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Case 5:04-cv-01497-RS Document 41 Filed 08/27/2004 Page 1 of 2
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22 I, Brian R. Blackman, declare:
24 Sheppard Mullin Richter and Hampton, LLP, counsel of records for plaintiff and counterdefendant
25 Digital Envoy, Inc. in this matter. I make this declaration based on my personal knowledge and
26 would competently testify to these statements if called to do so.
27 2. On August 27, 2004, I called David Kramer and his colleague Stephen C. Holmes,
28 counsel of records for Google, Inc. in this matter, to see if Google would stipulate to allowing
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W02-SF:5BB\61426761.1 DEC. OF BRIAN BLACKMAN ISO
MTN. FOR LEAVE TO AMEND
Dockets.Justia.com
Case 5:04-cv-01497-RS Document 41 Filed 08/27/2004 Page 2 of 2
1 Digital Envoy to file the Amended Complaint. The parties could not reach a final agreement.
2 Plaintiff Digital Envoy brings this motion to preserve its rights to seek amendment of the
3 pleadings.
4 3. Attached as Exhibit A is a true copy of the Amended Complaint.
5 I declare under the penalty of perjury that the above statements are true. Executed this
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W02-SF:5BB\61426761.1 DEC. OF BRIAN BLACKMAN ISO
MTN. FOR LEAVE TO AMEND