Interserve, Inc. et al v. Fusion Garage PTE. LTD
Filing
109
Reply Memorandum in Support of 26 Motion for Preliminary Injunction filed by CrunchPad, Inc., Interserve, Inc.. (Attachments: # 1 Redacted Brief, # 2 Bridges Declaration, # 3 Bridges Declaration Exhs. F, M, Y, Z, BB, CC, FF, # 4 Bridges Declaration Exhs.A-E, G-L, N-X, AA, DD, and EE)(Scherb, Matthew) (Filed on 5/3/2010) Modified on 5/4/2010 (slh, COURT STAFF).
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101 California Street San Francisco, CA 94111-5802
Andrew P. Bridges (SBN: 122761) ABridges@winston.com David S. Bloch (SBN: 184530) DBloch@winston.com Matthew A. Scherb (SBN: 237461) MScherb@winston.com WINSTON & STRAWN LLP 101 California Street, 39th Floor San Francisco, CA 94111-5802 Telephone: (415) 591-1000 Facsimile: (415) 591-1400 Attorneys for Plaintiffs INTERSERVE, INC., dba TECHCRUNCH and CRUNCHPAD, INC.
UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA
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Winston & Strawn LLP
INTERSERVE, INC., dba TECHCRUNCH, ) a Delaware corporation, and CRUNCHPAD, ) INC., a Delaware corporation, ) ) Plaintiffs, ) ) vs. ) ) FUSION GARAGE PTE. LTD., a Singapore ) company, ) ) Defendant. ) ) )
Case No. CV-09-5812 RS (PVT) DECLARATION OF ANDREW P. BRIDGES IN SUPPORT OF REPLY IN SUPPORT MOTION FOR PRELIMINARY INJUNCTION Date: Time: Place: May 13, 2010 1:30 P.M. Courtroom 3, 17th Floor
-1DECL. OF A. BRIDGES ISO REPLY ISO MOT. FOR PRELIM. INJ. - Case No. 09-CV-5812
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101 California Street San Francisco, CA 94111-5802
I, Andrew P. Bridges, declare pursuant to 28 U.S.C. § 1746: 1. I am an attorney at law duly licensed to practice before all the Courts of the State of
California, and a member in good standing of the Bar of the United States District Court for the Northern District of California. I am a partner with the law firm of Winston & Strawn LLP, counsel of record in this action for Plaintiffs. 2. Exhibit A to this declaration is a true and correct copy of the document that
Defendant produced in this litigation starting with Bates number FG29927. (UNDER SEAL) 3. Exhibit B to this declaration is a true and correct copy of the document that
Defendant produced in this litigation starting with Bates number FG250. (UNDER SEAL) 4. Exhibit C to this declaration is a true and correct copy of the document that
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Defendant produced in this litigation starting with Bates number FG7391. (UNDER SEAL) 5. Exhibit D to this declaration is a true and correct copy of the document that
Winston & Strawn LLP
Defendant produced in this litigation starting with Bates number FG13395. (UNDER SEAL) 6. Exhibit E to this declaration is a true and correct copy of the document that Defendant
produced in this litigation starting with Bates number FG29727. (UNDER SEAL) 7. Exhibit F to this declaration is a true and correct copy of the document that Plaintiffs
produced in this litigation starting with Bates number TC515. 8. Exhibit G to this declaration is a true and correct copy of the document that
Defendant produced in this litigation starting with Bates number FG21539. (UNDER SEAL) 9. Exhibit H to this declaration is a true and correct copy of the document that
Defendant produced in this litigation starting with Bates number FG21634. (UNDER SEAL) 10. Exhibit I to this declaration is a true and correct copy of the document that Defendant
produced in this litigation starting with Bates number FG10049. (UNDER SEAL) 11. Exhibit J to this declaration is a true and correct copy of the document that Defendant
produced in this litigation starting with Bates number FG8426. (UNDER SEAL) 12. Exhibit K to this declaration is a true and correct copy of the document that
Defendant produced in this litigation starting with Bates number FG8387. (UNDER SEAL)
-2DECL. OF A. BRIDGES ISO REPLY ISO MOT. FOR PRELIM. INJ. - Case No. 09-CV-5812
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101 California Street San Francisco, CA 94111-5802
13.
Exhibit L to this declaration is a true and correct copy of the documents that
Defendant produced in this litigation starting with Bates numbers FG1308 and FG1319. (UNDER SEAL) 13. Exhibit M to this declaration is a true and correct copy of the documents that
Plaintiffs produced in this litigation starting with Bates numbers TC1203, TC1204, and TC1205. 14. Exhibit N this declaration is a true and correct copy of the document that Defendant
produced in this litigation starting with Bates number FG32834. (UNDER SEAL) 14. Exhibit N this declaration is a true and correct copy of the document that Defendant
produced in this litigation starting with Bates number FG32834. (UNDER SEAL) 15. Exhibit O this declaration is a true and correct copy of the document that Defendant
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produced in this litigation starting with Bates number FG13268. (UNDER SEAL) 16. Exhibit P this declaration is a true and correct copy of the document that Defendant
Winston & Strawn LLP
produced in this litigation starting with Bates number FG13301. (UNDER SEAL) 17. Exhibit Q this declaration is a true and correct copy of the documents that Defendant
produced in this litigation starting with Bates numbers FG243 and FG32911. (UNDER SEAL) 18. Exhibit R this declaration is a true and correct copy of the document that Defendant
produced in this litigation starting with Bates number FG29680. (UNDER SEAL) 19. Exhibit S this declaration is a true and correct copy of the documents that Defendant
produced in this litigation starting with Bates numbers FG0029940 and FG0029960. (UNDER SEAL) 20. Exhibit T this declaration is a true and correct copy of the document that Defendant
produced in this litigation starting with Bates number FG30068. (UNDER SEAL) 21. Exhibit U this declaration is a true and correct copy of a disk that third party McGrath
Power produced to Plaintiffs. (MANUALLY FILED) 22. Exhibit V this declaration is a true and correct copy of the document that Defendant
produced in this litigation starting with Bates number FG8409. (UNDER SEAL) 23 Exhibit W this declaration is a true and correct copy of the document that Defendant
produced in this litigation starting with Bates number FG13299. (UNDER SEAL)
-3DECL. OF A. BRIDGES ISO REPLY ISO MOT. FOR PRELIM. INJ. - Case No. 09-CV-5812
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