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Case number 6:21-cv-00619

XR Communications LLC v. Amazon.com, Inc. et al > Documents

Date Field Doc. No.Description (Pages)
Jun 2, 2023 111 ORDER GRANTING 110 Joint Motion to Dismiss. Signed by Judge Alan D Albright. (zv) (Entered: 06/02/2023) (1)
Jun 2, 2023 112 Report on Patent/Trademark sent to U.S. Patent and Trademark Office. (bot2) (Entered: 06/02/2023) (1)
Jun 1, 2023 110 Joint MOTION to Dismiss by XR Communications LLC. (Attachments: # 1 Proposed Order)(Mirzaie, Reza) (Entered: 06/01/2023) (0)
May 18, 2023 109 Joint MOTION to Extend Stay to June 2, 2023 by XR Communications LLC. (Attachments: # 1 Proposed Order)(Mirzaie, Reza) (Entered: 05/18/2023) (0)
May 9, 2023 108 Joint MOTION to Continue MOTION TO EXTEND STAY TO MAY 18, 2023 by XR Communications LLC. (Attachments: # 1 Proposed Order)(Mirzaie, Reza) (Entered: 05/09/2023) (0)
Apr 12, 2023 107 Joint MOTION TO EXTEND STAY TO APRIL 28, 2023 by XR Communications LLC. (Attachments: # 1 Proposed Order)(Mirzaie, Reza) (Entered: 04/12/2023) (0)
Mar 15, 2023 106 ORDER Cancelling Markman Hearing. Signed by Judge Alan D Albright. (bot2) (Entered: 03/15/2023) (1)
Mar 14, 2023 105 Joint MOTION to Stay All Deadlines and Notice of Settlement in Principle by XR Communications LLC. (Attachments: # 1 Proposed Order)(Mirzaie, Reza) (Entered: 03/14/2023) (0)
Mar 13, 2023 103 ORDER GRANTING 101 Motion to Appear Pro Hac Vice for Attorney Annie A. Lee. Attorney added for Amazon.Com, Inc., Amazon.com Services LLC, eero 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. Registration is managed by the PACER Service Center. Signed by Judge Alan D Albright. (bot2) (Entered: 03/13/2023) (1)
Mar 13, 2023 104 ORDER GRANTING 102 Motion to Appear Pro Hac Vice for Attorney Raghav R. Krishnapriyan. Attorney added for Amazon.Com, Inc., Amazon.com Services LLC, eero 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. Registration is managed by the PACER Service Center. Signed by Judge Alan D Albright. (bot2) (Entered: 03/13/2023) (2)
Mar 10, 2023 101 MOTION to Appear Pro Hac Vice by Brian Christopher Nash on behalf of Annie A. Lee ( Filing fee $ 100 receipt number ATXWDC-17182387) by on behalf of Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Proposed Order)(Nash, Brian) (Entered: 03/10/2023) (0)
Mar 10, 2023 102 MOTION to Appear Pro Hac Vice by Brian Christopher Nash on behalf of Raghav R. Krishnapriyan ( Filing fee $ 100 receipt number ATXWDC-17186006) by on behalf of Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Proposed Order)(Nash, Brian) (Entered: 03/10/2023) (0)
Feb 16, 2023 99 ORDER GRANTING 98 Motion to Appear Pro Hac Vice for Attorney Eric C. Wiener. Attorney added for Amazon.Com, Inc., Amazon.com Services LLC, eero 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. Registration is managed by the PACER Service Center. Signed by Judge Alan D Albright. (bot1) (Entered: 02/16/2023) (1)
Feb 15, 2023 97 ORDER GRANTING 96 Motion to Appear Pro Hac Vice for Attorney Fahd H. Patel. Attorney added for Amazon.Com, Inc., Amazon.com Services LLC, eero 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. Registration is managed by the PACER Service Center. Signed by Judge Alan D Albright. (bot1) (Entered: 02/15/2023) (1)
Feb 15, 2023 98 MOTION to Appear Pro Hac Vice by Brian Christopher Nash on behalf of Eric C. Wiener ( Filing fee $ 100 receipt number ATXWDC-17087697) by on behalf of Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Proposed Order)(Nash, Brian) (Entered: 02/15/2023) (0)
Feb 14, 2023 96 MOTION to Appear Pro Hac Vice by Brian Christopher Nash on behalf of Fahd H. Patel ( Filing fee $ 100 receipt number ATXWDC-17080985) by on behalf of Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Proposed Order)(Nash, Brian) (Entered: 02/14/2023) (0)
Feb 13, 2023 95 NOTICE of Attorney Appearance by Austin Michael Schnell on behalf of Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. Attorney Austin Michael Schnell added to party Amazon.Com, Inc.(pty:dft), Attorney Austin Michael Schnell added to party Amazon.com Services LLC(pty:dft), Attorney Austin Michael Schnell added to party eero LLC(pty:dft) (Schnell, Austin) (Entered: 02/13/2023) (2)
Feb 10, 2023 94 ORDER RESETTING Zoom Markman Hearing for 3/24/2023 09:30 AM before Judge Alan D Albright. Signed by Judge Alan D Albright. (bot2) (Entered: 02/10/2023) (1)
Feb 8, 2023 92 ORDER GRANTING 90 Motion to Appear Pro Hac Vice for Attorney Daralyn J. Durie. Attorney added for Amazon.Com, Inc., Amazon.com Services LLC, eero 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. Registration is managed by the PACER Service Center. Signed by Judge Alan D Albright. (bot2) (Entered: 02/08/2023) (1)
Feb 8, 2023 93 ORDER GRANTING 89 Motion to Appear Pro Hac Vice for Attorney Timothy C. Saulsbury for Amazon.Com, Inc.,Timothy C. Saulsbury for Amazon.com Services LLC,Timothy C. Saulsbury for eero 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. Registration is managed by the PACER Service Center. Signed by Judge Alan D Albright. (ad3) (Entered: 02/08/2023) (1)
Feb 7, 2023 89 MOTION to Appear Pro Hac Vice by Brian Christopher Nash on behalf of Timothy Chen Saulsbury ( Filing fee $ 100 receipt number ATXWDC-17055370) by on behalf of Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Proposed Order)(Nash, Brian) (Entered: 02/07/2023) (0)
Feb 7, 2023 90 MOTION to Appear Pro Hac Vice by Brian Christopher Nash on behalf of Daralyn J. Durie ( Filing fee $ 100 receipt number ATXWDC-17055395) by on behalf of Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Proposed Order)(Nash, Brian) (Entered: 02/07/2023) (0)
Feb 7, 2023 91 ORDER GRANTING 88 Motion to Appear Pro Hac Vice for Attorney Adam R. Brausa. Attorney added for Amazon.Com, Inc., Amazon.com Services LLC, eero 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. Registration is managed by the PACER Service Center. Signed by Judge Alan D Albright. (bot2) (Entered: 02/07/2023) (1)
Feb 6, 2023 85 ORDER GRANTING 83 Joint Motion for Protective Order Between Plaintiff and Defendants. Signed by Judge Alan D Albright. (zv) (Entered: 02/06/2023) (30)
Feb 6, 2023 86 ORDER GRANTING 84 Joint Motion for Protective Order AGREED SUPPLEMENTAL PROTECTIVE ORDER BETWEEN NON PARTY QUALCOMM INCORPORATED, PLAINTIFF, AND DEFENDANTS. Signed by Judge Alan D Albright. (zv) (Entered: 02/06/2023) (28)
Feb 6, 2023 87 NOTICE of Attorney Appearance by Brian Christopher Nash on behalf of Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. Attorney Brian Christopher Nash added to party Amazon.Com, Inc.(pty:dft), Attorney Brian Christopher Nash added to party Amazon.com Services LLC(pty:dft), Attorney Brian Christopher Nash added to party eero LLC(pty:dft) (Nash, Brian) (Entered: 02/06/2023) (2)
Feb 6, 2023 88 MOTION to Appear Pro Hac Vice by Brian Christopher Nash on behalf of Adam R. Brausa ( Filing fee $ 100 receipt number ATXWDC-17051440) by on behalf of Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Proposed Order)(Nash, Brian) (Entered: 02/06/2023) (0)
Feb 3, 2023 83 Joint MOTION for Protective Order Between Plaintiff and Defendants by XR Communications LLC. (Attachments: # 1 Exhibit A)(Mirzaie, Reza) (Entered: 02/03/2023) (0)
Feb 3, 2023 84 Joint MOTION for Protective Order AGREED SUPPLEMENTAL PROTECTIVE ORDER BETWEEN NON PARTY QUALCOMM INCORPORATED, PLAINTIFF, AND DEFENDANTS by XR Communications LLC. (Attachments: # 1 Exhibit A)(Mirzaie, Reza) (Entered: 02/03/2023) (0)
Jan 18, 2023 82 NOTICE OF SUPPLEMENTAL AUTHORITY REGARDING DEFENDANTS MOTION TO STAY PENDING INTER PARTES REVIEW by XR Communications LLC re 77 Response in Opposition to Motion, (Attachments: # 1 Exhibit A)(Mirzaie, Reza) (Entered: 01/18/2023) (0)
Jan 11, 2023 81 NOTICE of PTAB Decision Denying IPR for '235 Patent by XR Communications LLC re 77 Response in Opposition to Motion, (Attachments: # 1 Exhibit 1 - Institution Denial in IPR2022-01155)(Mirzaie, Reza) (Entered: 01/11/2023) (0)
Jan 9, 2023 80 AMENDED SCHEDULING ORDER: Markman Hearing set for 3/23/2023 09:00 AM before Judge Alan D Albright. Amended Pleadings due by 3/23/2023. Dispositive Motions due by 6/29/2023. Final Pretrial Conference set for 9/5/2023 before Judge Alan D Albright. Jury Selection set for 9/25/2023 before Judge Jeffrey C. Manske. Jury Trial set for 9/25/2023 before Judge Alan D Albright. Motions terminated: 79 Joint MOTION to Amend/Correct 39 Order on Motion for Entry of Scheduling Order, filed by XR Communications LLC.. Signed by Judge Alan D Albright. (zv) (Entered: 01/09/2023) (3)
Jan 6, 2023 79 Joint MOTION to Amend/Correct 39 Order on Motion for Entry of Scheduling Order, by XR Communications LLC. (Attachments: # 1 Exhibit A)(Chan, Minna) (Entered: 01/06/2023) (0)
Dec 14, 2022 78 REPLY to Response to Motion, filed by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC, re 73 Opposed Sealed Motion to Stay Case Pending Inter Partes Review. by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC filed by Defendant Amazon.com Services LLC, Defendant Amazon.Com, Inc., Defendant eero LLC (Chamcharas, Roy) (Entered: 12/14/2022) (16)
Dec 7, 2022 77 Response in Opposition to Motion, filed by XR Communications LLC, re 73 Opposed Sealed Motion to Stay Case Pending Inter Partes Review. by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC filed by Defendant Amazon.com Services LLC, Defendant Amazon.Com, Inc., Defendant eero LLC (Attachments: # 1 Declaration of Reza Mirzaie, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Exhibit 3, # 5 Exhibit 4)(Mirzaie, Reza) (Entered: 12/07/2022) (0)
Dec 1, 2022 76 Redacted Public Version of 73 Opposed Sealed Motion to Stay Case Pending Inter Partes Review. by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Chamcharas, Roy) (Entered: 12/01/2022) (21)
Nov 28, 2022 75 CERTIFICATE OF SERVICE by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC (Corrected) 73 Opposed Sealed Motion to Stay Case Pending Inter Partes Review. by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC (Chamcharas, Roy) (Entered: 11/28/2022) (4)
Nov 23, 2022 73 Opposed Sealed Motion to Stay Case Pending Inter Partes Review. by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC (Attachments: # 1 Exhibit 18) (Cruzen, Robert) (Entered: 11/23/2022) (0)
Nov 23, 2022 74 ATTACHMENT Declaration of Roy Chamcharas to 73 Opposed Sealed Motion to Stay Case Pending Inter Partes Review. by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit 1 to Chamcharas Declaration, # 2 Exhibit 2 to Chamcharas Declaration, # 3 Exhibit 3 to Chamcharas Declaration, # 4 Exhibit 4 to Chamcharas Declaration, # 5 Exhibit 5 to Chamcharas Declaration, # 6 Exhibit 6 to Chamcharas Declaration, # 7 Exhibit 7 to Chamcharas Declaration, # 8 Exhibit 8 to Chamcharas Declaration, # 9 Exhibit 9 to Chamcharas Declaration, # 10 Exhibit 10 to Chamcharas Declaration, # 11 Exhibit 11 to Chamcharas Declaration, # 12 Exhibit 12 to Chamcharas Declaration, # 13 Exhibit 13 to Chamcharas Declaration, # 14 Exhibit 14 to Chamcharas Declaration, # 15 Exhibit 15 to Chamcharas Declaration, # 16 Exhibit 16 to Chamcharas Declaration, # 17 Exhibit 17 to Chamcharas Declaration, # 18 Proposed Order)(Cruzen, Robert) (Entered: 11/23/2022) (Main Document) (4)
Nov 23, 2022 74 ATTACHMENT Declaration of Roy Chamcharas to 73 Opposed Sealed Motion to Stay Case Pending Inter Partes Review. by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit 1 to Chamcharas Declaration, # 2 Exhibit 2 to Chamcharas Declaration, # 3 Exhibit 3 to Chamcharas Declaration, # 4 Exhibit 4 to Chamcharas Declaration, # 5 Exhibit 5 to Chamcharas Declaration, # 6 Exhibit 6 to Chamcharas Declaration, # 7 Exhibit 7 to Chamcharas Declaration, # 8 Exhibit 8 to Chamcharas Declaration, # 9 Exhibit 9 to Chamcharas Declaration, # 10 Exhibit 10 to Chamcharas Declaration, # 11 Exhibit 11 to Chamcharas Declaration, # 12 Exhibit 12 to Chamcharas Declaration, # 13 Exhibit 13 to Chamcharas Declaration, # 14 Exhibit 14 to Chamcharas Declaration, # 15 Exhibit 15 to Chamcharas Declaration, # 16 Exhibit 16 to Chamcharas Declaration, # 17 Exhibit 17 to Chamcharas Declaration, # 18 Proposed Order)(Cruzen, Robert) (Entered: 11/23/2022) (Exhibit 1 to Chamcharas Declaration) (30)
Nov 23, 2022 74 ATTACHMENT Declaration of Roy Chamcharas to 73 Opposed Sealed Motion to Stay Case Pending Inter Partes Review. by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit 1 to Chamcharas Declaration, # 2 Exhibit 2 to Chamcharas Declaration, # 3 Exhibit 3 to Chamcharas Declaration, # 4 Exhibit 4 to Chamcharas Declaration, # 5 Exhibit 5 to Chamcharas Declaration, # 6 Exhibit 6 to Chamcharas Declaration, # 7 Exhibit 7 to Chamcharas Declaration, # 8 Exhibit 8 to Chamcharas Declaration, # 9 Exhibit 9 to Chamcharas Declaration, # 10 Exhibit 10 to Chamcharas Declaration, # 11 Exhibit 11 to Chamcharas Declaration, # 12 Exhibit 12 to Chamcharas Declaration, # 13 Exhibit 13 to Chamcharas Declaration, # 14 Exhibit 14 to Chamcharas Declaration, # 15 Exhibit 15 to Chamcharas Declaration, # 16 Exhibit 16 to Chamcharas Declaration, # 17 Exhibit 17 to Chamcharas Declaration, # 18 Proposed Order)(Cruzen, Robert) (Entered: 11/23/2022) (Exhibit 2 to Chamcharas Declaration) (4)
Nov 23, 2022 74 ATTACHMENT Declaration of Roy Chamcharas to 73 Opposed Sealed Motion to Stay Case Pending Inter Partes Review. by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit 1 to Chamcharas Declaration, # 2 Exhibit 2 to Chamcharas Declaration, # 3 Exhibit 3 to Chamcharas Declaration, # 4 Exhibit 4 to Chamcharas Declaration, # 5 Exhibit 5 to Chamcharas Declaration, # 6 Exhibit 6 to Chamcharas Declaration, # 7 Exhibit 7 to Chamcharas Declaration, # 8 Exhibit 8 to Chamcharas Declaration, # 9 Exhibit 9 to Chamcharas Declaration, # 10 Exhibit 10 to Chamcharas Declaration, # 11 Exhibit 11 to Chamcharas Declaration, # 12 Exhibit 12 to Chamcharas Declaration, # 13 Exhibit 13 to Chamcharas Declaration, # 14 Exhibit 14 to Chamcharas Declaration, # 15 Exhibit 15 to Chamcharas Declaration, # 16 Exhibit 16 to Chamcharas Declaration, # 17 Exhibit 17 to Chamcharas Declaration, # 18 Proposed Order)(Cruzen, Robert) (Entered: 11/23/2022) (Exhibit 3 to Chamcharas Declaration) (7)
Nov 23, 2022 74 ATTACHMENT Declaration of Roy Chamcharas to 73 Opposed Sealed Motion to Stay Case Pending Inter Partes Review. by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit 1 to Chamcharas Declaration, # 2 Exhibit 2 to Chamcharas Declaration, # 3 Exhibit 3 to Chamcharas Declaration, # 4 Exhibit 4 to Chamcharas Declaration, # 5 Exhibit 5 to Chamcharas Declaration, # 6 Exhibit 6 to Chamcharas Declaration, # 7 Exhibit 7 to Chamcharas Declaration, # 8 Exhibit 8 to Chamcharas Declaration, # 9 Exhibit 9 to Chamcharas Declaration, # 10 Exhibit 10 to Chamcharas Declaration, # 11 Exhibit 11 to Chamcharas Declaration, # 12 Exhibit 12 to Chamcharas Declaration, # 13 Exhibit 13 to Chamcharas Declaration, # 14 Exhibit 14 to Chamcharas Declaration, # 15 Exhibit 15 to Chamcharas Declaration, # 16 Exhibit 16 to Chamcharas Declaration, # 17 Exhibit 17 to Chamcharas Declaration, # 18 Proposed Order)(Cruzen, Robert) (Entered: 11/23/2022) (Exhibit 4 to Chamcharas Declaration) (4)
