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Case number 6:21-cv-00755

Gentex Corporation et al v. Meta Platforms, Inc. et al > Documents

Date Field Doc. No.Description (Pages)
Jul 8, 2022 78 Redacted Copy of 76 Sealed Order by Meta Platforms Technologies, LLC, Meta Platforms, Inc.. (Amstutz, Paige) (Entered: 07/08/2022) (22)
Jul 8, 2022 80 Unopposed MOTION for Leave to File DEFENDANTS' MOTION TO SEAL DKT. 79 by Meta Platforms Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Exhibit 1, # 2 Proposed Order)(Amstutz, Paige) (Entered: 07/08/2022) (Main Document) (4)
Jul 8, 2022 81 ORDER GRANTING 80 Motion for Leave to File. Signed by Judge Alan D Albright. (zv) (Entered: 07/08/2022) (1)
Jul 8, 2022 82 Redacted Copy of 79 Memorandum Opinion and Order. (zv) (Entered: 07/08/2022) (22)
Jul 8, 2022 80 Unopposed MOTION for Leave to File DEFENDANTS' MOTION TO SEAL DKT. 79 by Meta Platforms Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Exhibit 1, # 2 Proposed Order)(Amstutz, Paige) (Entered: 07/08/2022) (Exhibit 1) (3)
Jul 8, 2022 80 Unopposed MOTION for Leave to File DEFENDANTS' MOTION TO SEAL DKT. 79 by Meta Platforms Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Exhibit 1, # 2 Proposed Order)(Amstutz, Paige) (Entered: 07/08/2022) (Proposed Order) (1)
Jul 7, 2022 77 Report on Patent/Trademark sent to U.S. Patent and Trademark Office. (bot1) (Entered: 07/07/2022) (1)
Jul 5, 2022 N/A Case transferred from TXWD has been received and opened in California Northern District as case number 5:22-cv-03892. (zv) (Entered: 07/07/2022) (0)
Jun 30, 2022 76 Sealed Order. Signed by Judge Alan D Albright. (sm3) (Entered: 07/01/2022) (0)
Jun 30, 2022 N/A Case transferred to District of California Northern District. (zv) (Entered: 07/07/2022) (0)
Jun 30, 2022 79 MEMORANDUM OPINION AND ORDER re 39 Sealed Motion,, filed by Meta Platforms, Inc., Meta Platforms Technologies, LLC. Signed by Judge Alan D Albright. (sv) Modified on 7/8/2022 to seal document per PTlc. Parties will provide a redacted version (zv). (Entered: 07/08/2022) (0)
Jun 29, 2022 75 ORDER VACATING July 1, 2022 Markman HEARING. Signed by Judge Alan D Albright. (lad) (Entered: 06/29/2022) (1)
Jun 23, 2022 74 Redacted Copy of 68 Sealed Motion for Leave to File a Sur-Reply In Opposition to Meta's Motion to Transfer Venue Under 28 U.S.C. § 1404 (A) by Gentex Corporation, Indigo Technologies, LLC by Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Proposed Order)(Thompson, G.) (Entered: 06/23/2022) (Main Document) (5)
Jun 23, 2022 74 Redacted Copy of 68 Sealed Motion for Leave to File a Sur-Reply In Opposition to Meta's Motion to Transfer Venue Under 28 U.S.C. § 1404 (A) by Gentex Corporation, Indigo Technologies, LLC by Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Proposed Order)(Thompson, G.) (Entered: 06/23/2022) (Proposed Order) (1)
Jun 21, 2022 72 ORDER CANCELLING June 24, 2022 MARKMAN HEARING VIA ZOOM. Signed by Judge Derek T. Gilliland. (lad) (Entered: 06/21/2022) (1)
Jun 21, 2022 73 ORDER: Markman Hearing set for 7/1/2022 03:00 PM before Judge Alan D Albright. Signed by Judge Alan D Albright. (lad) (Entered: 06/21/2022) (1)
Jun 14, 2022 71 Response in Opposition to Motion, filed by Meta Platforms Technologies, LLC, Meta Platforms, Inc., re 68 Sealed Motion for Leave to File a Sur-Reply In Opposition to Meta's Motion to Transfer Venue Under 28 U.S.C. § 1404 (A) by Gentex Corporation, Indigo Technologies, LLC filed by Plaintiff Indigo Technologies, LLC, Plaintiff Gentex Corporation (Turner, Ellisen) (Entered: 06/14/2022) (5)
Jun 10, 2022 69 NOTICE Notice Regarding Agreed Extension of Deadline to Serve Final Infringement Contentions and Final Invalidity Contentions by Meta Platforms Technologies, LLC, Meta Platforms, Inc. (Amstutz, Paige) (Entered: 06/10/2022) (3)
Jun 10, 2022 70 Redacted Copy of 66 Sealed Document,,,, by Meta Platforms Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Exhibit GG, # 2 Exhibit HH, # 3 Exhibit JJ, # 4 Exhibit KK, # 5 Exhibit LL, # 6 Exhibit NN, # 7 Exhibit OO, # 8 Exhibit QQ, # 9 Exhibit RR, # 10 Exhibit UU, # 11 Exhibit WW, # 12 Exhibit XX, # 13 Exhibit YY, # 14 Exhibit ZZ, # 15 Exhibit AAA, # 16 Exhibit BBB, # 17 Exhibit CCC, # 18 Exhibit DDD, # 19 Exhibit FFF, # 20 Exhibit GGG)(Turner, Ellisen) (Entered: 06/10/2022) (Main Document) (11)
Jun 10, 2022 70 Redacted Copy of 66 Sealed Document,,,, by Meta Platforms Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Exhibit GG, # 2 Exhibit HH, # 3 Exhibit JJ, # 4 Exhibit KK, # 5 Exhibit LL, # 6 Exhibit NN, # 7 Exhibit OO, # 8 Exhibit QQ, # 9 Exhibit RR, # 10 Exhibit UU, # 11 Exhibit WW, # 12 Exhibit XX, # 13 Exhibit YY, # 14 Exhibit ZZ, # 15 Exhibit AAA, # 16 Exhibit BBB, # 17 Exhibit CCC, # 18 Exhibit DDD, # 19 Exhibit FFF, # 20 Exhibit GGG)(Turner, Ellisen) (Entered: 06/10/2022) (Exhibit GG) (13)
Jun 10, 2022 70 Redacted Copy of 66 Sealed Document,,,, by Meta Platforms Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Exhibit GG, # 2 Exhibit HH, # 3 Exhibit JJ, # 4 Exhibit KK, # 5 Exhibit LL, # 6 Exhibit NN, # 7 Exhibit OO, # 8 Exhibit QQ, # 9 Exhibit RR, # 10 Exhibit UU, # 11 Exhibit WW, # 12 Exhibit XX, # 13 Exhibit YY, # 14 Exhibit ZZ, # 15 Exhibit AAA, # 16 Exhibit BBB, # 17 Exhibit CCC, # 18 Exhibit DDD, # 19 Exhibit FFF, # 20 Exhibit GGG)(Turner, Ellisen) (Entered: 06/10/2022) (Exhibit HH) (16)
Jun 10, 2022 70 Redacted Copy of 66 Sealed Document,,,, by Meta Platforms Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Exhibit GG, # 2 Exhibit HH, # 3 Exhibit JJ, # 4 Exhibit KK, # 5 Exhibit LL, # 6 Exhibit NN, # 7 Exhibit OO, # 8 Exhibit QQ, # 9 Exhibit RR, # 10 Exhibit UU, # 11 Exhibit WW, # 12 Exhibit XX, # 13 Exhibit YY, # 14 Exhibit ZZ, # 15 Exhibit AAA, # 16 Exhibit BBB, # 17 Exhibit CCC, # 18 Exhibit DDD, # 19 Exhibit FFF, # 20 Exhibit GGG)(Turner, Ellisen) (Entered: 06/10/2022) (Exhibit JJ) (2)
Jun 10, 2022 70 Redacted Copy of 66 Sealed Document,,,, by Meta Platforms Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Exhibit GG, # 2 Exhibit HH, # 3 Exhibit JJ, # 4 Exhibit KK, # 5 Exhibit LL, # 6 Exhibit NN, # 7 Exhibit OO, # 8 Exhibit QQ, # 9 Exhibit RR, # 10 Exhibit UU, # 11 Exhibit WW, # 12 Exhibit XX, # 13 Exhibit YY, # 14 Exhibit ZZ, # 15 Exhibit AAA, # 16 Exhibit BBB, # 17 Exhibit CCC, # 18 Exhibit DDD, # 19 Exhibit FFF, # 20 Exhibit GGG)(Turner, Ellisen) (Entered: 06/10/2022) (Exhibit KK) (21)
Jun 10, 2022 70 Redacted Copy of 66 Sealed Document,,,, by Meta Platforms Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Exhibit GG, # 2 Exhibit HH, # 3 Exhibit JJ, # 4 Exhibit KK, # 5 Exhibit LL, # 6 Exhibit NN, # 7 Exhibit OO, # 8 Exhibit QQ, # 9 Exhibit RR, # 10 Exhibit UU, # 11 Exhibit WW, # 12 Exhibit XX, # 13 Exhibit YY, # 14 Exhibit ZZ, # 15 Exhibit AAA, # 16 Exhibit BBB, # 17 Exhibit CCC, # 18 Exhibit DDD, # 19 Exhibit FFF, # 20 Exhibit GGG)(Turner, Ellisen) (Entered: 06/10/2022) (Exhibit LL) (13)
Jun 10, 2022 70 Redacted Copy of 66 Sealed Document,,,, by Meta Platforms Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Exhibit GG, # 2 Exhibit HH, # 3 Exhibit JJ, # 4 Exhibit KK, # 5 Exhibit LL, # 6 Exhibit NN, # 7 Exhibit OO, # 8 Exhibit QQ, # 9 Exhibit RR, # 10 Exhibit UU, # 11 Exhibit WW, # 12 Exhibit XX, # 13 Exhibit YY, # 14 Exhibit ZZ, # 15 Exhibit AAA, # 16 Exhibit BBB, # 17 Exhibit CCC, # 18 Exhibit DDD, # 19 Exhibit FFF, # 20 Exhibit GGG)(Turner, Ellisen) (Entered: 06/10/2022) (Exhibit NN) (2)
