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Case 4:18-cv-07229-YGR Document 197-1 Filed 05/18/21 Page 1 of 4
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`Philip W. Goter (pro hac vice)
`goter@fr.com
`Robert P. Courtney (CA SBN 248392)
`courtney@fr.com
`FISH & RICHARDSON P.C.
`3200 RBC Plaza
`60 South 6th Street
`Minneapolis, MN 55402
`Phone: (612) 335-5070 /Fax: (612) 288-9696
`
`Proshanto Mukherji (pro hac vice)
`mukherji@fr.com
`FISH & RICHARDSON P.C.
`One Marina Park Drive
`Boston, MA 02210
`Phone: (617) 542-5070/ Fax (617) 542-8906
`
`
`
`
`
`Juanita R. Brooks (CA SBN 75934)
`brooks@fr.com
`Roger A. Denning (CA SBN 228998)
`denning@fr.com
`Jason W. Wolff (CA SBN 215819)
`wolff@fr.com
`Megan A. Chacon (CA SBN 304912)
`chacon@fr.com
`K. Nicole Williams (CA SBN 291900)
`nwilliams@fr.com
`FISH & RICHARDSON P.C.
`12860 El Camino Real, Suite 400
`San Diego, CA 92130
`Phone: (858) 678-5070 /Fax: (858) 678-5099
`
`Aamir A. Kazi (pro hac vice)
`kazi@fr.com
`Lawrence R. Jarvis (pro hac vice)
`jarvis@fr.com
`Fish and Richardson P.C.
`1180 Peachtree Street Ne 21st Floor
`Atlanta, GA 30309
`Phone: (404) 879-7238/ Fax: 404-892-5002
`
`Attorneys for Plaintiff
`FINJAN LLC
`
`
`
`UNITED STATES DISTRICT COURT
`
`NORTHERN DISTRICT OF CALIFORNIA
`
`(OAKLAND DIVISION)
`
`FINJAN LLC, a Delaware Limited Liability
`Company,
`
`Case No. 4:18-cv-07229-YGR (TSH)
`
`Plaintiff,
`
`v.
`
`DECLARATION OF K. NICOLE
`WILLIAMS IN SUPPORT OF FINJAN
`LLC’S ADMINISTRATIVE MOTION TO
`FILE UNDER SEAL
`
`QUALYS INC., a Delaware Corporation,
`PLACE:
`
`
`
`Defendant.
`
`
`
`
`
`DECLARATION OF WILLIAMS
`Case No. 4:18-cv-07229-YGR (TSH)
`
`