Nov 23, 2022 74 ATTACHMENT Declaration of Roy Chamcharas to 73 Opposed Sealed Motion to Stay Case Pending Inter Partes Review. by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit 1 to Chamcharas Declaration, # 2 Exhibit 2 to Chamcharas Declaration, # 3 Exhibit 3 to Chamcharas Declaration, # 4 Exhibit 4 to Chamcharas Declaration, # 5 Exhibit 5 to Chamcharas Declaration, # 6 Exhibit 6 to Chamcharas Declaration, # 7 Exhibit 7 to Chamcharas Declaration, # 8 Exhibit 8 to Chamcharas Declaration, # 9 Exhibit 9 to Chamcharas Declaration, # 10 Exhibit 10 to Chamcharas Declaration, # 11 Exhibit 11 to Chamcharas Declaration, # 12 Exhibit 12 to Chamcharas Declaration, # 13 Exhibit 13 to Chamcharas Declaration, # 14 Exhibit 14 to Chamcharas Declaration, # 15 Exhibit 15 to Chamcharas Declaration, # 16 Exhibit 16 to Chamcharas Declaration, # 17 Exhibit 17 to Chamcharas Declaration, # 18 Proposed Order)(Cruzen, Robert) (Entered: 11/23/2022) (Exhibit 5 to Chamcharas Declaration) (10)
Nov 23, 2022 74 ATTACHMENT Declaration of Roy Chamcharas to 73 Opposed Sealed Motion to Stay Case Pending Inter Partes Review. by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit 1 to Chamcharas Declaration, # 2 Exhibit 2 to Chamcharas Declaration, # 3 Exhibit 3 to Chamcharas Declaration, # 4 Exhibit 4 to Chamcharas Declaration, # 5 Exhibit 5 to Chamcharas Declaration, # 6 Exhibit 6 to Chamcharas Declaration, # 7 Exhibit 7 to Chamcharas Declaration, # 8 Exhibit 8 to Chamcharas Declaration, # 9 Exhibit 9 to Chamcharas Declaration, # 10 Exhibit 10 to Chamcharas Declaration, # 11 Exhibit 11 to Chamcharas Declaration, # 12 Exhibit 12 to Chamcharas Declaration, # 13 Exhibit 13 to Chamcharas Declaration, # 14 Exhibit 14 to Chamcharas Declaration, # 15 Exhibit 15 to Chamcharas Declaration, # 16 Exhibit 16 to Chamcharas Declaration, # 17 Exhibit 17 to Chamcharas Declaration, # 18 Proposed Order)(Cruzen, Robert) (Entered: 11/23/2022) (Exhibit 6 to Chamcharas Declaration) (7)
Nov 23, 2022 74 ATTACHMENT Declaration of Roy Chamcharas to 73 Opposed Sealed Motion to Stay Case Pending Inter Partes Review. by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit 1 to Chamcharas Declaration, # 2 Exhibit 2 to Chamcharas Declaration, # 3 Exhibit 3 to Chamcharas Declaration, # 4 Exhibit 4 to Chamcharas Declaration, # 5 Exhibit 5 to Chamcharas Declaration, # 6 Exhibit 6 to Chamcharas Declaration, # 7 Exhibit 7 to Chamcharas Declaration, # 8 Exhibit 8 to Chamcharas Declaration, # 9 Exhibit 9 to Chamcharas Declaration, # 10 Exhibit 10 to Chamcharas Declaration, # 11 Exhibit 11 to Chamcharas Declaration, # 12 Exhibit 12 to Chamcharas Declaration, # 13 Exhibit 13 to Chamcharas Declaration, # 14 Exhibit 14 to Chamcharas Declaration, # 15 Exhibit 15 to Chamcharas Declaration, # 16 Exhibit 16 to Chamcharas Declaration, # 17 Exhibit 17 to Chamcharas Declaration, # 18 Proposed Order)(Cruzen, Robert) (Entered: 11/23/2022) (Exhibit 7 to Chamcharas Declaration) (30)
Nov 23, 2022 74 ATTACHMENT Declaration of Roy Chamcharas to 73 Opposed Sealed Motion to Stay Case Pending Inter Partes Review. by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit 1 to Chamcharas Declaration, # 2 Exhibit 2 to Chamcharas Declaration, # 3 Exhibit 3 to Chamcharas Declaration, # 4 Exhibit 4 to Chamcharas Declaration, # 5 Exhibit 5 to Chamcharas Declaration, # 6 Exhibit 6 to Chamcharas Declaration, # 7 Exhibit 7 to Chamcharas Declaration, # 8 Exhibit 8 to Chamcharas Declaration, # 9 Exhibit 9 to Chamcharas Declaration, # 10 Exhibit 10 to Chamcharas Declaration, # 11 Exhibit 11 to Chamcharas Declaration, # 12 Exhibit 12 to Chamcharas Declaration, # 13 Exhibit 13 to Chamcharas Declaration, # 14 Exhibit 14 to Chamcharas Declaration, # 15 Exhibit 15 to Chamcharas Declaration, # 16 Exhibit 16 to Chamcharas Declaration, # 17 Exhibit 17 to Chamcharas Declaration, # 18 Proposed Order)(Cruzen, Robert) (Entered: 11/23/2022) (Exhibit 8 to Chamcharas Declaration) (30)
Nov 23, 2022 74 ATTACHMENT Declaration of Roy Chamcharas to 73 Opposed Sealed Motion to Stay Case Pending Inter Partes Review. by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit 1 to Chamcharas Declaration, # 2 Exhibit 2 to Chamcharas Declaration, # 3 Exhibit 3 to Chamcharas Declaration, # 4 Exhibit 4 to Chamcharas Declaration, # 5 Exhibit 5 to Chamcharas Declaration, # 6 Exhibit 6 to Chamcharas Declaration, # 7 Exhibit 7 to Chamcharas Declaration, # 8 Exhibit 8 to Chamcharas Declaration, # 9 Exhibit 9 to Chamcharas Declaration, # 10 Exhibit 10 to Chamcharas Declaration, # 11 Exhibit 11 to Chamcharas Declaration, # 12 Exhibit 12 to Chamcharas Declaration, # 13 Exhibit 13 to Chamcharas Declaration, # 14 Exhibit 14 to Chamcharas Declaration, # 15 Exhibit 15 to Chamcharas Declaration, # 16 Exhibit 16 to Chamcharas Declaration, # 17 Exhibit 17 to Chamcharas Declaration, # 18 Proposed Order)(Cruzen, Robert) (Entered: 11/23/2022) (Exhibit 9 to Chamcharas Declaration) (30)
Nov 23, 2022 74 ATTACHMENT Declaration of Roy Chamcharas to 73 Opposed Sealed Motion to Stay Case Pending Inter Partes Review. by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit 1 to Chamcharas Declaration, # 2 Exhibit 2 to Chamcharas Declaration, # 3 Exhibit 3 to Chamcharas Declaration, # 4 Exhibit 4 to Chamcharas Declaration, # 5 Exhibit 5 to Chamcharas Declaration, # 6 Exhibit 6 to Chamcharas Declaration, # 7 Exhibit 7 to Chamcharas Declaration, # 8 Exhibit 8 to Chamcharas Declaration, # 9 Exhibit 9 to Chamcharas Declaration, # 10 Exhibit 10 to Chamcharas Declaration, # 11 Exhibit 11 to Chamcharas Declaration, # 12 Exhibit 12 to Chamcharas Declaration, # 13 Exhibit 13 to Chamcharas Declaration, # 14 Exhibit 14 to Chamcharas Declaration, # 15 Exhibit 15 to Chamcharas Declaration, # 16 Exhibit 16 to Chamcharas Declaration, # 17 Exhibit 17 to Chamcharas Declaration, # 18 Proposed Order)(Cruzen, Robert) (Entered: 11/23/2022) (Exhibit 10 to Chamcharas Declaration) (17)
Nov 23, 2022 74 ATTACHMENT Declaration of Roy Chamcharas to 73 Opposed Sealed Motion to Stay Case Pending Inter Partes Review. by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit 1 to Chamcharas Declaration, # 2 Exhibit 2 to Chamcharas Declaration, # 3 Exhibit 3 to Chamcharas Declaration, # 4 Exhibit 4 to Chamcharas Declaration, # 5 Exhibit 5 to Chamcharas Declaration, # 6 Exhibit 6 to Chamcharas Declaration, # 7 Exhibit 7 to Chamcharas Declaration, # 8 Exhibit 8 to Chamcharas Declaration, # 9 Exhibit 9 to Chamcharas Declaration, # 10 Exhibit 10 to Chamcharas Declaration, # 11 Exhibit 11 to Chamcharas Declaration, # 12 Exhibit 12 to Chamcharas Declaration, # 13 Exhibit 13 to Chamcharas Declaration, # 14 Exhibit 14 to Chamcharas Declaration, # 15 Exhibit 15 to Chamcharas Declaration, # 16 Exhibit 16 to Chamcharas Declaration, # 17 Exhibit 17 to Chamcharas Declaration, # 18 Proposed Order)(Cruzen, Robert) (Entered: 11/23/2022) (Exhibit 11 to Chamcharas Declaration) (30)
Nov 23, 2022 74 ATTACHMENT Declaration of Roy Chamcharas to 73 Opposed Sealed Motion to Stay Case Pending Inter Partes Review. by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit 1 to Chamcharas Declaration, # 2 Exhibit 2 to Chamcharas Declaration, # 3 Exhibit 3 to Chamcharas Declaration, # 4 Exhibit 4 to Chamcharas Declaration, # 5 Exhibit 5 to Chamcharas Declaration, # 6 Exhibit 6 to Chamcharas Declaration, # 7 Exhibit 7 to Chamcharas Declaration, # 8 Exhibit 8 to Chamcharas Declaration, # 9 Exhibit 9 to Chamcharas Declaration, # 10 Exhibit 10 to Chamcharas Declaration, # 11 Exhibit 11 to Chamcharas Declaration, # 12 Exhibit 12 to Chamcharas Declaration, # 13 Exhibit 13 to Chamcharas Declaration, # 14 Exhibit 14 to Chamcharas Declaration, # 15 Exhibit 15 to Chamcharas Declaration, # 16 Exhibit 16 to Chamcharas Declaration, # 17 Exhibit 17 to Chamcharas Declaration, # 18 Proposed Order)(Cruzen, Robert) (Entered: 11/23/2022) (Exhibit 12 to Chamcharas Declaration) (30)
Nov 23, 2022 74 ATTACHMENT Declaration of Roy Chamcharas to 73 Opposed Sealed Motion to Stay Case Pending Inter Partes Review. by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit 1 to Chamcharas Declaration, # 2 Exhibit 2 to Chamcharas Declaration, # 3 Exhibit 3 to Chamcharas Declaration, # 4 Exhibit 4 to Chamcharas Declaration, # 5 Exhibit 5 to Chamcharas Declaration, # 6 Exhibit 6 to Chamcharas Declaration, # 7 Exhibit 7 to Chamcharas Declaration, # 8 Exhibit 8 to Chamcharas Declaration, # 9 Exhibit 9 to Chamcharas Declaration, # 10 Exhibit 10 to Chamcharas Declaration, # 11 Exhibit 11 to Chamcharas Declaration, # 12 Exhibit 12 to Chamcharas Declaration, # 13 Exhibit 13 to Chamcharas Declaration, # 14 Exhibit 14 to Chamcharas Declaration, # 15 Exhibit 15 to Chamcharas Declaration, # 16 Exhibit 16 to Chamcharas Declaration, # 17 Exhibit 17 to Chamcharas Declaration, # 18 Proposed Order)(Cruzen, Robert) (Entered: 11/23/2022) (Exhibit 13 to Chamcharas Declaration) (30)
Nov 23, 2022 74 ATTACHMENT Declaration of Roy Chamcharas to 73 Opposed Sealed Motion to Stay Case Pending Inter Partes Review. by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit 1 to Chamcharas Declaration, # 2 Exhibit 2 to Chamcharas Declaration, # 3 Exhibit 3 to Chamcharas Declaration, # 4 Exhibit 4 to Chamcharas Declaration, # 5 Exhibit 5 to Chamcharas Declaration, # 6 Exhibit 6 to Chamcharas Declaration, # 7 Exhibit 7 to Chamcharas Declaration, # 8 Exhibit 8 to Chamcharas Declaration, # 9 Exhibit 9 to Chamcharas Declaration, # 10 Exhibit 10 to Chamcharas Declaration, # 11 Exhibit 11 to Chamcharas Declaration, # 12 Exhibit 12 to Chamcharas Declaration, # 13 Exhibit 13 to Chamcharas Declaration, # 14 Exhibit 14 to Chamcharas Declaration, # 15 Exhibit 15 to Chamcharas Declaration, # 16 Exhibit 16 to Chamcharas Declaration, # 17 Exhibit 17 to Chamcharas Declaration, # 18 Proposed Order)(Cruzen, Robert) (Entered: 11/23/2022) (Exhibit 14 to Chamcharas Declaration) (30)
Nov 23, 2022 74 ATTACHMENT Declaration of Roy Chamcharas to 73 Opposed Sealed Motion to Stay Case Pending Inter Partes Review. by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit 1 to Chamcharas Declaration, # 2 Exhibit 2 to Chamcharas Declaration, # 3 Exhibit 3 to Chamcharas Declaration, # 4 Exhibit 4 to Chamcharas Declaration, # 5 Exhibit 5 to Chamcharas Declaration, # 6 Exhibit 6 to Chamcharas Declaration, # 7 Exhibit 7 to Chamcharas Declaration, # 8 Exhibit 8 to Chamcharas Declaration, # 9 Exhibit 9 to Chamcharas Declaration, # 10 Exhibit 10 to Chamcharas Declaration, # 11 Exhibit 11 to Chamcharas Declaration, # 12 Exhibit 12 to Chamcharas Declaration, # 13 Exhibit 13 to Chamcharas Declaration, # 14 Exhibit 14 to Chamcharas Declaration, # 15 Exhibit 15 to Chamcharas Declaration, # 16 Exhibit 16 to Chamcharas Declaration, # 17 Exhibit 17 to Chamcharas Declaration, # 18 Proposed Order)(Cruzen, Robert) (Entered: 11/23/2022) (Exhibit 15 to Chamcharas Declaration) (16)
Nov 23, 2022 74 ATTACHMENT Declaration of Roy Chamcharas to 73 Opposed Sealed Motion to Stay Case Pending Inter Partes Review. by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit 1 to Chamcharas Declaration, # 2 Exhibit 2 to Chamcharas Declaration, # 3 Exhibit 3 to Chamcharas Declaration, # 4 Exhibit 4 to Chamcharas Declaration, # 5 Exhibit 5 to Chamcharas Declaration, # 6 Exhibit 6 to Chamcharas Declaration, # 7 Exhibit 7 to Chamcharas Declaration, # 8 Exhibit 8 to Chamcharas Declaration, # 9 Exhibit 9 to Chamcharas Declaration, # 10 Exhibit 10 to Chamcharas Declaration, # 11 Exhibit 11 to Chamcharas Declaration, # 12 Exhibit 12 to Chamcharas Declaration, # 13 Exhibit 13 to Chamcharas Declaration, # 14 Exhibit 14 to Chamcharas Declaration, # 15 Exhibit 15 to Chamcharas Declaration, # 16 Exhibit 16 to Chamcharas Declaration, # 17 Exhibit 17 to Chamcharas Declaration, # 18 Proposed Order)(Cruzen, Robert) (Entered: 11/23/2022) (Exhibit 16 to Chamcharas Declaration) (2)
Nov 23, 2022 74 ATTACHMENT Declaration of Roy Chamcharas to 73 Opposed Sealed Motion to Stay Case Pending Inter Partes Review. by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit 1 to Chamcharas Declaration, # 2 Exhibit 2 to Chamcharas Declaration, # 3 Exhibit 3 to Chamcharas Declaration, # 4 Exhibit 4 to Chamcharas Declaration, # 5 Exhibit 5 to Chamcharas Declaration, # 6 Exhibit 6 to Chamcharas Declaration, # 7 Exhibit 7 to Chamcharas Declaration, # 8 Exhibit 8 to Chamcharas Declaration, # 9 Exhibit 9 to Chamcharas Declaration, # 10 Exhibit 10 to Chamcharas Declaration, # 11 Exhibit 11 to Chamcharas Declaration, # 12 Exhibit 12 to Chamcharas Declaration, # 13 Exhibit 13 to Chamcharas Declaration, # 14 Exhibit 14 to Chamcharas Declaration, # 15 Exhibit 15 to Chamcharas Declaration, # 16 Exhibit 16 to Chamcharas Declaration, # 17 Exhibit 17 to Chamcharas Declaration, # 18 Proposed Order)(Cruzen, Robert) (Entered: 11/23/2022) (Exhibit 17 to Chamcharas Declaration) (2)
Nov 23, 2022 74 ATTACHMENT Declaration of Roy Chamcharas to 73 Opposed Sealed Motion to Stay Case Pending Inter Partes Review. by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit 1 to Chamcharas Declaration, # 2 Exhibit 2 to Chamcharas Declaration, # 3 Exhibit 3 to Chamcharas Declaration, # 4 Exhibit 4 to Chamcharas Declaration, # 5 Exhibit 5 to Chamcharas Declaration, # 6 Exhibit 6 to Chamcharas Declaration, # 7 Exhibit 7 to Chamcharas Declaration, # 8 Exhibit 8 to Chamcharas Declaration, # 9 Exhibit 9 to Chamcharas Declaration, # 10 Exhibit 10 to Chamcharas Declaration, # 11 Exhibit 11 to Chamcharas Declaration, # 12 Exhibit 12 to Chamcharas Declaration, # 13 Exhibit 13 to Chamcharas Declaration, # 14 Exhibit 14 to Chamcharas Declaration, # 15 Exhibit 15 to Chamcharas Declaration, # 16 Exhibit 16 to Chamcharas Declaration, # 17 Exhibit 17 to Chamcharas Declaration, # 18 Proposed Order)(Cruzen, Robert) (Entered: 11/23/2022) (Proposed Order) (1)
Oct 21, 2022 71 NOTICE of Attorney Appearance by Brian D. Ledahl on behalf of XR Communications LLC. Attorney Brian D. Ledahl added to party XR Communications LLC(pty:pla) (Ledahl, Brian) (Entered: 10/21/2022) (1)
Oct 21, 2022 72 NOTICE of Attorney Appearance by Benjamin T. Wang on behalf of XR Communications LLC. Attorney Benjamin T. Wang added to party XR Communications LLC(pty:pla) (Wang, Benjamin) (Entered: 10/21/2022) (1)
Oct 14, 2022 70 NOTICE of Attorney Appearance by Paul A. Kroeger on behalf of XR Communications LLC (Kroeger, Paul) (Entered: 10/14/2022) (1)
Oct 4, 2022 69 AMENDED ANSWER to re 24 and 1 Complaint by Amazon.Com, Inc., Amazon.com Services LLC. (Attachments: # 1 Affidavit of Caroline L. Desmond, # 2 Exhibit A, # 3 Exhibit B, # 4 Exhibit C, # 5 Exhibit D, # 6 Exhibit E, # 7 Exhibit F, # 8 Exhibit G, # 9 Exhibit H, # 10 Exhibit I, # 11 Exhibit J, # 12 Exhibit K, # 13 Exhibit L, # 14 Exhibit M, # 15 Exhibit N, # 16 Exhibit O, # 17 Exhibit P)(Desmond, Caroline) Modified on 10/4/2022 to link to previous Answer(zv). (Entered: 10/04/2022) (Main Document) (22)
Oct 4, 2022 69 AMENDED ANSWER to re 24 and 1 Complaint by Amazon.Com, Inc., Amazon.com Services LLC. (Attachments: # 1 Affidavit of Caroline L. Desmond, # 2 Exhibit A, # 3 Exhibit B, # 4 Exhibit C, # 5 Exhibit D, # 6 Exhibit E, # 7 Exhibit F, # 8 Exhibit G, # 9 Exhibit H, # 10 Exhibit I, # 11 Exhibit J, # 12 Exhibit K, # 13 Exhibit L, # 14 Exhibit M, # 15 Exhibit N, # 16 Exhibit O, # 17 Exhibit P)(Desmond, Caroline) Modified on 10/4/2022 to link to previous Answer(zv). (Entered: 10/04/2022) (Affidavit of Caroline L. Desmond) (4)
Oct 4, 2022 69 AMENDED ANSWER to re 24 and 1 Complaint by Amazon.Com, Inc., Amazon.com Services LLC. (Attachments: # 1 Affidavit of Caroline L. Desmond, # 2 Exhibit A, # 3 Exhibit B, # 4 Exhibit C, # 5 Exhibit D, # 6 Exhibit E, # 7 Exhibit F, # 8 Exhibit G, # 9 Exhibit H, # 10 Exhibit I, # 11 Exhibit J, # 12 Exhibit K, # 13 Exhibit L, # 14 Exhibit M, # 15 Exhibit N, # 16 Exhibit O, # 17 Exhibit P)(Desmond, Caroline) Modified on 10/4/2022 to link to previous Answer(zv). (Entered: 10/04/2022) (Exhibit A) (30)