Jun 10, 2022 70 Redacted Copy of 66 Sealed Document,,,, by Meta Platforms Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Exhibit GG, # 2 Exhibit HH, # 3 Exhibit JJ, # 4 Exhibit KK, # 5 Exhibit LL, # 6 Exhibit NN, # 7 Exhibit OO, # 8 Exhibit QQ, # 9 Exhibit RR, # 10 Exhibit UU, # 11 Exhibit WW, # 12 Exhibit XX, # 13 Exhibit YY, # 14 Exhibit ZZ, # 15 Exhibit AAA, # 16 Exhibit BBB, # 17 Exhibit CCC, # 18 Exhibit DDD, # 19 Exhibit FFF, # 20 Exhibit GGG)(Turner, Ellisen) (Entered: 06/10/2022) (Exhibit OO) (5)
Jun 10, 2022 70 Redacted Copy of 66 Sealed Document,,,, by Meta Platforms Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Exhibit GG, # 2 Exhibit HH, # 3 Exhibit JJ, # 4 Exhibit KK, # 5 Exhibit LL, # 6 Exhibit NN, # 7 Exhibit OO, # 8 Exhibit QQ, # 9 Exhibit RR, # 10 Exhibit UU, # 11 Exhibit WW, # 12 Exhibit XX, # 13 Exhibit YY, # 14 Exhibit ZZ, # 15 Exhibit AAA, # 16 Exhibit BBB, # 17 Exhibit CCC, # 18 Exhibit DDD, # 19 Exhibit FFF, # 20 Exhibit GGG)(Turner, Ellisen) (Entered: 06/10/2022) (Exhibit QQ) (3)
Jun 10, 2022 70 Redacted Copy of 66 Sealed Document,,,, by Meta Platforms Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Exhibit GG, # 2 Exhibit HH, # 3 Exhibit JJ, # 4 Exhibit KK, # 5 Exhibit LL, # 6 Exhibit NN, # 7 Exhibit OO, # 8 Exhibit QQ, # 9 Exhibit RR, # 10 Exhibit UU, # 11 Exhibit WW, # 12 Exhibit XX, # 13 Exhibit YY, # 14 Exhibit ZZ, # 15 Exhibit AAA, # 16 Exhibit BBB, # 17 Exhibit CCC, # 18 Exhibit DDD, # 19 Exhibit FFF, # 20 Exhibit GGG)(Turner, Ellisen) (Entered: 06/10/2022) (Exhibit RR) (3)
Jun 10, 2022 70 Redacted Copy of 66 Sealed Document,,,, by Meta Platforms Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Exhibit GG, # 2 Exhibit HH, # 3 Exhibit JJ, # 4 Exhibit KK, # 5 Exhibit LL, # 6 Exhibit NN, # 7 Exhibit OO, # 8 Exhibit QQ, # 9 Exhibit RR, # 10 Exhibit UU, # 11 Exhibit WW, # 12 Exhibit XX, # 13 Exhibit YY, # 14 Exhibit ZZ, # 15 Exhibit AAA, # 16 Exhibit BBB, # 17 Exhibit CCC, # 18 Exhibit DDD, # 19 Exhibit FFF, # 20 Exhibit GGG)(Turner, Ellisen) (Entered: 06/10/2022) (Exhibit UU) (14)
Jun 10, 2022 70 Redacted Copy of 66 Sealed Document,,,, by Meta Platforms Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Exhibit GG, # 2 Exhibit HH, # 3 Exhibit JJ, # 4 Exhibit KK, # 5 Exhibit LL, # 6 Exhibit NN, # 7 Exhibit OO, # 8 Exhibit QQ, # 9 Exhibit RR, # 10 Exhibit UU, # 11 Exhibit WW, # 12 Exhibit XX, # 13 Exhibit YY, # 14 Exhibit ZZ, # 15 Exhibit AAA, # 16 Exhibit BBB, # 17 Exhibit CCC, # 18 Exhibit DDD, # 19 Exhibit FFF, # 20 Exhibit GGG)(Turner, Ellisen) (Entered: 06/10/2022) (Exhibit WW) (4)
Jun 10, 2022 70 Redacted Copy of 66 Sealed Document,,,, by Meta Platforms Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Exhibit GG, # 2 Exhibit HH, # 3 Exhibit JJ, # 4 Exhibit KK, # 5 Exhibit LL, # 6 Exhibit NN, # 7 Exhibit OO, # 8 Exhibit QQ, # 9 Exhibit RR, # 10 Exhibit UU, # 11 Exhibit WW, # 12 Exhibit XX, # 13 Exhibit YY, # 14 Exhibit ZZ, # 15 Exhibit AAA, # 16 Exhibit BBB, # 17 Exhibit CCC, # 18 Exhibit DDD, # 19 Exhibit FFF, # 20 Exhibit GGG)(Turner, Ellisen) (Entered: 06/10/2022) (Exhibit XX) (3)
Jun 10, 2022 70 Redacted Copy of 66 Sealed Document,,,, by Meta Platforms Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Exhibit GG, # 2 Exhibit HH, # 3 Exhibit JJ, # 4 Exhibit KK, # 5 Exhibit LL, # 6 Exhibit NN, # 7 Exhibit OO, # 8 Exhibit QQ, # 9 Exhibit RR, # 10 Exhibit UU, # 11 Exhibit WW, # 12 Exhibit XX, # 13 Exhibit YY, # 14 Exhibit ZZ, # 15 Exhibit AAA, # 16 Exhibit BBB, # 17 Exhibit CCC, # 18 Exhibit DDD, # 19 Exhibit FFF, # 20 Exhibit GGG)(Turner, Ellisen) (Entered: 06/10/2022) (Exhibit YY) (11)
Jun 10, 2022 70 Redacted Copy of 66 Sealed Document,,,, by Meta Platforms Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Exhibit GG, # 2 Exhibit HH, # 3 Exhibit JJ, # 4 Exhibit KK, # 5 Exhibit LL, # 6 Exhibit NN, # 7 Exhibit OO, # 8 Exhibit QQ, # 9 Exhibit RR, # 10 Exhibit UU, # 11 Exhibit WW, # 12 Exhibit XX, # 13 Exhibit YY, # 14 Exhibit ZZ, # 15 Exhibit AAA, # 16 Exhibit BBB, # 17 Exhibit CCC, # 18 Exhibit DDD, # 19 Exhibit FFF, # 20 Exhibit GGG)(Turner, Ellisen) (Entered: 06/10/2022) (Exhibit ZZ) (3)
Jun 10, 2022 70 Redacted Copy of 66 Sealed Document,,,, by Meta Platforms Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Exhibit GG, # 2 Exhibit HH, # 3 Exhibit JJ, # 4 Exhibit KK, # 5 Exhibit LL, # 6 Exhibit NN, # 7 Exhibit OO, # 8 Exhibit QQ, # 9 Exhibit RR, # 10 Exhibit UU, # 11 Exhibit WW, # 12 Exhibit XX, # 13 Exhibit YY, # 14 Exhibit ZZ, # 15 Exhibit AAA, # 16 Exhibit BBB, # 17 Exhibit CCC, # 18 Exhibit DDD, # 19 Exhibit FFF, # 20 Exhibit GGG)(Turner, Ellisen) (Entered: 06/10/2022) (Exhibit AAA) (2)
Jun 10, 2022 70 Redacted Copy of 66 Sealed Document,,,, by Meta Platforms Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Exhibit GG, # 2 Exhibit HH, # 3 Exhibit JJ, # 4 Exhibit KK, # 5 Exhibit LL, # 6 Exhibit NN, # 7 Exhibit OO, # 8 Exhibit QQ, # 9 Exhibit RR, # 10 Exhibit UU, # 11 Exhibit WW, # 12 Exhibit XX, # 13 Exhibit YY, # 14 Exhibit ZZ, # 15 Exhibit AAA, # 16 Exhibit BBB, # 17 Exhibit CCC, # 18 Exhibit DDD, # 19 Exhibit FFF, # 20 Exhibit GGG)(Turner, Ellisen) (Entered: 06/10/2022) (Exhibit BBB) (6)
Jun 10, 2022 70 Redacted Copy of 66 Sealed Document,,,, by Meta Platforms Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Exhibit GG, # 2 Exhibit HH, # 3 Exhibit JJ, # 4 Exhibit KK, # 5 Exhibit LL, # 6 Exhibit NN, # 7 Exhibit OO, # 8 Exhibit QQ, # 9 Exhibit RR, # 10 Exhibit UU, # 11 Exhibit WW, # 12 Exhibit XX, # 13 Exhibit YY, # 14 Exhibit ZZ, # 15 Exhibit AAA, # 16 Exhibit BBB, # 17 Exhibit CCC, # 18 Exhibit DDD, # 19 Exhibit FFF, # 20 Exhibit GGG)(Turner, Ellisen) (Entered: 06/10/2022) (Exhibit CCC) (3)
Jun 10, 2022 70 Redacted Copy of 66 Sealed Document,,,, by Meta Platforms Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Exhibit GG, # 2 Exhibit HH, # 3 Exhibit JJ, # 4 Exhibit KK, # 5 Exhibit LL, # 6 Exhibit NN, # 7 Exhibit OO, # 8 Exhibit QQ, # 9 Exhibit RR, # 10 Exhibit UU, # 11 Exhibit WW, # 12 Exhibit XX, # 13 Exhibit YY, # 14 Exhibit ZZ, # 15 Exhibit AAA, # 16 Exhibit BBB, # 17 Exhibit CCC, # 18 Exhibit DDD, # 19 Exhibit FFF, # 20 Exhibit GGG)(Turner, Ellisen) (Entered: 06/10/2022) (Exhibit DDD) (5)
Jun 10, 2022 70 Redacted Copy of 66 Sealed Document,,,, by Meta Platforms Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Exhibit GG, # 2 Exhibit HH, # 3 Exhibit JJ, # 4 Exhibit KK, # 5 Exhibit LL, # 6 Exhibit NN, # 7 Exhibit OO, # 8 Exhibit QQ, # 9 Exhibit RR, # 10 Exhibit UU, # 11 Exhibit WW, # 12 Exhibit XX, # 13 Exhibit YY, # 14 Exhibit ZZ, # 15 Exhibit AAA, # 16 Exhibit BBB, # 17 Exhibit CCC, # 18 Exhibit DDD, # 19 Exhibit FFF, # 20 Exhibit GGG)(Turner, Ellisen) (Entered: 06/10/2022) (Exhibit FFF) (2)
Jun 10, 2022 70 Redacted Copy of 66 Sealed Document,,,, by Meta Platforms Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Exhibit GG, # 2 Exhibit HH, # 3 Exhibit JJ, # 4 Exhibit KK, # 5 Exhibit LL, # 6 Exhibit NN, # 7 Exhibit OO, # 8 Exhibit QQ, # 9 Exhibit RR, # 10 Exhibit UU, # 11 Exhibit WW, # 12 Exhibit XX, # 13 Exhibit YY, # 14 Exhibit ZZ, # 15 Exhibit AAA, # 16 Exhibit BBB, # 17 Exhibit CCC, # 18 Exhibit DDD, # 19 Exhibit FFF, # 20 Exhibit GGG)(Turner, Ellisen) (Entered: 06/10/2022) (Exhibit GGG) (21)
