AMERICAN SOCIETY FOR TESTING AND MATERIALS et al v. PUBLIC.RESOURCE.ORG, INC.

Filing 204

LARGE ADDITIONAL ATTACHMENT(S) to Public Resource's Second Motion for Summary Judgment by PUBLIC.RESOURCE.ORG, INC. 202 MOTION for Summary Judgment filed by PUBLIC.RESOURCE.ORG, INC., 203 SEALED MOTION FOR LEAVE TO FILE DOCUMENT UNDER SEAL filed by PUBLIC.RESOURCE.ORG, INC. (This document is SEALED and only available to authorized persons.) filed by PUBLIC.RESOURCE.ORG, INC.. (Attachments: # 1 Public Resources Statement of Disputed Facts, # 2 Public Resources Evidentiary Objections, # 3 Public Resources Request for Judicial Notice, # 4 Declaration Carl Malamud, # 5 Declaration Matthew Becker, # 6 Consolidated Index of Exhibits, # 7 Exhibit 1, # 8 Exhibit 2, # 9 Exhibit 3, # 10 Exhibit 4, # 11 Exhibit 5, # 12 Exhibit 6, # 13 Exhibit 7, # 14 Exhibit 8, # 15 Exhibit 9, # 16 Exhibit 10, # 17 Exhibit 11, # 18 Exhibit 12, # 19 Exhibit 13, # 20 Exhibit 14, # 21 Exhibit 15, # 22 Exhibit 16, # 23 Exhibit 17, # 24 Exhibit 18, # 25 Exhibit 19, # 26 Exhibit 20, # 27 Exhibit 21, # 28 Exhibit 22, # 29 Exhibit 23, # 30 Exhibit 24, # 31 Exhibit 25, # 32 Exhibit 26, # 33 Exhibit 27, # 34 Exhibit 28, # 35 Exhibit 29, # 36 Exhibit 30, # 37 Exhibit 31, # 38 Exhibit 32, # 39 Exhibit 33, # 40 Exhibit 34, # 41 Exhibit 35, # 42 Exhibit 36, # 43 Exhibit 37, # 44 Exhibit 38, # 45 Exhibit 39, # 46 Exhibit 40, # 47 Exhibit 41, # 48 Exhibit 42, # 49 Exhibit 43, # 50 Exhibit 44, # 51 Exhibit 45, # 52 Exhibit 46, # 53 Exhibit 47, # 54 Exhibit 48, # 55 Exhibit 49, # 56 Exhibit 50, # 57 Exhibit 51, # 58 Exhibit 52, # 59 Exhibit 53, # 60 Exhibit 54, # 61 Exhibit 55, # 62 Exhibit 56, # 63 Exhibit 57, # 64 Exhibit 58, # 65 Exhibit 59, # 66 Exhibit 60, # 67 Exhibit 61, # 68 Exhibit 62, # 69 Exhibit 63, # 70 Exhibit 64, # 71 Exhibit 65, # 72 Exhibit 66, # 73 Exhibit 67, # 74 Exhibit 68, # 75 Exhibit 69, # 76 Exhibit 70, # 77 Exhibit 71, # 78 Exhibit 72, # 79 Exhibit 73, # 80 Exhibit 74, # 81 Exhibit 75, # 82 Exhibit 76, # 83 Exhibit 77, # 84 Exhibit 78, # 85 Exhibit 79, # 86 Exhibit 80, # 87 Exhibit 81, # 88 Exhibit 82, # 89 Exhibit 83, # 90 Exhibit 84, # 91 Exhibit 85, # 92 Exhibit 86, # 93 Exhibit 87, # 94 Exhibit 88, # 95 Exhibit 89, # 96 Exhibit 90, # 97 Exhibit 91, # 98 Exhibit 92, # 99 Exhibit 93, # 100 Exhibit 94, # 101 Exhibit 95, # 102 Exhibit 96, # 103 Exhibit 97, # 104 Certificate of Service)(Bridges, Andrew)

