2279
Fax:
1-888-797-4849
57r-iS
Yelp Inc
Custodian of Records
140 New Montgomery St 9th Fl
San Francisco, CA 94105
Requested records: See Attachment 3, incorporated herein by reference.
SSN:
Date of Birth:
Case Name: Link Corporation
Vs.
000-00-0000
You must make these records available under reasonable conditions during normal business hours. You may
comply with this request in one of several ways:
Fill out the attached READY TO COPY Form and fax it to (888) 797-4849. We will assign a representative to
come and copy/pick up records.
Call our office and tell us when the records will be ready to copy/pick up. Call 1-888-RDY2CPY (739-2279).
Email records to officecastlecoov.com . Include the signed Declaration of Custodian of Records.
Mail us a copy of records. If records are originals, please attach a note so that we may return them to you once records
are copied. Include the signed Declaration of Custodian of Records.
MAIL TO:
Please include every item set forth on the request; only limit dates if it has been requested.
Read and sign the "Declaration of Custodian of Records" and return it along with your-records.
If you find that you have NONE of the requested records please fill out the "Declaration of
Custodian of Records". Check off Certification of "No Records", sign, date and return to our
office.
Please do not mail your records to the law firm or insurance carrier. Only mail records to the
court if the subpoena states to do so (Subpoena to Trial). We are the authorized
Professional Photocopier assigned to this case and we will disseminate the records to the
authorized parties.
PLEASE NOTE: WE WILL NOT HONOR BILLINGS FROM OTHER COPY SERVICES WITHOUT PRIOR APPROVAL
INSSDTCORRTC.LOCOVR- SKP
CASTLE
COPY
SERVICE
INC'
Link Corporation
Does 1 through 10 Inclusive
The Custodian of Records or other qualified witness for Yelp Inc , in regards to: See Attachment 3, incorporated herein by
reference.
1. CERTIFICATION OF:
RECORDS
X-RAYS
As the duly authorized Custodian of Records, or other qualified witness for the above named entity, I have authority to certify these records.
The duplicated or photocopied records submitted herein are true copies of all the records described in the Subpoena Duces Tecum /
Authorization. Or pursuant to subdivision (e) of Section 1560 of the California Evidence Code, the records were delivered to the attorney
or the attorney's representative for copying at the custodian's place of business, as the case may be.
To the best of my knowledge, all such records were prepared or compiled by the personnel of the above named business in the ordinary
course of business at or near the time of the acts, conditions or events recorded. The sources of information and method and time of
preparation were such as to indicate its trustworthiness.
No documents have been withheld in order to avoid their being copied. If we have only part of the records described in the Subpoena Duces
Tecum / Authorization such records as are now available, have been provided.
The mode of preparation is that our paper and computer records were searched, and copies were made available.
2. CERTIFICATION OF:
NO RECORDS
NO X RAYS
-
As the duly authorized Custodian of Records, or other qualified witness for the above named entity, I have authority to certify these records.
A thorough search has been made for the documents described in the Subpoena Duces Tecum/ Authorization and, based on the information
provided to us for identification, no such records were found.
No copies or records are transmitted because we do not have said records. The records are located or may be found at:
Only partial records are provided.
REASON:
1 certify (or declare) under penalty of perjury under the laws of the State of California that the foregoing is true and correct.
Executed on
at
(Date)
Print Name
Signature
Complete
This
Section
I certify that these records have been transmitted or distributed to authorized persons or entities only. I declare under penalty of perjury under the laws of the State
of California that the foregoing is true and correct.
Executed on
at
(Date)
Print Name
LGDECL -SKP
-Ready To Copy-
Records of:
000134506
From: Yelp Inc
Custodian of Records
140 New Montgomery St 9th Fl
San Francisco, CA 94105
Is the Copy/Pick up address different from the address above?