Jun 8, 2022 68 Sealed Motion for Leave to File a Sur-Reply In Opposition to Meta's Motion to Transfer Venue Under 28 U.S.C. § 1404 (A) by Gentex Corporation, Indigo Technologies, LLC (Attachments: # 1 Exhibit A- Plaintiffs' Sur-Reply to Meta's Motion to Transfer Venue Under 28 U.S.C. § 1404 (A), # 2 Proposed Order) (Thompson, G.) (Entered: 06/08/2022) (0)
Jun 6, 2022 67 STATUS REPORT REGARDING OPPOSED MOTION TO TRANSFER VENUE (Dkt. 39-40) by Meta Platforms Technologies, LLC, Meta Platforms, Inc.. (Amstutz, Paige) (Entered: 06/06/2022) (2)
Jun 3, 2022 66 Sealed Document: Defendants' Reply in Support of Motion to Transfer to the Northern District of California of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Meta Platforms Technologies, LLC, Meta Platforms, Inc. (Attachments: # 1 Declaration of Andrew Melim, # 2 Declaration of Jonathan Wright, # 3 Declaration of Nicholas Wong, # 4 Declaration of Joshua Glucoft, # 5 Exhibit GG, # 6 Exhibit HH, # 7 Exhibit II, # 8 Exhibit JJ, # 9 Exhibit KK, # 10 Exhibit LL, # 11 Exhibit MM, # 12 Exhibit NN, # 13 Exhibit OO, # 14 Exhibit PP, # 15 Exhibit QQ, # 16 Exhibit RR, # 17 Exhibit SS, # 18 Exhibit TT, # 19 Exhibit UU, # 20 Exhibit VV, # 21 Exhibit WW, # 22 Exhibit XX, # 23 Exhibit YY, # 24 Exhibit ZZ, # 25 Exhibit AAA, # 26 Exhibit BBB, # 27 Exhibit CCC, # 28 Exhibit DDD, # 29 Exhibit EEE, # 30 Exhibit FFF, # 31 Exhibit GGG, # 32 Exhibit HHH) (Turner, Ellisen) (Entered: 06/03/2022) (0)
May 31, 2022 64 Redacted Copy of 61 Response in Opposition to Motion,,,,,, by Gentex Corporation, Indigo Technologies, LLC. (Thompson, G.) (Entered: 05/31/2022) (21)
May 31, 2022 65 Unopposed MOTION to Seal Exhibit 28 to re 61 Response in Opposition to Motion,,,,,, by Meta Platforms Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Proposed Order)(Glucoft, Joshua) Modified on 6/1/2022 to terminate Motion due to incorrect event type used. Should be a Notice event (zv). (Entered: 05/31/2022) (Main Document) (3)
May 31, 2022 65 Unopposed MOTION to Seal Exhibit 28 to re 61 Response in Opposition to Motion,,,,,, by Meta Platforms Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Proposed Order)(Glucoft, Joshua) Modified on 6/1/2022 to terminate Motion due to incorrect event type used. Should be a Notice event (zv). (Entered: 05/31/2022) (Proposed Order) (1)
May 23, 2022 63 ORDER GRANTING 62 Motion Sealing of certain documents in 61 . Signed by Judge Alan D Albright. (lad) (Entered: 05/23/2022) (1)
May 22, 2022 62 Unopposed MOTION to Seal Plaintiffs' Opposition to Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a) and Certain Exhibits Attached Thereto (Dkt. No. 61) re 61 Response in Opposition to Motion,,,,,, by Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Proposed Order Granting Unopposed Motion to Seal Plaintiffs' Opposition to Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a) and Certain Exhibits Attached Thereto (Dkt. No. 61))(Thompson, G.) (Entered: 05/22/2022) (Main Document) (2)
May 22, 2022 62 Unopposed MOTION to Seal Plaintiffs' Opposition to Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a) and Certain Exhibits Attached Thereto (Dkt. No. 61) re 61 Response in Opposition to Motion,,,,,, by Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Proposed Order Granting Unopposed Motion to Seal Plaintiffs' Opposition to Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a) and Certain Exhibits Attached Thereto (Dkt. No. 61))(Thompson, G.) (Entered: 05/22/2022) (Proposed Order Granting Unopposed Motion to Seal Plaintiffs' Opposition to) (1)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (*Restricted*) (0)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Affidavit Declaration of Andrew G. Borrasso) (8)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 1) (14)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 2) (5)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 4) (11)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 5) (5)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 6) (8)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 7) (4)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 8) (4)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 9) (3)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 10) (22)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 11) (3)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 14) (3)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 15) (3)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 16) (7)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 17) (30)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 18) (7)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 21) (4)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 22) (4)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 23) (2)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 25) (2)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 26) (10)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 27) (4)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 32) (7)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 34) (22)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 38) (16)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 39) (12)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 40) (30)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 41) (27)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 42) (11)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 43) (12)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 44) (25)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 45) (11)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 46) (4)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 47) (5)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Exhibit 48) (3)
May 20, 2022 61 Response in Opposition to Motion, filed by Gentex Corporation, Indigo Technologies, LLC, re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. filed by Defendant Meta Platforms, Inc., Defendant Meta Platforms Technologies, LLC (Attachments: # 1 Affidavit Declaration of Andrew G. Borrasso, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Sealed Document Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Sealed Document Exhibit 12, # 14 Sealed Document Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Sealed Document Exhibit 19, # 21 Sealed Document Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Sealed Document Exhibit 24, # 26 Exhibit 25, # 27 Exhibit 26, # 28 Exhibit 27, # 29 Exhibit 28, # 30 Sealed Document Exhibit 29, # 31 Sealed Document Exhibit 30, # 32 Sealed Document Exhibit 31, # 33 Exhibit 32, # 34 Sealed Document Exhibit 33, # 35 Exhibit 34, # 36 Sealed Document 35, # 37 Exhibit 36, # 38 Sealed Document Exhibit 37, # 39 Exhibit 38, # 40 Exhibit 39, # 41 Exhibit 40, # 42 Exhibit 41, # 43 Exhibit 42, # 44 Exhibit 43, # 45 Exhibit 44, # 46 Exhibit 45, # 47 Exhibit 46, # 48 Exhibit 47, # 49 Exhibit 48, # 50 Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Section 1404(a))(Thompson, G.) Modified on 5/23/2022 to seal whole document per Plaintiff's counsel (zv). (Entered: 05/20/2022) (Proposed Order Denying Meta's Motion to Transfer Venue Under 28 U.S.C. Sect) (1)
May 13, 2022 N/A Notice of Correction: Document 61 Order of referral for Discovery disputes was docketed in error. Please disregard. (lad) (Entered: 05/13/2022) (0)
