Twitter, Inc. v. Skootle Corp. et al
Filing
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DECLARATION of Charles T. Graves in Support of 16 MOTION for Entry of Default Against Defendant Garland E. Harris and Certificate of Service filed by Twitter, Inc. (Related document(s) 16 ) (Graves, Charles) (Filed on 5/4/2012) Modified on 5/7/2012 (far, COURT STAFF).
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DAVID H. KRAMER, State Bar No. 168452
CHARLES T. GRAVES, State Bar No. 197923
RIANA S. PFEFFERKORN, State Bar No. 266817
WILSON SONSINI GOODRICH & ROSATI
Professional Corporation
650 Page Mill Road
Palo Alto, CA 94304-1050
Telephone: (650) 493-9300
Facsimile: (650) 565-5100
Email: dkramer@wsgr.com
Attorneys for Plaintiff
Twitter, Inc.
UNITED STATES DISTRICT COURT
NORTHERN DISTRICT OF CALIFORNIA
SAN FRANCISCO DIVISION
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TWITTER, INC., a Delaware corporation,
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Plaintiff,
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v.
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SKOOTLE CORP., a Tennessee corporation; JL4 )
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WEB SOLUTIONS, a Philippines corporation;
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JUSTIN CLARK, an individual, d/b/a
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TWEETBUDDY.COM; JAMES KESTER, an
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individual; JAYSON YANUARIA, an
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individual; JAMES LUCERO, an individual; and )
GARLAND E. HARRIS, an individual,
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)
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Defendants.
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CASE NO.: 12-CV-1721 (LB)
DECLARATION OF CHARLES T.
GRAVES IN SUPPORT OF MOTION
FOR ENTRY OF DEFAULT
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DECLARATION OF CHARLES T. GRAVES
IN SUPPORT OF MOTION FOR ENTRY OF DEFAULT
CASE NO.: 12-CV-1721 (LB)
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I, Charles T. Graves, declare as follows:
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1.
I am an attorney at law duly admitted to practice in the State of California and
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before this Court. I am a partner at Wilson Sonsini Goodrich & Rosati PC, counsel of record for
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Plaintiff. I am over 18 years of age and have personal knowledge of the matters set forth in this
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declaration. If called as a witness, I could and would testify competently to them. I provide this
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declaration in support of Plaintiff’s Motion for Entry of Default Against Defendant Garland E.
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Harris.
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2.
Plaintiff’s Complaint against Defendant Garland E. Harris was filed on April 5,
2012. (ECF No. 1).
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3.
The Summons was issued on April 5, 2012. (ECF No. 3).
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4.
Defendant was served with a copy of the Summons and Complaint on April 12,
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2012, as reflected on the docket sheet by the proof of service filed on April 19, 2012. (ECF No.
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10).
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5.
An answer to the Complaint was due on May 3, 2012.
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6.
Defendant Harris has failed to appear, plead or otherwise defend within the time
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allowed and, therefore, is now in default.
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7.
Plaintiff requests that the Clerk of Court enter default against Defendant Harris.
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I declare under penalty of perjury under the laws of the United States of America that the
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foregoing is true and correct and that this declaration is executed the 4th day of May, 2012, at
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San Francisco, California.
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s/ Charles T. Graves
Charles T. Graves
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DECLARATION OF CHARLES T. GRAVES
IN SUPPORT OF MOTION FOR ENTRY OF DEFAULT
-1-
CASE NO.: 12-CV-1721 (LB)
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