Campbell et al v. Facebook Inc.

Filing 103

RESPONSE (re 96 MOTION to Dismiss Claims and Withdraw David Shadpour as Putative Class Representative ) Defendant Facebook, Inc.'s Opposition to Plaintiffs' Motion to Withdraw Plaintiff David Shadpour Without Prejudice filed byFacebook Inc.. (Attachments: # 1 Declaration of Christopher Chorba In Support of Defendant Facebook, Inc.'s Opposition to Plaintiffs' Motion to Withdraw Plaintiff David Shadpour Without Prejudice, # 2 Exhibit 1 to Chorba Decl. ISO Facebook's Opposition, # 3 Exhibit 2 to Chorba Decl. ISO Facebook's Opposition, # 4 Exhibit 3 to Chorba Decl. ISO Facebook's Opposition, # 5 Exhibit 4 to Chorba Decl. ISO Facebook's Opposition, # 6 Exhibit 5 to Chorba Decl. ISO Facebook's Opposition (Filed Under Seal), # 7 Exhibit 6 to Chorba Decl. ISO Facebook's Opposition)(Chorba, Christopher) (Filed on 7/27/2015)

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Exhibit 3 Rogers, Ashley From: Sent: To: Cc: Subject: Chorba, Christopher Wednesday, May 27, 2015 7:15 PM Gardner, Melissa; Jessen, Joshua A. Rudolph, David T.; Sobol, Michael W.; Diamand, Nicholas; hbates@cbplaw.com; Allen Carney (acarney@cbplaw.com) (acarney@cbplaw.com); dslade@cbplaw.com RE: Campbell et al. v. Facebook, Inc. Melissa—Thank you for letting us know. In whatever papers you file, please make sure you inform the Court that this request is opposed insofar as there are outstanding discovery requests and a deposition notice to Mr. Shadpour. Christopher Chorba GIBSON DUNN Gibson, Dunn & Crutcher LLP 333 South Grand Avenue, Los Angeles, CA 90071-3197 Tel +1 213.229.7396 • Fax +1 213.229.6396 CChorba@gibsondunn.com • www.gibsondunn.com From: Gardner, Melissa [mailto:mgardner@lchb.com] Sent: Wednesday, May 27, 2015 5:13 PM To: Chorba, Christopher; Jessen, Joshua A. Cc: Rudolph, David T.; Sobol, Michael W.; Diamand, Nicholas; hbates@cbplaw.com; Allen Carney (acarney@cbplaw.com) (acarney@cbplaw.com); dslade@cbplaw.com Subject: Campbell et al. v. Facebook, Inc. Chris, Josh, You requested that we let you know prior to filing papers regarding Mr. Shadpour’s withdrawal as a plaintiff and putative class representative. We will be filing those papers today. Regards, Melissa Melissa Gardner Attorney at Law mgardner@lchb.com t 415.956.1000 f 415.956.1008 Lieff Cabraser Heimann & Bernstein, LLP 275 Battery Street, 29th Floor San Francisco, CA 94111-3339 www.lieffcabraser.com This message is intended for the named recipients only. It may contain information protected by the attorneyclient or work-product privilege. If you have received this email in error, please notify the sender immediately 1 by replying to this email. Please do not disclose this message to anyone and delete the message and any attachments. Thank you. 2

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