Johnson & Johnson et al v. The American National Red Cross et al
Filing
63
DECLARATION of Jonathan L. Abram in Support of Defendant's Response to Plaintiffs' Statement of Undisputed Facts and Defendants' Counter-Statement of Material Facts. Document filed by Learning Curve International, Inc., Magla Products, LLC, Water-Jel Technologies, Inc., First Aid Only, Inc., The American National Red Cross. (Attachments: #
1 Index to Exhibits, #
2 Exhibit 163 thru 173)(Abram, Jonathan)
Johnson & Johnson et al v. The American National Red Cross et al
Doc. 63
Jonathan L. Abram Raymond A. Kurz HOGAN & HARTSON LLP 555 Thirteenth Street, N.W. Washington, D.C. 20004 Tel: (202) 637-5681 Fax: (202) 637-5910 Attorneys for Defendants UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK JOHNSON & JOHNSON and JOHNSON & JOHNSON CONSUMER COMPANIES, INC., Plaintiffs, v. THE AMERICAN RED CROSS, LEARNING CURVE INTERNATIONAL, INC., MAGLA PRODUCTS, LLC, WATER-JEL TECHNOLOGIES, INC., and FIRST AID ONLY, INC., Defendants. Case No. 07-CV-7061 (JSR/DCF) ECF CASE ELECTRONICALLY FILED
DECLARATION OF JONATHAN L. ABRAM IN SUPPORT OF DEFENDANT'S RESPONSE TO PLAINTIFFS' STATEMENT OF UNDISPUTED FACTS AND DEFENDANTS' COUNTER-STATEMENT OF MATERIAL FACTS Jonathan L. Abram declares as follows: 1. I am a member of the bar of this Court, admitted pro hac vice, and a partner in the
law firm of Hogan & Hartson, LLP. I am counsel for Defendants The American Red Cross, Learning Curve International, Inc., Magla Products, LLC, Water-Jel Technologies, LLC, and First Aid Only, Inc. in the above-captioned action.
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2.
I submit this declaration in support of Defendants' Response to Plaintiffs' Rule
56.1 Statement of Undisputed Facts and Defendants' Counter-Statement of Material Facts based on my personal knowledge of this case from the initial filing of the complaint, and of the documents contained in the files that my law firm has received and reviewed concerning the above-mentioned Defendants, publicly available information, and other factual matters known to me. 3. On November 15, 2007, the non-ARC defendants served J&J with a copy of an
Expert Report of Dr. Itamar Simonson. Dr. Simonson will present expert testimony at trial on behalf of these defendants establishing the functional or generic nature of the symbol in the area of first aid and wound care. 4. 5. Attachment A to this declaration is an index of Exhibits 1 through 7. Attached as Exhibit 163 is a true and correct copy of excerpts of the Deposition of
Allison Carpinello (Nov. 9, 2007) 157-158. 6. Attached as Exhibit 164 is a true and correct copy of excerpts of the Deposition of
Howard Hirsch (Nov. 8, 2007) 142-145. 7. Attached as Exhibit 165 is a true and correct copy of the Statutes of the
International Red Cross and Red Crescent Movement, Preamble and Article 1 (2006). 8. Attached as Exhibit 166 is a true and correct copy of a web-site page entitled
"What is ICRC's relationship with national Red Cross and Red Crescent societies?," http://www.icrc.org/web/eng/siteeng0.nsf/ htmlall/5fmjhl?opendocument. 9. Attached as Exhibit 167 is a true and correct copy of excerpts of the Deposition of
Julie Ortmeier (Nov. 14, 2007) 16-17, 29-30, 149, 164.
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10.
Attached as Exhibit 168 is a true and correct copy of excerpts of the Deposition of
Jennifer Niyangoda (Nov. 16, 2007) 58-61, 115. 11. Attached as Exhibit 169 is a true and correct copy of excerpts of the Deposition of
Andrea Morisi (Nov. 9, 2007) 10, 21-24, 29-32. 12. Attached as Exhibit 170 is a true and correct copy of excerpts of the Deposition of
Amlin Kotei (Nov. 6, 2007) at 35, 105. 13. Attached as Exhibit 171 is a true and correct copy of excerpts of the Deposition of
Jeffrey Tolonen (Nov. 7, 2007) at 112-113, 148-149. 14. Attached as Exhibit 172 is a true and correct copy of excerpts of Pls' Response to
Defs' First Set of Requests for Admission, Response to RFA Nos. 1, 4, 8. I declare the foregoing to be true and correct under penalty of perjury. This declaration is executed by me in Washington, D.C. this 5th day of December, 2007.
s/ Jonathan L. Abram Jonathan L. Abram
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CERTIFICATE OF SERVICE Pursuant to the Federal Rules of Civil Procedure, I hereby certify that on the 5th day of December, 2007, I caused a true and correct copy of the foregoing, together with the attachments listed, to be served upon the following via the Court's ECF Notification System: Gregory L. Diskant Sarah Elizabeth Zgliniec Patterson, Belknap, Webb & Tyler LLP 1133 Avenue of the Americas New York, NY 10036 Tel: (212) 336-2710 Fax: (212) 336-2222 E-mail: gldiskant@pbwt.com E-mail: sezgliniec@pbwt.com Richard Zachary Lehv Roger L. Zissu Fross Zelnick Lehrman & Zissu, P.C. 866 United Nations Plaza New York, NY 10004 Tel: (212) 813-5900 Fax: (212)-813-5901 E-mail: rlehv@frosszelnick.com E-mail: rzissu@frosszelnick.com
s/ Jonathan L. Abram Jonathan L. Abram
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