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Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 1 of 383 Page ID

#:6527
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Francis Malofiy, Esquire


Francis Alexander, LLC
280 N. Providence Rd. | Suite 1
Media, PA 19063
T: (215) 500-1000; F: (215) 500-1005
E: francis@francisalexander.com
Attorney for Plaintiff
Glen L. Kulik, Esq.
Kulik Gottesman & Siegel LLP
15303 Ventura Blvd., Suite 1400
Sherman Oaks, CA 91403
T: (310) 557-9200; F: (310) 557-0224
E: gkulik@kgslaw.com
Attorney for Plaintiff

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UNITED STATES DISTRICT COURT

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FOR THE CENTRAL DISTRICT OF CALIFORNIA

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Case No. 15-cv-03462 RGK (AGRx)

MICHAEL SKIDMORE, as Trustee for


15 the RANDY CRAIG WOLFE TRUST,
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Hon. R. Gary Klausner

Plaintiff,
PLAINTIFF SUPPLEMENTAL
EXHIBIT LIST

v.
LED ZEPPELIN; JAMES PATRICK
PAGE; ROBERT ANTHONY PLANT;
JOHN PAUL JONES; SUPER HYPE
PUBLISHING, INC.; WARNER MUSIC
GROUP CORP., Parent of
WARNER/CHAPPELL MUSIC, INC.;
ATLANTIC RECORDING
CORPORATION; RHINO
ENTERTAINMENT COMPANY,

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TRIAL: JUNE 14, 2016


TIME: 9:00 A.M.

Defendants.

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{00255828;1}

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 2 of 383 Page ID


#:6528
1

Objections

Description
AUDIO
EXHIBITS

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3
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5
6
7
8

1A

Audio Exhibit
1: Dazed and
Confused by
Led Zeppelin
(1969)[207A]

10
11
12
13

2A

14
15
16

3A

17
18
19
20

4A

21
22
23
24

5A

25
26
27

6A

28
{00255828;1}

Audio Exhibit
2: Dazed and
Confused by
Jake Holmes
(1967)[208A]
Audio Exhibit
3: Whole Lotta
Love by Led
Zeppelin
(1969)[409A]
Audio Exhibit
4: Muddy
Waters You
Need Love
(1962)(10
seconds 28
seconds)[209A]
Audio Exhibit
5: The Small
Faces You
Need Loving
(1966)(25
seconds 48
seconds)[210A]
Audio Exhibit
6: Live
performance of
Led Zeppelin

Defs: general objection, as to the


entire Joint Exhibit List, that
plaintiff has insisted upon the
inclusion of material not properly or
reasonably considered an exhibit for
trial, has failed to identify what
documents or recordings he is
referring to, and has otherwise not
cooperated in the preparation of a
proper Joint Exhibit List. As to this
specific exhibit: Defs MIL # 5, FRE
407, 408, 401-02, 403, 404; failure
to identify/provide expert testimony
as to claimed use, FRCP 26(a),
26(e), 37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Date
Id.

Date
Adm.

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 3 of 383 Page ID


#:6529
1

playing Fresh
Garbage
(1101969)[20
6A]

2
3

7A

Audio Exhibit
7: Stairway to
Heaven (0
seconds 25
seconds)

Defs: failure to identify whether


refers to officially released version
or plaintiffs recreated versions,
which are irrelevant, FRE 401-02,
403, 1002, & lack foundation, MIL
# 4, failure to comply with FRCP
26(a)(2), (e) & (b)(4); entire,
officially release version is relevant
work.

8A

Audio Exhibit
8: Taurus (45
seconds 1
minute, 13
seconds)

Defs: Defs MIL # 3, FRE 401-02,


403, 1002.

9A

Audio Exhibit
9: 8 measures of
Stairway from
note 1 of the
acoustic guitar,
repeated
multiple times
[42A]

Defs: failure to identify whether


refers to officially released version
or plaintiffs recreated versions,
which are irrelevant, FRE 401-02,
403, 1002, & lack foundation, MIL
# 4, failure to comply with FRCP
26(a)(2), (e) & (b)(4); entire,
officially release version is relevant
work.

10A

Audio Exhibit
10: 8 Measures
of Taurus from
note 1 of the
acoustic guitar,
repeated
multiple times
[43A]

Defs: Defs MIL # 3, # 4, FRE 40102, 403, 1002.

11A

Audio Exhibit
11: 8 measures
of Stairway and
Taurus played
together from
note 1 of the
acoustic guitar,
repeated
multiple times
[44A]

Defs: as to Taurus, Defs MIL # 3, #


4, FRE 401-02, 403, 1002; as to
Stairway, failure to identify whether
refers to officially released version
or plaintiffs recreated versions,
which are irrelevant, FRE 401-02,
403, 1002, & lack foundation, MIL
# 4, failure to comply with FRCP
26(a)(2), (e) & (b)(4), entire,
officially release version is relevant
work.

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5
6
7
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AUDIO
EXHIBITS

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{00255828;1}

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 4 of 383 Page ID


#:6530
1

COMPRASIO
N AUDIO
Audio Exhibit
12:Acoustic
Guitar

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12A

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11
12
13

13A

Audio Exhibit
13:Bass

14A

Audio Exhibit
14:Drums

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15
16
17
18
19
20
21
22
23
24

Defs: failure to identify audio


exhibit and what works recorded; as
to Taurus, Defs MIL # 3, # 4, FRE
401-02, 403, 1002; as to Stairway,
failure to identify whether refers to
officially released version or
plaintiffs recreated versions, which
are irrelevant, FRE 401-02, 403,
1002, & lack foundation, MIL # 4,
failure to comply with FRCP
26(a)(2), (e) & (b)(4); entire,
officially release version is relevant
work.
Defs: failure to identify audio
exhibit and what works recorded; as
to Taurus, Defs MIL # 3, # 4, FRE
401-02, 403, 1002; as to Stairway,
failure to identify whether refers to
officially released version or
plaintiffs recreated versions, which
are irrelevant, FRE 401-02, 403,
1002, & lack foundation, MIL # 4,
failure to comply with FRCP
26(a)(2), (e) & (b)(4); entire,
officially release version is relevant
work.
Defs: failure to identify audio
exhibit and what works recorded; as
to Taurus, Defs MIL # 3, # 4, FRE
401-02, 403, 1002; as to Stairway,
failure to identify whether refers to
officially released version or
plaintiffs recreated versions, which
are irrelevant, FRE 401-02, 403,
1002, & lack foundation, MIL # 4,
failure to comply with FRCP
26(a)(2), (e) & (b)(4); entire,
officially release version is relevant
work.

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{00255828;1}

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 5 of 383 Page ID


#:6531
1
2
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15A

Audio Exhibit
15: Electric 12
Strings

16A

Audio Exhibit
16: Electric
Piano

17A

Audio Exhibit
17: End Guitar

18A

Audio Exhibit
18:Les Pauls

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{00255828;1}

Defs: failure to identify audio


exhibit and what works recorded; as
to Taurus, Defs MIL # 3, # 4, FRE
401-02, 403, 1002; as to Stairway,
failure to identify whether refers to
officially released version or
plaintiffs recreated versions, which
are irrelevant, FRE 401-02, 403,
1002, & lack foundation, MIL # 4,
failure to comply with FRCP
26(a)(2), (e) & (b)(4); entire,
officially release version is relevant
work.
Defs: failure to identify audio
exhibit and what works recorded; as
to Taurus, Defs MIL # 3, # 4, FRE
401-02, 403, 1002; as to Stairway,
failure to identify whether refers to
officially released version or
plaintiffs recreated versions, which
are irrelevant, FRE 401-02, 403,
1002, & lack foundation, MIL # 4,
failure to comply with FRCP
26(a)(2), (e) & (b)(4); entire,
officially release version is relevant
work.
Defs: failure to identify audio
exhibit and what works recorded; as
to Taurus, Defs MIL # 3, # 4, FRE
401-02, 403, 1002; as to Stairway,
failure to identify whether refers to
officially released version or
plaintiffs recreated versions, which
are irrelevant, FRE 401-02, 403,
1002, & lack foundation, MIL # 4,
failure to comply with FRCP
26(a)(2), (e) & (b)(4); entire,
officially release version is relevant
work.
Defs: failure to identify audio
exhibit and what works recorded; as
to Taurus, Defs MIL # 3, # 4, FRE
401-02, 403, 1002; as to Stairway,
failure to identify whether refers to
officially released version or
plaintiffs recreated versions, which
are irrelevant, FRE 401-02, 403,
1002, & lack foundation, MIL # 4,
5

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 6 of 383 Page ID


#:6532
1
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19A

Audio Exhibit
19: Recorders

20A

Audio Exhibit
20: Slide

21A

Audio Exhibit
21: Solo

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18
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20
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22
23
24
25

failure to comply with FRCP


26(a)(2), (e) & (b)(4); entire,
officially release version is relevant
work.
Defs: failure to identify audio
exhibit and what works recorded; as
to Taurus, Defs MIL # 3, # 4, FRE
401-02, 403, 1002; as to Stairway,
failure to identify whether refers to
officially released version or
plaintiffs recreated versions, which
are irrelevant, FRE 401-02, 403,
1002, & lack foundation, MIL # 4,
failure to comply with FRCP
26(a)(2), (e) & (b)(4); entire,
officially release version is relevant
work.
Defs: failure to identify audio
exhibit and what works recorded; as
to Taurus, Defs MIL # 3, # 4, FRE
401-02, 403, 1002; as to Stairway,
failure to identify whether refers to
officially released version or
plaintiffs recreated versions, which
are irrelevant, FRE 401-02, 403,
1002, & lack foundation, MIL # 4,
failure to comply with FRCP
26(a)(2), (e) & (b)(4); entire,
officially release version is relevant
work.
Defs: failure to identify audio
exhibit and what works recorded; as
to Taurus, Defs MIL # 3, # 4, FRE
401-02, 403, 1002; as to Stairway,
failure to identify whether refers to
officially released version or
plaintiffs recreated versions, which
are irrelevant, FRE 401-02, 403,
1002, & lack foundation, MIL # 4,
failure to comply with FRCP
26(a)(2), (e) & (b)(4); entire,
officially release version is relevant
work.

AUDIO
EXHIBITS
RERECORDING
OF TAURUS

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{00255828;1}

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 7 of 383 Page ID


#:6533
1
2
3
4

22A
23A

Audio Exhibit
22: Acoustic
Guitar
Audio Exhibit
23:Cello 1

Defs: Defs MIL # 3, # 4, FRE 40102, 403, 1002.


Defs: Defs MIL # 3, # 4, FRE 40102, 403, 1002.

24A

Audio Exhibit
24: Cello 2

Defs: Defs MIL # 3, # 4, FRE 40102, 403, 1002.

25A

Audio Exhibit
25: Cymbal

Defs: Defs MIL # 3, # 4, FRE 40102, 403, 1002.

26A

Audio Exhibit
26: Flute

Defs: Defs MIL # 3, # 4, FRE 40102, 403, 1002.

Audio Exhibit
27: Harpsichord
Audio Exhibit
28: String Bass
Audio Exhibit
29: Viola

Defs: Defs MIL # 3, # 4, FRE 40102, 403, 1002.


Defs: Defs MIL # 3, # 4, FRE 40102, 403, 1002.
Defs: Defs MIL # 3, # 4, FRE 40102, 403, 1002.

Audio Exhibit
30: Violins
AUDIO
EXHIBITS
ALEXANDER
STEWART
Audio Exhibit
31: Stairway to
Heaven
(album)
Audio Exhibit
32: Taurus
(album)
Audio Exhibit
33:Taurus Live
at Ash Grove
(7/10/1967)
Audio Exhibit
34: Taurus Live
at Ash Grove
(7/31/1967)
Audio Exhibit
35:Taurus Live
at Ash Grove
(8/8/1967)
Audio Exhibit
36:Taurus
Demo

Defs: Defs MIL # 3, # 4, FRE 40102, 403, 1002.

8
9

27A

10

28A

11

29A

12

30A

13
14
15
16
17

31A

18
19

32A

20
21

33A

22
23

34A

24
25

35A

26
27

36A

28
{00255828;1}

Defs: Defs MIL # 3, FRE 401-02,


403, 1002.
Defs: Defs MIL # 3, FRE 401-02,
403, 1002, 802.
Defs: Defs MIL # 3, FRE 401-02,
403, 1002, 802.
Defs: Defs MIL # 3, FRE 401-02,
403, 1002, 802.
Defs: Defs MIL # 3, FRE 401-02,
403, 1002, 802.
7

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 8 of 383 Page ID


#:6534
1
2
3

37A

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38A

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8

39A

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10
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12
13

40A

14

Recording
(8/1967)
Audio Exhibit
37: Taurus
Live at
Kaleidoscope
(4/5/1968)
Audio Exhibit
38: Taurus Live
at The Time
Coast
Audio Exhibit
39: Taurus Live
at Acoustic
(1996)
Audio Exhibit
40:
Combination
Acoustic Taurus
Synced to STH
SR Part A,
played over
Master SR of
STH

Defs: Defs MIL # 3, FRE 401-02,


403, 1002, 802.

Defs: Defs MIL # 3, FRE 401-02,


403, 1002, 802.
Defs: Defs MIL # 3, FRE 401-02,
403, 1002, 802.

Defs: Defs MIL # 3, #4, FRE 40102, 403, 1002, 802.

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17

41A

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20

42A

21
22

43A

23
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25
26

44A

27
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{00255828;1}

Audio Exhibit
41:Acoustic
Taurus Synced
to Master SR of
STH Part A
Audio Exhibit
42: Stairway
Acoustic Part
A [9A]
Audio Exhibit
43: Taurus
Acoustic Part
A [10A]
Audio Exhibit
44:
Combination
Acoustic Taurus
Synced to
Master SR of
STH (Part A),
played over
Acoustic

Defs: Defs MIL # 3, #4, FRE 40102, 403, 1002.

Defs: Defs MIL #4, FRE 401-02,


403, 1002.
Defs: Defs MIL # 3, #4, FRE 40102, 403, 1002.

Defs: Defs MIL # 3, #4, FRE 40102, 403, 1002.

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 9 of 383 Page ID


#:6535
1

Stairway (Part
A) [11A]
AUDIO
EXHIBITS
REBUTTAL
OF MATHES

2
3
4
5
6

45A

Audio Exhibit
45: Mathes
Audio Exhibit
Tempo Matched
- Stairway

46A

Audio Exhibit
46: Mathes
Audio Exhibit
Tempo Matched
- Taurus

47A

Audio Exhibit
47: Mathes
Audio Exhibit
Tempo Matched
- STH & Taurus

51A

Audio Exhibit
51: Taurus
Deposit Copy

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21
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23
24
25
26
27
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{00255828;1}

Defs: failure to identify and produce


audio exhibit and what works
recorded; as to Taurus, Defs MIL #
3, # 4, FRE 401-02, 403, 1002; as to
Stairway, failure to identify whether
refers to officially released version
or plaintiffs recreated versions,
which are irrelevant, FRE 401-02,
403, 1002, & lack foundation, MIL
# 4, failure to comply with FRCP
26(a)(2), (e) & (b)(4); entire,
officially release version is relevant
work.
Defs: failure to identify and produce
audio exhibit and what works
recorded; as to Taurus, Defs MIL #
3, # 4, FRE 401-02, 403, 1002; as to
Stairway, failure to identify whether
refers to officially released version
or plaintiffs recreated versions,
which are irrelevant, FRE 401-02,
403, 1002, & lack foundation, MIL
# 4, failure to comply with FRCP
26(a)(2), (e) & (b)(4); entire,
officially release version is relevant
work.
Defs: failure to identify and produce
audio exhibit and what works
recorded; as to Taurus, Defs MIL #
3, # 4, FRE 401-02, 403, 1002; as to
Stairway, failure to identify whether
refers to officially released version
or plaintiffs recreated versions,
which are irrelevant, FRE 401-02,
403, 1002, & lack foundation, MIL
# 4, failure to comply with FRCP
26(a)(2), (e) & (b)(4); entire,
officially release version is relevant
work.

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 10 of 383 Page ID


#:6536
1

(by Mathes)

2
52A

Audio Exhibit
52: Taurus
Recording (by
Mathes)

53A

Audio Exhibit
53:Combined Taurus Deposit
Copy and
Taurus
Recording (by
Mathes)

54A

Audio Exhibit
54: Stairway to
Heaven (by
Mathes)

55A

Audio Exhibit
55: Combined Taurus Deposit
Copy and
Stairway to
Heaven (by
Mathes)

56A

Audio Exhibit
56: Combined Taurus
Recording and
Stairway to
Heaven (by
Mathes)

57A

Audio Exhibit
57:Combined

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18
19
20
21
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23
24
25
26
27
28

{00255828;1}

Defs: failure to identify and produce


audio exhibit (Mathes provided only
one audio recording of Taurus
deposit copy, listed above); FRE
401-02, 403, 1002, & lack
foundation, MIL# 3, # 4, failure to
comply with FRCP 26(a)(2), (e) &
(b)(4) .
Defs: failure to identify and produce
audio exhibit (Mathes provided only
one audio recording of Taurus
deposit copy, listed above); FRE
401-02, 403, 1002, & lack
foundation, MIL # 3, # 4, failure to
comply with FRCP 26(a)(2), (e) &
(b)(4).
Defs: failure to identify and produce
audio exhibit (description does not
match audio recordings provided by
Mathes); to the extent plaintiff refers
to another of plaintiffs audio
recordings, failure to identify and
produce audio exhibit, FRE 401-02,
403, 1002, & lack foundation, MIL
# 4, failure to comply with FRCP
26(a)(2), (e) & (b)(4).
Defs: failure to identify and produce
audio exhibit (description does not
match audio recordings provided by
Mathes); to the extent plaintiff refers
to another of plaintiffs audio
recordings, failure to identify and
produce audio exhibit, FRE 401-02,
403, 1002, & lack foundation, MIL
# 3, # 4, failure to comply with
FRCP 26(a)(2), (e) & (b)(4).
Defs: failure to identify and produce
audio exhibit (Mathes provided only
one audio recording of Taurus
deposit copy, listed above); FRE
401-02, 403, 1002, & lack
foundation, MIL # 3, # 4, failure to
comply with FRCP 26(a)(2), (e) &
(b)(4).
Defs: failure to identify and produce
audio exhibit (Mathes provided only
10

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 11 of 383 Page ID


#:6537
1

Taurus Deposit
Copy and
Taurus
Recording and
Stairway
to Heaven (by
Mathes)

2
3
4
5
6
7
8
9
10

58A

11
12

58.1A

13
14

58.2A

15
16

58.3A

17
18

58.4A

19
20
21

58.5A

22
23
24

58.6A

25
26
27

58.7A

one audio recording of Taurus


deposit copy, listed above); FRE
401-02, 403, 1002, & lack
foundation, MIL # 3, # 4, failure to
comply with FRCP 26(a)(2), (e) &
(b)(4).

VIDEO
EXHBITIS
DEMONSTRA
TIVE GUITAR
PERFORMAN
CE
STH
Composition
(Hanson)
T Deposit Bass Clef
(Hanson)
T Deposit Bass Clef - STH
Composition
(Hanson)
T Deposit Treble Clef
(Hanson)
T Deposit Treble Clef STH
Composition
(Hanson)
T Deposit Bass Clef Treble Clef
(Hanson)
T Deposit Bass Clef Treble Clef STH
Composition
(Hanson)
T Deposit Bass Clef
Arpeggio(Hans
on)

28
{00255828;1}

11

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 12 of 383 Page ID


#:6538
1
2

58.8A

3
4
5

59A

6
7
8

59.1A

9
10
11
12

59.2A
59.3A

13
14
15

59.4A

16
17

59.5A

18
19
20

59.6A

21
22
23

59.7A

24
25
26
27

59.8A

28
{00255828;1}

T Deposit Bass Clef


Arpeggio - STH
Composition
(Hanson)
T Deposit Bass Clef
Arpeggio Treble Clef
T Deposit Bass Clef
Arpeggio Treble Clef STH
Composition
(Hanson)
T Composition
(Hanson)
T Composition
- T Deposit Bass Clef
(Hanson)
T Composition
- T Deposit Treble Clef
(Hanson)
T Composition
- STH
Composition
(Hanson)
T Composition
- STH
Composition T Deposit Bass Clef
(Hanson)
T Composition
- STH
Composition T Deposit Treble Clef
(Hanson)
T Composition
- STH
Composition T Deposit Bass Clef 12

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 13 of 383 Page ID


#:6539
1

Treble Clef
(Hanson)

2
3
4

61A

Audio Exhibit
61: Taurus
Deposit Copy
(by Ferrara)

6
7
8

62A

Audio Exhibit
62: Taurus
Recording (by
Ferrara)

63A

Audio Exhibit
63:Combined Taurus Deposit
Copy and
Taurus
Recording (by
Ferrara)

64A

Audio Exhibit
64: Stairway to
Heaven (by
Ferrara)

9
10
11
12
13
14
15
16
17

65A

Audio Exhibit
65:Combined
Taurus Deposit
Copy and
Stairway to
Heaven (by
Ferrara)

66A

Audio Exhibit
66: Combined Taurus
Recording and
Stairway to
Heaven (by
Ferrara)

18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify and produce


audio exhibit (Ferrara provided only
one audio recording of Taurus
deposit copy, listed above); FRE
401-02, 403, 1002, & lack
foundation, MIL # 3, # 4, failure to
comply with FRCP 26(a)(2), (e) &
(b)(4).
Defs: failure to identify and produce
audio exhibit (Ferrara provided only
one audio recording of Taurus
deposit copy, listed above); FRE
401-02, 403, 1002, & lack
foundation, MIL # 3, # 4, failure to
comply with FRCP 26(a)(2), (e) &
(b)(4).

Defs: failure to identify and produce


audio exhibit (description does not
match audio recordings provided by
Ferrara); to the extent plaintiff refers
to another of plaintiffs audio
recordings, failure to identify and
produce audio exhibit, FRE 401-02,
403, 1002, & lack foundation, MIL
# 4, failure to comply with FRCP
26(a)(2), (e) & (b)(4).
Defs: failure to identify and produce
audio exhibit (description does not
match audio recordings provided by
Ferrara); to the extent plaintiff refers
to another of plaintiffs audio
recordings, failure to identify and
produce audio exhibit, FRE 401-02,
403, 1002, & lack foundation, MIL
# 3, # 4, failure to comply with
FRCP 26(a)(2), (e) & (b)(4).
13

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 14 of 383 Page ID


#:6540
1

67A

Audio Exhibit
67: Combined
Taurus Deposit
Copy and
Taurus
Recording and
Stairway to
Heaven (by
Ferrara)

Defs: failure to identify and produce


audio exhibit (description does not
match audio recordings provided by
Ferrara); to the extent plaintiff refers
to another of plaintiffs audio
recordings, failure to identify and
produce audio exhibit, FRE 401-02,
403, 1002, & lack foundation, MIL
# 3, # 4, failure to comply with
FRCP 26(a)(2), (e) & (b)(4).

70A

Combination:
Taurus Deposit
Copy (Mathes)
Stairway to
Heaven Deposit
Copy (Hanson)

Def: such a recording has never been


produced to defendants; FRE 40102, 403, 1002, & lack foundation,
MIL # 3, # 4, failure to comply with
FRCP 26(a)(2), (e) & (b)(4).

71A

Audio Exhibit
71: Taurus
Deposit Copy
(by Hanson)

72A

Audio Exhibit
72: Taurus
Recording (by
Hanson)

73A

Audio Exhibit
73: Combined Taurus Deposit
Copy and
Taurus
Recording (by
Hanson)

Def: failure to identify and produce


recording; FRE 401-02, 403, 1002,
& lack foundation, MIL # 3, # 4,
failure to comply with FRCP
26(a)(2), (e) & (b)(4).

74A

Audio Exhibit
74: Stairway to
Heaven (by
Hanson)

Def: failure to identify and produce


recording; FRE 401-02, 403, 1002,
& lack foundation, MIL # 4, failure
to comply with FRCP 26(a)(2), (e)
& (b)(4).

2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25

75A

26
27
28

76A
{00255828;1}

Audio Exhibit
75: Combined Taurus Deposit
Copy and
Stairway to
Heaven (by
Hanson)
Audio Exhibit
76: Combined
Taurus

Def: such a recording has never been


produced to defendants; FRE 40102, 403, 1002, & lack foundation,
MIL # 3, # 4, failure to comply with
FRCP 26(a)(2), (e) & (b)(4).
Def: failure to identify and produce
recording; FRE 401-02, 403, 1002,
& lack foundation, MIL # 3 & #4,
failure to comply with FRCP
26(a)(2), (e) & (b)(4).

Defs: such a recording has never


been produced to defendants; FRE
401-02, 403, 1002, & lack
foundation, MIL # 3, # 4, failure to
comply with FRCP 26(a)(2), (e) &
(b)(4).
Defs: such a recording has never
been produced to defendants; FRE
401-02, 403, 1002, & lack
14

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 15 of 383 Page ID


#:6541
1
2
3
4
5
6

77A

7
8
9
10

78A

11
12
13

79A

14
15
16
17
18
19

80

Recording and
Stairway to
Heaven (by
Hanson)
Audio Exhibit
77: Combined
Taurus Deposit
Copy and
Taurus
Recording and
Stairway to
Heaven (by
Hanson)
Stairway to
Heaven
Rerecording
Mix (Audio
Exhibits 12-21)
Taurus
Rerecording
Mix (Audio
Exhibits 22-30)
DEPOSITION
S
Deposition of
Jimmy Page
(01.07.2016)(Tr
anscript)
[Page]

20
21
22

80D

23
24

80M

25
26
27

80V

28
{00255828;1}

foundation, MIL # 3, # 4, failure to


comply with FRCP 26(a)(2), (e) &
(b)(4).

Defs: such a recording has never


been produced to defendants; FRE
401-02, 403, 1002, & lack
foundation, MIL # 3, # 4, failure to
comply with FRCP 26(a)(2), (e) &
(b)(4).
Def: such a recording has never been
produced to defendants; FRE 40102, 403, 1002, & lack foundation,
MIL # 4, failure to comply with
FRCP 26(a)(2), (e) & (b)(4).
Def: such a recording has never been
produced to defendants; FRE 40102, 403, 1002, & lack foundation,
MIL # 3, # 4, failure to comply with
FRCP 26(a)(2), (e) & (b)(4).

Defs: a deposition is not an exhibit;


contains material inadmissible under
FRE 401-02, 403, 407, 408, 701,
802 and 805, & within MIL # 1, 2,
3, 5, 11, 12, 14; failure to comply
with LR 16-2.7 and, as a result,
deprives defendants of opportunity
to object to proffered testimony;
improper use of deposition.

Designation of
Jimmy Page
Deposition of
Jimmy Page
(01.07.2016)
(Mini)
[Page]
Defs: a deposition is not an exhibit;
Deposition of
contains material inadmissible under
Jimmy Page
FRE 401-02, 403, 407, 408, 701,
(01.07.2016)(VI
802 and 805, & within MIL # 1, 2,
DEO)[Page]
3, 5, 11, 12, 14; failure to comply
15

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 16 of 383 Page ID


#:6542
1
2
3
4
5
6

81

Deposition of
John Paul
Jones
(01.08.2016)
(Transcript)[Jon
es]

7
8
9

81V

Deposition of
John Paul
Jones(01.08.201
6)(VIDE)
[Jones]

82

Deposition of
Jay Ferguson
(01.13.2016)(Tr
anscript)[Fergus
on]

82V

Deposition of
Jay Ferguson
(01.13.2016)(VI
DEO)[Ferguson
]

83

Deposition of
Mark Andes
(01.15.2016)(Tr
anscript)[Andes
]

10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

with LR 16-2.7 and, as a result,


deprives defendants of opportunity
to object to proffered testimony;
improper use of deposition.
Defs: a deposition is not an exhibit;
contains material inadmissible under
FRE 401-02, 403, 407, 408, 701,
802 and 805, & within MIL # 1, 2,
3, 5, 11, 12, 14; failure to comply
with LR 16-2.7 and, as a result,
deprives defendants of opportunity
to object to proffered testimony;
improper use of deposition.
Defs: a deposition is not an exhibit;
contains material inadmissible under
FRE 401-02, 403, 407, 408, 701,
802 and 805, & within MIL # 1, 2,
3, 5, 11, 12, 14; failure to comply
with LR 16-2.7 and, as a result,
deprives defendants of opportunity
to object to proffered testimony;
improper use of deposition.
Defs: a deposition is not an exhibit;
contains material inadmissible under
FRE 401-02, 403, 407, 408, 701,
802 and 805, & within MIL # 1, 2,
3, 5, 11, 14; failure to comply with
LR 16-2.7 and, as a result, deprives
defendants of opportunity to object
to proffered testimony; improper use
of deposition.
Defs: a deposition is not an exhibit;
contains material inadmissible under
FRE 401-02, 403, 407, 408, 701,
802 and 805, & within MIL # 1, 2,
3, 5, 11, 12, 14; failure to comply
with LR 16-2.7 and, as a result,
deprives defendants of opportunity
to object to proffered testimony;
improper use of deposition.
Defs: a deposition is not an exhibit;
contains material inadmissible under
FRE 401-02, 403, 407, 408, 701,
802 and 805, & within MIL # 1, 2,
3, 5, 11, 14; failure to comply with
LR 16-2.7 and, as a result, deprives
defendants of opportunity to object
to proffered testimony; improper use
16

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 17 of 383 Page ID


#:6543
1

of deposition.

2
3
4
5
6
7

83V

Deposition of
Mark Andes
(01.15.2016)(VI
DEO)[Andes]

84

Deposition of
Bruce Pates
(01.22.2016)(Tr
anscript)[Pates]

85

Deposition of
Robert Plant
(01.29.2016)(Tr
anscript)[Plant]

85V

Deposition of
Robert Plant
(01.29.2016)(VI
DEO)[Plant]

8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25

Defs: a deposition is not an exhibit;


contains material inadmissible under
FRE 401-02, 403, 407, 408, 701,
802 and 805, & within MIL # 1, 2,
3, 5, 11, 12, 14; failure to comply
with LR 16-2.7 and, as a result,
deprives defendants of opportunity
to object to proffered testimony;
improper use of deposition.
Defs: a deposition is not an exhibit;
contains material inadmissible under
FRE 401-02, 403, 407, 408, 701,
802 and 805, & within MIL # 1, 2,
3, 5, 11, 14; failure to comply with
LR 16-2.7 and, as a result, deprives
defendants of opportunity to object
to proffered testimony; improper use
of deposition.
Defs: a deposition is not an exhibit;
contains material inadmissible under
FRE 401-02, 403, 407, 408, 701,
802 and 805, & within MIL # 1, 2,
3, 5, 11, 12, 14; failure to comply
with LR 16-2.7 and, as a result,
deprives defendants of opportunity
to object to proffered testimony;
improper use of deposition.
Defs: a deposition is not an exhibit;
contains material inadmissible under
FRE 401-02, 403, 407, 408, 701,
802 and 805, & within MIL # 1, 2,
3, 5, 11, 12, 14; failure to comply
with LR 16-2.7 and, as a result,
deprives defendants of opportunity
to object to proffered testimony;
improper use of deposition.

26
27
28
{00255828;1}

17

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 18 of 383 Page ID


#:6544
1

86

Deposition of
Michael
Skidmore
(02.05.2016)(Tr
anscript)[Skidm
ore]

87

Deposition of
William
Ruhlmann
(02.08.2016)(Tr
anscript)[Ruhlm
ann]

2
3
4
5
6
7
8
9
10
11
12

87A

13
14

87AT

15
16
17
18

88

19
20
21
22

89

23
24
25
26

90

27
28
{00255828;1}

Ruhlmann
Interview
Cassettes
(Audio)
Ruhlmann
Interview
Cassettes
(Transcript)

Defs: a deposition is not an exhibit;


contains material inadmissible under
FRE 401-02, 403, 407, 408, 701,
802 and 805, & within MIL # 1, 2,
3, 5, 11, 14; failure to comply with
LR 16-2.7 and, as a result, deprives
defendants of opportunity to object
to proffered testimony; improper use
of deposition.
Defs: a deposition is not an exhibit;
contains material inadmissible under
FRE 401-02, 403, 802 and 805, &
within MIL # 1; failure to comply
with LR 16-2.7 and, as a result,
deprives defendants of opportunity
to object to proffered testimony;
improper use of deposition.
Defs: contains material inadmissible
under FRE 401-02, 403, 404, 407,
408, 701, 802 and 805, & within
MIL # 1, 5.

Defs: a deposition is not an exhibit;


contains material inadmissible under
Deposition of FRE 401-02, 403, 802 and 805;
Jeremy Blietz failure to comply with LR 16-2.7
(02.09.2016)(Tr and, as a result, deprives defendants
anscript)[Blietz] of opportunity to object to proffered
testimony; improper use of
deposition.
Defs: a deposition is not an exhibit;
Deposition of contains material inadmissible under
David
FRE 401-02, 403, 802 and 805;
Woirhaye
failure to comply with LR 16-2.7
(02.10.2016)(Tr and, as a result, deprives defendants
anscript)[Woirh of opportunity to object to proffered
aye]
testimony; improper use of
deposition.
Deposition of
Alexander
Stewart
(2016.05.17)(Tr
anscript)
[Stewart]
18

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 19 of 383 Page ID


#:6545
1
2
3

90V

4
5
6

91

7
8
9

91V

10
11
12

92

13
14

92V

15
16
17

93

18
19
20

93V

21
22
23

94

24
25
26
27

94V

28
{00255828;1}

Deposition of
Alexander
Stewart
(2016.05.17)
(VIDEO)
[Stewart]
Deposition of
Erik Johnson
(2016.05.18)
(Transcript)
[Johnson]
Deposition of
Erik Johnson
(2016.05.18)
(VIDEO)
[Johnson]
Deposition of
Kevin Hanson
(2016.05.18)
(Transcript)
[Hanson]
Deposition of
Kevin Hanson
(2016.05.18)
(VIDEO)
[Hanson]
Deposition of
Brian Bricklin
(2016.06.10)
(Transcript)
[Bricklin]
Deposition of
Brian Bricklin
(2016.06.10)
(Video)
[Bricklin]
Deposition of
Michael
Einhorn
(2016.05.19)
(Transcript)
[Einhorn]
Deposition of
Michael
Einhorn
(2016.05.19)
(VIDEO)
[Einhorn]
19

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 20 of 383 Page ID


#:6546
1
2
3

95

4
5
6

95V

7
8
9

96

10
11
12

96V

13
14
15
16

97

17
18
19

97V

20
21

98

22
23

99V

24
25
26

99T

27

Deposition of
Robert Mathes
(2016.05.27)
(Transcript)
[Mathes]
Deposition of
Robert Mathes
(2016.05.27)
(VIDEO)
[Mathes]
Deposition of
Lawerence
Ferrara
(2016.05.27)
(Transcript)
[Ferrara]
Deposition of
Lawrence
Ferrara
(2016.05.27)
(VIDEO)
[Ferrara]
Deposition of
Michael Ware
(2016.05.31)
(Transcript)
[Ware]
Deposition of
Michael Ware
(2016.05.31)
(VIDEO)
[Ware]
New Musical
Express Article
[Page][D98]
BBC Interview
with Jimmy
Page (minutes
1:13
to1:25)[VIDEO
][Page]
Transcript of
BBC Interview
with Jimmy
Page

Defs: Defs MIL # 2 & # 5, FRE 40102, 403, 404, 407, 408, 802, 805.

Defs: reserve right to play other


portions of the interview.

28
{00255828;1}

20

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 21 of 383 Page ID


#:6547
1
2

100A

Taurus and
Stairway to
Heaven Sound
Recording
Mash Up

101

Plaintiffs
Amended
complaint

3
4
5
6
7
8
9
10
11
12
13

103
104

14
15

104A

16
17
18

105

19
20
21

106

22
23

107A

24
25
26

108A

27
28

109A
{00255828;1}

Def: such a recording has never been


produced to defendants; mash-ups
are inherently misleading and not an
accepted musicological practice and
is, instead, a musical trick; Cottrill v.
Spears, 2003 WL 21223846 at *9
(E.D. Pa. May 22, 2003); FRE 40102, 403, 702, 1002, & lack
foundation, MIL # 3, # 4, failure to
comply with FRCP 26(a)(2), (e) &
(b)(4).
Defs: Defs MIL # 1, # 2, # 3, # 5, #
8, #14; FRE 401-02, 403, 404, 407,
408, 701-05, 802 & 805; assertions
as to substantial similarity barred by
failure to timely provide expert
disclosures as to relevant work
(1967 transcription), FRCP 26(a),
26(e) & 37(c)(1).
Defs: FRE 401-02, 403.

Recorder
Headley Grange
layout Drawing
[Page}
Headley
Drawing with
Roberts
Drawing [Plant]
Stairway to
Heaven Sheet
Music (Flames
of Albion
Music |
1972)[Page]
Howard Mylett Defs: FRE 901, illegible, 401-02,
Article [Page] 403, 802, 805.
Take 1
Stairway to
Heaven
[AUDIO][Page]
[D107]
Take 2
Stairway to
Heaven
[AUDIO][Page]
[D108]
Take 3 Stairway to
21

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 22 of 383 Page ID


#:6548
1
2
3
4

110A

5
6
7

111A

8
9
10

112A

11
12
13

113A

14
15
16

114A

17
18

146

19
20
21

157

22
23
24

160

25
26
27

160A

28
{00255828;1}

Heaven
[AUDIO][Page]
[D109]
Take 4 Stairway to
Heaven
[AUDIO][Page]
[D110]
Take 5 Stairway to
Heaven
[AUDIO][Page]
[D111]
Take 6 Stairway to
Heaven
[AUDIO][Page]
[D112]
Take 7 Stairway to
Heaven
[AUDIO][Page]
[D113]
Take 8 Stairway to
Heaven
[AUDIO][Page]
[D114]
Plant Crash
Article[Page][J
ones][D146]
Zig Zag
reprinted in
Guitar World
Interview with
Jimmy Page
[Page][D157]
Zig Zag
reprinted in
Guitar World
Interview with
Jimmy Page
[Page][D157]
Zig Zag
Interview with
Jimmy Page
[AUDIO][Page]

Defs: Defs MIL # 2, FRE 401-02,


403, 802, 805.

Defs: either duplicative of Exh. 157


or not produced; Defs MIL # 2, FRE
401-02, 403, 802, 805.

22

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 23 of 383 Page ID


#:6549
1

[D160]

2
3

160T

4
5
6

161A

7
8
9

162A

10
11
12
13
14
15

163A

16
17
18
19
20
21
22
23

164A

24
25
26
27

165A

28
{00255828;1}

Transcript of
Zig Zag
Interview with
Jimmy Page
Master Sound
Recording of
Stairway to
Heaven
[AUDIO][Page]
Master Sound
Recording of
Taurus Part
A[AUDIO][Pag
e]
Combination
Acoustic
Recording of
Taurus Synced
Master Sound
Recording of
Stairway to
Heaven (by
session
musician),
played over
Master Sound
Recording of
Stairway to
Heaven
[AUDIO][Page]
Acoustic
Recording of
Taurus (by
session
musician)
Synced to
Master of
Stairway to
Heaven Sound
Recording
[AUDIO][Page]
Acoustic
Recording of
Stairway to
Heaven (by

Defs: failure to identify recording


plaintiff is referring to.

