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Case 5:18-md-02834-BLF Document 340 Filed 01/09/19 Page 1 of 4
`
`Michael A. Sherman (SBN 94783)
`masherman@stubb salderton. com
`Jeffrey F. Gersh (SBN 87124)
`j gersh@stubbsalderton. com
`Sandeep Seth (SBN 195914)
`sseth@stubbsalderton. com
`Wesley W. Monroe (SBN I492lI)
`wmonroe@stubbsalderton. com
`Stanley H. Thompson, Jr. (SBN 198825)
`sthompson@stubb sal derton. com
`Viviana Boero Hedrick (SBN 239359)
`vhedrick@stubb salderton. com
`STUBBS, ALDERTON & MARKILES, LLP
`15260 Ventura Blvd., 20th Floor
`Sherman Oaks, CA 91403
`Telephone: (818) 444-4500
`Facsimile: (818) 444-4520
`Attorneys for PersonalWeb Technologies, LLC
`and Level3 Communications, LLC
`fAdditional Attomeys listed below]
`TINITED STATES DISTRICT COURT
`
`NORTHERN DISTRICT OF CALIFORNIA
`
`SAN JOSE DIVISION
`
`IN RE PERSONALWEB TECHNOLOGIES,
`LLC, ET AL., PATENT LITIGATION
`
`CASE NO.: 5:18-md-02834-BLF
`
`AMAZON.COM, INC., et al.,
`
`Plaintiffs,
`
`PERSONALWEB TECHNOLOGIES, LLC, Et
`al.,
`
`PERSONALWEB TECHNOLOGIES, LLC
`and LEVEL 3 COMMUNICATIONS, LLC,
`
`Counterclaimants,
`
`V
`
`Case No.: 5: 18-cv-007 67 -BLß
`DECLARATION OF \ryESLEY W.
`MONROE IN SUPPORT OF
`PERSONALWEB TECHNOLOGIES, LLC
`AND LEVEL 3 COMMUNICATIONSO
`LLC'S OPPOSITION TO AMAZON.COM,
`INC. AND AMAZON WEB SERVICES,
`INC.'S MOTION FOR SUMMARY
`JUDGMENT ON DECLARATORY
`JUDGMENT CLAIMS AND DEFENSES
`UNDER THE CLAIM PRECLUSION AND
`KESSLER DOCTRINE
`
`Date:
`Time:
`Dept.:
`Judge:
`
`February 7,2019
`2:00 PM
`Courtroom 3, 5th Floor
`Hon. Beth L. Freeman
`
`AMAZON.COM, INC. and AMAZON V/EB
`SERVICES,INC.,
`
`Trial Date: March 16,2020
`
`Counterdefendants.
`
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`DECLARATION OF' KEVIN BERMEISTER
`ISO PWEB'S OPPOSITION TO AMAZON'S
`MSJ UNDER CP AND KESSLER DOCTRINE
`
`4817-9268.4420, v. I
`
`CASE NO: 5: 18-md-02834-BLF'
`CASE NO: 5: 18-cv-00767-BLF
`
`

