North American Karaoke-Works Trade Association, Inc. v. Entral Group International, LLC

Filing 53

DECLARATION of David J. Hoffman in Opposition. Document filed by North American Karaoke-Works Trade Association, Inc.. (Attachments: # 1 Exhibit Exhibit A# 2 Exhibit Exhibit B# 3 Exhibit Exhibit C# 4 Exhibit Exhibit D# 5 Exhibit Exhibit E# 6 Exhibit Exhibit F# 7 Exhibit Exhibit G# 8 Exhibit Exhibit H# 9 Exhibit Exhibit I# 10 Exhibit Exhibit J# 11 Exhibit Exhibit K# 12 Exhibit Exhibit L# 13 Exhibit Exhibit M# 14 Exhibit Exhibit N# 15 Exhibit Exhibit O)(Hoffman, David)

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North American Karaoke-Works Trade Association, Inc. v. Entral Group International, LLC Doc. 53 Case 1:06-cv-05158-LTS-MHD Document 53 Filed 07/30/2007 Page 1 of 4 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK -------------------------------------------------------X NORTH AMERICAN KARAOKEWORKS TRADE ASSOCIATION, INC., Plaintiff-Counterclaim Defendant, -againstENTRAL GROUP INTERNATIONAL, LLC, DefendantCounterclaimant, -againstSAM CHAN and RAY YIM, Counterclaim Defendants. -------------------------------------------------------X Case No. 06cv5158(LTS)(MHD) ECF CASE DECLARATION OF DAVID J. HOFFMAN 1. 2. I am counsel for the Counterclaim Defendants in this action. Attached hereto as Exhibit A is a true copy of a chart derived from information contained in the copyright registration certificates attached as Exhibits to EGI's Counterclaim. 3. Attached hereto as Exhibit B is a true copy of the Declaration of Nicolas Chai, dated November 1, 2006. 4. Attached hereto as Exhibit C is a true copy of the TCW-Cinepoly Agreement dated March 1, 2003. 5. Attached hereto as Exhibit D is a true copy of the TCW-EGI Master Agreement dated June 1, 2003. Dockets.Justia.com Case 1:06-cv-05158-LTS-MHD Document 53 Filed 07/30/2007 Page 2 of 4 6. Attached hereto as Exhibit E is a true copy of the Declaration of Hung Tk, dated December 17, 2003. 7. Attached hereto as Exhibit F is a true copy of the Declaration of Raymond Lo, dated October 29, 2003. 8. Attached hereto as Exhibit G is a true copy of the Declarations of Chan Fai Hung, Kitty Ng, and Ng Yu. 9. Attached hereto as Exhibit H is a true copy of the Copyright Designs and Patents Act of 1988 (UK). 10. Attached hereto as Exhibit I is a true copy of a Memorandum of Law dated February 28, 2006. 11. Attached hereto as Exhibit J is a true copy of the Outlet License Agreement, dated January 1, 2004. 12. Attached hereto as Exhibit K is a true copy of the transcript of the deposition of Sam Chan, pp. 54-55. 13. Attached hereto as Exhibit L is a true copy of the transcript of the deposition of Sam Chan, pp. 110-111. 14. Restaurant. 15. Attached hereto as Exhibit N is a true copy of the permanent Attached hereto as Exhibit M is a true copy of the permanent injunction on consent in Entral Group International v. Galaxy Bar & injunction on consent in Entral Group International v. Melody of Flushing. 16. Attached hereto as Exhibit O is a true copy of a karaoke blanket license dated October 1, 2003, an exhibit in EMI World Entertainment v. Priddis Music, Inc. Case 1:06-cv-05158-LTS-MHD Document 53 Filed 07/30/2007 Page 3 of 4 17. Dated: I declare the foregoing under penalty of perjury. New York, New York July 30, 2007 /s/____________________________ David J. Hoffman Case 1:06-cv-05158-LTS-MHD Document 53 Filed 07/30/2007 Page 4 of 4 18. Pursuant to 28 USC § 1746 I declare under penalty of perjury that the foregoing is true and correct. Dated: New York, New York July 30, 2007 ________________________ Sam Chan

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