Defs: Defs MIL # 3, #4, FRE 40102, 403, 1002.

Def: failure to identify and produce


recording; FRE 401-02, 403, 1002,
& lack foundation, MIL #3, # 4,
failure to comply with FRCP
26(a)(2), (e) & (b)(4).

Def: failure to identify and produce


recording; FRE 401-02, 403, 1002,
& lack foundation, MIL #3, # 4,
failure to comply with FRCP
26(a)(2), (e) & (b)(4).

Def: failure to identify and produce


recording; FRE 401-02, 403, 1002,
MIL # 4, failure to comply with
FRCP 26(a)(2), (e) & (b)(4).
23

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 24 of 383 Page ID


#:6550
1
2
3
4
5
6

166A

7
8
9
10
11
12
13
14
15

167A

16
17
18
19
20
21
22

200

23
24
25

201
202

26
27

203

28
{00255828;1}

session
musician)
[AUDIO][Page]
Acoustic
Recording of
Taurus (by
session
musician)
Synced Exactly
to Master
Sound
Recording of
Taurus Part A
[AUDIO][Page]
Combination
Acoustic
Recording of
Taurus Synced
to Master
Sound
Recording of
Stairway to
Heaven (by
session
musician),
played over
Acoustic
Recording of
Stairway to
Heaven (by
session
musician)
[AUDIO]
[Page]
Book - Get the
Led Out by
Denny Somach
(p.19)[Page]
Recorder (as
played by
Jones)[Jones]
Hohner Piano
(as played by
Jones) [Jones]
Photos of Led
Zeppelin II
Album Covers
and Vinyl

Def: failure to identify and produce


recording; FRE 401-02, 403, 1002,
& lack foundation, MIL #3, # 4,
failure to comply with FRCP
26(a)(2), (e) & (b)(4).

Def: failure to identify and produce


recording; FRE 401-02, 403, 1002,
& lack foundation, MIL #3, # 4,
failure to comply with FRCP
26(a)(2), (e) & (b)(4).

Defs: Defs MIL #2, # 3, # 5, # 6,


FRE 901, 401-02, 403, 404, 407,
408, 802, 805.
Defs: FRE 401-02.
Defs: FRE 401-02.
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404.
24

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 25 of 383 Page ID


#:6551
1

(Original)[Jones
]

2
3
4

204

5
6
7

205A

8
9
10
11

206A

12
13

207A

14
15
16

208A

17
18
19

209A

20
21
22

210A

23
24
25
26

211A

27

Photos of Lez
Zeppelin II
Album Covers
and Vinyl
(Remastered)
Spirits Fresh
Garbage
Performance
(Feb. 3,
1970)(7:58)
[AUDIO][Jones
]
Led Zeppelin
Playing Fresh
Garbage (2:51)
[AUDIO][Jones
][6A]
Dazed and
Confused (Led
Zeppelin)(1969)
[AUDIO][Jones
][1A]
Dazed and
Confused (Jake
Holmes)(1967)[
AUDIO][Jones]
[2A]
You Need Love
(Muddy
Waters)(1962)[
AUDIO][Jones]
[4A]
You Need
Loving (The
Small
Faces)(1966)[A
UDIO][Jones][5
A]
Babe I'm Gonna
Leave You
(Joan
Baez/Anne
Bredon)(1962)[
AUDIO][Jones]

Defs: Defs MIL # 5, FRE 407, 408,


401-02, 403, 404.

Defs: FRE 901, 401-02, 403; failure


to identify/provide expert testimony
as to claimed use, FRCP 26(a),
26(e), 37(c)(1).
Defs: FRE 901, 401-02, 403; failure
to identify/provide expert testimony
as to claimed use, FRCP 26(a),
26(e), 37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).

28
{00255828;1}

25

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 26 of 383 Page ID


#:6552
1
2

212A

Bring It On
Home (Sonny
Boy Williamson
II)[AUDIO][Jo
nes]

213A

Never (Moby
Grape)[AUDIO
][Jones]

214A

Hat's Off to Roy


Harper (Led
Zeppelin)[AUD
IO][Jones]

215A

Shake 'em on
Down (Bukka
White)[AUDIO
][Jones]

216A

Nobody's Fault
but Mine (Blind
Willie
Johnson)[AUDI
O][Jones]

217A

Bron-Y-Aur
Stomp (Led
Zeppelin)[AUD
IO][Jones]

218A

Waggoneer's
Lad (Bert
Jansch)(1966)[
AUDIO][Jones]

219A

Black
Waterside (Bert
Jansch)(1966)[
AUDIO][Jones]

220A

White
Summer/Black
Mountain Side
(LedZeppelin)(
1969)
[AUDIO][Jones
]

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
{00255828;1}

Defs: Defs MIL # 5, FRE 407, 408,


401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
26

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 27 of 383 Page ID


#:6553
1
2

221A

3
4
5

222A

6
7
8
9

223A

10
11
12
13
14

224A

15
16
17
18
19
20
21

225A

22
23
24
25
26

226A

27

Defs: Defs MIL # 5, FRE 407, 408,


Howlin Wolf
401-02, 403, 404; failure to
Killing Floor
identify/provide expert testimony as
(1964)[AUDIO]
to claimed use, FRCP 26(a), 26(e),
[Jones]
37(c)(1).
Traveling
Defs: Defs MIL # 5, FRE 407, 408,
Riverside Blues
401-02, 403, 404; failure to
(Robert
identify/provide expert testimony as
Johnson)(1937)
to claimed use, FRCP 26(a), 26(e),
[AUDIO][Jones
37(c)(1).
]
The Lemon
Defs: Defs MIL # 5, FRE 407, 408,
Song (Led
401-02, 403, 404; failure to
Zeppelin)(first
identify/provide expert testimony as
three
to claimed use, FRCP 26(a), 26(e),
seconds)(1969)[
37(c)(1).
AUDIO][Jones]
Jesus Make Up
My Dying Bed
(aka In My
Time of Dying)
Defs: Defs MIL # 5, FRE 407, 408,
(Blind Willie
401-02, 403, 404; failure to
Johnson) (1927)
identify/provide expert testimony as
| (misidentified
to claimed use, FRCP 26(a), 26(e),
as Jesus Gonna
37(c)(1).
Make Up My
Dying Bed)
[AUDIO][Jones
]
Jesus Gonna
Make Up My
Dying Bed
(Josh White)
Defs: Defs MIL # 5, FRE 407, 408,
(misidentified
401-02, 403, 404; failure to
as Jesus Make
identify/provide expert testimony as
Up My Dying
to claimed use, FRCP 26(a), 26(e),
Bed (aka In My
37(c)(1).
Time of
Dying))(1933)
[AUDIO][Jones
]
How Many
Defs: Defs MIL # 5, FRE 407, 408,
More Times
401-02, 403, 404; failure to
(Led
identify/provide expert testimony as
Zeppelin)(1969) to claimed use, FRCP 26(a), 26(e),
[AUDIO]
37(c)(1).

28
{00255828;1}

27

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 28 of 383 Page ID


#:6554
1
2
3

227A

No Place to Go
(aka How Many
More
Years)(Howlin
Wolf)(1959)[A
UDIO]

Defs: Defs MIL # 5, FRE 407, 408,


401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).

228A

Rosie (Alexis
Korner Blues
Inc.)(1967)
[AUDIO]

Defs: Defs MIL # 5, FRE 407, 408,


401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).

229A

Steal Away
(Alexis Korner
Blues Inc. &
Robert
Plant)(1968)[A
UDIO]

Defs: Defs MIL # 5, FRE 407, 408,


401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).

4
5
6
7
8
9
10
11
12

230A

13
14
15

231A

16
17
18

232A

19
20
21

233A

22
23
24
25

234A

26
27

235A

28
{00255828;1}

Defs: Defs MIL # 5, FRE 407, 408,


401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
Bring it on
401-02, 403, 404; failure to
Home (Led
identify/provide expert testimony as
Zeppelin)(1969)
to claimed use, FRCP 26(a), 26(e),
[AUDIO]
37(c)(1).
When the Levee Defs: Defs MIL # 5, FRE 407, 408,
Breaks Breaks 401-02, 403, 404; failure to
(Led
identify/provide expert testimony as
Zeppelin)(1971) to claimed use, FRCP 26(a), 26(e),
[AUDIO]
37(c)(1).
When the Levee
Breaks
Defs: Defs MIL # 5, FRE 407, 408,
(Memphis
401-02, 403, 404; failure to
Minnie &
identify/provide expert testimony as
Kansas Joe
to claimed use, FRCP 26(a), 26(e),
McCoy)(1929)[ 37(c)(1).
AUDIO]
Defs: Defs MIL # 5, FRE 407, 408,
Custard Pie
401-02, 403, 404; failure to
(Led
identify/provide expert testimony as
Zeppelin)(1975)
to claimed use, FRCP 26(a), 26(e),
[AUDIO]
37(c)(1).
Drop Down
Defs: Defs MIL # 5, FRE 407, 408,
Mama (Sleepy 401-02, 403, 404; failure to
John
identify/provide expert testimony as
Estes)(1935)[A to claimed use, FRCP 26(a), 26(e),
28
The Hunter
(Albert
King)(1967)
[AUDIO]

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 29 of 383 Page ID


#:6555
1

UDIO]

37(c)(1).

2
3
4

236A

Want Some of
Your Pie (Blind
Boy
Fuller)(1940)[A
UDIO]

237A

In My Time of
Dying Bed (Led
Zeppelin)(1975)
[AUDIO]

238A

Boogie with Stu


(Led
Zeppelin)(1975)
[AUDIO]

239A

Ooh, My Head
(Ritchie
Valens)(1957)[
AUDIO]

240A

Nobody's Fault
but Mine (Led
Zeppelin)(1976)
[AUDIO]

241A

White Summer
(Yardbirds)(196
9)[AUDIO]

5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22

242A

23
24
25

243A

26

She Moved
Thro the Fair
(Davy
Graham)(1963)[
AUDIO]
The Girl I Love
She Got Long
Black Wavy
Hair (Led
Zeppelin)(1969)
[AUDIO]

Defs: Defs MIL # 5, FRE 407, 408,


401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).

27
28
{00255828;1}

29

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 30 of 383 Page ID


#:6556
1
2
3

244A

4
5
6

245A

7
8
9

246A

10
11
12

247A

13
14
15

250

16
17
18

300

19
20
21

301
302

22
23

302A

24
25
26

303

27
28
{00255828;1}

The Girl I Love


She Got Long
Curly Hair
(Sleepy John
Estes)(1927)[A
UDIO]

Defs: Defs MIL # 5, FRE 407, 408,


401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).

Defs: Defs MIL # 5, FRE 407, 408,


401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Your Time is
Defs: Defs MIL # 5, FRE 407, 408,
Gonna Come
401-02, 403, 404; failure to
(Led
identify/provide expert testimony as
Zeppelin)(1969) to claimed use, FRCP 26(a), 26(e),
[AUDIO]
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
Dear Mr.
401-02, 403, 404; failure to
Fantasy
identify/provide expert testimony as
(Traffic)(1967)[
to claimed use, FRCP 26(a), 26(e),
AUDIO]
37(c)(1).
Defs: such a recording has never
Lyrics and
been produced to defendants, FRCP
Musical
26(a), 37(c)(1); Defs MIL # 5, FRE
Comparison of
407, 408, 401-02, 403, 404; failure
Prior Art and
to identify/ provide expert testimony
Led Zeppelin
as to claimed use, FRCP 26(a),
Songs
26(e), 37(c)(1).
Spirit Show
History
Defs: FRE 901, 602, 802, 805.
[Ferguson]
Spirit Gig
Listing
Defs: FRE 901, 602, 802, 805.
[Ferguson]
Spirit CD Topanga
(69)[Ferguson]
Spirit CD Topanga (69)
[AUDIO][Fergu
son]
Spirit CD Valley Music
Theatre
(12/31/1970)(Di
sc
One)[Ferguson]
Watch Your
Step (Bobby
Parker)(1961)[
AUDIO]

30

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 31 of 383 Page ID


#:6557
1
2
3

303A

4
5
6

304

7
8
9

304A

10
11
12
13

305

14
15

306

16
17
18

306A

19
20
21

307

22
23
24

307A

25
26
27

308

28
{00255828;1}

Spirit CD Valley Music


Theatre
(12/31/1970)(Di
scOne)[AUDIO
] [Ferguson]
Spirit CD Valley Music
Theatre
(12/31/1970)(Di
sc
Two)[Ferguson]
Spirit CD Valley Music
Theatre
(12/31/1970)(Di
scTwo)[AUDIO
] [Ferguson]
Poster
Northern
California Folk- Defs: FRE 901, 802, 401-02, 602.
Rock Festival
[Ferguson]
Spirit CD - The
Forum
(12/12/1970)[Fe
rguson]
Spirit CD - The
Forum
(12/12/1970)
[AUDIO]
[Ferguson]
Spirit CD Mammoth
Gardens
(6/5/1970)[Ferg
uson]
Spirit CD Mammoth
Gardens
(6/5/1970)[AU
DIO][Ferguson]
Spirit CD Cincinnati,
Ohio (Unknown
venue)(Late
1970)[Ferguson
]
31

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 32 of 383 Page ID


#:6558
1
2
3

308A

4
5
6

309

7
8
9

309A

10
11
12

310

13
14

310A

15
16
17

311

18
19
20
21

311A

22
23
24

312

25
26
27

312A

28
{00255828;1}

Spirit CD Cincinnati,
Ohio (Unknown
venue)(Late
1970)[AUDIO][
Ferguson]
Spirit CD Whisky A Go
Go
(11/1/1970)[Fer
guson]
Spirit CD Whisky A Go
Go
(11/1/1970)[AU
DIO][Ferguson]
Spirit CD Mammoth
Gardens
(2/1/1969)[Ferg
uson]
Spirit CD Mammoth
Gardens
(2/1/1969)[AU
DIO][Ferguson]
Spirit CD Civic Center
(Baltimore,
MD)(10/3/1969
) [Ferguson]
Spirit CD Civic Center
(Baltimore,
MD)
(10/3/1969)
[AUDIO][Fergu
son]
Spirit CD Center Arena
(Seattle,
WA)(5/22/1970
) [Ferguson]
Spirit CD Center Arena
(Seattle,
WA)(5/22/1970
)
32

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 33 of 383 Page ID


#:6559
1

[AUDIO][Fergu
son]

2
3
4

313

5
6
7
8

314

9
10
11
12

315

13
14

316

15
16
17

317

18
19
20

318

21
22

319

23
24
25

320

26
27

321

28
{00255828;1}

Rock Concert
is Real Groovy
Rocky
Mountain News
Music Critic
[Ferguson][D13
6]
Atlanta PopGreatest
Musical Fair
Ever The
Hurricane
(7/11/1969)[Fer
guson][D202]
Atlanta Pop
Festival
Announcement
[Ferguson][D12
5]
Seattle Pop
Festival Poster
[Ferguson][D13
6]
Sylvan Rock
Flows Smoothly
Seattle Post
Intelligencer
(7/29/1969)[Fer
guson][D117]
Seattle Pop
Festival Poster
[Ferguson]
Texas
International
Pop Festival
Poster and
News Articles
[Ferguson]
Spirit Poster for
(12/26/1967)[Fe
rguson]
Robert Plant
Crash Article
Melody Maker
(2/7/1970)

Defs: FRE 802.

Defs: FRE 802.

Defs: FRE 802.

Defs: FRE 802.

33

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 34 of 383 Page ID


#:6560
1

[Ferguson][D14
6]

2
3
4

322

5
6

323

7
8
9

324

10
11
12

325

13
14
15

326

16
17
18

327

19
20

328

21
22

329

23
24
25

330

26
27

331

28
{00255828;1}

Poster for Spirit


Concert w/
Mandrake
Hornsey Town
Hall [Ferguson]
Spirit Article Shindig!
(2009)[Ferguso
n]
And Shes
Buying a
Lawsuit to
Heaven Blog
Post [Ferguson]
Wikipedia
Article on How
Many More
Times
[Ferguson]
Wikipedia
Article on
White Summer
[Ferguson]
Spirit, Procol
Play Concerts
in LA Times
(4/17/1969)[Fer
guson]
News Articles
from Bruce
Pates
[Ferguson]
Seattle Pop
Festival Poster
[Ferguson]
Sounds Like
Teen Spirit by
Timothy
English
[Ferguson]
Skidmore
Emails to Jay
Ferguson
(8/28/2015)[Fer

Defs: FRE 901, 802, 401-02.

Defs: FRE 802, 401-02, 403.

Defs: MIL # 3, FRE 901, 802, 40102, 403,


Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: FRE 802, 401-02, 403, as to
Internet posting re lawsuit, claims,
Defs MIL # 2, # 3, 5.

Defs: FRE 802, 401-02, 403.

Defs: FRE 901, 802.

Defs: Defs MIL # 2, # 5, FRE 407,


408, 401-02, 403, 404, 802.

Defs: Defs MIL # 5, FRE 401-02,


403, 404, 802.
34

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 35 of 383 Page ID


#:6561
1
2
3

332

4
5

333

6
7

333A

8
9
10

334

11
12

334A

13
14
15

335

16
17
18

335A

19
20

336

21
22

336A

23
24

337

25
26

337A

27
28

338
{00255828;1}

guson]
Skidmore
Emails to Jay
Ferguson
(5/29/2015)[Fer
guson]
Spirit Demo
Cassette
[Ferguson]
Spirit Demo
Cassette
[AUDIO][Fergu
son]
Spirit Cassette Whiskey A Go
Go Show
[Ferguson]
Spirit Cassette Whiskey A Go
Go Show
[AUDIO][Fergu
son]
Spirit Cassettes
- Filmore West
and Boston
[Ferguson]
Spirit Cassettes
- Filmore West
and Boston
[AUDIO][Fergu
son]
Spirit Cassettes
Filmore West
[Ferguson]
Spirit Cassettes
Filmore West
[AUDIO][Fergu
son]
Cassette As
Long As I have
You [Ferguson]
Cassette As
Long As I have
You
[AUDIO][Fergu
son]
Time Circle

Defs: Defs MIL # 5, FRE 401-02,


403, 404, 802.
Defs: Defs MIL # 3, FRE 401-02,
403, 404, 1002, 802.
Defs: Defs MIL # 3, FRE 401-02,
403, 404, 1002, 802.
Defs: Defs MIL # 3, FRE 401-02,
403, 1002, 802.

Defs: Defs MIL # 3, FRE 401-02,


403, 1002, 802.

Defs: Defs MIL # 3, FRE 401-02,


403, 1002, 802.

Defs: Defs MIL # 3, FRE 401-02,


403, 1002, 802.
Defs: Defs MIL # 3, FRE 401-02,
403, 1002, 802.
Defs: Defs MIL # 3, FRE 401-02,
403, 1002, 802.
Defs: FRE 401-02, 403, 1002, 802.

Defs: FRE 401-02, 403, 1002, 802.


Defs: Defs MIL # 3, FRE 401-02,
35

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 36 of 383 Page ID


#:6562
1
2
3

338A

4
5

338.2

6
7

338.2A

8
9
10
11
12

339

340

13
14

341

15
16

342

17
18
19

343

20
21
22
23
24

343A

25
26
27

344

28
{00255828;1}

(Spirit)(Disc
1)[Ferguson]
Time Circle
(Spirit)(Disc 1)
[AUDIO][Fergu
son]
Time Circle
(Spirit)(Disc
2)[Ferguson]
Time Circle
(Spirit)(Disc 2)
[AUDIO][Fergu
son]
Time Circle
Notes
[Ferguson][D13
7]
All for One
Contract
[Ferguson]
Letter
Canceling All
For
OneContract
[Ferguson]
Subpoena to Jay
Ferguson
[Ferguson]
CD Jay
Ferguson
Interview with
Bruce Pates
Summerland,
CA (June 28,
2000)
[Transcript]
CD Jay
Ferguson
Interview with
Bruce Pates
Summerland,
CA (June 28,
2000)[AUDIO][
Ferguson]
[DVD] CD
Image 1st
Atlanta Pop

403, 1002.
Defs: Defs MIL # 3, FRE 401-02,
403, 1002, 802.
Defs: Defs MIL # 3, FRE 401-02,
403, 1002, 802.
Defs: Defs MIL # 3, FRE 401-02,
403, 1002, 802.

Defs: Defs. MIL # 3, FRE 802, 805.

Defs: FRE 401-02, 403.

Defs: FRE 401-02, 403.

Defs: FRE 602, 802, 401-02, 403.

Defs: FRE 401-02.

36

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 37 of 383 Page ID


#:6563
1
2
3
4

344V

5
6
7

345

8
9
10
11
12

346

13
14
15

347

16
17
18

348

19
20

349

21
22
23

349A

24
25

350

26
27

351

28
{00255828;1}

Festival
[Ferguson]
[DVD] CD
Image 1st
Atlanta Pop
Festival
[VIDEO][Fergu
son]
Pop Music
Festival With
Extras Brings
out the Youth NY Times
(7/7/1969)[Ferg
uson]
Texas
International
Pop Festival
Poster, Picture,
and News
Articles
[Ferguson]
Ode Records
Recording
Contract
(8/29/1967)
[Ferguson]
Taurus
Copyright
Registration
[Ferguson]
Dave
Waterbury
Phone
Call[Transcript]
[Plant][402]
Dave
Waterbury
Phone Call
[AUDIO]
[Plant][402A]
Posters and
Concert Tickets
[Andes]
Subpoena for
Mark Andes
[Andes]

Defs: FRE 901, 802, 401-02, 403.

Defs: FRE 1002.

Defs: Defs MIL # 1, 11, FRE 802.

Defs: Defs MIL # 1, 11, FRE 802.

Defs: as to 350-4 to 350-14, FRE


802, 901, 401-02, 403.

37

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 38 of 383 Page ID


#:6564
1
2
3

352

4
5
6

353

7
8

360

9
10
11

361

12
13
14

362

15
16

363

Bruce Pates
Document for
Spirit Setlist
from
(2/1/1969)[And
es]
Stairway to
Heaven: Song
Remains Pretty
Similar by
Vernon Silver
[Andes]
Subpoena Bruce
Pates [Pates]
Letter to Ed
Cassidy and
Notice from
Hollenbeck
(6/30/1971)[Pat
es]
Songwriter
Contract
(8/29/1967)[Pat
es]
Vintage Guitar
Magazine
[Pates]

17
18
19

364

Cds and List of


Songs

20
21
22
23

365

24
25
26

366

27

Email on Texas
Intl. Pop
Festival Files
from Francis to
Peter [Pates]
Goldmine
Magazine with
Randy
Interview
[Pates]

Defs: Defs MIL # 2, # 5, FRE 407,


408, 401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).

Defs: FRE 401-02.

Defs: this is Cassidys songwriter


contract, which is not relevant; FRE
401-02, 403, 404.
Defs: FRE 401-02.
Defs: as to 1st CD, Defs MIL # 3,
FRE 401-02, 403, 802, 901; as to 5th
CD, FRE 401-02, 403, 802, 901,
1002; as to 6th CD, Defs MIL # 2, #
5, FRE 407, 408, 401-02, 403, 404;
failure to identify/provide expert
testimony as to claimed use, FRCP
26(a), 26(e), 37(c)(1); as to 7th CD,
FRE 802, 901.
Defs: FRE 401-02; to the extent
plaintiff means to refer to the audio
files transferred, see objections to
Exh. 364.
Defs: FRE 802, 901, 401-02, 403,
404.

28
{00255828;1}

38

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 39 of 383 Page ID


#:6565
1
2

367

3
4
5

367A

6
7
8
9

368

10
11
12

368A

13
14

369

15
16
17
18

369A

19
20

370

21
22

371

23
24

372

25
26
27

373

28
{00255828;1}

Spirit CD
Civic Center
Santa Monica,
CA (9-291967)[Pates]
Spirit CD
Civic Center
Santa Monica,
CA (9-29-1967)
[AUDIO][Pates
]
Led Zeppelin
CD Whisky A
Go
(1/5/1969)[Pate
s]
Led Zeppelin
CD Whisky A
Go
(1/5/1969)[AU
DIO][Pates]
Spirit CD
Live at the
Troubadour
(12-61975)[Pates]
Spirit CD
Live at the
Troubadour
(12-61975)[AUDIO][
Pates]
Quinn Message
to Bruce Pates
[Pates]
Quinn Message
to Pates on (430-2002)[Pates]
Quinn Message
to Bruce Pates
on Yahoo
Groups [Pates]
Spirit Album
[Pates]

Defs: as to 1st CD, Defs MIL # 3,


FRE 401-02, 403, 404, 802, 901,
1002.

Defs: Defs MIL # 3, FRE 401-02,


403, 404, 802, 901, 1002.

Defs: FRE 401-02.

Defs: FRE 401-02.

Defs: Defs MIL # 3, FRE 401-02,


403, 802, 901, 1002.

Defs: Defs MIL # 3, FRE 401-02,


403, 802, 901, 1002.

Defs: FRE 401-02.


Defs: FRE 401-02.

Defs: FRE 401-02.


Defs: this deposition exhibit is a
photocopy of the back of the album;
to the extent plaintiff intends to refer
to the audio recordings on the
album, Defs MIL # 3, FRE 401-02,
39

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 40 of 383 Page ID


#:6566
1
2
3

374

Bruce Pates
Post on Yahoo
Group [Pates]

375

Bruce Pates
Comment on
TeamRock
[Pates]

376

Bruce
Comments on
Article (12-122015)[Pates]

4
5
6
7
8
9
10
11

377

12
13
14
15

378
379

16
17

380

18
19
20

381
382

21
22

383

23
24
25

Defs: FRE 401-02, 403, 802.


Defs: FRE 401-02, 403, 802.
Defs: FRE 401-02, 403, 802.

Defs: FRE 401-02, 403, 802.

Defs: FRE 401-02, 403, 802.


Defs: FRE 401-02, 403, 802.

Defs: FRE 401-02, 403, 802.


Defs: Defs MIL #2, # 5, FRE 407,
408, 401-02, 403, 404, 802; failure
to identify/provide expert testimony
as to claimed use, FRCP 26(a),
26(e), 37(c)(1).

384

Led Zeppelin
Collectors
Edition [Pates]

385

Marshall Berle
and Bruce Pates Defs: FRE 401-02, 403, 802, 602.
Exchange (May

26
27

Note from
Randy to Bruce
[Pates]
Postcard Note
from Randy to
Bruce [Pates]
Postcard Note
from Randy to
Bruce [Pates]
Note to Bruce
from Bernice
Pearl
(1991)[Pates]
Bernice and the
Guys Note to
Bruce [Pates]
Note from
Bernice to
Bruce [Pates]
Note from
Bernice to
Bruce
(1991)[Pates]

403, 1002.
Defs: FRE 401-02, 802, 602, Defs
MIL # 5, FRE 407, 408, 401-02,
403, 404; failure to identify/provide
expert testimony as to claimed use,
FRCP 26(a), 26(e), 37(c)(1).
Defs: FRE 401-02, 802, 602, Defs
MIL # 5, FRE 407, 408, 401-02,
403, 404; failure to identify/provide
expert testimony as to claimed use,
FRCP 26(a), 26(e), 37(c)(1).
Defs: FRE 401-02, 802, 602, Defs
MIL # 5, FRE 407, 408, 401-02,
403, 404; failure to identify/provide
expert testimony as to claimed use,
FRCP 26(a), 26(e), 37(c)(1).

28
{00255828;1}

40

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 41 of 383 Page ID


#:6567
1

2014)[Pates]

2
386

Email Chain
Between Jay
and Bruce
Pates, 6/16/15

Defs: Defs MIL # 5, FRE 407, 408,


401-02, 403, 404, 802; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).

387

Ferguson and
Pates Email
(June
2015)[Pates]

Defs: Defs MIL # 2, # 5, FRE 40102, 403, 404, 408, 802.

3
4
5
6
7
8
9

388

10
11
12

389

13
14

390

15
16

391

17
18
19

392

20
21
22

393

23

394

24
25

395

26
27

400

28
{00255828;1}

Defs: Defs MIL # 5, FRE 407, 408,


Wikipedia LZ
401-02, 403, 404, 802; failure to
North American
identify/provide expert testimony as
Tour (68to claimed use, FRCP 26(a), 26(e),
69)[Pates]
37(c)(1).
Yahoo Group Defs: Defs MIL # 5, FRE 407, 408,
Message
401-02, 403, 404, 802; failure to
Between Dave identify/provide expert testimony as
and Bruce
to claimed use, FRCP 26(a), 26(e),
[Pates]
37(c)(1).
Spirit Poster
Defs: FRE 401-02.
[Pates]
Defs: Defs MIL #1, # 5, FRE 407,
Jay and Bruce 408, 401-02, 403, 404, 802; failure
Email from (9- to identify/provide expert testimony
14-2014)[Pates] as to claimed use, FRCP 26(a),
26(e), 37(c)(1).
Transcript of
Phone Call
between Francis
Malofiy
andTracy
Longo [Plant]
[403]
Photograph of
Guitar Case
Photograph of
Guitar
The Last Randy
California
Guitar
Stairway to
Heaven Sheet
Music
(Superhype
Music |
41

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 42 of 383 Page ID


#:6568
1

1972)[Plant]

2
3
4

401-02

5
6
7

402

8
9
10

402A

11
12
13

403

14
15
16

403A

17
18
19

404

20
21
22

404A

23
24
25
26

404T

27

School of Rock
Magazine Led
Zeppelin
Edition
Bonham Article
[Plant]
Dave
Waterbury
Phone Call
Transcript
[Plant
Dave
Waterbury
Phone Call
Transcript
[AUDIO][Plant
]
Tracy Longo
Phone Call
Transcript
[Plant]
Tracy Longo
Phone Call
Transcript
[AUDIO][Plant
]
2004 Robert
Plant Interview
on NPR with
Terry Gross
(22:10 to
25:46)[Plant]
2004 Robert
Plant Interview
on NPR with
Terry Gross
(22:10 to
25:46)[Plant]
Transcript of
2004 Robert
Plant Interview
on NPR with
Terry Gross

Defs: Defs MIL # 2, FRE 901, 802,


805.

Defs: Defs MIL # 1, 11, FRE 802;


duplicative exhibit.

Defs: Defs MIL # 1, 11, FRE 802;


duplicative exhibit.

Defs: Defs MIL # 1, 11, FRE 802.

Defs: Defs MIL # 1, 11, FRE 802.

Defs: Defs MIL # 2, #5, FRE 40102, 403, 404, 407, 408, 1002, 802.

Defs: audio recordings not produced


by plaintiff despite agreement to do
so; 26(a), 26(e), 37(c)(1); MIL # 5,
FRE 407, 408, 401-02, 403, 404.

28
{00255828;1}

42

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 43 of 383 Page ID


#:6569
1
2

405A

Dazed and
Confused (Led
Zeppelin)(Clip)
[AUDIO][Plant
]

406A

Dazed and
Confused (Jake
Holmes)(Clip)[
AUDIO][Plant]

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

Babe Im
Gonna Leave
You (Led
407A
Zeppelin)(1969)
(Clip)[AUDIO]
[Plant]
Babe Im
Gonna Leave
You (Joan
408A
Baez/Anne
Bredon)(1962)(
Clip)[AUDIO][
Plant]
Whole Lotta
Love (Led
409A.
Zeppelin)(Clip
A
A)[AUDIO][Pla
nt]
Whole Lotta
Love (Led
409A.B Zeppelin)(Clip
B)[AUDIO][Pla
nt]
Whole Lotta
Love (Led
409A.C Zeppelin)(Clip
C)[AUDIO][Pla
nt]
You Need Love
(Willie
410A
Dixon/Muddy
Waters)(Clip)[
AUDIO][Plant]
You Need
Lovin (The
411A
Small
Faces)(Clip)[A
UDIO][Plant]
{00255828;1}

Defs: Defs MIL # 5, FRE 407, 408,


401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).

Defs: Defs MIL # 5, FRE 407, 408,


401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
43

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 44 of 383 Page ID


#:6570
1
2
3

412A

4
5
6

413A

7
8
9

414A

10
11
12
13

415A

14
15
16
17
18
19

450

20
21
22
23
24

451

25
26
27

452

28
{00255828;1}

Communication
s Breakdown
(Led
Zeppelin)(1969)
(Clip)[AUDIO]
[Plant]
Nervous
Breakdown
(Eddie
Cochran)(1958)
(Clip)[AUDIO]
[Plant]
Since Ive Been
Loving You
(Led
Zeppelin)(Clip)
[AUDIO][Plant
]
Never (Moby
Grape)(Clip)[A
UDIO][Plant

Defs: Defs MIL # 5, FRE 407, 408,


401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404; failure to
identify/provide expert testimony as
to claimed use, FRCP 26(a), 26(e),
37(c)(1).

Stipulation to
Order and
Order for
Substituted
Judgment to
Create and
Fund Revocable
Living Trust
and Execute a
Pour-Over Will
(Probate Code
Sec. 2
580(b)(5)) and
(13))
[Skidmore]
Randy Craig
Wolfe Trust
[Skidmore]
First
Amendment to
Randy Craig
Wolfe Trust
(February 26,
44

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 45 of 383 Page ID


#:6571
1

2002)[Skidmore
]

2
3
4

453

5
6
7
8
9

454

10
11
12
13

455

14
15
16
17

456

18
19
20

457

21
22

458

23
24

459

25
26

460

27
28

461
{00255828;1}

Second
Amendment to
Randy Craig
Wolfe Trust
(February
26,2002)
[Skidmore]
Third
Amendment to
Randy Craig
Wolfe Trust
(February 26,
2002
[Skidmore]
Fourth
Amendment to
Randy Craig
Wolfe Trust
(February 26,
2002)[Skidmore
]
Fifth
Amendment to
Randy Craig
Wolfe Trust
(February 26,
2002)[Skidmore
]
Certification of
Trust Existence
and Authority
[Skidmore]
Royalty
Statement
[Skidmore]
Royalty
Statement
[Skidmore]
Royalty
Statement
[Skidmore]
Alice Cooper
Interview
[Skidmore]

Defs: FRE 401-02.


Defs: FRE 401-02.
Defs: FRE 401-02.
Defs: FRE 401-02, 802.
45

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 46 of 383 Page ID


#:6572
1
2
3

462

4
5
6
7

463

8
9
10
11
12

464

13
14
15
16

465

17
18
19

466

20
21
22
23

467

24
25
26

468

27
28

469
{00255828;1}

The Rock and


Roll Hall of
Fame and
Museum, The
Jimi Hendrix
Experience
Biography
[Skidmore]
'The Doctor of
Rock and Roll,'
an Interview
with Al Kooper
[Skidmore]
Rock'n'roll
Confidential,
Walter Becker,
One Half of the
Steely Dan
Superbrain
Talks Dylan,
Psychology and
The Blues
[Skidmore]
Obituary:
Randy
California
[Skidmore]
Randy
California on
Hendrix and
Jimmy James &
The Blue
Flames
[Skidmore]
Jimmy James &
The Blue
Flames, 1.
Bright Lites,
Big City; 2. I'm
a Man ..
[Skidmore]
Email (Monday,
November 10,
2008 6:54:51
PM)[Skidmore]
Skidmore

Defs: FRE 401-02, 802.

Defs: FRE 401-02, 802.

Defs: FRE 401-02, 802.

Defs: FRE 401-02, 802.

Defs: FRE 401-02, 802.

Defs: FRE 401-02.

Defs: Defs MIL # 3, FRE 401-02,


403, 802, 602.
Defs: Defs MIL # 3, FRE 401-02,
46

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 47 of 383 Page ID


#:6573
1

Supplemental
Document
Production
[Skidmore]

2
3
4
5

470

6
7
8

475

9
10
11

480

12
13

Light and
Shade, by Brad
Tolinksi (book)

482V

Origin of
Species Led
Zeppelin: A
Critical Review
of the Bands
Roots and
Branches
(DVD)

483V

Led Zeppelin:
The Untold
Story (DVD)

484V

Led Zeppelin
1969 (DVD)

15

17
18
19
20
21
22
23
24
25

485V

26
27

Subpoena to
Testify at a
Deposition in a
Civil Action
[Ruhlmann]
Barney
Hoskyns, Led
Zeppelin IV
(2006) (book)

481

14

16

Skidmore
Supplemental
Document
Production
[Skidmore]

486V

28
{00255828;1}

Led Zeppelin
Reunion
Collection
(DVD)
Rock n Roll
(Season: 1 |
Episode 5:
Crossroads

403, 802, 602.

Defs: Defs MIL # 8; FRE 802; Defs


MIL #1, # 5, FRE 407, 408, 401-02,
403, 404, 802; failure to identify/
provide expert testimony as to
claimed use, FRCP 26(a), 26(e),
37(c)(1).

Def: MIL # 2, #5; failure to identify


portion to be offered; FRE 401-02,
403, 404, 405, 407, 408, 702, 802,
805, 901.
Def: MIL # 2, #5; failure to identify
portion to be offered; FRE 401-02,
403, 404, 405, 407, 408, 702, 802,
805, 901.
Def: MIL # 2, #5; failure to identify
portion to be offered; FRE 401-02,
403, 404, 405, 407, 408, 702, 802,
805, 901.
Def: MIL # 2, #5; failure to identify
portion to be offered; FRE 401-02,
403, 404, 405, 407, 408, 702, 802,
805, 901.
Def: such a DVD has never been
produced to defendants; FRCP
26(a)(1), (e) & 37(c); FRE 401-02,
403, 1002, & MIL # 4, # 5.
Def: MIL # 2, #5; failure to identify
portion to be offered; FRE 401-02,
403, 404, 405, 407, 408, 702, 802,
805, 901.
Def: such an exhibit has never been
produced to defendants; FRCP
26(a)(1), (e) & 37(c); FRE 401-02,
403, 1002, & MIL # 4, # 5.
47

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 48 of 383 Page ID


#:6574
1
2
3
4

487

5
6

488A

7
8
9

489

10
11
12

490

13
14
15
16

491

17
18

492V

19
493

Led Zeppelin:
The Concert
File by Dave
Lewis and
Simon Pallett

494

Led Zeppelin
on Led
Zeppelin by
Hank
Borodowitz

495

Led Zeppelin:
When Giants
Walked the
Earth by Mick

20
21
22
23
24
25
26
27

(WGBH in
Boston in
Partnership with
the BBC)
Jimmy Page by
Jimmy Page
(Book)
Led Zeppelin 4 cassette box
set and book
(1990 Atlantic
Recording)
The Little Black
Songbook: Led
Zeppelin (2009
Wise
Publications)
The
Encyclopeida of
Picture Chords
for All
Guitarists
(Book)
The Ultimate
Collectors
Edition Led
Zeppelin: The
Complete Story
(magazine)
Led Zeppelin
(DVD)

28
{00255828;1}

Def: MIL # 2, #5; failure to identify


portion to be offered; FRE 401-02,
403, 404, 405, 407, 408, 702, 802,
805, 901.
Def: MIL # 2, #5; failure to identify
portion to be offered; FRE 401-02,
403, 404, 405, 407, 408, 702, 802,
805, 901.
Def: such an exhibit has never been
produced to defendants; FRCP
26(a)(1), (e) & 37(c); FRE 401-02,
403, 1002, & MIL # 4, # 5.
Def: MIL # 2, #5; failure to identify
portion to be offered; FRE 401-02,
403, 404, 405, 407, 408, 702, 802,
805, 901.

