Interserve, Inc. et al v. Fusion Garage PTE. LTD
Filing
243
Declaration of Gregory J. Regan in Support of 242 MOTION for Default Judgment by the Court as to Plaintiffs' Application for Default Judgment Against Defendant Fusion Garage PTE, Ltd. filed byCrunchPad, Inc., Interserve, Inc.. (Attachments: # 1 Exhibit A)(Related document(s) 242 ) (Bloch, David) (Filed on 3/23/2012)
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WINSTON & STRAWN LLP
David S. Bloch (SBN: 184530)
dbloch@winston.com
Nicholas W. Short (SBN: 253922)
nshort@winston.com
101 California Street, Suite 3900
San Francisco, CA 94111-5802
Telephone:
(415) 591-1000
Facsimile:
(415) 591-1400
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Attorneys for Plaintiffs
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NORTHERN DISTRICT OF CALIFORNIA
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101 California Street
San Francisco, CA 94111-5802
UNITED STATES DISTRICT COURT
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Winston & Strawn LLP
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SAN FRANCISCO DIVISION
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TECHCRUNCH, INC., et al.
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Plaintiffs,
vs.
FUSION GARAGE PTE. LTD.,
Defendant.
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Case No. C 09-cv-05812-RS (PSG)
DECLARATION OF GREGORY J. REGAN
IN SUPPORT OF PLAINTIFFS’
APPLICATION FOR DEFAULT
JUDGMENT AGAINST DEFENDANT
FUSION GARAGE PTE, LTD.
Date:
Time:
Judge:
Location:
April 19, 2012
1:30 p.m.
Hon. Richard Seeborg
Courtroom 3, 17th Floor
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-1DECL. OF GREGORY J. REGAN ISO PLS.’ APPL. FOR DEFAULT
JUDGMENT AGAINST DEF. FUSION GARAGE PTE., LTD.
Case No. C 09-cv-05812-RS (PSG)
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I, Gregory J. Regan, declare as follows:
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1.
I am an expert consultant retained by the law firm of Winston & Strawn LLP to
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testify regarding damages suffered by Plaintiffs in this litigation. I have personal knowledge of the
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facts set forth herein, and could testify competently to the same if called to do so.
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2.
Attached hereto as Exhibit A is a true and correct copy of my report submitted on
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March 22, 2012. Those portions of the report that refer to information contained in documents or
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testimony designated Confidential or Highly Confidential – Attorneys’ Eyes Only under the
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Stipulated Protective Order in this case have been redacted pending determination of Plaintiffs’
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concurrently filed Administrative Motion to Seal.
101 California Street
San Francisco, CA 94111-5802
Winston & Strawn LLP
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I declare under penalty of perjury that the foregoing is true and accurate.
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Dated: March 23, 2012
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By: /s/
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Gregory J. Regan
CONCURRENCE IN FILING
Gregory Regan concurs in the filing of this pleading.
Dated: March 23, 2012
By:
/s/ - Nicholas Short
Nicholas Short
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SF:329590.1
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-2DECL. OF GREGORY J. REGAN ISO PLS.’ APPL. FOR DEFAULT
JUDGMENT AGAINST DEF. FUSION GARAGE PTE., LTD.
Case No. C 09-cv-05812-RS (PSG)
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