Interserve, Inc. et al v. Fusion Garage PTE. LTD

Filing 32

Declaration of Patrick C. Doolittle in Support of 31 Reply to Response to Motion, for Protective Order filed byFusion Garage PTE. LTD. (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D, # 5 Exhibit E, # 6 Exhibit F)(Related document(s) 31 ) (Doolittle, Patrick) (Filed on 3/2/2010)

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EXHIBIT C I 2 3 QUINN EMANUEL URQUHART OLIVER & HEDGES, LLP Claude M. Stern (Bar No. 96737) claudestern@quinnemanuel.com Patrick Doolittle (Bar No. 203659) patrickdoolittle@quinnemanuel.com 50 California Street, 22°d Floor 4 San Francisco, California 94111 (415) 875-6600 Telephone: (415) 875-6700 5 Facsimile: 6 Attorneys for Defendant Fusion Garage PTE. Ltd 7 8 UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA, SAN JOSE DIVISION INTERSERVE, INC. dba TECHCRUNCH, a. Delaware corporation, and CRUNCHPAD, INC., a Delaware corporation, Plaintiffs,. VS. CASE NO.09-cv-5812 JW FUSION GARAGE PTE. LTD'S SPECIAL INTERROGATORIES, SET ONE, TO TECHCRUNCH FUSION GARAGE PTE. LTD, a Singapore company, 16 Defendant. 17 PROPOUNDING PARTY: DEFENDANT FUSION GARAGE PTE. LTD RESPONDING PARTY: SET NO.: PLAINTIFF INTERSERVE, INC., dba TECHCRUNCH ONE Pursuant to Fed. R. Civ. P. 33, Defendant Fusion Garage PTE. Ltd. hereby requests that Plaintiff Interserve, Inc., d/b/a TechCrunch respond, under oath, to the following interrogatories within 30 days from the service of these interrogatories. 28 04049.51632 /3272772.1 CASE NO.09-cv-5812 JW FUSION GARAGE PTE. LTWS SPECIAL INTERROGATORIES, SET ONE 1. DEFINITIONS 1. "YOU", "YOUR", or "PLAINTIFF" means Plaintiff Interserve , Inc., d/b/a TechCrunch, and any person acting under its direction or on its behalf, including its employees, agents , and attorneys. 2. "FUSION GARAGE" or "DEFENDANT " means Defendant Fusion Garage PTE. Ltd., and any person acting under its direction or on its behalf, including its employees, agents, and attorneys. 3. "DOCUMENT" shall include, without limitation, all written , graphic or otherwise recorded material, including without limitation, microfilms or other film records or impressions, 10 tape recordings or computer cards , floppy disks or printouts, any and all papers, photographs, 11 films, recordings, memoranda, books, records, accounts , communications, letters, telegrams, 12 correspondence, notes of meetings, notes of conversations, notes of telephone calls, inter-office 13 memoranda or written communications of any nature, recordings of conversations either in 14 writings or upon any mechanical or electrical recording devices, including e-mail , notes , papers, 15 reports, analyses , invoices, canceled checks or check stubs, receipts, minutes of meetings, time sheets, diaries, desk calendars, ledgers, schedules , licenses , financial statements, telephone bills, logs, and any differing versions of any of the foregoing , whether so denominated, formal , informal or otherwise, as well as copies of the foregoing which differ in any way, including by the addition of handwritten notations or other written or printed matter of any nature , from the original. The foregoing specifically includes information stored in a computer database and capable of being generated in documentary form, such as electronic mail. 4. "IDENTIFY" with respect to a DOCUMENT means to give a full, complete, and 23 particularized description of the DOCUMENT, including the DOCUMENT' s date, title , author, 24 recipient(s), type (e.g., letter, memorandum, etc.), custodian, and a description of the contents with 25 26 sufficient specificity to be the basis for discovery. 5. "IDENTIFY" with respect to a person means to provide the person ' s full name, 27 present or last known business and residence address, present or last known telephone numbers, 28 04049.51632/3272772.1 and present or last known employment position or business affiliation. -2CASE NO. 09-cv-5812 JW FUSION GARAGE PTE. LTD.'S SPECIAL INTERROGATORIES, SET ONE II. INSTRUCTIONS 1. Each answer must be as complete and straightforward as the information reasonably available to YOU, including the information possessed by YOUR attorneys or agents, permits . If an interrogatory cannot be answered completely , answer it to the extent possible. 2. If YOU are asserting a privilege or making an objection to an interrogatory, YOU must specifically assert the privilege or state the objection in your written response. III. INTERROGATORIES INTERROGATORY NO. 1: Describe with particularity each and every "business idea " that YOU contend DEFENDANT misappropriated. INTERROGATORY NO. 2: 12 13 For each "business idea" that YOU identified in response to Interrogatory . No. 1, state all facts that support YOUR contention that such alleged business idea is protectable as intellectual property or otherwise. INTERROGATORY NO. 3: IDENTIFY all DOCUMENTS that contain or memorialize every allegedly protectable business idea that YOU identified in response to Interrogatory No. 1. INTERROGATORY NO. 4: Describe with particularity every contribution that YOU allege YOU made to the alleged collaboration with DEFENDANT relating to the development of the CrunchPad web tablet or any of its prototypes. INTERROGATORY NO. 5: Describe with particularity the entire content of every alleged trade secret that YOU contend DEFENDANT misappropriated. INTERROGATORY NO. 6: IDENTIFY all DOCUMENTS that contain or memorialize every alleged trade secret that 27 YOU identified in response to Interrogatory No. 5. 28 04049.5163213272772.1 CASE NO.09-cv-5812 JW -3FUSION GARAGE PTE. LTD.'S SPECIAL INTERROGATORIES. SET ONE 1 2 3 INTERROGATORY NO. 7: Describe with particularity every alleged item of intellectual property, including , but not limited to, trade secrets , copyrights , trademarks , patents, or any applications thereof, that YOU 4 contend DEFENDANT misappropriated. 5 INTERROGATORY NO. 8: 6. Describe with particularity all facts supporting YOUR contention that PLAINTIFF and 7 DEFENDANT entered into a partnership or joint venture. 8 INTERROGATORY NO. 9: 9 IDENTIFY all DOCUMENTS supporting YOUR contention that PLAINTIFF and 10 DEFENDANT entered into a partnership or joint venture. 11 12 INTERROGATORY NO. 10: IDENTIFY all persons affiliated with YOU who provided any allegedly protectable 13 business ideas, trade secrets , or intellectual property to DEFENDANT. 14 INTERROGATORY NO. 11: 15 Describe with particularity all alleged promises DEFENDANT made to YOU that 16 DEFENDANT did not fulfill. 17 18 DATED : January 8 , 2010 19 20 21 22 23 24 25 26 27 28 04049.5163213272772.1 QUINN EMANUEL URQUHART OLIVER & HEDGES. LLP BYA Patrick Doolittle Attorneys for Defendant FUSION GARAGE PTE. LTD CASE NO.09-cv-5812 JW -4FUSION GARAGE PTE. LTD.'S SPECIAL INTERROGATORIES. SET ONE

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