We also wish to
inform this Court that our company has not received any written notice of the
settlement agreement, nor did we see any published notice of settlement
agreement. (mro) (Enteied: 09/10/2009)
09/09/2009
338
LETTER addressed to Office of the Clerk from Gerhard Grossmann dated
9/1/09 re: I am corporate counsel of the Richard Boorberg Verlag GmbH &
Co KG, a book publisher located in Stuttgart, Germany; We write to object to
the settlement agreement. We do not have the resources to provide this Court
with legal briefing regarding our objections nor do we wish to burden this
Court with duplicate filthgs. We therefore join in the objections that have been
presented to this Court by Scott Gant and the group of foreign publishers and
publishing associations. (mro) (Entered: 09/10/2009)
09/09/2009
)6 of 204
335
339
LETTER addressed to Mr. Michael McMahon from Mr. Kees Holierhoek
dated 8/31/09 re: We, the foundation of Dutch Authors, Stichting Lira,
hereinafter Lira, are writing to you with regard to the proposed settlement
agreement between Google and the Authors Guild and the Association of
American Publishers. Lira has decided to join the settlement and to file claims
with regard to one time cash payments, only on behalf of our rights holders
who have mandated Lira hereto. In relation to future “Display Use” under the
settlement, Lira is still surveying and evaluating which Lira member authors
are interested in giving consent to Google with regard to (future) display use
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J
.
09/09/2009
340
LETTER addressed to Office of the Clerk from Ulrike Metzger dated 9/2/09
re: Ulrike Metzer, Managing Director of Ravensburger joins in the objections
that have been presented to this Court by Scott Gant and the group of foreign
publishers and publishing associations as further set forth in this letter.
Document filed by Ravensburger Buchverlag Otto Maier GmbH.(dle)
(Entered: 09/10/2009)
09/09/2009
341
LETTER addressed to Madam or Sir from Dr. A. Nagele dated 9/1/09 re: My
name is Andreas Nagele, one of the partners of Gebr. Borntraeger
Verlagsbuchhandlung of Stuttgart, Germany, a publisher of scholarly books
and journals since 1790. Our books and journals are in distributed and read in
US, and elsewhere; We write to object the settlement agreement; Further,
roughly 90% of the data on Gebr. Borntraeger’s publications, that Google Inc.
has made available in the preview of its planned book registry is flawed,
incomplete and downright incorrect, especially when it concerns the
commercial availability of our copyrighted works; It appears to us that Google
Inc. has simply chosen to label everything out of print, with very few
exceptions. (mro) (Entered: 09/10/2009)
09/09/2009
342
LETTER addressed to Judge Denny Chin from Wade Henderson (Leadership
Conference on Civil Rights) dated 9/3/09 re: Failure to approve the settlement
would be tragic._(ed) (Entered: 09/10/2009)
.
—
09/09/2009
343
LETTER addressed to Madam or Sir from Dr. Walt Obermiller dated 9/1/09
re: I am partner of E. Schweizerbart’sche Verlagsbuchhandlung of Stuttgart,
Germany, a publisher of scholarly books and journals since 1826. Our books
and journals are in considerable circulation in the US and elsewhere; We write
to object to the settlement agreement. (mro) (Entered: 09/10/2009)
09/09/2009
344
LETTER addressed to Office of the Clerk from Sven H. Koeltz re: I am owner
of the Koeltz Scientific Books, a book publisher located in Konigstein,
Germany; We write to object to the settlement agreement. We do not have the
resources to provide this Court with legal briefing regarding our objections
nor do we wish to burden this Court with duplicate filings. We therefore join
in the objections that have been presented to this Court by Scott Gant and the
group of foreign publishers and publishing associations. (mro) (Entered:
09/10/2009)
09/09/2009
345
LETTER addressed to Judge Denny Chin from Edward Feigenbaum et al
(Stanford Computer Science) dated 9/3/09 re: In support of approval of the
final settlement. Document filed by Peter Schweizer.(cd) (Entered:
09/10/2009)
09/09/2009
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07 of 204
LETTER addressed to Office of the Clerk from Dietrich zu Kiampen,
publisher dated 9/1/09 re: Dietrich zu Klampen Verlag GbR joins in the
objections that have been presented to this Court by Scott Gant et a!.
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09/09/2009
LETTER addressed to Office of the Clerk from Jan Mucha dated 9/1/09 re: I
am the CEO of the IZ Immobilienzeitung Verlagsgesellschaft mbH, a book
publisher located in Wiesbaden, Germany; We write to object to the settlement
agreement. We do not have the resources to provide this Court with legal
briefing regarding our objections nor do we wish to burden this Court with
duplicate filings. We therefore join in the objections that have been presented
to this Court by Scott Ghnt and the group of foreign publishers and publishing
associations. (mro) (Entered: 09/10/2009)
09/09/2009
348
LETTER addressed to Office of the Clerk from Christian Schumacher-Gebler
dated I am CFO of the Ulistein Buchverlage GmbH, a publisher located in
Berlin, Germany; We write to object to the settlement agreement. We do not
have the resources to provide this Court with legal briefing regarding our
objections nor do we wish to burden this Court with duplicate filings. We
therefore join in the objections that have been presented to this Court by Scott
Gant and the group of foreign publishers and publishing associations; We also
wish to inform the Court that the written notice that our company received of
the settlement agreement in German was extremely difficult to read.(mro)
(Entered: 09/10/2009)
09/09/2009
349
LETTER addressed to Office of the Clerk from Rainer Schneider dated 9/1/09
re: I am general director and owner of the Schneider Verlag Hohengehren
GmbH, a book publisher located in Baltmannsweiler, Germany; We write to
object to the settlement agreement. We do not have the resources to provide
this Court with legal briefing regarding our objections nor do we wish to
burden this Court with duplicate filings. We therefore join in the objections
that have been presented to this Court by Scott Gant and the group of foreign
publishers and publishing associations. (mro) (Entered: 09/10/2009)
09/09/2009
350
LETTER addressed to Judge Denny Chin from Lezi Baskerville (NAFEO)
dated 8/20/09 re: Request for approval of the proposed settlement. (cd)
(Entered: 09/10/2009)
09/09/2009
351
LETTER addressed to Office of the Clerk from Dr. Stefan Krummow, Legal
Advisor dated 9/1/09 re: legal advisor to Aufbau Verlag GmbH & Co. KG
joins the objections that have been presented to this Court by Scott Gant, et al.
(die) (Entered: 09/10/2009)
09/09/2009
352
LETTER addressed to Office of the Clerk from Dr. Tilmann Michaletz and
Martin Huppe dated 9/1/09 re: Cornelsen Verlag GmbH joins in the objections
that thave been presented to this Court by Scott Gant, et al. Document filed by
Cornelsen Verlag GmbH.(dle) (Entered: 09/10/2009)
09/09/2009
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353
LETTER addressed to Judge Denny Chin from Lateef Mitima (Institute of
Intellectual Property) dated 9/8/09 re: Request for approval of settlement. (cd)
(Entered: 09/10/2009)
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LETTER addressed to Judge Denny Chin from Roberta Adelman (CUNY
LEADS) dated 9/4/09 re: Request for approval of the settlement. (cd)
(Entered: 09/10/2009)
09/09/2009
355
LETTER addressed to Office of the Clerk from Gregor Rauh dated 9/1/09 re:
Cornelsen Verlag Scriptor GmbH & Co. KG joins in the objections presented
to this Court by Scott Gant et al. Document filed by Cornelsen Verlag Scriptor
GmbH & Co. KG.(dle) Entered: 09/10/2009)
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09/09/2009
356
LETTER addressed to Office of the Clerk from Bernhard Schmid dated 9/2/09
re: Karl-May-Verlag joins in the objections that have been presented to this
Court by Scott Gant et al. Document filed by Karl-May-Verlag.(dle) (Entered:
09/10/2009)
09/09/2009
j
357
LETTER addressed to Judge Denny Chin from Michael Keller and Lauren
Schoenthaler (Stanford University Libraries) dated 9/8/09 re: Request for
approval of the Proposed Settlement. (Cd) (Entered: 09/10/2009)
-_---__
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358
LETTER addressed to Office of the Clerk from Raymond Johnson-Ohla dated
9/1/09 re: VDI Verlag GmbH joins in the objections presented to this Court by
Scott Gant et al. Document filed by VDI Verlag GmbH.(dle) (Entered:
09/10/2009)
09/09/2009
359
LETTER addressed to Judge Denny Chin from Leroy Watson (The National
Grange) dated 9/3/09 re: Request for approval of the final settlement
agreement. (cd) (Entered: 09/10/2009)
360
LETTER addressed to Office of the Ckrk from Joacm Nourney dated
9/2/09 re: Verlag- Europa Lehrmittel joins in the objections that have been
presented to this Court by Scott Gant et al.. Document filed by Verlag Europa
Lehrmittel .(dle) (Entered: 09/10/2009)
09/09/2009
361
LETTER addressed to Judge Chin from Rodney Erickson et al (Committee on
Institutional Cooperation) dated 9/4/09 re: Request for approval of the
settlement agreement. (cd) (Entered: 09/10/2009)
09/09/2009
362
LETTER addressed to Judge Denny Chin from Martin Wichert dated 9/1/09
re: Martin Wichert, Sales Director of the Hatje Cantz Verlag, a book publisher
located in Ostifildern, Germany writes to object to the Settlement Agreement.
