The Football Association Premier League Limited et al v. Youtube, Inc. et al

Filing 274

DECLARATION of Elizabeth Anne Figueira, Esq. in Support re: 158 MOTION for Partial Summary Judgment dismissing with prejudice Defendants' First Defense asserted in Defendants' Answer to the Second Amended Class Action Complaint... Document filed by The Music Force LLC, Cal IV Entertainment, LLC, Cherry Lane Music Publishing Company, Inc., The Football Association Premier League Limited, Robert Tur, National Music Publishers' Association, The Rodgers & Hammerstein Organization, Edward B. Marks Music Company, Freddy Bienstock Music Company, Alley Music Corporation, X-Ray Dog Music, Inc., Federation Francaise De Tennis, The Scottish Premier League Limited, The Music Force Media Group LLC, Sin-Drome Records, Ltd., Murbo Music Publishing, Inc., Stage Three Music (US), Inc., Bourne Co.. (Attachments: # 1 Exhibit 15, # 2 Exhibit 16, # 3 Exhibit 21, # 4 Exhibit 22, # 5 Exhibit 24, # 6 Exhibit 41, # 7 Exhibit 54, # 8 Exhibit 55, # 9 Exhibit 56, # 10 Exhibit 57, # 11 Exhibit 58, # 12 Exhibit 72, # 13 Exhibit 78 Part 1, # 14 Exhibit 78 Part 2, # 15 Exhibit 82, # 16 Exhibit 129, # 17 Exhibit 131, # 18 Exhibit 132, # 19 Exhibit 162, # 20 Exhibit 179)(Figueira, Elizabeth)

Download PDF
1/8/2010 Kacholia Varun OUTSIDE HIGHLY CONFIDENTIAL COUNSELS EYES ONLY -- UNITED FOR THE STATES DISTRICT DISTRICT EYES COURT OF SOUTHERN ATTORNEYS YORK ONLY VIACOM INTERNATIONAL COUNTRY INC. COMEDY Figueird Den. Tab 55 PARTNERS TELEVISION PICTURES MUSIC PARAMOUNT and BLACK INC. CORPORATION ENTERTAINMENT TELEVISION LLC Plaintiffs vs. Case No l07CV02103 YOUTUBE and INC. YOUTUBE LLC 000GLE INC. Defendants. __________________ THE 10 FOOTBALL ASSOCIATION BOURNE PREMIER et all al. LEAGUE on LIMITED of CO. and behalf themselves 11 others similarly situated Plaintiffs 12 vs. Case No. 07CV03582 YOUTUBE 13 INC. INC. YOUTUBE LLC and GOOGLE Defendants. 14 15 16 17 18 19 ________________________________________ Deposition Palo of VARUN KACHOLIA Alto California 2010 Friday January 20 21 22 23 24 JOB NO. 18544 25 1/8/2010 Kacholia Varun 104818 Yes. Are Yes. Can MR. speaks for tell me 55-0002 you familiar with this functionality you what that means and RUBIN Objection vague document itself. THE WITNESS Some search results to were what omitted was because already 10 they were shown. MS. considered duplicate MAGUIRE does the 11 How search engine identify 12 duplicates MR. narrative. 13 RUBIN Objection vague calls for 14 15 104905 video. THE WITNESS Based on fingerprint of the 16 17 MS. For MAGUIRE the Okay. of this 18 purposes functionality what is 19 duplicate MR. THE 20 RUBIN WITNESS very Vague. 21 Any video which what the is automated listed 22 system here. considers similar to already 23 24 MS. Does MAGUIRE it Very similar. if Okay. have the 25 mean that multiple videos 49

Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.


Why Is My Information Online?