The Facebook, Inc. v. Connectu, Inc et al
Filing
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Declaration of Scott R. Mosko in Support of Defendants Winston Williams and Pacific Northwest Software, Inc.'s Opposition to Plaintiffs' Motion to Compel Supplemental Responses to Interrogatory Nos. 3 and 4 filed by Pacific Northwest Software, Inc., Winston Williams. (Attachments: # 1 Exhibit 1# 2 Exhibit 2# 3 Exhibit 3# 4 Exhibit 4-A# 5 Exhibit 4-B# 6 Exhibit 5# 7 Exhibit 6# 8 Exhibit 7# 9 Exhibit 8)(Mosko, Scott) (Filed on 11/7/2007) Text modified on 11/8/2007 (bw, COURT STAFF).
The Facebook, Inc. v. Connectu, LLC et al
Doc. 221 Att. 3
Case 5:07-cv-01389-RS
Document 221-4
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EXHIBIT 3
Dockets.Justia.com
Case 5:07-cv-01389-RS
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Scott R. Mosko (State Bar No. 106070) scott.moskofinnegan.com FINNEGAN, HENDERSON, FARABOW, GARRE1T & DUNNER, L.L.P, Stanford Research Park 3300 Hillview Avenue Palo Alto, California 94304 Telephone: (650) 849-6600 Facsimile: (650) 849-6666 Attorneys for Defendant Winston Williams
UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA
FACEBOOK, INC. and MARK ZUCKERBERG, Plaintiffs,
CASE NO. C 07-01389 RS DECLARATION OF WliSTON WILLIAMS
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Doc. No. 472938 DECLARATION OF WINSTON WILLIAMS CASE NO. C 07-01389 RS
CONNECTU LLC, (now known as CONNECTU INC.) CAMERON WINKLEVOSS, TYLER WINKLE VOSS, DIVYA NARENDRA, PACIFIC NORTHWEST SOFTWARE, INC., WINSTON WILLIAMS, WAYNE CHANG, and DAVID GUCWA, Defendants.
Case 5:07-cv-01389-RS
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1, WINSTON WILLIAMS, declare as follows: 1. 2. 3. 1 am a resident and citizen of the state of Washington; My domicile is Seattle, Washington; I m informed and believe that John Taves, principal at Pacific Northwest Software,
Inc. ("PNS") forwarded to counsel certain files found on the following servers: 207.244.158.164,
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207.244.158.165 and 207.244.158.34. 4. Recently, I participated in an analysis of several of these files identified above, to
determine whether the information in these files could be used in responding to Interrogatory Nos. 3 or 4, which I previously answered. 5. I have reviewed my responses to Interrogatory Nos. 3 and 4. The files referred to in
Paragraph 3 of this declaration are not helpful in responding to these interrogatories. 6. I am not aware of any other information created at PNS or otherwise, that would
provide further information than what was provided in my responses to Interrogatory Nos. 3 or 4. I declare under penalty of perjury under the laws of the United States of America that the foregoing is true and correct. This declaration is executed on the1y of November 2007.
Wrnston Wilhams
Doc.No. 472938
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DECLARATION OF WINSTON WILliAMS CASENO. C07-OI38gRS
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