Def: such an exhibit has never been


produced to defendants; FRCP
26(a)(1), (e) & 37(c); MIL # 2, #5;
failure to identify portion to be
offered; FRE 401-02, 403, 404, 405,
407, 408, 702, 802, 805, 901.
Def: such an exhibit has never been
produced to defendants; FRCP
26(a)(1), (e) & 37(c); MIL # 2, #5;
failure to identify portion to be
offered; FRE 401-02, 403, 404, 405,
407, 408, 702, 802, 805, 901.
Def: MIL # 2, #5; failure to identify
portion to be offered; FRE 401-02,
403, 404, 405, 407, 408, 702, 802,
805, 901.
48

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 49 of 383 Page ID


#:6575
1

Mall

2
3
4

500

5
6

501

7
8

502

9
10
11

503

12
13
14

504

15
16

505

17
18
19

506

20
21
22

507

23
24

508

25
26
27

509

28
{00255828;1}

Chromatic Line
[Stewart
Exhibit]
Other Art
Chromatic Line
Comparison
[Stewart
Exhibit]
Harmony
[Stewart
Exhibit]
Ferrara
Harmony
Comparison
[Stewart
Exhibit]
Mathes Taurus
Deposit Copy
[Stewart
Exhibit][2603.B
]
A Section
Taurus and
STH [Stewart
Exhibit]
Taurus and
STH Note
Pairings
[Stewart
Exhibit]
Mathes
[2603][2603.B][
2603.C][2605]
[Stewart
Exhibit]
Ferrara
[2704][2705][2
707] [Stewart
Exhibit]
Taurus and
STH Pitch
Collections
(Graphed)
[Stewart
49

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 50 of 383 Page ID


#:6576
1

Exhibit]

2
3
4

510

5
6
7

511

8
9
10

512

11
12
13

513

14
15
16

514

17
18

514V

19
20
21

514VV

22
23

515

24
25
26

516

27
28

517
{00255828;1}

Taurus and
STH Pitch
Collections
(Written)
[Stewart
Exhibit]
Taurus and
STH Pitch
Inventory
(Quantative)
[Stewart
Exhibit]
Taurus and
STH Form
[Stewart
Exhibit]
T Deposit Copy
and STH Vocal
Melody
[Stewart
Exhibit]
Waynes World
Film
Information
[Stewart
Exhibit]
Wayne's World
World Stairway
Clip (with
Overdub)
Wayne's World
World Stairway
Clip (without
Overdub)
Phrase
(Harvard
Dictionary of
Music) [Stewart
Exhibit]
Stewart To
Catch a Shad
Interlude
Transcription
Defense
Plt: FRE 401-402; Failure to
Rebuttal Expert Disclose
50

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 51 of 383 Page ID


#:6577
1
2

518

3
4

518.1A

5
6

519

7
8

519.1A

9
10

519.2A

Disclosure
Rebuttal Report
of Lawrence
Ferrara
To Catch a
Shad, Ferrara
Audio Exhibit 3
Rebuttal Report
of Robert
Mathes
Prelude for
Lute in C
Minor, BWV
999_ I. Prelude
Can't Find My
Way Home

11

519.3A

Walk on By

12

519.4A

4 + 20

13
14

519.5A

15
16

519.6A

17
18

519.7A

19

519.8A

20

519.9A

21

519.10
A
519.11
A
519.12
A
519.13
A
519.14
A
519.15
A
519.16

22
23
24
25
26
27
28

{00255828;1}

Davy Graham Cry Me A River


- 1959 BBC audio
Davy Graham Cry Me A River
- 1959 BBCvideo
Misirlou (Single
Version) mp3
Mellow Yellow
Season of the
Witch
Sunshine
Superman
There's a Kind
of Hush
River Deep
Mountain High
Time In a Bottle
Winter Is Gone
Song to a
Seagull
A House Is Not

Plt: FRE 401-402; Failure to


Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
51

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 52 of 383 Page ID


#:6578
1

2
3
4

519.17
A

5
6

519.18
A

7
8
9
10
11

519.19
A
519.20
A

12
13
14

519.21
A

15
16
17
18
19
20

519.22
A
519.23
A

21
22
23

519.24
A

24
25
26
27
28

519.25
A
519.26
A
{00255828;1}

a Motel (2015
Remastered
Version)
Alone Again Or
(2015
Remastered
Version)
Andmoreagain
(2015
Remastered
Version)
Bummer In the
Summer (2015
Remastered
Version)
Live and Let
Live (2015
Remastered
Version)
Maybe the
People Would
Be the Times
Or Between
Clark and
Hilldale (2015
Remastered
Version)
Old Man (2015
Remastered
Version)
The Daily
Planet (2015
Remastered
Version)
The Good
Humor Man He
Sees Everything
Like This (2015
Remastered
Version)
The Red
Telephone
(2015
Remastered
Version)
You Set the
Scene (2015

Disclose

Plt: FRE 401-402; Failure to


Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose

Plt: FRE 401-402; Failure to


Disclose

Plt: FRE 401-402; Failure to


Disclose
Plt: FRE 401-402; Failure to
Disclose

Plt: FRE 401-402; Failure to


Disclose

Plt: FRE 401-402; Failure to


Disclose
Plt: FRE 401-402; Failure to
Disclose
52

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 53 of 383 Page ID


#:6579
1
2
3
4
5
6
7
8
9
10
11
12
13

519.27
A
519.28
A
519.29
A
519.30
A
519.31
A
519.32
A
519.33
A
519.34
A
519.35
A

14
15
16
17
18
19
20
21
22
23
24
25
26
27
28

519.36
A
519.37
A
519.38
A
519.39
A
519.40
A
519.41
A
519.42
A
519.43
A
519.44
A
519.45
A
519.46
A
{00255828;1}

Remastered
Version)
Here Comes the
Night
To Sir With
Love mp3
Scarborough
Fair
The Trees They
Do Grow High
Downtown
Scarborough
Fair _
Canticle___
The Sounds of
Silence
Caroline, No
mp3
Don't Talk (Put
Your Head On
My Shoulder)
mp3
God Only
Knows mp3
Here Today
mp3
I Just Wasn't
Made for These
Times mp3
I Know There's
an Answer mp3
I'm Waiting for
the Day mp3
Let's Go Away
for Awhile mp3
Pet Sounds
mp3
Sloop John B
mp3
That's Not Me
mp3
Wouldn't It Be
Nice mp3
You Still
Believe In Me
mp3

Plt: FRE 401-402; Failure to


Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
53

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 54 of 383 Page ID


#:6580
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24

519.47
A
519.48
A
519.49
A
519.50
A
519.51
A
519.52
A
519.53
A
519.54
A
519.55
A
519.56
A
519.57
A
519.58
A
519.59
A
519.60
A
519.61
A
519.62
A
519.63
A
519.64
A
519.65
A
520

25
26

521

27
28

522
{00255828;1}

A Day in the
Life
Blackbird
Fixing a Hole
The Fool on
the Hill
In My Life
Mother
Nature's Son
Walk Away
Renee
California
Dreamin'
Monday,
Monday
Sometime in
the Morning
The Girl I
Knew
Somewhere

Plt: FRE 401-402; Failure to


Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose
Plt: FRE 401-402; Failure to
Disclose

Plt: FRE 401-402; Failure to


Disclose
Plt: FRE 401-402; Failure to
Play With Fire
Disclose
Plt: FRE 401-402; Failure to
Ruby Tuesday
Disclose
She's a
Plt: FRE 401-402; Failure to
Rainbow
Disclose
Plt: FRE 401-402; Failure to
Wipe Out mp3
Disclose
Plt: FRE 401-402; Failure to
Still I'm Sad
Disclose
Plt: FRE 401-402; Failure to
White Summer
Disclose
Plt: FRE 401-402; Failure to
It's Not Unusual
Disclose
Spirit Album
Liner Notes
Royalty
Statements for
Randy Wolfe
Billboard
Magazine
(1968.09.28)
Lady Jane

54

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 55 of 383 Page ID


#:6581
1
2

523

3
4
5

524V
525V

6
7
8

527V

9
10
11
12

529V
530V

13
14

532V

15
16

534V

17
18
19

535
536

20
21
22

537

23
24

538

25
26
27

538.1A

28

538.2A
{00255828;1}

Top Pop
Albums 19551992 - Joel
Whitburn
STH [Plaintiff
Video Exhibit]
TAURUS
DEPOSIT
[Plaintiff Video
Exhibit]
T DEPOSIT
(Bass Clef)
[Plaintiff Video
Exhibit]
STH
PAIRS[Plaintiff
Video Exhibit]
T PAIRS
[Plaintiff Video
Exhibit]
TAURUS
ALBUM
[Plaintiff Video
Exhibit]
TAURUS
(Treble Clef)
[Plaintiff Video
Exhibit]
Andes and Plant
Photo
Spirit and Led
Zeppelin Poster
- Illinois
Speedway
Randy
California
Pictures
1968.12.30 Led Zeppelin
Gonazage
University
Concert,
Spokane
Washington
The Train Kept
A Rollin
I Can't Quit
55

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 56 of 383 Page ID


#:6582
1
2

538.3A

3
4
5
6
7
8
9

538.4A
538.5A
538.6A
538.7A
539
540.1A

10
11

540.2A

12
13

540.3A

14
15
16

540.4A

17
18

540.5A

19
20

540.6A

21
22
23
24

540.7A
540.8A

25
26

540.9A

27
28

540.10
{00255828;1}

You
As Long As I
Have You w
Fresh Garbage
Dazed and
Confused
White Summer
How Many
More Times
Pat's Delight
1996 Randy
Wolfe Interview
Ferrara Audio
Exhibit 1 Taurus
Ferrara Audio
Exhibit 2 Stairway to
Heaven
Ferrara Audio
Exhibit 3 - The
Meaning of the
Blues
Ferrara Audio
Exhibit 4 Chim Chim
Cher-ee
Ferrara Audio
Exhibit 5 - How
Insensitive
Ferrara Audio
Exhibit 6 Walking My
Baby Back
Home
Ferrara Audio
Exhibit 7 More
Ferrara Audio
Exhibit 8 Spring is Near
Ferrara Audio
Exhibit 9 - My
Funny
Valentine
Ferrara Audio
56

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 57 of 383 Page ID


#:6583
1
2
3
4
5
6
7
8
9
10
11
12

A
540.11
A
540.12
A
540.13
A
540.14
A
540.15
A
540.16
A

13
14
15
16
17

540.17
A

604

18
19

605

20
21

606

22
23

606

24
25
26

606.76

27
28
{00255828;1}

Exhibit 10 - A
Taste of Honey
Ferrara Audio
Exhibit 11 - Cry
Me a River
Ferrara Audio
Exhibit 12 Michelle
Ferrara Audio
Exhibit 13 Music to Watch
Girls By
Ferrara Audio
Exhibit 14 Summer Rain
Ferrara Audio
Exhibit 15 - Ice
Cream Dreams
Ferrara Audio
Exhibit 16 Thoughts
Ferrara Audio
Exhibit 17 And She's
Lonely
Led Zeppelin
IV (Standard
Re-Issue)
[D604]
Led Zeppelin
IV (Deluxe 2LP Set) [D605]
Led Zeppelin
IV (Super
Deluxe Edition
Box Set)[Page]
Led Zeppelin
IV (Super
Deluxe Edition
Box
Set)(CD)[Page]
Led Zeppelin
IV (Super
Deluxe Edition
Box Set)(Book;
p.76)[Page][D6
06]
57

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 58 of 383 Page ID


#:6584
1
2
3

606.1

4
5
6

606.4

7
8
9

606.5

10
11
12
13

606.9

14
15
16
17
18

642

19
20
21
22
23
24

655

25
26
27

697

28
{00255828;1}

Led Zeppelin
IV (Super
Deluxe Edition
Box Set)(Book;
p.10)[Page][D6
06]
Led Zeppelin
IV (Super
Deluxe Edition
Box Set)(Book;
p.4)[Page][D60
6]
Led Zeppelin
IV (Super
Deluxe Edition
Box Set)(Book;
p.5)[Page][D60
6]
Led Zeppelin
IV (Super
Deluxe Edition
Box Set)(Book;
p.9)[Page][D60
6]
WB Music
Corp. c/o
Warner/Chappe
ll
Music, Inc.
Administration
Agreement
(1/1/08)
[Blietz450]
[Woirhaye450][
D642]
Summary of
"Stairway to
Heaven" US
Mechanical
Royalties (3Q11
3Q15)[Blietz45
7][D655]
Summary of
"Stairway to
Heaven"
58

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 59 of 383 Page ID


#:6585
1
2
3
4
5
6
7

698

8
9
10
11

699

12
13
14
15

700

16
17
18

701

19
20
21
22

1165

23
24
25
26

1493

27
28

2067
{00255828;1}

ASCAP US
Publishing
Receipts (3Q11
3Q15)[Blietz46
0][D697]
Summary of
"Stairway to
Heaven" US
Synchronization
Licenses (May
31, 2011
Present)[Blietz4
62] [D698]
Summary of
"Stairway to
Heaven"
Miscellaneous
US Publishing
Receipts (3Q11
3Q15)[Blietz45
9][D699]
Backup
Documentation
[Blietz461][D7
00]
WB Music
Corp. Summary
Statement (July
to September
2011)[Blietz466
][D701]
WB Music
Corp. Summary
Statement
(January to
March
2012)[Blietz463
][D1165]
WB Music
Corp. Summary
Statement
(April to June
2012)[Blietz464
][D1493]
WB Music
59

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 60 of 383 Page ID


#:6586
1
2
3
4
5
6

3471

7
8
9

3633

10
11
12
13

4123

14
15
16
17

4547

18
19
20
21

5053

22
23
24
25

28165

26
27
28

35850
{00255828;1}

Corp. Summary
Statement
(January to
March
2013)[Blietz465
][D2067]
WB Music
Corp. Summary
Statement
(April to June
2014)[Blietz467
][D3471]
WB Music
Corp. Summary
Statement (July
to September
2014)[Blietz468
][D3633]
WB Music
Corp. Summary
Statement
(January to
March
2015)[Blietz469
] [D4123]
WB Music
Corp. Summary
Statement
(April to June
2015)[Blietz470
][D4547]
Royalty
Summary
Statement Led
Zeppelin
(early/latter)[W
oirhaye472][D5
053]
Royalty
Summary
Statement
(April 2011 June
2011)[Woirhay
e473][D28165]
Rhino
Entertainment
60

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 61 of 383 Page ID


#:6587
1
2
3
4
5
6
7
8
9

35852

10
11
12
13
14
15
16

35853

17
18
19
20
21
22

35854

23
24
25
26
27

40419

28
{00255828;1}

Company and
Superhype
Tapes, Ltd.
Profit
Participation
Statement
(Quarter Ending
December
2012) [Blietz
452] [D35850]
Schedule A,
Led Zeppelin
Catalog,
Domestic
Physical Sales
(Quarter Ending
December
20120
[Blietz453]
[D35852]
Schedule B,
Led Zeppelin
Catalog,
Domestic
Digital Sales Album (Quarter
Ending
December
2012)
[Blietz454]
[353853]
Schedule C,
Led Zeppelin
Catalog,
Domestci
Digital Sales Tracks (Quarter
Ending
December
2012)
[Blietz455]
[D35854]
Rhino/Atlantic
US P&L
"Stairway to
Heaven"
95/31/11 10/30/15)
61

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 62 of 383 Page ID


#:6588
1
2
3
4
5
6
7
8
9
10

[Blietz451]
[Woirhaye471]
[D40419]
Defendants
40,421Supplemental
40,450
Discovery
Production
Defendants
40,
Supplemental
451-55
Financial
Summaries
PLAINTIFFS
DISCOVERY
Spirit Taurus
3 Versions
750A
01 Track 01

11
12
13

02 Track 02

Defs: Defs MIL # 3, #4, FRE 40102, 403, 1002, 802.

752A

03 Track 03

Defs: Defs MIL # 3, #4, FRE 40102, 403, 1002, 802.

Spirit Randy
Speaks The
Change
Poughkeepsie
NY
05.29.1987

15
16
17
18

753A

19

754A

20

22
755A
756A

25
26

Defs: Defs MIL # 1, FRE 802, 40102, 403, 710.


Defs: Defs MIL # 1, FRE 802, 40102, 403, 710.

01 Track 01
02 Track 02
Spirit
Hornsey Town
Hall N.
London UK
02.03.1970

21

24

Defs: Defs MIL # 3, #4, FRE 40102, 403, 1002, 802.

751A

14

23

Defs: failure to specify discrete


exhibits to which objections may be
stated, referring instead to a
supplemental production.

757A

01 Track 01
02 Track 02
03 Track 03

27

758A

04 Track 04

28

759A

05 Track 05

{00255828;1}

62

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 63 of 383 Page ID


#:6589
1
2

760A

06 Track 06

761A

07 Track 07

3
4
5
6

762A
763A

7
8

764A

765A

10

766A

11

767A

12
13
14
15

768A
769A
770A

16

771A

19
20
21
22
23
24

09 Track 09
10 Track 10
11 Track 11
12 Track 12
13 Track 13
14 Track 14
15 Track 15
16 Track 16
Spirit Civic
Center Santa
Monica CA
09.29.1967

17
18

08 Track 08

772A
773A
774A
775A

25

776A

26

777A

27

778A

28
{00255828;1}

01 Track 01

Defs: Defs MIL # 3, FRE 401-02,


403.

02 Track 02

Defs: Defs MIL # 3, FRE 401-02,


403.

03 Track 03
04 Track 04
05 Track 05
06 Track 06
07 Track 07
08 Track 08

Defs: Defs MIL # 3, FRE 401-02,


403.
Defs: Defs MIL # 3, FRE 401-02,
403.
Defs: Defs MIL # 3, FRE 401-02,
403.
Defs: Defs MIL # 3, FRE 401-02,
403.
Defs: Defs MIL # 3, FRE 401-02,
403.
Defs: Defs MIL # 3, FRE 401-02,
403.
63

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 64 of 383 Page ID


#:6590
1

779A

Led Zeppelin
Texas Pop
Festival, Dallas

3
4

780A

781A

6
7
8
9

782A
783A
784A

10

785A

11

786A

12

14

16
17
18

787A
788A
789A

Def: FRE 401-02.

Def: FRE 401-02.

Def: FRE 401-02.

Def: FRE 401-02.

Def: FRE 401-02.

Def: FRE 401-02.

Def: FRE 401-02.

01 Track 01

Def: FRE 401-02.

02 Track 02

Def: FRE 401-02.

03 Track 03

Def: FRE 401-02.

Led Zeppelin
Fillmore West
San
Francisco CA
01.11.1969

19
20
21
22

Led Zeppelin
Fillmore West
San
Francisco CA
09.09.1969

13

15

Defs: Defs MIL # 3, FRE 401-02,


403.

09 Track 09

790A

23

791A

24

792A

25

793A

26

01 Track 01

Def: FRE 401-02.

02 Track 02

Def: FRE 401-02.

03 Track 03

Def: FRE 401-02.

04 Track 04

Def: FRE 401-02.

1969-09-01
Texas
International
Pop Festival

27
28
{00255828;1}

64

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 65 of 383 Page ID


#:6591
1

794A

795A

796A

4
5

797A

798A

799A

800A

801A

10

12
13
14
802

16
17
18
19

803

20
21
22
23

804

24
25
26

2
3
4
5
6
7
8
Led Zeppelin
Discovery
Issues
Discovery
(SERVED)

11

15

805

27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
69_detroit_may
potentially duplicative of other
_ad.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
1968_12-26impossible to specify objections;
lzcom_ticketstu potentially duplicative of other
b.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
atlantapoop69_j
potentially duplicative of other
p.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
atlantapop_tick
impossible to specify objections;
et-letter.jpg
potentially duplicative of other
exhibits, in which case objections as
65

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 66 of 383 Page ID


#:6592
1

to those exhibits apply; otherwise,


objections reserved.

2
3
4
5

806

6
7
8
9

807

10
11
12
13

808

14
15
16
17

809

18
19
20
21

810

22
23
24
25

811

26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
atlantapop69_pr
potentially duplicative of other
ess1.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
atlantapop69_pr
potentially duplicative of other
ess1.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
atlantapop69potentially duplicative of other
1.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
atlantapop69potentially duplicative of other
1b.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
atlantapop69potentially duplicative of other
2.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
atlantapop69potentially duplicative of other
3.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
66

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 67 of 383 Page ID


#:6593
1
2
3

812

4
5
6
7

813

8
9
10
11

814

12
13
14
15

815

16
17
18
19

816

20
21
22
23

817

24
25
26
27

818

28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
atlantapop69potentially duplicative of other
4.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
atlantapop69potentially duplicative of other
a.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
atlantapop69potentially duplicative of other
b.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
atlantapop69pos
potentially duplicative of other
ter.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
atlantapop69potentially duplicative of other
v.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
atlantapop69potentially duplicative of other
v2.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
atlantapop69- impossible to specify objections;
v3.jpg
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
67

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 68 of 383 Page ID


#:6594
1

objections reserved.

2
3
4
5

819

6
7
8
9

820

10
11
12
13

821

14
15
16
17

822

18
19
20
21

823

22
23
24
25

824

26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
atlantapopimpossible to specify objections;
billboard_press. potentially duplicative of other
jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
atnaltapop69_tk
potentially duplicative of other
t2.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
Bernice Note 1
potentially duplicative of other
2004.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
Bernice Note
potentially duplicative of other
2.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
Bernice Note
potentially duplicative of other
3.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
Bernice Note
potentially duplicative of other
4.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
68

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 69 of 383 Page ID


#:6595
1
2
3

825

Bob Plant.pdf

4
5
6
7

826

Bruce Spirit
Yahoo Groups
Post.jpg

8
9
10
11

827

Bruce Team
Rock Reply.jpg

828

Bruce Yahoo
Reply 1.jpg

829

Bruce Yahoo
Reply 2.jpg

12
13
14
15
16
17
18
19
20
21
22
23

830

24

dallas69ticket.jpg
dallaspop69_po
ster2.jpg

25
26
27

831

28
{00255828;1}

dallaspop69_pr
ess.jpg

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
69

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 70 of 383 Page ID


#:6596
1

objections reserved.

2
3
4
5

832

denver68_ad.jp
g

833

denver68_revie
w.jpg

6
7
8
9
10
11
12
13

834

14

Led Zeppelin
Atlanta Pop
69.jpg

15
16
17

835

18

Led Zeppelin
Book.jpg

19
20
21

836

22
23

LED
ZEPPELIN
Fresh
Garbage.jpg

24
25

837

26
27
28
{00255828;1}

LZ Giants Page
99.jpg

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
70

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 71 of 383 Page ID


#:6597
1
2
3

838

LZ Giants Page
100.jpg

4
5
6
7

839

LZ Guitar
World Dec
1993 page
50.jpg

9
10
11

840

12

LZ Guitar
World Dec
1993 page
52.jpg

13
14
15

841

photo.JPG

16
17
18
19

842

Randy Note 11991.jpg

843

Randy Note
2.jpg

844

Randy Note
3.jpg

20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
71

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 72 of 383 Page ID


#:6598
1

objections reserved.

2
3
4
5

845

6
7
8
9

846

10
11
12
13

847

14
15
16
17

848

18
19
20
21

849

22
23
24
25

850

26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
San Jose CA
impossible to specify objections;
1969 Festival potentially duplicative of other
Poster.jpeg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
Seattle Pop Fest impossible to specify objections;
1969
potentially duplicative of other
Handbill.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
seattlepop69_ad
potentially duplicative of other
.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
seattlepop69tkt.
potentially duplicative of other
jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
SPIRIT 1st
impossible to specify objections;
Album Liner
potentially duplicative of other
Notes.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
SPIRIT 1st
potentially duplicative of other
Australia.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
72

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 73 of 383 Page ID


#:6599
1
2
3

851

SPIRIT 1st
Germany.jpg

852

SPIRIT 1st
Japan.jpg

853

SPIRIT 1st
UK.jpg

854

SPIRIT 68
Agreement.jpg

855

SPIRIT Atlanta
Pop 1969.jpg

4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23

856

24

SPIRIT End Of
All For One
Page 1.jpg

25
26
27

857

28
{00255828;1}

SPIRIT End Of
All For One
Page 2.jpg

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
73

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 74 of 383 Page ID


#:6600
1

objections reserved.

2
3
4
5

858

6
7
8
9

859

10
11
12
13

860

14
15
16
17

861

18
19
20
21

862

22
23
24
25

863

26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
SPIRIT End Of impossible to specify objections;
All For One
potentially duplicative of other
Page 3.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
SPIRIT
impossible to specify objections;
Hornsey N.
potentially duplicative of other
London 3 Feb
exhibits, in which case objections as
70.jpg
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
SPIRIT Jimmy impossible to specify objections;
Page Quote on potentially duplicative of other
Spirit 1970.jpg exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
SPIRIT
impossible to specify objections;
Leicester UK 4 potentially duplicative of other
Feb 70.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
SPIRIT
impossible to specify objections;
Poughkeepsie potentially duplicative of other
1987.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
SPIRIT Randy impossible to specify objections;
Listener Int.
potentially duplicative of other
Winter 1997.jpg exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
74

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 75 of 383 Page ID


#:6601
1
2
3

864

Spirit Randy
Texas Pop
Festival Sep 1
1969.jpg

5
6
7

865

SPIRIT Relix
1982 Skidmore
1.jpg

8
9
10
11

866

SPIRIT Relix
1982 Skidmore
2.jpg

12
13
14
15

867

16

SPIRIT Relix
1993 Skidmore
1.jpg

17
18
19

868

20

SPIRIT Relix
1993 Skidmore
2.jpg

21
22
23

869

24

SPIRIT Relix
1997 Skidmore
1.jpg

25
26
27

870

28
{00255828;1}

SPIRIT Relix
1997 Skidmore
2.jpg

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
75

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 76 of 383 Page ID


#:6602
1

objections reserved.

2
3
4
5

871

6
7
8
9

872

10
11
12
13

873

14
15
16
17

874

18
19
20
21

875

22
23
24
25

876

26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
SPIRIT Seattle
potentially duplicative of other
Pop 1969.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
Spirit Texas
potentially duplicative of other
Pop 69 - 2.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
Spirit Texas
potentially duplicative of other
Pop 69.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
spirit2atlpop[1]
potentially duplicative of other
(2).jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
Texas Pop 1969
potentially duplicative of other
Review.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
Texas Pop Fest
potentially duplicative of other
Ad 1969.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
76

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 77 of 383 Page ID


#:6603
1
2
3

877

4
5
6
7

878

8
9
10
11
12
13
14

879A

15
16

880A

17
18
19

881A
882A

20
21

883A

22
23

884A

24
25
26

885A
886A

27

Defs: failure to identify the exhibit,


despite requests, making it
zeppelin_beats_ impossible to specify objections;
blizzard_12potentially duplicative of other
68.jpg
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
2015.12.30 LED
Defs: failure to identify the exhibit,
ZEPPELIN despite requests, making it
DISCO - PLT impossible to specify objections;
SUPPLEMENT potentially duplicative of other
AL
exhibits, in which case objections as
DOCUMENT to those exhibits apply; otherwise,
PRODUCTION objections reserved.
(SERVED).pdf
Led Zeppelin
Disco
Plaintiffs
Audio Files
Taurus
(SERVED)
Taurus Live Defs: Defs MIL # 3, FRE 401-02,
Ash Grove
403, 1002, 802; duplicative of other
(07.31.1967)
exhibit.
Taurus Live Defs: Defs MIL # 3, FRE 401-02,
Ash Grove
403, 1002, 802; duplicative of other
(08.08.1967)
exhibit.
Taurus Live Defs: Defs MIL # 3, FRE 401-02,
Kaliedescope
403, 1002, 802; duplicative of other
(04.05.1968)
exhibit.
Defs: Defs MIL # 3, FRE 401-02,
Taurus Live
403, 1002, 802; duplicative of other
The Time Coast
exhibit.
Defs: Defs MIL # 3, FRE 401-02,
Taurus Live
403, 1002, 802; duplicative of other
(07.10.1967)
exhibit.
Defs: Defs MIL # 3, FRE 401-02,
Taurus Live
403, 1002, 802; duplicative of other
Acoustic (1996)
exhibit.
Taurus
Defs: Defs MIL # 3, FRE 401-02,
Recording
403, 1002, 802; duplicative of other
(08.1967)
exhibit.
Taurus Studio Defs: Defs MIL # 3, FRE 401-02,
Version
403, 1002, 802; duplicative of other
(11.10.1967)
exhibit.

28
{00255828;1}

77

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 78 of 383 Page ID


#:6604
1
2
3
4
5

887

6
7
8
9

888

10
11
12

889

13
14
15
16
17

890

18
19
20

891

21
22
23
24

892

25
26
27

893

28
{00255828;1}

2015.02.10
Led Zeppelin
Jimmy Page
Book
(SERVED)
2015.02.10
Led Zeppelin
FYE
Philadelphia,
CD Scan
Receipt
(SERVED)
2015.02.10
Led Zeppelin
FYE
Philadelphia
CD Scans
(SERVED)
2015.02.10
Led Zeppelin
Jimmy Page
Book
(SERVED)
All Plaintiffs
Expert Reports
& Declarations
with Exhibits
Plaintiffs
Experts
Disclosures
Plaintiffs
Expert Report,
CV/Resume,
Audio/Visual
Exhibit Alexander
Stewart
Plaintiffs
Expert
Declaration,
CV/Resume,
Audio/Visual
Exhibit Alexander
Stewart
Plaintiffs
Expert Report,
CV/Resume,

Defs: FRE 401-02, 403, MIL # 2.

Defs: FRE 401-02, 403, MIL # 2.

Defs: FRE 401-02, 403, MIL # 2.

Defs: Defs MIL # 3, #4, FRE 40102, 403, 1002, 802.

Defs: Defs MIL # 3, #4, FRE 40102, 403, 1002, 802, failure to
produce for deposition.

Defs: Defs MIL # 3, #4, FRE 40102, 403, 1002, 802, failure to
produce for deposition.

Defs: Defs MIL # 3, #4, FRE 40102, 403, 1002, 802, failure to
produce for deposition.
78

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 79 of 383 Page ID


#:6605
1
2
3
4

894

5
6
7
8

895

9
10
11
12

896

13
14
15
16

897

17
18
19

898

20
21
22
23

899

24
25
26
27

900

28
{00255828;1}

Audio/Visual
Exhibit - Kevin
Hanson
Plaintiffs
Expert
Declaration,
CV/Resume,
Audio/Visual
Exhibit Kevin
Hanson
Plaintiffs
Expert Report,
CV/Resume,
Audio/Visual
Exhibit - Erik
Johnson
Plaintiffs
Expert
Declaration,
CV/Resume,
Audio/Visual
Exhibit - Erik
Johnson
Plaintiffs
Expert Report,
CV/Resume,
Audio/Visual
Exhibit Brian
Bricklin
Plaintiffs
Expert
Declaration,
CV/Resume,
Audio/Visual
Exhibit - Brian
Bricklin
Plaintiffs
Expert Report,
CV/Resume,
Audio/Visual
Exhibit
Denny Somach
Plaintiffs
Expert
Declaration,
CV/Resume,
Audio/Visual
Exhibit - Denny

Defs: Defs MIL # 3, #4, FRE 40102, 403, 1002, 802, failure to
produce for deposition.

Defs: Defs MIL # 3, #4, FRE 40102, 403, 1002, 802, failure to
produce for deposition.

Defs: Defs MIL # 3, #4, FRE 40102, 403, 1002, 802, failure to
produce for deposition.

Defs: Defs MIL # 3, #4, FRE 40102, 403, 1002, 802, failure to
produce for deposition.

Defs: Defs MIL # 3, #4, FRE 40102, 403, 1002, 802, failure to
produce for deposition.

Defs: Defs MIL # 3, #6, FRE 40102, 403, 1002, 802, failure to
produce for deposition.

Defs: Defs MIL # 3, #6, FRE 40102, 403, 1002, 802, failure to
produce for deposition.
79

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 80 of 383 Page ID


#:6606
1

Somach

2
3
4

901

5
6
7
8
9

903
904

10
11

905

12
13
14
15
16
17

906
907

908

18
19
20

909
910

21
22

911

23
24

912

25
26

913

27
28

914
{00255828;1}

Plaintiffs
Expert Report,
CV/Resume,
Audio/Visual
Exhibit t Michael
Einhorn
Declarations
Declaration of
Paul Franklin
With Exhibit
Declaration of
Tracy Longo
With Exhibit
Declaration of
Andrea Wolfe
With Exhibit
Declaration of
Janet Wolfe
With Exhibit
Declaration of
Linda Mensch
With Exhibit
Declaration of
David
Waterbury With
Exhibit
Declaration of
Francis Malofiy
With Exhibit
Declaration of
Larry Knight
With Exhibit
Declaration of
Barry Hansen
With Exhibit
Declaration of
Bruce Pates
With Exhibit
Declaration of
Jay Ferguson
With Exhibit
Declaration of

Defs: failure to produce for


deposition.

Defs: Def MIL 1, 10, 11, FRE 802,


FRCP 26(a), 26(e), 37(c)(1).
Defs: Def MIL 1, 11, FRE 802.
Defs: FRE 802, 602, 401-02, 403.
Defs: FRE 802, 602, 401-02, 403.
Defs: FRE 802, 401-02.

Defs: Def MIL 1, 11, FRE 802.


Defs: improper testimony by counsel
at trial; FRE 602, 802; Defs MIL #1,
#2, #5.
Defs: Defs MIL # 1, #10, #11, FRE
802, 401-02, 403, 802.
Defs: Defs MIL # 3, FRE 802, 40102, 403, 602.
Defs: FRE 401-02, 701, no expert
disclosure provided, failure to
comply with FRCP 26(a)(2).
Defs: Defs MIL # 3, FRE 401-02,
701, no expert disclosure provided,
failure to comply with FRCP
26(a)(2).
Defs: FRE 401-02, 403, 602, 1002,
80

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 81 of 383 Page ID


#:6607
1
2
3

915

4
5

916

6
7

917

8
9
10
11
12
13

918

14
15
16
17
18

919

19
20
21
22

920

23
24
25
26

921

27
28
{00255828;1}

Michael
Skidmore With
Exhibit
Declaration of
Mike Lee With
Exhibit
Declaration of
Robert Lee
With Exhibit
Declaration of
Mark Andes
With Exhibit
All
Defendants
Expert Reports
& Declarations
With Exhibits
Defendants
Expert Report,
CV/
Resume,
Audio/Visual
Exhibit Lawrence
Ferrara
Defendants
Expert
Declaration,
CV/
Resume,
Audio/Visual
Exhibit Lawrence
Ferrara
Defendants
Expert Report,
CV/
Resume,
Audio/Visual
Exhibit Rob
Mathes
Defendants
Expert
Declaration,
CV/
Resume,
Audio/Visual

802, failure to produce documents,


FRCP 37(c)(1).
Defs: Def MIL 1, 10, FRE 802,
FRCP 26(a), 26(e), 37(c)(1).
Defs: Def MIL 1, 10, FRE 802,
FRCP 26(a), 26(e), 37(c)(1).
Defs: Def MIL 3, FRE 401-02, 602,
1002.

81

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 82 of 383 Page ID


#:6608
1
2
3

922

4
5
6
7
8
9
10

923
924
925
926

11
12
13
14
15
16

927

17
18
19
20

928

21
22
23
24
25

929

26
27
28
{00255828;1}

Exhibit Rob
Mathes
Declarations
Declaration of
James Patrick
Page
Declaration of
Robert Anthony
Plant
Declaration of
John Paul Jones
Declaration of
Helene Freeman
Declaration of
Peter J.
Anderson
Plaintiffs
Document
Production to
Defendants
2015.08.10 LED
ZEPPELIN DISCO COPYRIGHT
REGISTRATIO
NSTAIRWAY
TO HEAVEN
2015.08.10 LED
ZEPPELIN DISCO COPYRIGHT
REGISTRATIO
N - TAURUS
2015.08.10 LED
ZEPPELIN DISCO TRUST
DOCUMENTS
CERTIFICATI
ON OF TRUST
EXISTENCE
AND

Defs: failure to identify which


declaration; FRE 401-02, 403.
Defs: failure to identify which
declaration; FRE 401-02, 403.
Defs: failure to identify which
declaration; FRE 401-02, 403.
Defs: failure to identify which
declaration; FRE 401-02, 403.
Defs: failure to identify which
declaration; FRE 401-02, 403.

Defs: FRE 401-02, 1002.

Defs: FRE 1002.

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
82

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 83 of 383 Page ID


#:6609
1

AUTHORITY
(05.13.2008)

2
3
4
5
6

930

7
8
9
10
11
12

931

13
14
15
16
17
18

932

19
20
21
22
23
24
25

933

26
27
28
{00255828;1}

2015.08.10 LED
ZEPPELIN DISCO TRUST
DOCUMENTS
- JUDGMENT
ESTABLISHIN
G FACTS
(02.19.2002)
2015.08.10 LED
ZEPPELIN DISCO TRUST
DOCUMENTS
- ORDER TO
CREATE AND
FUND TRUST
(02.19.2002)
2015.08.10 LED
ZEPPELIN DISCO TRUST
DOCUMENTS
- RANDY
CRAIG
WOLFE
TRUST - 5TH
AMENDMENT
(05.13.2008)
2015.08.10 LED
ZEPPELIN DISCO TRUST
DOCUMENTS
- RANDY
CRAIG
WOLFE
TRUST
(02.26.2002)

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.

83

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 84 of 383 Page ID


#:6610
1
2

934

3
4
5

935

6
7
8
9
10

936

11
12
13
14
15
16

937

17
18
19
20
21
22

938

23
24
25
26
27

939

28
{00255828;1}

2015.08.13 LED
ZEPPELIN Plaintiff's Initial
Disclosures
2015.08.10
LED
ZEPPELIN
Defendants
Initial
Disclosures
2015.08.16 LED
ZEPPELIN DISCO - LOU
ADLER HOLLENBEC
KROYALTIES
(01.01.2014 06.30.2014)
2015.08.16 LED
ZEPPELIN DISCO - LOU
ADLER HOLLENBEC
KROYALTIES
(07.01.2011 12.31.2011)
2015.08.16 LED
ZEPPELIN DISCO - LOU
ADLER HOLLENBEC
KROYALTIES
(07.01.2013 12.31.2013)
2015.08.16 LED
ZEPPELIN DISCO - LOU
ADLER HOLLENBEC
K-

Defs: FRE 401-02, 403, 802.

