Gordon v. Virtumundo Inc et al

Filing 87

SEALED MOTION TO COMPEL FURTHER TESTIMONY OF JAMES GORDON RE PRIOR SETTLEMENTS re 86 MOTION for Leave to File Under Seal a Motion to Compel Discovery by Defendants Virtumundo Inc, Adknowledge Inc. Noting Date 1/26/2007. (Attachments: # 1 Proposed Order Granting Motion to Compel Deposition Testimony from James Gordon re Prior Settlements)(Newman, Derek) Modified text on 5/15/2007 (CL, ). (Unsealed as per Order, docket no. 121 .

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Gordon v. Virtumundo Inc et al Doc. 87 Att. 1 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 The Honorable John C. Coughenour UNITED STATES DISTRICT COURT WESTERN DISTRICT OF WASHINGTON AT SEATTLE JAMES S. GORDON, Jr., a married individual, d/b/a `GORDONWORKS.COM'; OMNI INNOVATIONS, LLC., a Washington limited liability company, Plaintiffs, v. VIRTUMUNDO, INC, a Delaware corporation d/b/a ADNOWLEDGEMAIL.COM; ADKNOWLEDGE, INC., a Delaware corporation, d/b/a ADKNOWLEDGEMAIL.COM; SCOTT LYNN, an individual; and JOHN DOES, 1-X, Defendants. NO. CV06-0204JCC ORDER [PROPOSED] THIS MATTER has come before the Court on Defendants' motion to compel Plaintiffs to provide further testimony regarding Gordon's prior settlement agreements in disputes involving his alleged receipt of unsolicited commercial email. Having reviewed that motion, as well as supporting documents, and the submissions of Plaintiffs in opposition thereto, the Court hereby rules as follows: The Court hereby GRANTS Defendants' Motion to Compel Discovery of Testimony re Settlements. Within ten (10) days of the date this order is signed, Plaintiffs ORDER (PROPOSED) - 1 NEWMAN & NEWMAN, ATTORNEYS AT LAW, LLP 505 Fifth Ave. S., Ste. 610 Seattle, Washington 98104 (206) 274-2800 Dockets.Justia.com 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 are ORDERED to make Gordon available for further testimony in deposition regarding his settlement of other disputes involving his alleged receipt of unsolicited commercial email. Gordon is ordered to answer questions during the deposition regarding (and questions related to and in follow-up about) his prior settlement agreements, including but not limited to questions concerning the amount of settlement payments, the amount of emails Gordon alleges other parties sent him, and substance of all such settlement agreements. DATED this _____ day of ____________________, 2007. HONORABLE JOHN C. COUGHENOUR UNITED STATES DISTRICT JUDGE Presented By: NEWMAN & NEWMAN ATTORNEYS AT LAW, LLP BY: Derek A. Newman, WSBA No. 26967 Roger M. Townsend, WSBA No. 25525 505 5th Avenue South, Suite 610 Seattle, WA 98104 phone: 206-274-2800 fax: 206-274-1801 Attorneys for Defendants ORDER (PROPOSED) - 2 NEWMAN & NEWMAN, ATTORNEYS AT LAW, LLP 505 Fifth Ave. S., Ste. 610 Seattle, Washington 98104 (206) 274-2800

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