`_ Case 2:11—cv-10701—JFW-JEM Document 4
`Filed 12/27/11 Page 1 of 3 Page ID #23
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`UNITED STATES DISTRICT COURT
`CENTRAL DISTRICT OF CALIFORNIA
`CASE NUMBER
`X
`Cv11_ 10701 JFW (JEMX)
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`1,
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`‘>3
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`03
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`-.4
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`NOTICE TO PARTIES OF ADR
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`PRESERVATION TECHNOLOGIES
`LLC
`PLAlNTIFF(S)
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`V.
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`FACEBOOK INC
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`DEFENDANT(S).
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`Dear Counsel,
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`
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`The district judge to whom the above-referenced case has been assigned is participating in an
`ADR Program. All counsel of record are directed to jointly complete the attached ADR Program
`Questionnaire, and plaintiffs counsel (or defendant in a removal case) is directed to concurrently
`file the Questionnaire with the report required under Federal Rules of Civil Procedure 26(f).
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`12/27/1 1
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`Date
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`Clerk, U.S. District Court
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`By: DLAGMAN
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`Deputy Clerk
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`Al'\D,Q /n/1/1n\
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`\l(\TIf‘II 'l"f\ DADTII-TC HF AHD DDf\I'1D AR/I
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`
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`Case 2:11-cv-10701-JFW-JEM Document 4 Filed 12/27/11 Page 2 of 3 Page ID #:4
`Case 2:11—cv-10701—JFW-JEM Document 4
`Filed 12/27/11 Page 2 of 3 Page ID #24
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`UNITED STATES DISTRICT COURT
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`CENTRAL DISTRICT OF CALIFORNIA
`CASE NUMBER
`PRESERVATION TECHNOLOGIES LLC
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`P‘-A"“T'FF(S)
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`CV11- 10701 JFW (JEMX)
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` ADR PROGRAM QUESTIONNAIRE
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`FACEBOOK INC
`DEFENDANT(S).
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`(1) What, if any, discovery do the parties believe is essential in order to prepare adequately for a settlement
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`conference or mediation? Please outline with specificity the type(s) of discovery and proposed completion
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`date(s). Please outline any areas of disagreement int this regard. Your designations do not limit the discovery
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`that you will be able to take in the event this case does not settle.
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`(2) What are the damage amounts being claimed by each plaintiff? Identify the categories of damage
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`claimed [e.g., lost profits, medical expenses (past and future), lost wages (past and future), emotional distress,
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`damage to reputation, etc.] and the portion of the total damages claimed attributed to each category.
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`ADR-9 (04/10)
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`ADR PROGRAM QUESTIONNAIRE
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`
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`Case 2:11-cv-10701-JFW-JEM Document 4 Filed 12/27/11 Page 3 of 3 Page ID #:5
`Case 2:11-cv—10701-JFW-JEM Document 4
`Filed 12/27/11 Page 3 of 3 Page ID #25
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`(3) Do the parties agree to utilize a private mediator in lieu of the court's ADR Program?
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`Yes [_]
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`No [_]
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`(4) if this case is in category civil rights - employment (442), check all boxes that describe the legal bases of
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`plaintiff claim(s).
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`L] Title VII
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`[_] Age Discrimination
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`[_] 42 U.S.C. section 1983
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`L] California Fair Employment and Housing Act
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`[_] Americans with Disabilities Act of 1990
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`[__] Rehabilitation Act
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`[_] Other
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`I hereby certify that all parties have discussed and agree that the above-mentioned responses are true and
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`correct.
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`Date
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`Attorney for Plaintiff (Signature)
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`Attorney for Plaintiff (Please print full name)
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`Date
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`Attorney for Defendant (Signature)
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`Attorney for Defendant (Please print full name)
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`ADR-9 (04/10)
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`ADR PROGRAM QUESTIONNAIRE