Defs: FRE 401-02, 403, 802.

Defs: FRE 401-02, 403, 802.

Defs: FRE 401-02, 403, 802.

Defs: FRE 401-02, 403, 802.

84

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 85 of 383 Page ID


#:6611
1

ROYALTIES
(07.01.2014 12.31.2014)

2
3
4
5

940

6
7
8
9
10

941

11
12
13
14
15

942

16
17
18
19
20

943

21
22
23
24
25
26

944

27
28
{00255828;1}

2015.09.28 LED
ZEPPELIN DISCO - PLT
CHART OF
SPIRIT
CONCERTS
(1967-1971)
2015.09.28 LED
ZEPPELIN DISCO ASCAP & BMI
STATMENTS BEFORE &
AFTER
LAWSUIT
2015.09.28 LED
ZEPPELIN DISCO CONTRACT WRITER GETS
ROYALTIES
2015.09.28 LED
ZEPPELIN DISCO PLANT
CRASH
AFTER SPIRIT
UK SHOW NEW
MUSICAL
EXPRESS (2.7.1970)
2015.09.28 LED
ZEPPELIN DISCO - PLT
CHART OF
SPIRIT
CONCERTS
(1967-1971)

Defs: FRE 901, 602, 802, 805.

Defs: FRE 401-02, 403, 802.

Defs: FRE 401-02, 403, 802.

Defs: duplicative exhibit.

Defs: FRE 901, 602, 802, 805.

85

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 86 of 383 Page ID


#:6612
1
2
3
4

945

5
6
7
8
9

946

10
11
12
13

947

14
15
16
17

948

Pates Email 2014.05.21 EMAIL - Fwd_


Take a
look_Redacted

949

Pates Email 2014.09.14 EMAIL - Fwd_


Taurus
Update_Redact
ed

950

Pates Email 2014.10.17 EMAIL - Fwd_


SPIRIT - One _
LED
ZEPPELIN -

18
19

2015.09.28 LED
ZEPPELIN DISCO SPIRIT & LED
ZEPPELIN
CONCERT SEATTLE POP
FESTIVAL
(1969)
2015.09.28 LED
ZEPPELIN DISCO SPIRIT
CONCERTS UK
2015.09.28 LED
ZEPPELIN DISCO WORLDWIDE
DISTRIBUTIO
N
Docketed
Stipulated
Protective
Order

20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify, potentially


duplicative; objections reserved.

Defs: failure to identify, potentially


duplicative; objections reserved.

Defs: failure to identify, potentially


duplicative; objections reserved.

Defs: FRE 401-02, 403.


Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
86

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 87 of 383 Page ID


#:6613
1

Zero_Redacted

objections reserved.

2
3
4
5

951

Pates Email 2014.10.22 EMAIL - Fwd_


And it goes
on..._Redacted

952

Pates Email 2014.10.22 EMAIL - Fwd_


SPIRIT
Article_Redacte
d

953

Pates Email 2014.12.11 EMAIL - Fwd_


Latest_Redacte
d

6
7
8
9
10
11
12
13
14
15
16
17
18

954

19
20
21
22

955

23
24
25
26

956

27
28
{00255828;1}

Pates Email 2015.02.05 EMAIL - JAY Fwd_ SPIRIT


Lawsuit
Update_Redact
ed
Pates Email 2015.02.15 EMAIL - JAY Fwd_ Rhino
SPIRIT
Primer_Redacte
d
Pates Email 2015.05.08 EMAIL - Fwd_
SPIRIT 2 LED
ZEPPELIN
1_Redacted

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
87

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 88 of 383 Page ID


#:6614
1
957

Pates Email 2015.05.11 EMAIL - Fwd_


Hi
Bruce_Redacte
d

958

Pates Email 2015.05.21 EMAIL - Fwd_


Randy
California_Red
acted

959

Pates Email 2015.06.16 EMAIL - JAY Fwd_ Legal


bonfire_Redact
ed

960

Pates Email 2015.08.04 EMAIL - Fwd_


SPIRIT Court
Date_Redacted

2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19

961

20
21
22
23

962

24
25
26
27

963

28
{00255828;1}

Pates Email 2015.12.05 EMAIL - JAY Fwd_ Led


Zeppelin
Subpoenas_Red
acted
Pates Email 2015.12.12 EMAIL - Fwd_
SPIRIT - 2
LED
ZEPPELIN 1_Redacted
Pates Email 2015.12.12 EMAIL - Quinn
E-Mails
Regarding
Guitar Etc.

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
88

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 89 of 383 Page ID


#:6615
1

(with
objections reserved.
exhibits)_Redac
ted

2
3
4
5

964

Pates Email 2015.12.12 EMAIL- Fwd_


Hi
Bruce_Redacte
d

965

Pates Email 2015.12.30 EMAIL - Fwd_


Randy
California_Red
acted

966

Pates Email 2014.05.22 EMAIL - Fwd_


Randy
California_Red
acted

967

Pates Email 2015.06.16 EMAIL - Fwd_


Legal
bonfire_Redact
ed

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22

968

23
24
25
26

969

27
28
{00255828;1}

Pates Email 2015.12.09 EMAIL - Fwd_


Randy
California
Confrontation
with Jimmy
Page_Redacted
2016.01.20 LED
ZEPPELIN DISCO PRIVILEGE
LOG
(SERVED)

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
89

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 90 of 383 Page ID


#:6616
1
970

2016.01.20 LED
ZEPPELIN DISCO DOCUMENT
PRODUCTION
(SERVED)

971

05.21.2014 Take a look photo

2
3
4
5
6
7
8
9
10
11

972

12
13
14
15
16

973

17
18
19
20
21

974

22
23
24
25
26

975

27
28
{00255828;1}

2016.01.20 LED
ZEPPELIN DISCO TRANSCRIPT
OF PHONE
CALL TRACY
LONGO
LED
ZEPPELIN DISCO CONTRACT RECORD
DEAL (LOU
ADLER - ODE
RECORDS)
LED
ZEPPELIN DISCO CONTRACT SONGWRITIN
G (LOU
ADLER HOLLENBEC
K)
SERVED ZEPPELIN LETTER TO
ADLER RE
NOTICE OF
LAWSUIT 7.29.14

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.

Defs: Defs MIL # 1, 11, FRE 802.

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
90

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

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#:6617
1
2

976

3
4
5

977

6
7
8
9

978

10
11
12
13

979

14
15
16
17

980

18
19
20
21

981

22
23
24
25
26

982

27
28
{00255828;1}

Dave
Waterbury
Telephone
Transcript
2016.02.12 LED
ZEPPELIN Plaintiff's
Amended
Disclosures

Defs: Defs MIL # 1, 11, FRE 802.

Defs: FRE 401-02, 403, 802.

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
2016.02.11
despite requests, making it
Quinn Wolfe
impossible to specify objections;
Receipt of
potentially duplicative of other
Notification and exhibits, in which case objections as
MySpace Photo to those exhibits apply; otherwise,
objections reserved.
LED
Defs: failure to identify the exhibit,
ZEPPELIN despite requests, making it
DISCO - CITE impossible to specify objections;
- FAC - 43 potentially duplicative of other
GET THE LED exhibits, in which case objections as
OUT - DENNY to those exhibits apply; otherwise,
SOMACH
objections reserved.
LED
ZEPPELIN Defs: failure to identify the exhibit,
DISCO despite requests, making it
CONTRACT - impossible to specify objections;
ACTUAL
potentially duplicative of other
WRITER GETS exhibits, in which case objections as
SONGWRITIN to those exhibits apply; otherwise,
G ROYALTIES objections reserved.
(9.29.94)
LED
Defs: failure to identify the exhibit,
ZEPPELIN despite requests, making it
DISCO impossible to specify objections;
CONTRACT potentially duplicative of other
BAND
exhibits, in which case objections as
SHARES
to those exhibits apply; otherwise,
SONGWRITIN
objections reserved.
G ROYALTIES
91
2016.02.11 Supplemental
Document
Production of
Plaintiff

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 92 of 383 Page ID


#:6618
1

(1967)

2
3
4
5
6

983

7
8
9
10
11

984

12
13
14
15
16

985

17
18
19
20

986

21
22
23
24
25

987

26
27

LED
ZEPPELIN DISCO - LED
ZEPPELIN
PLAYING
SPIRIT SONG
- FRESH
GARBAGE
(SERVED)
LED
ZEPPELIN DISCO - PAGE
- INTERVIEW
- ZIGZAG
MAGAZINE PETE FRAME
(11.1972)(SER
VED)
LED
ZEPPELIN DISCO SKIDMORE REVIEW - DR.
SARDONICUS
(SERVED)
LED
ZEPPELIN DISCO SKIDMORE REVIEW RELIX (1997)(SERVE
D)
LED
ZEPPELIN DISCO SKIDMORE REVIEW RELIX OBITUARY
(1982)(SERVE
D)

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.

Defs: Defs MIL # 2, FRE 401-02,


403, 802, 805.

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.

28
{00255828;1}

92

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

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#:6619
1
2
3

988

4
5
6
7
8

989

9
10
11
12
13
14

990

15
16
17
18
19
20

991

21
22
23
24
25
26

992

27
28
{00255828;1}

LED
ZEPPELIN DISCO SKIDMORE REVIEW RELIX
(1993)(SERVE
D)
LED
ZEPPELIN DISCO SPIRIT INTERVIEW ROCK PAGE STEVEN
REINER
(5.10.1971)(SE
RVED)
LED
ZEPPELIN DISCO SPIRIT & LED
ZEPPELIN
CONCERT 1ST SHOW DENVER, CO
(12.26.1968)(S
ERVED)
LED
ZEPPELIN DISCO SPIRIT & LED
ZEPPELIN
CONCERT ATLANTA
POP
FESTIVAL
(1969)(SERVE
D)
LED
ZEPPELIN DISCO SPIRIT & LED
ZEPPELIN
CONCERT NORTHERN
CALIFORNIA
ROACK

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
93

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 94 of 383 Page ID


#:6620
1

FESTIVAL SAN JOSE, CA


(5.23.24.1969)(
SERVED)

2
3
4
5
6
7

993

8
9
10
11
12
13

994

14
15
16
17
18

995

19
20
21
22
23

996

24
25
26
27

997

28
{00255828;1}

LED
ZEPPELIN DISCO SPIRIT & LED
ZEPPELIN
CONCERT OLYMPIA
STADIUM DETROIT, MI
(5.16.1969)(SE
RVED)
LED
ZEPPELIN DISCO SPIRIT & LED
ZEPPELIN
CONCERT SEATTLE POP
FESTIVAL
(1969)(SERVE
D)
LED
ZEPPELIN DISCO SPIRIT & LED
ZEPPELIN
CONCERT TEXAS POP
FESTIVAL
(1969)(SERVE
D)
Guitar World December 1993
Issue with
interview of
James Patrick
Page
2016.01.20 LED
ZEPPELIN DISCO IMAGE SCAN
OF CDS

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.

Defs: Defs MIL #3, #5, FRE 407,


408, 401-02, 403, 404
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
94

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 95 of 383 Page ID


#:6621
1

(SERVED)

objections reserved.

2
3
4
5

998

6
7
8

999

9
10

1000

11
12
13
14

1001

15
16
17

1002

18
19
20
21

1003

22
23
24

1004

25
26
27

1005

28
{00255828;1}

Album - Led
Zeppelin (as
originally
released to
public)
Album - Led
Zeppelin II (as
originally
released to
public)
Album Led
Zeppelin III (as
originally
released to
public)
Album
Untitled album
known as Led
Zeppelin IV (as
originally
released to
public)
Album
Houses of the
Holy (as
originally
released to
public)
Album
Physical
Graffiti (as
originally
released to
public)
Album
Presence (as
originally
released to
public)
Album In
Through the
Out Door (as
originally

Defs: Defs MIL # 5, FRE 407, 408,


401-02, 403, 404.

Defs: Defs MIL # 5, FRE 407, 408,


401-02, 403, 404.

Defs: Defs MIL # 5, FRE 407, 408,


401-02, 403, 404.

Defs: Defs MIL # 5, FRE 407, 408,


401-02, 403, 404.

Defs: Defs MIL # 5, FRE 407, 408,


401-02, 403, 404.

Defs: Defs MIL # 5, FRE 407, 408,


401-02, 403, 404.

Defs: Defs MIL # 5, FRE 407, 408,


401-02, 403, 404.

Defs: Defs MIL # 5, FRE 407, 408,


401-02, 403, 404.
95

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 96 of 383 Page ID


#:6622
1

released to
public)

2
3

1006

4
5

1007

6
7

1008

8
9
10

1009

11
12
13

1010

14
15
16

1011

17
18
19

1012

20
21

1013

22
23
24

1014

25
26
27

1015

28
{00255828;1}

Album Coda
(as originally
released to
public)
Album - Led
Zeppelin (as
rereleased with
credits changed)
Album - Led
Zeppelin II (as
rereleased with
credits changed)
Album Led
Zeppelin III (as
rereleased with
credits changed)
Album
Untitled album
known as Led
Zeppelin IV (as
rereleased with
credits changed)
Album
Houses of the
Holy (as
rereleased with
credits changed)
Album
Physical
Graffiti (as
rereleased with
credits changed)
Album
Presence (as
rereleased with
credits changed)
Album In
Through the
Out Door (as
rereleased with
credits changed)
Album Coda
(as rereleased
with credits
changed)

Defs: Defs MIL # 5, FRE 407, 408,


401-02, 403, 404.
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404.
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404.
Defs: Defs MIL # 5, FRE 407, 408,
401-02, 403, 404.

Defs: Defs MIL # 5, FRE 407, 408,


401-02, 403, 404.

Defs: Defs MIL # 5, FRE 407, 408,


401-02, 403, 404.

Defs: Defs MIL # 5, FRE 407, 408,


401-02, 403, 404.

Defs: Defs MIL # 5, FRE 407, 408,


401-02, 403, 404.

Defs: Defs MIL # 5, FRE 407, 408,


401-02, 403, 404.

Defs: Defs MIL # 5, FRE 407, 408,


401-02, 403, 404.
96

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

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#:6623
1

1016

2
3

1017

4
5

Album Spirit
by Spirit

Defs: Defs MIL # 3, FRE 401-02,


403.

Albums by
Spirit pressed
and distributed
in multiple
countries

Defs: Defs MIL # 3, FRE 401-02,


403.

All Discovery
Plaintiffs and
Defendants

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.

6
7
8
9
10
11
12

1018

13
14
15

1019

16
17
18

1020

19
20
21

1021

22
23
24

1022

25
26

1023

27
28
{00255828;1}

Def First Set


and Responses
Defs. Combined
Request for
Production (Set
One)
(8/14/2015)
Defs. Super
Hype
Publishing
Interrogatories
(Set One)
(8/14/2015)
Defs. Combined
Request for
Admissions (Set
One)
(8/14/2015)
Plt. Answer to
Defs. Combined
Requests for
Admission Set
One
(9/16/2015)
Plt. Answer to
Defs. Combined
Docs Set One
(9/16/2015)
Plt. Answer to
Def. Super
Hype
Publishing

Defs: FRE 401-02, 403.

Defs: FRE 401-02, 403.

Defs: 401-02, 403.

Defs: if offered by pltlf, FRE 802.

Defs: if offered by pltlf, FRE 802.

Defs: if offered by pltlf, FRE 802.

97

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

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#:6624
1
2
3
4

1024

5
6
7
8

1025

9
10
11
12

1026

13
14
15
16

1027

17
18
19
20

1028

21
22
23

1029

24
25
26

1030

27
28
{00255828;1}

Interrogatories
Set One
(9/16/2015)
Plt. Amended
Answer to Defs.
Combined
Requests for
Admission Set
One
(10/20/2015)
Plt. Amended
Answer to Defs.
Combined Doc
Requests Set
One
(10/20/2015)
Plt. Amended
Answer to Def.
Super Hype
Publishing
Interrogatories
Set One
(10/20/2015)
Plt. Second
Amended
Response to
Super Hype
Interrogatories
Set One
(12/7/2015)
Def Second Set
and Responses
Def. Combined
Request for
Production Set
Two
(8/28/2015)
Def. Super
Hype
Publishing
Interrogatories
Set Two
(8/28/2015)
Plt. Amended
Answer to
Super Hype
Docs Set Two

Defs: if offered by pltlf, FRE 802.

Defs: if offered by pltlf, FRE 802.

Defs: if offered by pltlf, FRE 802.

Defs: if offered by pltlf, FRE 802.

Defs: FRE 401-02, 403.

Defs: FRE 401-02, 403.

Defs: if offered by pltlf, FRE 802.

98

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

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#:6625
1
2

1031

3
4
5

1032

6
7
8

1033

9
10
11
12
13

1034

14
15
16

1035

17
18
19

1036

20
21
22

1037

23
24
25

1038

26
27

Plt. Amended
Answer to
Super Hype
Interrogatories
Set Two
Plt. Amended
Answer to Defs.
Combined Docs
Set Two
(10/20/2015)
Plt. Amended
Answer to
Super Hype
Interrogatories
Set Two
(10/20/2015)
Def Dec
Discovery
Requests
Def. Joint
Request for
Production Set
Three
(12/4/2015)
Def. Joint
Request for
Admissions Set
Two
(12/4/2015)
Def.
Warner/Chappe
ll
Interrogatories
Set Two
(12/4/2015)
Plt. Response to
Combined Defs.
Request for
Production Set
Three
(2/5/2016)
Plt. Response to
Combined Defs.
Requests for
Admissions Set
Two (2/5/2016)

Defs: if offered by pltlf, FRE 802.

Defs: if offered by pltlf, FRE 802.

Defs: if offered by pltlf, FRE 802.

Defs: FRE 401-02, 403.

Defs: 401-02, 403.

Defs: 401-02, 403.

Defs: if offered by pltlf, FRE 802.

Defs: if offered by pltlf, FRE 802.

28
{00255828;1}

99

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

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#:6626
1
2

1039

3
4
5
6

1040

7
8

1041

9
10
11

1042

12
13
14

1043

15
16
17

1044

18
19
20

1045

21
22
23

1046

24
25
26

1047

27
28
{00255828;1}

Plt. Response to
Warner
Chappell
Defs: if offered by pltlf, FRE 802.
Interrogatories
Set Two
(2/5/2016)
Plt. Requets
and Responses
Plt
Interrogatories
to Page
(10/13/2015)
Plt
Interrogatories
to Plant
(10/13/2015)
Plt
Interrogatories
to Jones
(10/13/2015)
Plt
Interrogatories
to Warner
Music Group
Corp.
(10/13/2015)
Plt
Interrogatories
to Super Hype
Publishing, Inc.
(10/13/2015)
Plt
Interrogatories
to
Warner/Chappe
ll Music, Inc.
(10/13/2015)
Plt
Interrogatories
to Atlantic
Recording
Corp.
(10/13/2015)
Plt
Interrogatories
to Rhino
Entertainment
100

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

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#:6627
1

(10/13/2015)

2
3

1048

4
5

1049

6
7

1050

8
9
10

1051

11
12
13

1052

14
15
16
17

1053

18
19
20

1054

21
22
23

1055

24
25
26

1056

27

Def. Page
Response to
Interrogatories
(11/23/2015)
Def. Plant
Response to
Interrogatories
(11/23/2015)
Def. Jones
Response to
Interrogatories
(11/23/2015)
Def Warner
Music Group
Response to
Interrogatories
(11/23/2015)
Def. Super
Hype
Publishing
Response to
Interrogatories
(11/23/2015)
Def.
Warner/Chappe
ll Music
Response to
Interrogatories
(11/23/2015)
Def. Atlantic
Recording
Corp. Response
to
Interrogatories
(11/23/2015)
Def. Rhino
Entertainment
Response to
Interrogatories
(11/23/2015)
Def. Page Supp.
Response to
Interrogatories
(1/5/2016)

28
{00255828;1}

101

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#:6628
1
2

1057

3
4
5

1058

6
7
8

1059

9
10
11
12

1060

13
14
15

1061

16
17
18

1062

19
20
21

1063

22
23

1064

24
25
26

1065

27
28
{00255828;1}

Def. Plant
Supp. Response
to
Interrogatories
(1/5/2016)
[Blietz458]
Def. Jones
Supp. Response
to
Interrogatories
(1/5/2016)
Def.
Warner/Chappe
ll Music Supp.
Response to
Interrogatories
(1/26/2016)
Def. Atlantic
Recording
Corp. Supp.
Response to
Interrogatories
(1/26/2016)
Def. Rhino
Entertainment
Supp. Response
to
Interrogatories
(1/26/2016)
Plt Requests for
Doc. Production
to Page
(10/13/2015)
Plt Requests for
Doc. Production
to Plant
(10/13/2015)
Plt Requests for
Doc. Production
to Jones
(10/13/2015)
Plt Requests for
Doc. Production
to Warner
Music Group
Corp.
(10/13/2015)
102

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

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#:6629
1
2

1066

3
4
5

1067

6
7
8

1068

9
10
11
12

1069

13
14
15

1070

16
17
18

1071

19
20
21
22
23

1072

24
25
26

1073

27
28
{00255828;1}

Plt Requests for


Doc. Production
to Super Hype
Publishing, Inc.
(10/13/2015)
Plt Requests for
Doc. Production
to
Warner/Chappe
ll Music, Inc.
(10/13/2015)
Plt Requests for
Doc. Production
to Atlantic
Recording
Corp.
(10/13/2015)
Plt Requests for
Doc. Production
to Rhino
Entertainment
(10/13/2015)
Def. Combined
Omnibus
Response to
Request for
Production
(11/23/2015)
Def.
Supplemental
Response to
Request for
Production
(12/29/2015)
Plt. Second
Document
Request and
Answer
Plt Request for
Production to
All Defendants
(1/8/2016)
Def. Joint
Response to Plt
Request for
Production
(2/8/2016)
103

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 104 of 383 Page ID
#:6630
1
2
3
4
5
6
7
8
9
10
11

3001

12
13
14
15
16
17
18
19
20
21
22

3002

23
24
25
26
27

Docket/Pleadin
gs
COMPLAINT
against All
Defendants
(Filing fee $
400 receipt
number
102000.), filed
by MICHAEL
SKIDMORE.
(Attachments: #
1 Civil Cover
Sheet, # 2 Case
Management
Track Form, # 3
Designation
Form)(ks, )
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
06/02/2014)
(FILED
05/31/2014)
(ECF No. 1)
Disclosure
Statement Form
pursuant to
FRCP 7.1 by
MICHAEL
SKIDMORE.(k
s,) [Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
06/02/2014)
(FILED
05/31/2014)
(ECF No. 2)

Defs: Defs MIL # 1, # 2, # 3, # 5, #


8, #14; FRE 401-02, 403, 404, 407,
408, 701-05, 802 & 805; assertions
as to substantial similarity barred by
failure to timely provide expert
disclosures as to relevant work
(1967 transcription), FRCP 26(a),
26(e) & 37(c)(1).

Defs: FRE 401-02, 403.

28
{00255828;1}

104

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 105 of 383 Page ID
#:6631
1
2
3
4

3003

5
6
7
8
9
10
11
12
13
14
15
16
17

3004

18
19
20
21
22
23
24
25

Copy of Form
to Register of
Copyrights. (ks,
) [Transferred
from
Pennsylvania
Eastern on
Defs: FRE 401-02, 403.
5/11/2015.]
(Entered:
06/02/2014)
(FILED
05/31/2014)
(ECF No. 3)
PRAECIPE to
Issue Alias
Summons for
defendants Led
Zeppelin, James
Patrick Page,
Robert Anthony
Plant, John
Paul Jones,
Super Hype
Publishing,
Inc., and
Warner Music
Group Corp. by
MICHAEL
Defs: FRE 401-02, 403.
SKIDMORE.
(MALOFIY,
FRANCIS)
Modified on
7/21/2014 (nd,
). [Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
07/21/2014)
(FILED
07/10/2014)
(ECF No. 4)

26
27
28
{00255828;1}

105

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 106 of 383 Page ID
#:6632
1
2
3
4
5
6
7
8
9

3005

10
11
12
13
14
15
16
17
18
19
20
21
22

3006

23
24
25
26
27
28
{00255828;1}

AFFIDAVIT of
Service by
Thomas Crean,
Jr. re: served
Complaint,
Disclousure
Statement,
Report re:
Copyright Case
upon Joe Bertie
by Personal
Service on 7 3114, answer due
8/21/14.
Defs: FRE 401-02, 403.
(MALOFIY,
FRANCIS)
Modified on
8/6/2014 (md).
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
08/05/2014)
(FILED
08/05//2014)
(ECF No. 5)
AFFIDAVIT of
Service by
Thomas Crean,
Jr. re: served
Complaint,
Disclousure
Statement,
Report re:
Copyright Case
upon Jeo Bertie
Defs: FRE 401-02, 403.
who is
designated by
law to accept
service of
process on
behalf of James
Patrick Page by
Personal
Service on 73114, answer due
106

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 107 of 383 Page ID
#:6633
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19

3007

20
21
22
23
24
25
26
27
28
{00255828;1}

8/21/14.
(MALOFIY,
FRANCIS)
Modified on
8/6/2014 (md).
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
08/05/2014)
(FILED
08/05//2014)
(ECF No. 6)
AFFIDAVIT of
Service by
Thomas Crean,
Jr. re: served
Complaint,
Disclousure
Statement,
Report re:
Copyright Case
upon Joe Bertie
who is
designated by
law to accept
service of
process on
behalf of Robert
Anthony Plant Defs: FRE 401-02, 403.
by Personal
Service on 73114, answer due
8/21/14.
(MALOFIY,
FRANCIS)
Modified on
8/6/2014 (md).
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
08/05/2014)
(FILED
107

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 108 of 383 Page ID
#:6634
1

08/05//2014)
(ECF No. 7)

2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17

3008

18
19
20
21
22
23
24
25
26
27

AFFIDAVIT of
Service by
Thomas Crean,
Jr. re: served
Complaint,
Disclousure
Statement,
Report re:
Copyright Case
upon Joe Bertie
who is
designated by
law to accept
service of
process on
behalf on John
Paul Jones by
Personal
Defs: FRE 401-02, 403.
Service on 7 3114, answer due
8/21/14.
(MALOFIY,
FRANCIS)
Modified on
8/6/2014 (md).
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
08/05/2014)
(FILED
08/05//2014)
(ECF No. 8)

28
{00255828;1}

108

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 109 of 383 Page ID
#:6635
1
2
3
4
5
6
7
8
9
10
11

3009

12
13
14
15
16
17
18
19
20
21
22
23
24
25

3010

26
27
28
{00255828;1}

AFFIDAVIT of
Service by
Thomas Crean,
Jr. re: served
Complaint,
Disclousure
Statement,
Report re:
Copyright Case
upon Joe Bertie
who is
designated by
law to accept
service of
process on
behalf of Super
Hype
Publishing Inc.
Defs: FRE 401-02, 403.
by Personal
Service on 73114, answer due
8/21/14.
(MALOFIY,
FRANCIS)
Modified on
8/6/2014 (md).
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
08/05/2014)
(FILED
08/05//2014)
(ECF No. 9)
AFFIDAVIT of
Service by
Thomas Crean,
Jr. re: served
Complaint,
Disclousure
Defs: FRE 401-02, 403.
Statement,
Report re:
Copyright Case
upon Elena Bou
who is
designated by
109

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 110 of 383 Page ID
#:6636
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21

3011

22
23
24
25
26
27
28
{00255828;1}

law to accept
service of
process on
behalf of Super
Hype
Publishing, Inc.
by Personal
Service on 73114, answer due
8/21/14.
(MALOFIY,
FRANCIS)
Modified on
8/6/2014 (md).
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
08/05/2014)
(FILED
08/05//2014)
(ECF No. 10)
AFFIDAVIT of
Service by
Thomas Crean,
Jr. re: served
Complaint,
Disclousure
Statement,
Report re:
Copyright Case
upon Joe Bertie
who is
designated by
law to accept
service of
process on
behalf of
Warner Music
Group Corp. by
Personal
Service on 73114, answer due
8/21/14.
(MALOFIY,
FRANCIS)

Defs: FRE 401-02, 403.

110

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 111 of 383 Page ID
#:6637
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18

3012

19
20
21
22
23
24
25
26
27
28
{00255828;1}

Modified on
8/6/2014 (md).
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
08/05/2014)
(FILED
08/05//2014)
(ECF No. 11)
AFFIDAVIT of
Service by
Thomas Crean,
Jr. re: served
Complaint,
Disclousure
Statement,
Report re:
Copyright Case
upon Joe Bertie
who is
designated by
law to accept
service of
process on
behalf of
Warner
Chappell
Music, Inc. by
Personal
Service on 73114, answer due
8/21/14.
(MALOFIY,
FRANCIS)
Modified on
8/6/2014 (md).
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
08/05/2014)
FILED
08/05//2014)

Defs: FRE 401-02, 403.

111

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 112 of 383 Page ID
#:6638
1

(ECF No. 12)

2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17

3013

18
19
20
21
22
23
24
25
26
27

AFFIDAVIT of
Service by
Thomas Crean,
Jr. re: served
Complaint,
Disclousure
Statement,
Report re:
Copyright Case
upon Joe Bertie
who is
designated by
law to accept
service of
process on
behalf of Rhino
Entertainment
by Personal
Service on 73114, answer due
8/21/14.
(MALOFIY,
FRANCIS)
Modified on
8/6/2014 (md).
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
08/05/2014)
(FILED
08/05//2014)
(ECF No. 13)

Defs: FRE 401-02, 403.

28
{00255828;1}

112

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 113 of 383 Page ID
#:6639
1
2
3
4
5
6
7
8
9
10
11

3014

12
13
14
15
16
17
18
19
20
21
22
23
24
25

3015

26
27
28
{00255828;1}

AFFIDAVIT of
Service by
Thomas Crean,
Jr. re: served
Complaint,
Disclousure
Statement,
Report re:
Copyright Case
upon Joe Bertie
who is
designated by
law to accept
service of
process on
behalf of
Atlantic
Recording
Defs: FRE 401-02, 403.
Corp. by
Personal
Service on 73114, answer due
8/21/14.
(MALOFIY,
FRANCIS)
Modified on
8/6/2014 (md).
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
08/05/2014)
FILED
08/05//2014)
(ECF No. 14)
AFFIDAVIT of
Service by
Albert G. Mentz
re: served
Complaint,
Disclousure
Defs: FRE 401-02, 403.
Statement,
Report upon
Amy McLaren,
Manager, who
is designated by
113

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 114 of 383 Page ID
#:6640
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21

3016

22
23
24
25
26
27
28
{00255828;1}

law to accept
service of
process on
behalf of Rhino
Entertainment
by Personal on
731 14, answer
due
8/21/2014(MA
LOFIY,
FRANCIS)
Modified on
8/20/2014 (afm,
). [Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
08/19/2014)
(FILED
08/19//2014)
(ECF No. 15)
AFFIDAVIT of
Service by
Albert G. Mentz
re: served
Complaint,
Disclousure
Statement,
Report upon
Amy McLaren,
Manager, who
is designated by
law to accept
service of
Defs: FRE 401-02, 403.
process on
behalf of
Atlantic
Recording
Corporation by
Personal on 73114, answer
due 8/21/2014
(MALOFIY,
FRANCIS)
Modified on
8/20/2014 (afm,
114

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 115 of 383 Page ID
#:6641
1

). [Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
08/19/2014)
(FILED
08/19//2014)
(ECF No. 16)

2
3
4
5
6
7
8
9
10
11
12
13
14
15
16

3017

17
18
19
20
21
22
23
24
25
26

AFFIDAVIT of
Service by
Albert G. Mentz
re: served
Complaint,
Disclousure
Statement,
Report upon
Amy McLaren,
Manager, who
is designated by
law to accept
service of
process on
behalf of
Warner/Chappe
ll Music, Inc. by
Defs: FRE 401-02, 403.
Personal on
73114, answer
due 8/21/2014
(MALOFIY,
FRANCIS)
Modified on
8/20/2014 (afm,
). [Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
08/19/2014)
(FILED
08/19//2014)
(ECF No. 17)

27
28
{00255828;1}

115

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 116 of 383 Page ID
#:6642
1
2
3
4
5
6
7
8
9
10
11

3018

12
13
14
15
16
17
18
19
20
21
22
23
24

3019

25
26
27
28
{00255828;1}

AFFIDAVIT of
Service by
Albert G. mentz
re: served
Complaint,
Disclousure
Statement,
Report upon
Amy McLaren,
Manager, who
is designated by
law to accept
service of
process on
behalf of
Warner Music
Group
Corporation by Defs: FRE 401-02, 403.
Personal on 73114, answer
due 8/21/2014
(MALOFIY,
FRANCIS)
Modified on
8/20/2014 (afm,
). [Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
08/19/2014)
(FILED
08/19//2014)
(ECF No. 18)
AFFIDAVIT of
Service by
Thomas J.
Crean re: served
Complaint,
Disclousure
Statement,
Defs: FRE 401-02, 403.
Report upon
Jeremy Kaplan,
Legal Dept.,
who is
designated by
law to accept
116

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 117 of 383 Page ID
#:6643
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21

3020

22
23
24
25
26
27
28
{00255828;1}

service of
process on
behalf of
Atlantic
Recording
Corp. by
Personal on 7
3114, answer
due 8/21/2014
(MALOFIY,
FRANCIS)
Modified on
8/20/2014 (afm,
). [Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
08/19/2014)
(FILED
08/19//2014)
(ECF No. 19)
MOTION for
Extension of
Time to File
Response to
Plaintiff's
Complaint filed
by ATLANTIC
RECORDING
CORPORATIO
N, JOHN
PAUL JONES,
JAMES
PATRICK
Defs: FRE 401-02, 403.
PAGE,
ROBERT
ANTHONY
PLANT,
RHINO
ENTERTAINM
ENT
COMPANY,
SUPER HYPE
PUBLISHING,
INC.,
WARNER
117

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 118 of 383 Page ID
#:6644
1

MUSIC
GROUP
CORP.,
WARNER/CH
APPELL
MUSIC, INC.,
LED
ZEPPELIN.Me
morandum of
Law, Certificate
of Service.
(Attachments: #
1 Proposed
Order, # 2
Memorandum
of Law, # 3
Exhibit A to
Memorandum
of Law, # 4
Certificate of
Service)(EIDEL
,
MICHAEL)[Tr
ansferred from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
08/20/2014)
(FILED
08/20//2014)
(ECF No. 20)

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
{00255828;1}

118

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

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#:6645
1
2
3
4
5
6
7
8
9
10
11
12
13
14

3021

15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

ORDERED
THAT
DEFENDANTS
' MOTION TO
EXTEND
TIME TO
RESPOND TO
PLAINTIFF'S
COMPLAINT
(DOC. 2 ) IS
GRANTED.
DEFENDANT
SHALL
ANSWER OR
OTHERWISE
RESPOND TO
THE
COMPLAINT
ON OR
BEFORE
9/22/2014. IT
IS FURTHER
ORDERED
PLAINTIFF'S
Defs: FRE 401-02, 403.
REQUEST
FOR AN
EXTENSION
OF TIME TO
RESPOND TO
ANY
MOTIONS
DEFENDANTS
MIGHT FILE
IS DENIED
WITHOUT
PREJUDICE
TO
REASSERTIO
N. SIGNED BY
HONORABLE
JUAN R.
SANCHEZ ON
8/20/2014.
8/21/2014
ENTERED
AND COPIES
EMAILED.(sg,)
[Transferred
119

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 120 of 383 Page ID
#:6646
1

from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
08/21/2014)
(FILED
08/20//2014)
(ECF No. 21)

2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19

3022

20
21
22
23
24
25
26
27
28
{00255828;1}

MOTION for
Pro Hac Vice
Admission of
Helene M.
Freeman,
Esquire filed by
JOHN PAUL
JONES,
JAMES
PATRICK
PAGE,
ROBERT
ANTHONY
PLANT.Certific
ate of
Service.(EIDEL Defs: FRE 401-02, 403.
, MICHAEL)
$40.00 FEE
PAID,
RECEIPT No.:
106741.
Modified on
8/27/2014 (sg,
). [Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
08/27/2014)
(FILED
120

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 121 of 383 Page ID
#:6647
1

08/27//2014)
(ECF No. 22)

2
3
4
5
6
7
8
9
10
11
12
13
14

3023

15
16
17
18
19
20
21

ORDERED
THAT THE
APPLICATION
FOR PRO HAC
VICE FOR
HELENEM.
FREEMAN IS
GRANTED.
SIGNED BY
HONORABLE
JUAN R.
SANCHEZ ON
8/27/2014.8/27/
2014
Defs: FRE 401-02, 403.
ENTERED
AND COPIES
EMAILED.(sg,)
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
08/27/2014)
(FILED
08/27//2014)
(ECF No. 23)

22
23
24
25
26
27
28
{00255828;1}

121

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

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#:6648
1
2
3
4
5
6
7
8
9
10
11
12
13

3024

14
15
16
17
18
19
20
21
22
23
24
25

MOTION for
Pro Hac Vice
Admission of
Peter J.
Anderson, Esq.
filed by
ATLANTIC
RECORDING
CORPORATIO
N, RHINO
ENTERTAINM
ENT
COMPANY,
SUPER HYPE
PUBLISHING,
INC.,
WARNER
MUSIC
GROUP
CORP.,
WARNER/CH
Defs: FRE 401-02, 403.
APPELL
MUSIC,
INC..Certificate
of
Service.(EIDEL
, MICHAEL)
$40.00 FEE
PAID,
RECEIPT No.:
107686.
Modified on
9/12/2014 (sg,
). [Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
09/10/2014)
(FILED
09/10//2014)
(ECF No. 24)

26
27
28
{00255828;1}

122

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#:6649
1
2
3
4
5
6
7
8
9

3025

10
11
12
13
14
15
16
17
18
19
20
21
22

3026

23
24
25
26
27
28
{00255828;1}

ORDERED
THAT THE
APPLICATION
FOR PRO HAC
VICE OF
PETER J.
ANDERSON IS
GRANTED.
SIGNED BY
HONORABLE
JUAN R.
SANCHEZ ON
9/11/2014.
9/12/2014
Defs: FRE 401-02, 403.
ENTERED
AND COPIES
MAILED AND
EMAILED. (sg,
) [Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
09/12/2014)
(FILED
09/11//2014)
(ECF No. 25)
Disclosure
Statement Form
pursuant to
FRCP 7.1
including WMG
Acquisition
Corp., WMG
Holdings Corp.,
Warner Music
Group Corp.,
Defs: FRE 401-02, 403.
Access
Industries, Inc.
with Certificate
of Service by
ATLANTIC
RECORDING
CORPORATIO
N, RHIN
ENTERTAINM
ENT
123

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Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 124 of 383 Page ID
#:6650
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21

3027

22
23
24
25
26
27
28
{00255828;1}

COMPANY,
SUPER HYPE
PUBLISHING,
INC.,
WARNER
MUSIC
GROUP
CORP.,
WARNER/CH
APPELL
MUSIC, INC..
(EIDEL,
MICHAEL)
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
09/16/2014)
(FILED
09/16//2014)
(ECF No. 26)
MOTION to
Dismiss or,
MOTION to
Transfer filed
by ATLANTIC
RECORDING
CORPORATIO
N, RHINO
ENTERTAINM
ENT
COMPANY,
SUPER HYPE
PUBLISHING, Defs: FRE 401-02, 403.
INC.,
WARNER
MUSIC
GROUP
CORP.,
WARNER/CH
APPELL
MUSIC,
INC..Memoran
dum,
Declarations,
Certificate of
124

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Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 125 of 383 Page ID
#:6651
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24

3028

25
26
27
28
{00255828;1}

Service.
(Attachments: #
1 Proposed
Order, # 2
Memorandum
of Law, # 3
Declaration of
Paul Robinson,
# 4 Declaration
of Peter J.
Anderson, # 5
Exhibit 3 to
Declaration of
Peter J.
Anderson, # 6
Exhibit 4 to
Declaration of
Peter J.
Anderson, # 7
Exhibit 5 to
Declaration of
Peter J.
Anderson)(EID
EL,
MICHAEL)
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
09/17/2014)
(FILED
09/17//2014)
(ECF No. 27)
MOTION to
Dismiss or,
MOTION to
Transfer filed
by JOHN
PAUL JONES,
JAMES
Defs: FRE 401-02, 403.
PATRICK
PAGE,
ROBERT
ANTHONY
PLANT.
Memorandum,
125

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Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 126 of 383 Page ID
#:6652
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22

3029

23
24
25
26
27
28
{00255828;1}

Declarations,
Certificate of
Service.
(Attachments: #
1 Proposed
Order, # 2
Memorandum
of Law, # 3
Declaration of
James Patrick
Page, # 4
Declaration of
John Paul
Jones, # 5
Declaration of
Robert Anthony
Plant)(EIDEL,
MICHAEL)
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
09/17/2014)
(FILED
09/17//2014)
(ECF No. 28)
Request for
Judicial Notice
in Support of
Motions to
Dismiss or
Transfer by
ATLANTIC
RECORDING
CORPORATIO
N, JOHN
Defs: FRE 401-02, 403.
PAUL JONES,
JAMES
PATRICK
PAGE,
ROBERT
ANTHONY
PLANT,
RHINO
ENTERTAINM
ENT
126

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Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 127 of 383 Page ID
#:6653
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22

3030

23
24
25
26
27
28
{00255828;1}

COMPANY,
SUPER HYPE
PUBLISHING,
INC.,
WARNER
MUSIC
GROUP
CORP.,
WARNER/CH
APPELL
MUSIC, INC..
(Attachments: #
1 Exhibit 1, # 2
Exhibit
2)(EIDEL,
MICHAEL)
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
09/17/2014)
(FILED
09/17//2014)
(ECF No. 29)
Declaration re
27 MOTION to
Dismiss or
MOTION to
Transfer , 28
MOTION to
Dismiss or
MOTION to
Transfer of
Michael Eidel,
Esquire by
Defs: FRE 401-02, 403.
ATLANTIC
RECORDING
CORPORATIO
N, JOHN
PAUL JONES,
JAMES
PATRICK
PAGE,
ROBERT
ANTHONY
PLANT,
127

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Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 128 of 383 Page ID
#:6654
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22

3031

23
24
25
26
27
28
{00255828;1}

RHINO
ENTERTAINM
ENT
COMPANY,
SUPER HYPE
PUBLISHING,
INC.,
WARNER
MUSIC
GROUP
CORP.,
WARNER/CH
APPELL
MUSIC, INC..
(EIDEL,
MICHAEL)
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
09/22/2014)
(FILED
09/22//2014)
(ECF No. 30)
AMENDED
COMPLAINT
against
ATLANTIC
RECORDING
CORPORATIO
N, JOHN
PAUL JONES,
JAMES
PATRICK
PAGE,
ROBERT
ANTHONY
PLANT,
RHINO
ENTERTAINM
ENT
COMPANY,
SUPER HYPE
PUBLISHING,
INC.,
WARNER

Defs: Defs MIL # 1, # 2, # 3, # 5, #


8, #14; FRE 401-02, 403, 404, 407,
408, 701-05, 802 & 805; assertions
as to substantial similarity barred by
failure to timely provide expert
disclosures as to relevant work
(1967 transcription), FRCP 26(a),
26(e) & 37(c)(1).