Document filed by Martin Wichert.(ae) (Entered: 09/10/2009)
09/09/2009
363
LETTER addressed to Office of the Clerk from Joachim Nourney dated
9/2/09 re: Fachbuchverlag Pfanneberg joins in the objections that have been
presented to this Court by Scott Gant et al. Document filed by Fachbuchverlag
Pfanneberg.(dle) (Entered: 09/10/2009)
h
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LETTER addressed to Judge Denny Chin from Tom Kraushaar, Publisher
dated 9/2/09 re: Tom Kraushaar, Publisher of the J.G. Cotta’sche
Buchhandlung Nachfolger GmbH, writes to object to the Settlement
Agreement. Filed by Tom Kraushaar. (ae) (Entered: 09/10/2009)
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LETTER addressed to Judge Denny Chin from Sakari Laiho dated 9/1/09 re:
Sakari Laiho, Director of the The Finnish Book Publishers Association writes
to oppose the Settlement Agreement. Filed by Sakari Laiho(ae) (Entered:
09/10/2009)
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366
LETTER addressed to Office of the Clerk from Ludger Kieyboldt dated
9/1/09 re: Friedrich Kiehl Verlag GmbH joins in the objections that have been
presented to this Court by Scott Gant, et al. Document filed by Friedrich Kiehi
Verlag GmbH.(dle) (Entered: 09/10/2009)
09/09/2009
367
LETTER addressed to Judge Denny Chin from Peter Gollasch dated 9/2/09 re:
Peter Gollasch, CFO of the Thienemann Verlag GmbH writes to the Court
objecting to the Settlement Agreement. Filed by Peter Gollasch.(ae) (Entered:
09/100
09/09/2009
368
LETTER addressed to Judge Denny Chin from Klaus W. Mueller, Carl-Auer
Pubi. dated 9/1/09 re: Klaus W. Mueller, General Manager of Carl-Auer
Publishers writes to the Court objecting to the Settlement Agreement. Filed by
Klaus W. Mueller.(ae) (Entered: 09/10/2009)
.
.
.
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09/09/2009
09/09/2009
369
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371
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LETTER addressed to Office of the Clerk from Peter Kirchheim dated 9/1/09
re: P. Kirchheim Verlag joins in the objections that have been presented to this
Court by Scott Gant et al. Document filed by P. Kerchheim Verlag.(dle)
(Entered: 09/10/2009)
•1
LETTER addressed to Judge Denny Chin from Jesus Sanchez Garcia dated
9/3/09 re: Grupo Anaya objects to the proposed Settlement Agreement.
4 Document filed by Grupo Anaya SA.(dle) (Entered: 09/10/2009)
09/09/2009
372
LETTER addressed to Judge Denny Chin from Ulich Pokern and Tilo Knoche
dated 9/1/09 re: Parties Ulrich Pokern and Tilo Knoche, Executive Directors
of Ems Klett Verlag GmbH jointly object the Settlement Agreement. Filed by
Ulich Pokern, Tilo Knoche. (ae) (Entered: 09/10/2009)
09/09/2009
373
LETTER addressed to Judge Denny Chin from Dr. W. Georg Olms dated
9/1/09 re: Dr. W. GeorgOims, Managing Director of the Georg Olms Verlag
writes to object to the Settlement Agreement. Document filed by W. Georg
Olms.(ae) (Entered: 09/10/2009)
09/09/2009
74 LETTER addressed to Judge Denny Chin from Karin Wittenborg (University
of Virginia Library) dated 9/3/09 re: Request for final approval of the
settlement agreement. (cd) (Entered: 09/10/2009)
09/09/2009
375
LETTER addressed to Judge Denny Chin from Dr. Wolfgang Illert dated
9/2/09 re: The Deutsche Stiftung Denkmalschutz writes objecting to the
Settlement Agreement. Document filed by The Deutsche Stiftung
Denkmalschut(ae) (Entered: 09/10/2009)
376
LETTER addressed to J. Michael McMahon, Clerk of Court from Hesys
Sanchez Garcia dated 9/3/09 re: Objections of Grupo Editorial Bruno, S.L. to
,.
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proposed Class Settlement. Document filed by Edelsa Grupo Didascalia,
S.A..(pl) (Entered: 09/10/2009)
09/09/2009
377
LETTER addressed to Judge Denny Chin from Robert Stein (Uniform Law
Commission) dated 9/3/09 re: Not opting out of the proposed settlement. (cd)
(Entered: 09/10/2009)
09/09/2009
378
LETTER addressed to Judge Denny Chin from Margret Schneider dated
09/1/09 re: Dr. Stefan Schiegel, manager of the Vde Verlag GmbH writes to
object to the Settlement Agreement. Document filed by Vde Verlag
GmbH.(ae) (Entered: 09/10/2009)
09/09/2009
379
LETTER addressed to Judge Denny Chin from Karl ZoBell and Millie Basden
(DLA Paper) dated 8/26/09 re: Request for approval of the settlement. (Cd)
(Entered: 09/10/2009)
09/09/2009
380
LETTER addressed to Judge Denny Chin from Nikolaus Hansen dated 9/1/09
re: Nikolaus Hansen, publisher of the Atrium Vertag AG, writes to object to
the Settlement Agreement. Document filed by Atrium Veriag AG.(ae)
iL_J
09/09/2009
381
LETTER addressed to Judge Denny Chin from Jennifer Nicholson (IFLA)
dated 9/1/09 re: Territorial limits of the settlement. (cd) (Entered: 09/10/2009)
09/09/2009
382
LETTER addressed to Judge Denny Chin from Eva Maria Buchholz dated
9/1/09 re: Evan Maria Buchhlz, head of book department of the Hinstorff
Verlag GmbH writes to object to the Settlement Agreement. Document filed
by Hinstorff Verlag GmbH.(ae)_(Entered: 09/10/2009)
09/09/2009
LETTER addressed to Judge Denny Chin from Gregory Crane (Tufts
University) dated 8/7/09 re: In support of the books Google has digitalized
reach the widest possible audience as quickly as possible. (cd) (Entered:
---“---T--
09/09/2009
384
LETTER addressed to Judge Denny Chin from Anne Kenney (Cornell
University Library) dated 9/2/09 re: Supporting final settlement. (cd)
(Entered: 09/10/2009)
09/09/2009
385
LETTER addressed to Judge Denny Chin from Florian Sautter dated 9/1/09
re: Florian Sautter, owner of the “Verlag der Buchhandlung Sautter &
Lackmann, writes to object to the Settlement Agreement. Document filed by
Sautter & Lackmann Gachbuchhandlung.(ae) (Entered: 09/10/2009)
09/09/2009
386
LETTER addressed to Office of the Clerk, U.S. District Court for the
Southern District of New York from Dr. Martina Erdmann dated 9/1/09 re:
objection
to the Settlement Agreement. Document filed by Dr. Martina
Erdmann.(pl) (Entered: 09/10/2009)
09/09/2009
387
LETTER addressed to Judge Denny Chin from Jonathan Band (Jonathna
Band PLLC) dated 9/3/09 re: Courtesy copies of the listed filings re
i
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settlement. (cd) (Entered: 09/10/2009)
09/09/2009
388
LETTER addressed to Judge Denny Chin from Steffen Herrmann dated 9/1/09
re: Steffen Herrmann, publisher of Junius Verlag GmbH, writes to object to
the Settlement Agreement. Document filed by Junius Verlag GmbH.(ae)
(Entered: 09/10/2009)
09/09/2009
389
LETTER addressed to Judge Denny Chin from Ulrich Grunwald dated 9/1/09
re: Ulrich Grunwald, Manager of the Verlag Handwerk und Technik GmbH,
writes to object to the Settlement Agreement. Document filed by Verlag
Handwerk und Technik GmbH.(ae) (Entered: 09/10/2009)
09/09/2009
390
LETTER addressed to Judge Denny Chin from Raymond Nimmer and Jeff
Dodd (University of Houston) dated 9/4/09 re: Request for rejection of the
settlement. (cd) (Entered: 09/10/2009)
09/09/2009
391
LETTER addressed to Judge Denny Chin from Hans J. Schmidtke dated
9/1/09 re: Hans J. Schmidtke, Publisher of the Cadmos Verlag GmbH, writes
to object to the Settlement Agreement. Document filed by Cadmos Verlag
GmbH. (ae) (Entered: 09/10/2009)
09/09/2009
392
LETTER addressed to Judge Denny Chin from Harry Lewis (Author
Sub-Class) dated 9/4/09 re: Objections to some of the terms of the settlement.
