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`REDACTED VERSION OF DOCUMENT SOUGHT TO BE SEALED
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`DECLARATION OF KRISTOPHER KASTENS IN SUPPORT OF FINJAN’S
`REPLY TO ITS MOTION FOR SUMMARY JUDGMENT OF INFRINGEMENT OF
`CLAIM 10 OF U.S. PATENT NO. 8,677,494
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`I, Kristopher Kastens, declare:
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`1.
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`I am licensed to practice law in the State of California and am an attorney at Kramer
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`Levin Naftalis & Frankel LLP, counsel of record for Finjan, Inc. (“Finjan”). I have personal
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`knowledge of the facts stated herein. I make this declaration in support of Plaintiff Finjan, Inc.’s Reply
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`in Support of Its Motion for Summary Judgment of Infringement of Claim 10 of U.S. Patent No.
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`8,677,494.
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`2.
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`Attached hereto as Exhibit 1 is a true and correct copy of page 571 from the Dictionary
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`of Electrical and Computer Engineering (McGraw-Hill 2004).
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`3.
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`Attached hereto as Exhibit 2 is a true and correct copy of page 596 from the IBM
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`Dictionary of Computing (McGraw-Hill 10th Ed 1994).
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`4.
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`Attached hereto as Exhibit 3 is a true and correct copy of the cover page from the U.S.
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`Patent No. 5,983,348, produced by Finjan bearing bates number FINJAN-JN 036164.
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`5.
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`Attached hereto as Exhibit 4 is a true and correct copy of page 17 from Plaintiff Finjan,
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`Inc.’s First Supplemental Objections and Responses to Defendant Juniper Networks, Inc.’s First Set of
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`Interrogatories (Nos. 3, 4, 6, 7), dated May 16, 2018.
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`6.
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`Attached hereto as Exhibit 5 is a true and correct copy of pages 118-121, 126-129, and
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`134-141 from the transcript of the deposition of Aviel D. Rubin, taken on July 6, 2018.
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`7.
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`Attached hereto as Exhibit 6 is a true and correct copy of a document entitled
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`, produced by Juniper Networks, Inc. (“Juniper”) bearing
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`bates number JNPR-FNJN_29017_00552805.
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`8.
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`Attached hereto as Exhibit 7 is a true and correct copy of page 1 from a printout of a
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`webpage entitled “Joe Sandbox Filter”, available at https://www.joesecurity.org/joe-sandbox-
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`filter#key-features.
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`1
`KASTENS DECL. IN SUPPORT OF FINJAN’S REPLY IN
`SUPPORT OF ITS MOT. FOR SUMMARY JUDGMENT
`
` CASE NO.: 3:17-cv-05659-WHA
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`Case 3:17-cv-05659-WHA Document 154-1 Filed 07/12/18 Page 2 of 2
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`REDACTED VERSION OF DOCUMENT SOUGHT TO BE SEALED
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`9.
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`Attached hereto as Exhibit 8 is a true and correct copy of a page from a Juniper
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`presentation entitled
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`FNJN_29008_00522990.
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`, produced by Juniper bearing bates number JNPR-
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`10.
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`Attached hereto as Exhibit 9 is a true and correct copy of page 297 from the Amazon
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`DynamoDB Developer Guide, produced by Finjan bearing bates number FINJAN-JN 304280.
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`11.
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`Attached hereto as Exhibit 10 is a true and correct copy of page 641 from the IBM
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`Dictionary of Computing (McGraw-Hill 10th Ed 1994).
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`12.
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`Attached hereto as Exhibit 11 is a true and correct copy of page 119 from the printout of
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`Juniper source code.
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`13.
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`Attached hereto as Exhibit 12 is a true and correct copy of page 1 from a printout of a
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`webpage entitled “SQL – SORTING Results”, available at https://www.tutorialspoint.com/sql/sql-
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`sorting-results.htm.
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`14.
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`Attached hereto as Exhibit 13 is a true and correct copy of an email from John Garland
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`to Meredith McKenzie, dated February 2, 2016, produced by Juniper bearing bates number JNPR-
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`FNJN_29012_00961840.
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`15.
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`Attached hereto as Exhibit 14 is a true and correct copy of pages 11 and 13 from
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`Defendant Juniper Networks, Inc.’s Second Supplemental Response to Plaintiff Finjan, Inc.’s First Set
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`of Interrogatories, dated June 18, 2018.
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`I declare under penalty of perjury under the laws of the United States of America that each
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`of the above statements is true and correct. Executed on July 12, 2018, in Menlo Park, California.
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`/s/ Kristopher Kastens
`Kristopher Kastens
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`2
`KASTENS DECL. IN SUPPORT OF FINJAN’S REPLY IN
`SUPPORT OF ITS MOT. FOR SUMMARY JUDGMENT
`
` CASE NO.: 3:17-cv-05659-WHA
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