128

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Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 129 of 383 Page ID
#:6655
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21

3032

22
23
24
25
26
27
28
{00255828;1}

MUSIC
GROUP
CORP.,
WARNER/CH
APPELL
MUSIC, INC.,
LED
ZEPPELIN,
filed by
MICHAEL
SKIDMORE.
CERTIFICATE
OF SERVICE,
EXHIBITS.(sg,
) [Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
10/09/2014)
(FILED
10/08//2014)
(ECF No. 31)
ORDER THAT
A
TELEPHONE
CONFERENCE
REGARDING
DEFENDANTS
' PENDING
MOTIONS IS
SET FOR
10/10/2014 AT
02:30 PM
BEFORE
Defs: FRE 401-02, 403.
HONORABLE
JUAN R.
SANCHEZ.
SIGNED BY
HONORABLE
JUAN R.
SANCHEZ ON
10/9/2014.
10/9/2014
ENTERED
AND COPIES
EMAILED.
129

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Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 130 of 383 Page ID
#:6656
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17

3033

18
19
20
21
22
23
24
25
26
27

(stwe,)
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
10/09/2014)
(FILED
10/09//2014)
(ECF No. 32)
ORDERED
THAT THE
MOTIONS TO
DISMISS OR
TRANSFER
(DOC'S 27
AND 28) ARE
DENIED
WITHOUT
PREJUDICE
TO
REASSERTIO
N AS TO
PLAINTIFF'S
AMENDED
COMPLAINT.
SIGNED BY
HONORABLE
JUAN R.
SANCHEZ ON
10/10/2014.
10/10/2014
ENTERED
AND COPIES
EMAILED.(sg,
) [Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
10/10/2014)
(FILED
10/10//2014)
(ECF No. 33)

Defs: FRE 401-02, 403.

28
{00255828;1}

130

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#:6657
1
2
3
4
5
6

3034

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15
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17
18
19
20

3035

21
22
23
24
25
26
27
28
{00255828;1}

Minute Entry
for proceedings
held before
HONORABLE
JUAN R.
SANCHEZ:
Telephone
Conference held
on 10/10/2014
(sg, )
Defs: FRE 401-02, 403.
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
10/10/2014)
(FILED
10/10//2014)
(ECF No. 34)
MOTION to
Dismiss or,
MOTION to
Transfer
Directed to
Plaintiff's
Amended
Complaint filed
by ATLANTIC
RECORDING
CORPORATIO
N, RHINO
ENTERTAINM
ENT
Defs: FRE 401-02, 403.
COMPANY,
SUPER HYPE
PUBLISHING,
INC.,
WARNER
MUSIC
GROUP
CORP.,
WARNER/CH
APPELL
MUSIC,
INC..Memoran
dum of Law,
Declarations,
131

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 132 of 383 Page ID
#:6658
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

3036

26
27
28
{00255828;1}

Certificate of
Service.
(Attachments: #
1 Proposed
Order, # 2
Declaration of
Peter J.
Anderson, # 3
Exhibit 3 to
Declaration of
Peter J.
Anderson, # 4
Exhibit 4 to
Declaration of
Peter J.
Anderson, # 5
Exhibit 5 to
Declaration of
Peter J.
Anderson, # 6
Declaration of
Paul Robinson,
# 7 Declaration
of Scott
McDowell)(EI
DEL,
MICHAEL)
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
10/27/2014)
(FILED
10/27//2014)
(ECF No. 35)
MOTION to
Dismiss or,
MOTION to
Transfer
Directed to
Defs: FRE 401-02, 403.
Plaintiff's
Amended
Complaint filed
by JOHN
PAUL JONES,
JAMES
132

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 133 of 383 Page ID
#:6659
1

PATRICK
PAGE,
ROBERT

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3
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5
6
7
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12
13
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17
18
19
20
21
22
23
24

3037

25
26
27
28
{00255828;1}

ANTHONY
PLANT.Memor
andum of Law,
Declarations,
Certificate of
Service.
(Attachments: #
1 Proposed
Order, # 2
Declaration of
James Patrick
Page, # 3
Declaration of
John Paul
Jones, # 4
Declaration of
Robert Anthony
Plant)(EIDEL,
MICHAEL)
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
10/27/2014)
(FILED
10/27//2014)
(ECF No. 36)
Request for
Judicial Notice
in Support of
Motions to
Dismiss or
Transfer
Directed to
Defs: FRE 401-02, 403.
Plaintiff's
Amended
Complaint by
ATLANTIC
RECORDING
CORPORATIO
N, JOHN
133

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 134 of 383 Page ID
#:6660
1

PAUL JONES,
JAMES
PATRICK
PAGE,
ROBERT
ANTHONY
PLANT,
RHINO
ENTERTAINM
ENT
COMPANY,
SUPER HYPE
PUBLISHING,
INC.,
WARNER
MUSIC
GROUP
CORP.,
WARNER/CH
APPELL
MUSIC, INC..
(Attachments: #
1 Exhibit 1, # 2
Exhibit 2)
(EIDEL,
MICHAEL)
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
10/27/2014)
(FILED
10/27//2014)
(ECF No. 37)

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
{00255828;1}

134

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#:6661
1
2
3
4
5
6
7
8
9
10
11
12
13
14

3038

15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Declaration re
36 MOTION to
Dismiss or
MOTION to
Transfer
Directed to
Plaintiff's
Amended
Complaint, 35
MOTION to
Dismiss or
MOTION to
Transfer
Directed to
Plaintiff's
Amended
Complaint of
Michael Eidel,
Esquire by
ATLANTIC
RECORDING
CORPORATIO
N, JOHN
PAUL JONES,
Defs: FRE 401-02, 403.
JAMES
PATRICK
PAGE,
ROBERT
ANTHONY
PLANT,
RHINO
ENTERTAINM
ENT
COMPANY,
SUPER HYPE
PUBLISHING,
INC.,
WARNER
MUSIC
GROUP
CORP.,
WARNER/CH
APPELL
MUSIC, INC..
(EIDEL,
MICHAEL)
[Transferred
from
135

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 136 of 383 Page ID
#:6662
1

Pennsylvania
Eastern on
5/11/2015.]
(Entered:
10/27/2014)
(FILED
10/27//2014)
(ECF No. 38)

2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19

3039

20
21
22
23
24
25
26
27
28
{00255828;1}

STIPULATION
for Extension of
Time to File
Response/Reply
as to 36
MOTION to
Dismiss or
MOTION to
Transfer
Directed to
Plaintiff's
Amended
Complaint, 35
MOTION to
Dismiss or
MOTION to
Transfer
Defs: FRE 401-02, 403.
Directed to
Plaintiff's
Amended
Complaint
***Stipulation
Between the
Parties to
Extend the
Deadlines to
Respond and
Reply*** filed
by MICHAEL
SKIDMORE..(
MALOFIY,
FRANCIS)
Modified on
136

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 137 of 383 Page ID
#:6663
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20

3040

21
22
23
24
25
26
27
28
{00255828;1}

11/6/2014 (afm,
). (FILED IN
ERROR BY
ATTORNEY,
FORWARDED
TO JUDGE
FOR
APPROVAL)
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
11/05/2014)
(FILED
11/05//2014)
(ECF No. 39)
ORDERED
THAT THE
STIPULATION
TO EXTEND
DEADLINES
IS
APPROVED.
THE TIME
FOR
PLAINTIFF TO
FILE AND
SERVE HIS
OPPOSITION
TO
DEFENDANTS
Defs: FRE 401-02, 403.
' PENDING
MOTION TO
DISMISS OR
TRANSFER IS
EXTENDED
TO 11/24/2014.
THE TIME
FOR
DEFNEDANTS
TO FILE AND
SERVE THEIR
REPLY IS
EXTENDED
TO 12/10/2014.
SIGNED BY
137

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 138 of 383 Page ID
#:6664
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20

3041

21
22
23
24
25
26
27
28
{00255828;1}

HONORABLE
JUAN R.
SANCHEZ ON
11/6/2014.
11/6/2014
ENTERED
AND COPIES
EMAILED.(sg,
) [Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
11/06/2014)
(FILED
11/06//2014)
(ECF No. 40)
RESPONSE in
Opposition re
36 MOTION to
Dismiss or
MOTION to
Transfer
Directed to
Plaintiff's
Amended
Complaint, 35
MOTION to
Dismiss or
MOTION to
Transfer
Defs: Defs: FRE 401-02, 403, 404,
Directed to
Defs MIL # 1, # 2, # 5.
Plaintiff's
Amended
Complaint
***OMNIBUS
RESPONSE***
filed by
MICHAEL
SKIDMORE.
(Attachments: #
1
Memorandum,
# 2 Text of
Proposed Order,
# 3 Table of
Contents, # 4
138

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#:6665
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17

3042

18
19
20
21
22
23
24
25
26

Table of
Authorities)(M
ALOFIY,
FRANCIS)
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
11/24/2014)
(FILED
11/24//2014)
(ECF No. 41)
REQUEST for
Judicial Notice
In Support of
Plaintiff's
Omnibus
Response in
Opposition to
Defendants'
Motions to
Dismiss and
Transfer by
MICHAEL
SKIDMORE,
CERTIFICATE
OF SERVICE.
(MALOFIY,
FRANCIS)
Modified on
11/25/2014
(afm, ).
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
11/24/2014)
(FILED
11/24//2014)
(ECF No. 42)

Defs: FRE 401-02, 403.

27
28
{00255828;1}

139

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 140 of 383 Page ID
#:6666
1
2
3
4
5
6
7
8
9
10
11
12
13
14

3043

15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

OBJECTIONS
TO
PLAINTIFF'S
REQUEST
FOR
JUDICIAL
NOTICE IN
SUPPOR OF
PLAINTIFF'S
OPPOSITION
TO MOTION
TO DISMISS
OR
TRANSFER
PLAINTIFF'S
AMENDED
COMPLAINT
by ATLANTIC
RECORDING
CORPORATIO
N, JOHN
PAUL JONES,
JAMES
PATRICK
Defs: FRE 401-02, 403.
PAGE,
ROBERT
ANTHONY
PLANT,
RHINO
ENTERTAINM
ENT
COMPANY,
SUPER HYPE
PUBLISHING,
INC.,
WARNER
MUSIC
GROUP
CORP.,
WARNER/CH
APPELL
MUSIC, INC.,
CERTIFICATE
OF SERVICE
re 42
Praecipe/Reque
st (EIDEL,
MICHAEL)
140

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Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 141 of 383 Page ID
#:6667
1

Modified on
12/11/2014
(afm, ).
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
12/10/2014)
(FILED
12/10//2014)
(ECF No. 43)

2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19

3044

20
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22
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26
27
28
{00255828;1}

REPLY to
Response to
Motion re 27
MOTION to
Dismiss or
MOTION to
Transfer in
Support of
Motion to
Dismiss or
Transfer
Directed to
Plaintiff's
Amended
Complaint filed
by ATLANTIC Defs: FRE 401-02, 403.
RECORDING
CORPORATIO
N, RHINO
ENTERTAINM
ENT
COMPANY,
SUPER HYPE
PUBLISHING,
INC.,
WARNER
MUSIC
GROUP
CORP.,
WARNER/CH
APPELL
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#:6668
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2
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3045

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21
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23
24
25
26
27
28
{00255828;1}

MUSIC, INC.
(EIDEL,
MICHAEL)
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
12/10/2014)
(FILED
12/10//2014)
(ECF No. 44)
REPLY to
Response to
Motion re 28
MOTION to
Dismiss or
MOTION to
Transfer in
Support of
Motion to
Dismiss or
Transfer
Directed to
Plaintiff's
Amended
Complaint filed
by JOHN
PAUL JONES,
JAMES
PATRICK
PAGE,
ROBERT
ANTHONY
PLANT.
(EIDEL,
MICHAEL)
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
12/10/2014)
(FILED
12/10//2014)
(ECF No. 45)

Defs: FRE 401-02, 403.

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#:6669
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3
4
5
6
7
8
9
10
11

3046

12
13
14
15
16
17
18
19
20
21

ORDERED
THAT A
MOTION
HEARING ON
DEFENDANTS
MOTION TO
DISMISS OR
TRANSFER IS
SET FOR
1/16/2015 09:00
AM IN
COURTROOM
BEFORE
HONORABLE
JUAN R.
SANCHEZ.
ETC.. SIGNED
BY
Defs: FRE 401-02, 403.
HONORABLE
JUAN R.
SANCHEZ ON
12/18/2014.
12/18/2014
ENTERED
AND COPIES
EMAILED.(sg,
) [Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
12/18/2014)
(FILED
12/18//2014)
(ECF No. 46)

22
23
24
25
26
27
28
{00255828;1}

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#:6670
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2
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8
9
10
11
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13

3047

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22
23
24
25
26

NOTICE of
Appearance by
MATTHEW S.
OLESH on
behalf of
ATLANTIC
RECORDING
CORPORATIO
N, JOHN
PAUL JONES,
JAMES
PATRICK
PAGE,
ROBERT
ANTHONY
PLANT,
RHINO
ENTERTAINM
ENT
COMPANY,
SUPER HYPE
PUBLISHING,
Defs: FRE 401-02, 403.
INC.,
WARNER
MUSIC
GROUP
CORP.,
WARNER/CH
APPELL
MUSIC, INC.
with Certificate
of Service
(OLESH,
MATTHEW)
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
01/12/2015)
(FILED
01/12/2015)
(ECF No. 47)

27
28
{00255828;1}

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#:6671
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3048

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21
22
23
24

3049

25
26
27
28
{00255828;1}

ORDERED
THAT ORAL
AGRUMENT
SCHEDULED
FOR 1/16/2015
IS
RESCHEDULE
D TO
1/22/2015 02:00
PM BEFORE
HONORABLE
JUAN R.
SANCHEZ.
SIGNED BY
HONORABLE
JUAN R.
Defs: FRE 401-02, 403.
SANCHEZ ON
1/13/2015.
1/14/2015
ENTERED
AND COPIES
EMAILED.(sg,
) [Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
01/14/2015)
(FILED
01/13/2015)
(ECF No. 48)
ORDER THAT
ORAL
ARGUMENT
SCHEDULED
FOR 1/22/2015
IS
RESCHEDULE
D TO 2/4/2015
Defs: FRE 401-02, 403.
AT 2:00 P.M..
SIGNED BY
HONORABLE
JUAN R.
SANCHEZ ON
1/20/2015.
1/21/2015
ENTERED
145

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#:6672
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2
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5
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10
11
12
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18

3050

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28
{00255828;1}

AND COPIES
EMAILED.
(ems)
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
01/21/2015)
(FILED
01/20/2015)
(ECF No. 49)
Minute Entry
for proceedings
held before
HONORABLE
JUAN R.
SANCHEZ
Motion Hearing
held on
2/4/2015 re 36
MOTION to
Dismiss or
MOTION to
Transfer
Directed to
Plaintiff's
Amended
Complaint filed
by JOHN
Defs: FRE 401-02, 403.
PAUL JONES,
ROBERT
ANTHONY
PLANT,
JAMES
PATRICK
PAGE (sg, )
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
02/05/2015)
(FILED
02/05/2015)
(ECF No. 50)
146

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#:6673
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3
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8
9

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20
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23

3052

24
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26
27
28
{00255828;1}

Declaration re
41 Response in
Opposition to
Motion, on
Submission of
Evidence of
Defendants'
Jurisdictional
Contacts by
MICHAEL
SKIDMORE.
(Attachments: #
1 Exhibit 1 & 2,
# 2 Exhibit 3
(Part 1), # 3
Defs: FRE 401-02, 403.
Exhibit 3 (Part
2) &
4)(MALOFIY,
FRANCIS)
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
02/16/2015)
(FILED
02/16/2015)
(ECF No. 51)
TRANSCRIPT
of ORAL
ARGUMENT
held on
2/4/2015,
before Judge
JUAN R.
SANCHEZ.
Court
Reporter/Transc Defs: FRE 401-02, 403.
riber
DRUMMOND
TRANSCRIPTI
ON SERVICE.
Transcript may
be viewed at the
court public
terminal or
purchased
147

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#:6674
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2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24

3053

25
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27
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{00255828;1}

through the
Court
Reporter/Transc
riber before the
deadline for
Release of
Transcript
Restriction.
After that date it
may be
obtained
through
PACER..
Redaction
Request
du4/9/2015.
Redacted
Transcript
Deadline set for
4/20/2015.
Release of
Transcript
Restriction set
for 6/17/2015.
(sg, )
[Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
03/20/2015)
(FILED
03/19/2015)
(ECF No. 52)
Notice of Filing
of Official
Transcript with
Certificate of
Service re 52
Transcript
PDF, 3/20/2015 Defs: FRE 401-02, 403.
Entered and
Copies
Emailed. (sg, )
[Transferred
from
Pennsylvania
148

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#:6675
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2
3
4
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8
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11

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20
21
22
23

3055

24
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26
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28
{00255828;1}

Eastern on
5/11/2015.]
(Entered:
03/20/2015)
(FILED
03/19/2015)
(ECF No. 53)
MEMORAND
UM AND/OR
OPINION.
SIGNED BY
HONORABLE
JUAN R.
SANCHEZ ON
5/6/2015.
5/6/2015
ENTERED
AND COPIES
Defs: FRE 401-02, 403.
EMAILED.(sg,
) [Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
05/06/2015)
(FILED
05/06/2015)
(ECF No. 54)
ORDER THAT
DEFENDANTS
MOTION TO
DISMISS OR
TRANSFER IS
GRANTED IN
PART AS THE
DEFENDANTS
SEEK TO
HAVE THIS
Defs: FRE 401-02, 403.
CASE
TRANSFERRE
D TO THE
U.S.D.C. FOR
THE
CENTRAL
DISTRICT OF
CALIFORNIA,
WESTERN
149

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#:6676
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2
3
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5
6
7
8
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11
12
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20
21
22
23
24

3056

25
26
27
28
{00255828;1}

DIVISION. IT
IS FURTHER
ORDERED
THAT THE
THIS CASE
SHALL BE
TRANSFERRE
D
FORTHWITH
TO THE
U.S.D.C. FOR
THE
CENTRAL
DISTRICT OF
CALIFORNIA,
WESTERN
DIVISION.
SIGNED BY
HONORABLE
JUAN R.
SANCHEZ ON
5/6/2015.
5/6/2015
ENTERED
AND COPIES
EMAILED.(sg,
) [Transferred
from
Pennsylvania
Eastern on
5/11/2015.]
(Entered:
05/06/2015)
(FILED 55)
(ECF No. 55)
NOTICE OF
RECEIPT OF
CASE
TRANSFERRE
D IN: Formerly
Case Number:
2:14cv03089JS, Defs: FRE 401-02, 403.
from USDC
Eastern District
of Pennsylvania
(Philadelphia).
The abovereferenced case
150

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#:6677
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3058

20
21
22
23

has been
transferred to
this district and
assigned the
above civil case
number 2:15cv03462RGK
(AGRx). (et)
(Entered:
05/11/2015)
(FILED
05/08/2015)
(ECG No. 57)
NOTICE OF
ASSIGNMENT
to District
Judge R. Gary
Klausner and
Magistrate
Judge Alicia G. Defs: FRE 401-02, 403.
Rosenberg. (et)
(Entered:
05/11/2015)
(FILED
05/08/2015)
(ECG No. 58)
ORIGINAL
file, certified
copy of transfer
order and
docket sheet
received from
Pennsylvania
Defs: FRE 401-02, 403.
Eastern
(Entered:
05/11/2015)
(FILED
05/11/2015)
(ECF No. 56)

24
25
26
27
28
{00255828;1}

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#:6678
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3059

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24
25
26
27
28
{00255828;1}

NOTICE OF
FILING FEE
DUE on Pro
Hac Vice
Application
mailed to
attorney Francis
A Malofiy for
Plaintiff
MICHAEL
SKIDMORE. re
Complaint
(Discovery), 1 .
Pro Hac Vice
application has
not been
received by the
court. Please
return your
completed
Application of
NonResident
Attorney to
Appear in a
Defs: FRE 401-02, 403.
Specific Case,
form G64, or a
copy of the
Notice of
Electronic
Filing of your
application and
the $325.00 fee
and this notice
immediately.
Outofstate
federal
government
attorneys who
are not
employed by
the U.S.
Department of
Justice are
required to file
a Pro Hac Vice
application;no
filing fee is
required. (et)
152

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#:6679
1

(Entered:
05/11/2015)
(FILED
05/11/2015)
(ECF No. 59)

2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19

3060

20
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22
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24
25
26
27
28
{00255828;1}

NOTICE OF
FILING FEE
DUE on Pro
Hac Vice
Application
mailed to
attorney
Michael L Eidel
for Defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James Defs: FRE 401-02, 403.
Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music Inc,
LED
ZEPPELIN. re
Complaint
(Discovery) 1 .
Pro Hac Vice
153

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#:6680
1

application has
not been
received by the
court. Please
return your
completed
Application of
NonResident
Attorney to
Appear in a
Specific Case,
form G64, or a
copy of the
Notice of
Electronic
Filing of your
application and
the $325.00 fee
and this notice
immediately.
Outofstate
federal
government
attorneys who
are not
employed by
the U.S.
Department of
Justice are
required to file
a Pro Hac Vice
application;no
filing fee is
required. (et)
(Entered:
05/11/2015)
(FILED
05/11/2015)
(ECF No. 60)

2
3
4
5
6
7
8
9
10
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16
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18
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20
21
22
23
24
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26
27
28
{00255828;1}

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3
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8
9
10
11
12
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14

3061

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20
21
22
23
24
25
26
27
28
{00255828;1}

NOTICE OF
FILING FEE
DUE on Pro
Hac Vice
Application
mailed to
attorney
MATTHEW S
OLESH for
Defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music Inc,
LED
ZEPPELIN. re
Complaint
(Discovery) 1 .
Pro Hac Vice
application has
not been
received by the
court. Please
return your
completed
Application of
NonResident
Attorney to
Appear in a
Specific Case,
form G64, or a
copy of the
Notice of

Defs: FRE 401-02, 403.

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#:6682
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22

3062

23
24
25
26
27
28
{00255828;1}

Electronic
Filing of your
application and
the $325.00 fee
and this notice
immediately.
Outofstate
federal
government
attorneys who
are not
employed by
the U.S.
Department of
Justice are
required to file
a Pro Hac Vice
application;no
filing fee is
required. (et)
(Entered:
05/11/2015)
(FILED
05/11/2015)
(ECF No. 61)
TEXT ONLY
ENTRY:
Magistrate
Judge Alicia G.
Rosenberg is
participating in
a pilot project
regarding the
submission of
SEALED
DOCUMENTS.
Effective July 8, Defs: FRE 401-02, 403.
2013, all
proposed sealed
documents
pertaining to
discovery
matters referred
to the
magistrate
judge must be
submitted via email to the
156

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#:6683
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2
3
4
5
6
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8
9
10
11
12
13
14
15
16
17
18
19
20
21
22

3063

23
24
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27
28
{00255828;1}

Judges
Chambers email
address at
AGR_Chamber
s@cacd.uscourt
s.gov. Please
refer to the
judges
procedures and
schedules for
detailed
instructions for
submission of
sealed
documents.
THERE IS NO
PDF
DOCUMENT
ASSOCIATED
WITH THIS
ENTRY. (mp)
TEXT ONLY
ENTRY
(Entered:
05/12/2015)
(FILED
05/12/2015)
(ECF No. 62)
APPLICATION
for attorney
Helene M.
Freeman to
Appear Pro Hac
Vice (PHV Fee
of $325 receipt
number 097315714930 paid.)
filed by
Defs: FRE 401-02, 403.
defendants John
Paul Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page.
(Attachments: #
1 Certificate of
Good Standing,
# 2 Proposed
157

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#:6684
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2
3
4
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7
8
9
10
11
12
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17
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19
20
21

3064

22
23
24
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26
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28
{00255828;1}

Order)(Attorney
Peter J
Anderson added
to party John
Paul
Jones(pty:dft),
Attorney Peter J
Anderson added
to party
ROBERT
ANTHONY
PLANT
(pty:dft),
Attorney Peter J
Anderson added
to party James
Patrick
Page(pty:dft))(
Anderson,
Peter) (Entered:
05/13/2015)
(FILED
05/13/2015)
(ECF No. 63)
Request for
Refund filed by
Defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Defs: FRE 401-02, 403.
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music Inc re:
APPLICATION
for attorney
158

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2
3
4
5
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8
9
10
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12
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14
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16
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18

3065

19
20
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23
24
25
26
27
28
{00255828;1}

Helene M.
Freeman to
Appear Pro Hac
Vice(PHV Fee
of $325 receipt
number 0973
15714930 paid.)
63 (Anderson,
Peter) (Entered:
05/13/2015)
(FILED
05/13/2015)
(ECF No. 64)
NOTICE TO
FILER OF
DEFICIENCIE
S in
Electronically
Filed
Documents RE:
APPLICATION
for attorney
Helene M.
Freeman to
Appear Pro Hac
Vice(PHV Fee
of $325 receipt
number 097315714930 paid.)
63 . The
following
Defs: FRE 401-02, 403.
error(s) was
found: Other
error(s) with
document(s) are
specified below:
No signature on
Application.
Local counsel
did not sign the
application. See
LR 111. See
Instructions for
Applicants (1)
(G64). In
response to this
notice the court
may order (1)
159

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#:6686
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2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21

3066

22
23
24
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26
27
28
{00255828;1}

an amended or
correct
document to be
filed (2) the
document
stricken or (3)
take other
action as the
court deems
appropriate.
You need not
take any action
in response to
this notice
unless and until
the court directs
you to do so.
(lt) (Entered:
05/14/2015)
(FILED
05/14/2015)
(ECF No. 65)
ORDER ON
APPLICATION
OF NONRESIDENT
ATTORNEY
TO APPEAR
IN A SPECIFIC
CASE PRO
HAC VICE by
Judge R. Gary
Klausner:
granting 63
Application to
Defs: FRE 401-02, 403.
Appear Pro Hac
Vice by
Attorney
Helene M.
Freeman on
behalf of
Defendants
James Page,
Robert Plant
and John Jones,
designating
Peter J.
Anderson as
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local counsel.
(lt) (Entered:
05/15/2015)
(FILED
05/14/5018)
(ECF No. 66)

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3067

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{00255828;1}

Notice of
Appearance or
Withdrawal of
Counsel: for
attorney
Michael L Eidel
counsel for
Defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Defs: FRE 401-02, 403.
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music Inc.
Michael Eidel,
Matthew S.
Olesh is no
longer counsel
of record for the
aforementioned
party in this
case for the
reason indicated
in the G123
Notice. Filed by
defendants
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3068

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Super Hype
Publishing, Inc.,
Warner Music
Group Corp.,
Warner/Chappe
ll Music, Inc.,
Atlantic
Recording
Corporation,
Rhino
Entertainment
Company,
James Patrick
Page, Robert
Anthony Plant
and John Paul
Jones (Eidel,
Michael)
(Entered:
05/15/2015)
(FILED
05/15/2015)
(ECF No. 67)
ANSWER to
Amended
Complaint, 31
filed by
Defendant John
Paul Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
LED
ZEPPELIN.(Att Defs: FRE 403.
orney Helene M
Freeman added
to party LED
ZEPPELIN(pty:
dft))(Freeman,
Helene)
(Entered:
05/20/2015)
(FILED
05/20/2015)
(ECF No. 68)

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{00255828;1}

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3069

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ANSWER to
Amended
Complaint, 31
filed by
defendants
Atlantic
Recording
Corporation,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music
Inc.(Anderson,
Peter) (Entered:
05/20/2015)
(FILED
05/20/2015)
(ECF No. 69)

Defs: FRE 403.

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{00255828;1}

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12
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3070

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{00255828;1}

ORDER
SETTING
SCHEDULING
CONFERENCE
by Judge R.
Gary Klausner.
A scheduling
conference has
been placed on
calendar for
August 24,
2015 at 9:00
a.m. The
Conference will
be held
pursuant to
F.R.Civ. P.
16(b). Trial
counsel must be
present and
there are no
telephonic
appearances.
Counsel are
Defs: FRE 401-02, 403.
ordered to file a
joint statement
providing a
brief factual
summary of the
case, including
the claims being
asserted. The
parties are
reminded of
their obligations
to disclose
information and
confer on a
discovery plan
not later than 21
days prior to the
scheduling
conference, and
to file a joint
statement with
the Court not
later than 14
days after they
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confer, as
required by F.R.
Civ.P. 26 and
the Local Rules
of this Court.
Failure to
comply may
lead to the
imposition of
sanctions.
Plaintiff's
counsel is
directed to give
notice of the
scheduling
conference to
each party that
makes an initial
appearance in
the action after
this date. Not
later than 5
court days prior
to the
Scheduling
Conference,
counsel are
ordered to
confer and
electronically
file (joint) Form
ADR1 (and
proposed order,
Form ADR 12),
selecting one of
the three
settlement
options
available. (sw)
(Entered:
05/21/2015)
(FILED
05/21/2015)
(ECF No. 70)

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{00255828;1}

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3071

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3072

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STANDING
ORDER
REGARDING
NEWLY
ASSIGNED
CASES by
Judge R. Gary
Klausner, (bp)
(Entered:
05/28/2015)
(FILED
05/27/2015)
(ECF No. 71)
NOTICE TO
ALL PARTIES
AND ORDER
by Judge R.
Gary Klausner.
The Scheduling
Conference,
calendared for
hearing on
08/24/2015 at
9:00 am, has
been
ADVANCED
TO 08/17/2015
at 9:00
AM.THERE IS
NO PDF
DOCUMENT
ASSOCIATED
WITH THIS
ENTRY. (sw)
TEXT ONLY
ENTRY
(Entered:
07/28/2015)
(FILED
07/28/2015)
(ECF No. 72)

Defs: FRE 401-02, 403.

Defs: FRE 401-02, 403.