No
If bills and/or X-Rays are being requested are they kept at your facility? YES
If No, the bills and/or X-Rays are located at:
No
Yes, from
Thursday
Special instructions:
Thank you,
Castle Copy Service
RTC.LORTCSKP
Friday
to
Yes
NO
Phone:
Yes Amount : $
ext:
SUBP-010
ATTORNEY OR PARTY WITHOUT ATTORNEY (NAME, STATE BAR NUMBER, AND ADDRESS)
Castle Copy #
Atkinson-Farasyn LLP
273121
01
(650)967-6941
Steven G Baird Esq
660 W Dana St
Mountain View, CA 94041 - 1302
ATTORNEY FOR (name)
Plaintiff
DEPOSITION SUBPOENA
At
10:00 A.M.
Location: 2550 Warren Drive, Rocklin, CA 95677 (or) Mail to: P.O. Box 3010 Rocklin, CA 95677
Do not release the requested records to the deposition officer prior to the date and time stated above.
by delivering a true, legible, and durable copy of the business records described in item 3, enclosed in a sealed inner
wrapper with the title and number of the action, name of witness, and date of subpoena clearly written on it. The inner
wrapper shall then be enclosed in an outer envelope or wrapper, sealed, and mailed to the deposition officer at the
address in item 1.
by delivering a true, legible, and durable copy of the business records described in item 3 to the deposition officer at the
witness's address, on receipt of payment in cash or by check of the reasonable costs of preparing the copy, as determined
under Evidence Code section 1563(b).
by making the original business records described in item three available for inspection at your business address by the
attorney's representative and permitting copying at your business address under reasonable conditions during normal
business hours.
The records are to be produced by the date and time shown in item 1 (but not sooner than 20 days after the issuance of the deposition
subpoena, or 15 days after service, whichever date is later). Reasonable costs of locating records, making them available or copying them,
and postage, if any, are recoverable as set forth in Evidence Code section 1563(b). The records shall be accompanied by an affidavit of
the custodian or other qualified witnesses pursuant to Evidence Code section 1561.
The records to be produced are described as follows:
See Attachment 3, incorporated herein by reference.
D.O.B.
, SS# 000-00-0000
Continued on Attachment 3.
IF YOU HAVE BEEN SERVED WITH THIS SUBPOENA AS A CUSTODIAN OF CONSUMER OR EMPLOYEE RECORDS UNDER CODE OF
CIVIL PROCEDURE SECTION 1985.3 OR 1985.6 AND A MOTION TO QUASH OR AN OBJECTION HAS BEEN SERVED ON YOU, A
COURT ORDER OR AGREEMENT OF THE PARTIES, WITNESSES, AND CONSUMER OR EMPLOYEE AFFECTED MUST BE OBTAINED
BEFORE YOU ARE REQUIRED TO PRODUCE CONSUMER OR EMPLOYEE RECORDS
DISOBEDIENCE OF THIS SUBPOENA MAY BE PUNISHED AS CONTEMPT BY THIS COURT. YOU WILL ALSO BE LIABLE
FOR THE SUM OF FIVE HUNDRED DOLLARS AND ALL DAMAGES RESULTING FROM YOUR FAILURE TO OBEY.
