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Case 5:18-md-02834-BLF Document 717-9 Filed 01/07/22 Page 1 of 11
`Case 5:18-md-02834-BLF Document 717-9 Filed 01/07/22 Page 1 of 11
`
`EXHIBIT 8
`EXHIBIT 8
`
`

`

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`Case 5:18-md-02834-BLF Document 717-9 Filed 01/07/22 Page 2 of 11
`
`MICHAEL A. SHERMAN (SBN 94783)
`masherman@stubbsalderton.com
`JEFFREY F. GERSH (SBN 87124)
`jgersh@stubbsalderton.com
`WESLEY W. MONROE (SBN 149211)
`wmonroe@stubbsalderton.com
`STUBBS ALDERTON & MARKILES, LLP
`15260 Ventura Boulevard, 20TH Floor
`Sherman Oaks, CA 91403
`Telephone:
`(818) 444-4500
`Facsimile:
`(818) 444-4520
`Attorneys for PersonalWeb Technologies, LLC
`
`UNITED STATES DISTRICT COURT
`NORTHERN DISTRICT OF CALIFORNIA
`SAN JOSE DIVISION
`
`IN RE PERSONAL WEB TECHNOLOGIES,
`LLC, ET AL., PATENT LITIGATION
`
`CASE NO.: 5:18-md-02834-BLF
`
`Case No.: 5:18-cv-00767-BLF
`Case No.: 5:18-cv-05619-BLF
`PERSONALWEB TECHNOLOGIES,
`LLC’S RESPONSES TO AMAZON.COM,
`INC., AMAZON WEB SERVICES, INC.,
`AND TWITCH INTERACTIVE INC.’S
`FIRST SET OF INTERROGATORIES
`
`AMAZON.COM, INC. and AMAZON WEB
`SERVICES, INC.,
`
`Plaintiffs,
`
`v.
`PERSONALWEB TECHNOLOGIES, LLC
`and LEVEL 3 COMMUNICATIONS, LLC,
`Defendants.
`
`PERSONALWEB TECHNOLOGIES, LLC
`and LEVEL 3 COMMUNICATIONS, LLC,
`Counterclaimants,
`
`v.
`AMAZON.COM, INC. and AMAZON WEB
`SERVICES, INC.,
`
`Counterdefendants.
`
`PERSONALWEB TECHNOLOGIES, LLC, a
`Texas limited liability company, and
`LEVEL 3 COMMUNICATIONS, LLC, a
`Delaware limited liability company
`
`RESPONSE TO AMAZON.COM, INC AMAZON
`WEB SERVICES, INC. AND TWITCH INTERACTIVE
`INC’S FIRST SET OF INTERROGATORIES
`
` CASE NO: 5:18-MD-02834-BLF
`
`

`

`Case 5:18-md-02834-BLF Document 717-9 Filed 01/07/22 Page 3 of 11
`
`Plaintiffs,
`
`v.
`TWITCH INTERACTIVE, INC. a Delaware
`corporation,
`Defendant.
`
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`
`RESPONSE TO AMAZON.COM, INC AMAZON
`WEB SERVICES, INC. AND TWITCH INTERACTIVE
`INC’S FIRST SET OF INTERROGATORIES
`
` CASE NO: 5:18-MD-02834-BLF
`
`