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3073

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3074

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{00255828;1}

APPLICATION
for attorney
Francis Malofiy
to Appear Pro
Hac Vice (PHV
Fee of $325
receipt number
097316178019
paid.) filed by
Plaintiff
MICHAEL
SKIDMORE.
(Attachments: #
Defs: FRE 401-02, 403.
1 Proposed
Order)
(Attorney Glen
L Kulik added
to party
MICHAEL
SKIDMORE(pt
y:pla)) (Kulik,
Glen) (Entered:
07/30/2015)
(FILED
07/30/2015)
(ECF No. 73)
ORDER by
Judge R. Gary
Klausner:
granting 73
APPLICATION
to Appear Pro
Hac Vice by
Attorney
Francis Malofiy
on behalf of
Defs: FRE 401-02, 403.
Plaintiff
Michael
Skidmore,
designating
Glen L. Kulik
as local counsel.
(pso) (Entered:
07/31/2015)
(FILED
07/31/2015)
(ECF No. 74)
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3075

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3076

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{00255828;1}

JOINT
REPORT Rule
26(f) Discovery
Plan ; estimated
length of trial
15 court days,
filed by
Defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Defs: FRE 401-02, 403.
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music Inc..
(Anderson,
Peter) (Entered:
08/10/2015)
(FILED
08/10/2015)
(ECF No. 75)
REQUEST for
ADR Procedure
No. 1 filed.
Parties request
to Appear
Before The
Honorable
Alicia G.
Defs: FRE 401-02, 403.
Rosenberg for
settlement
proceedings.
Filed by
Plaintiff
MICHAEL
SKIDMORE.
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{00255828;1}

(Attachments: #
1 Proposed
Order)(Malofiy,
Francis)
(Entered:
08/10/2015)
(FILED
08/10/2015)
(ECF No. 76)
ORDER/REFE
RRAL to ADR
Procedure No. 1
by Judge R.
Gary Klausner.
Case ordered to
Magistrate
Judge
Defs: FRE 401-02, 403.
Rosenberg for
Settlement
Conference.
(sw) (Entered:
08/12/2015)
(FILED
08/12/2015)
(ECF No. 77)
MINUTES OF
Scheduling
Conference held
before Judge R.
Gary Klausner.
Amended
Pleadings due
by 10/20/2015.
Discovery cutoff 2/11/2016.
Motions due by
2/25/2016.
Defs: FRE 401-02, 403.
Pretrial
Conference set
for 4/25/2016
09:00 AM. Jury
Trial set for
5/10/2016 09:00
AM.Court
Reporter:
Sandra
MacNeil. (cr)
(Entered:
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08/17/2015)
(FILED
08/17/2015)
(ECF No. 78)

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3079

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ORDER RE
JURY TRIAL
by Judge R.
Gary Klausner.
Pretrial
Conference set
for 4/25/2016
09:00 AM. Jury
Trial set for
5/10/2016 09:00 Defs: FRE 401-02, 403.
AM. Please
refer to the
Court's order
for specifics.
(cr) (Entered:
08/17/2015)
(FILED
08/17/2015)
(ECF No. 79)

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3080

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{00255828;1}

MINUTE
ORDER (IN
CHAMBERS)
RE:
SETTLEMENT
CONFERENCE
by Magistrate
Judge Alicia G.
Rosenberg re:
Order/Referral
to ADR (No 1)
(Judge) (ADR12) 77 . This
case has been
referred to
Magistrate
Judge
Rosenberg for
settlement.
Plaintiff's
counsel shall
contact
Magistrate
Judge
Defs: FRE 401-02, 403.
Rosenberg's
deputy clerk,
Marine
Pogosyan, (213)
8945419, to
obtain available
dates for a
settlement
conference.
Plaintiff's
counsel shall
contact
Magistrate
Judge
Rosenberg's
deputy clerk
with enough
time so that the
settlement
conference date
is early enough
to comply with
any deadlines
imposed by the
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3081

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{00255828;1}

District Judge
or the Local
Rules of this
District. After
obtaining
available dates
from Magistrate
Judge
Rosenberg's
deputy clerk,
counsel for the
parties shall
confer with
each other and
select one of the
settlement
conference date
selected by
parties. Please
note that all
settlement
conferences
begin at 1:30
p.m. and are
usually
conducted on a
Tuesday or
Wednesday. IT
IS SO
ORDERED.
(mp) (Entered:
10/15/2015)
(FILED
1015/2015)
(ECF No. 80)
STIPULATION
for Protective
Order filed by
defendants
Atlantic
Recording
Corporation,
Defs: FRE 401-02, 403.
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
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3082

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3083

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{00255828;1}

Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music
Inc.(Anderson,
Peter) (Entered:
12/24/2015)
(FILED
12/24/2015)
(ECF No. 81)
STIPULATED
PROTECTIVE
ORDER by
Magistrate
Judge Alicia G.
Rosenberg. re
Stipulation for
Protective
Defs: FRE 401-02, 403.
Order 81 . (See
Order for
Further Details)
(kl) (Entered:
12/28/2015)
(FILED
12/28/2015)
(ECF No. 82)
NOTICE OF
MOTION AND
MOTION to
Compel
compliance
with Requests
for Production
and response to
Defs: FRE 401-02, 403.
Interrogatory
filed by
defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
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{00255828;1}

ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music Inc.
Motion set for
hearing on
2/2/2016 at
10:30 AM
before
Magistrate
Judge Alicia G.
Rosenberg.
(Attachments: #
1 Joint
Stipulation)(An
derson, Peter)
(Entered:
01/12/2016)
(FILED
01/12/2016)
(ECF No. 83)
APPLICATION
to file document
Fifth
Amendment to
Randy Craig
Wolfe Trust,
under seal filed
by Defendants
Atlantic
Defs: FRE 401-02, 403.
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
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3085

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{00255828;1}

Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music Inc.
(Attachments: #
1 Proposed
Order)(Anderso
n, Peter)
(Entered:
01/12/2016)
(FILED
01/12/2016)
(ECF No. 84)
SEALED
DECLARATIO
N IN
SUPPORT OF
APPLICATION
to file document
Fifth
Amendment to
Randy Craig
Wolfe Trust,
under seal 84
filed by
Defendants
Atlantic
Recording
Defs: FRE 401-02, 403.
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
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3086

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{00255828;1}

Corp,
Warner/Chappe
ll Music Inc.
(Attachments: #
1 Unredacted
Document)(And
erson, Peter)
(Entered:
01/12/2016)
(FILED
01/12/2016)
(ECF No. 85)
NOTICE OF
ERRATA filed
by defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner Defs: FRE 401-02, 403.
Music Group
Corp,
Warner/Chappe
ll Music Inc. re
pending Motion
to Compel
(Attachments: #
1 Joint
Stipulation re
Motion to
Compel)(Ander
son, Peter)
(Entered:
01/12/2016)
(FILED
01/12/2016)
(ECF No. 86)
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3087

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3088

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{00255828;1}

SUPPLEMENT
to MOTION to
Compel
compliance
with Requests
for Production
and response to
Interrogatory 83
,
SUPPLEMENT
AL
MEMORAND
UM filed by
Defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
Defs: FRE 401-02, 403.
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music Inc.
(Anderson,
Peter) (Entered:
01/19/2016)
(FILED
01/19/2016)
(ECF No. 87)
TEXT ONLY
ENTRY by
Magistrate
Judge Alicia G.
Rosenberg.
Defs: FRE 401-02, 403.
Defendants'
Motion to
Compel
Plaintiff to
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3089

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{00255828;1}

Comply with
Discovery 83
scheduled for
February 2,
2016 10:00 a.m.
is VACATED.
A separate
minute order
will issue.
THERE IS NO
PDF
DOCUMENT
ASSOCIATED
WITH THIS
ENTRY. (mp)
TEXT ONLY
ENTRY
(Entered:
01/29/2016)
(FILED
01/29/2016)
(ECF No. 88)
MINUTES (IN
CHAMBERS)
by Magistrate
Judge Alicia G.
Rosenberg:
denying 83
Motion to
Compel.
DEFENDANTS
' MOTION TO
COMPEL
DISCOVERY.
On January 12,
Defs: FRE 401-02, 403.
2016,
Defendants
filed a motion
to compel
Plaintiff to
provide further
responses to
Document
Request Nos. 9,
10 and 18, and
Interrogatory
No. 2. (Dkt.
Nos. 8386.) On
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{00255828;1}

January 19,
2016,
Defendants
filed a
supplemental
memorandum.
(Dkt. No. 87.)
The motion is
appropriate for
adjudication
without oral
argument. IT IS
HEREBY
ORDERED that
Defendants
motion to
compel
discovery is
DENIED. (See
Order for
details.) (mp)
(Entered:
01/29/2016)
(FILED
01/29/2016)
(ECF No. 89)
ORDER ON
APPLICATION
FOR LEAVE
TO FILE
UNDER SEAL
by Magistrate
Judge Alicia G.
Rosenberg:
granting 84
APPLICATION
to Seal
Defs: FRE 401-02, 403.
Document Re:
APPLICATION
to file document
Fifth
Amendment to
Randy Craig
Wolfe Trust,
under seal 84 .
The Court
having
considered the
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1

Application of
defendants
James Patrick
Page, Robert
Anthony Plant,
John Paul
Jones,
Warner/Chappe
ll Music, Inc.,
Super Hype
Publishing, Inc.,
Atlantic
Recording
Corporation,
Rhino
Entertainment
Company and
Warner Music
Group Inc. for
leave to file
under seal, and
the submission
of plaintiff
Michael
Skidmore, and
for good cause
shown, IT IS
HEREBY
ORDERED
that: The
Application be
and hereby is
granted and the
following
document is
ordered filed
under seal:
"Fifth
Amendment to
Randy Craig
Wolfe Trust
Dated February
26, 2002." (mp)
(Entered:
01/29/2016)
(FILED
01/29/2016)
(ECF No. 90)

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10
11
12
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14
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{00255828;1}

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#:6707
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3091

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3092

27
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{00255828;1}

First EX
PARTE
APPLICATION
to Extend
Discovery CutOff Date to
3/25/2016 filed
by Plaintiff
MICHAEL
SKIDMORE.
(Attachments: #
1 Declaration of
Francis Malofiy
In Support of
Plaintiff's Ex
Parte
Application, # 2
Declaration of
Francis Malofiy
on MultiTracks Defs: FRE 401-02, 403.
in Support of
Plaintiff's Ex
Parte
Application, # 3
Declaration of
Glen Kulik in
Support of
Plaintiff's Ex
Parte
Application, # 4
Proposed
Order)
(Malofiy,
Francis)
(Entered:
02/02/2016)
(FILED
02/02/2016)
(ECF No. 91)
OPPOSITION
to First EX
PARTE
APPLICATION
to Extend
Defs: FRE 401-02, 403.
Discovery CutOff Date to
3/25/2016 91
filed by
181

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#:6708
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16
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20
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22

3093

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{00255828;1}

Defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music Inc.
(Anderson,
Peter) (Entered:
02/03/2016)
(FILED
02/03/2016)
(ECF No. 92)
SEALED
DOCUMENT
FIFTH
AMENDMENT
TO TRUST
AGREEMENT
re Order on
Motion for
Leave to File
Document
Under Seal,,, 90
.
,
APPLICATION
to file document
Fifth
Amendment to
Randy Craig
Wolfe Trust,
under seal 84
filed by
Defendants
Atlantic
182

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#:6709
1
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7
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20
21

3094

22
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24
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{00255828;1}

Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music
Inc.(Anderson,
Peter) (Entered:
02/03/2016)
(FILED
02/03/2016)
(ECF No. 93)
MINUTE
ORDER IN
CHAMBERS
by Magistrate
Judge Alicia G.
Rosenberg: re:
Minutes of In
Chambers
Order/Directive
no proceeding
held 80 .
SETTLEMENT
CONFERENCE
ORDER. IT IS
ORDERED that
the parties shall
appear for a
settlement
conference on
March 23,
2016, 1:30 p.m.,
at 312 N.
Spring Street,
Los Angeles,
183

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#:6710
1

California, in
Courtroom "B"
8th floor. On or
before March
16, 2016, each
party shall
deliver or fax to
the chambers of
Magistrate
Judge Alicia G.
Rosenberg at
(213) 8942934
a Confidential
Settlement
Conference
Statement.
EACH PARTY
SHALL
APPEAR AT
THE
SETTLEMENT
CONFERENCE
IN PERSON,
absent Court
permission to
participate
telephonically.
The appearing
party, or party
representative,
is to have
authority to
settle the case.
(See Order for
details.) (mp)
(Entered:
02/04/2016)
(FILED
02/04/2016)
(ECF No. 94)

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{00255828;1}

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#:6711
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3095

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3096

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{00255828;1}

ORDER
DENYING
PLAINTIFF'S
FIRST EX
PARTE
APPLICATION
TO MODIY
SCHEDULING
ORDER by
Judge R.Gary Defs: FRE 401-02, 403.
Klausner 91.
DENIED BY
ORDER OF
THE COURT.
(pso) (Entered:
02/02/2016)
(FILED
02/05/2016)
(ECF NO. 95)
NOTICE TO
FILER OF
DEFICIENCIE
S in
Electronically
Filed
Documents RE:
Sealed
Document, 93 .
The following
error(s) was
found: Title
page is missing.
In response to
this notice the
court may order
(1) an amended
or correct
document to be
filed (2) the
document
stricken or (3)
take other
action as the
court deems
appropriate.
You need not
take any action
in response to
185

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#:6712
1

this notice
unless and until
the court directs
you to do so.
(bp) (Entered:
02/10/2016)
(FILED
02/04/2016)
(ECF No. 96)

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3097

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{00255828;1}

NOTICE OF
MOTION AND
MOTION for
Summary
Judgment as to
First Amended
Complaint and
each claim
therein ,
NOTICE OF
MOTION AND
MOTION for
Partial
Summary
Judgment as to
issues not in
substantial
dispute filed by Defs: FRE 401-02, 403.
defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
186

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#:6713
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12
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18
19
20

3098

21
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Corp,
Warner/Chappe
ll Music Inc.
Motion set for
hearing on
3/28/2016 at
09:00 AM
before Judge R.
Gary Klausner.
(Attachments: #
1
Memorandum,
# 2 Declaration
of J Page, # 3
Declaration of
R Plant, # 4
Declaration of J
P Jones, # 5
Declaration of
L Ferrara,
(FILED
02/25/2016)
(ECF NO. 97)
NOTICE OF
MOTION AND
MOTION to
Amend
Amended
Complaint, 31
filed by
Plaintiff
MICHAEL
SKIDMORE.
Motion set for
Defs: FRE 401-02, 403.
hearing on
3/28/2016 at
09:00 AM
before Judge R.
Gary Klausner.
(Kulik, Glen)
(Entered:
02/25/2016)
(FILED
02/25/2016)
(ECF No. 98)

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#:6714
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3099

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3100

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3101

27
28
{00255828;1}

DECLARATIO
N of Glen L.
Kulik in support
of NOTICE OF
MOTION AND
MOTION to
Amend
Amended
Complaint, 31
98 filed by
Defs: FRE 401-02, 403.
Plaintiff
MICHAEL
SKIDMORE.
(Kulik, Glen)
(Entered:
02/25/2016)
(FILED
02/25/2016)
(ECF No. 99)
DECLARATIO
N of Francis
Malofiy in
support of
NOTICE OF
MOTION AND
MOTION to
Amend
Amended
Complaint, 31
Defs: FRE 401-02, 403.
98 filed by
Plaintiff
MICHAEL
SKIDMORE.
(Kulik, Glen)
(Entered:
02/25/2016)
(FILED
02/25/2016)
(ECF No. 100)
NOTICE OF
MOTION AND
MOTION to
Amend
Amended
Defs: FRE 401-02, 403.
Complaint, 31
[Filed again to
attach Proposed
Order attached]
188

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#:6715
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8
9
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11
12
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3102

19
20
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23
24
25

filed by
Plaintiff
MICHAEL
SKIDMORE.
Motion set for
hearing on
3/28/2016 at
09:00 AM
before Judge R.
Gary Klausner.
(Attachments: #
1 Proposed
Order) (Kulik,
Glen) (Entered:
02/25/2016)
(FILED
02/25/2016)
(ECF No. 101)
APPLICATION
to file document
Exhibits 19 to
Declaration of
Glen Kulik in
Support of
Motion for
Leave to Amend
Complaint to
Add Defendants
under seal filed
by Plaintiff
MICHAEL
Defs: FRE 401-02, 403.
SKIDMORE.
(Attachments: #
1 Proposed
Order, # 2
Redacted
Document)(Kul
ik, Glen)
(Entered:
02/25/2016)
(FILED
02/25/2016)
(ECF No. 102)

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{00255828;1}

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#:6716
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11
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3103

13
14
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19
20
21
22
23
24

SEALED
DECLARATIO
N IN
SUPPORT OF
APPLICATION
to file document
Exhibits 19 to
Declaration of
Glen Kulik in
Support of
Motion for
Leave to Amend
Complaint to
Add Defendants
under seal 102
filed by
Plaintiff
MICHAEL
SKIDMORE.
(Attachments: #
Defs: FRE 401-02, 403.
1 Unredacted
Document
Exhibits 13, # 2
Unredacted
Document
Exhibits 46, # 3
Unredacted
Document
Exhibit 7, # 4
Unredacted
Document
Exhibit 8, # 5
Unredacted
Document
Exhibit
9)(Kulik, Glen)
(Entered:
02/25/2016)
(FILED
02/25/2016)
(ECF No. 103

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{00255828;1}

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#:6717
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3104

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3105

23
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{00255828;1}

DECLARATIO
N of Glen L.
Kulik in
Support of
APPLICATION
to file document
Exhibits 19 to
Declaration of
Glen Kulik in
Support of
Motion for
Leave to
Amend
Defs: FRE 401-02, 403.
Complaint to
Add Defendants
under seal 102
filed by
Plaintiff
MICHAEL
SKIDMORE.
(Kulik, Glen)
(Entered:
02/25/2016)
(FILED
02/25/2016)
(ECF No. 104)
Amendment to
NOTICE OF
MOTION AND
MOTION for
Summary
Judgment as to
First Amended
Complaint and
each claim
therein
NOTICE OF
Defs: FRE 401-02, 403.
MOTION AND
MOTION for
Partial
Summary
Judgment as to
issues not in
substantial
dispute 97;
Amended
Proposed
Statement of
191

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#:6718
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3106

24
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{00255828;1}

Uncontroverted
Facts and
Conclusions of
Law. filed by
Defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music Inc.
(Anderson,
Peter) (Entered:
02/25/2016)
(FILED
02/25/2016)
(ECF No. 105)
RESPONSE IN
SUPPORT of
APPLICATION
to file document
Exhibits 19 to
Declaration of
Glen Kulik in
Support of
Motion for
Defs: FRE 401-02, 403.
Leave to
Amend
Complaint to
Add Defendants
under seal 102
filed by
Defendants
Atlantic
Recording
192

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

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#:6719
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12
13
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16
17
18
19
20
21

3107

22
23
24
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26
27
28
{00255828;1}

Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music Inc.
(Anderson,
Peter) (Entered:
03/01/2016)
(FILED
03/01/2016)
(ECF No. 106)
SEALED
DECLARATIO
N IN
SUPPORT OF
APPLICATION
to file document
Exhibits 19 to
Declaration of
Glen Kulik in
Support of
Motion for
Leave to Amend
Defs: FRE 401-02, 403.
Complaint to
Add Defendants
under seal 102
filed by
Defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
193

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#:6720
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3108

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23
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27
28
{00255828;1}

Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music Inc.
(Attachments: #
1 Declaration re
Exhibit
9)(Anderson,
Peter) (Entered:
03/01/2016)
(FILED
03/01/2016)
(ECF No. 107)
NOTICE OF
LODGING OF
PROPOSED
ORDER RE
APPLICATION
TO SEAL
EXHIBITS re
APPLICATION
to file document
Exhibits 19 to
Declaration of
Glen Kulik in
Support of
Motion for
Defs: FRE 401-02, 403.
Leave to Amend
Complaint to
Add Defendants
under seal 102
filed by
Defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
194

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#:6721
1
2
3
4
5
6
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8
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11
12
13
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19
20

3109

21
22
23
24
25
26
27
28
{00255828;1}

Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music Inc.
(Attachments: #
1 Proposed
Order)
(Anderson,
Peter) (Entered:
03/01/2016)
(FILED
03/01/2016)
(ECF No. 108)
NOTICE TO
FILER OF
DEFICIENCIE
S in
Electronically
Filed
Documents RE:
Amendment
(Motion
related),, 105 .
The following
error(s) was
found: Other
error(s) with
Defs: FRE 401-02, 403.
document(s) are
specified below:
This document
is to be
submitted as an
attachment to a
"Notice of
Lodging.". In
response to this
notice the court
may order (1)
an amended or
correct
document to be
195

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#:6722
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2
3
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5
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7
8
9
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11
12
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3110

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23
24
25

3111

26
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28
{00255828;1}

filed (2) the


document
stricken or (3)
take other
action as the
court deems
appropriate.
You need not
take any action
in response to
this notice
unless and until
the court directs
you to do so.
(bp) (Entered:
03/01/2016)
(FILED
02/29/2016)
(ECF No. 109
EX PARTE
APPLICATION
for Extension of
Time to File
Response to
Summary
Judgment
Motion filed by
Plaintiff
Defs: FRE 401-02, 403.
MICHAEL
SKIDMORE.
(Attachments: #
1 Proposed
Order) (Kulik,
Glen) (Entered:
03/02/2016)
(FILED
03/02/2016)
(ECF No. 110)
DECLARATIO
N OF GLEN L.
KULIK IN
SUPPORT OF
EX PARTE
Defs: FRE 401-02, 403.
APPLICATION
FOR A ONEWEEK
EXTENSION
TO RESPOND
196

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#:6723
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3112

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26
27

TO
SUMMARY
JUDGMENT
MOTION re
EX PARTE
APPLICATION
for Extension of
Time to File
Response to
Summary
Judgment
Motion 110
filed by
Plaintiff
MICHAEL
SKIDMORE.
(Kulik, Glen)
(Entered:
03/02/2016)
(FILED
03/02/2016)
(ECF No. 1111)
RESPONSE IN
SUPPORT of
APPLICATION
to file document
Exhibits 19 to
Declaration of
Glen Kulik in
Support of
Motion for
Leave to
Amend
Complaint to
Defs: FRE 401-02, 403.
Add Defendants
under seal 102
filed by
Plaintiff
MICHAEL
SKIDMORE.
(Kulik, Glen)
(Entered:
03/02/2016)
(FILED
03/02/2016)
(ECF No. 112)

28
{00255828;1}

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#:6724
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8
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11

3113

12
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17
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19
20
21
22
23
24
25

3114

26
27
28
{00255828;1}

MEMORAND
UM in
Opposition to
EX PARTE
APPLICATION
for Extension of
Time to File
Response to
Summary
Judgment
Motion 110
filed by
Defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
Defs: FRE 401-02, 403.
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music Inc.
(Anderson,
Peter) (Entered:
03/03/2016)
(FILED
03/03/2016)
(ECF No. 113)
DENIED BY
ORDER OF
THE COURT
by Judge R.
Gary Klausner:
Defs: FRE 401-02, 403.
denying 110 EX
PARTE
APPLICATION
for Extension of
Time to File
198

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#:6725
1

(bp) (Entered:
03/04/2016)
(FILED
03/04/2016)
(ECF No. 114)

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8

3115

9
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19
20

3116

21
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24
25
26
27
28
{00255828;1}

NOTICE of
Manual Filing
filed by
Plaintiff
MICHAEL
SKIDMORE of
CD containing
Defs: FRE 401-02, 403.
audio exhibits.
(Kulik, Glen)
(Entered:
03/07/2016)
(FILED
03/07/2016)
(ECF No. 115)
MEMORAND
UM in
Opposition to
NOTICE OF
MOTION AND
MOTION to
Amend
Amended
Complaint, 31
98 , NOTICE
OF MOTION
AND MOTION
to Amend
Amended
Defs: FRE 401-02, 403.
Complaint, 31
[Filed again to
attach Proposed
Order attached]
101 filed by
Defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
199

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#:6726
1
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3
4
5
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8
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11
12
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3117

18
19
20
21

Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music Inc.
(Attachments: #
1 Declaration, #
2 Declaration, #
3
Declaration)(An
derson, Peter)
(Entered:
03/07/2016)
(FILED
03/07/2016)
(ECF No. 116)
NOTICE OF
LODGING
filed (attaching
CD of audio
exhibits re
Notice of
Manual Filing
Defs: FRE 401-02, 403.
(G92) 115
(Kulik, Glen)
(Entered:
03/07/2016)
(FILED
03/07/2016)
(ECF No. 117)

22
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27
28
{00255828;1}

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#:6727
1
2
3
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3118

15
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21
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24
25
26
27
28
{00255828;1}

OPPOSITION
to NOTICE OF
MOTION AND
MOTION for
Summary
Judgment as to
First Amended
Complaint and
each claim
therein
NOTICE OF
MOTION AND
MOTION for
Partial
Summary
Judgment as to
issues not in
substantial
dispute 97 filed
by Plaintiff
MICHAEL
SKIDMORE.
(Attachments: #
1 Statement of Defs: FRE 401-02, 403, 404, 802,
Genuine Issues, Defs MIL ## 1-7, 10-11.
# 2 Longo
Declaration, # 3
Andrea Wolfe
Declaration, # 4
Janet Wolfe
Declaration, # 5
Linda Mensch
Declaration, # 6
David
Waterbury
Declaration, # 7
Malofiy
Declaration, # 8
Stewart
Declaration, # 9
Johnson
Declaration, #
10 Bricklin
Declaration, #
11 Knight
Declaration)
(Malofiy,
Francis)
201

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#:6728
1

(Entered:
03/07/2016)
(FILED
03/07/2016)
(ECF No. 118)

2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19

3119

20
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28
{00255828;1}

DECLARATIO
N of Plaintiff's
Declarants in
opposition
NOTICE OF
MOTION AND
MOTION for
Summary
Judgment as to
First Amended
Complaint and
each claim
therein
NOTICE OF
MOTION AND
MOTION for
Partial
Summary
Judgment as to
issues not in
substantial
dispute 97 filed
by Plaintiff
MICHAEL
SKIDMORE.
(Attachments: #
1 Hansen
Declaration, # 2
Pates
Declaration, # 3
Ferguson
Declaration, # 4

Defs: FRE 401-02, 403 (and as to


referenced declarations, please see
objections as to those declarations
below at __).

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#:6729
1
2
3
4
5
6
7
8
9
10
11
12
13
14

3120

15
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24

3121

25
26
27
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{00255828;1}

Skidmore
Declaration, # 5
Mike Lee
Declaration, # 6
Robert Lee
Declaration, # 7
Andes
Declaration, # 8
Hanson
Declaration)(M
alofiy, Francis)
(Entered:
03/07/2016)
(FILED
03/07/2016)
(ECF No. 119)
First
APPLICATION
to file document
Depositions of
Defendants
under seal filed
by Plaintiff
MICHAEL
Defs: FRE 401-02, 403.
SKIDMORE.(
Malofiy,
Francis)
(Entered:
03/08/2016)
(FILED
03/08/2016)
(ECF No. 120)
SEALED
DECLARATIO
N IN
SUPPORT OF
First
APPLICATION
to file document
Depositions of
Defs: FRE 401-02, 403.
Defendants
under seal 120
filed b Plainfitt
MICHAEL
SKIDMORE.(
Malofiy,
Francis)
(Entered:
203

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#:6730
1

03/08/2016)
(FILED
03/08/2016)
(ECF NO. 121)

2
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5
6
7
8
9

3122

10
11
12
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21

3123

22
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24
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27
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{00255828;1}

First NOTICE
of Manual
Filing filed by
Plaintiff
MICHAEL
SKIDMORE of
Audio and
Video Exhibits
in Opposition to
Motion for
Summary
Judgment.
(Malofiy,
Francis)
(Entered:
03/08/2016)
(FILED
03/08/2016)
(ECF No. 122)
DECLARATIO
N of Denny
Somach In
opposition
NOTICE OF
MOTION AND
MOTION for
Summary
Judgment as to
First Amended
Complaint and
each claim
therein
NOTICE OF
MOTION AND
MOTION for
Partial
Summary
Judgment as to
issues not in
substantial
dispute 97 filed
by Plaintiff

Defs: FRE 401-02, 403.

Defs: Defs MIL # 3, # 5, # 6 FRE


401-02, 403, 404, 1002, 802, failure
to produce for deposition.

204

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#:6731
1
2
3
4
5
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8
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3124

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28
{00255828;1}

MICHAEL
SKIDMORE.
(Malofiy,
Francis)
(Entered:
03/08/2016)
(FILED
03/08/2016)
(ECF No. 123)
DECLARATIO
N of Francis
Malofiy In
Opposition
NOTICE OF
MOTION AND
MOTION for
Summary
Judgment as to
First Amended
Complaint and
each claim
therein
NOTICE OF
MOTION AND
MOTION for
Partial
Summary
Defs: improper testimony by counsel
Judgment as to
at trial; FRE 602, 802; Defs MIL #1,
issues not in
#2, #5.
substantial
dispute 97
***Refiled with
Exhibits***
filed by
Plaintiff
MICHAEL
SKIDMORE.
(Attachments: #
1 Exhibits 121
to Malofiy
Declaration)(M
alofiy, Francis)
(Entered:
03/08/2016)
(FILED
03/08/2016)
(ECF No. 124)
205

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#:6732
1
2
3
4
5

3125

6
7
8
9
10
11
12
13

3126

14
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18
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20
21
22
23

3127

24
25
26
27
28
{00255828;1}

NOTICE OF
LODGING
filed Expert
Audio and
Video re Notice
of Manual
Filing (G92)
122 (Malofiy,
Francis)
(Entered:
03/08/2016)
(FILED
03/08/2016)
(ECF No. 125)
NOTICE OF
ERRATA filed
by Plaintiff
MICHAEL
SKIDMORE.
correcting
Response in
Opposition to
Motion,, 118
(Kulik, Glen)
(Entered:
03/08/2016)
(FILED
03/08/2016)
(ECF No. 126)
ORDER
GRANTING
PLAINTIFFS
APPLICATION
TO FILE
UNDER SEAL
EXHIBITS 1
THROUGH 9
TO THE
DECLARATIO
N OF GLEN L.
KULIK IN
SUPPORT OF
MOTION FOR
LEAVE TO
AMEND
COMPLAINT
AND ADD
DEFENDANTS

Defs: FRE 401-02, 403; as to


exhibits lodged, Defs MIL # 3, #4,
FRE 401-02, 403, 1002, 802, failure
to produce experts for deposition.

Defs: FRE 401-02, 403.

Defs: FRE 401-02, 403.

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3
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8
9
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11
12
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17
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19
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21

3128

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{00255828;1}

(DKT. 102 ) by
Judge R. Gary
Klausner:
Plaintiff's
Application to
File Under Seal
Exhibits 1
through 9 to the
Declaration of
Glen L. Kulik
in Support of
Motion for
Leave to File
Amended
Complaint and
Add Defendants
is GRANTED.
(ah) (Entered:
03/10/2016)
(FILED
03/10/2016)
(ECF No. 127)
SEALED
DECLARATIO
N IN
SUPPORT OF
First
APPLICATION
to file
document
Depositions of
Defendants
under seal 120
filed by
Defendants
Defs: FRE 401-02, 403.
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
207

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#:6734
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19

3129

20
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22
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24
25
26
27
28
{00255828;1}

PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music Inc.
(Attachments: #
1 Proposed
Order)(Anderso
n, Peter)
(Entered:
03/11/2016)
(FILED
03/11/2016)
(ECF No. 128)
REPLY in
support of
NOTICE OF
MOTION AND
MOTION for
Summary
Judgment as to
First Amended
Complaint and
each claim
therein
NOTICE OF
MOTION AND
MOTION for
Partial
Summary
Judgment as to Defs: FRE 401-02, 403.
issues not in
substantial
dispute 97 filed
by Defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
208

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

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#:6735
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22

3130

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{00255828;1}

SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music Inc.
(Attachments: #
1 Ferrara Reply
Declaration, # 2
Freeman Reply
Declaration, # 3
Anderson Reply
Declaration, # 4
Objections to
Plaintiff's
Evidence, # 5
Response to
Plaintiff's
Alleged
Uncontroverted
Facts)(Anderso
n, Peter)
(Entered:
03/14/2016)
(FILED
03/14/2016)
(ECF No. 129
REPLY In
Support
NOTICE OF
MOTION AND
MOTION to
Amend
Amended
Complaint, 31
98 filed by
Plaintiff
Defs: FRE 401-02, 403.
MICHAEL
SKIDMORE.
(Attachments: #
1 Additional
Declaration of
Francis
Malofiy,
Esquire)(Malofi
y, Francis)
(Entered:
209

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

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#:6736
1

03/14/2016)
(FILED
03/14/2016)
(ECF No. 130)

2
3
4
5
6
7
8
9
10
11
12
13
14
15
16

3131

17
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27
28
{00255828;1}

SCHEDULING
NOTICE TO
ALL PARTIES
AND ORDER
by Judge R.
Gary Klausner.
Plaintiff's
Motion to
Amend
Amended
Complaint 98 ,
and Defendants'
Motion for
Summary
Judgment as to
First Amended
Complaint 97 ,
calendared for
hearing on
March 28,
2016, has been Defs: FRE 401-02, 403.
taken under
submission and
off the motion
calendar. No
appearances by
counsel are
necessary. The
Court will issue
a ruling after
full
consideration of
properly
submitted
pleadings. IT IS
SO ORDERED.
THERE IS NO
PDF
DOCUMENT
ASSOCIATED
WITH THIS
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#:6737
1

ENTRY. (sw)
TEXT ONLY
ENTRY
(Entered:
03/23/2016)
(FILED
03/23/2016)
(ECF No. 131)

2
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3132

19
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23
24
25
26
27

MINUTES OF
Settlement
Conference held
before
Magistrate
Judge Alicia G.
Rosenberg. The
settlement
conference is
conducted off
the record. A
settlement is not
reached.
Counsel are to
contact the
Clerk, Marine Defs: FRE 401-02, 403.
Pogosyan, at
(213) 894 5419
if counsel agree
a second
session of
settlement
conference is
productive.
Court Recorder:
cs 3/23/2016.
(mp) (Entered:
03/24/2016)
(FILED
03/23/2016)
(ECF No. 132)

28
{00255828;1}

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#:6738
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2
3
4
5
6

3133

7
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20

3134

21
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27
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{00255828;1}

ORDER by
Judge R. Gary
Klausner:
DENYING 101
Plaintiff's
Motion for
Leave to File
Amended
Complaint to
Add
Defendants.
Denied by
Order of the
Court. (pso)
(Entered:
03/25/2016)
(FILED
03/25/2016)
(ECF No. 133)
NOTICE OF
MOTION AND
MOTION IN
LIMINE (#1) to
Exclude hearsay
as to statements
by Randy
Wolfe filed by
defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music Inc.
Motion set for

Defs: FRE 401-02, 403.

Defs: FRE 401-02, 403, and


providing to jury would cause the
harm the motion in limine seeks to
avoid.

212

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2
3
4
5
6
7
8
9
10
11
12
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16
17
18

3135

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27
28
{00255828;1}

hearing on
5/10/2016 at
09:00 AM
before Judge R.
Gary Klausner.
(Attachments: #
1 Proposed
Order)
(Anderson,
Peter) (Entered:
03/25/2016)
(FILED
03/25/2016)
(ECF No. 134)
NOTICE OF
MOTION AND
MOTION IN
LIMINE (#2) to
Exclude hearsay
statements in
newspapers,
magazines and
books filed by
defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music Inc.
Motion set for
hearing on
5/10/2016 at
09:00 AM
before Judge R.

Defs: FRE 401-02, 403, and


providing to jury would cause the
harm the motion in limine seeks to
avoid.

213

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#:6740
1

Gary Klausner.
(Attachments:

2
3
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5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20

3136

21
22
23
24
25
26
27
28
{00255828;1}

# 1 Proposed
Order)(Anderso
n, Peter)
(Entered:
03/25/2016)
(FILED
03/25/2016)
(ECF No. 135)
NOTICE OF
MOTION AND
MOTION IN
LIMINE (#3) to
Exclude
recordings of
Taurus different
from
copyrighted
1967
transcription
filed by
defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,

Defs: FRE 401-02, 403, and


providing to jury would cause the
harm the motion in limine seeks to
avoid.

214

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#:6741
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19

3137

20
21
22
23
24
25
26
27
28
{00255828;1}

Warner/Chappe
ll Music Inc.
Motion set for
hearing on
5/10/2016 at
09:00 AM
before Judge R.
Gary Klausner.
(Attachments: #
1 Proposed
Order)(Anderso
n, Peter)
(Entered:
03/25/2016)
(FILED
03/25/2016)
(ECF No. 136)
NOTICE OF
MOTION AND
MOTION IN
LIMINE (#4) to
Exclude Dr.
Alexander
Stewart, Erik
Johnson, Brian
Bricklin and
Kevin Hanson
filed by
defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music Inc.

Defs: FRE 401-02, 403, and


providing to jury would cause the
harm the motion in limine seeks to
avoid.

215

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#:6742
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19

3138

20
21
22
23
24
25
26
27
28
{00255828;1}

Motion set for


hearing on
5/10/2016 at
09:00 AM
before Judge R.
Gary Klausner.
(Attachments: #
1 Proposed
Order)(Anderso
n, Peter)
(Entered:
03/25/2016)
(FILED
03/25/2016)
(ECF No. 137)
NOTICE OF
MOTION AND
MOTION IN
LIMINE (#5) to
Exclude claims
and theoretical
claims of
copying other
works and
settlements filed
by defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music Inc.
Motion set for
hearing on
5/10/2016 at

Defs: FRE 401-02, 403, and


providing to jury would cause the
harm the motion in limine seeks to
avoid.

216

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#:6743
1

09:00 AM
before Judge R.
Gary Klausner.
(Attachments: #
1 Proposed
Order)(Anderso
n, Peter)
(Entered:
03/25/2016)
(FILED
03/25/2016)
(ECF No. 138)

2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18

3139

19
20
21
22
23
24
25
26
27
28
{00255828;1}

NOTICE OF
MOTION AND
MOTION IN
LIMINE (#6) to
Exclude Denny
Somach filed by
defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music Inc.
Motion set for
hearing on
5/10/2016 at
09:00 AM
before Judge R.
Gary Klausner.
(Attachments: #
1 Proposed
Order)(Anderso

Defs: FRE 401-02, 403, and


providing to jury would cause the
harm the motion in limine seeks to
avoid.

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#:6744
1

n, Peter)
(Entered:
03/25/2016)
(FILED
03/25/2016)
(ECF No. 139)

2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18

3140

19
20
21
22
23
24
25
26
27
28
{00255828;1}

NOTICE OF
MOTION AND
MOTION IN
LIMINE (#7) to
Exclude
evidence and
argument as to
plaintiffs and
the Randy Craig
Wolfe Trusts
use of funds
filed by
defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music Inc.
Motion set for
hearing on
5/10/2016 at

Defs: FRE 401-02, 403, and


providing to jury would cause the
harm the motion in limine seeks to
avoid.

218

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#:6745
1

09:00 AM
before Judge R.
Gary Klausner.
(Attachments: #
1 Proposed
Order)(Anderso
n, Peter)
(Entered:
03/25/2016)
(FILED
03/25/2016)
(ECF No. 140)

2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18

3141

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20
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23
24
25
26
27
28
{00255828;1}

NOTICE OF
MOTION AND
MOTION IN
LIMINE (#8) to
Exclude
evidence and
argument as to
plaintiffs and
the Randy Craig
Wolfe Trusts
use of funds
filed by
defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music Inc.
Motion set for
hearing on

Defs: FRE 401-02, 403, and


providing to jury would cause the
harm the motion in limine seeks to
avoid.

219

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 220 of 383 Page ID
#:6746
1

5/10/2016 at
09:00 AM
before Judge R.
Gary Klausner.
(Attachments: #
1 Proposed
Order)
(Anderson,
Peter) (Entered:
03/25/2016)
(FILED
03/25/2016)
(ECF No. 141)

2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18

3142

19
20
21
22
23
24
25
26
27
28
{00255828;1}

NOTICE OF
MOTION AND
MOTION IN
LIMINE (#9) to
Exclude preMay 31, 2011
Revenues and
Foreign
Revenues filed
by defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC.,
Warner Music
Group Corp,
Warner/Chappe
ll Music Inc.
Motion set for
hearing on
5/10/2016 at
09:00 AM
before Judge R.

Defs: FRE 401-02, 403, and


providing to jury would cause the
harm the motion in limine seeks to
avoid.

220

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 221 of 383 Page ID
#:6747
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17

3143

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24
25
26
27
28
{00255828;1}

Gary Klausner.
(Attachments: #
1 Proposed
Order)(Anderso
n, Peter)
(Entered:
03/25/2016)
(FILED
03/25/2016)
(ECF No. 142)
NOTICE OF
MOTION AND
MOTION IN
LIMINE (#10)
to Exclude
witnesses
plaintiff failed
to disclose filed
by defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music Inc.
Motion set for
hearing on
5/10/2016 at
09:00 AM
before Judge R.
Gary Klausner.
(Attachments: #
1 Proposed
Order)

Defs: FRE 401-02, 403, and


providing to jury would cause the
harm the motion in limine seeks to
avoid.

221

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 222 of 383 Page ID
#:6748
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16

3144

17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

(Anderson,
Peter) (Entered:
03/25/2016)
(FILED
03/25/2016)
(ECF No. 143)
NOTICE OF
MOTION AND
MOTION IN
LIMINE (#11)
to Exclude
claimed 1973
discussion filed
by defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music Inc.
Motion set for
hearing on
5/10/2016 at
09:00 AM
before Judge R.
Gary Klausner.
(Attachments: #
1 Proposed
Order)(Anderso
n, Peter)
(Entered:
03/25/2016)
(FILED
03/25/2016)
(ECF No. 144)

Defs: FRE 401-02, 403, and


providing to jury would cause the
harm the motion in limine seeks to
avoid.

222

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 223 of 383 Page ID
#:6749
1
2
3
4
5
6
7
8
9
10
11
12
13

3145

14
15
16
17
18
19
20
21
22
23
24
25
26

NOTICE OF
MOTION AND
MOTION IN
LIMINE (#12)
to Exclude
evidence and
argument as to
drinking and
drug use filed
by defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC.,
Warner Music
Group Corp,
Warner/Chappe
ll Music Inc.
Motion set for
hearing on
5/10/2016 at
09:00 AM
before Judge R.
Gary Klausner.
(Attachments: #
1 Proposed
Order)(Anderso
n, Peter)
(Entered:
03/25/2016)
(FILED
03/25/2016)
(ECF No. 145)

Defs: FRE 401-02, 403, and


providing to jury would cause the
harm the motion in limine seeks to
avoid.