May 9, 2022 N/A Notice of Correction: Document 61 Order of referral for Discovery hearing was docketed in error. Please disregard. (lad) (Entered: 05/09/2022) (0)
Apr 29, 2022 60 NOTICE Joint Notice of Extension Regarding Venue Discovery by Meta Platforms Technologies, LLC, Meta Platforms, Inc. (Amstutz, Paige) (Entered: 04/29/2022) (3)
Apr 28, 2022 59 Public Copy of 49 Sealed Discovery Dispute Order. (lad) (Entered: 04/28/2022) (11)
Apr 26, 2022 58 ORDER SETTING MARKMAN HEARING VIA ZOOM for 6/24/2022 09:00 AM before Judge Derek T. Gilliland. Signed by Judge Derek T. Gilliland. (lad) (Entered: 04/26/2022) (1)
Apr 18, 2022 57 ORDER of Limited Referral: the Markman hearing and claim construction order are referred to United States Magistrate Judge Derek T. Gilliland. Markman Hearing set for 6/17/2022 before Judge Derek T. Gilliland. Signed by Judge Alan D Albright. (lad) (Entered: 04/18/2022) (1)
Apr 15, 2022 N/A Text Order GRANTING 50 Motion entered by Judge Alan D Albright. The Clerk's Office is directed to correct Defendant Facebook Technologies, LLC's name on the docket to Meta Platforms Technologies, LLC. (This is a text-only entry generated by the court. There is no document associated with this entry.) (PTlc) (Entered: 04/15/2022) (0)
Apr 15, 2022 53 Reply Claim Construction Brief regarding 48 Claim Construction Brief by Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Exhibit 6)(Argall, Arthur) (Entered: 04/15/2022) (Main Document) (21)
Apr 15, 2022 54 Joint Claim Construction Brief or Statement by Gentex Corporation, Indigo Technologies, LLC. (Argall, Arthur) (Entered: 04/15/2022) (19)
Apr 15, 2022 55 ORDER GRANTING 51 Motion for Entry of Agreed Protective Order and Agreed 502(D) Clawback Order. Signed by Judge Alan D Albright. (lad) (Entered: 04/18/2022) (5)
Apr 15, 2022 56 PROTECTIVE ORDER. Signed by Judge Alan D Albright. (lad) (Entered: 04/18/2022) (30)
Apr 15, 2022 53 Reply Claim Construction Brief regarding 48 Claim Construction Brief by Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Exhibit 6)(Argall, Arthur) (Entered: 04/15/2022) (Exhibit 6) (13)
Apr 14, 2022 N/A Text Order GRANTING 37 Motion for Entry of Scheduling Order entered by Judge Alan D Albright. (This is a text-only entry generated by the court. There is no document associated with this entry.) (PTlc) (Entered: 04/14/2022) (0)
Apr 14, 2022 51 Joint MOTION For Entry of Agreed Protective Order and Agreed 502(D) Clawback Order by Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Exhibit A - Agreed Protective Order, # 2 Exhibit B - Agreed Federal Rules of Evidence 502(D) Clawback Order)(Thompson, G.) (Entered: 04/14/2022) (Main Document) (3)
Apr 14, 2022 52 Standing Order Regarding Order Governing Proceedings Patent Cases. Signed by Judge Alan D Albright. (Entered: 04/14/2022) (18)
Apr 14, 2022 51 Joint MOTION For Entry of Agreed Protective Order and Agreed 502(D) Clawback Order by Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Exhibit A - Agreed Protective Order, # 2 Exhibit B - Agreed Federal Rules of Evidence 502(D) Clawback Order)(Thompson, G.) (Entered: 04/14/2022) (Exhibit A - Agreed Protective Order) (30)
Apr 14, 2022 51 Joint MOTION For Entry of Agreed Protective Order and Agreed 502(D) Clawback Order by Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Exhibit A - Agreed Protective Order, # 2 Exhibit B - Agreed Federal Rules of Evidence 502(D) Clawback Order)(Thompson, G.) (Entered: 04/14/2022) (Exhibit B - Agreed Federal Rules of Evidence 502(D) Clawback Order) (5)
Apr 13, 2022 49 SEALED DISCOVERY DISPUTE ORDER. Signed by Judge Alan D Albright. (sm3) (Entered: 04/13/2022) (0)
Apr 13, 2022 50 STIPULATION Defendant's Notice of Name Change and Unopposed Motion to Correct Docket by Facebook Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Exhibit 1, # 2 Proposed Order)(Glucoft, Joshua) Modified to Motion on 4/13/2022 (lad). (Entered: 04/13/2022) (Main Document) (3)
Apr 13, 2022 50 STIPULATION Defendant's Notice of Name Change and Unopposed Motion to Correct Docket by Facebook Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Exhibit 1, # 2 Proposed Order)(Glucoft, Joshua) Modified to Motion on 4/13/2022 (lad). (Entered: 04/13/2022) (Exhibit 1) (3)
Apr 13, 2022 50 STIPULATION Defendant's Notice of Name Change and Unopposed Motion to Correct Docket by Facebook Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Exhibit 1, # 2 Proposed Order)(Glucoft, Joshua) Modified to Motion on 4/13/2022 (lad). (Entered: 04/13/2022) (Proposed Order) (1)
Apr 1, 2022 48 Reply Claim Construction Brief regarding 45 Claim Construction Brief, by Facebook Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Exhibit 14, # 2 Exhibit 15, # 3 Exhibit 16)(Deoras, Akshay) (Entered: 04/01/2022) (Main Document) (21)
Apr 1, 2022 48 Reply Claim Construction Brief regarding 45 Claim Construction Brief, by Facebook Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Exhibit 14, # 2 Exhibit 15, # 3 Exhibit 16)(Deoras, Akshay) (Entered: 04/01/2022) (Exhibit 14) (2)
Apr 1, 2022 48 Reply Claim Construction Brief regarding 45 Claim Construction Brief, by Facebook Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Exhibit 14, # 2 Exhibit 15, # 3 Exhibit 16)(Deoras, Akshay) (Entered: 04/01/2022) (Exhibit 15) (30)
Apr 1, 2022 48 Reply Claim Construction Brief regarding 45 Claim Construction Brief, by Facebook Technologies, LLC, Meta Platforms, Inc.. (Attachments: # 1 Exhibit 14, # 2 Exhibit 15, # 3 Exhibit 16)(Deoras, Akshay) (Entered: 04/01/2022) (Exhibit 16) (9)
Mar 28, 2022 47 STATUS REPORT Regarding Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc.. (Glucoft, Joshua) (Entered: 03/28/2022) (3)
Mar 21, 2022 46 Opening Claim Construction Brief by Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5)(Mann, J.) (Entered: 03/21/2022) (Main Document) (30)
Mar 21, 2022 46 Opening Claim Construction Brief by Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5)(Mann, J.) (Entered: 03/21/2022) (Exhibit 1) (30)
Mar 21, 2022 46 Opening Claim Construction Brief by Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5)(Mann, J.) (Entered: 03/21/2022) (Exhibit 2) (30)
Mar 21, 2022 46 Opening Claim Construction Brief by Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5)(Mann, J.) (Entered: 03/21/2022) (Exhibit 3) (27)
Mar 21, 2022 46 Opening Claim Construction Brief by Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5)(Mann, J.) (Entered: 03/21/2022) (Exhibit 4) (4)
Mar 21, 2022 46 Opening Claim Construction Brief by Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5)(Mann, J.) (Entered: 03/21/2022) (Exhibit 5) (4)
Mar 10, 2022 N/A Parties shall comply with Judge Albright's updated standing orders and COVID-19 standing order available by clicking the included hyperlinks. The updated orders are as follows:1. Standing Order Regarding Notice of Readiness for Patent Cases 030722,2. Standing Order on Pretrial Procedures and Requirements in Civil Cases 030722,3. Standing Order Governing Proceedings 4.0 - Patent Cases 030722,4. Amended Standing Order Regarding Coronavirus (COVID-19) and Court Proceedings,5. Amended Standing Order Regarding Joint Or Unopposed Request To Change Deadlines 030722,6. Amended Standing Order Regarding Filing Documents Under Seal and Redacted Public Versions 030722. (jkda) (Entered: 03/10/2022) (0)
