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Case 2:10-cv-01343-RLH -PAL Document 106-1 Filed 02/27/12 Page 1 of 16 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 COLLEEN BAL (pro hac vice cbal@wsgr.com WILSON SONSINI GOODRICH & ROSATI 650 Page Mill Road Palo Alto, CA 94304-1050 Telephone: (650 493-9300 Facsimile: (650 493-6811 CHAD BOWERS bowers@lawyer.com CHAD A. BOWERS, LTD Nevada State Bar No. 7283 3202 West Charleston Boulevard Las Vegas, Nevada 89102 Telephone: (702 457-1001 Attorneys for Defendant & Counterclaimant THOMAS A. DIBIASE RIGHTHAVEN LLC, a Nevada limited-liability company, Plaintiff, v. THOMAS A. DIBIASE, an individual, Defendant. THOMAS A. DIBIASE, an individual, Counterclaimant, v. RIGHTHAVEN LLC, a Nevada Limited- Liability Company, Counter-defendant. UNITED STATES DISTRICT COURT FOR THE DISTRICT OF NEVADA KURT OPSAHL (pro hac vice kurt@eff.org CORYNNE MCSHERRY (pro hac vice corynne@eff.org ELECTRONIC FRONTIER FOUNDATION 454 Shotwell Street San Francisco, CA 94110 Telephone: (415 436-9333 Facsimile: (415 436-9993 CASE NO.: 2:10-cv-1343 RLH PAL DECLARATION OF KURT OPSAHL 28

Case 2:10-cv-01343-RLH -PAL Document 106-1 Filed 02/27/12 Page 2 of 16 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Declaration of Kurt Opsahl 1. I am an attorney of record for the Defendant, Counter-claimant and Judgment Creditor, Thomas A. DiBiase, in this matter and a member in good standing of the State Bar of California, and am admitted to practice before this Court pro hac vice. I have personal knowledge of the matters stated in this declaration. If called upon to do so, I am competent to testify to all matters set forth herein. 2. On Tuesday, January 24, 2012, a hearing was held before Magistrate Judge Peggy A. Leen on Mr. DiBiase s Motion for a Judgment Debtor s Examination. Following the discussions of counsel, the Court ordered the parties to jointly submit a Proposed Stipulation summarizing their agreement concerning the previous Judgment Debtor Examination Transcript and Protective Order, as discussed in open court, by the end of this week. Minutes of Proceeding (Dkt. 101. After the hearing, I discussed the details with Righthaven s counsel, Shawn Mangano, agreeing that the transcript and documents previously produced in Righthaven v. Hoehn, D. Nev. Case No. 2:11-cv-00050-PMP-RJJ, would be provided by February 7, 2012 and the remaining documents would be produced by February 14, 2012. 3. I prepared a draft stipulation to reflect the parties in court agreement, and sent it to Mr. Mangano on Wednesday, January 25, 2012. Mr. Mangano responded that day, adding a new paragraph contending that it might be unable to produce some of the responsive documents by February 14. That night, I provided a revision to the draft, allowing that Righthaven might be late with the documents, but requiring a declaration detailing its good faith efforts to comply. Righthaven failed to respond. 4. I wrote to counsel to Mr. Mangano again on Thursday, January 26, seeking Righthaven s agreement and/or comments. Righthaven failed to respond. 5. I wrote again on Friday, January 27, reminding Mr. Mangano of the Court s requirement to get the stipulation on file by the end of the week. Righthaven failed to respond. 6. I wrote to Mr. Mangano on February 8, asking about the late documents. In response, Righthaven provided a redacted copy of some of its Bank of Nevada statements, but 1

Case 2:10-cv-01343-RLH -PAL Document 106-1 Filed 02/27/12 Page 3 of 16 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 failed to provide the transcript of the prior debtors examination. 7. Righthaven failed to show up at the February 9 status conference. 8. I wrote again on February 15, reminding Mr. Mangano that Righthaven s production was overdue and requesting immediate compliance. 9. Mr. Mangano promised a response as soon as possible. If I can do so today, I will. A true and correct copy of the email from Mr. Managano is attached as Exhibit A. This was the last communication from Righthaven. 10. I wrote three more times to Mr. Mangano, on February 16, 21 and 23. A true and correct copy of this email chain with Mr. Managano is attached as Exhibit B. 11. Righthaven has not yet complied with the February 7 Order. 12. I have spent over 6.5 hours researching, drafting and filing this motion and accompanying documents. 13. My current hourly rate is $625. Nevertheless, we are only seeking the $525 hourly rate previously approved by this Court in granting our attorneys fees. The total is $3,412.50. 14. I have reviewed Righthaven s bank statements for three accounts with the Bank of Nevada during the period from Righthaven s creation through the most recently available data (November 2011. This review included both the redacted copies produced by Righthaven and unredacted copies produced by the Bank of Nevada pursuant to a subpoena. 15. The statements do not show a payment of the $5,000 sanctions ordered in Righthaven v. Democratic Underground, Case No. 2:10-cv-01356-RLH GWF, Dkt. 138 (D. Nev. July 14, 2011. 16. I am informed and believe that Righthaven has not paid the $5,000 sanctions through other means. 17. The statements show that there were several substantial deposits from Steven A. Gibson s account into the Righthaven account in the months following July 14, 2011. Generally, these deposits were immediately prior to a payment from the Righthaven account, allowing Righthaven to pay certain bills while keeping the balance low. 2

