Campbell et al v. Facebook Inc.

Filing 205

Administrative Motion to File Under Seal re Plaintiffs' Motions to Compel Discovery filed by Matthew Campbell, Michael Hurley. (Attachments: # 1 Proposed Order, # 2 Certificate/Proof of Service, # 3 Declaration of Melissa Gardner, # 4 Exhibit A (Unredacted) Motion to Compel Source Code, # 5 Exhibit B (Redacted) Motion to Compel Source Code, # 6 Exhibit C (Unredacted) Motion to Compel Configuration Tables, # 7 Exhibit D (Redacted) Motion to Compel Configuration Tables, # 8 Exhibit E (Unredacted) Motion to Compel Production of Documents, # 9 Exhibit F (Redacted) Motion to Compel Documents, # 10 Exhibit G (Unredacted) Declaration of Dr. Jennifer Golbeck, # 11 Exhibit H (Redacted) Declaration of Dr. Jennifer Golbeck, # 12 Exhibit I (Unredacted) Rudolph Decl. Ex. 1, # 13 Exhibit J (Redacted) Rudolph Decl. Ex. 1, # 14 Exhibit K (Unredacted) Rudolph Decl. Ex. 11, # 15 Exhibit L (Redacted) Rudolph Decl. Ex. 11, # 16 Exhibit M - Rudolph Decl. Ex. 5 (under seal), # 17 Exhibit N - Rudolph Decl. Ex. 7 (under seal), # 18 Exhibit O - Rudolph Decl. Ex. 8 (under seal), # 19 Exhibit P - Rudolph Decl. Ex. 9 (under seal), # 20 Exhibit Q - Rudolph Decl. Ex. 10 (under seal), # 21 Exhibit R - Rudolph Decl. Ex. 12 (under seal))(Gardner, Melissa) (Filed on 8/2/2016)

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EXHIBIT L REDACTED VERSION OF DOCUMENT(S) SOUGHT TO BE SEALED EXHIBIT 11 REDACTED VERSION OF DOCUMENT SOUGHT TO BE SEALED Joshua A. Jessen Direct: +1 949.451.4114 Fax: +1 949.475.4741 JJessen@gibsondunn.com Client: 30993-00028 May 13, 2015 VIA ELECTRONIC MAIL Hank Bates, Esq. Carney Bates & Pulliam, PLLC 2800 Cantrell Road, Suite 510 Little Rock, AR 72202 Re: Campbell v. Facebook, Inc., N.D. Cal. Case No. 13-cv-05996-PJH Dear Hank: Thank you for letter of May 1, 2015. In response to the questions raised in the first paragraph of your letter, we have identified the following six custodians and are in the process of collecting and reviewing their documents based on the search terms set forth in the Appendix attached to this letter: Michael Adkins; Alex Himel; Ray He; Matt Jones; Jordan Blackthorne; and Peng Fan. Additionally, we are in the process of identifying additional custodians based on a review of relevant documents in the possession of the above-named custodians. Please let us know if you have any objection to the search terms we are using or any questions about the identified custodians. With respect to the issues raised in the second paragraph of your letter, we are gathering all documents we have agreed to produce and will provide them as they are ready for production. We anticipate another production on June 1, which will include many of these documents (in addition to the documents we will be producing pursuant to Magistrate Judge James’ April 13, 2015 Order). Facebook maintains its objections to Plaintiffs’ Request for Production Nos. 27, 28, and 30 (even as narrowed by your letter of April 7, 2015). Please also note that Facebook has not been contacted by regulators in the United States regarding the practices at issue in this case, including message “scanning,” so to the extent your requests seek such documents, they do not exist. Also, as I noted in my letter of April 10, 2015, with respect to Request No. 29, there is no specific list of the “dedicated team of privacy professionals” referenced in the Request. Finally, with respect to the “Relevant Time Period” proposed in your letter dated April 7, 2015 (April 1, 2010 to December 30, 2013), in the interests of compromise we are amenable to agreeing to an end date of December 30, 2013—notwithstanding the fact that Plaintiffs Hank Bates, Esq. May 13, 2015 Page 2 allege in their Complaint that “Facebook ceased [its] [allegedly] illegal practice at some point after it was exposed in October 2012.” However, we continue to believe that the start date should be the start of the proposed class period (December 30, 2011), although we are amenable to producing documents before that date sufficient to identify when the challenged practice began. Please let us know if this agreeable. Let me know if you would like to arrange a call to discuss these issues further. Also, if there are additional custodians from whom you plan to collect documents (in addition to the named Plaintiffs), please identify them. As noted in our previous requests, please also let us know when we may expect documents from Mr. Shadpour. Sincerely, Joshua A. Jessen Appendix List of Search Terms (“like button count” or “like count” or “Like plugin” or “like plug-in”) w/25 (message! or messenger or or chat!) (“share object” or “share_object”) w/25 (message! or messenger or or chat!) (“share button” or “share_button”) w/25 (message! or messenger or or chat!) ( or or “ w/25 (message! or messenger or or chat!) ( or ) w/25 (message! or messenger or or chat!) (“social plugin” or “social plug-in”) w/25 (message! or messenger or or chat!) “share/like counter” w/25 (message! or messenger or or chat!) (url or urls) and share and (message! or messenger or or chat!) (url or urls) and preview and (message! or messenger or or chat!) (message! or messenger or w/25 (scan!) (message! or messenger or ) w/25 (process!) (message! or messenger or and (spam! or filter or “junk” or “unsolicited”) (Bug or error) w/25 (“like count” or “like button count” or or “ or “ and (message! or messenger or “Graph API” w/25 (“like count” or “like button count” or or “ or “ and (message! or messenger or (message! or messenger or w/25 (advertising or advertiser! or ads) (message! or messenger or w/25 target! “Site integrity” w/25 (architecture or flow or diagram or chart or graph or tree) and (message! or messenger or (message! or messenger or w/25 (architecture or flow or diagram or chart or graph or tree) ( or “ ” or or ) w/25 (message! or messenger or or chat!) Kashmirhill and yahootix forbes and (messages or messenger or “like button” or “like count” or “ wsj and (messages or messenger or "like button" or "like count" or " “wall street journal” and (messages or messenger or “like button” or “like count” or “ (“Digital Trends” or “digitaltrends.com”) and “Bug” and “Facebook” and “Like” (“Hacker News” or “news.ycombinator.com”) and “Facebook Graph API” (“Hacker News” or “news.ycombinator.com”) and “Facebook” and “likes” 2

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