(cd) (Entered: 09/10/2009)
09/09/2009
393
LETTER addressed to Judge Denny Chin from Diane Aronson dated 9/3/09
re: Concerns about settlement etc. (cd) (Entered: 09/10/2009)
09/09/2009
394
LETTER addressed to Office of the Clerk, U.S. District Court for the
Southern District of New York from Tanja Graf dated 9/2/09 re: objection to
the Settlement Agreement. Document filed by Tanja Graf.(pI) (Entered:
09/10/2009)
09/09/2009
395
LETTER addressed to Judge Denny Chin from Susan Bergholz dated 8/31/09
re: Objections to the settlement. (cd) (Entered: 09/10/2009)
09/09/2009
396
LETTER addressed to Judge Denny Chin from Nikolaus Hansen dated 9/1/09
re: Nikolaus Hansen, publisher of the Arche Literatur Verlag AG, writes to
object to the Settlement Agreement. Document filed by Arche Literatur Verlag
AG.(ae) (Entered: 09/10/2009)
09/09/2009
397
LETTER addressed to Judge Denny Chin from Mary Lynn Cabrall dated
9/4/09 re:_Request for rejection of the settlement. (cd) (Entere± 09/1 0/2009)
09/09/2009
398
LETTER addressed to Judge Denny Chin from Gary Rhoades (AAUP) dated
9/4/09 re: Concerns about the Google Library Proj ectlsettlement. (cd)
(Entered: 09/10/2009)
09/09/2009
399
LETTER addressed to Judge Denny Chin from Tim Teloeken dated 9/1/09 re:
Tim Teloeken, director of Alba Fachverlag GmbH & Co.KG, writes to object
to the Settlement Agreement. Document filed by Alba Fachverlag GmbH &
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09/09/2009
400
LETTER addressed to Judge Denny Chin from Olswang LLP dated 9/8/09 re:
that on behalf on behalf of the UK Agents, we respectfully request the Court’s
permission to file this letter as an amicus curiae brief to address certain
concerns of UK authors who have not opted-out of the proposed settlement
agreement in this proceeding. The within brief is in support of neither party.
Document filed by Olswang LLP.(pl) (Entered: 09/10/2009)
09/09/2009
401
LETTER addressed to Judge Denny Chin from Serge Eyrolles dated 9/3/09 re:
Serge Eyrolles, President of the French Publishers Association, writes to
object to the Settlement Agreement. Document filed by French Publishers
Association.(ae) (Entered: 09/10/2009)
09/09/2009
402
LETTER addressed to Judge Denny Chin from Motohisa Ohno re: Objections
to Settlement. (cd) (Entered: 09/10/2009)
09/09/2009
LETTER addressed to Judge Denny Chin from Martin Kahn (ProQuest) dated
9/3/09 re: Objections to settlement. (cd) (Entered: 09/10/2009)
09/09/2009
404
LETTER addressed to Office of the Clerk, U.S. District Court for the
Southern District of New York from Irene Lindon, CEO dated 9/3/09 re:
objection to the Proposed Settlement Agreement. Document filed by Les
Editions De Minuit S.A. .(pl) (Entered: 09/10/2009)
09/09/2009
405
Objections To Settlement. Document filed by Harrasowitz, Media 24 et al.
(cd) (Entered: 09/10/2009)
09/09/2009
406
OBJECTIONS to Proposed Settlement and Brief of Amici Curiae
Borsenverein Des Deutschen Buchhandels, Schweizer Buchhandler Und
Verleger Verbank Sbvv, Hauptverband Des Osterreichischen Buchhandels,
Svenska Forlaggareforeningen. Document filed by Harrasowitz, Media24,
Studentlitteratur AB, Norstedts Forlagsgrupp AB, Norstedts Kartor AB,
Leopard Forlag AB, Borsenverein des Deutschen Buchhandels, Schweizer
Buchhandler und Verleger-Verband SBVV, Hauptverband des
Osterreichischen Buchhandels, Svenska Forlaggareforeningen. (ae) (Entered:
09/10/2009)
-
-
-
09/09/2 009
LETTER addressed to Judge Denny Chin from Hiroshi Sakagami, President
dated 9/4/09 re: objection to the Settlement Agreement. Document filed by
The Japan Writers’ Association.(pl) (Entered: 09/10/2009)
09/09/2009
408
LETTER addressed to Office of the Clerk, U.S. District Court for the
Southern District of New York from Geert Noorman, Director dated 9/1/09 re:
Dutch objections and concerns Google Book Settlement. Document filed by
The Dutch Publishers Association (NUV).(pl) (Entered: 09/10/2009)
09/09/2009
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407
409
LETTER addressed to Office of the Clerk, U.S. District Court for the
Southern District of New York from Eckhart Holzboog dated 9/1/09 re: We
therefore joinin the objections that have been presented to this Court by Scott
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Gant and the group of foreign publishers and publishing associations that
includes the Borsenverein des Deutschen Buchhandels and others, for the
reasons presented to this Court by those individuals and entities. Document
filed by Frommann-holzboog e.K..(pl) (Entered: 09/10/2009)
09/09/2009
410
LETTER addressed to Office of the Clerk, U.S. District Court for the
Southern District of New York from Thomas Grundmarm dated 9/1/09 re: We
write to object to the Settlement Agreement. Document filed by Bouvier
Berlag.(pl) (Entered: 09/10/2009)
09/09/2009
414
LETTER addressed to Office of the Clerk from Maria Schonefeld dated
8/31/2009 re: We write to object to the Settlement Agreement. (jpo) (Entered:
09/iW200
09/09/2009
420
LETTER addressed to Mr. McMahon from Tony Simpson dated 9/2/09 re:
The proposed settlement affects published authors and rights holders. The
NZSA owns the rights to numerous publications as well as being the principal
advocate for the professional interests of New Zealand’s writers, actively
working to protect copyright through contractual negotiations. The proposed
settlement affects our copyright and that of our members; We urge the Court
to rejec the propsed settlement on the grounds as detailed above. (mro)
(Entered: 09/10/2009)
09/09/2009
422
LETTER addressed to Office of the Clerk J. Michael McMahon from Prof.
Dr. Rainer Kuhlen dated 8/31/09 re: objection to the Settlement Agreement.