`

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`Case 5:18-md-02834-BLF Document 717-9 Filed 01/07/22 Page 4 of 11
`
`PROPOUNDING: Amazon.com, Inc., Amazon Web Services, Inc.,
`and Twitch Interactive, Inc.
`PersonalWeb Technologies, LLC
`One (Nos. 1–10)
`
`RESPONDING:
`SET NO:
`
`
`RESPONSES TO POST JUDGMENT INTERROGATORIES
`INTERROGATORY NO. 1:
`Identify all accounts (including but not limited to bank accounts, credit card accounts,
`brokerage accounts, investment accounts, retirement accounts, pension accounts, lease accounts,
`internet or other online service accounts, utility accounts, alarm or security service accounts, cable or
`satellite television accounts, domain name accounts, mortgages, lines of credit, real property,
`physical assets, cash assets, crypto currency or crypto assets) associated with PersonalWeb
`RESPONSE TO INTERROGATORY NO. 1:
`All information regarding the accounts requested are provided in the documents that are
`being provided concurrently herewith. However, there are no brokerage accounts, investment
`accounts, retirement accounts, pension accounts, lease accounts, utility accounts, alarm or security
`service accounts, cable or satellite television accounts, mortgages, lines of credit, real property,
`physical assets, cash assets, crypto currency or crypto assets) associated with PersonalWeb. Further
`there is not list of physical assets or cash assets (other than as provided in the documents being
`produced concurrently herewith.) Prior to 2016 PersonalWeb had used office furniture, desks,
`chairs, cubicles, and related office items. All of these items were exchanged with the landlord in the
`later part of 2015 in exchange for the last months credit, in the amount of approximately $4800.
`
`INTERROGATORY NO. 2:
`Identify all bank accounts owned or controlled by PersonalWeb or used for its benefit.
`RESPONSE TO INTERROGATORY NO. 2:
`
`1
`RESPONSE TO AMAZON.COM, INC AMAZON
`WEB SERVICES, INC. AND TWITCH INTERACTIVE
`INC’S FIRST SET OF INTERROGATORIES
`
` CASE NO: 5:18-MD-02834-BLF
`
`

`

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`Case 5:18-md-02834-BLF Document 717-9 Filed 01/07/22 Page 5 of 11
`
`All information regarding the bank accounts owned or controlled by PersonalWeb or used for
`its benefit are set forth in the documents that are being provided concurrently herewith.
`
`INTERROGATORY NO. 3:
`Identify all physical assets owned or otherwise controlled by PersonalWeb (including, but
`not limited to furniture, electronics, computer hardware, real property, and automobiles) at any time
`from January 1, 2018 to the present, including: (a) the current owner of the assets and (b) all
`circumstances regarding the receipt, acquisition, transfer or disposition of the asset, including the
`amount of any consideration exchanged for the assets, the date of the exchanges, and the parties to
`the exchanges.
`RESPONSE TO INTERROGATORY NO. 3:
`PersonalWeb has no physical assets, furniture, electronics, real property or automobiles,
`other than old computer equipment that is more than 7 years old. The specific nature of which is
`unknown at the present time.
`
`INTERROGATORY NO. 4:
`Identify all intangible assets owned or otherwise controlled by PersonalWeb at any time from
`January 1, 2018 to the present, including (a) the current owner of the assets and (b) all circumstances
`regarding the receipt, acquisition, transfer or disposition of the assets, including the amount of any
`consideration exchanged for the assets, the dates of the exchanges, and the parties to the exchanges.
`
`RESPONSE TO INTERROGATORY NO. 4:
`See response to Interrogatory 3 above which is incorporated herein by this reference. While
`at one time PersonalWeb owned various patents, they expired. No patents have been acquired or
`disposed of during the relevant time period.
`
`INTERROGATORY NO. 5:
`
`2
`RESPONSE TO AMAZON.COM, INC AMAZON
`WEB SERVICES, INC. AND TWITCH INTERACTIVE
`INC’S FIRST SET OF INTERROGATORIES
`
` CASE NO: 5:18-MD-02834-BLF
`
`

