In Re Quantcast Advertising Cookie Litigation

Filing 78

RESPONSE IN SUPPORT of MOTION for Attorney Fees and Final Approval of Class Action Settlement #76 Supplement to Plaintiffs' Motion For Final Approval of Class Action Settlement filed by Plaintiff Edward Valdez. (Attachments: #1 Declaration Declaration of Scott A. Kamber)(Kamber, Scott)

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1 2 3 4 5 6 7 8 SCOTT A. KAMBER (pro hac vice) skamber@kamberlaw.com DAVID A. STAMPLEY (pro hac vice) dstampley@kamberlaw.com KAMBERLAW, LLC 100 Wall Street, 23rd Floor New York, New York 10005 Telephone: (212) 920-3072 Facsimile: (212) 202-6364 Class Counsel 9 10 11 12 13 14 15 UNITED STATES DISTRICT COURT CENTRAL DISTRICT OF CALIFORNIA In Re QUANTCAST ADVERTISING COOKIE LITIGATION, and In Re CLEARSPRING FLASH COOKIE LITIGATION 16 17 18 No. 2:10-cv-05484-GW-JCG No. 2:10-cv-05948-GW-JCG [Assigned to the Hon. George H. Wu] DECLARATION OF SCOTT A KAMBER IN SUPPORT OF SUPPLEMENT TO PLAINTIFFS’ MOTION FOR FINAL APPROVAL OF CLASS ACTION SETTLEMENT Date: Location: 19 20 21 Time: 22 June 13, 2011 Courtroom 10 312 N. Spring Street Los Angeles, CA 90012 9:30 a.m. 23 24 25 26 27 28 Declaration of Scott A. Kamber in Support of Supplement To Plaintiffs’ Motion For Final Approval of Class Action Settlement 1 No. 2:10-cv-05484-GW-JCG No. 2:10-cv-05948-GW-JCG 1 I, Scott A. Kamber, declare as follows: 2 1. I am an attorney-at-law duly licensed to practice before all of the 3 courts of the State of New York and am admitted pro hac vice before this court 4 for these consolidated actions. I am a managing member of KamberLaw, LLC 5 (“KamberLaw”). I am the attorney primarily responsible for the handling of this 6 litigation on behalf of KamberLaw LLC. I make this declaration based upon my 7 own personal knowledge. If called to testify, I could and would testify to the facts 8 contained herein. 9 2. I hereby represent that Exhibit A attached hereto is a true and accu- 10 rate copy of an e-mail dated May 13, 2011 from Jeffrey S. Jacobson, counsel for 11 several defendants in the above-captioned cases, to objector Sam Cannata regard- 12 ing certain facts about the terms of the Settlement Agreements in these cases, with 13 an attachment (Dkt. 63). 14 15 16 I declare under penalty perjury under the laws of the United States of America that the foregoing is true and correct. Executed on May 31, 2011 at New York, New York. 17 18 Dated May 31, 2011 19 20 /s Scott A. Kamber Scott A. Kamber (pro hac vice) skamber@kamberlaw.com 21 22 23 KamberLaw, LLC 100 Wall Street, 23rd Floor New York, New York 10005 Telephone: (212) 920-3072 Facsimile: (212) 920-3081 24 25 26 27 Class Counsel 28 Declaration of Scott A. Kamber in Support of Supplement To Plaintiffs’ Motion For Final Approval of Class Action Settlement 1 No. 2:10-cv-05484-GW-JCG No. 2:10-cv-05948-GW-JCG EXHIBIT A

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