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DECLARATION OF ANJALI KUMAR IN SUPPORT
OF MOTION FOR EXTENSION OF TIME TO
RESPOND TO OPTIN'S 1
ST
AMENDED COMPLAINT
Case No. C 04-01687 (SBA)
DARRYL M. WOO (CSB No. 100513)
TYLER G. NEWBY (CSB No. 205790)
ANJALI KUMAR (CSB No. 227075)
FENWICK & WEST LLP
275 Battery Street, Suite 1500
San Francisco, CA 94111
Telephone: (415) 875-2300
Facsimile: (415) 281-1350
Attorneys for Defendants
IRONPORT SYSTEMS, INC., and
SPAMCOP.NET, INC.
UNITED STATES DISTRICT COURT
NORTHERN DISTRICT OF CALIFORNIA
OAKLAND DIVISION
OPTINREALBIG.COM, LLC, a Nevada
Limited Liability Company,
Plaintiff,
v.
IRONPORT SYSTEMS, INC. dba
SPAMCOP.NET, INC., a Delaware
Corporation registered to do and doing
business in California and DOES 1
through 100, inclusive,
Defendants.
Case No. C-04-1687 (SBA)
DECLARATION OF ANJALI KUMAR IN
SUPPORT OF SPAMCOP.NET, INC. AND
IRONPORT SYSTEMS, INC.'S
EMERGENCY MOTION FOR EXTENSION
OF TIME TO RESPOND TO FIRST
AMENDED COMPLAINT
I, Anjali Kumar, declare:
1.
I am an attorney duly licensed to practice in California and an associate at the
law firm of Fenwick & West LLP, counsel for Defendant IronPort Systems, Inc. and its wholly-
owned subsidiary SpamCop.Net, Inc. ("SpamCop"). I have personal knowledge of the matters
set forth herein, and if called upon to do so, I could and would testify competently thereto.
2.
I have attempted to contact opposing counsel, Michah Jacobs, partner at Jacobs
and Ferraro, in this case repeatedly starting on June 29, 2004. I have not heard from opposing
counsel in response to my repeated voicemails.
3.
I was informed today that Mr. Jacobs, has been hospitalized and is out of the
office recuperating.