Feb 28, 2022 45 Opening Claim Construction Brief by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5, # 6 Exhibit 6, # 7 Exhibit 7, # 8 Exhibit 8, # 9 Exhibit 9, # 10 Exhibit 10, # 11 Exhibit 11, # 12 Exhibit 12, # 13 Exhibit 13)(Deoras, Akshay) (Entered: 02/28/2022) (Main Document) (30)
Feb 28, 2022 45 Opening Claim Construction Brief by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5, # 6 Exhibit 6, # 7 Exhibit 7, # 8 Exhibit 8, # 9 Exhibit 9, # 10 Exhibit 10, # 11 Exhibit 11, # 12 Exhibit 12, # 13 Exhibit 13)(Deoras, Akshay) (Entered: 02/28/2022) (Exhibit 1) (16)
Feb 28, 2022 45 Opening Claim Construction Brief by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5, # 6 Exhibit 6, # 7 Exhibit 7, # 8 Exhibit 8, # 9 Exhibit 9, # 10 Exhibit 10, # 11 Exhibit 11, # 12 Exhibit 12, # 13 Exhibit 13)(Deoras, Akshay) (Entered: 02/28/2022) (Exhibit 2) (17)
Feb 28, 2022 45 Opening Claim Construction Brief by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5, # 6 Exhibit 6, # 7 Exhibit 7, # 8 Exhibit 8, # 9 Exhibit 9, # 10 Exhibit 10, # 11 Exhibit 11, # 12 Exhibit 12, # 13 Exhibit 13)(Deoras, Akshay) (Entered: 02/28/2022) (Exhibit 3) (15)
Feb 28, 2022 45 Opening Claim Construction Brief by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5, # 6 Exhibit 6, # 7 Exhibit 7, # 8 Exhibit 8, # 9 Exhibit 9, # 10 Exhibit 10, # 11 Exhibit 11, # 12 Exhibit 12, # 13 Exhibit 13)(Deoras, Akshay) (Entered: 02/28/2022) (Exhibit 4) (30)
Feb 28, 2022 45 Opening Claim Construction Brief by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5, # 6 Exhibit 6, # 7 Exhibit 7, # 8 Exhibit 8, # 9 Exhibit 9, # 10 Exhibit 10, # 11 Exhibit 11, # 12 Exhibit 12, # 13 Exhibit 13)(Deoras, Akshay) (Entered: 02/28/2022) (Exhibit 5) (30)
Feb 28, 2022 45 Opening Claim Construction Brief by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5, # 6 Exhibit 6, # 7 Exhibit 7, # 8 Exhibit 8, # 9 Exhibit 9, # 10 Exhibit 10, # 11 Exhibit 11, # 12 Exhibit 12, # 13 Exhibit 13)(Deoras, Akshay) (Entered: 02/28/2022) (Exhibit 6) (2)
Feb 28, 2022 45 Opening Claim Construction Brief by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5, # 6 Exhibit 6, # 7 Exhibit 7, # 8 Exhibit 8, # 9 Exhibit 9, # 10 Exhibit 10, # 11 Exhibit 11, # 12 Exhibit 12, # 13 Exhibit 13)(Deoras, Akshay) (Entered: 02/28/2022) (Exhibit 7) (30)
Feb 28, 2022 45 Opening Claim Construction Brief by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5, # 6 Exhibit 6, # 7 Exhibit 7, # 8 Exhibit 8, # 9 Exhibit 9, # 10 Exhibit 10, # 11 Exhibit 11, # 12 Exhibit 12, # 13 Exhibit 13)(Deoras, Akshay) (Entered: 02/28/2022) (Exhibit 8) (11)
Feb 28, 2022 45 Opening Claim Construction Brief by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5, # 6 Exhibit 6, # 7 Exhibit 7, # 8 Exhibit 8, # 9 Exhibit 9, # 10 Exhibit 10, # 11 Exhibit 11, # 12 Exhibit 12, # 13 Exhibit 13)(Deoras, Akshay) (Entered: 02/28/2022) (Exhibit 9) (14)
Feb 28, 2022 45 Opening Claim Construction Brief by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5, # 6 Exhibit 6, # 7 Exhibit 7, # 8 Exhibit 8, # 9 Exhibit 9, # 10 Exhibit 10, # 11 Exhibit 11, # 12 Exhibit 12, # 13 Exhibit 13)(Deoras, Akshay) (Entered: 02/28/2022) (Exhibit 10) (30)
Feb 28, 2022 45 Opening Claim Construction Brief by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5, # 6 Exhibit 6, # 7 Exhibit 7, # 8 Exhibit 8, # 9 Exhibit 9, # 10 Exhibit 10, # 11 Exhibit 11, # 12 Exhibit 12, # 13 Exhibit 13)(Deoras, Akshay) (Entered: 02/28/2022) (Exhibit 11) (6)
Feb 28, 2022 45 Opening Claim Construction Brief by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5, # 6 Exhibit 6, # 7 Exhibit 7, # 8 Exhibit 8, # 9 Exhibit 9, # 10 Exhibit 10, # 11 Exhibit 11, # 12 Exhibit 12, # 13 Exhibit 13)(Deoras, Akshay) (Entered: 02/28/2022) (Exhibit 12) (6)
Feb 28, 2022 45 Opening Claim Construction Brief by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5, # 6 Exhibit 6, # 7 Exhibit 7, # 8 Exhibit 8, # 9 Exhibit 9, # 10 Exhibit 10, # 11 Exhibit 11, # 12 Exhibit 12, # 13 Exhibit 13)(Deoras, Akshay) (Entered: 02/28/2022) (Exhibit 13) (30)
Feb 25, 2022 43 NOTICE Regarding Pending Venue Discovery Related to Defendants' Opposed Motion to Transfer Venue to the Northern District of California Pursuant to 28 U.S.C. Section 1404(a) by Gentex Corporation, Indigo Technologies, LLC re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. (Thompson, G.) (Entered: 02/25/2022) (2)
Feb 25, 2022 44 Redacted Copy of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Turner, Ellisen) (Entered: 02/25/2022) (20)
Feb 22, 2022 41 SUPPLEMENT to 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. Certificate of Conference by Facebook Technologies, LLC, Facebook, Inc.. (Amstutz, Paige) (Entered: 02/22/2022) (2)
Feb 22, 2022 42 NOTICE Regarding Agreed Request to Change Deadline for Plaintiffs to Respond to Defendants' Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. re 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. (Amstutz, Paige) (Entered: 02/22/2022) (3)
Feb 18, 2022 38 NOTICE Regarding Agreed Request to Change Deadline for Claim Construction Briefing by Facebook Technologies, LLC, Facebook, Inc. (Amstutz, Paige) (Entered: 02/18/2022) (3)
Feb 18, 2022 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. (Attachments: # 1 Affidavit of Nicholas Wong, # 2 Exhibit F to Deoras Declaration, # 3 Exhibit H to Deoras Declaration, # 4 Exhibit J to Deoras Declaration, # 5 Exhibit K to Deoras Declaration, # 6 Exhibit M to Deoras Declaration, # 7 Exhibit O to Deoras Declaration, # 8 Exhibit X to Deoras Declaration, # 9 Exhibit AA to Deoras Declaration, # 10 Exhibit CC to Deoras Declaration, # 11 Proposed Order) (Turner, Ellisen) (Entered: 02/18/2022) (0)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Main Document) (8)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit A to Deoras Declaration) (3)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit B to Deoras Declaration) (3)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit C to Deoras Declaration) (6)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit D to Deoras Declaration) (9)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit E to Deoras Declaration) (4)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit F to Deoras Declaration) (1)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit G to Deoras Declaration) (6)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit H to Deoras Declaration) (1)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit I to Deoras Declaration) (5)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit J to Deoras Declaration) (1)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit K to Deoras Declaration) (1)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit L to Deoras Declaration) (7)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit M to Deoras Declaration) (1)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit N to Deoras Declaration) (6)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit O to Deoras Declaration) (1)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit P to Deoras Declaration) (3)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit Q to Deoras Declaration) (11)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit R to Deoras Declaration) (5)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit S to Deoras Declaration) (8)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit T to Deoras Declaration) (13)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit U to Deoras Declaration) (13)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit V to Deoras Declaration) (3)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit W to Deoras Declaration) (2)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit X to Deoras Declaration) (1)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit Y to Deoras Declaration) (4)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit Z to Deoras Declaration) (3)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit AA to Deoras Declaration) (1)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit BB to Deoras Declaration) (5)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit CC to Deoras Declaration) (1)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit DD to Deoras Declaration) (22)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit EE to Deoras Declaration) (30)