`

`Case 5:18-md-02834-BLF Document 340 Filed 01/09/19 Page 2 of 4
`
`I am over the age of 18 and competent to rnake this declaration. I am Of Counsel with
`
`I, Wesley W. Monroe, declare as follows:
`1 .
`Stubbs, Alderton & Markiles,LLP, counsel for PersonalWeb Technologies, LLC ("PersonalWeb")
`and Level 3 Communications, LLC. I have personal knowledge of the matters set forth below and if
`
`called as a witness I would and could competently testify thereto.
`2.
`with Prejudice (Dkt. 163) in Personallleb Technologies LLC and Level 3 Communications v.
`
`Attached as Exhibit I hereto is a true and correct copy of the Stipulation of Dismissal
`
`Amazon.com, Inc, et al., Case No. 6:11-cv-00658 in the Eastem District of Texas ("Texas Action").
`3.
`Amazon Simple Storage Service (S3) U.S. Patent No. 7,802,310 served with PersonalWeb's
`
`Attached as Exhibit 2A hereto is a true and correct copy of the Claim Chart for
`
`Disclosure of Asserted Claims and Infringement Contentions EDTX Patent Rule 3-1 serued in the
`
`Texas Action (AMZ_PWT_00005 848-5925).
`4.
`Amazon Simple Storage Service (S3) re U.S. Patent No. 6,415,280 served with PersonalWeb's
`
`Attached as Exhibit 2B hereto is a true and correct copy of the Claim Chart for
`
`Disclosure of Asserted Claims and Infringement Contentions EDTX Patent Rule 3-1 served in the
`
`Texas Action (AMZ_PWT_00005796-5 83 8).
`5.
`Amazon Simple Storage Service (S3) for U.S. Patent No. 6,928,442 sewed with PersonalWeb's
`
`Attached as Exhibit 2Chereto is a true and correct copy of the Claim Chart for
`
`Disclosure of Asserted Claims and Infüngement Contentions EDTX Patent Rule 3-1 served in the
`
`Texas Action (AMZ_PWT_0000594 1 -5986).
`6.
`Amazon 53 for U.S. Patent No. 7,945,539 served with PersonalWeb's Disclosure of Asserted Claims
`
`Attached as Exhibit 2D hereto is a true and correct copy of the Claim Chart for
`
`and Infringement Contentions EDTX Patent Rule 3-1 served in the Texas Action
`
`(AMZ_PWT_00005 99 4 -61 47 ).
`7.
`Attached as Exhibit 2E hereto is a true and correct copy of the Claim Chart for
`Amazon 53 for U.S. Patent No. 7,945,544 served with PersonalWeb's Disclosure of Asserted Claims
`
`and Infringement Contentions EDTX Patent Rule 3-1 served in the Texas Action
`
`(AMZ PWT_00006 1 s9-6254).
`
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`
`DECLARATION OF WESLEY W. MONROE
`ISO PWEB'S OPPOSITION TO AMAZON'S
`MSJ UNDER CP AND KESSLER DOCTRINE
`
`1
`
`CASE NO: 5: 18-md-02834-BLF
`CASE NO: 5: 18-cv-00767-BLF
`
`

`

`Case 5:18-md-02834-BLF Document 340 Filed 01/09/19 Page 3 of 4
`
`8.
`Amazon Simple Storage Service (S3) for U.S. Patent No. 5,978,791 served with PersonalWeb's
`
`Attached as Exhibit 2F hereto is a true and correct copy of the Claim Chart for
`
`Disclosure of Asserted Claims and Infringement Contentions EDTX Patent Rule 3-1 served in the
`
`Texas Action (AMZ_PWT_0000626 4-637 4).
`9.
`the Joint Case Management Statement, In re PersonalWeb Technologies, LLC, et al., Patent
`
`Attached as Exhibit 3 hereto is a true and correct copy of Appendix A (Dkt. 295) to
`
`Litigation, No. 5 : 1 8-md-02834.
`10. Attached as Exhibit 4 hereto is a true and correct copy of excerpts from the 30(b)(6)
`Deposition of Seth William Markle (Dec. 5, 2018).
`1 1. Attached as Exhibit 5 hereto is a true and correct copy of the First Amended
`Complaint (Dkt. 30) in the Texas Action.
`12. Attached as Exhibit 6 hereto is a true and correct copy of the First Amended
`Complaint against Twitch Interactive (Dkt. 198), In re PersonalWeb Technologies, LLC, et al,,
`
`Patent Litigation, No. 5 : 1 8-md-02834.
`13. Attached as Exhibit 7A hereto is a true and correct copy of Exhibit A to
`PersonalWeb's Disclosures Pursuant to Patent Local Rules 3-1 and 3-2 to Twitch Interactive,In re
`
`PersonalWeb Technologies, LLC, et al., Patent Litigation, No. 5:18-md-02834.
`14. Attached as Exhibit 7D hereto is a true and correct copy of Exhibit D to
`PersonalWeb's Disclosures Pursuant to Patent Local Rules 3-1 and 3-2 to Twitch kúeractive, In re
`
`PersonallTeb Technologies, LLC, et al., Patent Litigation, No. 5:18-md-02834.
`15. Attached as Exhibit 8 hereto is a true and correct copy of the AWS Customer
`Agreement in effect on Il2l20I2 accessed at https://web.archive. orglwebl
`
`20l20l020606l6lhttp:llaws.amazon.com:S0lagreementlon December 19,2018.
`16. Attached as Exhibit t hereto is a true and correct copy of the AWS Customer
`Agreement in effect on2l1612017 accessed at https://web.archive.orflwebl2}Il0216115144l
`
`https ://aws. amazon. com/agreement on Decemb er 4, 201 8.
`17. Attached as Exhibit 10 hereto is a true and correct copy of "AWS Customer
`Agreement-What's Changed" accessed at htþs://aws.amazon.com/agteement/recent-changes/ on
`
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`DECLARATION OF \ilESLEY W. MONROE
`ISO PWEB'S OPPOSITION TO AMAZON'S
`MSJ UNDER CP AND KESSLER DOCTRINE
`
`2
`
`CASE NO: 5: 18-md-02834-BLF'
`CASE NO: 5: 18-cv-00767-BLF
`
`