Document filed by “Copyright for Education and Science” (CCES).(pl)
(Entered: 09/10/2009)
09/09/2009
423
LETTER addressed to Office of the Clerk from Kurt Mattes dated 9/1/09 re: I
am owner of the Mattes Verlag GmbH, a book publisher located at Heidelberg
in Germany; We write to object to the settlement agreement. We do not have
the resources to provide this Court with legal briefing regarding our objections
nor do we wish to burden this Court with duplicate filings. We therefore join
in the objections that have been presented to this Court by Scott Gant and the
group of foreign publishers and publishing associations. (mro) (Entered:
-
09/09/2009
LETTER addressed to Mr. McMahon from Alison Gray dated 9/2/09 re: I
write to object to the proposed settlement as a class member; For the reasons
listed herein, I urge the Court to reject the proposed settlement. (mro)
(Entered: 09/10/2009)
09/09/2009
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LETTER addressed to Judge Denny Chin from Owen Atkinson dated 9/4/09
re: The Authors’ Licensing Collecting Society(ALCS) wishes to submit this
letter in relation to the final settlement approval in this case; The proposed
Google settlement agreement is an important issue for our members; We have
already identified more than 18,000 of our members and 37,000 works as
being directly affected by the settlement. Document filed by Owen
Atkinson.(mro)(Entered: 09/10/2009)
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LETTER addressed to Judge Denny Chin from Giles Sandeman Allen dated
9/4/2009 re: Counsel writes to request an amendment in the determination of
“in print”. Please can the following clause or something similar be inserted,
into the Attachment A to Settlement Agreement, probably at 3.2 (a)(i)(4), to
say: “A Book is not “in-print” if the author-publisher contract is governed by
foreign law which allows for automatic reversion to the Author of rights in the
Book and the criteria for such automatic reversion have been met.” (jfe)
(Entered: 09/10/2009)
09/09/2009
500
LETTER addressed to Sir from Racheli Edelman dated 4/9/2009 re: Counsel
writes to object to the Settlement Agreement. (jfe) (Entered: 09/10/2009)
09/09/2009
507
LETTER addressed to J. Michael McMahon from Eva Dreikurs Feruson dated
8/29/2009 re: As copyright holder for the published works of Rudolf Dreikurs,
Sadie Dreikurs, and Eva Dreikurs Ferguson, I am writing to send my objection
regarding the Settlement between Google and Authors. I wish to be a member
of the Settlement and request the Court to take into account my concerns
when finalizing the Settlement. (jmi) (Entered: 09/11/2009)
09/09/2009
509
LETTER addressed to Judge Denny Chin from Autouio dated 9/8/2009 re:
The Federacion de Gremios de Editores de Espaiia (FGEE) is a private entity
representing the interest of the publishing sector in Spain. We are writing to
you in regards to the proposed Settlement Agreement of the class action
copyright infringement litigation brought by the U.S. Author’s Guild and
others against Google Inc (hereinafter the “Settlement”). (jmi) (Entered:
09/11/2009)
09/09/2009
510
LETTER addressed to Office of the Clerk from Dr. Zsuzsanna Bazing dated
9/1/2009 re: My name is Dr. Zsuzsanna Bazing, and I am the managing
director of the Dialog Campus Kiado-NORDEX GmbH, a book publisher
located in Passau Germany. Dialog Campus Kiado-NORDEX GmbFl is a
member of the settlement class embraced by the proposed settlement
agreement that is before this Court in this action (the “Settlement
Agreement”), because it owns rights in books that are protected by U.S.
copyright law. We write to object to the Settlement Agreement. (jmi)
(Entered: 09/11/2009)
09/09/2009
511
LETTER addressed to Office of the Clerk from Dr. Zsuzsanna Bazing dated
9/1/2009 re: My name is Dr. Zsuzsanna Bazing, and I am the managing
director of the Schenk Verlag Gmbl-I, a book publisher located in Passau
Germany, Schenk Verlag GmbH is a member of the settlement class embraced
by the proposed settlement agreement that is before this Court in this action
(the “Settlement Agreement”), because it owns rights in books that are
protected by U.S. copyright law. We write to object to the Settlement
Agreement. (jmi) (Entered: 09/11/2009)
09/10/2009
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411
LETTER addressed to Office of the Clerk from Gerhard Denndorf dated
9/2/2009 re: We write to object to the Settlement Agreement. (jpo) (Entered:
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09/10/2009
412
LETTER addressed to Office of the Clerk from Kristoffer Lind dated
8/31/2009 re: We write to object the Settlement Agreement. (jpo) (Entered:
09/10/2009)
09/10/2009
413
LETTER addressed to Office of the Clerk from Bengt Fasth dated 8/31/2009
We write to object to Settlement Agreement. (jpo) (Entered: 09/10/2009)
09/10/2009
415
LETTER addressed to Judge Denny Chin from Salley Shannon dated 9/4/09
re: As the author of several books, plus portions of anthologies, all of which
were published before September 5, 2009, I write to put my objections before
you; The so-called remedy is disproportionate, duplicitous, and bears little
relationship to the offense; I do recognize that much about how Google
operates its proprietary, making it difficult to monitor any limitations.
Nevertheless, please direct that limits be set. It is time.(mro) (Entered:
09/10/2009)
09/10/2009
416
1 LETTER addressed to Mr. McMahon from Deborah Burnside dated 9/2/09 re:
I write to object to the Proposed Settlement as a class member in support of
the New Zealand Society of Author’s objection, I am a New Zealand author
and citizen and my books are published by New Zealand and Australian
publishers.(mro) (Entered: 09/10/2009)
09/10/2009
417
LETTER addressed to Office of the Clerk from Klaus-Thorsten Firnig dated
9/1/09 re: I am Managing Director of the EGMONT Verlagsgesellschaften
mbH, a book publisher located in Cologne, Germany; We write to object to
the settlement agreement. We do not have the resources to provide this Court
with legal briefing regarding our objections nor do we wish to burden this
Court with duplicate filings. We therefore join in the objections that have been
presented to this Court by Scott Gant and the group of foreign publishers and
publishing associaons. (mro) (Entered: 09/10/2009)
.
.
09/1 0/2009
419
LETTER addressed to Office of the Clerk from Carola Muller dated 9/2/09 re:
I am CEO of the publishing house Vandenhoeck & Ruprecht. a book publisher
located in Gottingen, Germany; We join in the objections that have been
presented to this Court by Scott Gant and the group of foreign publishers and
publishing associations. (mro) (Entered: 09/10/2009)
09/10/2009
421
LETTER addressed to Mr. McMahon from Daphne Clair de Jong dated 9/2/09
re: I write to object to the proposed settlement as a class member; I urge the
Court to reject the proposed settlement on the grounds listed herein. (mro)
(Entered: 09/10/2009)
..
09/10/2009
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424
.
.
