Google Inc. v. Rockstar Consortium US LP et al

Filing 67

MOTION to Transfer Case or, in the Alternative to Stay filed by MobileStar Technologies LLC, Rockstar Consortium US LP. Motion Hearing set for 6/26/2014 02:00 PM in Courtroom 2, 4th Floor, Oakland before Hon. Claudia Wilken. Responses due by 5/23/2014. Replies due by 5/30/2014. (Attachments: # 1 Declaration of Joshua Budwin, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Exhibit 12, # 14 Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Exhibit 19, # 21 Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Exhibit 29, # 31 Exhibit 30, # 32 Exhibit 31, # 33 Exhibit 32, # 34 Exhibit 33, # 35 Exhibit 34, # 36 Exhibit 35, # 37 Declaration of William Colvin, # 38 Declaration of Brian Egan, # 39 Declaration of Erik Fako, # 40 Declaration of Mark Hearn, # 41 Declaration of Gillian Mccolgan, # 42 Declaration of Matthew Poisson, # 43 Declaration of Donald Powers, # 44 Declaration of Marilyn French-St. George, # 45 Declaration of John Veschi, # 46 Declaration of Bruce Anthony Wootton, # 47 Proposed Order)(Budwin, Joshua) (Filed on 5/9/2014)

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1 2 3 4 5 6 Courtland L. Reichman (SBN 268873) creichman@mckoolsmithhennigan.com McKool Smith Hennigan, P.C. 255 Shoreline Drive Suite 510 Redwood Shores, CA 94065 (650) 394-1400 (650) 394-1422 (facsimile) Attorneys for Defendants Rockstar Consortium US LP and MobileStar Technologies LLC 7 8 UNITED STATES DISTRICT COURT 9 NORTHERN DISTRICT OF CALIFORNIA 10 OAKLAND 11 Google, Inc. 12 13 14 15 16 17 18 19 20 21 Plaintiff, vs. Rockstar Consortium U.S. LP and MobileStar Technologies LLC Defendants. ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) Case No. 13-cv-5933 (CW) DECLARATION OF BRIAN EGAN IN SUPPORT OF DEFENDANTS’ ROCKSTAR CONSORTIUM US LP AND MOBILESTAR TECHNOLOGIES LLC’S §1404 MOTION TO TRANSFER TO THE EASTERN DISTRICT OF TEXAS DECLARATION OF BRIAN EGAN IN SUPPORT OF DEFENDANTS’ ROCKSTAR CONSORTIUM US LP AND MOBILESTAR TECHNOLOGIES LLC’S §1404 MOTION TO TRANSFER TO THE EASTERN DISTRICT OF TEXAS 22 23 24 25 26 27 28 13-cv-5933-CW Declaration of Brian Egan I, Brian B. Egan, declare: 1. I am over eighteen years of age and in all respects fully competent to make this Declaration. I have personal knowledge of the facts, as stated herein, and all are true and correct. 2. I was formerly a Senior Development Manager and Director of Product Development for Nortel Networks. 3. I am a resident of Ottawa, Canada and do not travel regularly to the United States. 4. I am a named inventor of U.S. Patent No. 6,937,572. I understand this patent is at issue in litigation in the Eastern District of Texas. 5. I understand at least six of the parties accused of infringing the 5,838,551, 6,037,937, 6,128,298, 6,333,973, 6,463,131, 6,765,591, and 6,937,572 patents seek to transfer the case against them to the Northern District of California. 6. It would be more convenient for me to attend trial in the Eastern District of Texas than to attend trial in the Northern District of California. 7. I am willing to travel to Marshall to attend trial. 13-cv-5933-CW Declaration of Brian Egan

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