`Case 5:17-cv-04467-BLF Document 299-25 Filed 10/14/20 Page 1 of 4
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`EXHIBIT S
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`EXHIBIT S
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`Case 5:17-cv-04467-BLF Document 299-25 Filed 10/14/20 Page 2 of 4
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`From: Dotson, David C. <DCDotson@duanemorris.com>
`Sent: Thursday, July 23, 2020 5:21 PM
`To: Hannah, James <JHannah@KRAMERLEVIN.com>; McGrath, Robin <RLMcGrath@duanemorris.com>; Gunther, Jarrad
`M. <JMGunther@duanemorris.com>
`Cc: Lee, Hannah <HLee@KRAMERLEVIN.com>
`Subject: RE: Revised Appendices H‐2 Through H‐4
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`Thanks, James. Please confirm Finjan has withdrawn Appendix H‐3 (in addition to Appendix H‐1 and H‐5), given its
`reliance on the “stats server” as the alleged “security computer” in contravention of the Court’s November 20 Order.
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`David
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`From: Hannah, James <JHannah@KRAMERLEVIN.com>
`Sent: Thursday, July 23, 2020 5:19 PM
`To: Dotson, David C. <DCDotson@duanemorris.com>; McGrath, Robin <RLMcGrath@duanemorris.com>; Gunther,
`Jarrad M. <JMGunther@duanemorris.com>
`Cc: Lee, Hannah <HLee@KRAMERLEVIN.com>
`Subject: RE: Revised Appendices H‐2 Through H‐4
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`David, attached are the revised appendices for H‐6 and H‐7.
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`
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`James Hannah
`Partner
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`Kramer Levin Naftalis & Frankel LLP
`990 Marsh Road, Menlo Park, California 94025
` O 650.752.1712 F 650.752.1812
`
`This communication (including any attachments) is intended solely for the recipient(s) named above and may contain information that is
`confidential, privileged or legally protected. Any unauthorized use or dissemination of this communication is strictly prohibited. If you have received
`this communication in error, please immediately notify the sender by return e-mail message and delete all copies of the original communication.
`Thank you for your cooperation.
`
`
`
`From: Dotson, David C. <DCDotson@duanemorris.com>
`Sent: Thursday, July 23, 2020 12:12 PM
`To: Hannah, James <JHannah@KRAMERLEVIN.com>; McGrath, Robin <RLMcGrath@duanemorris.com>; Gunther, Jarrad
`M. <JMGunther@duanemorris.com>
`Cc: Lee, Hannah <HLee@KRAMERLEVIN.com>
`Subject: [EXTERNAL] RE: Revised Appendices H‐2 Through H‐4
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`James,
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`Case 5:17-cv-04467-BLF Document 299-25 Filed 10/14/20 Page 3 of 4
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`Given the stage of this case, your failure to respond will leave us with no choice but to move to strike Finjan’s
`contentions on the issues identified below.
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`Please provide a response by tomorrow, or we will plan to move forward with a motion.
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`Thanks,
`David
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`From: Dotson, David C.
`Sent: Monday, July 20, 2020 8:38 AM
`To: 'Hannah, James' <JHannah@KRAMERLEVIN.com>; McGrath, Robin <RLMcGrath@duanemorris.com>; Gunther,
`Jarrad M. <JMGunther@duanemorris.com>
`Cc: 'Lee, Hannah' <HLee@KRAMERLEVIN.com>
`Subject: RE: Revised Appendices H‐2 Through H‐4
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`James,
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`Following up on the below.
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`Thanks,
`David
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`From: Dotson, David C.
`Sent: Monday, July 13, 2020 10:08 AM
`To: 'Hannah, James' <JHannah@KRAMERLEVIN.com>; McGrath, Robin <RLMcGrath@duanemorris.com>; Gunther,
`Jarrad M. <JMGunther@duanemorris.com>
`Cc: Lee, Hannah <HLee@KRAMERLEVIN.com>
`Subject: RE: Revised Appendices H‐2 Through H‐4
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`James,
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`Also, on our call, we discussed the potential confusion surrounding SonicWall’s April 2 email stating its understanding
`that Finjan would withdraw Appendix H‐3, and we agreed to revisit our respective notes on that issue. Based on our
`notes, it appears to us that the reference to Finjan withdrawing Appendix H‐3 was correct because Appendix H‐3
`identifies the Stats server as the alleged “security computer,” which is in contravention of the Court’s November 20
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`Case 5:17-cv-04467-BLF Document 299-25 Filed 10/14/20 Page 4 of 4
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`Order. See Revised Appx. H‐3 at 7, 9. The Court stated in its November 20 Order with respect to the ‘154 Patent that
`“Finjan’s reliance on the Stats server and the URL Thumbprint Database constitutes new theories of infringement not
`previously disclosed and not within the scope of the Court’s May 2019 order.” November 20, 2019 Order at 9.
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`So that we are all on the same page, please confirm that Finjan has withdrawn Appx. H‐1, H‐3, and H‐5.
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`Please also confirm that Finjan will revise Appendices H‐6 and H‐7 to address the “transmitting . . . when” limitation.
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`Thanks,
`David
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`From: Hannah, James <JHannah@KRAMERLEVIN.com>
`Sent: Thursday, July 2, 2020 6:29 PM
`To: McGrath, Robin <RLMcGrath@duanemorris.com>; Dotson, David C. <DCDotson@duanemorris.com>
`Cc: Lee, Hannah <HLee@KRAMERLEVIN.com>
`Subject: Revised Appendices H‐2 Through H‐4
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`Robin, David, please see the attached revised appendices based on our discussion this afternoon. The changes can be
`found on Pg. 14 of H‐2; Pg. 11 of H‐3; and Pg. 14 of H‐4. Thanks.
`
`James
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`
`James Hannah
`Partner
`
`
`Kramer Levin Naftalis & Frankel LLP
`990 Marsh Road, Menlo Park, California 94025
`T 650.752.1712 F 650.752.1812
`jhannah@kramerlevin.com
`
`
`Bio
`
`This communication (including any attachments) is intended solely for the recipient(s) named above and may contain information that is
`confidential, privileged or legally protected. Any unauthorized use or dissemination of this communication is strictly prohibited. If you have received
`this communication in error, please immediately notify the sender by return e-mail message and delete all copies of the original communication.
`Thank you for your cooperation.
`
`
`
`
`
`For more information about Duane Morris, please visit http://www.DuaneMorris.com
`
`
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`have received this transmission in error, please immediately return it to the sender. Unintended transmission shall not constitute waiver of the attorney-client or any
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