LETTER addressed to Office of the Clerk from Manfred Krick dated 9/2/09
re: We are a German publishing house having its registered office at Bad
Homburg, Germany. As a major publisher in the area of educational products
we are distributing about 300 different educational books up to date for which
we are holding the US copyright. As a so called rights holder under the
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settlement agreement we object to the proposed settlement agreement. (mro)
(Entered: 09/10/2009)
-
-
--
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09/10/2009
LETTER addressed to Office of the Clerk from Manfred Metzner re: I am
CEO of the Verlag Das Wunderhorn GmbH, a book publisher located in
Heidelberg, Germany; We write to object to the settlement agreement. We do
not have the resources to provide this Court with legal briefing regarding our
objections nor do we wish to burden this Court with duplicate filings. We
therefore join in the objections that have been presented to this Court by Scott
Gant and the group of foreign publishers and publishing associations. (mro)
(Entered: 09/10/2009)
09/10/2009
426
LETTER addressed to Office of the Clerk from Hans Freiwald dated 9/2/09
re: I am Editorial Director of the CW Niemeyer Buchverlage GmbH, a book
publisher located in Hameln, Germany; We write to object to the settlement
agreement. (mro) (Entered: 09/10/2009)
09/10/2009
427
LETTER addressed to Office of the Clerk from Karl-Heinz Remmers dated
9/1/09 re: I am CEO of the Solarpraxis AG, a book publisher located in
Berlin, Germany; We write to object to the settlement agreement. We do not
have the resources to provide this Court with legal briefing regarding our
objections nor do we wish to burden this Court with duplicate filings. We
therefore join in the objections that have been presented to this Court by Scott
Gant and the group of foreign publishers and publishing associations. (mro)
(Entered: 09/10/2009)
09/10/2009
430
LETTER addressed to Office of the Clerk from Prof. Dr. WuIfD. v. Lucius
dated 9/2/09 re: I am CEO of the Lucius & Lucius Berlagsgesellschaft mbH, a
book publisher located in Stuttgart, Germany; We write to object to the
settlement agreement. We do not have the resources to provide this Court with
legal briefing regarding our objections nor do we wish to burden this Court
with duplicate filings. We therefore join in the objections that have been
presented to this Court by Scott Gant and the group of foreign publishers and
publishing associations. (mro) (Entered: 09/10/2009)
09/10/2009
431
LETTER addressed to Office of the Clerk from Dr. Hans-Robert Cram dated
9/2/09 re: I am managing director of the Dietrich Reimer Verlag GmbH, a
book publisher located in Berlin, Germany, with a book list of more than
1,800 titles; We write to object to the settlement agreement. We do not have
the resources to provide this Court with legal briefing regarding our objections
nor do we wish to burden this Court with duplicate filings. We therefore join
in the objections that have been presented to this Court by Scott Gant and the
group of foreign publishers and publishing associations. (mro) (Entered:
09/10/2009)
09/10/2009
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425
432
LETTER addressed to Office of the Clerk from Michael Schmitt, Parzeller &
Co. KG dated 9/1/09 re: I am managing director of Parzeller & Co. KG, a
[book publisher located in Fluda, Germany; We write to object to the
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settlement agreement. We do not have the resources to provide this Court with
legal briefing regarding our objections nor do we wish to burden this Court
with duplicate filings. We therefore join in the objections that have been
presented to this Court by Scott Gant and the group of foreign publishers and
publishing associations. (mro) (Entered: 09/10/2009)
09/10/2009
433
LETTER addressed to Office of the Clerk from Daniela Filthaut dated 9/1/09
re: I am publishing director of the Gerstenberg Verlag GmbH & Co. KG, a
book publisher located in Hildeshein, Germany; We write to object to the
settlement agreement. We do not have the resources to provide this Court with
legal briefing regarding our objections nor do we wish to burden this Court
with duplicate filings. We therefore join in the objections that have been
presented to this Court by Scott Gant and the group of foreign publishers and
publishing associations. (mro) (Entered: 09/10/2009)
09/10/2009
434
LETTER addressed to Office of the Clerk from Adrian Schommers dated
9/2/09 re: I am the managing director of the Verlag Stahleisen GmbH, a book
publisher located in Dusseldorf, Germany; We write to object to the settlement
agreement. We do not have the resources to provide this Court with legal
briefing regarding our objections nor do we wish to burden this Court with
duplicate filings. We therefore join in the objections that have been presented
to this Court by Scott Gant and the group of foreign publishers and publishing
associations. Document filed by Adrian Schommers.(mro) (Entered:
09/10/2009
435
LETTER addressed to Office of the Clerk from Adrian Schommers dated
9/2/09 re: I am managing director of the Giesserei-Verlag GmbH, a book
publisher located in Duseeldorf, Germany; We write to object to the
settlement agreement. We do not have the resources to provide this Court with
legal briefing regarding our objections nor do we wish to burden this Court
with duplicate filings. We therefore join in the objections that have been
presented to this Court by Scott Gant and the group of foreign publishers and
publishing associations. Document filed by Adrian Schommers.(mro)
(Entered: 09/10/2009)
09/10/2009
436
LETTER addressed to Office of the Clerk from Adrian Schommers dated
9/2/09 re: I am the managing director of the Montan-und Wirtschaftsverlag
Gmbh, a book publisher located in Dusseldorf, Germany; We write to object
to the settlement agreement. We do not have the resources to provide this
Court with legal briefing regarding our objections nor do we wish to burden
this Court with duplicate filings. We therefore join in the objections that have
been presented to this Court by Scott Gant and the group of foreign publishers
and publishing associations. Document filed by Adrian Schommers.(mro)
(Entered: 09/10/2009)
09/10/2009
4i LETTER addressed to Office of the Clerk from Dag Hernried dated 9/1/09 re:
I am managing director of the Alfabeta Bokforlag AB, a book publisher
located in Stockholm, Sweden; We write to object to the settlement
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agreement. We do not have the resources to provide this Court with legal
briefing regarding our objections nor do we wish to burden this Court with
duplicate filings. We therefore join in the objections that have been presented
to this Court by Scott Gant and the group of foreign publishers and publishing
associations. Document filed by Dag Hernried.(mro) (Entered: 09/10/2009)
09/10/2009
438
LETTER addressed to Office of the Clerk from Lena Andersson dated 9/2/09
re: I am Managing Director of the Berghs Forlag AB, a book publisher located
in Stockholm, Sweden; We write to object to the settlement agreement. We do
not have the resources to provide this Court with legal briefing regarding our
objections nor do we wish to burden this Court with duplicate filings. We
therefore join in the objections that have been presented to this Court by Scott
Gant and the group of foreign publishers and publishing associations.
Document filed by Lena Andersson.(mro) (Entered: 09/10/2009)
09/10/2009
439
LETTER addressed to Office of the Clerk from Catrine Christell Grimlund
dated 8/31/09 re: I am owner of the Bokforlaget Opal AB, a book publisher
located in Stockholm, Sweden; We write to object to the settlement
agreement. We do not have the resources to provide this Court with legal
briefing regarding our objections nor do we wish to burden this Court with
duplicate filings. We therefore join in the objections that have been presented
to this Court by Scott Gant and the group of foreign publishers and publishing
associations. Document filed by Catrine Christell Grimlund.(mro) (Entered:
09/10/2009)
09/10/2009
LETTER addressed to Office of the Clerk from David Stansvik dated 8/31/09
re: I am managing director of the Bokforlaget Nya Doxa AB, a book publisher
located in Nora, Sweden; We write to object to the settlement agreement. We
do not have the resources to provide this Court with legal briefing regarding
our objections nor do we wish to burden this Court with duplicate filings. We
therefore join in the objections that have been presented to this Court by Scott
Gant and the group of foreign publishers and publishing associations.
Document filed by David Stansvik.(mro) (Entered: 09/10/2009)
09/10/2009
441
LETTER addressed to Office of the Clerk from Par Sjolinder dated 9/2/09 re:
I am junior editor of the Modernista, a book publisher located in Stockholm,
Sweden; We write to object to the settlement agreement. We do not have the
resources to provide this Court with legal briefing regarding our objections
nor do we wish to burden this Court with duplicate filings. We therefore join
in the objections that have been presented to this Court by Scott Gant and the
group of foreign publishers and publishing associations. Document filed by
Par Sjolinder.(mro) (Entered: 09/10/2009)
09/10/2009
9 of 204
440
442
LETTER addressed to Judge Denny Chin from Kristoffer Lind dated 8/30/09
re: I am chairman of the Nordic Independent Publishers Association
(Nordiska Oberoende Forlagas Forening, NOFF) located in Stockholm,
Sweden. I write on behalf of NOFF in connection with the proposed
settlement of the class action copyright infringement litigation brought by the
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US Authors Guild and others against Google’s Book search service; We urge
this Court not to approve the settlement agreement, for the reasons herein; To
the extent necessary, we respectfully request that this Court accept this letter
as an amicus curiae submission. Document filed by Kristoffer Lind.(mro)
(Entered: 09/10/2009)
09/10/2009
443
LETTER addressed to Office of the Clerk from Karl Heinz Bonny dated
9/2/09 re: I am CEO of Landwirtschaftsverlag GmbH, a book publisher in
Munster, Germany; We write to object to the settlement agreement. We do not
have the resources to provide this Court with legal briefing regarding our
objections nor do we wish to burden this Court with duplicate filings. We
therefore join in the objections that have been presented to this Court by Scott
Gant and the group of foreign publishers and publishing associations.
Document filed by Karl Heinz Bonny.(mro) (Entered: 09/10/2009)
09/10/2009
444
LETTER addressed to Office of the Clerk from Andreas Schulz dated 9/2/09
re: I am the CEO of the Vista Point Verlag GmbH, a book publisher located in
Cologne, Germany; We write to object to the settlement agreement. We do not
have the resources to provide this Court with legal briefing regarding our
objections nor do we wish to burden this Court with duplicate filings. We
therefore join in the objections that have been presented to this Court by Scott
Gant and the group of foreign publishers and publishing associations.