Oct 4, 2022 69 AMENDED ANSWER to re 24 and 1 Complaint by Amazon.Com, Inc., Amazon.com Services LLC. (Attachments: # 1 Affidavit of Caroline L. Desmond, # 2 Exhibit A, # 3 Exhibit B, # 4 Exhibit C, # 5 Exhibit D, # 6 Exhibit E, # 7 Exhibit F, # 8 Exhibit G, # 9 Exhibit H, # 10 Exhibit I, # 11 Exhibit J, # 12 Exhibit K, # 13 Exhibit L, # 14 Exhibit M, # 15 Exhibit N, # 16 Exhibit O, # 17 Exhibit P)(Desmond, Caroline) Modified on 10/4/2022 to link to previous Answer(zv). (Entered: 10/04/2022) (Exhibit B) (5)
Oct 4, 2022 69 AMENDED ANSWER to re 24 and 1 Complaint by Amazon.Com, Inc., Amazon.com Services LLC. (Attachments: # 1 Affidavit of Caroline L. Desmond, # 2 Exhibit A, # 3 Exhibit B, # 4 Exhibit C, # 5 Exhibit D, # 6 Exhibit E, # 7 Exhibit F, # 8 Exhibit G, # 9 Exhibit H, # 10 Exhibit I, # 11 Exhibit J, # 12 Exhibit K, # 13 Exhibit L, # 14 Exhibit M, # 15 Exhibit N, # 16 Exhibit O, # 17 Exhibit P)(Desmond, Caroline) Modified on 10/4/2022 to link to previous Answer(zv). (Entered: 10/04/2022) (Exhibit C) (19)
Oct 4, 2022 69 AMENDED ANSWER to re 24 and 1 Complaint by Amazon.Com, Inc., Amazon.com Services LLC. (Attachments: # 1 Affidavit of Caroline L. Desmond, # 2 Exhibit A, # 3 Exhibit B, # 4 Exhibit C, # 5 Exhibit D, # 6 Exhibit E, # 7 Exhibit F, # 8 Exhibit G, # 9 Exhibit H, # 10 Exhibit I, # 11 Exhibit J, # 12 Exhibit K, # 13 Exhibit L, # 14 Exhibit M, # 15 Exhibit N, # 16 Exhibit O, # 17 Exhibit P)(Desmond, Caroline) Modified on 10/4/2022 to link to previous Answer(zv). (Entered: 10/04/2022) (Exhibit D) (30)
Oct 4, 2022 69 AMENDED ANSWER to re 24 and 1 Complaint by Amazon.Com, Inc., Amazon.com Services LLC. (Attachments: # 1 Affidavit of Caroline L. Desmond, # 2 Exhibit A, # 3 Exhibit B, # 4 Exhibit C, # 5 Exhibit D, # 6 Exhibit E, # 7 Exhibit F, # 8 Exhibit G, # 9 Exhibit H, # 10 Exhibit I, # 11 Exhibit J, # 12 Exhibit K, # 13 Exhibit L, # 14 Exhibit M, # 15 Exhibit N, # 16 Exhibit O, # 17 Exhibit P)(Desmond, Caroline) Modified on 10/4/2022 to link to previous Answer(zv). (Entered: 10/04/2022) (Exhibit E) (19)
Oct 4, 2022 69 AMENDED ANSWER to re 24 and 1 Complaint by Amazon.Com, Inc., Amazon.com Services LLC. (Attachments: # 1 Affidavit of Caroline L. Desmond, # 2 Exhibit A, # 3 Exhibit B, # 4 Exhibit C, # 5 Exhibit D, # 6 Exhibit E, # 7 Exhibit F, # 8 Exhibit G, # 9 Exhibit H, # 10 Exhibit I, # 11 Exhibit J, # 12 Exhibit K, # 13 Exhibit L, # 14 Exhibit M, # 15 Exhibit N, # 16 Exhibit O, # 17 Exhibit P)(Desmond, Caroline) Modified on 10/4/2022 to link to previous Answer(zv). (Entered: 10/04/2022) (Exhibit F) (4)
Oct 4, 2022 69 AMENDED ANSWER to re 24 and 1 Complaint by Amazon.Com, Inc., Amazon.com Services LLC. (Attachments: # 1 Affidavit of Caroline L. Desmond, # 2 Exhibit A, # 3 Exhibit B, # 4 Exhibit C, # 5 Exhibit D, # 6 Exhibit E, # 7 Exhibit F, # 8 Exhibit G, # 9 Exhibit H, # 10 Exhibit I, # 11 Exhibit J, # 12 Exhibit K, # 13 Exhibit L, # 14 Exhibit M, # 15 Exhibit N, # 16 Exhibit O, # 17 Exhibit P)(Desmond, Caroline) Modified on 10/4/2022 to link to previous Answer(zv). (Entered: 10/04/2022) (Exhibit G) (17)
Oct 4, 2022 69 AMENDED ANSWER to re 24 and 1 Complaint by Amazon.Com, Inc., Amazon.com Services LLC. (Attachments: # 1 Affidavit of Caroline L. Desmond, # 2 Exhibit A, # 3 Exhibit B, # 4 Exhibit C, # 5 Exhibit D, # 6 Exhibit E, # 7 Exhibit F, # 8 Exhibit G, # 9 Exhibit H, # 10 Exhibit I, # 11 Exhibit J, # 12 Exhibit K, # 13 Exhibit L, # 14 Exhibit M, # 15 Exhibit N, # 16 Exhibit O, # 17 Exhibit P)(Desmond, Caroline) Modified on 10/4/2022 to link to previous Answer(zv). (Entered: 10/04/2022) (Exhibit H) (4)
Oct 4, 2022 69 AMENDED ANSWER to re 24 and 1 Complaint by Amazon.Com, Inc., Amazon.com Services LLC. (Attachments: # 1 Affidavit of Caroline L. Desmond, # 2 Exhibit A, # 3 Exhibit B, # 4 Exhibit C, # 5 Exhibit D, # 6 Exhibit E, # 7 Exhibit F, # 8 Exhibit G, # 9 Exhibit H, # 10 Exhibit I, # 11 Exhibit J, # 12 Exhibit K, # 13 Exhibit L, # 14 Exhibit M, # 15 Exhibit N, # 16 Exhibit O, # 17 Exhibit P)(Desmond, Caroline) Modified on 10/4/2022 to link to previous Answer(zv). (Entered: 10/04/2022) (Exhibit I) (7)
Oct 4, 2022 69 AMENDED ANSWER to re 24 and 1 Complaint by Amazon.Com, Inc., Amazon.com Services LLC. (Attachments: # 1 Affidavit of Caroline L. Desmond, # 2 Exhibit A, # 3 Exhibit B, # 4 Exhibit C, # 5 Exhibit D, # 6 Exhibit E, # 7 Exhibit F, # 8 Exhibit G, # 9 Exhibit H, # 10 Exhibit I, # 11 Exhibit J, # 12 Exhibit K, # 13 Exhibit L, # 14 Exhibit M, # 15 Exhibit N, # 16 Exhibit O, # 17 Exhibit P)(Desmond, Caroline) Modified on 10/4/2022 to link to previous Answer(zv). (Entered: 10/04/2022) (Exhibit J) (18)
Oct 4, 2022 69 AMENDED ANSWER to re 24 and 1 Complaint by Amazon.Com, Inc., Amazon.com Services LLC. (Attachments: # 1 Affidavit of Caroline L. Desmond, # 2 Exhibit A, # 3 Exhibit B, # 4 Exhibit C, # 5 Exhibit D, # 6 Exhibit E, # 7 Exhibit F, # 8 Exhibit G, # 9 Exhibit H, # 10 Exhibit I, # 11 Exhibit J, # 12 Exhibit K, # 13 Exhibit L, # 14 Exhibit M, # 15 Exhibit N, # 16 Exhibit O, # 17 Exhibit P)(Desmond, Caroline) Modified on 10/4/2022 to link to previous Answer(zv). (Entered: 10/04/2022) (Exhibit K) (8)
Oct 4, 2022 69 AMENDED ANSWER to re 24 and 1 Complaint by Amazon.Com, Inc., Amazon.com Services LLC. (Attachments: # 1 Affidavit of Caroline L. Desmond, # 2 Exhibit A, # 3 Exhibit B, # 4 Exhibit C, # 5 Exhibit D, # 6 Exhibit E, # 7 Exhibit F, # 8 Exhibit G, # 9 Exhibit H, # 10 Exhibit I, # 11 Exhibit J, # 12 Exhibit K, # 13 Exhibit L, # 14 Exhibit M, # 15 Exhibit N, # 16 Exhibit O, # 17 Exhibit P)(Desmond, Caroline) Modified on 10/4/2022 to link to previous Answer(zv). (Entered: 10/04/2022) (Exhibit L) (18)
Oct 4, 2022 69 AMENDED ANSWER to re 24 and 1 Complaint by Amazon.Com, Inc., Amazon.com Services LLC. (Attachments: # 1 Affidavit of Caroline L. Desmond, # 2 Exhibit A, # 3 Exhibit B, # 4 Exhibit C, # 5 Exhibit D, # 6 Exhibit E, # 7 Exhibit F, # 8 Exhibit G, # 9 Exhibit H, # 10 Exhibit I, # 11 Exhibit J, # 12 Exhibit K, # 13 Exhibit L, # 14 Exhibit M, # 15 Exhibit N, # 16 Exhibit O, # 17 Exhibit P)(Desmond, Caroline) Modified on 10/4/2022 to link to previous Answer(zv). (Entered: 10/04/2022) (Exhibit M) (24)
Oct 4, 2022 69 AMENDED ANSWER to re 24 and 1 Complaint by Amazon.Com, Inc., Amazon.com Services LLC. (Attachments: # 1 Affidavit of Caroline L. Desmond, # 2 Exhibit A, # 3 Exhibit B, # 4 Exhibit C, # 5 Exhibit D, # 6 Exhibit E, # 7 Exhibit F, # 8 Exhibit G, # 9 Exhibit H, # 10 Exhibit I, # 11 Exhibit J, # 12 Exhibit K, # 13 Exhibit L, # 14 Exhibit M, # 15 Exhibit N, # 16 Exhibit O, # 17 Exhibit P)(Desmond, Caroline) Modified on 10/4/2022 to link to previous Answer(zv). (Entered: 10/04/2022) (Exhibit N) (8)
Oct 4, 2022 69 AMENDED ANSWER to re 24 and 1 Complaint by Amazon.Com, Inc., Amazon.com Services LLC. (Attachments: # 1 Affidavit of Caroline L. Desmond, # 2 Exhibit A, # 3 Exhibit B, # 4 Exhibit C, # 5 Exhibit D, # 6 Exhibit E, # 7 Exhibit F, # 8 Exhibit G, # 9 Exhibit H, # 10 Exhibit I, # 11 Exhibit J, # 12 Exhibit K, # 13 Exhibit L, # 14 Exhibit M, # 15 Exhibit N, # 16 Exhibit O, # 17 Exhibit P)(Desmond, Caroline) Modified on 10/4/2022 to link to previous Answer(zv). (Entered: 10/04/2022) (Exhibit O) (12)
Oct 4, 2022 69 AMENDED ANSWER to re 24 and 1 Complaint by Amazon.Com, Inc., Amazon.com Services LLC. (Attachments: # 1 Affidavit of Caroline L. Desmond, # 2 Exhibit A, # 3 Exhibit B, # 4 Exhibit C, # 5 Exhibit D, # 6 Exhibit E, # 7 Exhibit F, # 8 Exhibit G, # 9 Exhibit H, # 10 Exhibit I, # 11 Exhibit J, # 12 Exhibit K, # 13 Exhibit L, # 14 Exhibit M, # 15 Exhibit N, # 16 Exhibit O, # 17 Exhibit P)(Desmond, Caroline) Modified on 10/4/2022 to link to previous Answer(zv). (Entered: 10/04/2022) (Exhibit P) (7)
Sep 28, 2022 68 NOTICE of Attorney Appearance by Jacob R. Buczko on behalf of XR Communications LLC. Attorney Jacob R. Buczko added to party XR Communications LLC(pty:pla) (Buczko, Jacob) (Entered: 09/28/2022) (1)
Sep 1, 2022 67 Response in Opposition to Motion, filed by XR Communications LLC, re 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC filed by Defendant Amazon.com Services LLC, Defendant Amazon.Com, Inc., Defendant eero LLC (Chan, Minna) (Entered: 09/01/2022) (5)
Aug 25, 2022 66 BRIEF Amazon.com, Inc.'s Supplemental Brief in Support of Defendants Opposed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California regarding 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc.. (Attachments: # 1 Supplemental Declaration of Enerino Caruccio, # 2 Declaration of Roy Chamcharas, # 3 Exhibit A - Email from Court Clerk, # 4 Exhibit B - Fire TV Stick Images, # 5 Exhibit C - Echo Show 10 Image)(Cruzen, Robert) (Entered: 08/25/2022) (Main Document) (8)
Aug 25, 2022 66 BRIEF Amazon.com, Inc.'s Supplemental Brief in Support of Defendants Opposed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California regarding 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc.. (Attachments: # 1 Supplemental Declaration of Enerino Caruccio, # 2 Declaration of Roy Chamcharas, # 3 Exhibit A - Email from Court Clerk, # 4 Exhibit B - Fire TV Stick Images, # 5 Exhibit C - Echo Show 10 Image)(Cruzen, Robert) (Entered: 08/25/2022) (Supplemental Declaration of Enerino Caruccio) (2)
Aug 25, 2022 66 BRIEF Amazon.com, Inc.'s Supplemental Brief in Support of Defendants Opposed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California regarding 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc.. (Attachments: # 1 Supplemental Declaration of Enerino Caruccio, # 2 Declaration of Roy Chamcharas, # 3 Exhibit A - Email from Court Clerk, # 4 Exhibit B - Fire TV Stick Images, # 5 Exhibit C - Echo Show 10 Image)(Cruzen, Robert) (Entered: 08/25/2022) (Declaration of Roy Chamcharas) (2)
Aug 25, 2022 66 BRIEF Amazon.com, Inc.'s Supplemental Brief in Support of Defendants Opposed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California regarding 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc.. (Attachments: # 1 Supplemental Declaration of Enerino Caruccio, # 2 Declaration of Roy Chamcharas, # 3 Exhibit A - Email from Court Clerk, # 4 Exhibit B - Fire TV Stick Images, # 5 Exhibit C - Echo Show 10 Image)(Cruzen, Robert) (Entered: 08/25/2022) (Exhibit A - Email from Court Clerk) (3)
Aug 25, 2022 66 BRIEF Amazon.com, Inc.'s Supplemental Brief in Support of Defendants Opposed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California regarding 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc.. (Attachments: # 1 Supplemental Declaration of Enerino Caruccio, # 2 Declaration of Roy Chamcharas, # 3 Exhibit A - Email from Court Clerk, # 4 Exhibit B - Fire TV Stick Images, # 5 Exhibit C - Echo Show 10 Image)(Cruzen, Robert) (Entered: 08/25/2022) (Exhibit B - Fire TV Stick Images) (2)
Aug 25, 2022 66 BRIEF Amazon.com, Inc.'s Supplemental Brief in Support of Defendants Opposed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California regarding 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc.. (Attachments: # 1 Supplemental Declaration of Enerino Caruccio, # 2 Declaration of Roy Chamcharas, # 3 Exhibit A - Email from Court Clerk, # 4 Exhibit B - Fire TV Stick Images, # 5 Exhibit C - Echo Show 10 Image)(Cruzen, Robert) (Entered: 08/25/2022) (Exhibit C - Echo Show 10 Image) (5)
Aug 18, 2022 65 ORDER CANCELLING MARKMAN HEARING. Signed by Judge Alan D Albright. (sv) (Entered: 08/18/2022) (1)
Aug 1, 2022 64 ORDER RESETTING MARKMAN HEARING for 8/26/2022 09:30 AM by Zoom before Judge Alan D Albright. Signed by Judge Alan D Albright. (sv) (Entered: 08/02/2022) (1)
Jul 27, 2022 63 Redacted Public Version of Defendants' Reply in Support of Opposed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California of 61 Sealed Document, by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Cruzen, Robert) (Entered: 07/27/2022) (10)
Jul 20, 2022 61 Sealed Document: Defendants' Reply in Support of 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC (Attachments: # 1 Sealed Document - Declaration of John Loomis, # 2 Sealed Document - Declaration of Amit Gaikwad) (Cruzen, Robert) (Entered: 07/20/2022) (0)
Jul 20, 2022 62 ATTACHMENT Declaration of Roy Chamcharas in Support of Defendants' Reply in Support of Opposed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California to 61 Sealed Document, by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit A to Chamcharas Decl. - LinkedIn Profiles, # 2 Exhibit B to Chamcharas Decl. - XR's Initial Disclosures, # 3 Exhibit C to Chamcharas Decl. - Defendants' Initial Disclosure Statement, # 4 Exhibit D to Chamcharas Decl. - NYC to SFO Flights, # 5 Exhibit E to Chamcharas Decl. - NYC to ACT Flights, # 6 Exhibit F to Chamcharas Decl. - Pat. Appl. 10/700,329)(Cruzen, Robert) (Entered: 07/20/2022) (Main Document) (3)
Jul 20, 2022 62 ATTACHMENT Declaration of Roy Chamcharas in Support of Defendants' Reply in Support of Opposed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California to 61 Sealed Document, by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit A to Chamcharas Decl. - LinkedIn Profiles, # 2 Exhibit B to Chamcharas Decl. - XR's Initial Disclosures, # 3 Exhibit C to Chamcharas Decl. - Defendants' Initial Disclosure Statement, # 4 Exhibit D to Chamcharas Decl. - NYC to SFO Flights, # 5 Exhibit E to Chamcharas Decl. - NYC to ACT Flights, # 6 Exhibit F to Chamcharas Decl. - Pat. Appl. 10/700,329)(Cruzen, Robert) (Entered: 07/20/2022) (Exhibit A to Chamcharas Decl. - LinkedIn Profiles) (30)
Jul 20, 2022 62 ATTACHMENT Declaration of Roy Chamcharas in Support of Defendants' Reply in Support of Opposed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California to 61 Sealed Document, by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit A to Chamcharas Decl. - LinkedIn Profiles, # 2 Exhibit B to Chamcharas Decl. - XR's Initial Disclosures, # 3 Exhibit C to Chamcharas Decl. - Defendants' Initial Disclosure Statement, # 4 Exhibit D to Chamcharas Decl. - NYC to SFO Flights, # 5 Exhibit E to Chamcharas Decl. - NYC to ACT Flights, # 6 Exhibit F to Chamcharas Decl. - Pat. Appl. 10/700,329)(Cruzen, Robert) (Entered: 07/20/2022) (Exhibit B to Chamcharas Decl. - XR's Initial Disclosures) (14)
Jul 20, 2022 62 ATTACHMENT Declaration of Roy Chamcharas in Support of Defendants' Reply in Support of Opposed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California to 61 Sealed Document, by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit A to Chamcharas Decl. - LinkedIn Profiles, # 2 Exhibit B to Chamcharas Decl. - XR's Initial Disclosures, # 3 Exhibit C to Chamcharas Decl. - Defendants' Initial Disclosure Statement, # 4 Exhibit D to Chamcharas Decl. - NYC to SFO Flights, # 5 Exhibit E to Chamcharas Decl. - NYC to ACT Flights, # 6 Exhibit F to Chamcharas Decl. - Pat. Appl. 10/700,329)(Cruzen, Robert) (Entered: 07/20/2022) (Exhibit C to Chamcharas Decl. - Defendants' Initial Disclosure Statement) (15)
Jul 20, 2022 62 ATTACHMENT Declaration of Roy Chamcharas in Support of Defendants' Reply in Support of Opposed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California to 61 Sealed Document, by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit A to Chamcharas Decl. - LinkedIn Profiles, # 2 Exhibit B to Chamcharas Decl. - XR's Initial Disclosures, # 3 Exhibit C to Chamcharas Decl. - Defendants' Initial Disclosure Statement, # 4 Exhibit D to Chamcharas Decl. - NYC to SFO Flights, # 5 Exhibit E to Chamcharas Decl. - NYC to ACT Flights, # 6 Exhibit F to Chamcharas Decl. - Pat. Appl. 10/700,329)(Cruzen, Robert) (Entered: 07/20/2022) (Exhibit D to Chamcharas Decl. - NYC to SFO Flights) (17)