`

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`Case 5:18-md-02834-BLF Document 717-9 Filed 01/07/22 Page 6 of 11
`
`For each asset that Interrogatory 3 or 4 calls to be identified, identify all facts regarding the
`asset’s value, including all valuations of the asset, at any time from January 1, 2018 to the present.
`RESPONSE TO INTERROGATORY NO. 5:
`N/A
`
`INTERROGATORY NO. 6:
`Identify all transfers of assets (including money) between PersonalWeb and any other person
`or entity, including the date of transfer and the nature and amount of any consideration in exchange
`for the transfer.
`RESPONSE TO INTERROGATORY NO. 6:
`There has been no transfer of physical assets during the period January 1, 2018 to the present.
`All transfers of money are set forth in the bank account records provided as part of the responses to
`the request for production of documents.
`
`INTERROGATORY NO. 7:
`For each transfer that Interrogatory No. 6 calls to be identified, identify all facts concerning
`the value of the exchanged assets and consideration.
`RESPONSE TO INTERROGATORY NO. 7:
`N/A
`
`INTERROGATORY NO. 8:
`Identify each PersonalWeb asset transferred to any Person from January 1, 2018 to the
`present (including but not limited to bank accounts, credit card accounts, brokerage accounts,
`investment accounts, retirement accounts, pension accounts, lease accounts, internet or other online
`service accounts, utility accounts, alarm or security service accounts, cable or satellite television
`accounts, domain name accounts, mortgages, lines of credit , real property, physical assets, cash
`assets, crypto assets, or other assets owned or otherwise controlled by PersonalWeb), and all facts
`
`3
`RESPONSE TO AMAZON.COM, INC AMAZON
`WEB SERVICES, INC. AND TWITCH INTERACTIVE
`INC’S FIRST SET OF INTERROGATORIES
`
` CASE NO: 5:18-MD-02834-BLF
`
`

`

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`Case 5:18-md-02834-BLF Document 717-9 Filed 01/07/22 Page 7 of 11
`
`concerning the value of each asset at time of transfer.
`RESPONSE TO INTERROGATORY NO. 8:
`Other than as provided in the bank and other financial documents produced concurrently
`herewith relating to the payment of expenses and company obligations, there are no transfers of any
`PersonalWeb asset to any Person during the applicable period.
`
`INTERROGATORY NO. 9:
`Identify all communications of any persons, including attorneys, concerning the possibility or
`likelihood (or lack thereof) of any type of monetary award against PersonalWeb or its counsel
`(including but not limited to an award of fees, sanctions, or costs) in any litigation in which
`PersonalWeb was a plaintiff.
`RESPONSE TO INTERROGATORY NO. 9:
`PersonalWeb asserts the attorney/client privilege and as such will not respond any further to
`this Interrogatory.
`
`INTERROGATORY NO. 10:
`Did PersonalWeb rely upon any advice or communications of counsel in assessing the
`possibility or likelihood (or lack thereof) of an adverse monetary award (including but not limited to
`an award of fees, sanctions, or costs) in any matter in the consolidated multidistrict litigation
`captioned In re PersonalWeb Technologies, LLC, Patent Litigation, No. 5:18-md-02834-BLF
`(United States District Court, Northern District of California)?
`RESPONSE TO INTERROGATORY NO. 10:
`PersonalWeb asserts the attorney/client privilege and as such will not respond any further to
`this Interrogatory.
`
`4
`RESPONSE TO AMAZON.COM, INC AMAZON
`WEB SERVICES, INC. AND TWITCH INTERACTIVE
`INC’S FIRST SET OF INTERROGATORIES
`
` CASE NO: 5:18-MD-02834-BLF
`
`

`

`Case 5:18-md-02834-BLF Document 717-9 Filed 01/07/22 Page 8 of 11
`
`Dated: July 30, 2021
`
`STUBBS, ALDERTON & MARKILES, LLP
`
`By: /s/ Michael A. Sherman
`Michael A. Sherman
`Jeffrey F. Gersh
`Wesley W. Monroe
`Viviana Boero Hedrick
`
`Attorneys for PERSONALWEB
`TECHNOLOGIES, LLC
`
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`RESPONSE TO AMAZON.COM, INC AMAZON
`WEB SERVICES, INC. AND TWITCH INTERACTIVE
`INC’S FIRST SET OF INTERROGATORIES
`
` CASE NO: 5:18-MD-02834-BLF
`
`