Feb 18, 2022 40 AFFIDAVIT in Support of 39 Sealed Motion to Transfer to the Northern District of California by Facebook Technologies, LLC, Facebook, Inc. by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit A to Deoras Declaration, # 2 Exhibit B to Deoras Declaration, # 3 Exhibit C to Deoras Declaration, # 4 Exhibit D to Deoras Declaration, # 5 Exhibit E to Deoras Declaration, # 6 Exhibit F to Deoras Declaration, # 7 Exhibit G to Deoras Declaration, # 8 Exhibit H to Deoras Declaration, # 9 Exhibit I to Deoras Declaration, # 10 Exhibit J to Deoras Declaration, # 11 Exhibit K to Deoras Declaration, # 12 Exhibit L to Deoras Declaration, # 13 Exhibit M to Deoras Declaration, # 14 Exhibit N to Deoras Declaration, # 15 Exhibit O to Deoras Declaration, # 16 Exhibit P to Deoras Declaration, # 17 Exhibit Q to Deoras Declaration, # 18 Exhibit R to Deoras Declaration, # 19 Exhibit S to Deoras Declaration, # 20 Exhibit T to Deoras Declaration, # 21 Exhibit U to Deoras Declaration, # 22 Exhibit V to Deoras Declaration, # 23 Exhibit W to Deoras Declaration, # 24 Exhibit X to Deoras Declaration, # 25 Exhibit Y to Deoras Declaration, # 26 Exhibit Z to Deoras Declaration, # 27 Exhibit AA to Deoras Declaration, # 28 Exhibit BB to Deoras Declaration, # 29 Exhibit CC to Deoras Declaration, # 30 Exhibit DD to Deoras Declaration, # 31 Exhibit EE to Deoras Declaration, # 32 Exhibit FF to Deoras Declaration)(Deoras, Akshay) (Entered: 02/18/2022) (Exhibit FF to Deoras Declaration) (4)
Feb 17, 2022 37 Unopposed MOTION for Entry of Scheduling Order Deadlines Unopposed Motion for Entry of Agreed Amended Scheduling Order by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Proposed Order Proposed Order)(Amstutz, Paige) (Entered: 02/17/2022) (Main Document) (3)
Feb 17, 2022 37 Unopposed MOTION for Entry of Scheduling Order Deadlines Unopposed Motion for Entry of Agreed Amended Scheduling Order by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Proposed Order Proposed Order)(Amstutz, Paige) (Entered: 02/17/2022) (Proposed Order Proposed Order) (2)
Feb 11, 2022 34 ORDER GRANTING 31 Motion to Appear Pro Hac Vice for Attorney Melissa B. Collins. Attorney added for Gentex Corporation, Indigo Technologies, LLC. Pursuant to our Administrative Policies and Procedures for Electronic Filing, the attorney hereby granted to practice pro hac vice in this case must register for electronic filing with our court within 10 days of this order, if he/she has not previously done so for a prior case in this District. Signed by Judge Alan D Albright. (bot1) (Entered: 02/11/2022) (1)
Feb 11, 2022 35 ORDER GRANTING 32 Motion to Appear Pro Hac Vice for Attorney Elise M. Baumgarten. Attorney added for Gentex Corporation, Indigo Technologies, LLC. Pursuant to our Administrative Policies and Procedures for Electronic Filing, the attorney hereby granted to practice pro hac vice in this case must register for electronic filing with our court within 10 days of this order, if he/she has not previously done so for a prior case in this District. Signed by Judge Alan D Albright. (bot1) (Entered: 02/11/2022) (1)
Feb 11, 2022 36 ORDER GRANTING 33 Motion to Appear Pro Hac Vice for Attorney Andrew G. Borrasso. Attorney added for Gentex Corporation, Indigo Technologies, LLC. Pursuant to our Administrative Policies and Procedures for Electronic Filing, the attorney hereby granted to practice pro hac vice in this case must register for electronic filing with our court within 10 days of this order, if he/she has not previously done so for a prior case in this District. Signed by Judge Alan D Albright. (bot2) (Entered: 02/11/2022) (1)
Feb 10, 2022 33 MOTION to Appear Pro Hac Vice by J. Mark Mann for Andrew G. Borrasso ( Filing fee $ 100 receipt number 0542-15699996) by on behalf of Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Proposed Order)(Mann, J.) (Entered: 02/10/2022) (Main Document) (3)
Feb 10, 2022 33 MOTION to Appear Pro Hac Vice by J. Mark Mann for Andrew G. Borrasso ( Filing fee $ 100 receipt number 0542-15699996) by on behalf of Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Proposed Order)(Mann, J.) (Entered: 02/10/2022) (Proposed Order) (1)
Feb 9, 2022 31 MOTION to Appear Pro Hac Vice by J. Mark Mann for Melissa B. Collins ( Filing fee $ 100 receipt number 0542-15696709) by on behalf of Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Proposed Order)(Mann, J.) (Entered: 02/09/2022) (Main Document) (4)
Feb 9, 2022 32 MOTION to Appear Pro Hac Vice by J. Mark Mann for Elise M. Baumgarten ( Filing fee $ 100 receipt number 0542-15696731) by on behalf of Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Proposed Order)(Mann, J.) (Entered: 02/09/2022) (Main Document) (3)
Feb 9, 2022 32 MOTION to Appear Pro Hac Vice by J. Mark Mann for Elise M. Baumgarten ( Filing fee $ 100 receipt number 0542-15696731) by on behalf of Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Proposed Order)(Mann, J.) (Entered: 02/09/2022) (Proposed Order) (1)
Feb 9, 2022 31 MOTION to Appear Pro Hac Vice by J. Mark Mann for Melissa B. Collins ( Filing fee $ 100 receipt number 0542-15696709) by on behalf of Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Proposed Order)(Mann, J.) (Entered: 02/09/2022) (Proposed Order) (1)
Feb 1, 2022 30 NOTICE of Plaintiffs' Proposed Claim Constructions by Gentex Corporation (Mann, J.) (Entered: 02/01/2022) (3)
Jan 26, 2022 29 NOTICE of Attorney Appearance by Bailey Morgan Watkins on behalf of Facebook Technologies, LLC, Facebook, Inc.. Attorney Bailey Morgan Watkins added to party Facebook Technologies, LLC(pty:dft), Attorney Bailey Morgan Watkins added to party Facebook, Inc.(pty:dft) (Watkins, Bailey) (Entered: 01/26/2022) (3)
Jan 10, 2022 N/A Text Order GRANTING the jointly proposed schedule 27 . Motion entered by Judge Alan D Albright. (This is a text-only entry generated by the court. There is no document associated with this entry.) (PTlc) (Entered: 01/10/2022) (0)
Jan 10, 2022 N/A Set Deadlines/Hearings: Markman Hearing set for 4/25/2022 09:00 AM before Judge Alan D Albright. Joinder of Parties due by 6/6/2022. Amended Pleadings due by 8/15/2022. Dispositive Motions due by 2/8/2023. Final Pretrial Conference set for 4/10/2023 09:00 AM before Judge Alan D Albright. Jury Selection set for 5/1/2023 before Judge Jeffrey C. Manske. Jury Trial set for 5/1/2023 before Judge Alan D Albright. (jc5) (Entered: 01/10/2022) (0)