Jul 20, 2022 62 ATTACHMENT Declaration of Roy Chamcharas in Support of Defendants' Reply in Support of Opposed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California to 61 Sealed Document, by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit A to Chamcharas Decl. - LinkedIn Profiles, # 2 Exhibit B to Chamcharas Decl. - XR's Initial Disclosures, # 3 Exhibit C to Chamcharas Decl. - Defendants' Initial Disclosure Statement, # 4 Exhibit D to Chamcharas Decl. - NYC to SFO Flights, # 5 Exhibit E to Chamcharas Decl. - NYC to ACT Flights, # 6 Exhibit F to Chamcharas Decl. - Pat. Appl. 10/700,329)(Cruzen, Robert) (Entered: 07/20/2022) (Exhibit E to Chamcharas Decl. - NYC to ACT Flights) (9)
Jul 20, 2022 62 ATTACHMENT Declaration of Roy Chamcharas in Support of Defendants' Reply in Support of Opposed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California to 61 Sealed Document, by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit A to Chamcharas Decl. - LinkedIn Profiles, # 2 Exhibit B to Chamcharas Decl. - XR's Initial Disclosures, # 3 Exhibit C to Chamcharas Decl. - Defendants' Initial Disclosure Statement, # 4 Exhibit D to Chamcharas Decl. - NYC to SFO Flights, # 5 Exhibit E to Chamcharas Decl. - NYC to ACT Flights, # 6 Exhibit F to Chamcharas Decl. - Pat. Appl. 10/700,329)(Cruzen, Robert) (Entered: 07/20/2022) (Exhibit F to Chamcharas Decl. - Pat. Appl. 10/700,329) (9)
Jul 18, 2022 60 Redacted Copy of 59 Sealed Document,, by XR Communications LLC. (Attachments: # 1 Declaration of Minna Chang, # 2 1, # 3 2, # 4 3, # 5 4, # 6 5, # 7 6, # 8 7, # 9 8, # 10 9, # 11 10, # 12 11, # 13 12, # 14 13, # 15 14, # 16 15, # 17 16, # 18 17, # 19 18, # 20 19)(Mirzaie, Reza) (Entered: 07/18/2022) (Main Document) (14)
Jul 18, 2022 60 Redacted Copy of 59 Sealed Document,, by XR Communications LLC. (Attachments: # 1 Declaration of Minna Chang, # 2 1, # 3 2, # 4 3, # 5 4, # 6 5, # 7 6, # 8 7, # 9 8, # 10 9, # 11 10, # 12 11, # 13 12, # 14 13, # 15 14, # 16 15, # 17 16, # 18 17, # 19 18, # 20 19)(Mirzaie, Reza) (Entered: 07/18/2022) (Declaration of Minna Chang) (5)
Jul 18, 2022 60 Redacted Copy of 59 Sealed Document,, by XR Communications LLC. (Attachments: # 1 Declaration of Minna Chang, # 2 1, # 3 2, # 4 3, # 5 4, # 6 5, # 7 6, # 8 7, # 9 8, # 10 9, # 11 10, # 12 11, # 13 12, # 14 13, # 15 14, # 16 15, # 17 16, # 18 17, # 19 18, # 20 19)(Mirzaie, Reza) (Entered: 07/18/2022) (1) (4)
Jul 18, 2022 60 Redacted Copy of 59 Sealed Document,, by XR Communications LLC. (Attachments: # 1 Declaration of Minna Chang, # 2 1, # 3 2, # 4 3, # 5 4, # 6 5, # 7 6, # 8 7, # 9 8, # 10 9, # 11 10, # 12 11, # 13 12, # 14 13, # 15 14, # 16 15, # 17 16, # 18 17, # 19 18, # 20 19)(Mirzaie, Reza) (Entered: 07/18/2022) (2) (3)
Jul 18, 2022 60 Redacted Copy of 59 Sealed Document,, by XR Communications LLC. (Attachments: # 1 Declaration of Minna Chang, # 2 1, # 3 2, # 4 3, # 5 4, # 6 5, # 7 6, # 8 7, # 9 8, # 10 9, # 11 10, # 12 11, # 13 12, # 14 13, # 15 14, # 16 15, # 17 16, # 18 17, # 19 18, # 20 19)(Mirzaie, Reza) (Entered: 07/18/2022) (3) (3)
Jul 18, 2022 60 Redacted Copy of 59 Sealed Document,, by XR Communications LLC. (Attachments: # 1 Declaration of Minna Chang, # 2 1, # 3 2, # 4 3, # 5 4, # 6 5, # 7 6, # 8 7, # 9 8, # 10 9, # 11 10, # 12 11, # 13 12, # 14 13, # 15 14, # 16 15, # 17 16, # 18 17, # 19 18, # 20 19)(Mirzaie, Reza) (Entered: 07/18/2022) (4) (2)
Jul 18, 2022 60 Redacted Copy of 59 Sealed Document,, by XR Communications LLC. (Attachments: # 1 Declaration of Minna Chang, # 2 1, # 3 2, # 4 3, # 5 4, # 6 5, # 7 6, # 8 7, # 9 8, # 10 9, # 11 10, # 12 11, # 13 12, # 14 13, # 15 14, # 16 15, # 17 16, # 18 17, # 19 18, # 20 19)(Mirzaie, Reza) (Entered: 07/18/2022) (5) (2)
Jul 18, 2022 60 Redacted Copy of 59 Sealed Document,, by XR Communications LLC. (Attachments: # 1 Declaration of Minna Chang, # 2 1, # 3 2, # 4 3, # 5 4, # 6 5, # 7 6, # 8 7, # 9 8, # 10 9, # 11 10, # 12 11, # 13 12, # 14 13, # 15 14, # 16 15, # 17 16, # 18 17, # 19 18, # 20 19)(Mirzaie, Reza) (Entered: 07/18/2022) (6) (3)
Jul 18, 2022 60 Redacted Copy of 59 Sealed Document,, by XR Communications LLC. (Attachments: # 1 Declaration of Minna Chang, # 2 1, # 3 2, # 4 3, # 5 4, # 6 5, # 7 6, # 8 7, # 9 8, # 10 9, # 11 10, # 12 11, # 13 12, # 14 13, # 15 14, # 16 15, # 17 16, # 18 17, # 19 18, # 20 19)(Mirzaie, Reza) (Entered: 07/18/2022) (7) (3)
Jul 18, 2022 60 Redacted Copy of 59 Sealed Document,, by XR Communications LLC. (Attachments: # 1 Declaration of Minna Chang, # 2 1, # 3 2, # 4 3, # 5 4, # 6 5, # 7 6, # 8 7, # 9 8, # 10 9, # 11 10, # 12 11, # 13 12, # 14 13, # 15 14, # 16 15, # 17 16, # 18 17, # 19 18, # 20 19)(Mirzaie, Reza) (Entered: 07/18/2022) (8) (3)
Jul 18, 2022 60 Redacted Copy of 59 Sealed Document,, by XR Communications LLC. (Attachments: # 1 Declaration of Minna Chang, # 2 1, # 3 2, # 4 3, # 5 4, # 6 5, # 7 6, # 8 7, # 9 8, # 10 9, # 11 10, # 12 11, # 13 12, # 14 13, # 15 14, # 16 15, # 17 16, # 18 17, # 19 18, # 20 19)(Mirzaie, Reza) (Entered: 07/18/2022) (9) (2)
Jul 18, 2022 60 Redacted Copy of 59 Sealed Document,, by XR Communications LLC. (Attachments: # 1 Declaration of Minna Chang, # 2 1, # 3 2, # 4 3, # 5 4, # 6 5, # 7 6, # 8 7, # 9 8, # 10 9, # 11 10, # 12 11, # 13 12, # 14 13, # 15 14, # 16 15, # 17 16, # 18 17, # 19 18, # 20 19)(Mirzaie, Reza) (Entered: 07/18/2022) (10) (5)
Jul 18, 2022 60 Redacted Copy of 59 Sealed Document,, by XR Communications LLC. (Attachments: # 1 Declaration of Minna Chang, # 2 1, # 3 2, # 4 3, # 5 4, # 6 5, # 7 6, # 8 7, # 9 8, # 10 9, # 11 10, # 12 11, # 13 12, # 14 13, # 15 14, # 16 15, # 17 16, # 18 17, # 19 18, # 20 19)(Mirzaie, Reza) (Entered: 07/18/2022) (11) (2)
Jul 18, 2022 60 Redacted Copy of 59 Sealed Document,, by XR Communications LLC. (Attachments: # 1 Declaration of Minna Chang, # 2 1, # 3 2, # 4 3, # 5 4, # 6 5, # 7 6, # 8 7, # 9 8, # 10 9, # 11 10, # 12 11, # 13 12, # 14 13, # 15 14, # 16 15, # 17 16, # 18 17, # 19 18, # 20 19)(Mirzaie, Reza) (Entered: 07/18/2022) (12) (5)
Jul 18, 2022 60 Redacted Copy of 59 Sealed Document,, by XR Communications LLC. (Attachments: # 1 Declaration of Minna Chang, # 2 1, # 3 2, # 4 3, # 5 4, # 6 5, # 7 6, # 8 7, # 9 8, # 10 9, # 11 10, # 12 11, # 13 12, # 14 13, # 15 14, # 16 15, # 17 16, # 18 17, # 19 18, # 20 19)(Mirzaie, Reza) (Entered: 07/18/2022) (13) (6)
Jul 18, 2022 60 Redacted Copy of 59 Sealed Document,, by XR Communications LLC. (Attachments: # 1 Declaration of Minna Chang, # 2 1, # 3 2, # 4 3, # 5 4, # 6 5, # 7 6, # 8 7, # 9 8, # 10 9, # 11 10, # 12 11, # 13 12, # 14 13, # 15 14, # 16 15, # 17 16, # 18 17, # 19 18, # 20 19)(Mirzaie, Reza) (Entered: 07/18/2022) (14) (10)
Jul 18, 2022 60 Redacted Copy of 59 Sealed Document,, by XR Communications LLC. (Attachments: # 1 Declaration of Minna Chang, # 2 1, # 3 2, # 4 3, # 5 4, # 6 5, # 7 6, # 8 7, # 9 8, # 10 9, # 11 10, # 12 11, # 13 12, # 14 13, # 15 14, # 16 15, # 17 16, # 18 17, # 19 18, # 20 19)(Mirzaie, Reza) (Entered: 07/18/2022) (15) (2)
Jul 18, 2022 60 Redacted Copy of 59 Sealed Document,, by XR Communications LLC. (Attachments: # 1 Declaration of Minna Chang, # 2 1, # 3 2, # 4 3, # 5 4, # 6 5, # 7 6, # 8 7, # 9 8, # 10 9, # 11 10, # 12 11, # 13 12, # 14 13, # 15 14, # 16 15, # 17 16, # 18 17, # 19 18, # 20 19)(Mirzaie, Reza) (Entered: 07/18/2022) (16) (2)
Jul 18, 2022 60 Redacted Copy of 59 Sealed Document,, by XR Communications LLC. (Attachments: # 1 Declaration of Minna Chang, # 2 1, # 3 2, # 4 3, # 5 4, # 6 5, # 7 6, # 8 7, # 9 8, # 10 9, # 11 10, # 12 11, # 13 12, # 14 13, # 15 14, # 16 15, # 17 16, # 18 17, # 19 18, # 20 19)(Mirzaie, Reza) (Entered: 07/18/2022) (17) (2)
Jul 18, 2022 60 Redacted Copy of 59 Sealed Document,, by XR Communications LLC. (Attachments: # 1 Declaration of Minna Chang, # 2 1, # 3 2, # 4 3, # 5 4, # 6 5, # 7 6, # 8 7, # 9 8, # 10 9, # 11 10, # 12 11, # 13 12, # 14 13, # 15 14, # 16 15, # 17 16, # 18 17, # 19 18, # 20 19)(Mirzaie, Reza) (Entered: 07/18/2022) (18) (4)
Jul 18, 2022 60 Redacted Copy of 59 Sealed Document,, by XR Communications LLC. (Attachments: # 1 Declaration of Minna Chang, # 2 1, # 3 2, # 4 3, # 5 4, # 6 5, # 7 6, # 8 7, # 9 8, # 10 9, # 11 10, # 12 11, # 13 12, # 14 13, # 15 14, # 16 15, # 17 16, # 18 17, # 19 18, # 20 19)(Mirzaie, Reza) (Entered: 07/18/2022) (19) (3)
Jul 6, 2022 59 Sealed Document: OPPOSITION TO DEFENDANTS MOTION TO TRANSFER VENUE UNDER 28 U.S.C. §1404(a) TO THE NORTHERN DISTRICT OF CALIFORNIA of 23 MOTION to Dismiss for Improper Venue or, Alternatively, to Transfer to the Northern District of California by XR Communications LLC (Attachments: # 1 Declaration of Minna Y. Chan, # 2 Exhibit 1, # 3 Exhibit 2, # 4 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 Exhibit 12, # 14 Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Exhibit 19) (Mirzaie, Reza) (Entered: 07/06/2022) (0)
Jun 29, 2022 58 NOTICE of Attorney Appearance by Caroline Lewis Desmond on behalf of Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. Attorney Caroline Lewis Desmond added to party Amazon.Com, Inc.(pty:dft), Attorney Caroline Lewis Desmond added to party Amazon.com Services LLC(pty:dft), Attorney Caroline Lewis Desmond added to party eero LLC(pty:dft) (Desmond, Caroline) (Entered: 06/29/2022) (3)
Jun 21, 2022 57 ORDER RESETTING Zoom Markman Hearing for 8/5/2022 09:30 AM before Judge Alan D Albright. Signed by Judge Alan D Albright. (bot1) (Entered: 06/21/2022) (1)
Jun 8, 2022 56 BRIEF JOINT CLAIM CONSTRUCTION STATEMENT by XR Communications LLC. (Mirzaie, Reza) (Entered: 06/08/2022) (18)
Jun 7, 2022 55 NOTICE of Agreed Extension of Deadline for Technology Tutorials by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC (Cruzen, Robert) (Entered: 06/07/2022) (3)
Jun 3, 2022 54 BRIEF Plaintiff XR Communications LLC dba Vivato Technologies Sur-Reply Claim Construction Brief regarding 51 Claim Construction Brief, by XR Communications LLC. (Mirzaie, Reza) (Entered: 06/03/2022) (21)
May 25, 2022 53 ORDER GRANTING 49 Motion to Appear Pro Hac Vice for Attorney Roy Chamcharas. Attorney added for Amazon.Com, Inc., Amazon.com Services LLC, eero 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: 05/25/2022) (1)
May 23, 2022 52 ORDER, (Markman Hearing RESET for 7/1/2022 01:30 PM before Judge Alan D Albright). Signed by Judge Alan D Albright. (bot1) (Entered: 05/23/2022) (1)
May 20, 2022 51 Reply Claim Construction Brief regarding 48 Claim Construction Brief,, by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Affidavit Ex. 1 - Declaration of Brady Cox, # 2 Exhibit LL - XR's Proposed Constructions, # 3 Exhibit MM - XR's Revised Proposed Constructions, # 4 Exhibit NN - Declaration of Dr. Branimir Vojcic)(Cruzen, Robert) (Entered: 05/20/2022) (Main Document) (29)
May 20, 2022 51 Reply Claim Construction Brief regarding 48 Claim Construction Brief,, by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Affidavit Ex. 1 - Declaration of Brady Cox, # 2 Exhibit LL - XR's Proposed Constructions, # 3 Exhibit MM - XR's Revised Proposed Constructions, # 4 Exhibit NN - Declaration of Dr. Branimir Vojcic)(Cruzen, Robert) (Entered: 05/20/2022) (Affidavit Ex. 1 - Declaration of Brady Cox) (2)
May 20, 2022 51 Reply Claim Construction Brief regarding 48 Claim Construction Brief,, by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Affidavit Ex. 1 - Declaration of Brady Cox, # 2 Exhibit LL - XR's Proposed Constructions, # 3 Exhibit MM - XR's Revised Proposed Constructions, # 4 Exhibit NN - Declaration of Dr. Branimir Vojcic)(Cruzen, Robert) (Entered: 05/20/2022) (Exhibit LL - XR's Proposed Constructions) (26)
May 20, 2022 51 Reply Claim Construction Brief regarding 48 Claim Construction Brief,, by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Affidavit Ex. 1 - Declaration of Brady Cox, # 2 Exhibit LL - XR's Proposed Constructions, # 3 Exhibit MM - XR's Revised Proposed Constructions, # 4 Exhibit NN - Declaration of Dr. Branimir Vojcic)(Cruzen, Robert) (Entered: 05/20/2022) (Exhibit MM - XR's Revised Proposed Constructions) (10)
May 20, 2022 51 Reply Claim Construction Brief regarding 48 Claim Construction Brief,, by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Affidavit Ex. 1 - Declaration of Brady Cox, # 2 Exhibit LL - XR's Proposed Constructions, # 3 Exhibit MM - XR's Revised Proposed Constructions, # 4 Exhibit NN - Declaration of Dr. Branimir Vojcic)(Cruzen, Robert) (Entered: 05/20/2022) (Exhibit NN - Declaration of Dr. Branimir Vojcic) (30)
May 19, 2022 50 STATUS REPORT Regarding Motion to Dismiss for Improper Venue and Partially Briefed Motion to Transfer by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Cruzen, Robert) (Entered: 05/19/2022) (4)
May 18, 2022 49 MOTION to Appear Pro Hac Vice by Deron R Dacus (on behalf of Roy Chamcharas) ( Filing fee $ 100 receipt number 0542-16045655) by on behalf of Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Proposed Order)(Dacus, Deron) (Entered: 05/18/2022) (Main Document) (3)
May 18, 2022 49 MOTION to Appear Pro Hac Vice by Deron R Dacus (on behalf of Roy Chamcharas) ( Filing fee $ 100 receipt number 0542-16045655) by on behalf of Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Proposed Order)(Dacus, Deron) (Entered: 05/18/2022) (Proposed Order) (1)
May 6, 2022 48 Opening Claim Construction Brief by XR Communications LLC. (Attachments: # 1 Declaration of James N. Pickens, # 2 Exhibit 1, # 3 Exhibit 2, # 4 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 Exhibit 12, # 14 Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Exhibit 19, # 21 Exhibit 20, # 22 Exhibit 21)(Mirzaie, Reza) (Entered: 05/06/2022) (Main Document) (30)
May 6, 2022 48 Opening Claim Construction Brief by XR Communications LLC. (Attachments: # 1 Declaration of James N. Pickens, # 2 Exhibit 1, # 3 Exhibit 2, # 4 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 Exhibit 12, # 14 Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Exhibit 19, # 21 Exhibit 20, # 22 Exhibit 21)(Mirzaie, Reza) (Entered: 05/06/2022) (Declaration of James N. Pickens) (6)
May 6, 2022 48 Opening Claim Construction Brief by XR Communications LLC. (Attachments: # 1 Declaration of James N. Pickens, # 2 Exhibit 1, # 3 Exhibit 2, # 4 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 Exhibit 12, # 14 Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Exhibit 19, # 21 Exhibit 20, # 22 Exhibit 21)(Mirzaie, Reza) (Entered: 05/06/2022) (Exhibit 1) (30)
May 6, 2022 48 Opening Claim Construction Brief by XR Communications LLC. (Attachments: # 1 Declaration of James N. Pickens, # 2 Exhibit 1, # 3 Exhibit 2, # 4 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 Exhibit 12, # 14 Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Exhibit 19, # 21 Exhibit 20, # 22 Exhibit 21)(Mirzaie, Reza) (Entered: 05/06/2022) (Exhibit 2) (26)
May 6, 2022 48 Opening Claim Construction Brief by XR Communications LLC. (Attachments: # 1 Declaration of James N. Pickens, # 2 Exhibit 1, # 3 Exhibit 2, # 4 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 Exhibit 12, # 14 Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Exhibit 19, # 21 Exhibit 20, # 22 Exhibit 21)(Mirzaie, Reza) (Entered: 05/06/2022) (Exhibit 3) (30)
May 6, 2022 48 Opening Claim Construction Brief by XR Communications LLC. (Attachments: # 1 Declaration of James N. Pickens, # 2 Exhibit 1, # 3 Exhibit 2, # 4 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 Exhibit 12, # 14 Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Exhibit 19, # 21 Exhibit 20, # 22 Exhibit 21)(Mirzaie, Reza) (Entered: 05/06/2022) (Exhibit 4) (30)
