CoStar Realty Information, Inc. et al v. Klein & Heuchan, Inc. et al

Filing 22

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CoStar Realty Information, Inc. et al v. Klein & Heuchan, Inc. et al Doc. 22 Att. 7 EXHIBIT 6 Dockets.Justia.com Sheldon Owen CONFIDENTIAL Los Angeles, CA November 11, 2008 Page 1 UNITED STATES DISTRICT COURT CENTRAL DISTRICT OF CALIFORNIA BEYOND SYSTEMS, INC., a Maryland corporation, ) ) ) Plaintiff, ) ) vs. ) ) CONNEXUS CORP., (f/k/a ) VENDARE MEDIA and NETBLUE, ) INC.) a Delaware corporation;) et al., ) ) Defendants. ) _____________________________) No. CV08-01039 RGK PLAX CONFIDENTIAL TRANSCRIPT DEPOSITION OF SHELDON OWEN Los Angeles, California Tuesday, November 11, 2008 Reported by: MICHELE URBINA CSR No. 9635 JOB No. 10826 Alderson Reporting Company 1-800-FOR-DEPO 64627278-5f6c-475d-9396-a853f171ebc7 Sheldon Owen CONFIDENTIAL Los Angeles, CA November 11, 2008 Page 54 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 some -- there was some corporate documents and stuff which is in Chris's office. I don't know what has I been maintained, what hasn't been maintained. wasn't exposed to the merger at all. Q Well, when you came in the offices were already essentially set up, because they were previously Vendare's offices, the offices you came into; right? A There were desks and phones and a skeleton, But yeah, there was you know, crew of folks. operations. Q A Q Okay. Yeah. As far as you understand, the Mountain View office was also operational with people moving following the merger; right? A Q A Q Yes, the Mountain View office was in Are you aware of any sort of purge of No. Okay. I don't know anything about that. Earlier you said that e-mail existence prior to the merger. documents at or around the merger? advertising currently is a smallest source of your revenue; is that right? A Yeah. Alderson Reporting Company 1-800-FOR-DEPO 64627278-5f6c-475d-9396-a853f171ebc7 Sheldon Owen CONFIDENTIAL Los Angeles, CA November 11, 2008 Page 55 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Q A About how much revenue is that? I don't even know. It is -- when I say it is minor, it's -- my sales guys don't even really offer it because we just don't have the distribution. We don't have -- it doesn't make us much money. money. Q Okay. But what I'm trying to understand, these six to 12 or so e-mail affiliates that you say you currently have, how much revenue are they bringing into the company? MR. ROTHMAN: MR. ONORATO: objection. MR. ROTHMAN: been talking about. court makes a ruling. he testified. We've objected. It is going to be a subject of your motion to compel that you have We'll deal with it after the We've objected to it. I think Objection. We're not providing that information. That's not a basis for We're not going to put in resources that doesn't make us In any event, he doesn't know, so you I don't know the numbers. I understand your objection. are not going to get anywhere anyway. THE WITNESS: MR. ONORATO: BY MR. ONORATO: Q Okay. So now, since you came on in November Alderson Reporting Company 1-800-FOR-DEPO 64627278-5f6c-475d-9396-a853f171ebc7

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