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EXHIBIT 27 Case3:13-cv-00815-SC Document39 Filed07/09/13 Page1 of 4 1 2 3 4 5 6 7 CORYNNE MCSHERRY (SBN 221504) corynne@eff.org MATTHEW ZIMMERMAN (SBN 212423) mattz@eff.org ELECTRONIC FRONTIER FOUNDATION 815 Eddy Street San Francisco, CA 94109 Telephone: (415) 436-9333 Facsimile: (415) 436-9993 DAVID HALPERIN (Admitted Pro Hac Vice) davidhalperindc@gmail.com 1530 P Street NW Washington, DC 20005 8 9 10 MOUNTAIN VIEW 12 ATTORNEYS AT LAW F ENWICK & W EST LLP 11 13 ANDREW P. BRIDGES (SBN 122761) abridges@fenwick.com JAMES J. VARELLAS III (SBN 253633) jvarellas@fenwick.com KATHLEEN LU (SBN 267032) klu@fenwick.com FENWICK & WEST LLP 555 California Street, 12th Floor San Francisco, CA 94104 Telephone: 415.875.2300 Facsimile: 415.281.1350 14 15 Attorneys for Plaintiff PUBLIC.RESOURCE.ORG 16 17 UNITED STATES DISTRICT COURT 18 NORTHERN DISTRICT OF CALIFORNIA 19 SAN FRANCISCO DIVISION 20 21 PUBLIC.RESOURCE.ORG, 24 25 26 STIPULATION AND [PROPOSED] JUDGMENT Plaintiff, 22 23 Case No.: 3:13-cv-00815 SC v. SHEET METAL AND AIR CONDITIONING CONTRACTORS’ NATIONAL ASSOCIATION, INC., Defendant. 27 28 STIPULATION AND [PROPOSED] JUDGMENT 1 Case No.: 3:13-cv-00815 SC Case3:13-cv-00815-SC Document39 Filed07/09/13 Page2 of 4 STIPULATION 1 2 Pursuant to settlement, Plaintiff Public.Resource.Org (“Public Resource”) and Defendant 3 Sheet Metal and Air Conditioning Contractors’ National Association, Inc. (“SMACNA”) 4 (collectively, the “Parties”) stipulate to entry of the [Proposed] Judgment below. The parties 5 hereby waive all rights of appeal, reconsideration, or alteration or amendment of the judgment if 6 the Court enters it as they mutually request. 7 8 Dated: July 8, 2013 FENWICK & WEST LLP 9 10 By: /s/ Andrew P. Bridges Andrew P. Bridges Attorneys for Plaintiff PUBLIC.RESOURCE.ORG, INC. MOUNTAIN VIEW 12 ATTORNEYS AT LAW F ENWICK & W EST LLP 11 13 14 Dated: July 8, 2013 MORRISON & FOERSTER LLP 15 16 By: /s/ Nicholas S. Napolitan Nicholas S. Napolitan 17 Attorneys for Defendant SHEET METAL AND AIR CONDITIONING CONTRACTORS’ NATIONAL ASSOCIATION, INC. 18 19 20 21 22 23 24 25 26 27 28 STIPULATION AND [PROPOSED] JUDGMENT 2 Case No.: 3:13-cv-00815 SC Case3:13-cv-00815-SC Document39 Filed07/09/13 Page3 of 4 [PROPOSED] JUDGMENT 1 2 3 The Court hereby adjudges and decrees as follows: 1. Defendant Sheet Metal and Air Conditioning Contractors’ National Association, 4 Inc. (“SMACNA”) shall not sue (i) Plaintiff Public.Resource.Org (“Public Resource”) or its 5 personnel, successors, or affiliates; or (ii) any person or entity that has obtained or will obtain any 6 portion of the Publications through means that in any way involved or involves Public Resource 7 or its personnel, successors, or affiliates; for any conduct relating to the following documents: 8 (a) SMACNA Publication Fibrous Glass Duct Construction Standards (RS-36) 1992 Edition; 9 (b) SMACNA Publication Energy Recovery Equipment and Systems, Air-to-Air 1978 Edition; 10 (c) SMACNA Publication HVAC Air Duct Leakage Test Manual (RS-35) 1985 Edition; and MOUNTAIN VIEW 12 ATTORNEYS AT LAW F ENWICK & W EST LLP 11 13 (d) SMACNA Publication HVAC Duct Construction Standards -- Metal and Flexible (RS-34) 1995 Edition; 14 2. Defendant SMACNA shall not make any future assertion or representation that it 15 claims any copyright interest in the following documents: 16 (a) SMACNA Publication Fibrous Glass Duct Construction Standards (RS-36) 1992 Edition; 17 18 (b) SMACNA Publication Energy Recovery Equipment and Systems, Air-to-Air 1978 Edition; 19 (c) SMACNA Publication HVAC Air Duct Leakage Test Manual (RS-35) 1985 Edition; and 20 21 (d) SMACNA Publication HVAC Duct Construction Standards -- Metal and Flexible (RS-34) 1995 Edition; 22 23 24 25 3. The obligations of Defendant SMACNA shall bind SMACNA’s successors in interest; 4. Public Resource shall not sue SMACNA or its personnel, successors, or affiliates 26 for any cause of action related to any manual, standard, document, or material SMACNA claims 27 or has claimed a copyright in, for a period of two (2) years, unless SMACNA or an assignee of 28 SMACNA sues PRO or an agent or affiliate of PRO; STIPULATION AND [PROPOSED] JUDGMENT 3 Case No.: 3:13-cv-00815 SC

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