Disney Enterprises, Inc. et al v. Hotfile Corp. et al
Filing
171
MEMORANDUM of Law re 165 Plaintiff's MOTION FOR ONE ADDITIONAL EXAMINATION DAY FOR RULE 30(b)(6) DEPOSITION OF DEFENDANT HOTFILE CORPORATION of Defendants Hotfile Corporation and Anton Titov In Opposition to Plaintiffs' Motion to Depose Anton Titov Individually and as Hotfile's Rule 30(b)(6) Witness For Over Four Days and Defendants' Cross-Motion for Protective Order Limiting the Depositions of Hotfile Witnesses Including Mr. Titov by Hotfile Corp., Anton Titov. (Attachments: # 1 Exhibit A, # 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 B)(Munn, Janet)
EXHIBIT 10
Leibnitz, Andrew (21) x4932
From:
Sent:
To:
Cc:
Subject:
Leibnitz, Andrew (21) x4932
Wednesday, October 05, 2011 8:36 AM
Pozza, Duane
Fabrizio, Steven B; Platzer, Luke C; Thompson, Rod (27) x4445; Schoenberg, Tony (28)
x4963; Gupta, Deepak (22) x4419; Thamkul, Janel (28) x4467; jmunn@rascoklock.com ;
vgurvits@bostonlawgroup.com
Plaintiffs' Notice of Depositions
RE: Disney Enterprises, Inc. v. Hotfile Corp.
Duane:
I did indeed receive the case law you provided last Friday. However, your authorities impose the burden on the party
seeking discovery to prove as a factual matter that the proposed deponents are "managing agents." My request was for
the facts that you believe support your position that essentially every one of Hotfile's handful of contractors abroad
worked as Hotfile's "managing agent." Of course, I would be interested in any case law you could provide supporting
the proposition that nearly every one of the handful of outside contractors ever assisting a party was its managing agent
— a proposition that appears to deprive the concept of "managing agent" of any meaning — but the core of my request
concerns the facts which you believe support your position. Tracking the factors set forth in your proffered case law:
1. What facts (documents, e-mails, database records, interrogatory responses, or other discovery) motivate you to think
that Messrs. Chuburov, Manov, or lanakov have any discretionary authority whatsoever to act for Hotfile Corporation?
What leads you to believe that they dictate — rather than merely implement — Hotfile's policies?
2. What facts lead you to believe them beholden to follow the dictates of Hotfile Corporation as opposed to their actual
employer?
3. What facts lead you to think that they have any stake in whether Hotfile wins or loses in its litigation? Do you have
any facts to show that they would not simply work for Blue Ant's various clients following any decline in work related to
the Hotfile website?
4. What facts demonstrate that they "supervise" anything? I am confident that you have already read your own
authority: "Care must be taken not to confuse the analysis by suggesting that parties who are intimately involved in
matters concerning the litigation, but do not manage, have attributes of managing agents." DuPont, 268 F.R.D. at 49
n.3.
Your generalized and conclusory statements below — e.g., the assertion that the proposed witnesses "are essentially the
core of [Hotfile's] operations and regularly exercise discretion to work on behalf of Hotfile Corporation" — are not
helpful. Please provide at least some factual evidence upon which you rely. Of course, I welcome factual support in
relation to Messrs. Vangelov and Stoyanov as well. You should also recognize that Mr. Manov has not worked for Blue
Ant (much less Hotfile Corp.) for some time. See Honda, 168 F.R.D. at 541 ("The general rule is that former employees
cannot be managing agents of a corporation.") If you have any possible basis on which to depose Mr. Manov as a
"managing agent" of Hotfile Corp. at the time of the proposed deposition, please let us know.
On the subject of the geographical location of any of the purportedly-noticed depositions, I do not understand your
refusal to commit categorically to the position that any depositions may take place in Sofia provided that they occur
pursuant to the FRCP. No point is served by motion practice on that point. None of the individuals have counsel in
Miami. Plaintiffs' apparent intent to depose essentially every foreign resident (of the handful that exist) who has ever
worked for Hotfile militates against depositions in Miami. Plaintiffs cite no reason to believe that disputes will arise
during the deposition requiring the Court's personal intervention. None of the individuals travel regularly for business
purposes, and at least one may not even possess a passport. And considering the equities, no reason exists to impose
the burdens of travel on the comparatively diminutive Hotfile Corporation as opposed to the Plaintiffs, who appear to
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seek the depositions as part of a campaign which at best amounts to "leaving no stone unturned" and at worst
evidences a war of attrition designed to murder Hotfile through litigation. Must we really dispute the location of any of
these five depositions? If you perceive logistical issues, please let us know to what you refer.
I look forward to hearing back from you.
