Rockstar Consortium US LP et al v. Google Inc
Filing
100
Opposed MOTION to Strike 97 Response in Opposition to Motion, for Leave to File a Supplemental Brief in Response to Google's Motion to Transfer, and, in the Alternative, Cross-Motion to Stay Case Pending Resolution of Google's Transfer Motion by NetStar Technologies LLC, Rockstar Consortium US LP. Responses due by 7/10/2014 (Attachments: # 1 Text of Proposed Order Granting Plaintiffs' Opposed Motion to Strike Dkt. No. 97, # 2 Affidavit of Amanda K. Bonn in Support of Plaintiffs' Opposed Motion to Strike Dkt. No. 97, # 3 Exhibit 1, # 4 Exhibit 2, # 5 Exhibit 3, # 6 Exhibit 4)(Bonn, Amanda)
IN THE UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF TEXAS
MARSHALL DIVISION
ROCKSTAR CONSORTIUM US LP
AND NETSTAR TECHNOLOGIES
LLC,
Civil Action No. 2:13-cv-893
Plaintiff,
v.
JURY TRIAL DEMANDED
GOOGLE INC.,
Defendant.
DECLARATION OF AMANDA K. BONN IN SUPPORT OF
PLAINTIFFS’ OPPOSED MOTION TO STRIKE UNDER LOCAL RULE CV-7(A)
GOOGLE INC.’S OPPOSITION TO PLAINTIFFS’ MOTION FOR LEAVE TO FILE A
SUPPLEMENTAL BRIEF IN RESPONSE TO GOOGLE’S MOTION TO TRANSFER,
AND, IN THE ALTERNATIVE, CROSS-MOTION TO STAY CASE PENDING
RESOLUTION OF GOOGLE’S TRANSFER MOTION (DKT. NO. 97)
I, Amanda K. Bonn, declare as follows:
1.
I am a member in good standing of the California State Bar.
2.
I am an attorney at the law firm Susman Godfrey LLP and I am one of the
attorneys serving as counsel for Plaintiffs Rockstar Consortium US LP and NetStar Technologies
LLC (collectively “Plaintiffs”) in this action. I submit this declaration in support of Plaintiffs’
Opposed Motion to Strike Under Local Rule CV-7(A) Google Inc.’s Opposition to Plaintiffs’
Motion for Leave to File A Supplemental Brief In Response to Google’s Motion to Transfer,
And, in The Alternative, Cross-Motion to Stay Case Pending Resolution of Google’s Transfer
Motion (Dkt. No. 97), which is filed herewith.
3226552v1/013149
1
3.
On June 25, 2014, I met and conferred with counsel for Google regarding this
Motion to Strike. Google’s counsel indicated they believed it appropriate to combine Google’s
Motion to Stay with Google’s Response to Plaintiffs’ Motion for Leave to File a Supplemental
Brief because their arguments in favor of a stay overlapped with their arguments opposing
Plaintiffs’ Motion for Leave. Although Google’s counsel indicated they might consider offering
additional pages of briefing, they indicated they would do so only if Plaintiffs would also agree
to an expedited briefing schedule on both Plaintiffs’ Motion for Leave and Google’s CrossMotion to Stay.
4.
Attached hereto as Exhibit 1 is a true and correct copy of an email exchange
between counsel for Plaintiffs and Google dated June 24, 2014.
5.
Attached hereto as Exhibit 2 is a true and correct copy of Fusion-IO, Inc.’s
Motion to Sever and Transfer in Solid State Storage Solutions, Inc. v. STEC, Inc. et al., No. CV
11-00391 (E.D. Tex. Jan. 24, 2012), Dkt. No. 57.
6.
Attached hereto as Exhibit 3 is a true and correct copy of Fusion-IO, Inc.’s
Petition for Writ of Mandamus in In re Fusion-IO, Inc., No. 12-139 (Fed. Cir. Sept. 25, 2012),
Dkt. No. 2.
7.
Attached hereto as Exhibit 4 is a true and correct copy of Fusion-IO, Inc.’s Reply
in Support of Petition for Writ of Mandamus in In re Fusion-IO, Inc., No. 12-139 (Fed. Cir. Oct.
19, 2012), Dkt. No. 16-1.
I declare under penalty of perjury under the laws of the United States that the foregoing is
true and correct.
Signed this 26th day of June, 2014, at Los Angeles, California
/s/ Amanda K. Bonn
Amanda K. Bonn
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CERTIFICATE OF SERVICE
I hereby certify that all counsel of record, who are deemed to have consented to
electronic service are being served this 26th day of June, 2014 with a copy of this document and
Exhibits 1-4 hereto via the Court’s CM/ECF system per Local Rule CD-5(a)(3).
/s/ Amanda K. Bonn
Amanda K. Bonn
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