`

`Case 4:18-cv-07229-YGR Document 197-1 Filed 05/18/21 Page 2 of 4
`
`
`
`
`I, K. Nicole Williams, hereby declare and state as follows:
`
`1.
`
`I am licensed to practice in the State of California and am a principal in the law firm
`
`of Fish & Richardson P.C., counsel of record for Plaintiff Finjan LLC in the above-captioned matter.
`
`I have personal knowledge of all the facts contained herein and, if called as a witness, I could and
`
`would testify competently thereto.
`
`2.
`
`I submit this declaration in support of Finjan LLC’s Administration Motion to File
`
`Under Seal. As required under Civil L.R. 79-5(d)(1)(A), Civil L.R. 79-5(e), and this Court’s
`
`Standing Order, the basis for asserting confidentiality and the grounds for filing under seal the
`
`documents listed below are as follows:
`
`Identification of
`Documents to be
`Sealed
`Plaintiff Finjan LLC’s
`Opposition to Qualys
`Inc.’s Renewed
`Motion to Strike
`Portions of Plaintiff’s
`Infringement Expert
`Reports
`
`Exhibit A to the
`Declaration of
`Lawrence R. Jarvis
`(“Jarvis Declaration”)
`(Excerpts from the
`Rebuttal Expert
`Report of Dr. Avi
`Rubin Regarding U.S.
`Patent No. 8,225,408
`dated January 12,
`2020)
`Exhibit C to the Jarvis
`Declaration (Excerpts
`from the Expert
`Report of Nenad
`Medvidovic, Ph.D.
`dated December 1,
`2020)
`Exhibit E to the Jarvis
`
`Portion of
`Document to be
`Sealed
`Highlighted
`portions at:
`Page 4, lines 17–18;
`Page 6, lines 1–9
`and 26–28;
`Page 7, lines 1–4;
`and
`Page 8, lines 6–8.
`Entirety
`
`Designating
`Party
`
`Qualys
`
`Qualys
`
`Entirety
`
`Qualys
`
`Entirety
`
`Qualys
`
`Reason for Sealing
`
`Reflects information
`designated by Qualys as
`“HIGHLY
`CONFIDENTIAL –
`ATTORNEYS’ EYES
`ONLY” under the Protective
`Order
`
`Designated by Qualys as
`“HIGHLY
`CONFIDENTIAL –
`OUTSIDE ATTORNEYS’
`EYES ONLY” under the
`Protective Order
`
`Reflects information
`designated by Qualys as
`“HIGHLY
`CONFIDENTIAL –
`ATTORNEYS’ EYES
`ONLY” under the Protective
`Order
`Reflects information
`
`
`
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`DECLARATION OF WILLIAMS
`Case No. 4:18-cv-07229-YGR (TSH)
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`Case 4:18-cv-07229-YGR Document 197-1 Filed 05/18/21 Page 3 of 4
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`Declaration (Excerpts
`from Vulnerability
`Spreadsheet
`QUALYS-
`RUBIN0911)
`
`designated by Qualys as
`“HIGHLY
`CONFIDENTIAL –
`OUTSIDE ATTORNEYS’
`EYES ONLY” under the
`Protective Order
`
`3.
`
`The highlighted portions of Plaintiff Finjan LLC’s Opposition to Defendant Qualys
`
`Inc.’s Renewed Motion to Strike Portions of Plaintiff’s Infringement Expert Reports reflect
`
`information Qualys has designated “HIGHLY CONFIDENTIAL – ATTORNEYS’ EYES ONLY”
`
`under the Protective Order, and from which confidential information regarding Qualys’s accused
`
`products could potentially be discerned.
`
`4.
`
`Exhibit A to the Declaration of Lawrence R. Jarvis in support of Finjan’s Opposition
`
`to Qualys Inc.’s Renewed Motion to Strike (“Jarvis Declaration”) was designated by Qualys as
`
`“HIGHLY CONFIDENTIAL – OUTSIDE ATTORNEYS’ EYES ONLY” under the Protective
`
`Order, and from which confidential information regarding Qualys’s accused products could
`
`potentially be discerned.
`
`5.
`
`Exhibit C to the Jarvis Declaration reflects information designated by Qualys as
`
`“HIGHLY CONFIDENTIAL – ATTORNEYS’ EYES ONLY” under the Protective Order, and
`
`from which confidential information regarding Qualys’s accused products could potentially be
`
`discerned.
`
`6.
`
`Exhibit E to the Jarvis Declaration reflects information designated by Qualys as
`
`“HIGHLY CONFIDENTIAL – ATTORNEYS’ EYES ONLY” under the Protective Order, and
`
`from which confidential information regarding Qualys’s accused products could potentially be
`
`discerned.
`
`7.
`
`Plaintiff Finjan has carefully balanced the need to protect highly confidential and
`
`proprietary information along with information that is reasonable for the public to know. Finjan has
`
`demonstrated “good cause” and “compelling reasons” for filing this information under seal.
`
`
`
`2
`
`DECLARATION OF WILLIAMS
`Case No. 4:18-cv-07229-YGR (TSH)
`
`

`

`Case 4:18-cv-07229-YGR Document 197-1 Filed 05/18/21 Page 4 of 4
`
`
`
`
`I declare under the penalty of perjury of the laws of the United States of America that the
`
`foregoing is true and correct.
`
`Executed on May 18, 2021, in San Diego, California.
`
`
`
`
`
`
`
`
`
`
`
`/s/ K. Nicole Williams
`K. Nicole Williams
`nwilliams@fr.com
`
`
`
`
`3
`
`DECLARATION OF WILLIAMS
`Case No. 4:18-cv-07229-YGR (TSH)
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