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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1 2 3 4 5 6 7 8 9 10 101 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 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 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 1 2 3 4 5 6 7 8 9 10 101 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 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 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 1 2 3 4 5 6 7 8 9 10 101 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 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 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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