Case 2:10-cv-01343-RLH -PAL Document 106-1 Filed 02/27/12 Page 4 of 16 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 18. Righthaven has not paid any portion of the judgment due to Mr. DiBiase. 19. Attached as Exhibit C is a true and correct copy of an excerpt of the redacted statement produced by Righthaven. It shows that Righthaven had a balance of $9,705.90 on August 18, 2011, which is more then enough to have paid the sanction due the prior month. 20. Exhibit C shows a wire transfer to Stephens Investments Holding in the amount of $4,475 on August 25, 2011. 21. I am informed and believe that Stephens Investments Holding is a company affiliated with the family of Warren Stephens, who are also investors in SI Content Monitor LLC. SI Content Monitor LLC is 50% owner of Righthaven LLC. I declare under penalty of perjury under the laws of the United States of America that the foregoing is true and correct. Executed this 27th day of February, 2012, at San Francisco, California. /s/ Kurt Opsahl KURT OPSAHL * * * CERTIFICATE OF SERVICE Pursuant to Federal Rule of Civil Procedure 5(b and as provided for under the applicable Local Rules of Civil Practice, I certify that on this 27th day of February, 2012, I caused a true and correct copy of the DECLARATION OF KURT OPSAHL to be served on all counsel properly registered and appearing in this action as listed in the Court s ECF system. 23 24 25 26 27 28 Dated: February 27, 2012 /s/ Kurt Opsahl KURT OPSAHL 3

Case 2:10-cv-01343-RLH -PAL Document 106-1 Filed 02/27/12 Page 5 of 16 Exhibit A Exhibit A

Case 2:10-cv-01343-RLH -PAL Document 106-1 Filed 02/27/12 Page 6 of 16 From: <shawn@manganolaw.com> Subject: RE: Righthaven production overdue Date: February 15, 2012 1:16:39 PM PST To: "Kurt Opsahl" <kurt@eff.org> Kurt: As stated in my previous e-mail, I have not received a copy of the debtor's examination transcript. It was requested at the examination and the court reporter has my contact information. I will ask Jay DeVoy for the court reporter's contact information. With regard to the declaration, I will put it together and get it to you as soon as possible. If I can do so today, I will. Regards, S Shawn A. Mangano, Esq. Shawn A. Mangano, Ltd. 8367 West Flamingo Road, Suite 100 Las Vegas, Nevada 89147 (702 304-0432 - telephone (702 922-3851 - facsimile Licensed in California, Nevada and Illinois -------- Original Message -------- Subject: Righthaven production overdue From: Kurt Opsahl <kurt@eff.org> Date: Wed, February 15, 2012 1:13 pm To: Shawn Mangano <shawn@manganolaw.com> Shawn -- As you know, the stipulated court order required Righthaven to produce documents by yesterday, February 14. We have received no documents. Nor have you provided a sworn declaration detailing your good faith efforts to comply, as required in the event that Righthaven was not able to complete the entire document production by February 14, 2012. In addition, Righthaven has failed to provide a copy of the transcript of the debtors' examination in Hoehn, due February 7. We were also disappointed that you failed to appear at the status conference on February 9. Please produce this information immediately. best regards, Kurt ------------------------------- Kurt Opsahl, kurt@eff.org Senior Staff Attorney, Electronic Frontier Foundation http://www.eff.org/

Case 2:10-cv-01343-RLH -PAL Document 106-1 Filed 02/27/12 Page 7 of 16 ph: 415.436.9333 x 106 \\ fx: 415.436.9993

Case 2:10-cv-01343-RLH -PAL Document 106-1 Filed 02/27/12 Page 8 of 16 Exhibit B Exhibit B