27
28
{00255828;1}

223

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 224 of 383 Page ID
#:6750
1
2
3
4
5
6
7
8
9
10
11
12
13

3146

14
15
16
17
18
19
20
21
22
23
24
25
26

NOTICE OF
MOTION AND
MOTION IN
LIMINE (#13)
to Exclude
evidence and
argument re
insurance and
indemnity filed
by defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC.,
Warner Music
Group Corp,
Warner/Chappe
ll Music Inc.
Motion set for
hearing on
5/10/2016 at
09:00 AM
before Judge R.
Gary Klausner.
(Attachments: #
1 Proposed
Order)(Anderso
n, Peter)
(Entered:
03/25/2016)
(FILED
03/25/2016)
(ECF No. 146)

Defs: FRE 401-02, 403, and


providing to jury would cause the
harm the motion in limine seeks to
avoid.

27
28
{00255828;1}

224

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 225 of 383 Page ID
#:6751
1
2
3
4
5
6
7
8
9
10
11
12
13

3147

14
15
16
17
18
19
20
21
22
23
24
25

NOTICE OF
MOTION AND
MOTION IN
LIMINE (#14)
to Exclude
plaintiff's
complaints from
jury filed by
defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music Inc.
Motion set for
hearing on
5/10/2016 at
09:00 AM
before Judge R.
Gary Klausner.
(Attachments: #
1 Proposed
Order)
(Anderson,
Peter) (Entered:
03/25/2016)
(FILED
03/25/2016)
(ECF No. 147)

Defs: FRE 401-02, 403, and


providing to jury would cause the
harm the motion in limine seeks to
avoid.

26
27
28
{00255828;1}

225

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

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#:6752
1
2
3
4
5
6
7
8
9
10

3148

11
12
13
14
15
16
17
18
19
20
21
22
23
24

3149

25
26
27
28
{00255828;1}

NOTICE OF
ERRATA RE
DECRIPTION
OF MOTION
IN LIMINE
NO. 7 filed by
defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Defs: FRE 401-02, 403.
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music Inc.
(Anderson,
Peter) (Entered:
03/25/2016)
(FILED
03/25/2016)
(ECF No. 148)
NOTICE OF
MOTION AND
MOTION IN
LIMINE (#1) to
Preclude
Evidence,
Testimony,
Argument of
Defs: FRE 401-02, 403.
Trust's Validity
and/or
Legitimacy
filed by
Plaintiff
MICHAEL
SKIDMORE.
Motion set for
226

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

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#:6753
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19

3150

20
21
22
23
24
25
26
27
28
{00255828;1}

hearing on
5/10/2016 at
09:00 AM
before Judge R.
Gary Klausner.
(Attachments: #
1 Declaration of
Francis
Malofiy,
# 2 Proposed
Order)(Malofiy,
Francis)
(Entered:
03/25/2016)
(FILED
03/25/2016)
(ECF No. 149)
NOTICE OF
MOTION AND
MOTION IN
LIMINE (#2) to
Preclude
Evidence,
Testimony,
Argument of
Wolfe
Inheritance filed
by Plaintiff
MICHAEL
SKIDMORE.
Motion set for
hearing on
5/10/2016 at
Defs: FRE 401-02, 403.
09:00 AM
before Judge R.
Gary Klausner.
(Attachments: #
1 Declaration of
Francis
Malofiy, # 2
Proposed
Order)(Malofiy,
Francis)
(Entered:
03/25/2016)
(FILED
03/25/2016)
(ECF No. 150)
227

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

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#:6754
1
2
3
4
5
6
7
8
9

3151

10
11
12
13
14
15
16
17
18
19
20
21
22
23

3152

24
25
26
27
28
{00255828;1}

NOTICE OF
MOTION AND
MOTION IN
LIMINE (#3) to
Preclude
Defense
Damages
Expert filed by
Plaintiff
MICHAEL
SKIDMORE.
Motion set for
hearing on
5/10/2016 at
09:00 AM
Defs: FRE 401-02, 403.
before Judge R.
Gary Klausner.
(Attachments: #
1 Declaration of
Francis
Malofiy, # 2
Proposed
Order)(Malofiy,
Francis)
(Entered:
03/25/2016)
(FILED
03/25/2016)
(ECF No. 151)
DOCUMENT
IS STRICKEN,
see docket entry
no. 153
NOTICE OF
MOTION AND
MOTION to
Withdraw
Admissions
filed by
Defs: FRE 401-02, 403.
Plaintiff
MICHAEL
SKIDMORE.
Motion set for
hearing on
5/10/2016 at
09:00 AM
before Judge R.
Gary Klausner.
228

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 229 of 383 Page ID
#:6755
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
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19

3153

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26
27
28
{00255828;1}

(Attachments: #
1 Declaration of
Francis
Malofiy, # 2
Proposed
Order)
(Malofiy,
Francis)
Modified on
3/28/2016
(lom). (Entered:
03/26/2016)
(FILED
03/26/2016)
(ECF No. 152)
ORDER TO
STRIKE
ELECTRONIC
ALLY FILED
DOCUMENTS
by Judge R.
Gary Klausner:
the following
document(s) be
STRICKEN for
failure to
comply with the
Local Rules,
General Order
and/or the
Courts Case
Defs: FRE 401-02, 403.
Management
Order: NOTICE
OF MOTION
AND MOTION
to Withdraw
Admissions 152
, for the
following
reasons: Motion
cutoff date was
February 25,
2016. (lom)
(Entered:
03/28/2016)
(FILED
03/28/2016)
(ECF No. 153)
229

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 230 of 383 Page ID
#:6756
1
2
3
4
5
6
7
8
9
10
11
12
13
14

3154

15
16
17
18
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20
21
22
23
24
25
26
27
28
{00255828;1}

Response to
Defendants'
Evidentiary
Objections
Opposition re:
NOTICE OF
MOTION AND
MOTION for
Summary
Judgment as to
First Amended
Complaint and
each claim
therein
NOTICE OF
MOTION AND
MOTION for
Partial
Summary
Judgment as to
issues not in
substantial
dispute 97 filed
by Plaintiff
MICHAEL
SKIDMORE.
(Attachments: #
1 Supplemental
Declaration of
Francis Malofiy
Opposing
Evidentiary
Objections, # 2
HandSigned
Declaration of
Bruce Pates, # 3
HandSigned
Declaration of
Denny Somach,
# 4 HandSigned
Declaration of
Brian Bricklin,
# 5 HandSigned
Declaration of
Erik Johnson, #
6 HandSigned
Declaration of
Mark Andes, #

Defs: FRE 401-02, 403, and


providing to jury would cause the
harm the motions in limine seeks to
avoid.

230

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 231 of 383 Page ID
#:6757
1

7 HandSigned
Declaration of
Michael
Skidmore, # 8
HandSigned
Declaration of
Kevin Hanson)
(Malofiy,
Francis)
(Entered:
03/30/2016)
(FILED
03/30/2016)
(ECF No. 154)

2
3
4
5
6
7
8
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10
11
12
13
14
15
16
17
18
19
20

3155

21
22
23
24
25
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27
28
{00255828;1}

OBJECTION in
support of re:
NOTICE OF
MOTION AND
MOTION for
Summary
Judgment as to
First Amended
Complaint and
each claim
therein
NOTICE OF
MOTION AND
MOTION for
Defs: FRE 401-02, 403.
Partial
Summary
Judgment as to
issues not in
substantial
dispute 97 ;
Objections to
Plaintiff's Late
Filings re
Submitted
Motion, filed by
Defendants
Atlantic
Recording
231

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 232 of 383 Page ID
#:6758
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21

3156

22
23
24
25
26
27
28
{00255828;1}

Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music Inc.
(Anderson,
Peter) (Entered:
03/31/2016)
(FILED
03/31/2016)
(ECF No. 155)
DECLARATIO
N of Peter J.
Anderson re
Defendants'
Witness and
Exhibit Lists,
filed by
Defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,

Defs: FRE 401-02, 403.

232

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 233 of 383 Page ID
#:6759
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17

3157

18
19
20
21
22
23
24
25
26

Warner/Chappe
ll Music Inc.
(Attachments: #
1 Defendants'
Witness List, #
2 Defendants'
Exhibit List)
(Anderson,
Peter) (Entered:
04/04/2016)
(FILED
04/04/2016)
(ECF No. 156)
MEMORAND
UM of
CONTENTION
S of FACT and
LAW filed by
defendants
Atlantic
Recording
Corporation,
John Paul
Jones,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
SUPER HYPE
PUBLISHING,
INC., Warner
Music Group
Corp,
Warner/Chappe
ll Music Inc.
(Anderson,
Peter) (Entered:
04/04/2016)
(FILED
04/04/2016)
(ECF No. 157)

Defs: FRE 401-02, 403, and


providing to jury would cause the
harm the motions in limine seeks to
avoid.

27
28
{00255828;1}

233

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 234 of 383 Page ID
#:6760
1
2
3
4
5
6

3158

7
8
9
10
11
12
13
14
15
16
17
18
19
20

3159

21
22
23
24
25
26
27
28
{00255828;1}

MEMORAND
UM of
CONTENTION
S of FACT and
LAW filed by
Plaintiff
MICHAEL
SKIDMORE.
(Attachments: #
1 Witness List,
# 2 Exhibit
LIst) (Malofiy,
Francis)
(Entered:
04/04/2016)
(FILED
04/04/2016)
(ECF No.
1158)
MINUTES (IN
CHAMBERS):
Order re:
Defendants'
Motion for
Summary
Judgment 97 by
Judge R. Gary
Klausner. For
the foregoing
reasons, the
Court GRANTS
Defendants
Motion for
Summary
Judgment as to
the Right of
Attribution
claim and as to
all claims
against John
Paul Jones,
Super Hype
Publishing, Inc.,
and Warner
Music Group
Corp. The Court
also GRANTS
Defendants'

Defs: FRE 401-02, 403, and


providing to jury would cause the
harm the motions in limine seeks to
avoid.

Defs: FRE 401-02, 403.

234

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 235 of 383 Page ID
#:6761
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21

3160

22
23
24
25
26
27
28
{00255828;1}

request to limit
Plaintiff's
damages to
50% of the
recovery (his
share as a
beneficial
owner). The
Court DENIES
Defendants'
Motion for
Summary
Judgment as to
the Copyright
Infringement
claim against
the remaining
Defendants.
(lom) (Entered:
04/11/2016)
(FILED
04/08/2016)
(ECF No. 159)
MEMORAND
UM in
Opposition to
MOTION IN
LIMINE (#1)
to Preclude
Evidence,
Testimony,
Argument of
Trust's
Validity and/or
Legitimacy 149
filed by
Defendants
Atlantic
Recording
Corporation,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
Warner/Chappe
235

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 236 of 383 Page ID
#:6762
1

ll Music Inc.
(Anderson,
Peter) (Entered:
04/15/2016)

2
3

(FILED
04/15/2015)
(ECFNO.160)

4
5
6
7
8
9
10
11
12
13
14
15
16

3161

17
18
19
20
21
22
23

MEMORAND
UM in
Opposition to
MOTION IN
LIMINE (#2)
to Preclude
Evidence,
Testimony,
Argument of
Wolfe
Inheritance 150
filed by
Defendants
Atlantic
Recording
Corporation,
ROBERT
ANTHONY
PLANT, James
Patrick
Page, Rhino
Entertainment
Company,
Warner/Chappe
ll
Music Inc.
(Anderson,
Peter) (Entered:
04/15/2016)
(FILED
04/15/2016)
(ECFNO.161)

24
25
26
27
28
{00255828;1}

236

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Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 237 of 383 Page ID
#:6763
1
2
3
4
5
6
7
8
9

3162

10
11
12
13
14
15
16
17
18
19
20
21
22
23

3163

24
25
26
27
28
{00255828;1}

MEMORAND
UM in
Opposition to
MOTION IN
LIMINE (#3)
to Preclude
Defense
Damages
Expert 151 filed
by
Defendants
Atlantic
Recording
Corporation,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
Warner/Chappe
ll Music Inc.
(Anderson,
Peter) (Entered:
04/15/2016)
(FILED
04/15/2016)
(ECF NO. 162)
OPPOSITION
to MOTION IN
LIMINE (#1)
to Exclude
hearsay as to
statements by
Randy Wolfe
134 filed by
Plaintiff
MICHAEL
SKIDMORE.
(Malofiy,
Francis)
(Entered:
04/15/2016)
(FILED
04/15/2016)
(ECF NO. 163)
237

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3164

7
8
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10
11
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15
16

3165

17
18
19
20
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OPPOSITION
to MOTION IN
LIMINE (#2) to
Exclude hearsay
statements in
newspapers,
magazines and
books 135 filed
by Plaintiff
MICHAEL
SKIDMORE.
(Malofiy,
Francis)
(Entered:
04/15/2016)
(FILED
04/15/2016)
(ECF NO. 164)
OPPOSITIONto
MOTIONIN
LIMINE(#5)to
Excludeclaims
andtheoretical
claims
ofcopyingother
worksand
settlements138
filedby
Plaintiff
MICHAEL
SKIDMORE.
(Malofiy,Francis)
(Entered:
04/15/2016)
(FILED
04/15/2016)(ECF
NO.165)
OPPOSITIONto
MOTIONIN
LIMINE(#6)to
ExcludeDenny
Somach139filed
byPlaintiff
MICHAEL
SKIDMORE.
(Malofiy,
Francis)(Entered:
04/15/2016)
(FILED

22
23
24
25

3166

26
27
28
{00255828;1}

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#:6765
1

04/15/2016)(ECF
NO.166)

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3
4
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6
7
8
9
10

3167

11
12
13
14
15

16
17
18
19
20
21

OPPOSITIONto
MOTIONIN
LIMINE(#7)to
Exclude
evidenceand
argumentasto
plaintiffsandthe
Randy
CraigWolfe
Trustsuseof
funds140filed
byPlaintiff
MICHAEL
SKIDMORE.
(Malofiy,Francis)
(Entered:
04/15/2016)
(FILED
04/15/2016)(ECF
NO.167)

3168

22
23
24
25
26
27

OPPOSITION
to MOTION IN
LIMINE (#8) to
Exclude
evidence and
argument as to
plaintiffs and
the Randy
Craig Wolfe
Trusts use of
funds 141 filed
by Plaintiff
MICHAEL
SKIDMORE.
(Malofiy,
Francis)
(Entered:
04/15/2016)
(FILED
04/15/2016)
(ECF NO. 168)

28
{00255828;1}

239

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#:6766
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3169

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8
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14
15
16
17
18

3170

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20
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22
23
24
25
26

OPPOSITIONto
MOTIONIN
LIMINE(#3)to
Exclude
recordingsof
Taurusdifferent
fromcopyrighted
1967
transcription136
filedbyPlaintiff
MICHAEL
SKIDMORE.
Attachments:#1
Decl.of
Alexander
Stewart)
(Malofiy,Francis)
(Entered:
04/15/2016)(ECF
NO.169)
OPPOSITION to
MOTION IN
LIMINE (#4) to
Exclude
Dr. Alexander
Stewart, Erik
Johnson, Brian
Bricklin and
Kevin Hanson
137 filed by
Plaintiff
MICHAEL
SKIDMORE.
(Attachments: # 1
Decl. of
Alexander
Stewart)
(Malofiy,
Francis)
(Entered:
04/15/2016)
OPPOSITIONto
MOTIONIN
LIMINE(#11)to
Exclude
claimed1973
discussion144
filedbyPlaintiff
MICHAEL
SKIDMORE.

3171

27
28
{00255828;1}

240

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#:6767
1
2
3
4

5
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7
8
9

3172

10
11
12
13

14
15
16
17
18

(Malofiy,Francis)
(Entered:
04/15/2016)
(FILED
04/15/2016)
(ECFNO.171)
OPPOSITIONto
MOTIONIN
LIMINE(#10)to
Exclude
witnesses
plaintifffailedto
disclose143filed
byPlaintiff
MICHAEL
SKIDMORE.
(Malofiy,Francis)
(Entered:
04/15/2016)
(FILED
04/15/2016)(ECF
NO.172)
OPPOSITIONto
MOTIONIN
LIMINE(#12)to
Exclude
evidenceand
argumentasto
drinkinganddrug
use145
filedbyPlaintiff
MICHAEL
SKIDMORE.
(Malofiy,Francis)
(Entered:
04/15/2016)
(FILED
04/5/2016)(ECF
NO.173)
OPPOSITIONto
MOTIONIN
LIMINE(#9)to
Exclude
preMay31,
2011Revenues
andForeign
Revenues142
filedbyPlaintiff
MICHAEL

3173

19
20
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22

23
24
25
26

3174

27
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{00255828;1}

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Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 242 of 383 Page ID
#:6768
1
2
3
4

SKIDMORE.
(Malofiy,Francis)
(Entered:
04/16/2016)
(FILED
04/16/2016)(ECF
NO.174)
DECLARATION
of Erik Johnson
In Support of
Plaintiff's
Responses (ECF
169, 170) to
Defendants'
MILs 3 & 4
MOTION IN
LIMINE (#3) to
Exclude
recordings of
Taurus different
from copyrighted
1967
transcription 136
,
MOTION IN
LIMINE (#4) to
Exclude Dr.
Alexander
Stewart, Erik
Johnson, Brian
Bricklin and
Kevin Hanson
137
filed by Plaintiff
MICHAEL
SKIDMORE.
(Malofiy,
Francis)
(Entered:
04/16/2016)
(FILE
04/16/2016)
(ECF NO. 175)

5
6
7
8
9
10
11
12
13
14

3175

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{00255828;1}

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#:6769
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3176

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24
25

3177

26
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28
{00255828;1}

DECLARATION
of Erik Johnson
In Support of
Plaintiff's
Responses (ECF
169, 170) to
Defendants'
MILs 3 & 4
MOTION IN
LIMINE (#3) to
Exclude
recordings of
Taurus
different from
copyrighted 1967
transcription 136
, MOTION
IN LIMINE (#4)
to Exclude Dr.
Alexander
Stewart,
Erik Johnson,
Brian Bricklin
and Kevin
Hanson 137
***Refiled
with Ink
Signature***
filed by Plaintiff
MICHAEL
SKIDMORE.
(Malofiy,
Francis)
(Entered:
04/17/2016)
(FILED
04/17/2016)
(ECF NO. 176)
Proposed Voir
Dire Questions
filed by
defendants
Atlantic
Recording
Corporation,
ROBERT
ANTHONY
PLANT,
James Patrick
Page, Rhino
Entertainment
Company,

243

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

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#:6770
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2
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4
5
6
7
8

3178

9
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17

3179

18
19
20
21
22
23
24
25
26

3180

27
28
{00255828;1}

Warner/Chappell
Music Inc..
(Anderson, Peter)
(Entered:
04/18/2016)
(FILED
04/18/2016)
(ECF NO. 177)
Proposed Voir
Dire Questions
filed by Plaintiff
MICHAEL
SKIDMORE..
(Malofiy,
Francis)
(Entered:
04/18/2016)
(FILED
04/18/2016)
(ECF NO. 178)
DEFENDANTS'
SHORT
NARRATIVE
STATEMENT
RE EXPERTS
filed by
Defedants
Atlantic
Recording
CorporationRobe
rt Anthony Plant,
James Patrick
Page,
RhinoEntertainm
ent Company,
Warner/Chappell
Music Inc.
(Anderson, Peter)
(Entered:
04/20/2016)
(FILED
04/20/2016)(ECF
NO. 179)
Plaintiff's Short
Expert Narratives
and
Qualifications
filed by
Plaintiff
MICHAEL
SKIDMORE
(Malofiy,

244

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

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#:6771
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2
3
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7
8
9
10
11
12

3181

13
14
15
16
17
18
19

20
21
22
23
24

Francis)
(Entered:
04/20/2016)
(FILED
04/20/2016)
(ECF NO. 180)
REPLYinsupport
ofMOTIONIN
LIMINE(#1)to
Exclude
hearsayasto
statementsby
RandyWolfe134
filedby
Defendants
Atlantic
Recording
Corporation,
ROBERT
ANTHONY
PLANT,James
PatrickPage,
Rhino
Entertainment
Company,
Warner/Chappell
MusicInc.
(Anderson,
Peter)(Entered:
04/21/2016)
(FILED
04/21/2016)(ECF
NO.181)
REPLYinsupport
ofMOTIONIN
LIMINE(#2)to
Exclude
hearsay
statementsin
newspapers,
magazinesand
books135filed
byDefendants
Atlantic
Recording
Corporation,
ROBERT
ANTHONY
PLANT,James
Patrick

3182

25
26
27
28
{00255828;1}

245

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#:6772
1
2
3
4
5
6
7

8
9
10
11
12
13
14
15

3183

16
17
18
19
20
21
22
23

24
25
26

Page,Rhino
Entertainment
Company,
Warner/Chappell
MusicInc.
(Anderson,Peter)
(Entered:
04/21/2016)
(FILED
04/21/2016)(ECF
NO.182)
REPLYinsupport
ofMOTIONIN
LIMINE(#3)to
Exclude
recordingsof
Taurusdifferent
fromcopyrighted
1967
transcription136
filedby
Defendants
Atlantic
Recording
Corporation,
ROBERT
ANTHONY
PLANT,James
PatrickPage,
Rhino
Entertainment
Company,
Warner/Chappell
MusicInc.
(Anderson,Peter)
(Entered:
04/21/2016)
(FILED
04/21/2016)(ECF
NO.183)
REPLYinsupport
ofMOTIONIN
LIMINE(#4)to
Exclude
Dr.Alexander
Stewart,Erik
Johnson,Brian
Bricklinand
KevinHanson

3184

27
28
{00255828;1}

246

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

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#:6773
1
2
3
4
5
6
7
8
9
10
11
12

137filedby
Defendants
Atlantic
Recording
Corporation,
ROBERT
ANTHONY
PLANT,
JamesPatrick
Page,Rhino
Entertainment
Company,

Warner/Chappell
MusicInc.
(Anderson,Peter)
(Entered:
04/21/2016)
(FILED
04/21/2016)(ECF
NO.184)
REPLYinsupport
ofMOTIONIN
LIMINE(#5)to
Excludeclaims
andtheoretical
claimsofcopying
otherworksand
settlements138
filedby
Defendants
Atlantic
Recording
Corporation,
ROBERT
ANTHONY
PLANT,James
PatrickPage,
Rhino
Entertainment
Company,
Warner/Chappell
MusicInc.
(Anderson,Peter)
(Entered:
04/21/2016)
(FILED
04/21/2016)(ECF
NO.185)

13
14
15
16
17
18
19
20

3185

21
22
23
24
25
26
27
28

{00255828;1}

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#:6774
1
2
3
4
5
6
7
8

3186

9
10
11
12
13
14

REPLYinsupport
ofMOTIONIN
LIMINE(#6)to
Exclude
DennySomach
139filedby
Defendants
Atlantic
Recording
Corporation,
ROBERT
ANTHONY
PLANT,
JamesPatrick
Page,Rhino
Entertainment
Company,
WarnerMusic
GroupCorp.
(Anderson,Peter)
(Entered:
04/21/2016)
(FILED
04/21/2016)(ECF
NO.186)
REPLYinsupport
ofMOTIONIN
LIMINE(#7)to
Exclude
evidenceand
argumentasto
plaintiffsandthe
Randy
CraigWolfe
Trustsuseof
funds140filed
byDefendants
Atlantic
Recording
Corporation,
ROBERT
ANTHONY
PLANT,James
PatrickPage,
Rhino
Entertainment
Company,
Warner/Chappell
MusicInc.

15
16
17
18
19
20
21
22

3187

23
24
25
26
27
28
{00255828;1}

248

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Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 249 of 383 Page ID
#:6775
1

(Anderson,Peter)
(Entered:
04/21/2016)
(FLIED
04/21/2016)(ECF
187)

2
3
4

5
6
7
8
9
10
11
12
13
14
15

3188

16
17
18
19
20
21
22
23
24

25
26

REPLYinsupport
ofMOTIONIN
LIMINE(#8)to
Exclude
evidenceand
argumentasto
plaintiffsandthe
Randy
CraigWolfe
Trustsuseof
funds141filed
byDefendants
Atlantic
Recording
Corporation,
ROBERT
ANTHONY
PLANT,
JamesPatrick
Page,Rhino
Entertainment
Company,

Warner/Chappell
MusicInc.
(Anderson,Peter)
(Entered:
04/21/2016)
(FILED
04/21/2016)(ECF
NO.188)
REPLYinsupport
ofMOTIONIN
LIMINE(#9)to
Exclud
epreMay31,
2011Revenues
andForeign
Revenues142

3189

27
28
{00255828;1}

249

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 250 of 383 Page ID
#:6776
1
2
3
4
5
6
7
8
9
10
11
12

13
14
15
16
17
18
19
20

filedby
Defendants
Atlantic
Recording
Corporation,
ROBERT
ANTHONY
PLANT,James
PatrickPage,
Rhino
Entertainment
Company,
Warner/Chappell
MusicInc.
(Anderson,
Peter)(Entered:
04/21/2016)
(FILED
04/21/2016)(ECF
NO.189)
REPLYinsupport
ofMOTIONIN
LIMINE(#10)to
Exclude
witnesses
plaintifffailedto
disclose143filed
by
Defendants
Atlantic
Recording
Corporation,
ROBERT
ANTHONY
PLANT,James
PatrickPage,
Rhino
Entertainment
Company,
Warner/Chappell
MusicInc.
(Anderson,
Peter)(Entered:
04/21/2016)
(FILED
04/21/2016)(ECF
NO.190)

3190

21
22
23
24
25
26
27

28
{00255828;1}

250

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 251 of 383 Page ID
#:6777
1
2
3
4
5
6
7
8

3191

9
10
11
12
13
14

REPLYinsupport
ofMOTIONIN
LIMINE(#11)to
Excludeclaimed
1973discussion
144filedby
Defendants
Atlantic
Recording
Corporation,
ROBERT
ANTHONY
PLANT,James
PatrickPage,
Rhino
Entertainment
Company,
Warner/Chappell
MusicInc.
(Anderson,Peter)
(Entered:
04/21/2016)
(FILED
04/21/2016)(ECF
NO.191)
REPLYinsupport
ofMOTIONIN
LIMINE(#12)to
Exclude
evidenceand
argumentasto
drinkinganddrug
use145
filedby
Defendants
Atlantic
Recording
Corporation,
ROBERT
ANTHONY
PLANT,James
PatrickPage,
Rhino
Entertainment
Company,
Warner/Chappell
MusicInc.
(Anderson,
Peter)(Entered:

15
16
17
18
19
20
21
22

3192

23
24
25
26
27
28
{00255828;1}

251

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 252 of 383 Page ID
#:6778
1

04/21/2016)
(FILED
04/21/2016)(ECF
NO.192)

2
3

4
5
6
7
8
9
10
11
12
13

3193

14
15
16
17
18
19
20

21
22
23
24
25

REPLYinsupport
ofMOTIONIN
LIMINE(#13)to
Exclude
evidenceand
argumentre
insuranceand
indemnity146
filedby
Defendants
Atlantic
Recording
Corporation,
ROBERT
ANTHONY
PLANT,James
PatrickPage,
Rhino
Entertainment
Company,
Warner/Chappell
MusicInc.
(Anderson,
Peter)(Entered:
04/21/2016)
(FILED
04/21/2016)(ECF
NO.193)
REPLYinsupport
ofMOTIONIN
LIMINE(#14)to
Exclude
plaintiff's
complaintsfrom
jury147filedby
Defendants
Atlantic
Recording
Corporation,
ROBERT
ANTHONYPLANT

3194

26
27
28
{00255828;1}

252

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 253 of 383 Page ID
#:6779
1
2
3
4
5
6
7

,JamesPatrick
Page,Rhino
Entertainment
Company,
Warner/Chappell
MusicInc.
(Anderson,Peter)
(Entered:
04/21/2016)
(FILED
04/21/2016)(ECF
NO.194)
PROPOSED
JURY
INSTRUCTION
S (Annotated set)
filed
by defendants
Atlantic
Recording
Corporation,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
Warner/Chappell
Music Inc..
(Anderson,
Peter) (Entered:
04/22/2016)
(FILED
04/22/2016)
(ECF NO. 195)
PROPOSED
JURY
INSTRUCTION
S (Annotated set)
filed
by defendants
Atlantic
Recording
Corporation,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment

8
9
10
11
12
13
14

3195

15
16
17
18
19
20
21
22
23
24

3196

25
26
27
28
{00255828;1}

253

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 254 of 383 Page ID
#:6780
1

Company,
Warner/Chappell
Music Inc..
(Anderson,
Peter) (Entered:
04/22/2016)
(FILED
04/22/2016)
(ECF NO. 196)

2
3
4
5
6
7
8
9
10

3197

11
12
13
14
15
16

3198

17
18
19
20
21
22
23

3199

24
25
26
27

PROPOSED
JURY
INSTRUCTION
S (Annotated set)
filed by Plaintiff
MICHAEL
SKIDMORE..
(Malofiy,
Francis)
(Entered:
04/23/2016)
(FILED
04/23/2016)
(ECF NO. 197)
Witness List filed
by Plaintiff
MICHAEL
SKIDMORE..
(Malofiy,
Francis)
(Entered:
04/24/2016)
(FILED
04/24/2016)
(ECF NO. 198)
JointExhibitList
filedbyPlaintiff
MICHAEL
SKIDMORE..
(Attachments:#
1Proposed
Pretrial
Conference
Order)
(Malofiy,
Francis)(Entered:
04/24/2016)
(FILED
04/24/2016)(ECF
NO.199)

28
{00255828;1}

254

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#:6781
1
2
3
4
5
6
7

3200

8
9
10
11
12

NOTICEOF
LODGING
ProposedPretrial
Conference
Order
Plaintiff
MICHAEL
SKIDMORE.
(Attachments:#
1Propose
dPretrial
Conference
Orderwith
Exhibit1Joint
Exhibit
List)(Malofiy,
Francis)(Entered:
04/24/2016)
(FILED
04/24/2016)(ECF
NO.200)
DECLARATION
of Peter J.
Anderson re
Witness List 198
,
Notice of
Lodging
Proposed Pretrial
Order 200 ,
Exhibit
List 199 filed by
Defendants
Atlantic
Recording
Corporation,
ROBERT
ANTHONY
PLANT, James
Patrick Page,
Rhino
Entertainment
Company,
Warner/Chappell
Music Inc.
(Anderson,
Peter) (Entered:
04/24/2016)
(FILED
04/24/2016)
(ECF NO. 201)

13
14
15
16
17
18
19
20

3201

21
22
23
24
25
26
27
28
{00255828;1}

255

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

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#:6782
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15

3202

16
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18
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22
23
24
25
26
27
28
{00255828;1}

MINUTES OF
PRETRIAL
CONFERENCE
Case called.
Court and
counsel confer.
Prior to the trial
date, the parties
shall submit a
joint statement of
the case. The
joint statement
should not
exceed one
paragraph. Each
day of trial,
counsel shall
submit to the
Court a list of
witnesses, in the
order they will be
called. Court and
counsel confer
regarding voir
dire, jury
impanelment,
trial hours, and
introducing
exhibits. Time
limits for opening
statements will
be given to
counsel on the
first day of trial.
The Court
informs counsel
that it intends to
impose time
limites of 10
hours per side.
The Court issues
tentative rulings
on motions in
limine. granting
134 Motion in
Limine to
Exclude; granting
135 Motion in
Limine to
Exclude; granting
136 Motion in
Limine to

256

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Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 257 of 383 Page ID
#:6783
1

Exclude; granting
137 Motion in
Limine to
Exclude; granting
138 Motion in
Limine to
Exclude; granting
139 Motion in
Limine to
Exclude; granting
140 Motion in
Limine to
Exclude; granting
141 Motion in
Limine to
Exclude; granting
in part and
denying in part
142 Motion in
Limine to
Exclude; granting
145 Motion in
Limine to
Exclude; granting
146 Motion in
Limine to
Exclude; granting
147 Motion in
Limine to
Exclude; granting
149 Motion in
Limine to
Preclude;
denying 150
Motion in Limine
to Preclude;
denying 151
Motion in Limine
to Preclude; Final
Pretrial
Conference held
before Judge R.
Gary Klausner:
Court Reporter:
Shayna
Montgomery.
(bp) Modified on
4/28/2016 (sw).
(Entered:
04/25/2016)
(FILED
04/25/2016)

2
3
4
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6
7
8
9
10
11
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{00255828;1}

257

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Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 258 of 383 Page ID
#:6784
1

(ECF 202)

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3203

24
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MINUTEORDER
INCHAMBERSby
JudgeR.Gary
Klausner
re:Amended
Rulingon
Defendants'
MotioninLimine
No.4137.Refer
totheCourt's
orderfordetails.
(pso)
(Entered:
04/25/2016)
(FILED
04/25/2016)(ECF
NO.203)

28
{00255828;1}

258

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Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 259 of 383 Page ID
#:6785
1
2
3
4
5
6
7

3204

8
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20
21

3205

22
23
24
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26
27
28
{00255828;1}

SCHEDULING
NOTICE TO
ALL PARTIES
AND ORDER
by Judge R.
Gary klausner.
The Jury Trial in
this matter has
beencontinued
from 05/10/2016
at 9:00am to
06/14/2016
9:00am. THERE
IS NO PDF
DOCUMENT
ASSOCIATED
WITH THIS
ENTRY.
(sw) TEXT
ONLY ENTRY
(Entered:
04/27/2016)
(FILED
04/27/2016)
(ECF NO. 204)
TRANSCRIPTfor
proceedingsheld
on04/25/2016
9:08A.M.Court
Reporter:Shayna
Montgomery,
Email:
shaynamontgom
ery@yahoo.com.
Transcriptmay
beviewedatthe
courtpublic
terminalor
purchased
throughthe
Court
Reporter/Electro
nicCourt
Recorderbefore
thedeadlinefor
Releaseof
Transcript
Restriction.After
thatdateitmay
beobtained
throughPACER.

