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`
`Case 5:18-md-02834-BLF Document 366-1 Filed 02/21/19 Page 1 of 2
`
`
`
`J. DAVID HADDEN (CSB No. 176148)
`dhadden@fenwick.com
`SAINA S. SHAMILOV (CSB No. 215636)
`sshamilov@fenwick.com
`TODD R. GREGORIAN (CSB No. 236096)
`tgregorian@fenwick.com
`PHILLIP J. HAACK (CSB No. 262060)
`phaack@fenwick.com
`RAVI R. RANGANATH (CSB No. 272981)
`rranganath@fenwick.com
`CHIEH TUNG (CSB No. 318963)
`ctung@fenwick.com
`FENWICK & WEST LLP
`Silicon Valley Center
`801 California Street
`Mountain View, CA 94041
`Telephone:
`650.988.8500
`Facsimile:
`650.938.5200
`
`Attorneys for AMAZON.COM, INC. and
`AMAZON WEB SERVICES, INC.
`
`
`UNITED STATES DISTRICT COURT
`NORTHERN DISTRICT OF CALIFORNIA
`SAN JOSE DIVISION
`
`IN RE: PERSONALWEB TECHNOLOGIES,
`LLC ET AL., PATENT LITIGATION,
`
`AMAZON.COM, INC., and AMAZON WEB
`SERVICES, INC.,
`Plaintiffs,
`
`v.
`PERSONALWEB TECHNOLOGIES, LLC and
`LEVEL 3 COMMUNICATIONS, LLC,
`Defendants.
`
`
`
` Case No.: 5:18-mc-02834-BLF
`
`Case No.: 5:18-cv-00767-BLF
`DECLARATION OF
`TODD R. GREGORIAN IN SUPPORT
`OF SECOND SUPPLEMENTAL CASE
`MANAGEMENT STATEMENT
`
`
`PERSONALWEB TECHNOLOGIES, LLC and
`LEVEL 3 COMMUNICATIONS, LLC,
`Counterclaimants,
`
`v.
`
`AMAZON.COM, INC., and AMAZON WEB
`SERVICES, INC.,
`
`Counterdefendants.
`
`GREGORIAN DEC ISO SECOND
`SUPPLEMENTAL CASE MANAGEMENT
`STATEMENT
`
`
`
`
`
`Case No.: 5:18-md-02834-BLF
`Case No.: 5:18-cv-00767-BLF
`
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`
`ATTORNEYS AT LAW
`
`FENWICK & WEST LLP
`
`
`
`
`

`

`Case 5:18-md-02834-BLF Document 366-1 Filed 02/21/19 Page 2 of 2
`
`
`
`I, Todd R. Gregorian, hereby declare pursuant to 28 U.S.C. § 1746 as follows:
`1.
`I am a member of the bar of the State of California. I am an associate at Fenwick &
`West, LLP, counsel of record for AMAZON.COM, INC. and AMAZON WEB SERVICES, INC.
`I submit this declaration in support of the Second Supplemental Case Management Statement. I
`have personal knowledge of the matters in this declaration.
`2.
`Amazon’s second supplemental case management statement describes facts recently
`learned by Amazon of which it believes the Court should be informed in advance of the February
`28, 2019 summary judgment hearing. Based on the parties’ telephone conference earlier this week,
`Amazon believed those facts would be presented in a discovery motion filed February 20, 2019.
`That did not occur, and the parties still have additional work to finalize the discovery motion.
`3.
`The parties did not present these facts in their previous case management statements
`and today is the Local Rule 16-9(d) deadline to file a supplement. I prepared a draft statement and
`sought PersonalWeb’s cooperation in its filing. PersonalWeb suggested a one-day extension so it
`could have adequate time to prepare its response. I responded that was one of multiple solutions
`acceptable to Amazon, and later circulated a draft stipulation regarding the extension. PersonalWeb
`later responded that it would not stipulate to the extension or join the filing.
`Exhibit 1 is a series of emails between me and various counsel for
`a.
`PersonalWeb.
`Exhibit 2 is a truncated email string reflecting the stipulation I prepared in
`b.
`response to PersonalWeb’s offer. (I removed emails that duplicate the string in Exhibit 1.)
` I declare under penalty of perjury that the foregoing is true and correct. Executed on the
`21st day of February 2019.
`
`
`By:
`
`
`/s/ Todd R. Gregorian
` Todd R. Gregorian
`
`
`
`GREGORIAN DEC ISO SECOND
`SUPPLEMENTAL CASE MANAGEMENT
`STATEMENT
`
`2
`
`
`
`Case No.: 5:18-md-02834-BLF
`Case No.: 5:18-cv-00767-BLF
`
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`
`ATTORNEYS AT LAW
`
`FENWICK & WEST LLP
`
`
`
`
`

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