Aguiar v. Webb et al
Filing
45
DECLARATION re 44 Memorandum in Opposition to Motion by Floyd Webb. (Karl, Brandy)
Aguiar v. Webb et al
Doc. 45
Case 1:07-cv-11673-MLW
Document 45
Filed 11/05/2007
Page 1 of 2
UNITED STATES DISTRICT COURT DISTRICT OF MASSACHUSETTS
WILLIAM V. AGUIAR III, an individual Plaintiff, v. FLOYD WEBB, an individual, et. al. Defendants. DECLARATION OF FLOYD WEBB IN OPPOSITION TO PLAINTIFF'S MOTION TO AMEND COMPLAINT I, Floyd Webb, declare as follows: 1. I am a Defendant in the above-captioned case. I have personal knowledge of the facts set forth in this declaration. I am over eighteen years of age. If called upon to testify I would and could testify competently to the matters stated herein. 2. 3 to 1 Studios, LLC ("3 to 1") is an Illinois limited liability company organized in February 2006. 3. 3 to 1 Studios is a media and film production company. It was formed to pursue web, industrial, and commercial film production ventures. It was not formed to pursue any ventures related to my film. 4. I became a partner in 3 to 1 Studios in February 2006. 5. I do not operate or control 3 to 1 Studios. 6. I began the work on my film in March 2005, before I became a partner in 3 to 1 Studios. CIVIL ACTION NO. 07-11673-MLW
Dockets.Justia.com
Case 1:07-cv-11673-MLW
Document 45
Filed 11/05/2007
Page 2 of 2
7. 3 to 1 Studios is not producing or distributing my film, The Search for Count Dante. 8. 3 to 1 Studios had no involvement with the trailers for the film. 9. 3 to 1 Studios had no involvement with the website for the film.
Dated: November 5, 2007 By: Floyd Webb
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