Kinderstart.Com, LLC v. Google, Inc.

Filing 16

Attachment 7
MOTION for Preliminary Injunction Free Speech Violations filed by Kinderstart.Com, LLC. Motion Hearing set for 6/30/2006 09:00 AM in Courtroom 3, 5th Floor, San Jose. (Attachments: # 1 Exhibit Ex 1 Lewis Declaration# 2 Exhibit Ex 2 - Goodman Declaration# 3 Exhibit Ex 3 - Yu Declaration# 4 Exhibit Ex 4 - McCarley Declaration# 5 Exhibit Ex 5 - Hoagland Declaration# 6 Exhibit Ex 6 - Purkiss Declaration# 7 Exhibit Ex 7 - Canady Declaration# 8 Exhibit Ex 8 - Blades Declaration)(Yu, Gregory) (Filed on 5/26/2006)

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Kinderstart.Com, LLC v. Google, Inc. Doc. 16 Att. 7 Case 5:06-cv-02057-JF Document 16-8 Filed 05/26/2006 Page 1 of 2 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Gregory J. Yu (State Bar No. 133955) GLOBAL LAW GROUP 2015 Pioneer Court, Suite P-1 San Mateo, CA 94403 Telephone: (650) 570-4140 Facsimile: (650) 570-4142 E-mail: glgroup [at] inreach [dot] com Attorney for Plaintiffs and Proposed Class and Subclasses UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA SAN JOSE DIVISION KINDERSTART.COM LLC, a California limited liability company, on behalf of itself and all others similarly situated, Plaintiffs, v. GOOGLE, INC., a Delaware corporation, Defendant. Case No. C 06-2057 JF DECLARATION OF GLENN CANADY IN SUPPORT OF PLAINTIFF'S MOTION FOR PRELIMINARY INJUNCTION I, GLENN CANADY, HEREBY DECLARE AS FOLLOWS: 1. 2. My name is Glenn Canady. My business and residence are in the State of Florida. I am a minority owner of a privately owned corporation, 5 Star Technologies, Inc., established in the State of Nevada (Web Firm). 3. As of November 2004, the Web Firm owned a group of Websites, each with a unique Uniform Resource Locator (URL), including www.5starshine.com. This one site was removed from the Google Web Index in late 2004 and the traffic to the site dropped. I did not receive any notice or explanation from Google as to the reason for the Website's removal. 4. In December 2004 and early 2005, I attempted to get the Website restored in PageRank, indexing and traffic. However until April 15, 2006, after these personal efforts there was no change or improvement in the traffic coming to the Website. DECLARATION OF GLENN CANADY FOR PLAINTIFF'S MOTION Case No. C 06-2057 JF -1Dockets.Justia.com Case 5:06-cv-02057-JF Document 16-8 Filed 05/26/2006 Page 2 of 2

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