`

`
`
`
`
`STUBBSALDERTON&MARKILES,LLP15260
`
`VENTURABLvp.20°FLOOR
`
`
`
`
`
`
`
`SHERMANOAKS,CALIFORNIA91403
`
`Case 5:18-md-02834-BLF Document 717-9 Filed 01/07/22 Page 9 of 11
`Case 5:18-md-02834-BLF Document 717-9 Filed 01/07/22 Page 9 of 11
`
`VERIFICATION
`
`I have read the foregoing documententitled PERSONALWEB
`
`TECHNOLOGIES, LLC’S RESPONSES TO AMAZON.COM,INC.,
`AMAZON WEBSERVICES,INC., AND TWITCH INTERACTIVEINC.’S
`
`FIRST SET OF INTERROGATORIES and knowits contents.
`
`to
`
`5
`
`The matters stated in the foregoing documentare stated to the best of my
`knowledge, except as to those matters which are stated on information and belief, and
`as to those matters, I believe them to betrue.
`I declare under penalty of perjury under the lawsofthe United States of
`
`America that the foregoing is true and correct.
`
`Precuted on TulySO, 0001, 0b_
`
`Prcay hogs AZ
`
`
`
`VERIFICATION
`
`

`

`Case 5:18-md-02834-BLF Document 717-9 Filed 01/07/22 Page 10 of 11
`
`
`
`PROOF OF SERVICE
`
`I declare as follows:
`
` I
`
` am employed in the County of Los Angeles, State of California. I am over the
`age of 18 and not a party to the within action. My business address is 15260 Ventura
`Blvd., 20th Floor, Sherman Oaks, California 91403.
`
`On July 30, 2021, I served the documents described as PERSONALWEB
`TECHNOLOGIES, LLC’S RESPONSES TO AMAZON.COM, INC., AMAZON
`WEB SERVICES, INC., AND TWITCH INTERACTIVE INC.’S FIRST SET
`OF INTERROGATORIES on the interested parties in this action as follows:
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`SEE ATTACHED SERVICE LIST
`
`TO BE SERVED BY THE COURT VIA NOTICE OF ELECTRONIC
`FILING (“NEF”) FRCP, Rule 5(b)(2)(E) (Pursuant to controlling
`General Order(s) and Local Rule(s) (“LR”), the foregoing document will
`be served by the court via NEF and hyperlink to the document to counsel
`at the email address(s) listed above.
`
`(BY OVERNIGHT DELIVERY) I am personally and readily familiar
`with the business practice of Stubbs Alderton & Markiles, LLP for
`collection and processing of correspondence for overnight delivery, and I
`caused such document(s) described herein to be deposited for delivery to a
`facility regularly maintained by Federal Express for overnight delivery.
`
`(BY ELECTRONIC SERVICE) By electronically mailing a true and
`correct copy through Stubbs Alderton & Markiles, LLP’s electronic mail
`system to the email addresses set forth below.
`
`
`Executed on July 30, 2021 at Los Angeles, California. I declare under penalty
`of perjury under the laws of the State of California that the foregoing is true and
`correct.
` /s/ Krisi Makiaris
`
`
`
`
`
`______________________________
` Krisi Makiaris
`
`
`
`
`
`PROOF OF SERVICE
`
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`STUBBS ALDERTON & MARKILES, LLP
`
`15260 VENTURA BLVD.
`
`SHERMAN OAKS, CALIFORNIA 91403
`
`20TH FLOOR
`
`

`

`Case 5:18-md-02834-BLF Document 717-9 Filed 01/07/22 Page 11 of 11
`
`SERVICE LIST
`Attorneys for Amazon.com, Inc., Amazon
`Web Services, Inc., and Twitch Interactive,
`Inc.
`
`J. DAVID HADDEN
`dhadden@fenwick.com
`SAINA S. SHAMILOV
`sshamilov@fenwick.com
`MELANIE L. MAYER
`(admitted pro hac vice)
`mmayer@fenwick.com
`TODD R. GREGORIAN
`tgregorian@fenwick.com
`RAVI R. RANGANATH
`rranganath@fenwick.com
`CHIEH TUNG
`ctung@fenwick.com
`FENWICK & WEST LLP
`Silicon Valley Center
`801 California Street
`Mountain View, CA 94041
`Telephone: 650.988.8500
`
`
`
`
`
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`2
`PROOF OF SERVICE
`
`STUBBS ALDERTON & MARKILES, LLP
`
`15260 VENTURA BLVD.
`
`SHERMAN OAKS, CALIFORNIA 91403
`
`20TH FLOOR
`
`

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