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Case 5:17-cv-04467-BLF Document 257-1 Filed 05/04/20 Page 1 of 4
`
`DUANE MORRIS LLP
`Matthew C. Gaudet (GA SBN 287759)
`Admitted Pro Hac Vice
`mcgaudet@duanemorris.com
`Robin L. McGrath (GA SBN 493115)
`Admitted Pro Hac Vice
`rlmcgrath@duanemorris.com
`David C. Dotson (GA SBN 138040)
`Admitted Pro Hac Vice
`dcdotson@duanemorris.com
`Jennifer H. Forte (GA SBN 940650)
`Admitted Pro Hac Vice
`jhforte@duanemorris.com
`1075 Peachtree Street, Ste. 2000
`Atlanta, GA 30309
`Telephone: 404.253.6900
`Facsimile: 404.253.6901
`
`
`DUANE MORRIS LLP
`D. Stuart Bartow (SBN 233107)
`Email: DSBartow@duanemorris.com
`Nicole E. Grigg (SBN 307733)
`Email: NEGrigg@duanemorris.com
`2475 Hanover Street
`Palo Alto, CA 94304-1194
`Telephone: 650.847.4150
`Facsimile: 650.847.4151
`
`DUANE MORRIS LLP
`Joseph A. Powers (PA SBN 84590)
`Admitted Pro Hac Vice
`japowers@duanemorris.com
`Jarrad M. Gunther (PA SBN 207038)
`Admitted Pro Hac Vice
`jmgunther@duanemorris.com
`30 South 17th Street
`Philadelphia, PA 19103
`Telephone: 215.979.1000
`Facsimile: 215.979.1020
`
`Attorneys for Defendant
`SONICWALL INC.
`
`
`
`UNITED STATES DISTRICT COURT
`NORTHERN DISTRICT OF CALIFORNIA
`SAN JOSE DIVISION
`
`FINJAN, INC., a Delaware Corporation,
`
`Plaintiff,
`
`vs.
`
`SONICWALL INC., a Delaware
`Corporation
`
`
`
`Defendant.
`
` Case No. 5:17-cv-04467-BLF-VKD
`
`DECLARATION OF JENNIFER H.
`FORTE IN SUPPORT OF SONICWALL,
`INC.’S ADMINISTRATIVE MOTION
`TO FILE DOCUMENTS UNDER SEAL
`
`
`
`DECLARATION OF JENNIFER H. FORTE IN SUPPORT OF SONICWALL INC.’S ADMINISTRATIVE MOTION TO FILE DOCUMENTS
`UNDER SEAL;
`CASE NO. 5:17-CV-04467-BLF-VKD
`
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`

`

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`Case 5:17-cv-04467-BLF Document 257-1 Filed 05/04/20 Page 2 of 4
`
`I, Jennifer H. Forte, declare as follows:
`
`1.
`
`I am an associate at the law firm of Duane Morris LLP and am counsel for Defendant
`
`SonicWall Inc. (“SonicWall”). I have personal knowledge of the matters set forth in this
`
`Declaration, and if called as a witness, could and would testify competently to such facts under oath.
`
`I submit this Declaration in Support of SonicWall’s Administrative Motion to File Documents Under
`
`Seal, pursuant to Civil Local Rule 79-5(d)-(e). In making this Declaration, it is not my intention,
`
`nor the intention of SonicWall, to waive the attorney-client privilege, the attorney work-product
`
`immunity, or any other applicable privilege.
`
`2.
`
`I have reviewed the following documents and confirmed that they consist of or quote
`
`directly from documents or testimony designated by the parties in Finjan, Inc. v. Cisco Systems, Inc.,
`
`No. 5:17-cv-00072-BLF-SVK as “Highly Confidential – Attorneys’ Eyes Only” pursuant to the
`
`Stipulated Protective Order.
`
`Exhibit No.
`
`Document Title
`
`Portion(s) to Seal
`
`Reason(s) for Sealing
`
`Ex. 1
`
`Cisco Systems, Inc.
`Mutual Non-Disclosure
`Agreement dated
`January 19, 2004
`
`Entire Document
`
`The parties in Finjan,
`Inc. v. Cisco Systems,
`Inc., No. 5:17-cv-00072-
`BLF-SVK designated this
`document as “Highly
`Confidential –
`Attorneys’ Eyes Only”
`pursuant to the
`Stipulated Protective
`Order. See Declaration
`of Jennifer Forte in
`Support of
`Administrative Motion
`to File Documents Under
`Seal (“Forte
`Declaration”), ¶¶ 2-4.
`
`1
`DECLARATION OF JENNIFER H. FORTE IN SUPPORT OF SONICWALL, INC.’S ADMINISTRATIVE MOTION TO FILE
`DOCUMENTS UNDER SEAL;
`CASE NO. 5:17-CV-04467-BLF-VKD
`
`