Dec 29, 2021 28 NOTICE Regarding Agreed Extension of Deadline to Serve Preliminary Invalidity Contentions by Facebook Technologies, LLC, Facebook, Inc. (Amstutz, Paige) (Entered: 12/29/2021) (2)
Nov 24, 2021 27 Joint MOTION For Entry of Agreed Scheduling Order by Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Exhibit A - Proposed Scheduling Order)(Mann, J.) (Entered: 11/24/2021) (Main Document) (3)
Nov 24, 2021 27 Joint MOTION For Entry of Agreed Scheduling Order by Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Exhibit A - Proposed Scheduling Order)(Mann, J.) (Entered: 11/24/2021) (Exhibit A - Proposed Scheduling Order) (5)
Nov 22, 2021 26 STIPULATION Defendant's Notice of Name Change and Unopposed Motion to Correct Docket by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit 1, # 2 Proposed Order)(Amstutz, Paige) (Entered: 11/22/2021) (Main Document) (3)
Nov 22, 2021 26 STIPULATION Defendant's Notice of Name Change and Unopposed Motion to Correct Docket by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit 1, # 2 Proposed Order)(Amstutz, Paige) (Entered: 11/22/2021) (Exhibit 1) (16)
Nov 22, 2021 26 STIPULATION Defendant's Notice of Name Change and Unopposed Motion to Correct Docket by Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Exhibit 1, # 2 Proposed Order)(Amstutz, Paige) (Entered: 11/22/2021) (Proposed Order) (1)
Nov 1, 2021 25 Scheduling Recommendations/Proposed Scheduling Order Joint Motion for Entry of Scheduling Order by Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Exhibit A - Parties' Competing Proposed Schedules, # 2 Proposed Order)(Harber, Adam) (Entered: 11/01/2021) (Main Document) (6)
Nov 1, 2021 25 Scheduling Recommendations/Proposed Scheduling Order Joint Motion for Entry of Scheduling Order by Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Exhibit A - Parties' Competing Proposed Schedules, # 2 Proposed Order)(Harber, Adam) (Entered: 11/01/2021) (Exhibit A - Parties' Competing Proposed Schedules) (6)
Nov 1, 2021 25 Scheduling Recommendations/Proposed Scheduling Order Joint Motion for Entry of Scheduling Order by Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Exhibit A - Parties' Competing Proposed Schedules, # 2 Proposed Order)(Harber, Adam) (Entered: 11/01/2021) (Proposed Order) (5)
Oct 8, 2021 24 Standing Order Regarding Order Governing Proceedings Patent Cases. Signed by Judge Alan D Albright. (Entered: 10/13/2021) (11)
Oct 4, 2021 23 STATUS REPORT Case Readiness Status Report by Gentex Corporation, Indigo Technologies, LLC. (Mann, J.) (Entered: 10/04/2021) (4)
Sep 29, 2021 21 ORDER GRANTING 16 Motion to Appear Pro Hac Vice for Attorney Ellisen S. Turner. Attorney added for Facebook, Inc. Pursuant to our Administrative Policies and Procedures for Electronic Filing, the attorney hereby granted to practice pro hac vice in this case must register for electronic filing with our court within 10 days of this order, if he/she has not previously done so for a prior case in this District. Signed by Judge Alan D Albright. (jkda) (Entered: 09/29/2021) (1)
Sep 29, 2021 22 RULE 7 DISCLOSURE STATEMENT filed by Gentex Corporation, Indigo Technologies, LLC. (Mann, J.) (Entered: 09/29/2021) (2)
Sep 27, 2021 16 MOTION to Appear Pro Hac Vice by Paige Arnette Amstutz for Ellisen S. Turner ( Filing fee $ 100 receipt number 0542-15266037) by on behalf of Facebook, Inc.. (Attachments: # 1 Proposed Order Proposed Order)(Amstutz, Paige) (Entered: 09/27/2021) (Main Document) (3)
Sep 27, 2021 17 ORDER GRANTING 14 Motion to Appear Pro Hac Vice for Attorney Meredith Martin Addy. Attorney added for Thales Visionix, Inc. Pursuant to our Administrative Policies and Procedures for Electronic Filing, the attorney hereby granted to practice pro hac vice in this case must register for electronic filing with our court within 10 days of this order, if he/she has not previously done so for a prior case in this District. Signed by Judge Alan D Albright. (jkda) (Entered: 09/27/2021) (1)
Sep 27, 2021 18 ORDER GRANTING 15 Motion to Appear Pro Hac Vice for Attorney Akshay S. Deoras. Attorney added for Facebook Technologies, LLC, Facebook, Inc. Pursuant to our Administrative Policies and Procedures for Electronic Filing, the attorney hereby granted to practice pro hac vice in this case must register for electronic filing with our court within 10 days of this order, if he/she has not previously done so for a prior case in this District. Signed by Judge Alan D Albright. (jkda) (Entered: 09/27/2021) (1)
Sep 27, 2021 19 Defendants Facebook, Inc.'s and Facebook Technologies, LLC's Answer to Plaintiffs' Complaint for Patent Infringement ANSWER to 1 Complaint, with Jury Demand by Facebook Technologies, LLC, Facebook, Inc..(Amstutz, Paige) (Entered: 09/27/2021) (25)
Sep 27, 2021 20 RULE 7 DISCLOSURE STATEMENT filed by Facebook Technologies, LLC, Facebook, Inc.. (Amstutz, Paige) (Entered: 09/27/2021) (3)
Sep 27, 2021 16 MOTION to Appear Pro Hac Vice by Paige Arnette Amstutz for Ellisen S. Turner ( Filing fee $ 100 receipt number 0542-15266037) by on behalf of Facebook, Inc.. (Attachments: # 1 Proposed Order Proposed Order)(Amstutz, Paige) (Entered: 09/27/2021) (Proposed Order Proposed Order) (1)
Sep 24, 2021 15 MOTION to Appear Pro Hac Vice by Paige Arnette Amstutz ( Filing fee $ 100 receipt number 0542-15264081) by on behalf of Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Proposed Order)(Amstutz, Paige) (Main Document 15 replaced on 9/24/2021 - due to document submission not flat) (jc5). (Entered: 09/24/2021) (Main Document) (5)
Sep 24, 2021 N/A Document 15 was not flattened. Please notice that all documents are required to be flattened upon filing. The US Clerk's Office will flatten any document needed prior but all parties MUST flatten documents going forward. Contact the Clerk's Office for any questions. (jc5) (Entered: 09/24/2021) (0)
Sep 24, 2021 15 MOTION to Appear Pro Hac Vice by Paige Arnette Amstutz ( Filing fee $ 100 receipt number 0542-15264081) by on behalf of Facebook Technologies, LLC, Facebook, Inc.. (Attachments: # 1 Proposed Order)(Amstutz, Paige) (Main Document 15 replaced on 9/24/2021 - due to document submission not flat) (jc5). (Entered: 09/24/2021) (Proposed Order) (1)
Sep 21, 2021 14 MOTION to Appear Pro Hac Vice by John P. Palmer Meredith Martin Addy ( Filing fee $ 100 receipt number 0542-15247441) by on behalf of Thales Visionix, Inc.. (Attachments: # 1 Proposed Order)(Palmer, John) (Entered: 09/21/2021) (Main Document) (3)
Sep 21, 2021 14 MOTION to Appear Pro Hac Vice by John P. Palmer Meredith Martin Addy ( Filing fee $ 100 receipt number 0542-15247441) by on behalf of Thales Visionix, Inc.. (Attachments: # 1 Proposed Order)(Palmer, John) (Entered: 09/21/2021) (Proposed Order) (1)
Aug 12, 2021 13 NOTICE Regarding Unopposed Request for Extension of Time for Defendants to Answer or Otherwise Respond by Facebook Technologies, LLC, Facebook, Inc. (Amstutz, Paige) (Entered: 08/12/2021) (2)
Jul 29, 2021 9 MOTION to Appear Pro Hac Vice by J. Mark Mann for David I. Berl ( Filing fee $ 100 receipt number 0542-15064023) by on behalf of Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Proposed Order)(Mann, J.) (Entered: 07/29/2021) (Main Document) (3)
Jul 29, 2021 10 MOTION to Appear Pro Hac Vice by J. Mark Mann for Adam D. Harber ( Filing fee $ 100 receipt number 0542-15064059) by on behalf of Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Proposed Order)(Mann, J.) (Entered: 07/29/2021) (Main Document) (3)