May 6, 2022 48 Opening Claim Construction Brief by XR Communications LLC. (Attachments: # 1 Declaration of James N. Pickens, # 2 Exhibit 1, # 3 Exhibit 2, # 4 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 Exhibit 12, # 14 Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Exhibit 19, # 21 Exhibit 20, # 22 Exhibit 21)(Mirzaie, Reza) (Entered: 05/06/2022) (Exhibit 5) (30)
May 6, 2022 48 Opening Claim Construction Brief by XR Communications LLC. (Attachments: # 1 Declaration of James N. Pickens, # 2 Exhibit 1, # 3 Exhibit 2, # 4 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 Exhibit 12, # 14 Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Exhibit 19, # 21 Exhibit 20, # 22 Exhibit 21)(Mirzaie, Reza) (Entered: 05/06/2022) (Exhibit 6) (18)
May 6, 2022 48 Opening Claim Construction Brief by XR Communications LLC. (Attachments: # 1 Declaration of James N. Pickens, # 2 Exhibit 1, # 3 Exhibit 2, # 4 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 Exhibit 12, # 14 Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Exhibit 19, # 21 Exhibit 20, # 22 Exhibit 21)(Mirzaie, Reza) (Entered: 05/06/2022) (Exhibit 7) (30)
May 6, 2022 48 Opening Claim Construction Brief by XR Communications LLC. (Attachments: # 1 Declaration of James N. Pickens, # 2 Exhibit 1, # 3 Exhibit 2, # 4 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 Exhibit 12, # 14 Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Exhibit 19, # 21 Exhibit 20, # 22 Exhibit 21)(Mirzaie, Reza) (Entered: 05/06/2022) (Exhibit 8) (30)
May 6, 2022 48 Opening Claim Construction Brief by XR Communications LLC. (Attachments: # 1 Declaration of James N. Pickens, # 2 Exhibit 1, # 3 Exhibit 2, # 4 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 Exhibit 12, # 14 Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Exhibit 19, # 21 Exhibit 20, # 22 Exhibit 21)(Mirzaie, Reza) (Entered: 05/06/2022) (Exhibit 9) (20)
May 6, 2022 48 Opening Claim Construction Brief by XR Communications LLC. (Attachments: # 1 Declaration of James N. Pickens, # 2 Exhibit 1, # 3 Exhibit 2, # 4 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 Exhibit 12, # 14 Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Exhibit 19, # 21 Exhibit 20, # 22 Exhibit 21)(Mirzaie, Reza) (Entered: 05/06/2022) (Exhibit 10) (30)
May 6, 2022 48 Opening Claim Construction Brief by XR Communications LLC. (Attachments: # 1 Declaration of James N. Pickens, # 2 Exhibit 1, # 3 Exhibit 2, # 4 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 Exhibit 12, # 14 Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Exhibit 19, # 21 Exhibit 20, # 22 Exhibit 21)(Mirzaie, Reza) (Entered: 05/06/2022) (Exhibit 11) (6)
May 6, 2022 48 Opening Claim Construction Brief by XR Communications LLC. (Attachments: # 1 Declaration of James N. Pickens, # 2 Exhibit 1, # 3 Exhibit 2, # 4 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 Exhibit 12, # 14 Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Exhibit 19, # 21 Exhibit 20, # 22 Exhibit 21)(Mirzaie, Reza) (Entered: 05/06/2022) (Exhibit 12) (7)
May 6, 2022 48 Opening Claim Construction Brief by XR Communications LLC. (Attachments: # 1 Declaration of James N. Pickens, # 2 Exhibit 1, # 3 Exhibit 2, # 4 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 Exhibit 12, # 14 Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Exhibit 19, # 21 Exhibit 20, # 22 Exhibit 21)(Mirzaie, Reza) (Entered: 05/06/2022) (Exhibit 13) (5)
May 6, 2022 48 Opening Claim Construction Brief by XR Communications LLC. (Attachments: # 1 Declaration of James N. Pickens, # 2 Exhibit 1, # 3 Exhibit 2, # 4 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 Exhibit 12, # 14 Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Exhibit 19, # 21 Exhibit 20, # 22 Exhibit 21)(Mirzaie, Reza) (Entered: 05/06/2022) (Exhibit 14) (5)
May 6, 2022 48 Opening Claim Construction Brief by XR Communications LLC. (Attachments: # 1 Declaration of James N. Pickens, # 2 Exhibit 1, # 3 Exhibit 2, # 4 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 Exhibit 12, # 14 Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Exhibit 19, # 21 Exhibit 20, # 22 Exhibit 21)(Mirzaie, Reza) (Entered: 05/06/2022) (Exhibit 15) (7)
May 6, 2022 48 Opening Claim Construction Brief by XR Communications LLC. (Attachments: # 1 Declaration of James N. Pickens, # 2 Exhibit 1, # 3 Exhibit 2, # 4 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 Exhibit 12, # 14 Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Exhibit 19, # 21 Exhibit 20, # 22 Exhibit 21)(Mirzaie, Reza) (Entered: 05/06/2022) (Exhibit 16) (6)
May 6, 2022 48 Opening Claim Construction Brief by XR Communications LLC. (Attachments: # 1 Declaration of James N. Pickens, # 2 Exhibit 1, # 3 Exhibit 2, # 4 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 Exhibit 12, # 14 Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Exhibit 19, # 21 Exhibit 20, # 22 Exhibit 21)(Mirzaie, Reza) (Entered: 05/06/2022) (Exhibit 17) (30)
May 6, 2022 48 Opening Claim Construction Brief by XR Communications LLC. (Attachments: # 1 Declaration of James N. Pickens, # 2 Exhibit 1, # 3 Exhibit 2, # 4 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 Exhibit 12, # 14 Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Exhibit 19, # 21 Exhibit 20, # 22 Exhibit 21)(Mirzaie, Reza) (Entered: 05/06/2022) (Exhibit 18) (30)
May 6, 2022 48 Opening Claim Construction Brief by XR Communications LLC. (Attachments: # 1 Declaration of James N. Pickens, # 2 Exhibit 1, # 3 Exhibit 2, # 4 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 Exhibit 12, # 14 Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Exhibit 19, # 21 Exhibit 20, # 22 Exhibit 21)(Mirzaie, Reza) (Entered: 05/06/2022) (Exhibit 19) (30)
May 6, 2022 48 Opening Claim Construction Brief by XR Communications LLC. (Attachments: # 1 Declaration of James N. Pickens, # 2 Exhibit 1, # 3 Exhibit 2, # 4 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 Exhibit 12, # 14 Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Exhibit 19, # 21 Exhibit 20, # 22 Exhibit 21)(Mirzaie, Reza) (Entered: 05/06/2022) (Exhibit 20) (30)
May 6, 2022 48 Opening Claim Construction Brief by XR Communications LLC. (Attachments: # 1 Declaration of James N. Pickens, # 2 Exhibit 1, # 3 Exhibit 2, # 4 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 Exhibit 12, # 14 Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Exhibit 19, # 21 Exhibit 20, # 22 Exhibit 21)(Mirzaie, Reza) (Entered: 05/06/2022) (Exhibit 21) (8)
Apr 21, 2022 47 ORDER APPOINTING TECHNICAL ADVISOR. Signed by Judge Alan D Albright. (lad) (Entered: 04/22/2022) (5)
Apr 20, 2022 46 Redacted Copy of 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Cruzen, Robert) (Entered: 04/20/2022) (21)
Apr 15, 2022 44 Opening Claim Construction Brief by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Cruzen, Robert) (Entered: 04/15/2022) (30)
Apr 15, 2022 45 AFFIDAVIT in Support of 44 Claim Construction Brief (Declaration of John W. Downing) by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit A - USP 8,289,939, # 2 Exhibit B - USP 10,594,376, # 3 Exhibit C - USP 10,715,235, # 4 Exhibit D - Special Master Report & Recommendation, # 5 Exhibit E - Acampora Declaration, # 6 Exhibit F - Notice of Allowability, # 7 Exhibit G - Preliminary Amendment, # 8 Exhibit H - Hargraves Comm. Dictionary, # 9 Exhibit I - Wiley Electrical Dictionary, # 10 Exhibit J - McGraw-Hill Dictionary, # 11 Exhibit K - Websters New Dictionary, # 12 Exhibit L - USP 5,914,946, # 13 Exhibit AA - USP 10,715,235, # 14 Exhibit BB - Provisional 235 Patent, # 15 Exhibit CC - American Heritage Dictionary, # 16 Exhibit DD - IEEE 100 The Authoritative Dictionary, # 17 Exhibit EE - Merriam Websters Collegiate Dictionary, # 18 Exhibit FF - USP 7,050,759, # 19 Exhibit GG - USP 6,862,457, # 20 Exhibit HH - LaMaire 1994, # 21 Exhibit II - LaMaire 2000, # 22 Exhibit JJ - Reudink 2000, # 23 Exhibit KK - Declaration of Paulraj)(Cruzen, Robert) (Entered: 04/16/2022) (Main Document) (5)
Apr 15, 2022 45 AFFIDAVIT in Support of 44 Claim Construction Brief (Declaration of John W. Downing) by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit A - USP 8,289,939, # 2 Exhibit B - USP 10,594,376, # 3 Exhibit C - USP 10,715,235, # 4 Exhibit D - Special Master Report & Recommendation, # 5 Exhibit E - Acampora Declaration, # 6 Exhibit F - Notice of Allowability, # 7 Exhibit G - Preliminary Amendment, # 8 Exhibit H - Hargraves Comm. Dictionary, # 9 Exhibit I - Wiley Electrical Dictionary, # 10 Exhibit J - McGraw-Hill Dictionary, # 11 Exhibit K - Websters New Dictionary, # 12 Exhibit L - USP 5,914,946, # 13 Exhibit AA - USP 10,715,235, # 14 Exhibit BB - Provisional 235 Patent, # 15 Exhibit CC - American Heritage Dictionary, # 16 Exhibit DD - IEEE 100 The Authoritative Dictionary, # 17 Exhibit EE - Merriam Websters Collegiate Dictionary, # 18 Exhibit FF - USP 7,050,759, # 19 Exhibit GG - USP 6,862,457, # 20 Exhibit HH - LaMaire 1994, # 21 Exhibit II - LaMaire 2000, # 22 Exhibit JJ - Reudink 2000, # 23 Exhibit KK - Declaration of Paulraj)(Cruzen, Robert) (Entered: 04/16/2022) (Exhibit A - USP 8,289,939) (26)
Apr 15, 2022 45 AFFIDAVIT in Support of 44 Claim Construction Brief (Declaration of John W. Downing) by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit A - USP 8,289,939, # 2 Exhibit B - USP 10,594,376, # 3 Exhibit C - USP 10,715,235, # 4 Exhibit D - Special Master Report & Recommendation, # 5 Exhibit E - Acampora Declaration, # 6 Exhibit F - Notice of Allowability, # 7 Exhibit G - Preliminary Amendment, # 8 Exhibit H - Hargraves Comm. Dictionary, # 9 Exhibit I - Wiley Electrical Dictionary, # 10 Exhibit J - McGraw-Hill Dictionary, # 11 Exhibit K - Websters New Dictionary, # 12 Exhibit L - USP 5,914,946, # 13 Exhibit AA - USP 10,715,235, # 14 Exhibit BB - Provisional 235 Patent, # 15 Exhibit CC - American Heritage Dictionary, # 16 Exhibit DD - IEEE 100 The Authoritative Dictionary, # 17 Exhibit EE - Merriam Websters Collegiate Dictionary, # 18 Exhibit FF - USP 7,050,759, # 19 Exhibit GG - USP 6,862,457, # 20 Exhibit HH - LaMaire 1994, # 21 Exhibit II - LaMaire 2000, # 22 Exhibit JJ - Reudink 2000, # 23 Exhibit KK - Declaration of Paulraj)(Cruzen, Robert) (Entered: 04/16/2022) (Exhibit B - USP 10,594,376) (30)
Apr 15, 2022 45 AFFIDAVIT in Support of 44 Claim Construction Brief (Declaration of John W. Downing) by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit A - USP 8,289,939, # 2 Exhibit B - USP 10,594,376, # 3 Exhibit C - USP 10,715,235, # 4 Exhibit D - Special Master Report & Recommendation, # 5 Exhibit E - Acampora Declaration, # 6 Exhibit F - Notice of Allowability, # 7 Exhibit G - Preliminary Amendment, # 8 Exhibit H - Hargraves Comm. Dictionary, # 9 Exhibit I - Wiley Electrical Dictionary, # 10 Exhibit J - McGraw-Hill Dictionary, # 11 Exhibit K - Websters New Dictionary, # 12 Exhibit L - USP 5,914,946, # 13 Exhibit AA - USP 10,715,235, # 14 Exhibit BB - Provisional 235 Patent, # 15 Exhibit CC - American Heritage Dictionary, # 16 Exhibit DD - IEEE 100 The Authoritative Dictionary, # 17 Exhibit EE - Merriam Websters Collegiate Dictionary, # 18 Exhibit FF - USP 7,050,759, # 19 Exhibit GG - USP 6,862,457, # 20 Exhibit HH - LaMaire 1994, # 21 Exhibit II - LaMaire 2000, # 22 Exhibit JJ - Reudink 2000, # 23 Exhibit KK - Declaration of Paulraj)(Cruzen, Robert) (Entered: 04/16/2022) (Exhibit C - USP 10,715,235) (30)
Apr 15, 2022 45 AFFIDAVIT in Support of 44 Claim Construction Brief (Declaration of John W. Downing) by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit A - USP 8,289,939, # 2 Exhibit B - USP 10,594,376, # 3 Exhibit C - USP 10,715,235, # 4 Exhibit D - Special Master Report & Recommendation, # 5 Exhibit E - Acampora Declaration, # 6 Exhibit F - Notice of Allowability, # 7 Exhibit G - Preliminary Amendment, # 8 Exhibit H - Hargraves Comm. Dictionary, # 9 Exhibit I - Wiley Electrical Dictionary, # 10 Exhibit J - McGraw-Hill Dictionary, # 11 Exhibit K - Websters New Dictionary, # 12 Exhibit L - USP 5,914,946, # 13 Exhibit AA - USP 10,715,235, # 14 Exhibit BB - Provisional 235 Patent, # 15 Exhibit CC - American Heritage Dictionary, # 16 Exhibit DD - IEEE 100 The Authoritative Dictionary, # 17 Exhibit EE - Merriam Websters Collegiate Dictionary, # 18 Exhibit FF - USP 7,050,759, # 19 Exhibit GG - USP 6,862,457, # 20 Exhibit HH - LaMaire 1994, # 21 Exhibit II - LaMaire 2000, # 22 Exhibit JJ - Reudink 2000, # 23 Exhibit KK - Declaration of Paulraj)(Cruzen, Robert) (Entered: 04/16/2022) (Exhibit D - Special Master Report & Recommendation) (30)
Apr 15, 2022 45 AFFIDAVIT in Support of 44 Claim Construction Brief (Declaration of John W. Downing) by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit A - USP 8,289,939, # 2 Exhibit B - USP 10,594,376, # 3 Exhibit C - USP 10,715,235, # 4 Exhibit D - Special Master Report & Recommendation, # 5 Exhibit E - Acampora Declaration, # 6 Exhibit F - Notice of Allowability, # 7 Exhibit G - Preliminary Amendment, # 8 Exhibit H - Hargraves Comm. Dictionary, # 9 Exhibit I - Wiley Electrical Dictionary, # 10 Exhibit J - McGraw-Hill Dictionary, # 11 Exhibit K - Websters New Dictionary, # 12 Exhibit L - USP 5,914,946, # 13 Exhibit AA - USP 10,715,235, # 14 Exhibit BB - Provisional 235 Patent, # 15 Exhibit CC - American Heritage Dictionary, # 16 Exhibit DD - IEEE 100 The Authoritative Dictionary, # 17 Exhibit EE - Merriam Websters Collegiate Dictionary, # 18 Exhibit FF - USP 7,050,759, # 19 Exhibit GG - USP 6,862,457, # 20 Exhibit HH - LaMaire 1994, # 21 Exhibit II - LaMaire 2000, # 22 Exhibit JJ - Reudink 2000, # 23 Exhibit KK - Declaration of Paulraj)(Cruzen, Robert) (Entered: 04/16/2022) (Exhibit E - Acampora Declaration) (30)
Apr 15, 2022 45 AFFIDAVIT in Support of 44 Claim Construction Brief (Declaration of John W. Downing) by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit A - USP 8,289,939, # 2 Exhibit B - USP 10,594,376, # 3 Exhibit C - USP 10,715,235, # 4 Exhibit D - Special Master Report & Recommendation, # 5 Exhibit E - Acampora Declaration, # 6 Exhibit F - Notice of Allowability, # 7 Exhibit G - Preliminary Amendment, # 8 Exhibit H - Hargraves Comm. Dictionary, # 9 Exhibit I - Wiley Electrical Dictionary, # 10 Exhibit J - McGraw-Hill Dictionary, # 11 Exhibit K - Websters New Dictionary, # 12 Exhibit L - USP 5,914,946, # 13 Exhibit AA - USP 10,715,235, # 14 Exhibit BB - Provisional 235 Patent, # 15 Exhibit CC - American Heritage Dictionary, # 16 Exhibit DD - IEEE 100 The Authoritative Dictionary, # 17 Exhibit EE - Merriam Websters Collegiate Dictionary, # 18 Exhibit FF - USP 7,050,759, # 19 Exhibit GG - USP 6,862,457, # 20 Exhibit HH - LaMaire 1994, # 21 Exhibit II - LaMaire 2000, # 22 Exhibit JJ - Reudink 2000, # 23 Exhibit KK - Declaration of Paulraj)(Cruzen, Robert) (Entered: 04/16/2022) (Exhibit F - Notice of Allowability) (7)
Apr 15, 2022 45 AFFIDAVIT in Support of 44 Claim Construction Brief (Declaration of John W. Downing) by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit A - USP 8,289,939, # 2 Exhibit B - USP 10,594,376, # 3 Exhibit C - USP 10,715,235, # 4 Exhibit D - Special Master Report & Recommendation, # 5 Exhibit E - Acampora Declaration, # 6 Exhibit F - Notice of Allowability, # 7 Exhibit G - Preliminary Amendment, # 8 Exhibit H - Hargraves Comm. Dictionary, # 9 Exhibit I - Wiley Electrical Dictionary, # 10 Exhibit J - McGraw-Hill Dictionary, # 11 Exhibit K - Websters New Dictionary, # 12 Exhibit L - USP 5,914,946, # 13 Exhibit AA - USP 10,715,235, # 14 Exhibit BB - Provisional 235 Patent, # 15 Exhibit CC - American Heritage Dictionary, # 16 Exhibit DD - IEEE 100 The Authoritative Dictionary, # 17 Exhibit EE - Merriam Websters Collegiate Dictionary, # 18 Exhibit FF - USP 7,050,759, # 19 Exhibit GG - USP 6,862,457, # 20 Exhibit HH - LaMaire 1994, # 21 Exhibit II - LaMaire 2000, # 22 Exhibit JJ - Reudink 2000, # 23 Exhibit KK - Declaration of Paulraj)(Cruzen, Robert) (Entered: 04/16/2022) (Exhibit G - Preliminary Amendment) (25)