Document filed by Andreas Schulz.(mro) (Entered: 09/10/2009)
09/10/2009
445
LETTER addressed to Office of the Clerk from Dr. Martin Wagner dated
9/2/09 re: I am legal counsel and head of the legal department of
Langenscheidt KG, a book publisher located in Munich, Germany; We write
to object to the settlement agreement. We do not have the resources to provide
this Court with legal briefing regarding our objections nor do we wish to
burden this Court with duplicate filings. We therefore join in the objections
that have been presented to this Court by Scott Gant and the group of foreign
publishers and publishing associations. Document filed by Martin
Wagner.(mro) (Entered: 09/10/2009)
09/10/2009
446
LETTER addressed to Office of the Clerk from Dr. Hans-Jurgen Dietrich
dated 9/1/09 re: I am the publishing director of the Ergon-Verlag GmbH, a
book publisher located in Wurzburg, Germany; We write to object to the
settlement agreement. We do not have the resources to provide this Court with
legal briefing regarding our objections nor do we wish to burden this Court
with duplicate filings. We therefore join in the objections that have been
presented to this Court by Scott Gant and the group of foreign publishers and
publishing associations. Document filed by Dr.Hans-Jurgen Dietrich.(mro)
(Entered: 09/10/2009)
09/10/2009
447
___L.
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LETTER addressed to Office of the Clerk from Dr. Susanne Greiner dated
9/1/09; re: I am Geschaftsfuhrer of the Joharmes Verlag Einsiedeln, a book
publisher located in Freiburg, Germany; We write to object to the settlement
[agreement. We do not have the resources to provide this Court with legal
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briefing regarding our objections nor do we wish to burden this Court with
duplicate filings. We therefore join in the objections that have been presented
to this Court by Scott Gant and the group of foreign publishers and publishing
associations Document filed by Susanne Greinermro) (Entered. 09/10/2009)
09/10/2009
LETTER addressed to Office of the Clerk from Harald Kirbach dated 9/1/09
re: I am managing director of the Wirtschaftsverlag, a book publisher located
in Bremerhaven, Germany; We write to object to the settlement agreement.
We do not have the resources to provide this Court with legal briefing
regarding our objections nor do we wish to burden this Court with duplicate
filings. We therefore join in the objections that have been presented to this
Court by Scott Gant and the group of foreign publishers and publishing
associations; We also wish to inform the Court that our company did not
receive any written notice of the settlement agreement. Document filed by
Harald Kirbach.(mro) (Entered: 09/10/2009)
09/10/2009
449
LETTER addressed to Office of the Clerk from Chris Schoen dated 9/1/09 re:
I am CEO of ibidem-Verlag J. Haunschild/C. Schon GbR, a book publisher
located in Suttgart and Hannover, Germany; We write to object to the
settlement agreement. We do not have the resources to provide this Court with
legal briefing regarding our objections nor do we wish to burden this Court
with duplicate filings. We therefore join in the objections that have been
presented to this Court by Scott Gant and the group of foreign publishers and
publishing associations. Document filed by Chris Schoen.(mro) (Entered:
09/10/2009)
09/10/2009
450
LETTER addressed to Office of the Clerk from Cordula Walter-Boihofer
dated 9/1/09 re: I am director of the Calypso Verlag, a book publisher located
in 53819 Neunkirchen, Germany; We write to object to the settlement
agreement, We do not have the resources to provide this Court with legal
briefing regarding our objections nor do we wish to burden this Court with
duplicate filings. We therefore join in the objections that have been presented
to this Court by Scott Gant and the group of foreign publishers and publishing
associations; Our company did not receive any written notice of the settlement
agreement, nor did we see any published notice of the settlement agreement.
Document filed by Cordula Walter-Bolhofer.(mro) (Entered: 09/10/2009)
09/10/2009
1 of 204
448
451
LETTER addressed to Offlce of the Clerk from Georg Holzmeister dated
9/1/09 re: I am general manager of the Fidula-Verlag Holzmeister GmbH,
a
book publisher located in Boppard/Rhine in Germany; We write to object to
the settlement agreement. We do not have the resources to provide this Court
with legal briefing regarding our objections nor do we wish to burden this
Court with duplicate filings. We therefore join in the objections that have been
presented to this Court by Scott Gant and the group of foreign publishers and
publishing associations. Document filed by Georg Holzmeister.(mro)
(Entered: 09/10/2009)
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453
LETTER addressed to Office of the Clerk from Peter Hohl dated 9/1/09 re: I
am managing director of hte SecuMedia Verlag, a book publisher located in
Gai-Algesheim, Germany; We write to object to the settlement agreement. We
do not have the resources to provide this Court with legal briefing regarding
our objections nor do we wish to burden this Court with duplicate filings. We
therefore join in the objections that have been presented to this Courl by Scott
Gant and the group of foreign publishers and publishing associations.
Document filed by Peter I-lohl.(mro) (Entered: 09/10/2009)
09/10/2009
454
LETTER addressed to Office of the Clerk from Dr. Reinhard Martini dated
9/2/09 re: I am the publisher of Junfermann Verlag, a book publisher located
in Paderborn, Germany; We write to object to the settlement agreement. We
do not have the resources to provide this Court with legal briefing regarding
our objections nor do we wish to burden this Court with duplicate filings. We
therefore join in the objections that have been presented to this Court by Scott
Gant and the group of foreign publishers and publishing associations.
Document filed by Reinhard Martini.(mro) (Entered: 09/10/2009)
09/10/2009
455
LETTER addressed to Office of the Clerk from Torbjorn Santerus re: I am
founder and owner of the Santerus Forlag, a book publisher located in
Stockholm, Sweden; We write to object to the settlement agreement. We do
not have the resources to provide this Court with legal briefing regarding our
objections nor do we wish to burden this Court with duplicate filings. We
therefore join in the objections that have been presented to this Court by Scott
Gant and the group of foreign publishers and publishing associations.
Document filed by Torbjorn Santerus.(mro) (Entered: 09/10/2009)
09/10/2009
456
LETTER addressed to Judge Denny Chin from Russell Davis dated 9/2/09 re:
This letter is sent in protest to the proposed settlement in The Authors Guild,
mc, et al v. Google, Inc. The objection is lodged on behalf of the Science
Fiction and Fantasy Writers of America, Inc. (“SFWA”), a non profit
organization of professional writers of science fiction, fantasy, and related
genres; SFWA requests the opportunity to appear at the Fairness Hearing in
this matter currently scheduled for October 7, 2009. Document filed by
Russell Davis.(mro) (Entered: 09/10/2009)
09/10/2009
2 of 204
LETTER addressed to Office of the Clerk from Joachim Weidler dated 9/1/09
re: I am the publisher of Weidler Buchverlag Berlin, a book publisher located
in Berlin (Germany); We write to object to the settlement agreement. We do
not have the resources to provide this Court with legal briefing regarding our
objections nor do we wish to burden this Court with duplicate filings. We
therefore join in the objections that have been presented to this Court by Scott
Gant and the group of foreign publishers and publishing associations.
