DeclarationCal. Super. - 6th Dist.November 23, 2020DocuSign Envelope ID: 5005609F-983A-4BE5-A078-059382880A43 200V373940 \OOOflQUl-bUJNr-A NNNNNNNNNHHHr-tr-Kr-tr-tr-tr-tr-t OOQOUl-RUJNh-‘OKOOOQONUI-hUJNHO Santa Clara - Civil Electronically Filed Howard L. Magee (State Bar N0. 185199) by Superior Court of CA, Larry W. Lee (State Bar N0. 228175) county of Santa Clara, Max W. Gavron (State Bar N0. 291697) on 12/1 6/2020 5:00 PM DIVERSITY LAW GROUP, A Professional Corporation Reviewed By: R_ Burciaga 515 South Figueroa Street, Suite 1250 case #Zocv373940 Los Angeles, California 90071 Envelope: 5487084 (213) 488-6555 (213) 488-6554 facsimile Robert Starr (State Bar No. 183052) Theodore Tang (State Bar N0. 3 13294) Manny Starr (State Bar N0. 3 19778) FRONTIER LAW CENTER 23901 Calabasas Road, Suite 2074 Calabasas, California 91302 T: (818) 914-3433 F: (818) 914-3433 Attorneys for Plaintiff J DOE SUPERIOR COURT OF THE STATE OF CALIFORNIA FOR THE COUNTY OF SANTA CLARA J DOE, as an individual, Case N0. 20CV373940 Plaintiff, DECLARATION OF HOWARD MAGEE IN SUPPORT OF EX PARTE vs. APPLICATION FOR TRO AND OSC RE PRELIMINARY INJUNCTION ROKU, INC., a Delaware corporation; LONG-JI LIN, an individual, and DOES 1 through 50, Date: December 18, 2020 inclusive, Time: 8:30 am Dept: 19 Defendants. Complaint Filed: November 23, 2020 Trial Date: None Set I, Howard Magee, declare as follows: 1. I am an attorney duly licensed t0 practice law before all courts of the State 0f California. My law firm, Diversity Law Group A.P.C., is counsel for Plaintiff J Doe in this action. This 1 DECLARATION OF MANNY STARR IN SUPPORT OF EX PARTE APPLICATION FOR TRO . Burciaga DocuSign Envelope ID: 5005609F-983A-4BE5-A078-059B82880A43 \OmflQLh-PUJNH NNNNNNNNNr-tr-IHHr-tr-tr-tr-Ib-Ib-t OOQONU‘I-PUJNHOWOONQM#WNHO declaration is submitted in support of J Doe’s EX Parte Application for Temporary Restraining Order and Order to Show Cause Re Preliminary Injunction. The following facts are within my personal knowledge and, if called as a witness herein, I can and will competently testify thereto. 2. On December 16, 2020, at approximately 9:35 am. Pacific Time, I called Greg Tenhoff of Cooly LLP to inform him of this ex parte motion but was unable to reach him. Immediately thereafter, at approximately 9:40 am, I called Joshua Elefant also 0f Cooly LLP. I informed Mr. Elefant that we intended t0 bring the present ex parte motion, and generally described the relief requested and the basis thereof. 3. Iknow Mr. Tenhoff and Mr. Elefant and their firm to be counsel for Defendant Roku, Inc. because I have interacted with them in the past dun'ng pre-litigation settlement negotiations in this dispute. 4. Further, Greg Tenhoff has previously informed me, via email, that they are authorized to accept service on behalf of the individual Defendant, Long-Ji Lin. 5. A copy of all papers supporting this ex parte application were served Via email on Mr. Tenhoff and Mr. Elefant on December 16, 2020. I declare under penalty of perjury under the laws of the State of California that the foregoing is true and correct. . Los Ange'les _ _ Executed thls 16th day 0f December, 2020, at , Callfornla. (C'i ty) [WW Declarafif Howard Magee 2 DECLARATION OF MANNY STARR IN SUPPORT OF EX PARTE APPLICATION FOR TRO