Apr 15, 2022 45 AFFIDAVIT in Support of 44 Claim Construction Brief (Declaration of John W. Downing) by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit A - USP 8,289,939, # 2 Exhibit B - USP 10,594,376, # 3 Exhibit C - USP 10,715,235, # 4 Exhibit D - Special Master Report & Recommendation, # 5 Exhibit E - Acampora Declaration, # 6 Exhibit F - Notice of Allowability, # 7 Exhibit G - Preliminary Amendment, # 8 Exhibit H - Hargraves Comm. Dictionary, # 9 Exhibit I - Wiley Electrical Dictionary, # 10 Exhibit J - McGraw-Hill Dictionary, # 11 Exhibit K - Websters New Dictionary, # 12 Exhibit L - USP 5,914,946, # 13 Exhibit AA - USP 10,715,235, # 14 Exhibit BB - Provisional 235 Patent, # 15 Exhibit CC - American Heritage Dictionary, # 16 Exhibit DD - IEEE 100 The Authoritative Dictionary, # 17 Exhibit EE - Merriam Websters Collegiate Dictionary, # 18 Exhibit FF - USP 7,050,759, # 19 Exhibit GG - USP 6,862,457, # 20 Exhibit HH - LaMaire 1994, # 21 Exhibit II - LaMaire 2000, # 22 Exhibit JJ - Reudink 2000, # 23 Exhibit KK - Declaration of Paulraj)(Cruzen, Robert) (Entered: 04/16/2022) (Exhibit H - Hargraves Comm. Dictionary) (4)
Apr 15, 2022 45 AFFIDAVIT in Support of 44 Claim Construction Brief (Declaration of John W. Downing) by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit A - USP 8,289,939, # 2 Exhibit B - USP 10,594,376, # 3 Exhibit C - USP 10,715,235, # 4 Exhibit D - Special Master Report & Recommendation, # 5 Exhibit E - Acampora Declaration, # 6 Exhibit F - Notice of Allowability, # 7 Exhibit G - Preliminary Amendment, # 8 Exhibit H - Hargraves Comm. Dictionary, # 9 Exhibit I - Wiley Electrical Dictionary, # 10 Exhibit J - McGraw-Hill Dictionary, # 11 Exhibit K - Websters New Dictionary, # 12 Exhibit L - USP 5,914,946, # 13 Exhibit AA - USP 10,715,235, # 14 Exhibit BB - Provisional 235 Patent, # 15 Exhibit CC - American Heritage Dictionary, # 16 Exhibit DD - IEEE 100 The Authoritative Dictionary, # 17 Exhibit EE - Merriam Websters Collegiate Dictionary, # 18 Exhibit FF - USP 7,050,759, # 19 Exhibit GG - USP 6,862,457, # 20 Exhibit HH - LaMaire 1994, # 21 Exhibit II - LaMaire 2000, # 22 Exhibit JJ - Reudink 2000, # 23 Exhibit KK - Declaration of Paulraj)(Cruzen, Robert) (Entered: 04/16/2022) (Exhibit I - Wiley Electrical Dictionary) (4)
Apr 15, 2022 45 AFFIDAVIT in Support of 44 Claim Construction Brief (Declaration of John W. Downing) by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit A - USP 8,289,939, # 2 Exhibit B - USP 10,594,376, # 3 Exhibit C - USP 10,715,235, # 4 Exhibit D - Special Master Report & Recommendation, # 5 Exhibit E - Acampora Declaration, # 6 Exhibit F - Notice of Allowability, # 7 Exhibit G - Preliminary Amendment, # 8 Exhibit H - Hargraves Comm. Dictionary, # 9 Exhibit I - Wiley Electrical Dictionary, # 10 Exhibit J - McGraw-Hill Dictionary, # 11 Exhibit K - Websters New Dictionary, # 12 Exhibit L - USP 5,914,946, # 13 Exhibit AA - USP 10,715,235, # 14 Exhibit BB - Provisional 235 Patent, # 15 Exhibit CC - American Heritage Dictionary, # 16 Exhibit DD - IEEE 100 The Authoritative Dictionary, # 17 Exhibit EE - Merriam Websters Collegiate Dictionary, # 18 Exhibit FF - USP 7,050,759, # 19 Exhibit GG - USP 6,862,457, # 20 Exhibit HH - LaMaire 1994, # 21 Exhibit II - LaMaire 2000, # 22 Exhibit JJ - Reudink 2000, # 23 Exhibit KK - Declaration of Paulraj)(Cruzen, Robert) (Entered: 04/16/2022) (Exhibit J - McGraw-Hill Dictionary) (4)
Apr 15, 2022 45 AFFIDAVIT in Support of 44 Claim Construction Brief (Declaration of John W. Downing) by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit A - USP 8,289,939, # 2 Exhibit B - USP 10,594,376, # 3 Exhibit C - USP 10,715,235, # 4 Exhibit D - Special Master Report & Recommendation, # 5 Exhibit E - Acampora Declaration, # 6 Exhibit F - Notice of Allowability, # 7 Exhibit G - Preliminary Amendment, # 8 Exhibit H - Hargraves Comm. Dictionary, # 9 Exhibit I - Wiley Electrical Dictionary, # 10 Exhibit J - McGraw-Hill Dictionary, # 11 Exhibit K - Websters New Dictionary, # 12 Exhibit L - USP 5,914,946, # 13 Exhibit AA - USP 10,715,235, # 14 Exhibit BB - Provisional 235 Patent, # 15 Exhibit CC - American Heritage Dictionary, # 16 Exhibit DD - IEEE 100 The Authoritative Dictionary, # 17 Exhibit EE - Merriam Websters Collegiate Dictionary, # 18 Exhibit FF - USP 7,050,759, # 19 Exhibit GG - USP 6,862,457, # 20 Exhibit HH - LaMaire 1994, # 21 Exhibit II - LaMaire 2000, # 22 Exhibit JJ - Reudink 2000, # 23 Exhibit KK - Declaration of Paulraj)(Cruzen, Robert) (Entered: 04/16/2022) (Exhibit K - Websters New Dictionary) (4)
Apr 15, 2022 45 AFFIDAVIT in Support of 44 Claim Construction Brief (Declaration of John W. Downing) by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit A - USP 8,289,939, # 2 Exhibit B - USP 10,594,376, # 3 Exhibit C - USP 10,715,235, # 4 Exhibit D - Special Master Report & Recommendation, # 5 Exhibit E - Acampora Declaration, # 6 Exhibit F - Notice of Allowability, # 7 Exhibit G - Preliminary Amendment, # 8 Exhibit H - Hargraves Comm. Dictionary, # 9 Exhibit I - Wiley Electrical Dictionary, # 10 Exhibit J - McGraw-Hill Dictionary, # 11 Exhibit K - Websters New Dictionary, # 12 Exhibit L - USP 5,914,946, # 13 Exhibit AA - USP 10,715,235, # 14 Exhibit BB - Provisional 235 Patent, # 15 Exhibit CC - American Heritage Dictionary, # 16 Exhibit DD - IEEE 100 The Authoritative Dictionary, # 17 Exhibit EE - Merriam Websters Collegiate Dictionary, # 18 Exhibit FF - USP 7,050,759, # 19 Exhibit GG - USP 6,862,457, # 20 Exhibit HH - LaMaire 1994, # 21 Exhibit II - LaMaire 2000, # 22 Exhibit JJ - Reudink 2000, # 23 Exhibit KK - Declaration of Paulraj)(Cruzen, Robert) (Entered: 04/16/2022) (Exhibit L - USP 5,914,946) (30)
Apr 15, 2022 45 AFFIDAVIT in Support of 44 Claim Construction Brief (Declaration of John W. Downing) by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit A - USP 8,289,939, # 2 Exhibit B - USP 10,594,376, # 3 Exhibit C - USP 10,715,235, # 4 Exhibit D - Special Master Report & Recommendation, # 5 Exhibit E - Acampora Declaration, # 6 Exhibit F - Notice of Allowability, # 7 Exhibit G - Preliminary Amendment, # 8 Exhibit H - Hargraves Comm. Dictionary, # 9 Exhibit I - Wiley Electrical Dictionary, # 10 Exhibit J - McGraw-Hill Dictionary, # 11 Exhibit K - Websters New Dictionary, # 12 Exhibit L - USP 5,914,946, # 13 Exhibit AA - USP 10,715,235, # 14 Exhibit BB - Provisional 235 Patent, # 15 Exhibit CC - American Heritage Dictionary, # 16 Exhibit DD - IEEE 100 The Authoritative Dictionary, # 17 Exhibit EE - Merriam Websters Collegiate Dictionary, # 18 Exhibit FF - USP 7,050,759, # 19 Exhibit GG - USP 6,862,457, # 20 Exhibit HH - LaMaire 1994, # 21 Exhibit II - LaMaire 2000, # 22 Exhibit JJ - Reudink 2000, # 23 Exhibit KK - Declaration of Paulraj)(Cruzen, Robert) (Entered: 04/16/2022) (Exhibit AA - USP 10,715,235) (30)
Apr 15, 2022 45 AFFIDAVIT in Support of 44 Claim Construction Brief (Declaration of John W. Downing) by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit A - USP 8,289,939, # 2 Exhibit B - USP 10,594,376, # 3 Exhibit C - USP 10,715,235, # 4 Exhibit D - Special Master Report & Recommendation, # 5 Exhibit E - Acampora Declaration, # 6 Exhibit F - Notice of Allowability, # 7 Exhibit G - Preliminary Amendment, # 8 Exhibit H - Hargraves Comm. Dictionary, # 9 Exhibit I - Wiley Electrical Dictionary, # 10 Exhibit J - McGraw-Hill Dictionary, # 11 Exhibit K - Websters New Dictionary, # 12 Exhibit L - USP 5,914,946, # 13 Exhibit AA - USP 10,715,235, # 14 Exhibit BB - Provisional 235 Patent, # 15 Exhibit CC - American Heritage Dictionary, # 16 Exhibit DD - IEEE 100 The Authoritative Dictionary, # 17 Exhibit EE - Merriam Websters Collegiate Dictionary, # 18 Exhibit FF - USP 7,050,759, # 19 Exhibit GG - USP 6,862,457, # 20 Exhibit HH - LaMaire 1994, # 21 Exhibit II - LaMaire 2000, # 22 Exhibit JJ - Reudink 2000, # 23 Exhibit KK - Declaration of Paulraj)(Cruzen, Robert) (Entered: 04/16/2022) (Exhibit BB - Provisional 235 Patent) (30)
Apr 15, 2022 45 AFFIDAVIT in Support of 44 Claim Construction Brief (Declaration of John W. Downing) by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit A - USP 8,289,939, # 2 Exhibit B - USP 10,594,376, # 3 Exhibit C - USP 10,715,235, # 4 Exhibit D - Special Master Report & Recommendation, # 5 Exhibit E - Acampora Declaration, # 6 Exhibit F - Notice of Allowability, # 7 Exhibit G - Preliminary Amendment, # 8 Exhibit H - Hargraves Comm. Dictionary, # 9 Exhibit I - Wiley Electrical Dictionary, # 10 Exhibit J - McGraw-Hill Dictionary, # 11 Exhibit K - Websters New Dictionary, # 12 Exhibit L - USP 5,914,946, # 13 Exhibit AA - USP 10,715,235, # 14 Exhibit BB - Provisional 235 Patent, # 15 Exhibit CC - American Heritage Dictionary, # 16 Exhibit DD - IEEE 100 The Authoritative Dictionary, # 17 Exhibit EE - Merriam Websters Collegiate Dictionary, # 18 Exhibit FF - USP 7,050,759, # 19 Exhibit GG - USP 6,862,457, # 20 Exhibit HH - LaMaire 1994, # 21 Exhibit II - LaMaire 2000, # 22 Exhibit JJ - Reudink 2000, # 23 Exhibit KK - Declaration of Paulraj)(Cruzen, Robert) (Entered: 04/16/2022) (Exhibit CC - American Heritage Dictionary) (4)
Apr 15, 2022 45 AFFIDAVIT in Support of 44 Claim Construction Brief (Declaration of John W. Downing) by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit A - USP 8,289,939, # 2 Exhibit B - USP 10,594,376, # 3 Exhibit C - USP 10,715,235, # 4 Exhibit D - Special Master Report & Recommendation, # 5 Exhibit E - Acampora Declaration, # 6 Exhibit F - Notice of Allowability, # 7 Exhibit G - Preliminary Amendment, # 8 Exhibit H - Hargraves Comm. Dictionary, # 9 Exhibit I - Wiley Electrical Dictionary, # 10 Exhibit J - McGraw-Hill Dictionary, # 11 Exhibit K - Websters New Dictionary, # 12 Exhibit L - USP 5,914,946, # 13 Exhibit AA - USP 10,715,235, # 14 Exhibit BB - Provisional 235 Patent, # 15 Exhibit CC - American Heritage Dictionary, # 16 Exhibit DD - IEEE 100 The Authoritative Dictionary, # 17 Exhibit EE - Merriam Websters Collegiate Dictionary, # 18 Exhibit FF - USP 7,050,759, # 19 Exhibit GG - USP 6,862,457, # 20 Exhibit HH - LaMaire 1994, # 21 Exhibit II - LaMaire 2000, # 22 Exhibit JJ - Reudink 2000, # 23 Exhibit KK - Declaration of Paulraj)(Cruzen, Robert) (Entered: 04/16/2022) (Exhibit DD - IEEE 100 The Authoritative Dictionary) (4)
Apr 15, 2022 45 AFFIDAVIT in Support of 44 Claim Construction Brief (Declaration of John W. Downing) by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit A - USP 8,289,939, # 2 Exhibit B - USP 10,594,376, # 3 Exhibit C - USP 10,715,235, # 4 Exhibit D - Special Master Report & Recommendation, # 5 Exhibit E - Acampora Declaration, # 6 Exhibit F - Notice of Allowability, # 7 Exhibit G - Preliminary Amendment, # 8 Exhibit H - Hargraves Comm. Dictionary, # 9 Exhibit I - Wiley Electrical Dictionary, # 10 Exhibit J - McGraw-Hill Dictionary, # 11 Exhibit K - Websters New Dictionary, # 12 Exhibit L - USP 5,914,946, # 13 Exhibit AA - USP 10,715,235, # 14 Exhibit BB - Provisional 235 Patent, # 15 Exhibit CC - American Heritage Dictionary, # 16 Exhibit DD - IEEE 100 The Authoritative Dictionary, # 17 Exhibit EE - Merriam Websters Collegiate Dictionary, # 18 Exhibit FF - USP 7,050,759, # 19 Exhibit GG - USP 6,862,457, # 20 Exhibit HH - LaMaire 1994, # 21 Exhibit II - LaMaire 2000, # 22 Exhibit JJ - Reudink 2000, # 23 Exhibit KK - Declaration of Paulraj)(Cruzen, Robert) (Entered: 04/16/2022) (Exhibit EE - Merriam Websters Collegiate Dictionary) (4)
Apr 15, 2022 45 AFFIDAVIT in Support of 44 Claim Construction Brief (Declaration of John W. Downing) by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit A - USP 8,289,939, # 2 Exhibit B - USP 10,594,376, # 3 Exhibit C - USP 10,715,235, # 4 Exhibit D - Special Master Report & Recommendation, # 5 Exhibit E - Acampora Declaration, # 6 Exhibit F - Notice of Allowability, # 7 Exhibit G - Preliminary Amendment, # 8 Exhibit H - Hargraves Comm. Dictionary, # 9 Exhibit I - Wiley Electrical Dictionary, # 10 Exhibit J - McGraw-Hill Dictionary, # 11 Exhibit K - Websters New Dictionary, # 12 Exhibit L - USP 5,914,946, # 13 Exhibit AA - USP 10,715,235, # 14 Exhibit BB - Provisional 235 Patent, # 15 Exhibit CC - American Heritage Dictionary, # 16 Exhibit DD - IEEE 100 The Authoritative Dictionary, # 17 Exhibit EE - Merriam Websters Collegiate Dictionary, # 18 Exhibit FF - USP 7,050,759, # 19 Exhibit GG - USP 6,862,457, # 20 Exhibit HH - LaMaire 1994, # 21 Exhibit II - LaMaire 2000, # 22 Exhibit JJ - Reudink 2000, # 23 Exhibit KK - Declaration of Paulraj)(Cruzen, Robert) (Entered: 04/16/2022) (Exhibit FF - USP 7,050,759) (20)
Apr 15, 2022 45 AFFIDAVIT in Support of 44 Claim Construction Brief (Declaration of John W. Downing) by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit A - USP 8,289,939, # 2 Exhibit B - USP 10,594,376, # 3 Exhibit C - USP 10,715,235, # 4 Exhibit D - Special Master Report & Recommendation, # 5 Exhibit E - Acampora Declaration, # 6 Exhibit F - Notice of Allowability, # 7 Exhibit G - Preliminary Amendment, # 8 Exhibit H - Hargraves Comm. Dictionary, # 9 Exhibit I - Wiley Electrical Dictionary, # 10 Exhibit J - McGraw-Hill Dictionary, # 11 Exhibit K - Websters New Dictionary, # 12 Exhibit L - USP 5,914,946, # 13 Exhibit AA - USP 10,715,235, # 14 Exhibit BB - Provisional 235 Patent, # 15 Exhibit CC - American Heritage Dictionary, # 16 Exhibit DD - IEEE 100 The Authoritative Dictionary, # 17 Exhibit EE - Merriam Websters Collegiate Dictionary, # 18 Exhibit FF - USP 7,050,759, # 19 Exhibit GG - USP 6,862,457, # 20 Exhibit HH - LaMaire 1994, # 21 Exhibit II - LaMaire 2000, # 22 Exhibit JJ - Reudink 2000, # 23 Exhibit KK - Declaration of Paulraj)(Cruzen, Robert) (Entered: 04/16/2022) (Exhibit GG - USP 6,862,457) (21)
Apr 15, 2022 45 AFFIDAVIT in Support of 44 Claim Construction Brief (Declaration of John W. Downing) by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit A - USP 8,289,939, # 2 Exhibit B - USP 10,594,376, # 3 Exhibit C - USP 10,715,235, # 4 Exhibit D - Special Master Report & Recommendation, # 5 Exhibit E - Acampora Declaration, # 6 Exhibit F - Notice of Allowability, # 7 Exhibit G - Preliminary Amendment, # 8 Exhibit H - Hargraves Comm. Dictionary, # 9 Exhibit I - Wiley Electrical Dictionary, # 10 Exhibit J - McGraw-Hill Dictionary, # 11 Exhibit K - Websters New Dictionary, # 12 Exhibit L - USP 5,914,946, # 13 Exhibit AA - USP 10,715,235, # 14 Exhibit BB - Provisional 235 Patent, # 15 Exhibit CC - American Heritage Dictionary, # 16 Exhibit DD - IEEE 100 The Authoritative Dictionary, # 17 Exhibit EE - Merriam Websters Collegiate Dictionary, # 18 Exhibit FF - USP 7,050,759, # 19 Exhibit GG - USP 6,862,457, # 20 Exhibit HH - LaMaire 1994, # 21 Exhibit II - LaMaire 2000, # 22 Exhibit JJ - Reudink 2000, # 23 Exhibit KK - Declaration of Paulraj)(Cruzen, Robert) (Entered: 04/16/2022) (Exhibit HH - LaMaire 1994) (16)