Document filed by Joachim Weilder.(mro) (Entered: 09/10/2009)
09/10/2009
j
452
458
LETTER addressed to Mr. McMahon from Gordon Charles Ell (pen-name
Pita Graham) dated 9/2/09 re: I write to object to the proposed settlement as a
ckiss member. The grounds for my objection area Court has misapplied the
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Berne Convention; Court has exceeded jurisdiction; Author sub-class not
applicable to NZ authors, etc. Document filed by Gordon Charles Ell.(mro)
(Entered: 09/10/2009)
09/10/2009
LETTER addressed to Mr. McMahon from Antonette R. Jones dated 9/3/09
re: I write to object to the proposed settlement as a class member. The grounds
for my objection are listed herein. Document filed by Antonette R Jones.(mro)
(Entered: 09/10/2009)
09/10/2009
460
LETTER addressed to Mr. McMahon from Aim Louise Mitcalfe dated 9/3/09
re: I write to object to the proposed settlement as a class member. The grounds
for my objection are listed herein. Document filed by Ann Louise
Mitcalfe.(mro) (Entered: 09/10/2009)
09/I 0/2009
461
LETTER addressed to Mr. McMahon from Malcolm Campbell dated 9/3/09
re: I write to object to the proposed settlement as a class member. The grounds
for my objection are listed herein. Document filed by Malcolm
Campbell.(mro) (Entered: 09/10/2009)
09/10/2009
462
LETTER addressed to Office of the Clerk from Ulf Heimdahl dated 8/31/09
re: I am managing director of the Informationsforlaget Heimdahls AB, a book
publisher in Stockholm, Sweden; We write to object to the settlement
agreement. We do not have the resources to provide this Court with legal
briefing regarding our objections nor do we wish to burden this Court with
duplicate filings. We therefore join in the objections that have been presented
to this Court by Scott Gant and the group of foreign publishers and publishing
associations. Document filed by Ulf Heimdahl.(mro)_(Entered: 09/10/2009)
09/10/2009
463
LETTER addressed to Office of the Clerk from Petter Luthersson dated
8/31/2009 re: Counsel writes to object to the Settlement Agreement. Counsel
therefore join in the objections that have been presented to this Court by Scott
Gant and the group of foreign publishers and publishing associations that
includes the Svenska Forlaggareforeningen, for the reasons presented to this
Court by those individuals and entities. In addition, counsel wish to inform
this Court that the written notice that our company received of the Settlement
Agreement in Swedish was extremely difficult to read and included a number
of meaningless or nonsensical terms and had obviously been translated very
poorly. (jfe) (Entered: 09/10/2009)
09/10/2009
464
OBJECTION AND NOTICE OF INTENT TO APPEAR OF CLASS
MEMBER SHOJIRO AKASHI TO PROPOSED SETTLEMENT BETWEEN
PLAINTIFFS THE AUTHORS GUILD, INC., ASSOCIATION OF
AMERICAN PUBLISHERS, INC., ET AL. AND GOOGLE, INC. (db)
(Entered: 09/10/2009)
09/10/2009
3 of 204
459
465
THE PROPOSED GOOGLE SETTLEMENT: Views from the Booksellers
Association of the United Kingdom & Ireland Limited. (db) (Entered:
09/10/2009)
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466
SUPPLEMENTAL LIBRARY ASSOCIATION COMMENTS ON THE
PROPOSED SETTLEMENT. By the Library Associations. (db) (Entered:
09/10/2009)
-
09/10/2009
467
j OBJECTION AND NOTICE OF INTENT TO APPEAR OF CLASS
MEMBER JUNJI SUZUKI TO PROPOSED SETTLEMENT BETWEEN
PLAINTIFFS THE AUTHORS GUILD, INC., ASSOCIATION OF
AMERICAN PUBLISHERS, INC., ET AL. AND GOOGLE, INC. By 194
writers in Japan who are members of the Japan Visual Copyright Association.
j (db) (Entered: 09/10/2009)
09/10/2009
468
LETTER addressed to Office of the Clerk from Johannes Lessmann dated
9/2/09 re: Join in the objections that have been presented to the Court by Scott
Gant and the group of foreign publishers and publishing associations that
includes the Borsenverein des Deutschen Buchhandels and others, for the
reasons presented to the Court by those individuals and entities. (db) (Entered:
09/10/2009)
09/10/2009
469
LETTER addressed to Office of the Clerk from Vittorio E. Kiostermanri dated
9/1/2009 re: Counsel writes to join in the objections that have been presented
to this Court by Scott Gant and the group of Foreign publishers and publishing
associations that includes the Borsenverein des Deutschen Buchhandels and
others, for the reasons presented to this Court by those individuals and
entities. (jfe) (Entered: 09/10/2009)
09/10/2009
470
LETTER addressed to Settlement Adminstrator from Frank P. Scibilia dated
9/2/2009 re: Counsel writes to inform you, Google, Inc., and all other
interested parties (including Class Counsel and the so-called “Book Rights
Registry”) that EMI is opting out of the settlement in Authors Guild, Inc. et al.
v. Google, Inc., 05 CV 8136 (DC) (the “Google Books Settlement’ or the
09/10/2009)
09/10/2009
471
LETTER addressed to Judge Denny Chin from Arnaud Nourry dated 9/3/2009:
re: Hachette respectfully requests that this Court reject the Proposed
Settlement and/or decline to certify the class with regard to non-US
Rightsholders. Ufe) (Entered: 09/10/2009)
09/10/2009
j 09/10/2009
4 of 204
LETTER addressed to Mr. Michael McMahon from Mr. E. A. Van Ingen
dated 8/27/2009 re: Boom Publishers Amsterdam are writing to you in regards
to the proposed Settlement Agreement between Google Inc., and the Authors
Guild and the Association of American Publishers. Counsel would like to
raise the following concerns and objections to this Settlement as set forth
jwithin.(ife) (Entered: 09/10/2009)
473 ‘LETTER addressed to Office of the Clerk from Ann Marie Skarp dated
8/31/09 re: We present this letter to this Court in English, for the Court’s
convenience and it was translated for us. (db) (Entered: 09/10/2009)
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LETTER addressed to Judge Denny Chin from Karsten Blauert and Marie
Svane dated 9/1/09 re: Request that the Court accept this letter as an Amicus
Curiae submission. (db) (Entered: 09/10/2009)
09/10/2009
475
LETTER addressed to Office of the Clerk from Wolfgang Foerster dated
9/1/2009 re: Counsel writes to object to the Settlement Agreement. Counsel
therefore join in the objections that have been presented to this Court by Scott
Gant and the group of foreign publishers and publishing associations that
includes the Borsenverein des Deutschen Buchhandels and others, for the
reasons presented to this Court by those individuals and entities. In addition,
counsel wish to inform this Court that their company did not receive any
written notice of the Settlement Agreement, nor did they see any published
notice of the Settlement Agreement. (jfe) (Entered: 09/10/2009)
09/10/2009
476
LETTER addressed to Mr. McMahon from Margaret Jefferies dated 9/3/09 re:
Objection to Proposed Settlement as a class member. (db) (Entered:
09/10/2009)
09/10/2009
477
LETTER addressed to Honorable Clerk from Jesus F. Gonzalez dated
8/25/2009 re: Counsel writes in objection to the Google Book Search
Agreement. (jfe) (Entered: 09/10/2009)
09/10/2009
478
LETTER addressed to Judge Denny Chin from Karsten Blauert and Marie
Svane dated 9/1/09 re: Request that the Court accept this letter as an Amicus
Curiae submission. (db) (Entered: 09/10/2009)
09/10/2009
479
LETTER addressed to Mr. .McMahon from Sander Knol dated 8/27/2009 re:
Counsel writes to make the following objections and comments to the Google
Book Settlement as set forth within. (jfe) (Entered: 09/10/2009)
09/10/2009
480
LETTER addressed to Judge Denny Chin from Lewis Hyde dated 8/31/2009
re: Counsel writes to object to some of the terms of the settlement that has
been proposed by the litigants in Case No. 05 CV 8136, The Authors Guild,
Inc., et al. v. Google Inc. (jfe) (Entered: 09/10/2009)
09/10/2009
481
LETTER addressed to Office of the Clerk from Patrik Widlund dated 8/3 1/09
re: We present this letter to this Court in English, for the Court’s convenience
and it was translated for us. (db) (Entered: 09/10/2009)
09/10/2009
482
LETTER addressed to Sir Michael McMahon from Mai Spijkers dated
8/26/2009 re: Counsel writes in regards to the proposed Settlement Agreement
between Google Inc., and the Author Guild and the Association of American
Publishers. Counsel raises the following concerns and objections to the
Settlement set forth within. (jfe) (Entered: 09/10/2009)
09/10/2009
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474
483
LETTER addressed to Office of the Clerk from Dorothea Kieler dated 9/1/09
re: We present this letter to this Court in English, for the Court’s convenience
and it was translated for us. (db) (Entered: 09/10/2009)
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LETTER addressed to Office of the Clerk from Mr. Helmuth Bauer-Callwey
dated 9/1/09 re: We present this letter to this Court in English, for the Court’s
convenience and it was translated for us. (db) (Entered: 09/10/2009)
09/10/2009
485
LETTER addressed to Office of the Clerk from Dieter Bergemann dated
9/1/09 re: We present this letter to this Court in English, for the Court’s
convenience and it was translated for us. (db) (Entered: 09/10/2009)
09/10/2009
486
LETTER addressed to Mr. McMahon from W.J. Van Oorschot dated
8/29/2009 re: Counsel writes to make the following objection and comments
to the Google Book Search Settlement set forth within. (jfe) (Entered:
09/10/2009)
09/10/2009
487
LETTER addressed to Office of the Clerk from Dr. med. Axel Bedurftig dated
9/1 re: We present this letter to this Court in English, for the Court’s
convenience and it was translated for us. (db) (Entered: 09/10/2009)
09/10/2009
488
LETTER addressed to Sir from Stuart Bernstein dated 8/31/2009 re: Counsel
writes to object to the Google Book Settlement. (jfe) (Entered: 09/10/2009)
09/10/2009
489
LETTER addressed to Michael McMahon from Bert de Groot dated
8/25/2009 re: Counsel writes to draw your attention to the copyrights of the
Dutch books owned by our publishing house which appear to be included in
the settlement reached between Google and the Authors Guild and
Association of American Publishers. Counsel should first like to point out that
they have not yet been consulted or heard in this settlement, even though our
copyrights are involved. Google’s actions have raised many questions,
comments and objections as set forth within. (jfe) (Entered: 09/10/2009)
09/10/2009
490
THE GOOGLE SETTLEMENT: Letter dated 5/27/09 from
Forlaeggerforeningen (Danish Publishers Association). (db) (Entered:
09/10/2009)
09/10/2009
491
LETTER addressed to Office of the Clerk from Erik Hellqvist dated 8/31/09
re: We present this letter to this Court in English, for the Court’s convenience
and it was translated for us. (db) (Entered: 09/10/2009)
09/10/2009
493
LETTER addressed to Sir Michael McMahon from A.M.W. Holl dated 9/1/09
re: Objection to Proposed Settlement Agreement. (db) (Entered: 09/10/2009)
09/10/2009
494
LETTER addressed to Office of the Clerk from Ann Spaak dated 8/31/09 re:
We present this letter to this Court in English, for the Court’s convenience and
it was translated for us. (db) (Entered: 09/10/2009)
495
LETTER addressed to Office of the Clerk from Bror Tronbacke dated 8/31/09
re: We present this letter to this Court in English, for the Court’s convenience
and it was translated for us. (db) (Entered: 09/10/2009)
496
LETTER addressed to Judge Denny Chin from Mathias Lilleengen dated
9/4/2009 re: Counsel writes on behalf of our member publishers in connection
.