`

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`
`Case 5:17-cv-04467-BLF Document 257-1 Filed 05/04/20 Page 3 of 4
`
`Ex. 2
`
`Ex. 3
`
`Ex. 4
`
`Entire Document
`
`Finjan Software Inc.
`Amended and Restated
`Investors’ Rights
`Agreement dated June
`2, 2004
`
`Entire Document
`
`Cisco – Finjan
`Holdings, Inc. Mutual
`Non-Disclosure
`Agreement dated March
`21, 2014
`
`Excerpts from the
`February 1, 2019
`Deposition of Yoav
`Samet
`
`Entire Document
`
`Ex. 5
`
`Excerpts from the April
`10, 2019 Deposition of
`Daniel Chinn
`
`Entire Document
`
`The parties in Finjan,
`Inc. v. Cisco Systems,
`Inc., No. 5:17-cv-00072-
`BLF-SVK designated this
`document as “Highly
`Confidential –
`Attorneys’ Eyes Only”
`pursuant to the
`Stipulated Protective
`Order. See Forte
`Declaration, ¶¶ 2-4.
`
`The parties in Finjan,
`Inc. v. Cisco Systems,
`Inc., No. 5:17-cv-00072-
`BLF-SVK designated this
`document as “Highly
`Confidential –
`Attorneys’ Eyes Only”
`pursuant to the
`Stipulated Protective
`Order. See Forte
`Declaration, ¶¶ 2-4.
`
`The parties in Finjan,
`Inc. v. Cisco Systems,
`Inc., No. 5:17-cv-00072-
`BLF-SVK designated
`this document as
`“Highly Confidential –
`Attorneys’ Eyes Only”
`pursuant to the
`Stipulated Protective
`Order. See Forte
`Declaration, ¶¶ 2-4.
`
`The parties in Finjan,
`Inc. v. Cisco Systems,
`Inc., No. 5:17-cv-00072-
`BLF-SVK designated
`this document as
`“Highly Confidential –
`Attorneys’ Eyes Only”
`pursuant to the
`Stipulated Protective
`Order. See Forte
`Declaration, ¶¶ 2-4.
`
`2
`DECLARATION OF JENNIFER H. FORTE IN SUPPORT OF SONICWALL, INC.’S ADMINISTRATIVE MOTION TO FILE
`DOCUMENTS UNDER SEAL;
`CASE NO. 5:17-CV-04467-BLF-VKD
`
`

`

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`
`Case 5:17-cv-04467-BLF Document 257-1 Filed 05/04/20 Page 4 of 4
`
`Ex. 6
`
`Exhibit 34 to the April
`10, 2019 deposition of
`Daniel Chinn
`
`Entire Document
`
`The parties in Finjan,
`Inc. v. Cisco Systems,
`Inc., No. 5:17-cv-00072-
`BLF-SVK designated
`this document as
`“Highly Confidential –
`Attorneys’ Eyes Only”
`pursuant to the
`Stipulated Protective
`Order. See Forte
`Declaration, ¶¶ 2-4.
`
`
`
`3.
`
`Good cause exists to seal the portions of the documents identified in the chart above
`
`for the reasons stated therein. SonicWall seeks to seal only those portions of the documents that
`
`contain “sealable,” as defined in Civil Local Rule 79-5(d), and for which it has good cause to seal.
`
`4.
`
`This information has been designated by the parties in Finjan, Inc. v. Cisco Systems,
`
`Inc., No. 5:17-cv-00072-BLF-SVK as “Highly Confidential – Attorneys’ Eyes Only” pursuant to the
`
`Stipulated Protective Order. Accordingly, I am informed and believe that, this confidential
`
`information relates to Finjan’s business and, if disclosed publicly, could result in harm to Finjan.
`
`I declare under penalty of perjury under the laws of California and the United States that the
`
`foregoing is true and correct. Executed on May 4, 2020, in Atlanta, Georgia.
`
`
`
`
`
`
`
`/s/ Jennifer H. Forte
` Jennifer H. Forte
`
`
`
`3
`DECLARATION OF JENNIFER H. FORTE IN SUPPORT OF SONICWALL, INC.’S ADMINISTRATIVE MOTION TO FILE
`DOCUMENTS UNDER SEAL;
`CASE NO. 5:17-CV-04467-BLF-VKD
`
`

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