Oracle Corporation et al v. SAP AG et al

Filing 830

Declaration of Tharan Gregory Lanier in Support of 829 Memorandum in Opposition, filed bySAP AG, SAP America Inc, Tomorrownow Inc. (Attachments: # 1 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 10, # 11 Exhibit 11, # 12 Exhibit 12, # 13 Exhibit 13, # 14 Exhibit 14, # 15 Exhibit 15, # 16 Exhibit 16, # 17 Exhibit 17, # 18 Exhibit 18, # 19 Exhibit 19, # 20 Exhibit 20, # 21 Exhibit 21, # 22 Exhibit 22, # 23 Exhibit 23, # 24 Exhibit 24, # 25 Exhibit 25, # 26 Exhibit 26)(Related document(s) 829 ) (Froyd, Jane) (Filed on 9/9/2010)

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Oracle Corporation et al v. SAP AG et al Doc. 830 Att. 12 EXHIBIT 12 Dockets.Justia.com SHELLEY NELSON December 6, 2007 HIGHLY CONFIDENTIAL Page 59 UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA SAN FRANCISCO DIVISION ORACLE CORPORATION, a Delaware corporation, ORACLE USA, INC., a Colorado corporation, and ORACLE INTERNATIONAL CORPORATION, a California corporation, Plaintiffs, ) ) ) ) ) ) ) ) vs. ) ) SAP AG, a German ) corporation, SAP AMERICA, ) INC., a Delaware corporation,) TOMORROWNOW, INC., a Texas ) corporation, and DOES 1-50, ) inclusive, ) Defendants. ) CASE NO. 07-CV-01658 (MJJ) "HIGHLY CONFIDENTIAL" ORAL VIDEOTAPED DEPOSITION OF TOMORROWNOW BY AND THROUGH SHELLEY NELSON VOLUME 2 DECEMBER 6, 2007 ORAL VIDEOTAPED DEPOSITION OF SHELLEY NELSON, produced as a witness at the instance of the Plaintiffs and duly sworn, was taken in the above-styled and numbered cause on the 6th day of December, 2007, from 9:10 a.m. to 3:53 p.m., before Dana Richardson, Certified Shorthand Reporter in and for the State of Texas, reported by computerized stenotype machine at the offices of Jones Day, 717 Texas, Suite 3300, Houston, Texas 77002, pursuant to the Federal Rules of Civil Procedure and the provisions stated on the record or attached hereto. Job No. 1603-85363 Merrill Legal Solutions (800) 869-9132 b1e1d09b-3509-4c1d-8a78-0d8a39676007 SHELLEY NELSON December 6, 2007 HIGHLY CONFIDENTIAL Page 82 TEXT REMOVED - NOT RELEVANT TO MOTION 09:45:29 09:45:31 09:45:35 09:45:39 22 23 24 25 Q. Which -- what material does that include that's manually kept in sync between SAS and dotProject? A. A customer's maintenance end date, the customer's name, the release level, the product lines and products that Merrill Legal Solutions (800) 869-9132 b1e1d09b-3509-4c1d-8a78-0d8a39676007 SHELLEY NELSON December 6, 2007 HIGHLY CONFIDENTIAL Page 83 09:45:44 09:45:50 09:45:53 09:45:55 09:46:02 09:46:08 1 2 3 4 5 6 they have signed up for support. Q. When you say it's manually kept in sync, what do you mean by that? A. The -- the master is the SAS database; but when a project is created in dotProject, that information is duplicated in dotProject. TEXT REMOVED - NOT RELEVANT TO MOTION Merrill Legal Solutions (800) 869-9132 b1e1d09b-3509-4c1d-8a78-0d8a39676007

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