Apr 15, 2022 45 AFFIDAVIT in Support of 44 Claim Construction Brief (Declaration of John W. Downing) by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit A - USP 8,289,939, # 2 Exhibit B - USP 10,594,376, # 3 Exhibit C - USP 10,715,235, # 4 Exhibit D - Special Master Report & Recommendation, # 5 Exhibit E - Acampora Declaration, # 6 Exhibit F - Notice of Allowability, # 7 Exhibit G - Preliminary Amendment, # 8 Exhibit H - Hargraves Comm. Dictionary, # 9 Exhibit I - Wiley Electrical Dictionary, # 10 Exhibit J - McGraw-Hill Dictionary, # 11 Exhibit K - Websters New Dictionary, # 12 Exhibit L - USP 5,914,946, # 13 Exhibit AA - USP 10,715,235, # 14 Exhibit BB - Provisional 235 Patent, # 15 Exhibit CC - American Heritage Dictionary, # 16 Exhibit DD - IEEE 100 The Authoritative Dictionary, # 17 Exhibit EE - Merriam Websters Collegiate Dictionary, # 18 Exhibit FF - USP 7,050,759, # 19 Exhibit GG - USP 6,862,457, # 20 Exhibit HH - LaMaire 1994, # 21 Exhibit II - LaMaire 2000, # 22 Exhibit JJ - Reudink 2000, # 23 Exhibit KK - Declaration of Paulraj)(Cruzen, Robert) (Entered: 04/16/2022) (Exhibit II - LaMaire 2000) (14)
Apr 15, 2022 45 AFFIDAVIT in Support of 44 Claim Construction Brief (Declaration of John W. Downing) by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit A - USP 8,289,939, # 2 Exhibit B - USP 10,594,376, # 3 Exhibit C - USP 10,715,235, # 4 Exhibit D - Special Master Report & Recommendation, # 5 Exhibit E - Acampora Declaration, # 6 Exhibit F - Notice of Allowability, # 7 Exhibit G - Preliminary Amendment, # 8 Exhibit H - Hargraves Comm. Dictionary, # 9 Exhibit I - Wiley Electrical Dictionary, # 10 Exhibit J - McGraw-Hill Dictionary, # 11 Exhibit K - Websters New Dictionary, # 12 Exhibit L - USP 5,914,946, # 13 Exhibit AA - USP 10,715,235, # 14 Exhibit BB - Provisional 235 Patent, # 15 Exhibit CC - American Heritage Dictionary, # 16 Exhibit DD - IEEE 100 The Authoritative Dictionary, # 17 Exhibit EE - Merriam Websters Collegiate Dictionary, # 18 Exhibit FF - USP 7,050,759, # 19 Exhibit GG - USP 6,862,457, # 20 Exhibit HH - LaMaire 1994, # 21 Exhibit II - LaMaire 2000, # 22 Exhibit JJ - Reudink 2000, # 23 Exhibit KK - Declaration of Paulraj)(Cruzen, Robert) (Entered: 04/16/2022) (Exhibit JJ - Reudink 2000) (8)
Apr 15, 2022 45 AFFIDAVIT in Support of 44 Claim Construction Brief (Declaration of John W. Downing) by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Exhibit A - USP 8,289,939, # 2 Exhibit B - USP 10,594,376, # 3 Exhibit C - USP 10,715,235, # 4 Exhibit D - Special Master Report & Recommendation, # 5 Exhibit E - Acampora Declaration, # 6 Exhibit F - Notice of Allowability, # 7 Exhibit G - Preliminary Amendment, # 8 Exhibit H - Hargraves Comm. Dictionary, # 9 Exhibit I - Wiley Electrical Dictionary, # 10 Exhibit J - McGraw-Hill Dictionary, # 11 Exhibit K - Websters New Dictionary, # 12 Exhibit L - USP 5,914,946, # 13 Exhibit AA - USP 10,715,235, # 14 Exhibit BB - Provisional 235 Patent, # 15 Exhibit CC - American Heritage Dictionary, # 16 Exhibit DD - IEEE 100 The Authoritative Dictionary, # 17 Exhibit EE - Merriam Websters Collegiate Dictionary, # 18 Exhibit FF - USP 7,050,759, # 19 Exhibit GG - USP 6,862,457, # 20 Exhibit HH - LaMaire 1994, # 21 Exhibit II - LaMaire 2000, # 22 Exhibit JJ - Reudink 2000, # 23 Exhibit KK - Declaration of Paulraj)(Cruzen, Robert) (Entered: 04/16/2022) (Exhibit KK - Declaration of Paulraj) (20)
Apr 14, 2022 43 Standing Order Regarding Order Governing Proceedings Patent Cases. Signed by Judge Alan D Albright. (Entered: 04/14/2022) (18)
Apr 13, 2022 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC (Attachments: # 1 Sealed Document Declaration of Dana Lindsay, # 2 Sealed Document Declaration of Chirag Bhavsar, # 3 Sealed Document Declaration of Avinash Joshi) (Cruzen, Robert) (Entered: 04/13/2022) (0)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Main Document) (2)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Declaration of Robert Cruzen) (13)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 1 to Cruzen Declaration) (3)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 2 to Cruzen Declaration) (11)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 3 to Cruzen Declaration) (18)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 4 to Cruzen Declaration) (19)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 5 to Cruzen Declaration) (3)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 6 to Cruzen Declaration) (30)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 7 to Cruzen Declaration) (30)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 8 to Cruzen Declaration) (4)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 9 to Cruzen Declaration) (13)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 10 to Cruzen Declaration) (30)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 11 to Cruzen Declaration) (5)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 12 to Cruzen Declaration) (4)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 13 to Cruzen Declaration) (4)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 14 to Cruzen Declaration) (3)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 15 to Cruzen Declaration) (2)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 16 to Cruzen Declaration) (2)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 17 to Cruzen Declaration) (7)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 18 to Cruzen Declaration) (4)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 19 to Cruzen Declaration) (3)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 20 to Cruzen Declaration) (4)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 21 to Cruzen Declaration) (3)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 22 to Cruzen Declaration) (4)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 23 to Cruzen Declaration) (19)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 24 to Cruzen Declaration) (3)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 25 to Cruzen Declaration) (4)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 26 to Cruzen Declaration) (3)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 27 to Cruzen Declaration) (4)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 28 to Cruzen Declaration) (30)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 29 to Cruzen Declaration) (18)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 30 to Cruzen Declaration) (30)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 31 to Cruzen Declaration) (30)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 32 to Cruzen Declaration) (30)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 33 to Cruzen Declaration) (30)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 34 to Cruzen Declaration) (3)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 35 to Cruzen Declaration) (3)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 36 to Cruzen Declaration) (3)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 37 to Cruzen Declaration) (23)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 38 to Cruzen Declaration) (2)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 39 to Cruzen Declaration) (3)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 40 to Cruzen Declaration) (3)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 41 to Cruzen Declaration) (6)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 42 to Cruzen Declaration) (2)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 43 to Cruzen Declaration) (3)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 44 to Cruzen Declaration) (3)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 45 to Cruzen Declaration) (14)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 46 to Cruzen Declaration) (14)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 47 to Cruzen Declaration) (4)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 48 to Cruzen Declaration) (5)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 49 to Cruzen Declaration) (6)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 50 to Cruzen Declaration) (3)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 51 to Cruzen Declaration) (2)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 52 to Cruzen Declaration) (7)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 53 to Cruzen Declaration) (7)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 54 to Cruzen Declaration) (9)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 55 to Cruzen Declaration) (8)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 56 to Cruzen Declaration) (7)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 57 to Cruzen Declaration) (9)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 58 to Cruzen Declaration) (7)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 59 to Cruzen Declaration) (9)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 60 to Cruzen Declaration) (9)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 61 to Cruzen Declaration) (9)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 62 to Cruzen Declaration) (8)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 63 to Cruzen Declaration) (12)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 64 to Cruzen Declaration) (12)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 65 to Cruzen Declaration) (9)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 66 to Cruzen Declaration) (4)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 67 to Cruzen Declaration) (3)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 68 to Cruzen Declaration) (9)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 69 to Cruzen Declaration) (8)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Exhibit 70 to Cruzen Declaration) (9)
Apr 13, 2022 42 ATTACHMENT Declaration of Enerino Caruccio to 41 Opposed Sealed Motion to Transfer Venue Under 28 U.S.C. § 1404(a) to the Northern District of California by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Declaration of Robert Cruzen, # 2 Exhibit 1 to Cruzen Declaration, # 3 Exhibit 2 to Cruzen Declaration, # 4 Exhibit 3 to Cruzen Declaration, # 5 Exhibit 4 to Cruzen Declaration, # 6 Exhibit 5 to Cruzen Declaration, # 7 Exhibit 6 to Cruzen Declaration, # 8 Exhibit 7 to Cruzen Declaration, # 9 Exhibit 8 to Cruzen Declaration, # 10 Exhibit 9 to Cruzen Declaration, # 11 Exhibit 10 to Cruzen Declaration, # 12 Exhibit 11 to Cruzen Declaration, # 13 Exhibit 12 to Cruzen Declaration, # 14 Exhibit 13 to Cruzen Declaration, # 15 Exhibit 14 to Cruzen Declaration, # 16 Exhibit 15 to Cruzen Declaration, # 17 Exhibit 16 to Cruzen Declaration, # 18 Exhibit 17 to Cruzen Declaration, # 19 Exhibit 18 to Cruzen Declaration, # 20 Exhibit 19 to Cruzen Declaration, # 21 Exhibit 20 to Cruzen Declaration, # 22 Exhibit 21 to Cruzen Declaration, # 23 Exhibit 22 to Cruzen Declaration, # 24 Exhibit 23 to Cruzen Declaration, # 25 Exhibit 24 to Cruzen Declaration, # 26 Exhibit 25 to Cruzen Declaration, # 27 Exhibit 26 to Cruzen Declaration, # 28 Exhibit 27 to Cruzen Declaration, # 29 Exhibit 28 to Cruzen Declaration, # 30 Exhibit 29 to Cruzen Declaration, # 31 Exhibit 30 to Cruzen Declaration, # 32 Exhibit 31 to Cruzen Declaration, # 33 Exhibit 32 to Cruzen Declaration, # 34 Exhibit 33 to Cruzen Declaration, # 35 Exhibit 34 to Cruzen Declaration, # 36 Exhibit 35 to Cruzen Declaration, # 37 Exhibit 36 to Cruzen Declaration, # 38 Exhibit 37 to Cruzen Declaration, # 39 Exhibit 38 to Cruzen Declaration, # 40 Exhibit 39 to Cruzen Declaration, # 41 Exhibit 40 to Cruzen Declaration, # 42 Exhibit 41 to Cruzen Declaration, # 43 Exhibit 42 to Cruzen Declaration, # 44 Exhibit 43 to Cruzen Declaration, # 45 Exhibit 44 to Cruzen Declaration, # 46 Exhibit 45 to Cruzen Declaration, # 47 Exhibit 46 to Cruzen Declaration, # 48 Exhibit 47 to Cruzen Declaration, # 49 Exhibit 48 to Cruzen Declaration, # 50 Exhibit 49 to Cruzen Declaration, # 51 Exhibit 50 to Cruzen Declaration, # 52 Exhibit 51 to Cruzen Declaration, # 53 Exhibit 52 to Cruzen Declaration, # 54 Exhibit 53 to Cruzen Declaration, # 55 Exhibit 54 to Cruzen Declaration, # 56 Exhibit 55 to Cruzen Declaration, # 57 Exhibit 56 to Cruzen Declaration, # 58 Exhibit 57 to Cruzen Declaration, # 59 Exhibit 58 to Cruzen Declaration, # 60 Exhibit 59 to Cruzen Declaration, # 61 Exhibit 60 to Cruzen Declaration, # 62 Exhibit 61 to Cruzen Declaration, # 63 Exhibit 62 to Cruzen Declaration, # 64 Exhibit 63 to Cruzen Declaration, # 65 Exhibit 64 to Cruzen Declaration, # 66 Exhibit 65 to Cruzen Declaration, # 67 Exhibit 66 to Cruzen Declaration, # 68 Exhibit 67 to Cruzen Declaration, # 69 Exhibit 68 to Cruzen Declaration, # 70 Exhibit 69 to Cruzen Declaration, # 71 Exhibit 70 to Cruzen Declaration, # 72 Proposed Order)(Cruzen, Robert) (Entered: 04/13/2022) (Proposed Order) (1)
Mar 25, 2022 40 NOTICE of Agreed Extension of Deadline to Exchange Proposed Claim Constructions by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC (Cruzen, Robert) (Entered: 03/25/2022) (12)
Jan 13, 2022 39 SCHEDULING ORDER: Markman Hearing set for 6/16/2022 01:00 PM before Judge Alan D Albright. Amended Pleadings due by 10/7/2022. Joinder of Parties due by 7/29/2022. Dispositive and Daubert Motions due by 3/31/2023. Pretrial Conference set for 6/2/2023 before Judge Alan D Albright. Jury Selection set for 6/23/2023 before Judge Jeffrey C. Manske. Jury Trial set for 6/23/2023 before Judge Alan D Albright. Signed by Judge Alan D Albright. (ir) (Entered: 01/13/2022) (6)
Jan 12, 2022 38 Joint MOTION for Entry of Scheduling Order Deadlines by XR Communications LLC. (Attachments: # 1 Exhibit A)(Mirzaie, Reza) (Entered: 01/12/2022) (Main Document) (11)
Jan 12, 2022 38 Joint MOTION for Entry of Scheduling Order Deadlines by XR Communications LLC. (Attachments: # 1 Exhibit A)(Mirzaie, Reza) (Entered: 01/12/2022) (Exhibit A) (6)
Jan 11, 2022 37 Redacted Public Version of Defendant eero LLC's Reply in Support of Motion to Dismiss for Improper Venue or, Alternatively, to Transfer to the Northern District of California of 34 Sealed Document, by eero LLC. (Cruzen, Robert) (Entered: 01/11/2022) (16)
Jan 10, 2022 36 STIPULATION JOINT NOTICE OF STIPULATION TO CHANGE CERTAIN DEADLINES by XR Communications LLC. (Mirzaie, Reza) (Entered: 01/10/2022) (11)
Jan 4, 2022 34 Sealed Document: eero's Reply in Support of Motion to Dismiss for Improper Venue or, Alternatively, to Transfer to the Northern District of California of 23 MOTION to Dismiss for Improper Venue or, Alternatively, to Transfer to the Northern District of California by eero LLC (Attachments: # 1 Sealed Document Exhibit A to Robert T. Cruzen's Declaration - Amazon.com. Inc.'s Interrogatory Response) (Cruzen, Robert) (Entered: 01/04/2022) (0)
Jan 4, 2022 35 ATTACHMENT Declaration of Robert T. Cruzen in Support of eero's Reply in Support of Motion to Dismiss for Improper Venue or, Alternatively, to Transfer to the Northern District of California to 34 Sealed Document, by eero LLC. (Attachments: # 1 Exhibit B to Cruzen Declaration - XR Document Requests to eero, # 2 Exhibit C to Cruzen Declaration - XR Notice of Deposition to eero)(Cruzen, Robert) (Entered: 01/04/2022) (Main Document) (3)
Jan 4, 2022 35 ATTACHMENT Declaration of Robert T. Cruzen in Support of eero's Reply in Support of Motion to Dismiss for Improper Venue or, Alternatively, to Transfer to the Northern District of California to 34 Sealed Document, by eero LLC. (Attachments: # 1 Exhibit B to Cruzen Declaration - XR Document Requests to eero, # 2 Exhibit C to Cruzen Declaration - XR Notice of Deposition to eero)(Cruzen, Robert) (Entered: 01/04/2022) (Exhibit B to Cruzen Declaration - XR Document Requests to eero) (13)
Jan 4, 2022 35 ATTACHMENT Declaration of Robert T. Cruzen in Support of eero's Reply in Support of Motion to Dismiss for Improper Venue or, Alternatively, to Transfer to the Northern District of California to 34 Sealed Document, by eero LLC. (Attachments: # 1 Exhibit B to Cruzen Declaration - XR Document Requests to eero, # 2 Exhibit C to Cruzen Declaration - XR Notice of Deposition to eero)(Cruzen, Robert) (Entered: 01/04/2022) (Exhibit C to Cruzen Declaration - XR Notice of Deposition to eero) (14)