Jul 29, 2021 11 MOTION to Appear Pro Hac Vice by J. Mark Mann for D. Shayon Ghosh ( Filing fee $ 100 receipt number 0542-15064100) by on behalf of Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Proposed Order)(Mann, J.) (Entered: 07/29/2021) (Main Document) (3)
Jul 29, 2021 12 MOTION to Appear Pro Hac Vice by J. Mark Mann for Arthur John Argall III ( Filing fee $ 100 receipt number 0542-15064128) by on behalf of Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Proposed Order)(Mann, J.) (Entered: 07/29/2021) (Main Document) (3)
Jul 29, 2021 N/A Text Order GRANTING 10 Motion to Appear Pro Hac Vice for Attorney Adam D. Harber for Gentex Corporation, and for Indigo Technologies, LLC. Before the Court is the Motion for Admission Pro Hac Vice. The Court, having reviewed the Motion, finds it should be GRANTED and therefore orders as follows: IT IS ORDERED the Motion for Admission Pro Hac Vice is GRANTED. IT IS FURTHER ORDERED that Applicant, if he/she has not already done so, shall immediately tender the amount of $100.00, made payable to: Clerk, U.S. District Court, in compliance with Local Rule AT-I (f)(2). Pursuant to our Administrative Policies and Procedures for Electronic Filing, the attorney hereby granted to practice pro hac vice in this case must register for electronic filing with our court within 10 days of this order entered by Judge Alan D Albright. (This is a text-only entry generated by the court. There is no document associated with this entry.) (jc5) (Entered: 07/30/2021) (0)
Jul 29, 2021 N/A Text Order GRANTING 11 Motion to Appear Pro Hac Vice for Attorney D. Shayon Ghosh for Gentex Corporation, and for Indigo Technologies, LLC. Before the Court is the Motion for Admission Pro Hac Vice. The Court, having reviewed the Motion, finds it should be GRANTED and therefore orders as follows: IT IS ORDERED the Motion for Admission Pro Hac Vice is GRANTED. IT IS FURTHER ORDERED that Applicant, if he/she has not already done so, shall immediately tender the amount of $100.00, made payable to: Clerk, U.S. District Court, in compliance with Local Rule AT-I (f)(2). Pursuant to our Administrative Policies and Procedures for Electronic Filing, the attorney hereby granted to practice pro hac vice in this case must register for electronic filing with our court within 10 days of this order entered by Judge Alan D Albright. (This is a text-only entry generated by the court. There is no document associated with this entry.) (jc5) (Entered: 07/30/2021) (0)
Jul 29, 2021 N/A Text Order GRANTING 12 Motion to Appear Pro Hac Vice for Attorney Arthur John Argall, III for Gentex Corporation, and for Indigo Technologies, LLC. Before the Court is the Motion for Admission Pro Hac Vice. The Court, having reviewed the Motion, finds it should be GRANTED and therefore orders as follows: IT IS ORDERED the Motion for Admission Pro Hac Vice is GRANTED. IT IS FURTHER ORDERED that Applicant, if he/she has not already done so, shall immediately tender the amount of $100.00, made payable to: Clerk, U.S. District Court, in compliance with Local Rule AT-I (f)(2). Pursuant to our Administrative Policies and Procedures for Electronic Filing, the attorney hereby granted to practice pro hac vice in this case must register for electronic filing with our court within 10 days of this order entered by Judge Alan D Albright. (This is a text-only entry generated by the court. There is no document associated with this entry.) (jc5) (Entered: 07/30/2021) (0)
Jul 29, 2021 N/A Text Order GRANTING 9 Motion to Appear Pro Hac Vice for Attorney David I. Berl for Gentex Corporation, and for Indigo Technologies, LLC. Before the Court is the Motion for Admission Pro Hac Vice. The Court, having reviewed the Motion, finds it should be GRANTED and therefore orders as follows: IT IS ORDERED the Motion for Admission Pro Hac Vice is GRANTED. IT IS FURTHER ORDERED that Applicant, if he/she has not already done so, shall immediately tender the amount of $100.00, made payable to: Clerk, U.S. District Court, in compliance with Local Rule AT-I (f)(2). Pursuant to our Administrative Policies and Procedures for Electronic Filing, the attorney hereby granted to practice pro hac vice in this case must register for electronic filing with our court within 10 days of this order entered by Judge Alan D Albright. (This is a text-only entry generated by the court. There is no document associated with this entry.) (jc5) (Entered: 07/30/2021) (0)
Jul 29, 2021 12 MOTION to Appear Pro Hac Vice by J. Mark Mann for Arthur John Argall III ( Filing fee $ 100 receipt number 0542-15064128) by on behalf of Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Proposed Order)(Mann, J.) (Entered: 07/29/2021) (Proposed Order) (1)
Jul 29, 2021 11 MOTION to Appear Pro Hac Vice by J. Mark Mann for D. Shayon Ghosh ( Filing fee $ 100 receipt number 0542-15064100) by on behalf of Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Proposed Order)(Mann, J.) (Entered: 07/29/2021) (Proposed Order) (1)
Jul 29, 2021 9 MOTION to Appear Pro Hac Vice by J. Mark Mann for David I. Berl ( Filing fee $ 100 receipt number 0542-15064023) by on behalf of Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Proposed Order)(Mann, J.) (Entered: 07/29/2021) (Proposed Order) (1)
Jul 29, 2021 10 MOTION to Appear Pro Hac Vice by J. Mark Mann for Adam D. Harber ( Filing fee $ 100 receipt number 0542-15064059) by on behalf of Gentex Corporation, Indigo Technologies, LLC. (Attachments: # 1 Proposed Order)(Mann, J.) (Entered: 07/29/2021) (Proposed Order) (1)
Jul 23, 2021 N/A All parties shall comply with the Standing Orders located at https://www.txwd.uscourts.gov/judges-information/standing-orders/. (lad) (Entered: 07/23/2021) (0)
Jul 23, 2021 3 REQUEST FOR ISSUANCE OF SUMMONS by Gentex Corporation, Indigo Technologies, LLC. (Mann, J.) (Main Document 3 replaced on 7/23/2021) (lad). Original document was not flattened and therefore only contained request for defendant Facebook, Inc. Plf may submit another request for second defendant (lad). (Entered: 07/23/2021) (4)
Jul 23, 2021 4 Summons Issued as to Facebook, Inc.. (lad) (Entered: 07/23/2021) (2)
Jul 23, 2021 5 REQUEST FOR ISSUANCE OF SUMMONS by Gentex Corporation, Indigo Technologies, LLC. (Mann, J.) (Main Document 5 replaced on 7/23/2021) (jc5). (Entered: 07/23/2021) (2)
Jul 23, 2021 6 Summons Issued as to Facebook Technologies, LLC. (jc5) (Entered: 07/23/2021) (2)
Jul 23, 2021 7 SUMMONS Returned Executed by Gentex Corporation, Indigo Technologies, LLC. Facebook, Inc. served on 7/23/2021, answer due 8/13/2021. (Mann, J.) (Entered: 07/23/2021) (1)
Jul 23, 2021 8 SUMMONS Returned Executed by Gentex Corporation, Indigo Technologies, LLC. Facebook Technologies, LLC served on 7/23/2021, answer due 8/13/2021. (Mann, J.) (Entered: 07/23/2021) (1)
Jul 22, 2021 2 Notice of Filing of Patent/Trademark Form (AO 120). AO 120 forwarded to the Director of the U.S. Patent and Trademark Office. (Mann, J.) (Entered: 07/22/2021) (1)
Jul 22, 2021 N/A Case assigned to Judge Alan D Albright. CM WILL NOW REFLECT THE JUDGE INITIALS AS PART OF THE CASE NUMBER. PLEASE APPEND THESE JUDGE INITIALS TO THE CASE NUMBER ON EACH DOCUMENT THAT YOU FILE IN THIS CASE. (lad) (Entered: 07/23/2021) (0)
Jul 22, 2021 1 Complaint* (1)
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