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Case 8:11-cv-01862-DOC-JPR Document 7 Filed 12/28/11 Page 1 of 3 Page ID #:430
`
`Jan P. Weir, State Bar No. 106652
`jweir@sycr.com
`Douglas Q. Hahn, State Bar No. 257559
`dhahn@sycr.com
`Joseph J. Mellema, State Bar No. 248118
`jmellema@sycr.com
`STRADLING YOCCA CARLSON & RAUTH
`660 Newport Center Drive, Suite 1600
`Newport Beach, CA 92660-6422
`Tel: 949-725-4000
`Andrew G. DiNovo (will seek admission pro hac vice)
`adinovo@dpelaw.com
`Adam G. Price (will seek admission pro hac vice)
`aprice@dpelaw.com
`Victor G. Hardy (will seek admission pro hac vice)
`vhardy@dpelaw.com
`DiNovo Price Ellwanger & Hardy LLP
`7000 North Mopac Expressway
`Suite 350
`Austin, TX 78731
`Tel: 512-539-2632
`Attorneys for Plaintiffs
`Preservation Technologies LLC
`
`UNITED STATES DISTRICT COURT
`CENTRAL DISTRICT OF CALIFORNIA
`
`PRESERVATION TECHNOLOGIES
`LLC,
`
`CASE NO. SACV11-01862 JVS (RNBx)
`Hon. James V. Selna
`
`Plaintiff,
`
`vs.
`NETFLIX, INC.; AMAZON.COM,
`INC.; FACEBOOK, INC.; SONY
`CORPORATION OF AMERICA;
`DISH NETWORK CORPORATION,
`Defendants.
`
`VOLUNTARY DISMISSAL
`WITHOUT PREJUDICE OF
`DEFENDANTS FACEBOOK, INC.;
`SONY CORPORATION OF
`AMERICA; AND DISH NETWORK
`CORPORATION, PURSUANT TO
`RULE 41(A)(1)
`
`Complaint Filed: December 2, 2011
`
`VOLUNTARY DISMISSAL WITHOUT PREJUDICE OF FACEBOOK, SONY, AND DISH
`LITIOC/2013340v1/019999-0000
`
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`STRADLING YOCCA
`CARLSON & RAUTH
`L AW YE RS
`NEW PO RT BE ACH
`
`

`
`Case 8:11-cv-01862-DOC-JPR Document 7 Filed 12/28/11 Page 2 of 3 Page ID #:431
`
`Plaintiff, Preservation Technologies, LLC, hereby dismisses the Complaint
`in this action against Defendants, Sony Corporation of America, DISH Network
`Corporation and Facebook, Inc., without prejudice, pursuant to Rule 41(a)(1) of the
`Federal Rules of Civil Procedure. As of the filing of this Voluntary Dismissal
`Without Prejudice, no opposing party has served either an answer or a motion for
`summary judgment.
`
`DATED: December 28, 2011
`
`STRADLING YOCCA CARLSON & RAUTH
`A Professional Corporation
`
`By:
`
`/s/ Douglas Q. Hahn
`Douglas Q. Hahn
`Attorneys for Plaintiffs
`Preservation Technologies LLC
`
`-1-
`VOLUNTARY DISMISSAL WITHOUT PREJUDICE OF FACEBOOK, SONY, AND DISH
`LITIOC/2013340v1/019999-0000
`
`1 2 3 4 5 6 7 8 9
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`STRADLING YOCCA
`CARLSON & RAUTH
`L AW YE RS
`NEW PO RT BE ACH
`
`

`
`Case 8:11-cv-01862-DOC-JPR Document 7 Filed 12/28/11 Page 3 of 3 Page ID #:432
`
`CERTIFICATE OF SERVICE
`
`I hereby certify that on the 28th day of December, 2011, I caused a copy
`of the foregoing VOLUNTARY DISMISSAL WITHOUT PREJUDICE OF
`DEFENDANTS FACEBOOK, INC.; SONY CORPORATION OF
`AMERICA; AND DISH NETWORK CORPORATION, PURSUANT TO
`RULE 41(A)(1) to be electronically filed using the CM/ECF system, which will
`then send a notification of such filing (NEF) to the following if they are registered
`users or, if they are not, by serving a true and correct copy to the addressees below
`via U.S. Mail.
`
`Corporation Service Company dba CSC – Lawyers Incorporating Service
`2730 Gateway Oaks Drive, Suite 100
`Sacramento, CA 95833
`Registered Agent for Service of Process in the State of California for
`Facebook, Inc.
`
`Corporation Service Company dba CSC – Lawyers Incorporating Service
`2730 Gateway Oaks Drive, Suite 100
`Sacramento, CA 95833
`Registered Agent for Service of Process in the State of California for
`Sony Corporation of America
`
`R. Stanton Dodge
`9601 S. Meridian Blvd.
`Englewood, CO 80112
`Registered Agent for Service of Process in the State of Colorado for
`Dish Network Corporation
`
`Date: December 28, 2011
`
`/s/ Douglas Q. Hahn
`Douglas Q. Hahn
`
`-2-
`VOLUNTARY DISMISSAL WITHOUT PREJUDICE OF FACEBOOK, SONY, AND DISH
`LITIOC/2013340v1/019999-0000
`
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`
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`STRADLING YOCCA
`CARLSON & RAUTH
`L AW YE RS
`NEW PO RT BE ACH

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