The Facebook, Inc., et al v. ConnectU, Inc., et al
Filing
183
Filed (ECF) Intervenors Divya Narendra, Cameron Winklevoss and Tyler Winklevoss in 08-16745, Appellants Divya Narendra, Cameron Winklevoss and Tyler Winklevoss in 08-16873, 09-15021 Motion to take judicial notice of Documents filed in Forthern District of California. Date of service: 05/27/2011. [7767643] [08-16745, 08-16873, 09-15021] (SMS)
CA Nos. 08-16745, 08-16873, 09-15021 (consolidated)
DC No. C 07-01389 JWW
UNITED STATES COURT OF APPEALS
FOR THE NINTH CIRCUIT
THE FACEBOOK, INC.; MARK ZUCKERBERG,
Plaintiffs-Appellees,
DIVYA NARENDRA; CAMERON WINKLEVOSS;
TYLER WINKLEVOSS,
Intervenors,
v.
PACIFIC NORTHWEST SOFTWARE, INC.;
WAYNE CHANG; WINSTON WILLIAMS,
Defendants.
Appeal From Judgment Of The United States District Court
For The Northern District Of California
(Hon. James Ware, Presiding)
REQUEST FOR JUDICIAL NOTICE
IN SUPPORT OF APPELLANTS/INTERVENORS’
WITHDRAWAL OF MOTION TO RECALL MANDATE
JEROME B. FALK, JR.
SEAN M. SELEGUE
SHAUDY DANAYE-ELMI
NOAH S. ROSENTHAL
HOWARD RICE NEMEROVSKI CANADY
FALK & RABKIN
A Professional Corporation
Three Embarcadero Center, 7th Floor
San Francisco, California 94111
Telephone: 415/434-1600
Attorneys For Appellants and
Intervenors Divya Narendra, Cameron
Winklevoss and Tyler Winklevoss
Appellants
and
Intervenors
Cameron
Winklevoss,
Tyler
Winklevoss and Divya Narendra (the “Appellants”) request that this
Court take judicial notice of the following documents filed in the
related case pending in the United States District Court for the
Northern District of California: The Facebook, Inc. v. ConnectU, Inc.
et al., Case No. 07-cv-01389-JW (the “N.D. Cal. Action”).
• The Northern District Court’s May 16, 2011 notice to counsel
of record of the filing of the mandate of the United States
Court of Appeals for the Ninth Circuit in the N.D. Cal.
Action;
• Excerpts from the official Court docket in the N.D. Cal.
Action.
The Court may take judicial notice of court filings and other matters of public record. See Burbank-Glendale-Pasadena Airport Auth.
v. City of Burbank, 136 F.3d 1360, 1364 (9th Cir. 1998). Judicial
notice
is
appropriate
to
discern
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the
procedural
status
of
related actions involving the same parties. See Reyn’s Pasta Bella,
LLC v. Visa USA, Inc., 442 F.3d 741, 746 n.6 (9th Cir. 2006).
DATED: May 27, 2011.
Respectfully,
JEROME B. FALK, JR.
SEAN M. SELEGUE
SHAUDY DANAYE-ELMI
NOAH S. ROSENTHAL
HOWARD RICE NEMEROVSKI CANADY
FALK & RABKIN
A Professional Corporation
By
/s/ Sean M. SeLegue
SEAN M. SELEGUE
Attorneys For Appellants and
Intervenors Divya Narendra, Cameron
Winklevoss and Tyler Winklevoss
W03 052711-180060001/PB6/1649649/F
-2-
DECLARATION OF SHAUDY DANAYE-ELMI
I, Shaudy Danaye-Elmi, declare as follows:
1.
I am an attorney licensed to practice law in the State of
California and a member of the bar of this Court. I am an associate at the law firm of Howard Rice Nemerovski Canady Falk &
Rabkin, A Professional Corporation, counsel to Appellants and
Intervenors Cameron Winklevoss, Tyler Winklevoss and Divya
Narendra.
I make this Declaration based upon my personal
knowledge of the matters stated herein, except where otherwise
indicated (thereupon testifying from information and belief).
If
called as a witness, I could and would testify competently to the
facts stated herein.
2.
Exhibit A is a true and correct copy of the Northern District
Court’s May 16, 2011 notice to counsel of record of the filing of the
mandate of the United States Court of Appeals for the Ninth
Circuit in the N.D. Cal. Action.
-1-
3.
Exhibit B is a true and correct copy of relevant excerpts of
the docket from the N.D. Cal. Action regarding and modifying
docket entry 767.
I declare under penalty of perjury that the foregoing is true and
correct.
Executed this 27th day of May, 2011, in San Francisco,
California.
/s/ Shaudy Danaye-Elmi
SHAUDY DANAYE-ELMI
W03 052711-180060001/PB6/1649649/F
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PROOF OF SERVICE
I hereby certify that I electronically filed the foregoing REQUEST
FOR JUDICIAL NOTICE IN SUPPORT OF APPELLANTS/INTERVENORS’ WITHDRAWAL OF MOTION TO RECALL MANDATE
with the Clerk of the Court of the United States Court of Appeals for
the Ninth Circuit by using the appellate CM/ECF system on May 27,
2011.
Participants in the case are registered CM/ECF users and that
service will be accomplished by the appellate CM/ECF system.
I further certify that some of the participants in the case are not
registered CM/ECF users.
On May 27, 2011, the foregoing docu-
ment, described as REQUEST FOR JUDICIAL NOTICE IN
SUPPORT OF APPELLANTS/INTERVENORS’ WITHDRAWAL OF
MOTION TO RECALL MANDATE, was mailed by placing the
document for deposit in the United States Postal Service through the
regular mail collection process at the law offices of Howard Rice
Nemerovski Canady Falk & Rabkin, located at Three Embarcadero
Center, Seventh Floor, San Francisco, California, to the following
non-CM/ECF participants:
Mark A. Byrne
Byrne & Nixon LLP
800 W. Sixth Street, Suite 430
Los Angeles, CA 90017
Jonathan M. Shaw
Bois, Schiller & Flexner, LLP
5301 Wisconsin Avenue NW
Washington, D.C. 20015
Steven C. Holtzman
Bois, Schiller & Flexner, LLP
1999 Harrison Street, Suite 900
Oakland, CA 94612
/s/ Sean M. SeLegue
SEAN M. SELEGUE
W03 052711-180060001/PB6/1649649/F
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