Google Inc. v. Rockstar Consortium US LP et al
Filing
30
Administrative Motion to File Under Seal Google Inc.'s Opposition to Defendants' Motion to Dismiss or Transfer filed by Google Inc.. (Attachments: # 1 Declaration of Kristin J. Madigan In Support of Administrative Motion to File Under Seal, # 2 Proposed Order, # 3 Redacted Version of Google Inc.'s Opposition to Defendants' Motion to Dismiss or Transfer, # 4 Unredacted Version of Google Inc.'s Opposition to Defendants' Motion to Dismiss or Transfer, # 5 Declaration of Abeer Dubey In Support of Google Inc.'s Opposition to Defendants' Motion to Dismiss or Transfer)(Warren, Matthew) (Filed on 2/6/2014)
1 QUINN EMANUEL URQUHART & SULLIVAN, LLP
Sean Pak (Cal. Bar No. 219032)
seanpak@quinnemanuel.com
Amy H. Candido (Cal. Bar No. 237829)
amycandido@quinnemanuel.com
Matthew S. Warren (Cal. Bar No. 230565)
matthewwarren@quinnemanuel.com
50 California Street, 22nd Floor
San Francisco, California 94111
(415) 875-6600
(415) 875-6700 (facsimile)
Attorneys for Plaintiff GOOGLE INC.
UNITED STATES DISTRICT COURT
NORTHERN DISTRICT OF CALIFORNIA
OAKLAND DIVISION
GOOGLE INC.,
CASE NO. 13-cv-5933-CW
DECLARATION OF KRISTIN J.
MADIGAN IN SUPPORT OF GOOGLE
INC.’S ADMINISTRATIVE MOTION TO
FILE DOCUMENTS UNDER SEAL
RELATING TO GOOGLE INC.’S
OPPOSITION TO DEFENDANTS’
MOTION TO DISMISS OR TRANSFER
Plaintiff,
v.
ROCKSTAR CONSORTIUM US LP and
MOBILESTAR TECHNOLOGIES LLC,
Defendants.
CASE NO. 13-cv-5933-CW
MADIGAN DECLARATION IN SUPPORT OF GOOGLE’S ADMINISTRATIVE MOTION TO FILE UNDER SEAL
1 I, Kristin J. Madigan, declare under 28 U.S.C. §1746:
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1.
I am a member of the State Bar of California, admitted to practice before this
3 Court, and Of Counsel at the law firm of Quinn Emanuel Urquhart & Sullivan, LLP, attorneys for
4 Google Inc. (“Google”). I make this declaration of personal, firsthand knowledge, and if called
5 and sworn as a witness, I could and would testify as set forth below.
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2.
As required by L.R. 79-5, Google submits this motion for an order to seal the
7 confidential, unredacted version of Google Inc.’s Opposition to Defendants’ Motion to Dismiss or
8 Transfer, portions of which reflect information Defendants have designated as confidential and
9 moved to file under seal in Defendants’ Motion (Docket No. 19, Attachment 4) and the Supporting
10 Declaration of Afzal Dean (Docket No. 19, Attachment 6).
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3.
As required by L.R. 79-5, we have electronically filed and served on all parties to
12 this action an unredacted version of this document.
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I declare under penalty of perjury that the foregoing is true and correct. Executed on
14 February 6, 2014, at San Francisco, California.
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/s Kristin J. Madigan
Kristin J. Madigan
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CASE NO. 13-cv-5933-CW
-1MADIGAN DECLARATION IN SUPPORT OF GOOGLE’S ADMINISTRATIVE MOTION TO FILE UNDER SEAL
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ATTESTATION
I, Matthew S. Warren, am the ECF user whose userid and password authorized the filing
3 of this document. Under Civil L.R. 5-1(i)(3), I attest that Kristin J. Madigan has concurred in
4 this filing.
5 DATED: February 6, 2014
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/s Matthew S. Warren
Matthew S. Warren
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CASE NO. 13-cv-5933-CW
-2MADIGAN DECLARATION IN SUPPORT OF GOOGLE’S ADMINISTRATIVE MOTION TO FILE UNDER SEAL
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