Case 2:10-cv-01343-RLH -PAL Document 106-1 Filed 02/27/12 Page 9 of 16 From: Kurt Opsahl <kurt@eff.org> Subject: Re: Righthaven production overdue Date: February 16, 2012 12:56:07 PM PST To: <shawn@manganolaw.com> Shawn, I look forward to your declaration, providing a detailed description of your good faith efforts to comply with the stipulated court order and explaining why none of the requested documents were produced. Please understand that the declaration does not discharge Righthaven's obligations under the court order. I also look forward to learning when Righthaven believes it can comply. Thank you for following up with the court reporter. In my experience, court reporters can provide transcripts quite quickly, and it is quite unusual that it is simply unavailable more than a month later. I'm sure once you get in touch with the reporter, Righthaven can quickly comply with the stipulated court order. best regards, Kurt On Feb 15, 2012, at 1:16 PM, <shawn@manganolaw.com> wrote: Kurt: As stated in my previous e-mail, I have not received a copy of the debtor's examination transcript. It was requested at the examination and the court reporter has my contact information. I will ask Jay DeVoy for the court reporter's contact information. With regard to the declaration, I will put it together and get it to you as soon as possible. If I can do so today, I will. Regards, S Shawn A. Mangano, Esq. Shawn A. Mangano, Ltd. 8367 West Flamingo Road, Suite 100 Las Vegas, Nevada 89147 (702 304-0432 - telephone (702 922-3851 - facsimile Licensed in California, Nevada and Illinois -------- Original Message -------- Subject: Righthaven production overdue From: Kurt Opsahl <kurt@eff.org> Date: Wed, February 15, 2012 1:13 pm To: Shawn Mangano <shawn@manganolaw.com> Shawn -- As you know, the stipulated court order required Righthaven to produce documents by yesterday, February 14. We have received no documents. Nor have you provided a sworn declaration detailing your good faith efforts to comply, as required in the event that Righthaven was not able to complete the entire document production by February 14, 2012. In addition, Righthaven has failed to provide a copy of the transcript of the debtors' examination in Hoehn, due February 7. We were also disappointed that you failed to appear at the status conference on February 9. Please produce this information immediately. best regards, Kurt -------------------------------

Case 2:10-cv-01343-RLH -PAL Document 106-1 Filed 02/27/12 Page 10 of 16 Kurt Opsahl, kurt@eff.org Senior Staff Attorney, Electronic Frontier Foundation http://www.eff.org/ ph: 415.436.9333 x 106 \\ fx: 415.436.9993

Case 2:10-cv-01343-RLH -PAL Document 106-1 Filed 02/27/12 Page 11 of 16 From: Kurt Opsahl <kurt@eff.org> Subject: Re: Righthaven production overdue Date: February 23, 2012 12:12:53 PM PST To: Shawn Mangano <shawn@manganolaw.com> Shawn -- Hope you are well. You have not responded to our emails and still have not complied with the court's order. If you do not comply, we will have no choice but to seek sanctions and an order finding contempt of court. best regards, Kurt On Feb 21, 2012, at 12:35 PM, Kurt Opsahl wrote: Shawn -- It has been a week since Righthaven's production was due pursuant to the stipulated court order. We still have not received the additional documents, the transcript or your declaration. Please comply with the stipulated court order by the end of the day. best regards, Kurt On Feb 15, 2012, at 1:16 PM, <shawn@manganolaw.com> <shawn@manganolaw.com> wrote: Kurt: As stated in my previous e-mail, I have not received a copy of the debtor's examination transcript. It was requested at the examination and the court reporter has my contact information. I will ask Jay DeVoy for the court reporter's contact information. With regard to the declaration, I will put it together and get it to you as soon as possible. If I can do so today, I will. Regards, S Shawn A. Mangano, Esq. Shawn A. Mangano, Ltd. 8367 West Flamingo Road, Suite 100 Las Vegas, Nevada 89147 (702 304-0432 - telephone (702 922-3851 - facsimile Licensed in California, Nevada and Illinois -------- Original Message -------- Subject: Righthaven production overdue From: Kurt Opsahl <kurt@eff.org> Date: Wed, February 15, 2012 1:13 pm To: Shawn Mangano <shawn@manganolaw.com> Shawn -- As you know, the stipulated court order required Righthaven to produce documents by yesterday, February 14. We have received no documents. Nor have you provided a sworn declaration detailing your good faith efforts to comply, as required in the event that Righthaven was not able to complete the entire document production by February 14, 2012.

Case 2:10-cv-01343-RLH -PAL Document 106-1 Filed 02/27/12 Page 12 of 16 In addition, Righthaven has failed to provide a copy of the transcript of the debtors' examination in Hoehn, due February 7. We were also disappointed that you failed to appear at the status conference on February 9. Please produce this information immediately. best regards, Kurt ------------------------------- Kurt Opsahl, kurt@eff.org Senior Staff Attorney, Electronic Frontier Foundation http://www.eff.org/ ph: 415.436.9333 x 106 \\ fx: 415.436.9993

Case 2:10-cv-01343-RLH -PAL Document 106-1 Filed 02/27/12 Page 13 of 16 Exhibit C Exhibit C

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