Dec 28, 2021 33 Redacted Public Version of 32 Sealed Document,, by XR Communications LLC. (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, # 14 Exhibit 14, # 15 Exhibit 15)(Mirzaie, Reza) (Entered: 12/28/2021) (Main Document) (15)
Dec 28, 2021 33 Redacted Public Version of 32 Sealed Document,, by XR Communications LLC. (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, # 14 Exhibit 14, # 15 Exhibit 15)(Mirzaie, Reza) (Entered: 12/28/2021) (Exhibit 1) (3)
Dec 28, 2021 33 Redacted Public Version of 32 Sealed Document,, by XR Communications LLC. (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, # 14 Exhibit 14, # 15 Exhibit 15)(Mirzaie, Reza) (Entered: 12/28/2021) (Exhibit 2) (6)
Dec 28, 2021 33 Redacted Public Version of 32 Sealed Document,, by XR Communications LLC. (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, # 14 Exhibit 14, # 15 Exhibit 15)(Mirzaie, Reza) (Entered: 12/28/2021) (Exhibit 3) (6)
Dec 28, 2021 33 Redacted Public Version of 32 Sealed Document,, by XR Communications LLC. (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, # 14 Exhibit 14, # 15 Exhibit 15)(Mirzaie, Reza) (Entered: 12/28/2021) (Exhibit 4) (4)
Dec 28, 2021 33 Redacted Public Version of 32 Sealed Document,, by XR Communications LLC. (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, # 14 Exhibit 14, # 15 Exhibit 15)(Mirzaie, Reza) (Entered: 12/28/2021) (Exhibit 5) (6)
Dec 28, 2021 33 Redacted Public Version of 32 Sealed Document,, by XR Communications LLC. (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, # 14 Exhibit 14, # 15 Exhibit 15)(Mirzaie, Reza) (Entered: 12/28/2021) (Exhibit 6) (6)
Dec 28, 2021 33 Redacted Public Version of 32 Sealed Document,, by XR Communications LLC. (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, # 14 Exhibit 14, # 15 Exhibit 15)(Mirzaie, Reza) (Entered: 12/28/2021) (Exhibit 7) (6)
Dec 28, 2021 33 Redacted Public Version of 32 Sealed Document,, by XR Communications LLC. (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, # 14 Exhibit 14, # 15 Exhibit 15)(Mirzaie, Reza) (Entered: 12/28/2021) (Exhibit 8) (7)
Dec 28, 2021 33 Redacted Public Version of 32 Sealed Document,, by XR Communications LLC. (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, # 14 Exhibit 14, # 15 Exhibit 15)(Mirzaie, Reza) (Entered: 12/28/2021) (Exhibit 9) (5)
Dec 28, 2021 33 Redacted Public Version of 32 Sealed Document,, by XR Communications LLC. (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, # 14 Exhibit 14, # 15 Exhibit 15)(Mirzaie, Reza) (Entered: 12/28/2021) (Exhibit 10) (30)
Dec 28, 2021 33 Redacted Public Version of 32 Sealed Document,, by XR Communications LLC. (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, # 14 Exhibit 14, # 15 Exhibit 15)(Mirzaie, Reza) (Entered: 12/28/2021) (Exhibit 11) (1)
Dec 28, 2021 33 Redacted Public Version of 32 Sealed Document,, by XR Communications LLC. (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, # 14 Exhibit 14, # 15 Exhibit 15)(Mirzaie, Reza) (Entered: 12/28/2021) (Exhibit 12) (1)
Dec 28, 2021 33 Redacted Public Version of 32 Sealed Document,, by XR Communications LLC. (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, # 14 Exhibit 14, # 15 Exhibit 15)(Mirzaie, Reza) (Entered: 12/28/2021) (Exhibit 13) (1)
Dec 28, 2021 33 Redacted Public Version of 32 Sealed Document,, by XR Communications LLC. (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, # 14 Exhibit 14, # 15 Exhibit 15)(Mirzaie, Reza) (Entered: 12/28/2021) (Exhibit 14) (2)
Dec 28, 2021 33 Redacted Public Version of 32 Sealed Document,, by XR Communications LLC. (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, # 14 Exhibit 14, # 15 Exhibit 15)(Mirzaie, Reza) (Entered: 12/28/2021) (Exhibit 15) (2)
Dec 21, 2021 32 Sealed Document: VIVATO'S OPPOSITION TO EERO'S MOTION TO DISMISS FOR IMPROPER VENUE OR, ALTERNATIVELY, TO TRANSFER TO THE NORTHERN DISTRICT OF CALIFORNIA of 23 MOTION to Dismiss for Improper Venue or, Alternatively, to Transfer to the Northern District of California by XR Communications LLC (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, # 14 Exhibit 14, # 15 Exhibit 15) (Mirzaie, Reza) (Entered: 12/21/2021) (0)
Dec 13, 2021 31 STATUS REPORT -- CASE READINESS STATUS REPORT by XR Communications LLC. (Mirzaie, Reza) (Entered: 12/13/2021) (6)
Dec 10, 2021 30 Response in Opposition to Motion, filed by eero LLC, re 29 Opposed MOTION for Discovery --OPPOSED MOTION FOR EXTENSION OF VENUE DISCOVERY DEADLINE filed by Plaintiff XR Communications LLC (Attachments: # 1 Declaration of Robert T. Cruzen)(Cruzen, Robert) (Entered: 12/10/2021) (Main Document) (8)
Dec 10, 2021 30 Response in Opposition to Motion, filed by eero LLC, re 29 Opposed MOTION for Discovery --OPPOSED MOTION FOR EXTENSION OF VENUE DISCOVERY DEADLINE filed by Plaintiff XR Communications LLC (Attachments: # 1 Declaration of Robert T. Cruzen)(Cruzen, Robert) (Entered: 12/10/2021) (Declaration of Robert T. Cruzen) (3)
Dec 3, 2021 27 NOTICE of Attorney Appearance by Jason M Wietholter on behalf of XR Communications LLC. Attorney Jason M Wietholter added to party XR Communications LLC(pty:pla) (Wietholter, Jason) (Entered: 12/03/2021) (1)
Dec 3, 2021 28 ATTACHMENT Amended Declaration of Dana Lindsay to 23 MOTION to Dismiss for Improper Venue or, Alternatively, to Transfer to the Northern District of California by eero LLC. (Cruzen, Robert) (Entered: 12/03/2021) (3)
Dec 3, 2021 29 Opposed MOTION for Discovery --OPPOSED MOTION FOR EXTENSION OF VENUE DISCOVERY DEADLINE by XR Communications LLC. (Attachments: # 1 Affidavit of Minna Chan, # 2 Exhibit A, # 3 Proposed Order)(Mirzaie, Reza) (Entered: 12/03/2021) (Main Document) (4)
Dec 3, 2021 29 Opposed MOTION for Discovery --OPPOSED MOTION FOR EXTENSION OF VENUE DISCOVERY DEADLINE by XR Communications LLC. (Attachments: # 1 Affidavit of Minna Chan, # 2 Exhibit A, # 3 Proposed Order)(Mirzaie, Reza) (Entered: 12/03/2021) (Affidavit of Minna Chan) (2)
Dec 3, 2021 29 Opposed MOTION for Discovery --OPPOSED MOTION FOR EXTENSION OF VENUE DISCOVERY DEADLINE by XR Communications LLC. (Attachments: # 1 Affidavit of Minna Chan, # 2 Exhibit A, # 3 Proposed Order)(Mirzaie, Reza) (Entered: 12/03/2021) (Exhibit A) (7)
Dec 3, 2021 29 Opposed MOTION for Discovery --OPPOSED MOTION FOR EXTENSION OF VENUE DISCOVERY DEADLINE by XR Communications LLC. (Attachments: # 1 Affidavit of Minna Chan, # 2 Exhibit A, # 3 Proposed Order)(Mirzaie, Reza) (Entered: 12/03/2021) (Proposed Order) (1)
Oct 8, 2021 26 Standing Order Regarding Order Governing Proceedings Patent Cases. Signed by Judge Alan D Albright. (Entered: 10/13/2021) (11)
Sep 7, 2021 N/A Text Order GRANTING 20 Motion to Appear Pro Hac Vice for Attorney Robert T. Cruzen for Amazon.Com, Inc.,Robert T. Cruzen for Amazon.com Services LLC,Robert T. Cruzen for eero 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. entered by Judge Alan D Albright. (This is a text-only entry generated by the court. There is no document associated with this entry.) (ir) (Entered: 09/07/2021) (0)
Sep 7, 2021 23 MOTION to Dismiss for Improper Venue or, Alternatively, to Transfer to the Northern District of California by eero LLC. (Attachments: # 1 Declaration of Dana Lindsay, # 2 Proposed Order)(Cruzen, Robert) (Entered: 09/07/2021) (Main Document) (19)
Sep 7, 2021 24 ANSWER to 1 Complaint with Jury Demand by Amazon.Com, Inc., Amazon.com Services LLC.(Cruzen, Robert) (Entered: 09/07/2021) (14)
Sep 7, 2021 25 RULE 7 DISCLOSURE STATEMENT filed by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Cruzen, Robert) (Entered: 09/07/2021) (3)
Sep 7, 2021 23 MOTION to Dismiss for Improper Venue or, Alternatively, to Transfer to the Northern District of California by eero LLC. (Attachments: # 1 Declaration of Dana Lindsay, # 2 Proposed Order)(Cruzen, Robert) (Entered: 09/07/2021) (Declaration of Dana Lindsay) (3)
Sep 7, 2021 23 MOTION to Dismiss for Improper Venue or, Alternatively, to Transfer to the Northern District of California by eero LLC. (Attachments: # 1 Declaration of Dana Lindsay, # 2 Proposed Order)(Cruzen, Robert) (Entered: 09/07/2021) (Proposed Order) (1)
Sep 3, 2021 22 ORDER GRANTING 21 Motion to Appear Pro Hac Vice for Attorney James E. Geringer. Attorney added for Amazon.Com, Inc., Amazon.com Services LLC, eero 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. (jkda) (Entered: 09/03/2021) (1)
Sep 1, 2021 21 MOTION to Appear Pro Hac Vice by Deron R Dacus (on behalf of James E. Geringer) ( Filing fee $ 100 receipt number 0542-15177279) by on behalf of Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Proposed Order)(Dacus, Deron) (Entered: 09/01/2021) (Main Document) (4)
Sep 1, 2021 21 MOTION to Appear Pro Hac Vice by Deron R Dacus (on behalf of James E. Geringer) ( Filing fee $ 100 receipt number 0542-15177279) by on behalf of Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Proposed Order)(Dacus, Deron) (Entered: 09/01/2021) (Proposed Order) (2)
Aug 31, 2021 20 MOTION to Appear Pro Hac Vice by Deron R Dacus (on behalf of Robert T. Cruzen) ( Filing fee $ 100 receipt number 0542-15173981) by on behalf of Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Proposed Order)(Dacus, Deron) (Entered: 08/31/2021) (Main Document) (4)
Aug 31, 2021 20 MOTION to Appear Pro Hac Vice by Deron R Dacus (on behalf of Robert T. Cruzen) ( Filing fee $ 100 receipt number 0542-15173981) by on behalf of Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Proposed Order)(Dacus, Deron) (Entered: 08/31/2021) (Proposed Order) (1)
Aug 5, 2021 N/A Text Order GRANTING 19 Motion for Extension of Time to Answer entered by Judge Alan D Albright. Before the Court is Amazon.com, Inc., Amazon.com Services LLC and eero LLCs (Amazon or Defendants) unopposed motion to extend the time within which Defendants are required to move, answer, or otherwise respond to Plaintiffs Complaint for Patent Infringement (Complaint). In light of this motion, the Court is of the opinion that the motion is meritorious and it should be, and is hereby, granted. Accordingly, it is ORDERED that Defendants unopposed motion to extend the time within which Defendants are required to move, answer, or otherwise respond to Plaintiffs Complaint is GRANTED. It is further ORDERED that the time in which Defendants are required to move, answer, or otherwise respond to Plaintiffs Complaint be extended to and include September 7, 2021. (This is a text-only entry generated by the court. There is no document associated with this entry.) (ep4) (Entered: 08/05/2021) (0)
Aug 5, 2021 N/A Reset Deadlines: Amazon.Com, Inc. answer due 9/7/2021; Amazon.com Services LLC answer due 9/7/2021; eero LLC answer due 9/7/2021. (ir) (Entered: 08/05/2021) (0)
Aug 4, 2021 19 Unopposed MOTION for Extension of Time to File Answer re 1 Complaint by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Proposed Order)(Dacus, Deron) (Attachment 1 replaced on 8/4/2021) (bw). (Entered: 08/04/2021) (Main Document) (2)
Aug 4, 2021 19 Unopposed MOTION for Extension of Time to File Answer re 1 Complaint by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Proposed Order)(Dacus, Deron) (Attachment 1 replaced on 8/4/2021) (bw). (Entered: 08/04/2021) (Proposed Order) (1)
Jul 7, 2021 N/A Text Order GRANTING 18 Motion for Extension of Time to Answer entered by Judge Alan D Albright. Before the Court is Amazon.com, Inc., Amazon.com Services LLC and eero LLCs (Amazon or Defendants) unopposed motion to extend the time within which Defendants are required to move, answer, or otherwise respond to Plaintiffs Complaint for Patent Infringement (Complaint). In light of this motion, the Court is of the opinion thatthe motion is meritorious and it should be, and is hereby, granted. Accordingly, it is ORDERED that Defendants unopposed motion to extend the time within which Defendants are required to move, answer, or otherwise respond to Plaintiffs Complaint is GRANTED. It is further ORDERED that the time in which Defendants are required to move, answer, or otherwise respond to Plaintiffs Complaint be extended to and include August 13, 2021. (This is a text-only entry generated by the court. There is no document associated with this entry.) (ep4) (Entered: 07/07/2021) (0)
Jul 7, 2021 N/A Reset Deadlines: Amazon.Com, Inc., Amazon.com Services LLCand eero LLC answer due 8/13/2021. (lad) (Entered: 07/07/2021) (0)
Jul 6, 2021 17 NOTICE of Attorney Appearance by Deron R Dacus on behalf of Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. Attorney Deron R Dacus added to party Amazon.Com, Inc.(pty:dft), Attorney Deron R Dacus added to party Amazon.com Services LLC(pty:dft), Attorney Deron R Dacus added to party eero LLC(pty:dft) (Dacus, Deron) (Entered: 07/06/2021) (2)
Jul 6, 2021 18 Unopposed MOTION for Extension of Time to File Answer re 1 Complaint by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Proposed Order)(Dacus, Deron) (Entered: 07/06/2021) (Main Document) (2)
Jul 6, 2021 18 Unopposed MOTION for Extension of Time to File Answer re 1 Complaint by Amazon.Com, Inc., Amazon.com Services LLC, eero LLC. (Attachments: # 1 Proposed Order)(Dacus, Deron) (Entered: 07/06/2021) (Proposed Order) (1)
Jul 1, 2021 14 SUMMONS Returned Executed by XR Communications LLC. Amazon.Com, Inc. served on 6/23/2021, answer due 7/14/2021. (Mirzaie, Reza) (Entered: 07/01/2021) (1)
Jul 1, 2021 15 SUMMONS Returned Executed by XR Communications LLC. Amazon.com Services LLC served on 6/23/2021, answer due 7/14/2021. (Mirzaie, Reza) (Entered: 07/01/2021) (1)
Jul 1, 2021 16 SUMMONS Returned Executed by XR Communications LLC. eero LLC served on 6/23/2021, answer due 7/14/2021. (Mirzaie, Reza) (Entered: 07/01/2021) (1)
Jun 18, 2021 10 JS44 (Civil Cover Sheet) submitted by XR Communications LLC. (Mirzaie, Reza) (Entered: 06/18/2021) (2)
Jun 18, 2021 11 RULE 7 DISCLOSURE STATEMENT filed by XR Communications LLC. (Mirzaie, Reza) (Entered: 06/18/2021) (2)
Jun 18, 2021 12 Notice of Filing of Patent/Trademark Form (AO 120). AO 120 forwarded to the Director of the U.S. Patent and Trademark Office. (Mirzaie, Reza) (Entered: 06/18/2021) (1)
Jun 18, 2021 13 NOTICE OF RELATED CASES by XR Communications LLC re 1 Complaint (Mirzaie, Reza) (Entered: 06/18/2021) (3)
Jun 17, 2021 N/A All parties shall comply with the Standing Orders located at https://www.txwd.uscourts.gov/judges-information/standing-orders/. (lad) (Entered: 06/17/2021) (0)
Jun 17, 2021 5 Pro Hac Vice Letter to James N. Pickens. (lad) (Entered: 06/17/2021) (1)
Jun 17, 2021 6 Summons Issued as to Amazon.Com, Inc.. (lad) (Entered: 06/17/2021) (2)
Jun 17, 2021 7 Summons Issued as to Amazon.com Services LLC. (lad) (Entered: 06/17/2021) (2)
Jun 17, 2021 8 Summons Issued as to eero LLC. (lad) (Entered: 06/17/2021) (2)
Jun 16, 2021 2 REQUEST FOR ISSUANCE OF SUMMONS by XR Communications LLC d/b/a Vivato Technologies. (Mirzaie, Reza) (Entered: 06/16/2021) (6)
Jun 16, 2021 3 RULE 7 DISCLOSURE STATEMENT filed by XR Communications LLC d/b/a Vivato Technologies. (Mirzaie, Reza) (Entered: 06/16/2021) (2)
Jun 16, 2021 4 Notice of Filing of Patent/Trademark Form (AO 120). AO 120 forwarded to the Director of the U.S. Patent and Trademark Office. (Mirzaie, Reza) (Entered: 06/16/2021) (1)
Jun 16, 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: 06/17/2021) (0)
Jun 16, 2021 9 Standing Order regarding Scheduling Order. Signed by Judge Alan D Albright. (Entered: 06/17/2021) (5)
Jun 16, 2021 1 Complaint* (1)
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