ANDY
N. Andrew Leibnitz
Attorney at Law
Farella Braun + Martel LLP
415.954.4932
From: Pozza, Duane [nnailto:DPozza@jenner.com ]
Sent: Tuesday, October 04, 2011 2:30 PM
To: Leibnitz, Andrew (21) x4932; Thompson, Rod (27) x4445; Schoenberg, Tony (28) x4963; Gupta, Deepak (22) x4419;
Thamkul, Janel (28) x4467; jmunn@rascoklock.com ; vgurvits@bostonlawgroup.com
Cc: Fabrizio, Steven B; Platzer, Luke C
Subject: RE: Disney Enterprises, Inc. v. Hotfile Corp. -- Plaintiffs' Notice of Depositions
.
Andy,
My email to Rod from last Friday points to some caselaw on this topic. Based even on the limited discovery into Hotfile's
internal organization to date, the facts are relatively straightforward. Among other things: Mr. Vangelov and Mr.
Stoyanov work with Mr. Titov to make high-level decisions about Hotfile Corp. They have helped direct the design,
features, and policies of the site (including Hotfile's DMCA policies), and have been involved with setting and conducting
the business of the corporation. Mr. Vangelov has also been involved in reaching out to third party vendors and
potential advertisers on behalf of Hotfile. Mr. Chuburov directs dealings with Premium members and resellers, is
involved in making decisions on the technical aspects of the site, and represents Hotfile in dealings with third party
vendors. Mr. lanakov promotes Hotfile on third-party sites, communicates directly with users, and is involved in
employing other contractors to promote Hotfile. Mr. Manov manages DMCA issues on behalf of Hotfile, including
dealing with counternotifications and Hotfile's DMCA agent. We have not yet had the opportunity to review your
production from yesterday, but I am sure there are additional documents discussing their involvement in that
production. The identified "contractors" of Hotfile are essentially the core of its operations and regularly exercise
discretion to work on behalf of Hotfile Corporation.
We are amenable to discussing whether depositions of these five individuals may take place in an alternative location,
which would include Sofia, as long as they proceed under the FRCP. (That is not the case for any 30(b)(6) deposition or
deposition of Titov, which will eventually need to go forward in Miami.) We would need to discuss the logistics of doing
so. What did you have in mind?
Regards,
Duane
From: ALeibnitz@fbm.com [mailto:ALeibnitz@fbm.com]
Sent: Monday, October 03, 2011 8:06 PM
To: Pozza, Duane; RThompson@fbm.com ; TSchoenberg@fbm.com ; DGupta@fbm.com ; JThamkul@fbm.com ;
jmunn@rascoklock.com ; vgurvits@bostonlawgroup.com
Cc: Fabrizio, Steven B; Platzer, Luke C
Subject: RE: Disney Enterprises, Inc. v. Hotfile Corp. -- Plaintiffs' Notice of Depositions
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Duane:
I'm working with Hotfile in relation to Plaintiffs' notices of deposition. So that we can understand your position, can you
please give me your factual basis for contending that each of the proposed deponents are "managing agents" of Hotfile
Corporation?
On a separate subject, do I understand it to he Plaintiffs' position that depositions may proceed in Sofia, Bulgaria
provided they proceed under the FRCP, if they occur?
Regards,
ANDY
N. Andrew Leibnitz
Attorney at Law
Farella Braun + Martel LLP
415.954.4932
From: Pozza, Duane [nnailto:DPozza@jenner.conri]
Sent: Thursday, September 29, 2011 8:57 PM
To: Thompson, Rod (27) x4445; Leibnitz, Andrew (21) x4932; Schoenberg, Tony (28) x4963; Gupta, Deepak (22) x4419;
Thamkul, Janel (28) x4467; Janet Munn; vgurvits@bostonlawgroup.com
Cc: Fabrizio, Steven B; Platzer, Luke C
Subject: Disney Enterprises, Inc. v. Hotfile Corp. -- Plaintiffs' Notice of Depositions
Counsel,
Please see the attached notices of deposition. We have specified dates here as required by the Federal Rules, but we
are willing to work with the witnesses' schedules to find other dates if these are not convenient. That said, until we can
reach agreement on alternative dates, these dates should be considered operative. Please do advise us immediately if
defendant Hotfile Corp. does not intend to voluntarily produce any of these witnesses in Miami for any reason, and if so,
the bases on which they will not be produced, so that we can file any motion to compel as appropriate.
Regards,
Duane
Duane Pozza
Jenner & Block LLP
1099 New York Avenue, N.W.
Suite 900
Washington, DC 20001-4412
Tel (202) 639-6027
Fax (202) 661-4962
DPozzaajenner.com
www.jenner.corn
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