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Case 4:18-cv-06185-HSG Document 51-1 Filed 03/29/19 Page 1 of 3
`
`
`
`Michael Liu Su (SBN 300590)
`michael.liu.su@finnegan.com
`FINNEGAN, HENDERSON, FARABOW,
` GARRETT & DUNNER, LLP
`3300 Hillview Avenue
`Palo Alto, CA 94304
`Telephone:
`(650) 849-6600
`Facsimile:
`(650) 849-6666
`
`Lionel M. Lavenue (pro hac vice)
`lionel.lavenue@finnegan.com
`Bradford C. Schulz (pro hac vice)
`bradford.schulz@finnegan.com
`FINNEGAN, HENDERSON, FARABOW,
` GARRETT & DUNNER, LLP
`Two Freedom Square
`11955 Freedom Drive
`Reston, VA 20190
`Telephone:
`(571) 203-2700
`Facsimile:
`(202) 408-4400
`
`Attorneys for Plaintiff
`ZTE (USA) Inc.
`
`
`
`
`UNITED STATES DISTRICT COURT
`
`NORTHERN DISTRICT OF CALIFORNIA
`
`OAKLAND DIVISION
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`ZTE (USA) INC.,
`
`
`Plaintiff,
`
`
`v.
`
`AGIS SOFTWARE DEVELOPMENT LLC,
`
`
`Defendant.
`
`
`
`CASE NO. 4:18-cv-06185-HSG
`(Former Case No. 2:17-cv-00517-JRG)
`(E.D. Tex.)
`
`DECLARATION IN SUPPORT OF
`RESPONSE TO MOTION FOR
`SANCTIONS
`
`
`
`
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`DECLARATION IN SUPPORT OF RESPONSE TO MOTION FOR SANCTIONS
`CASE NO. 4:18-CV-06185-HSG
`
`

`

`Case 4:18-cv-06185-HSG Document 51-1 Filed 03/29/19 Page 2 of 3
`
`
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`I, Bradford C. Schulz, declare as follows:
`
`1.
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`I am an associate with the law firm of Finnegan, Henderson, Farabow, Garrett &
`
`Dunner, LLP, counsel of record for plaintiff ZTE (USA), Inc. in the above-captioned matter. I
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`submit this declaration in support of plaintiff’s opposition to defendant AGIS Software
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`Development, LLC’s (“AGIS”) Motion for Sanctions. I have personal knowledge of the facts set
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`forth in this declaration, and, if called to do so, I could and would competently testify thereto.
`
`2.
`
`Attached as Ex. A is a copy of Advanced Ground Information Systems, Inc.’s
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`“About” page on LinkedIn available at “http://www.linkedin.com/company/advanced-ground-
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`information-systems-inc-/about/” and was captured on March 21, 2019. Ex. A further includes
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`captures of the “Jobs” and “See all jobs” pages on LinkedIn available at
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`“http://www.linkedin.com/company/advanced-ground-information-systems-inc-/jobs/”. The
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`highlights were added to the Exhibit for illustrative purposes.
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`3.
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`Attached as Ex. B is a copy of the Law360 article titled “Fed. Circ. Abandons
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`14
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`Jurisdiction Rule for IP Demand Letters,” by Karen Boyd and Joshua Rayes published March 14,
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`2019 (3:08 PM EDT). The article was captured on March 15, 2019 from
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`“https://www.law360.com/articles/1138786/print?section=ip”.
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`4.
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`Attached as Ex. C is a copy of the Ars Technica article titled “How Life360 won its
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`18
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`patent war” by Joe Mullin published March 19, 2015 (4:50 PM). The article was captured on March
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`19
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`18, 2019 from “https://arstechnica.com/tech-policy/2015/03/how-life360-won-its-patent-war/”.
`
` I
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` declare under penalty of perjury under the laws of the United States of America that the
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`foregoing is true and correct, and that this declaration was executed on March 29, 2019 at Reston,
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`Virginia.
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`1
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`DECLARATION IN SUPPORT OF RESPONSE TO MOTION FOR SANCTIONS
`CASE NO. 3:18-CV-06185
`
`

`

`Case 4:18-cv-06185-HSG Document 51-1 Filed 03/29/19 Page 3 of 3
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`
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`Dated: March 29, 2019
`
`
`FINNEGAN, HENDERSON, FARABOW,
` GARRETT & DUNNER, LLP
`
`
`
`/s/ Bradford C. Schulz
`By:
`Bradford C. Schulz
`Attorney for Plaintiff
`ZTE (USA) Inc.
`
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`Schulz Decl ISO Mtn for Sanctions
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`2
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`DECLARATION IN SUPPORT OF RESPONSE TO MOTION FOR SANCTIONS
`CASE NO. 3:18-CV-06185
`
`

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