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Case 3:17-cv-05659-WHA Document 229-1 Filed 11/12/18 Page 1 of 4
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`
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`PAUL J. ANDRE (State Bar No. 196585)
`pandre@kramerlevin.com
`LISA KOBIALKA (State Bar No. 191404)
`lkobialka@kramerlevin.com
`JAMES HANNAH (State Bar No. 237978)
`jhannah@kramerlevin.com
`KRISTOPHER KASTENS (State Bar No. 254797)
`kkastens@kramerlevin.com
`KRAMER LEVIN NAFTALIS & FRANKEL LLP
`990 Marsh Road
`Menlo Park, CA 94025
`Telephone: (650) 752-1700
`Facsimile: (650) 752-1800
`
`Attorneys for Plaintiff
`FINJAN, INC.
`
`
`
`IN THE UNITED STATES DISTRICT COURT
`
`FOR THE NORTHERN DISTRICT OF CALIFORNIA
`
`SAN FRANCISCO DIVISION
`
`FINJAN, INC., a Delaware Corporation,
`
`
`
`
`
`
`Plaintiff,
`
`v.
`
`
`JUNIPER NETWORKS, INC., a Delaware
`Corporation,
`
`
`
`
`
`
`Defendant.
`
`
`Case No.: 3:17-cv-05659-WHA
`
`DECLARATION OF CRISTINA
`MARTINEZ IN SUPPORT OF PLAINTIFF
`FINJAN, INC.’S ADMINISTRATIVE
`MOTION TO FILE DOCUMENTS UNDER
`SEAL
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`MARTINEZ DECL. IN SUPPORT OF FINJAN’S
`ADMIN. MOTION TO FILE DOCUMENTS UNDER SEAL
`
`CASE NO.: 3:17-cv-05659-WHA
`
`

`

`Case 3:17-cv-05659-WHA Document 229-1 Filed 11/12/18 Page 2 of 4
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`I, Cristina Martinez, declare:
`1.
`2.
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`I have personal knowledge of the facts stated herein.
`
`I am an attorney at Kramer Levin Naftalis & Frankel LLP, counsel of record for Finjan,
`
`Inc. (“Finjan”). I make this declaration in support of Finjan’s Administrative Motion to File Documents
`
`Under Seal in connection with its Motion to Exclude Opinions of Defendant’s Damages Expert Dr.
`
`Keith R. Ugone (“Motion”), pursuant to Civil Local Rules 79-5(d)-(e).
`3.
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`I have reviewed the following documents and confirmed that they are designated as
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`“Highly Confidential – Attorneys’ Eyes Only” by Juniper Networks, Inc. (“Juniper”) or Finjan pursuant
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`to the stipulated protective order in this litigation. Finjan relies on its and Juniper’s confidentiality
`
`designations.
`
`
`
`Identification of Documents to be Sealed
`
`Entity that Designated the
`Information to be
`Confidential
`Finjan and/or Juniper
`
`Plaintiff Finjan Inc.’s Daubert of Dr. Ugone at page i, line 10,
`page 3, line 27, page 4, lines 1-3, 6, 8-9, 11-13, 17, 20-21,
`page 5, lines 1, 3, 5, 7-9, 11, 15, 19-21, page 6, lines 6, 26,
`page 7, lines 11-13, 15-16, 25-27, page 8, lines 1, 6, 15, page
`9, lines 2-3, 5, 7, 17, page 11, lines 20-21, page 11, lines 5-12,
`20, 27, page 13, lines 4-5, 7, page 14, lines 15-18, page 15,
`line 14
`Declaration of Cristina Martinez in Support of Finjan Inc.’s
`Daubert of Dr. Ugone (“Martinez Daubert Declaration), Exs.
`1, 3, and 8
`Finjan and/or Juniper
`Martinez Daubert Declaration, Ex. 2
`Finjan
`Martinez Daubert Declaration, Ex. 5
`4.
