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Case 3:06-cv-00672-VRW Document 292 Filed 07/03/2006 Page 1 of 2

1 PILLSBURY WINTHROP SHAW PITTMAN LLP


BRUCE A. ERICSON #76342
2 DAVID L. ANDERSON #149604
JACOB R. SORENSEN #209134
3 MARC H. AXELBAUM #209855
50 Fremont Street
4 Post Office Box 7880
San Francisco, CA 94120-7880
5 Telephone: (415) 983-1000
Facsimile: (415) 983-1200
6 Email: bruce.ericson@pillsburylaw.com

7 SIDLEY AUSTIN LLP


DAVID W. CARPENTER (admitted pro hac vice)
8 DAVID L. LAWSON (admitted pro hac vice)
BRADFORD A. BERENSON (admitted pro hac vice)
9 EDWARD R. McNICHOLAS (admitted pro hac vice)
1501 K Street, N.W.
10 Washington, D.C. 20005
Telephone: (202) 736-8010
11 Facsimile: (202) 736-8711
Email: bberenson@sidley.com
12
Attorneys for Defendants
13 AT&T CORP. and AT&T INC.

14
UNITED STATES DISTRICT COURT
15
NORTHERN DISTRICT OF CALIFORNIA
16
SAN FRANCISCO DIVISION
17

18
TASH HEPTING, GREGORY HICKS, No. C-06-0672-VRW
19 CAROLYN JEWEL and ERIK KNUTZEN
on Behalf of Themselves and All Others DECLARATION OF JACOB R.
20 Similarly Situated, SORENSEN IN SUPPORT OF
DEFENDANTS’ RESPONSE TO
21 Plaintiffs, PLAINTIFFS’ ADMINISTRATIVE
MOTION TO FILE THEIR
22 vs. DEMONSTRATIVE
PRESENTATION FROM THE JUNE
23 AT&T CORP., AT&T INC. and DOES 1-20, 23, 2006 HEARING UNDER SEAL
inclusive,
24
Defendants.
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28
Sorensen Decl. in Supp. of Defs.’ Response to Pls.’ Mot.
to File Demonstrative Presentation Under Seal
No. C-06-0672-VRW
Case 3:06-cv-00672-VRW Document 292 Filed 07/03/2006 Page 2 of 2

1 I, JACOB R. SORENSEN, declare as follows:


2 1. I am an attorney licensed to practice law in the State of California and

3 admitted to practice before this Court, and a Senior Associate of the law firm of Pillsbury

4 Winthrop Shaw Pittman LLP, counsel for defendant AT&T CORP. and specially
5 appearing defendant AT&T INC. Except for those matters stated on information and
6 belief, which I believe to be true, I have personal knowledge of the facts stated herein and,

7 if called as a witness, I could and would competently testify thereto.

8 2. On June 29, 2006, I, along with my colleague, Marc H. Axelbaum, called

9 Jason Schultz, one of the lawyers for plaintiffs in this action, regarding their Administrative

10 Motion to File the Demonstrative Presentation Presented at the June 23, 2006 Hearing

11 Under Seal (“Motion,” Dkt. 286). I left Mr. Schultz a voicemail message, which I followed

12 up with an e-mail to Mr. Schultz, indicating that defendants would be agreeable to plaintiffs

13 filing publicly an appropriately redacted version of the Demonstrative Presentation. Mr.

14 Schultz responded to my e-mail expressing plaintiffs’ interest in arriving at a mutually

15 agreeable redacted version of the Presentation that plaintiffs could file publicly. We are

16 continuing to meet and confer, and I anticipate that we should be able to come to an

17 agreement shortly, and possibly as soon as the end of this week. If we are able to agree on

18 a redacted version of the Demonstrative Presentation, defendants will authorize plaintiffs to

19 file it forthwith.

20 I declare under penalty of perjury under the laws of the United States that the

21 foregoing is true and correct.

22 Executed this 3rd day of July, 2006, at San Francisco, California.

23
By /s/ Jacob R. Sorensen
24 Jacob R. Sorensen

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-1- Sorensen Decl. in Supp. of Defs.’ Response to Pls.’ Mot.
to File Demonstrative Presentation Under Seal
No. C-06-0672-VRW