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with the proposed settlement of the class-action copyright infringement
litigation brought by the U.S. Authors Guild and others against Google’s Book
Search service, counsel respectfully request that this Court accept this letter as
anamicus curiae submission. (jfe) (Entered:_09/10/2009)
09/10/2009
497
OBJECTION OF JAPANESE PUBLISHERS COMENT TO THE
SETTLEMENT. by Japanese publishers. (jfe) (Entered: 09/10/2009)
09/10/2009
498
LETTER addressed to Office of the Clerk from Juerg Flury dated 9/1/2009 re:
Counsel writes in objection to the Settlement Agreement. (jfe) (Entered:
0100
i
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09/10/2009
499
LETTER addressed to Office of the Clerk from Dr. Andreas Barth dated
1/09/2009 re: Counsel writes to object to the Settlement Agreement. (jfe)
(Entered: 09/10/2009)
09/10/2009
501
LETTER addressed to Mr. McMahon from Anthony Holcroft dated 9/3/2009
re: Counsel writes to object to the Proposed Settlement as a class member.
(jfe) (Entered: 09/10/2009)
09/10/2009
502
LETTER addressed to Office of the Clerk from Bausassessor Dipl.-Ing.
Johannes Lohaus dated 9/1/2009 re: Counsel writes to object to the Settlement
Agreement. (jfe) (Entered: 09/10/2009)
09/10/2009
503
LETTER addressed to Office of the Clerk from Hildegard Wehler dated
9/1/2009 re: Counsel writes to object to the Settlement Agreement. (jfe)
(Entered: 09/10/2009)
09/10/2009
504
LETTER addressed to Office of the Clerk from Karin Low dated 9/1/2009 re:
Counsel writes to object to the Settlement Agreement. (jfe) (Entered:
99/10/2009)
09/10/2009
505
LETTER addressed to Office of the Clerk from Martin Kegel dated 9/2/2009
re: Counsel writes to object to the Settlement Agreement. (jfe) (Entered:
09/10/2009)
09/10/2009
512
LETTER addressed to Office of the Clerk from Dr. Peter Hanser-Strecker and
Michael Petry dated 9/1/2009 re: Our name is Dr. Peter Hanser-Strecker
(managing director and shareholder of Schott Music GmbH & Co. KG) and
Michael Petry (managing director of the SCHOTT MUSIC GmbH & Co.
KG). Schott Music GmbH & Co. KG is a music book publisher located in
Mainz, Germany. SCHOTT MUSIC GmbH &Co. KG is a member of the
settlement class embraced by the proposed settlement agreement that is before
this Court in this action (the “Settlement Agreement”), because it owns rights
in books that are protected by U.S. copyright law. We write to object to the
Settlement Agreement. (jmi) (Entered: 09/11/2009)
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513
LETTER addressed to J. Michael McMahon from Susan J. Gordon dated
8/30/2009 re: I am a professional book author and freelance
magazine/newspaper writer objecting to the Google Book Settlement because
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it is not fair or good for writers or most publishers. Google gets to write
copyright law, has no restrictions its use of reader information, and provides
no language forbidding censorship. I also find the premise that I am “in” (that
is, accepting of the entire settlement agreement) unless I “opt out” to be unfair
and outrageous. (jmi) (Entered: 09/11/2009)
09/10/2009
514
LETTER addressed to Judge Denny Chin from Paul N. Courant dated
9/4/2009 re: I, hereby, request this courts permission to submit this letter as an
amicus curiae supporting final settlement approval in the above-referenced
case. (jmi) (Entered: 09/11/2009)
09/10/2009
515
LETTER addressed to Office of the Clerk from Bernd Vincent Walbaum dated
9/1/2009 re: My name is Bernd Vincent Walbaum, and I am the managing
director of Edition Peters GmbH resp. C. F. Peters GmbH & Co. KG, a
publisher located in Frankfurt/Main, Germany. C. F. Peters is a member of the
settlement class embraced by the proposed settlement agreement that is before
this Court in this action (the “Settlement Agreement”), because it owns rights
in books that are protected by U.S. copyright law. (jmi) (Entered: 09/11/2009)
09/10/2009
516
LETTER addressed to Office of the Clerk from Bernd Vincent Walbaum dated
9/1/09 re: I am the managing direct of Edition Peters GmbH resp. C. F. Peters
GmbH & Co. KG, a publisher located in Frankfurt/Main, Germany; We write
to object to the settlement agreement. We do not have the resources to provide
this Court with legal briefing regarding our objections nor do we wish to
burden this Court with duplicate filings. We therefore join in the objections
that have been presented to this Court by Scott Gant and the group of foreign
publishers and publishing associations. Document filed by Bernd Vincent
Walbaum.(mro) (Entered: 09/11/2009)
09/10/2009
517
LETTER addressed to Office of the Clerk from Ingwert Paulsen dated 9/2/09
re: I am the owner of the Verlag der Nation Ingwet Paulsen Jr., a book
publisher located in Husum, Germany; We write to object to the settlement
agreement. We do not have the resources to provide this Court with legal
briefing regarding our objections nor do we wish to burden this Court with
duplicate filings. We therefore join in the objections that have been presented
to this Court by Scott Gant and the group of foreign publishers and publishing
associations. Document filed by lngwert Paulsen.(mro) (Entered: 09/11/2009)
09/10/2009
09/10/2009
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LETTER addressed to Judge Denny Chin from Sudi Shayesteh and Merrill
Parra dated 9/8/09 re: We write this letter on behalf of the City University of
New York Committee on student disability Issues to respectfully request that
the court approve the settlement between the Authors Guild and Google in the
above referenced case. Document filed by Sudi Shayesteh, Merrill Parra.(mro)
(Entered: 09/11/2009)
519
LETTER addressed to Judge Denny Chin from Gary Rhoades dated 9/4/09 re:
The American Association of University Professors (AAUP) submits this
letter in response to the proposed settlement agreement in this case. This letter
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