`

`Case 5:18-md-02834-BLF Document 340 Filed 01/09/19 Page 4 of 4
`
`December 5,2078.
`18. Attached as Exhibit 11 hereto is a true and correct copy of the AV/S Customer
`
`Agreement in effect on717812017 accessed at https://web.archive. orglwebl20l70718053223l
`
`https : //aws . arnazon. com/agreem ent/ on D ecemb er 5, 20 1 8 .
`19. Attached as Exhibit 12 hereto is a true and correct copy of excerpts from the 30(b)(6)
`
`Deposition of Jeffrey H. Dean (Dec. 21,2018).
`20. Attached as Exhibit 134 hereto is a true and correct copy of the Supplemental
`
`Infüngement Contentions for U.S. Patent No. 6,41 5,280 served in the Texas Action
`
`(AMZ_PWT_00ooo7 1 o -64).
`21. Attached as Exhibit 138 hereto is a true and correct copy of the Supplemental
`Infüngement Contentions for U.S. Patent No. 7,802,310 served in the Texas Action
`
`(AMZ_PWT_O0000776-8 87).
`22. Attached as Exhibit 13C hereto is a true and correct copy of the Supplernental
`Infüngement Contentions for U.S. Patent No. 6,928,442 served in the Texas Action
`
`(AMZ_PWT_000009 1 4 -7 4).
`23. Attached as Exhibit 13D hereto is a true and correct copy of the Supplemental
`Infringement Contentions for U.S. Patent No. 7,945,544 served in the Texas Action
`
`(AMZ_PWT_00000989- 1 1 00).
`24. Attached as Exhibit 13E hereto is a true and correct copy of the Supplemental
`Infringement Contentions for U.S. Patent No. 5,978,791 served in the Texas Action
`
`(AMZ_PWT_0000 1 r20 - r20r).
`
`I declare under penalty of perjury under the laws of the United States of America that the
`
`foregoing is true and correct.
`
`Executed on January 9,2079 in Sherman
`
`Wesley W. Monroe
`
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`DECLARATION OF'\ilESLEY W. MONROE
`ISO PWEB'S OPPOSITION TO AMAZON'S
`MSJ UNDER CP AND KESSLERDOCTRINE
`
`J
`
`CASE NO: 5: 18-md-02834-BLF
`CASE NO: 5: l8-cv-00767-BLF
`
`

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