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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6 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 7 Class Counsel 1 2 3 4 5 8 9 10 11 12 13 14 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] 15 DECLARATION OF DAVID A. STAMPLEY IN FURTHER SUPPORT OF SUPPLEMENT TO PLAINTIFFS’ MOTION FOR FINAL APPROVAL OF CLASS ACTION SETTLEMENT 16 17 18 19 20 Date: 21 June 13, 2011 Location: Courtroom 10 312 N. Spring Street Los Angeles, CA 90012 22 23 24 Time: 25 9:30 a.m. 26 27 28 David A. Stampley Declaration regarding Objection Withdrawal 1 Case Nos. 2:10-cv-05484 2:10-cv-05948 1 I, David A. Stampley, declare as follows: 2 1. I am one of Class Counsel in the above-captioned matters and, if 3 called upon, am competent to testify that the following facts are true and correct 4 to the best of my knowledge, information, and belief. 5 2. On June 2, 2011, Class Counsel received a letter, via e-mail as an 6 attachment, from Sam P. Cannata withdrawing his previously lodged objection to 7 the settlement in the above-referenced matters. 8 9 10 3. Attached hereto as Exhibit A is a true and correct copy of Mr. Cannata’s June 2, 2011 letter. 4. Other than Mr. Cannata’s initial letter of objection, Class Counsel’s 11 responsive brief (Quantcast Dkt. 78, Clearspring Dkt. 55), and Mr. Cannata’s 12 letter withdrawing his objection, there have been no communications, direct or 13 indirect, between Class Counsel and Mr. Cannata. 14 15 16 17 5. Mr. Cannata, for his action, received no consideration or promise of consideration from Class Counsel or, to my knowledge, from any other source. 6. I declare under penalty of perjury under the laws of the United States of America that the foregoing is true and correct. 18 19 Executed on June 9, 2011 at New York, New York. 20 s/David A. Stampley David A. Stampley Class Counsel 21 22 23 KAMBERLAW, LLC 100 Wall Street, 23rd Floor New York, New York 10005 Telephone: (212) 920-3072 Facsimile: (212) 202-6364 24 25 26 27 28 David A. Stampley Declaration regarding Objection Withdrawal 2 Case Nos. 2:10-cv-05484 2:10-cv-05948

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