Date issued: June 11, 2015
Steven G Baird Esq
(TYPE OR PRINT NAME)
Attorney At Law
Form Adopted for Mandatory Use
Judicial Council of California
SUBP-010 (Rev. January 1, 2007)
CIVSDT.PSDEPS-SKP
(TITLE)
SUBP-010
Attachmc.ntl
A. All documents that include the name, street address, United States Postal
Service address, email address and telephone number (or any part of the above
information individually or in combination with other parts of that information) for
the person who identified himself/herself as "Sassy J. Richmond, CA" in the
review posted on 6/4/2015 on Yelp.com for the business, Link Corporation, a
California contractor located in Palo Alto, California. If any of these documents
are kept as electronically stored information, then hard-copy printouts of the
documents are to be produced. B. All documents that include the name, street
address, United States Postal Service address, email address and telephone
number (or any part of the above information individually or in combination with
other parts of that information) for the person who identified himself/herself as
"Shelbi G. Palo Alto, CA" in the review posted on 5/31/2015 on Yelp.com for the
business, Link Corporation, a California contractor located in Palo Alto,
California. If any of these documents are kept as electronically stored
information, then hard-copy printouts of the documents are to be produced. C. Al
documents that include the name, street address, United States Postal Service
address, email address and telephone number (or any part of the above
information individually or in combination with other parts of that information) for
the person who identified himself/herself as "Sholomo G. Atherton, CA" in the
review posted on 5/31/2015 on Yelp.com for the business, Link Corporation, a
California contractor located in Palo Alto, California. If any of these documents
are kept as electronically stored information, then hard-copy printouts of the
SUBP-010
documents are to be produced. D. All documents that include the name, street
address, United States Postal Service address, email address and telephone
number (or any part of the above information individually or in combination with
other parts of that information) for the person who identified himself/herself as
"Cedric J. Palo Alto, CA" in the review posted on 4/19/2015 on Yelp.com
for the
contractor located in Palo Alto, California. If any of these documents are kept as
electronically stored information, then hard-copy printouts of the documents are
to be produced. F. All documents that include the name, street address, United
States Postal Service address, email address and telephone number (or any part
of the above information individually or in combination with other parts of that
information) for the person who identified himself/herself as "Jenyu X. Cupertino,
CA" in the review posted on 6/3/2015 on Yelp.com for the business, Link
Corporation, a California contractor located in Palo Alto, California. If any of
these documents are kept as electronically stored information, then hard-copy
printouts of the documents are to be produced. G. All documents that include the
SUBP-010
name, street address, United States Postal Service address, email address and
telephone number (or any part of the above information individually or in
combination with other parts of that information) for the person who identified
himself/herself as "Siliconvalley C. Los Altos, CA" in the review posted on
6/7/2015 on Yelp.com for the business, Link Corporation, a California contractor
located in Palo Alto, California. If any of these documents are kept as
electronically stored information, then hard-copy printouts of the documents are
to be produced. H. All documents that include the name, street address, United
States Postal Service address, email address and telephone number (or any part
of the above information individually or in combination with other parts of that
information) for the person who identified himself/herself as "Deepak P.
Sunnyvale, CA" in the review posted on 6/6/2015 on Yelp.com for the business,
Link Corporation, a California contractor located in Palo Alto, California. If any of
these documents are kept as electronically stored information, then hard-copy
printouts of the documents are to be produced.
The production of the documents or the other things sought by the subpoena on page one is
supported by (check one)
the attached affidavit or declaration z the following declaration:
I, the undersigned, declare I am the attorney for the Plaintiff in the above entitled action.
The witness has possession or control of the following documents or other things, including but not limited to
See Attachment 3, incorporated herein by reference.
Ii Continued on Attachment 2.
Good cause exists for the production of the documents or other things described in paragraph 2 for the following
reasons:
These documents are material to the issues in this case in that the records, documents or writings will tend
to prove the issues of liability and the nature and extent of damages.
Continued on Attachment 3
4. These documents or other things described in paragraph 2 are material to the issues involved in this case for the
following reasons:
Good cause exists for their production in that the records requested are unavailable elsewhere and may lead to the
discovery of admissible evidence. They are the only reliable source of information for a fair case presentation.
Continued on Attachment 4
I declare under penalty of perjury under the laws of the State of California that the foregoing is true and correct.
SKP
AS m
COPY SERVICE
INC
Atkinson-Farasyn LLP
Steven G Baird Esq
660 W Dana St
Mountain View, CA 94041-1302
Attorney for: Plaintiff
Case No.1-15-CV-281637
Link Corporation
Plaintiff,
VS
P.O. Box 3010, Rocklin, CA 95677 Voice (800) 794-3006 Fax (800) 797-4749