In Re Quantcast Advertising Cookie Litigation
Filing
81
DECLARATION of David A. Stampley in further support of MOTION for Attorney Fees and Final Approval of Class Action Settlement #76 filed by Plaintiff Edward Valdez. (Attachments: #1 Exhibit Letter of Sam P. Cannata, June 2, 2011)(Stampley, David)
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SCOTT A. KAMBER (admitted pro hac vice)
skamber@kamberlaw.com
DAVID A.STAMPLEY (admitted 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
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Class Counsel
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UNITED STATES DISTRICT COURT
CENTRAL DISTRICT OF CALIFORNIA
In Re QUANTCAST ADVERTISING
COOKIE LITIGATION
No. 2:10-cv-05484-GW-JCG
In Re CLEARSPRING FLASH
COOKIE LITIGATION
No. 2:10-cv-05948-GW-JCG
[Assigned to the Hon. George H. Wu]
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DECLARATION OF DAVID A.
STAMPLEY IN FURTHER
SUPPORT OF SUPPLEMENT TO
PLAINTIFFS’ MOTION FOR
FINAL APPROVAL OF CLASS
ACTION SETTLEMENT
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Date:
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June 13, 2011
Location: Courtroom 10
312 N. Spring Street
Los Angeles, CA 90012
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Time:
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9:30 a.m.
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David A. Stampley Declaration
regarding Objection Withdrawal
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Case Nos. 2:10-cv-05484
2:10-cv-05948
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I, David A. Stampley, declare as follows:
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1.
I am one of Class Counsel in the above-captioned matters and, if
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called upon, am competent to testify that the following facts are true and correct
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to the best of my knowledge, information, and belief.
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2.
On June 2, 2011, Class Counsel received a letter, via e-mail as an
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attachment, from Sam P. Cannata withdrawing his previously lodged objection to
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the settlement in the above-referenced matters.
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3.
Attached hereto as Exhibit A is a true and correct copy of Mr.
Cannata’s June 2, 2011 letter.
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Other than Mr. Cannata’s initial letter of objection, Class Counsel’s
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responsive brief (Quantcast Dkt. 78, Clearspring Dkt. 55), and Mr. Cannata’s
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letter withdrawing his objection, there have been no communications, direct or
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indirect, between Class Counsel and Mr. Cannata.
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5.
Mr. Cannata, for his action, received no consideration or promise of
consideration from Class Counsel or, to my knowledge, from any other source.
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I declare under penalty of perjury under the laws of the United States
of America that the foregoing is true and correct.
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Executed on June 9, 2011 at New York, New York.
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s/David A. Stampley
David A. Stampley
Class Counsel
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KAMBERLAW, LLC
100 Wall Street, 23rd Floor
New York, New York 10005
Telephone: (212) 920-3072
Facsimile: (212) 202-6364
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David A. Stampley Declaration
regarding Objection Withdrawal
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Case Nos. 2:10-cv-05484
2:10-cv-05948
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