`This Administrative Motion to File Documents Under Seal should be granted because
`
`Juniper
`
`there are compelling reasons to seal the identified documents. Finjan seeks to seal only those documents
`
`and portions of documents that it and/or Juniper identified as containing confidential information
`
`pursuant to the Protective Order.
`5.
`
`Finjan seeks to seal Finjan’s Daubert of Dr. Ugone redacted portions at page i, line 10,
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`page 3, line 27, page 4, lines 1-3, 6, 8-9, 11-13, 17, 20-21, page 5, lines 1, 3, 5, 7-9, 11, 15, 19-21, page
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`6, lines 6, 26, page 7, lines 11-13, 15-16, 25-27, page 8, lines 1, 6, 15, page 9, lines 2-3, 5, 7, 17, page 11,
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`1
`MARTINEZ DECL. IN SUPPORT OF FINJAN’S
`ADMIN. MOTION TO FILE DOCUMENTS UNDER SEAL
`
`CASE NO.: 3:17-cv-05659-WHA
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`Case 3:17-cv-05659-WHA Document 229-1 Filed 11/12/18 Page 3 of 4
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`lines 20-21, page 11, lines 5-12, 20, 27, page 13, lines 4-5, 7, page 14, lines 15-18, page 15, line 14
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`because, as set forth in the accompanying declaration of Cristina Martinez in Support of this
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`Administrative Motion (“Martinez Sealing Declaration”), these portions contain information that Finjan
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`or Juniper has designated as “Highly Confidential – Attorneys’ Eyes Only” Finjan relies on Juniper’s
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`representations and confidentiality designations that such information is confidential and needs to be
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`sealed.
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`6.
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`Finjan seeks to seal Exhibits 1, 3, and 8 to the Martinez Declaration because, as set forth
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`in the accompanying Martinez Sealing Declaration, these documents contain information that Juniper
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`has designated as “Highly Confidential – Attorneys’ Eyes Only.”
`7.
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`Finjan seeks to seal Exhibit 2 to the Martinez Daubert Declaration because, as set forth in
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`the accompanying Martinez Sealing Declaration, this document contains information that Finjan and/or
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`Juniper has designated as “Highly Confidential – Attorneys’ Eyes Only.” Exhibit 2 contains, for
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`example, the parties’ confidential financial information and license agreements with third-parties that are
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`subject to third-party confidentiality obligations. Finjan relies on Juniper’s representations and
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`confidentiality designations that such information is confidential and needs to be sealed.
`8.
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`Finjan seeks to seal Exhibit 5 to the Martinez Daubert Declaration because, as set forth in
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`the accompanying Martinez Sealing Declaration, this document contains information that Finjan has
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`designated as “Highly Confidential – Attorneys’ Eyes Only.” Exhibit 5 contains information regarding
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`Finjan’s license with a third party that is subject to third-party confidentiality.
`
` I
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` declare under penalty of perjury under the laws of the United States of America that each of the
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`above statements is true and corrected. Executed on November 12, 2018, in New York, New York.
`
`
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`
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`By: /s/ Cristina Martinez
`Cristina Martinez
`
`
`
`
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`2
`MARTINEZ DECL. IN SUPPORT OF FINJAN’S
`ADMIN. MOTION TO FILE DOCUMENTS UNDER SEAL
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`CASE NO.: 3:17-cv-05659-WHA
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`Case 3:17-cv-05659-WHA Document 229-1 Filed 11/12/18 Page 4 of 4
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`ATTESTATION
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`Pursuant to Civil Local Rule 5-1(i), the filer attests that concurrence in the filing of this
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`document has been obtained from the signatories above.
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`/s/ Kristopher Kastens
`Kristopher Kastens
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`3
`MARTINEZ DECL. IN SUPPORT OF FINJAN’S
`ADMIN. MOTION TO FILE DOCUMENTS UNDER SEAL
`
`CASE NO.: 3:17-cv-05659-WHA
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