259

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

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#:6786
1
2
3
4
5
6
7
8
9
10
11
12

NoticeofIntent
toRedactdue
within7daysof
thisdate.
Redaction
Requestdue
5/19/2016.
Redacted
Transcript
Deadlinesetfor
5/31/2016.
Releaseof
Transcript
Restrictionset
for7/27/2016.
(Montgomery,
Shayna)
(Entered:
04/28/2016)(FILE
D04/27/2016)
(ECFNO.205)
NOTICEOF
FILING
TRANSCRIPTfiled
forproceedings
04/25/2016
9:08A.M.re
Transcript205
THEREISNOPDF
DOCUMENT
ASSOCIATED
WITHTHIS
ENTRY.
(Montgomery,
Shayna)TEXT
ONLYENTRY
(Entered:
04/28/2016)
(FILED
04/28/2016)(ECF
NO.206)

13
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18

3206

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21
22
23

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25
26
27
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{00255828;1}

260

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 261 of 383 Page ID
#:6787
1
2
3
4
5
6
7
8
9
10

3207

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22
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24

3208

25
26
27
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{00255828;1}

NOTICE OF
MOTION AND
MOTION to
Depose Newly
Discovered
Witness or
Alternatively to
have Witness
Testify
by Video
Conference at
Trial filed by
Plaintiff
MICHAEL
SKIDMORE.
Motion set for
hearing on
6/14/2016 at
09:00
AM before Jude
R. Gary
Klausner.
(Attachments: # 1
Declaration of
Francis Malofiy,
# 2 Proposed
Order)
(Malofiy,
Francis)
(Entered:
05/06/2016)
(FILED
05/06/2016)
(ECF NO. 207)
NOTICEOF
MOTIONAND
MOTIONto
DetermineTrial
Techologyfiled
byPlaintiff
MICHAEL
SKIDMORE.
Motionsetfor
hearingon
6/14/2016at
09:00AMbefore
JudgeR.Gary
Klausner.
(Attachments:#
1Proposed
Order)(Malofiy,

261

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 262 of 383 Page ID
#:6788
1

Francis)(Entered:
05/06/2016)
(FILED
05/06/2016)(ECF
NO.208)

2
3

4
5
6
7
8
9
10
11
12
13
14
15
16

3209

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21
22
23
24
25
26
27

SCHEDULING
NOTICE TO
ALL PARTIES
AND ORDER by
Judge R. Gary
Klausner. The
Court has
reviewed
plaintiff'sMotion
to Determine
Trial Technology
208, and Motion
to Depose Newly
Discovered
Witness or
Alternatively to
haveWitness
Testify by Video
Conference at
Trial 207. The
Courtconstrues
both motions as
ex parte
applications.
Defendants'
opposition, if
any, shall be filed
no later than
2:00pm on
Wednesday, May
11 2016. THERE
IS NO PDF
DOCUMENT
ASSOCIATED
WITH THIS
ENTRY. (sw)
TEXT ONLY
ENTRY
(Entered:
05/09/2016)
(FILED
05/09/2016)
(ECF NO. 209)

28
{00255828;1}

262

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Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 263 of 383 Page ID
#:6789
1
2
3
4
5
6
7
8
9

3210

10
11
12
13
14
15
16
17
18
19
20
21
22
23

3211

24
25
26
27
28
{00255828;1}

EX PARTE
APPLICATION
for Order for
Confirming
February 11,
2016 Discovery
CutOff Does
Not Apply to
Expert
Depositions filed
by defendants
Atlantic
Recording
Corporation,
ROBERT
ANTHONY
PLANT, James
Patrick
Page, Rhino
Entertainment
Company,
Warner/Chappell
Music
Inc.
(Attachments: # 1
EXHIBITS 15,
# 2 Proposed
Order)
(Anderson, Peter)
(Entered:
05/09/2016)
(FILED 05/09/)
(ECF NO. )
OPPOSITION to
EX PARTE
APPLICATION
for Order for
Confirming
February 11,
2016 Discovery
CutOff Does
Not Apply to
Expert
Depositions 210
filed by Plaintiff
MICHAEL
SKIDMORE.
(Attachments: # 1
Declaration of
Francis Malofiy,
# 2 Proposed
Order)(Malofiy,

263

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 264 of 383 Page ID
#:6790
1

Francis)
(Entered:
05/10/2016)
(FILED
05/10/2016)
(ECF NO. 211)

2
3
4
5
6
7
8
9
10
11
12
13
14
15
16

3212

17
18
19
20
21
22
23
24
25

[STRICKEN]
REPLYinsupport
ofEXPARTE
APPLICATION
forOrderfor
Confirming
February11,
2016Discovery
CutODoesNot
ApplytoExpert
Depositions210
filedby
Defendants
Atlantic
Recording
Corporation,
ROBERT
ANTHONY
PLANT,James
PatrickPage,
Rhino
Entertainment
Company,
Warner/Chappell
MusicInc.
(Anderson,Peter)
Modifiedon
5/11/2016(ah).
(Entered:
05/10/2016)
(FILED
05/10/2016)(ECF
NO.312

26
27
28
{00255828;1}

264

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 265 of 383 Page ID
#:6791
1
2
3
4
5
6
7
8

3213

9
10
11
12
13
14
15
16
17
18
19
20
21
22

3214

23
24
25
26
27
28
{00255828;1}

ORDER TO
STRIKE
ELECTRONICA
LLY FILED
DOCUMENTS
by Judge R. Gary
Klausner: the
following
document(s) be
STRICKEN for
failure to comply
with the Local
Rules, General
Order and/or the
Courts Case
Management
Order: Reply
(Motion related)
212 for the
following
reasons: Requires
leave of Court.
(ah) (Entered:
05/11/2016)
(FILED
05/11/2016)
(ECF NO. 213)
MEMORANDUM
inOppositionto
NOTICEOF
MOTION
ANDMOTIONto
DetermineTrial
Techology208
filedby
Defendants
Atlantic
Recording
Corporation,
ROBERT
ANTHONY
PLANT,James
PatrickPage,
Rhino
Entertainment
Company,
Warner/Chappell
MusicInc.
(Anderson,Peter)
(Entered:
05/11/2016)

265

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 266 of 383 Page ID
#:6792
1

(FILED
05/11/2016)(ECF
NO.214)

3
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10
11
12
13
14

3215

15
16
17
18
19
20
21
22
23

MEMORANDUM
inOppositionto
NOTICEOF
MOTIONAND
MOTIONto
DeposeNewly
Discovered
Witnessor
Alternativelyto
haveWitness
TestifybyVideo
Conferenceat
Trial207filedby
Defendants
Atlantic
Recording
Corporation,
ROBERT
ANTHONY
PLANT,James
PatrickPage,
Rhino
Entertainment
Company,
Warner/Chappell
MusicInc.
(Anderson,Peter)
(Entered:
05/11/2016)
(FILED
05/11/2016)(ECF
NO.215)

24
25
26
27
28
{00255828;1}

266

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 267 of 383 Page ID
#:6793
1
2
3
4
5
6
7
8
9
10
11
12
13
14

3216

15
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19
20
21
22
23
24
25
26
27

ORDER ON
DEFENDANTS'
EX PARTE
APPLICATION
FOR ORDER
CONFIRMING
FEBRUARY 11,
2016
DISCOVERY
CUTOFF
DOES NOT
APPLY TO
EXPERT
DEPOSITIONS
by Judge R. Gary
Klausner: IT IS
HEREBY
ORDERED that
defendants'
Application is
GRANTED and
that: The
February 11,
2016 discovery
cutoff in this
action does not
apply to expert
depositions,
which are instead
governed by
Federal Rule of
Civil Procedure
26; and
Defendants may
proceed with
their depositions
of plaintiff's
experts as noticed
by defendants on
May 3, 2016 (or
at such other
dates, times and
placed as counsel
for the parties
may agree
beforehand in
writing). (bp)
(Entered:
05/12/2016)(FIL
ED 05/12/2016)
(ECF NO. 216)

28
{00255828;1}

267

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 268 of 383 Page ID
#:6794
1
2
3
4
5

3217

6
7
8
9
10
11
12
13
14
15
16
17

3218

18
19
20
21
22
23
24

ORDER
GRANTING
PLAINTIFF'S
MOTION TO
DETERMINE
TRIAL
TECHNOLOGY
by Judge R. Gary
Klausner 208 .
Refer to the
Court's order for
details. (pso)
(Entered:
05/12/2016)
(FILED
05/12/2016)
(ECF NO. 217)
ORDER
GRANTING
PLAINTIFF'S
MOTION
FORLEAVE
TO DEPOSE
NEWLY
DISCOVERED
WITNESS OR
ALTERNATIVE
LY TO
HAVEWITNESS
TESTIFY BY
VIDEO
CONFERENCE
AT TRIAL by
Judge R. Gary
Klausner 207 .
Note changes
made by the
Court. Refer to
the Court's order
for details. (pso)
(Entered:
05/12/2016)
(FILED
05/12/2016)
(ECF NO. 218)

25
26
27
28
{00255828;1}

268

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 269 of 383 Page ID
#:6795
1
2
3
4
5
6
7
8

3219

9
10
11
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13
14
15
16
17
18
19
20
21

3220

22
23
24
25
26
27
28
{00255828;1}

NOTICE OF
DISCREPANCY
AND ORDER:
by Judge R.
Gary Klausner,
ORDERING
Letter to Judge
Re NonPayment
by Counsel for
deposition
transcripts
submitted by
NonPartyreceiv
ed on 5/16/16 is
not to be filed
but instead
rejected. Denial
based on: L.R.
832.5. No
letters
to the Judge.
(pso) (Entered:
05/17/2016)
(FILED
05/17/2016)
(ECF NO. 219)
NOTICE OF
MOTION AND
MOTION for
Order for to
Compel
Attendance and
Testimony filed
by Plaintiff
MICHAEL
SKIDMORE.
Motion set for
hearing on
6/14/2016 at
09:00 AM before
Judge R. Gary
Klausner.
(Attachments: # 1
Declaration of
Francis Malofiy,
# 2 Proposed
Order) (Malofiy,
Francis)
(Entered:
05/17/2016)
(FILED
05/17/2016)

269

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 270 of 383 Page ID
#:6796
1

(ECF NO. 219)

2
3
4
5
6
7
8
9
10
11

2001

12
13
14
15

2002

16
17

2003

18
19
20

2004

21
22
23

2005

24
25
26

2006

27
28

2007
{00255828;1}

DEFENDANT
S' EXHIBIT
LIST
James Patrick
Page-Session
Man Vol. 1
album
(D000001-07)
& recordings
James Patrick
Page-Session
Man Vol. 2
album
(D000008-34)
& recordings
Cartoone album
(D00057-60) &
recordings on
album
Atlantic
Records
Discography
excerpts
(D00061-65)
Texas Intl Pop
Festival
Performance
Schedule
(D000088)
Grande
Ballroom
website printout
(D000094 et
seq.)
Grande

FRE 402

FRE 402

FRE 402

FRE 402

FRE 402; 802

FRE 402; 802

FRE 402; 802


270

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 271 of 383 Page ID
#:6797
1
2
3

2008

4
5

2009

6
7
8

2010

9
10
11

2011

12
13
14

2012

15
16

2013

17
18
19

2014

20
21
22

2015

23
24
25
26

2016

27
28
{00255828;1}

Ballroom listing
(D000099)
Grande
Ballroom listing
(D000100)
Concert
Database
Grande
Ballroom listing
(D000101)
Grande
Ballroom
performance
photo
(D000103)
Bootleg albums
(D000104-06)
and Headley
Grange
recordings
on album
Denver 12/68
review
(D000136)
Spirit Time
Circle album
and liner notes
(D000137-145)
Cert. of
Registration of
Copyright in
Stairway to
Heaven
(D000178-80)
Stip. to Order &
Order 2/19/02
in Ventura Cty.
Superior Court
Case No.
P72493
(D000203-07)
Petition for
Substituted
Judgment
1/14/02 in
Ventura Cty.
Superior Court

FRE 402; 802

FRE 402; 802

FRE 402; 802

FRE 402;

FRE 402; 802

FRE 402; 802; 901

FRE 402; 802; 901

FRE 402; 802; 901

FRE 402; 802

271

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 272 of 383 Page ID
#:6798
1
2
3

2017

4
5
6

2018

7
8

2019

9
10
11

2020

12
13

2021

14
15
16

2022

17
18

2023

19
20
21

2024
2025

22
23

2026

24
25
26

2027

27

Case No.
P72493
(D000208-36)
Ventura County
Superior Court
filings in P
76088
Ventura County
Superior Court
filings in P
76088
Rhino Rerelease
marketing
materials
(D000291-93)
Billboard Top
Albums 19552001
(D000559-61)
Stairway to
Heaven deposit
copy (D00056265)
Chet Baker
Bouree
recording
(D000134)
Chim Chiree
recording
(D000135)
To Catch A
Shad recording,
The Modern
Folk Quartet
Led Zeppelin
DVD 2003
Led Zeppelin
IV documents
(D000608-641)
WB MusicFlames of
Albion 2008
Admin
Agreement
(D000642-54)

FRE 402; 802

FRE 402; 802

FRE 402; 802

FRE 402; 802; 901

FRE 402; 802; 901

FRE 402; 802; 901

FRE 402; 802; 901

FRE 402; 802; 901


FRE 402; 802; 901
FRE 402; 802; 901

FRE 402; 702; 802; 901

28
{00255828;1}

272

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 273 of 383 Page ID
#:6799
1
2
3

2028

4
5
6
7

2029

8
9
10
11

2030

12
13
14
15

2031

16
17
18

2032

19
20
21
22

2033

23
24
25
26

2034

27
28
{00255828;1}

Warner/Chappe
ll Summary of
Mechanical
Royalties-Top
Sheet(D000655
) (Subject to
update)
Warner/Chappe
ll Summary
Backup of
Mechanical
Royalties
(D000656-696)
(Subject to
update)
Warner/Chappe
ll Summary of
ASCAP
Receipts
(D000697)
(Subject to
update)
Warner/Chappe
ll Summary of
Synch Licenses
(D000698)
(Subject to
update)
Warner/Chappe
ll Summary of
Misc. Receipts
(D000699)
(Subject to
update)
Warner/Chappe
ll Summary
Backup of
Misc. Receipts
(D000700)
(Subject to
update)
*WB Music
accounting
statements
(D0007015046) (Subject
to update)

FRE 402; 702; 802; 901

FRE 402; 702; 802; 901

FRE 402; 702; 802; 901

FRE 402; 702; 802; 901

FRE 402; 702; 802; 901

FRE 402; 702; 802; 901

FRE 402; 702; 802; 901

273

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 274 of 383 Page ID
#:6800
1
2

2035

3
4

2036

5
6
7

2037

8
9
10

2038

11
12

2039

13
14
15
16

2040

17
18
19

2041

20
21
22

2042

23
24
25

2043

26
27

Rhino-Atlantic
P&L (D040419)
(Subject to
update)
*Record-side
accounting
statements
(D00504736251)
Summary as to
Individuals
(D040451-55)
(Subject to
update)
*Alfred
accounting
statements
D036252-893)
*ASCAP
accounting
statements to J
Page (D03689438062)
*ASCAP
accounting
statements to R
Plant
(D03806339242)
*Reports of
DirectorsFlames of
Albion
(D039243-281)
*Reports of
DirectorsSuperhype
Tapes
(D039282-321)
28
*RAL
accounting
statements to J
Page/Classicber
ry (D039322434)

FRE 402; 702; 802; 901

FRE 402; 702; 802; 901

FRE 402; 702; 802; 901

FRE 402; 702; 802; 901

FRE 402; 702; 802; 901

FRE 402; 702; 802; 901

FRE 402; 702; 802; 901

FRE 402; 702; 802; 901

FRE 402; 702; 802; 901

28
{00255828;1}

274

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 275 of 383 Page ID
#:6801
1
2

2044

3
4
5

2045

6
7
8

2046

9
10
11

2047

12
13
14

2048

15
16
17

2049

18
19

2050

20
21

2051

22
23
24

2052

25
26

2053

27
28

2054
{00255828;1}

*RAL
accounting
statements to R
Plant/Trolcharm
(D039435- 562)
*RAL
accounting
statements to J
Baldwin/JPJ
Commns
(D039563-687)
*SoundExchang
e accounting
statements
(D039688-4010291)
*Letter of
direction
11/1/68
(D0404192)
*Letter
agreement re
letter of
direction
12/4/1969
(D0404193)
Rhino
Agreement
7/1/12 (D04010294-237)
Rhino letter
agreement
7/1/12
(D040238-41)
*Recording
Contract
11/1/68
(D040242-259)
*Recording
Contract
amendment
12/4/69
(D040260-62)
*Confirming
letter 12/4/69
(D040263)
Master

FRE 402; 702; 802; 901

FRE 402; 702; 802; 901

FRE 402; 702; 802; 901

FRE 402; 702; 802; 901

FRE 402; 702; 802; 901

FRE 402; 702; 802; 901

FRE 402; 702; 802; 901

FRE 402; 702; 802; 901

FRE 402; 702; 802; 901

FRE 402; 702; 802; 901


FRE 402; 702; 802; 901
275

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 276 of 383 Page ID
#:6802
1
2

2055

3
4

2056

5
6
7

2057

8
9

2058

10
11
12

2059

13
14
15
16

2060

17
18
19
20

2061

21
22
23

2062

24
25
26

2063

27
28
{00255828;1}

container labels
(D040264-65)
1969 itineraries
(D040396-99)
Total Spins info
2011-15
(D040400-15)
(Subject to
update)
Documents re
theft of J Page
tapes
(D040421-41)
Taurus 1967
transcription
(D040443)
[Stewart]
Partial summary
of Led Zeppelin
awards/recognit
ion (D04044450)
Superior Court
Order
approving
WolfeHollenbeck
Exclusive
Songwriters &
Composers
Agreement
11/20/67
Corrections to
registrations re
Taurus (HOA
000024-25)
Corrections to
registrations re
Taurus (HOA
000038-41)
Chris Farlowe
& The
Thunderbirds
album and
Spring Is Near
recording
(D40416-17)

FRE 402; 802; 901

FRE 402; 702; 802; 901

FRE 402; 802; 901

FRE 402; 802; 901

FRE 402; 802; 901; improper


changing of copyright subject of
litigation; failure to disclose

FRE 402; 802; 901; improper


changing of copyright subject of
litigation; failure to disclose
FRE 402; 802; 901; improper
changing of copyright subject of
litigation; failure to disclose

FRE 402; 702; 802; 901

276

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 277 of 383 Page ID
#:6803
1
2

2064

3
4
5

2065

6
7
8
9

2066

10
11
12

2067

13
14
15
16

2068

17
18
19

2069

20
21
22
23

2070

24
25

2071

26
27

2072

28
{00255828;1}

Randy Craig
Wolfe Trust
Agreement
(deposition
exhibit 451)
First
Amendment to
Trust
Agreement
(deposition
exhibit 452)
Second
Amendment to
Trust
Agreement
(deposition
exhibit453)
Third
Amendment to
Trust
Agreement
(deposition
exhibit 454)
Fourth
Amendment to
Trust
Agreement
(deposition
exhibit 455)
Fifth
Amendment to
Trust
Agreement
(deposition
exhibit 456)
Exclusive
Songwriters
and Composers
Agreement
Wolfe/Hollenbe
ck 8/29/67
Ode Records
Recording
Contract
8/29/67
Malofiy letter to
Adler 7/29/14

FRE 402

FRE 402

FRE 402

FRE 402

FRE 402

FRE 402

FRE 402

FRE 402; 802; 901


FRE 402;
277

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 278 of 383 Page ID
#:6804
1
2

2073

3
4

2074

5
6

2075

7
8
9
10
11

2076
2077
2078

12
13

2079

14
15
16
17
18

2080
2081
2082

19
20

2083

21
22
23
24

2084
2085

25
26
27

2086

2087

28
{00255828;1}

Spirit show
history
(deposition
exhibit 300)
Spirit Gig
Listings
(deposition
exhibit 301)
Spirit recording
(deposition
exhibit 302)
Spirit recording
(deposition
exhibit 303)
Spirit recording
(deposition
exhibit 304)
Spirit recording
(deposition
exhibit 306)
Spirit recording
(deposition
exhibit 307)
Spirit recording
(deposition
exhibit 308)
Spirit recording
(deposition
exhibit 309)
Spirit recording
(deposition
exhibit 310)
Spirit recording
(deposition
exhibit 311)
Spirit recording
(deposition
exhibit 312)
Spirit recording
(deposition
exhibit 368)
Spirit handbill
12/68
(deposition
exhibit 320)
Listing of songs
Spirit

FRE 402; 802; 901

FRE 402; 802; 901

FRE 402; 802; 901


FRE 402; 802; 901
FRE 402; 802; 901
FRE 402; 802; 901
FRE 402; 802; 901
FRE 402; 802; 901
FRE 402; 802; 901
FRE 402; 802; 901
FRE 402; 802; 901
FRE 402; 802; 901
FRE 402; 802; 901

FRE 402; 802; 901

FRE 402; 802; 901


278

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 279 of 383 Page ID
#:6805
1
2
3
4
5

2088

6
7
8
9

2089

10
11
12

2090

13
14

2091

15
16

2092

17
18
19
20

2093

21
22
23

2094

24
25
26
27

2095

28
{00255828;1}

performed
2/1/69
(deposition
exhibit 352)
Spirit
performance
Texas Pop
Festival
https://www.yo
utube.com/watc
h?v=1q80pFUe
3Es
YouTube listing
of songs Spirit
performed at
Texas Pop
Festival
Plaintiffs
Response to
second set of
Interrogatories
Defendants
second Request
for Admissions
Dr. Ferrara
initial report
and
attachments/vis
ual & audio
exhibits
Dr. Ferrara
rebuttal report
and
attachments/vis
ual & audio
exhibits
R. Mathes
initial report
and
attachments/vis
ual & audio
exhibits
R. Mathes audio
exhibit
Kennedy Center
performance
identified in

FRE 402; 802; 901

FRE 402; 802; 901

FRE 402;

FRE 402;

FRE 402; 703; 802; 901

FRE 402; 703; 802; 901

FRE 402; 703; 802; 901

FRE 402; 703; 802; 901

279

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 280 of 383 Page ID
#:6806
1

initial report

2
3
4

2096

5
6

2097

2098

2099

9
10

2100

11

2101

12

2102

13

2103

14
15
16
17
18

2104
2105

2106

19
20

2107A

21

2017V

22

2108

23
24

2109

25

2110

26

2111

27

2112

28
{00255828;1}

R. Mathes
rebuttal report
and
attachments/vis
ual & audio
exhibits
Led Zeppelin
album (1968)
Led Zeppelin II
album
Led Zeppelin
III album
Led Zeppelin
IV Album
Houses of the
Holy album
Physical
Graffiti album
Presence album

FRE 402; 703; 802; 901

FRE 402;
FRE 402;
FRE 402;
FRE 402;
FRE 402;
FRE 402;
FRE 402;

In Through the
FRE 402;
Out Door album
Coda album

FRE 402;

Heart Kennedy
Center
performance of
Stairway to
Heaven
Mothership
(CD)
Mothership
(DVD)

FRE 402; 802; 901

FRE 402;
FRE 402;

How the West


Was Won
album
Song Remains
the Same video
Celebration Day
video
Celebration Day
CD
*May 23-24,
1969 Kinetic,
Chicago

FRE 402;
FRE 402;
FRE 402;
FRE 402;
FRE 402; 802; 901; failure to
disclose
280

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 281 of 383 Page ID
#:6807
1
2
3

2113

4
5
6

2114

7
8
9

2058A
S

10
11

2058-1

12
13
14

2092 B

15
16
17

2115

18
19
20

2116
2117

21
22

2118

23
24

2119

25
26

2200

27

Performance
Spirit Texas
Pop Festival 91-69 CD and
list of songs
(from Exh. 364)
Spirit Hornsey
Town Hall 23-70 CD and
list of songs
(from Exh. 364)
Taurus Deposit
Copy
(D040443)
[Stewart]
Taurus Deposit
Copy With
Handwritten
Notes [Stewart]
Dr. Ferrara's
Transcription of
Stairway to
Heaven
[Stewart]
[Johnson]
Curriculum
Vitae of
Alexander
Stewart
[Stewart]
Subpeona
[Stewart]
Stairway to
Heaven Sheet
Music [Stewart]
Court Order
[Stewart]
2016.04.30
Expert Report Dr. Stewart
[Stewart]
Definition of
"Verse" from
The Harvard
Dictionary of
Music [Stewart]

FRE 402; 802; 901; failure to


disclose

FRE 402; 802; 901; failure to


disclose

28
{00255828;1}

281

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 282 of 383 Page ID
#:6808
1
2
3

2201

4
5
6

2202

7
8
9

2203

10
11

2058EJ

12
13
14

2092B

15
16
17

2201

18
19
20
21

2201A

22
23

2201B

24
25

2300

26
27

2301

28
{00255828;1}

Transcription of
To Catch A
Shad (Guitars) /
Stairway to
Heaven (Guitar)
[Stewart]
[Johnson]
2016.02.10 Expert Report Dr. Ferrara
[Stewart]
Dr. Stewart's
Handwritten
Notes - Written
During
Deposition
[Stewart]
Taurus Deposit
Copy [Johnson]
Dr. Ferrara's
Transcription of
Stairway to
Heaven
[Stewart]
[Johnson]
Transcription of
To Catch A
Shad (Guitars) /
Stairway to
Heaven (Guitar)
[Stewart]
[Johnson]
Stairway to
Heaven Sheet
Music
[Johnson]
To Catch A
Shad Stairway
to Heaven
Transcription
Page [Johnson]
Subpeona
[Johnson]
Handwritten
Note Expert Fee
Payments
[Johnson]
282

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 283 of 383 Page ID
#:6809
1
2

2302

3
4

2303

5
6

2304

7
8

2305

9
10
11
12

2306
2307

13
14

2310

15
16
17

2311

18
19

2312

20
21
22
23

2313

24
25
26

2092B

27

2058C

28

2058D
{00255828;1}

Taurus
Transcription
by Erik Johnson
[Johnson]
Amended Erik
Johnson Expert
Report
[Johnson]
Subpoena
[Hanson]
Amended
Expert Report
of Kevin
Hanson
[Hanson]
Handwritten
Note of Expert
Fee Payments
[Hanson]
Resume
[Hanson]
Subpoenas to
Testify in a
Deposition at a
Civil Trial
[Bricklin]
Brian Bricklin Expert Report
[Bricklin]
Defendants'
Expert Rebuttal
List of Audio
Exhibits (1-65)
[Bricklin]
Stairway to
Heaven Response to
new Plaintiff's
Expert's reports
from Rob
Mathes
Stairway to
Heaven Sheet
Music [Hanson]
Taurus Sheet
Music
Taurus Sheet
283

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 284 of 383 Page ID
#:6810
1
2

2400

3
4
5
6
7
8

2401
2402
2403
2404

9
10
11

2600

12
13

2601

14
15
16
17
18

2602
2603
2603B

19
20
21
22
23

2603C
2604
2605

24
25

2606

26
27
28

2700
{00255828;1}

Music
Subpoena
[Einhorn]
Michael
Einhorn Expert
Report
[Einhorn]
Documents List
[Einhorn]
Contract
[Einhorn]
Profit & Loss
Statement
[Einhorn]
Subpoena to
Testify in a
Deposition at a
Civil Trial
[Mathes]
Report of
Robert B.
Mathes
[Mathes]
Rebuttal Report
of Robert B.
Mathes
[Mathes]
Taurus Deposit
Copy [Mathes]
Taurus Deposit
Copy [Mathes]
Taurus Deposit
Copy [Mathes]
Invoices
[Mathes]
Document
Entitled
Musical
Example One
Document
Entitled
Stairway to
Heaven Report
Audio Exhibit 1
[Mathes]
Subpoena to
Testify at a
284

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 285 of 383 Page ID
#:6811
1
2
3

2701

4
5

2702

6
7
8

2703
2704

9
10
11
12
13
14

2705
2706
2707
2708

15
16
17

2709

18
19
20

146

21
22
23

3218

24
25
26

2950

27
28

2951
{00255828;1}

Deposition in a
Civil Trial
[Ferrara]
Invoices
[Ferrara]
Document
entitled
Jazzology
[Ferrara]
Document
entitled Ferrara
Cases [Ferrara]
Taurus Deposit
Copy [Ferrara]
Musical
Example 1
[Ferrara]
Expert Report
[Ferrara]
Transcription
[Ferrara]
Stairway to
Heaven deposit
copy (D00056265) [Ferrara]
Policy,
Academic
Integrity for
Students at
NYU [Ferrara]
Robert Plant
Road Crash
[D146] [Plant]
[Ware]
Order Granting
Plaintiff's
Motion for
Leave to
Depose Newly
Discovered
Witness [Ware]
List of Artists
Playing at
Mothers Club
[Ware]
Copy of Poster
of Spirit
285

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 286 of 383 Page ID
#:6812
1
2
3
4

2952
2953

5
6

2954

7
8

2955

Playing at
Mothers Club
[Ware]
Billboard
Charts [Ware]
Billboard
Charts [Ware]
Email from Mr.
Ware to Mr.
Skidmore
[Ware]
Post
Downloaded
From Website
[Ware]

10
11
12
13
14

100001

15
16

100002

Session Man
CD Cover and
Liner Notes

100003

Session Man
CD Cover and
Liner Notes

100004

Session Man
CD Cover and
Liner Notes

100005

Session Man
CD Cover and
Liner Notes

100006

Session Man
CD Cover and
Liner Notes

17
18
19

Additional
Exhibits added
by Plaintiff
D000001-601
Session Man
CD Cover and
Liner Notes

20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit


by a unique number, making it
unclear what plaintiff refers to;
apparently duplicative of exhibit
above; objections reserved.
Defs: failure to identify the exhibit
by a unique number, making it
unclear what plaintiff refers to;
apparently duplicative of exhibit
above; objections reserved.
Defs: failure to identify the exhibit
by a unique number, aking it unclear
what plaintiff refers to; apparently
duplicative of exhibit above;
objections reserved.
Defs: failure to identify the exhibit
by a unique number, making it
unclear what plaintiff refers to;
apparently duplicative of exhibit
above; objections reserved.
Defs: failure to identify the exhibit
by a unique number, making it
unclear what plaintiff refers to;
apparently duplicative of exhibit
286

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 287 of 383 Page ID
#:6813
1

above; objections reserved.

2
3
4

100007

5
6
7

100008

8
9

100009

10
11
12

100010

13
14

100011

15
16
17

100012

18
19

100013

20
21

100014

22
23

100015

24
25

100016

26
27

100017

28
{00255828;1}

Session Man
CD Cover and
Liner Notes
D000008 JP
Sess Vol 1 01
Dont You Dig
This Kinda Beat
D000009 JP
Sess Vol 1 02
Sweet Little
Baby
D000010 JP
Sess Vol 1 03
Roll Over
Beethoven
D000011 JP
Sess Vol 1 04
Somebody Told
My Girl (Carter
Lewi
D000012 JP
Sess Vol 1 05
My Baby Left
Me
D000013 JP
Sess Vol 1 06
Once In A
While
D000014 JP
Sess Vol 1 07
Money Honey
D000015 JP
Sess Vol 1 08
Thats Alright
D000016 JP
Sess Vol 1 09
I Just Cant Go
To Sleep
D000017 JP
Sess Vol 1 9
Little Games

Defs: failure to identify the exhibit


by a unique number, making it
unclear what plaintiff refers to;
apparently duplicative of exhibit
above; objections reserved.
Defs: duplicabtive of exhibit above.
Defs: failure to assign a unique
exhibit no.; duplicative of exhibit
above.
Defs: duplicative of exhibit above.

Defs: failure to assign a unique


exhibit no.; duplicative of exhibit
above.
Defs: failure to assign a unique
exhibit no. ; apparently duplicative
of exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
287

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 288 of 383 Page ID
#:6814
1
2

100018

3
4

100019

5
6
7

100020

8
9

100021

10
11

100022

12
13

100023

14
15

100024

16
17

100025

18
19

100026

20
21
22

100027

23
24
25

100028

26
27

100029

28
{00255828;1}

D000018 JP
Sess Vol A
Certain Girl
D000019 JP
Sess Vol 1 11
Leave My
Kitten Alone
(First Gear)
D000020 JP
Sess Vol 1 12
How Do You
Feel
D000021 JP
Sess Vol 1 13
Zoom, Widge
And Wag
D000022 JP
Sess Vol 1 14
She Just
Satisfies
D000023 JP
Sess Vol 1 15
Keep Movin
D000024 JP
Sess Vol 1 16
Night Comes
Down
D000025 JP
Sess Vol 1 17
Little By Little
D000026 JP
Sess Vol 1 18
Surprise,
Surprise
D000027 JP
Sess Vol 1 20
Most Likely
Youll Go Your
Way
D000028 JP
Sess Vol 1 21
Dazed And
Confused
See PDF
D000001-601

Defs: failure to assign a unique


exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to specify discrete
exhibits to which objections may be
stated, referring instead to a 601page production; failure to assign a
288

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 289 of 383 Page ID
#:6815
1

unique exhibit no.

2
3
4

100030

See PDF
D000001-601

100031

See PDF
D000001-601

100032

See PDF
D000001-601

100033

See PDF
D000001-601

100034

See PDF
D000001-601

5
6
7
8
9
10
11
12
13
14
15
16
17
18

100035

19
20

100036

21
22

100037

23
24

100038

25
26
27

100039

28
{00255828;1}

D000035 JP
Sess Vol 2 01
Bald Headed
Woman 1
D000036 JP
Sess Vol 2 -02
See You Later
Alligator 1
D000037 JP
Sess Vol 2 -03 I
Can Tell 1
D000038 JP
Sess Vol 2 04
Castin My
Sepll 1
D000039 JP
Sess Vol 2 05
The Feminine
Look 1

Defs: failure to specify discrete


exhibits to which objections may be
stated, referring instead to a 601page production; failure to assign a
unique exhibit no.
Defs: failure to specify discrete
exhibits to which objections may be
stated, referring instead to a 601page production; failure to assign a
unique exhibit no.
Defs: failure to specify discrete
exhibits, referring instead to a 601page production; failure to assign a
unique exhibit no.
Defs: failure to specify discrete
exhibits to which objections may be
stated, referring instead to a 601page production; failure to assign a
unique exhibit no.
Defs: failure to specify discrete
exhibits to which objections may be
stated, referring instead to a 601page production; failure to assign a
unique exhibit no.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
289

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 290 of 383 Page ID
#:6816
1
2

100040

3
4

100041

5
6
7
8
9
10
11
12

100042
100043

100044

100045

13
14

100046

15
16

100047

17
18

100048

19
20

100049

21
22

100050

23
24
25

100051

26
27

100052

D000040 JP
Sess Vol 2 06
Ill Go Crazy 1
D000041 JP
Sess Vol 2 07
Talkin Bout
You 1
D000042 JP
Sess Vol 2 08
Honey Hush 1
D000043 JP
Sess Vol 2 09
I Like It 1
D000044 JP
Sess Vol 2 10
This Sporting
Life 1
See PDF
D000001-601
D000046 JP
Sess Vol 2 11
Baby I Go For
You 1
D000047 JP
Sess Vol 2 12
Ill Come
Running 1
D000048 JP
Sess Vol 2 13
Is It true_1
D000049 JP
Sess Vol 2 14
I Took My
Baby Home 1
D000050 JP
Sess Vol 2 15
World Keeps
Going Around 1
D000051 JP
Sess Vol 2 16
Masters Of War
1
D000052 JP
Sess Vol 2 17
You Said 1

Defs: failure to assign a unique


exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.

28
{00255828;1}

290

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 291 of 383 Page ID
#:6817
1
2

100053

3
4

100054

5
6
7

100055

8
9

100056

10
11

100057

Cartoone
Album

100058

Cartoone
Album

100059

Cartoone
Album

100060

Cartoone
Album

12
13
14
15
16
17
18

100061

19
20
21

100062

22
23

100063

24
25

100064

26
27

D000053 JP
Sess Vol 2 18
The Train Kept
A-Rollin 1
D000054 JP
Sess Vol 2 19
Everybody
Knows 1
D000055 JP
Sess Vol 2 20
Nothin Shakin
1
D000056 JP
Sess Vol 2
White Summer
(Live)1

100065

28
{00255828;1}

Defs: failure to assign a unique


exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.

Atlantic
Records: A
Discography
Volume 2
Atlantic
Records: A
Discography
Volume 2
Atlantic
Records: A
Discography
Volume 2
Atlantic
Records: A
Discography
Volume 2
Atlantic
Records: A
Discography

Defs: failure to assign a unique


exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
291

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 292 of 383 Page ID
#:6818
1

Volume 2

2
3

100066

4
5
6

100067

7
8

100068

9
10
11

100069

12
13

100070

14
15

100071

16
17

100072

18
19

100073

20
21

100074

22
23
24

100075

25
26

100076

27
28

100077
{00255828;1}

D000066
Cartoone audio
01 Knick
Knak Man
D000067
Cartoone audio
02 Withering
Wood
D000068
Cartoone audio
03 The
Sadness Of
Toby Jugg
D000069
Cartoone audio
04 A Penny
For The Sun
D000070
Cartoone audio
05 Ill Stay
See PDF
D000001-601
D000072
Cartoone audio
06 06 Girl Of
Yesterday
D000073
Cartoone audio
07 I Cant
Walk Back
D000074
Cartoone audio
- 08 Let Me
Reassure You
D000075
Cartoone audio
- 09 Mr. Poor
Man
D000076
Cartoone audio
10 Ice Cream
Dreams
D000077
Cartoone audio

Defs: failure to assign a unique


exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
292

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 293 of 383 Page ID
#:6819
1
2
3

100078

4
5
6

100079

7
8

100080

9
10
11

100081

12
13

100082

14
15

100083

16
17
18

100084

19
20
21

100085

22
23
24

100086

25
26

100087

27

11 Doing
What Mama
Said
D000078
Cartoone audio
12 See Me
D000079
Cartoone audio
13 Reflections
Of A Common
Theme
D000080
Cartoone audio
14 Sunday
Morning
D000081
Cartoone audio
15 Deep In
My Heart
D000082
Cartoone audio
16 Going My
Way
D000083
Cartoone audio
17 Give Me
Something New
D000084
Cartoone audio
18 Reflections
Of A Common
Theme
D000085
Cartoone audio
19 Dont
:Look Down
Your Nose
D000086
Cartoone audio
20 Only I Can
Do It
D000087
Cartoone audio
21 Come And
Sit By Me

exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.
Defs: failure to assign a unique
exhibit no.; apparently duplicative of
exhibit above.

28
{00255828;1}

293

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 294 of 383 Page ID
#:6820
1
2
3

100088

4
5
6
7

100089

8
9
10
11

100090

12
13
14
15

100091

16
17
18
19

100092

20
21
22
23

100093

24
25
26
27

100094

28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
www.
impossible to specify objections;
LedZepConcert
potentially duplicative of other
s.com
exhibits, in which case objections as
Schedule
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
www.
impossible to specify objections;
LedZepConcert
potentially duplicative of other
s.com
exhibits, in which case objections as
Schedule
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
www.
impossible to specify objections;
LedZepConcert
potentially duplicative of other
s.com
exhibits, in which case objections as
Schedule
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
www.
impossible to specify objections;
LedZepConcert
potentially duplicative of other
s.com
exhibits, in which case objections as
Schedule
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
www.
impossible to specify objections;
LedZepConcert
potentially duplicative of other
s.com
exhibits, in which case objections as
Schedule
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
www.
impossible to specify objections;
LedZepConcert
potentially duplicative of other
s.com
exhibits, in which case objections as
Schedule
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
www.motorcity
despite requests, making it
musicarchvies.c
impossible to specify objections;
om May 1969
potentially duplicative of other
Schedule (w/
exhibits, in which case objections as
Sun Ra)
to those exhibits apply; otherwise,
294

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 295 of 383 Page ID
#:6821
1

objections reserved.

2
3
4
5

100095

6
7
8
9
10

100096

11
12
13
14

100097

15
16
17
18

100098

19
20
21
22

100099

23
24
25
26

100100

27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
www.motorcity despite requests, making it
musicarchvies.c impossible to specify objections;
om May 1969 potentially duplicative of other
Schedule (w/
exhibits, in which case objections as
Sun Ra)
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
www.motorcity despite requests, making it
musicarchvies.c impossible to specify objections;
om May 1969 potentially duplicative of other
Schedule (w/
exhibits, in which case objections as
Sun Ra)
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
New Musical
despite requests, making it
Express April impossible to specify objections;
1970
potentially duplicative of other
Interview with exhibits, in which case objections as
Jimmy Page
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
Ticket to Grand impossible to specify objections;
Ballroom with potentially duplicative of other
Sun Ra
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
Newspaper
despite requests, making it
Clipping May
impossible to specify objections;
1969 stating
potentially duplicative of other
Zeppelin
exhibits, in which case objections as
appearing with
to those exhibits apply; otherwise,
Sun Ra
objections reserved.
www.motorcity
musicarchvies.c
om May 1969
Schedule (w/
Sun Ra)

295

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 296 of 383 Page ID
#:6822
1
2
3

100101

4
5
6
7

100102

8
9
10
11

100103

12
13
14
15

100104

16
17
18
19

100105

20
21
22
23

100106

24
25
26
27

100107

28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
Rolling Stone, impossible to specify objections;
Issue 41, Page potentially duplicative of other
10?,
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
Picture from
impossible to specify objections;
Grande
potentially duplicative of other
Ballroom in
exhibits, in which case objections as
May 1969
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
Zeppelin Album
impossible to specify objections;
Covers and
potentially duplicative of other
Stairway
exhibits, in which case objections as
Sessions
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
Zeppelin Album
impossible to specify objections;
Covers and
potentially duplicative of other
Stairway
exhibits, in which case objections as
Sessions
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
Zeppelin Album
impossible to specify objections;
Covers and
potentially duplicative of other
Stairway
exhibits, in which case objections as
Sessions
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
Movie
despite requests, making it
Advertisement
impossible to specify objections;
for Texas
potentially duplicative of other
International
exhibits, in which case objections as
Pop Festival
to those exhibits apply; otherwise,
296
the
concertdatabase
.com May
1969 concert
with Sun Ra

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 297 of 383 Page ID
#:6823
1

objections reserved.

2
3
4
5

100108

Ads for Texas


International
Pop Festival
with Zep and
Spirit

100109

Ads for Texas


International
Pop Festival
with Zep and
Spirit

100110

Ads for Texas


International
Pop Festival
with Zep and
Spirit

100111

News article
about Texas
International
Pop Festival

100112

Ticket to
International
Pop Festival

100113

Texas
International
Pop Festival
Press Button
(Labor Day
1969)

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
297

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 298 of 383 Page ID
#:6824
1
100114

News Article on
Texas
International
Pop Festival

100115

News Article on
Three Festivals
including Texas
International

100116

Zeppelin Bios

100117

News Article on
Seattle Pop
Festival (July
1969)

100118

Promotional
Poster for
Seattle Pop
Festival

100119

Promotional
Poster for
Seattle Pop
Festival

100120

Promotional
Poster for
Seattle Pop
Festival

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
298

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 299 of 383 Page ID
#:6825
1

objections reserved.

2
3
4
5

100121

Promotional
Poster for
Seattle Pop
Festival

100122

Promotional
Poster for
Seattle Pop
Festival

100123

Ticket for
Seattle Pop
Festival

100124

Promotional
Poster for
Atlanta Intl.
Pop Festival
(July 1969)

100125

Letter
Announcing
Atlanta Pop
Festival

100126

Promotional
Poster for
Atlanta Pop
Festival

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
299

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 300 of 383 Page ID
#:6826
1
2
3

100127

4
5
6
7

100128

8
9
10
11

100129

12
13
14
15

100130

16
17
18
19

100131

20
21
22
23

100132

24
25
26
27

100133

28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
Promotional
impossible to specify objections;
Poster for
potentially duplicative of other
Atlanta Pop
exhibits, in which case objections as
Festival
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
Unknown
impossible to specify objections;
Promotional
potentially duplicative of other
Poster
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
Ticket Atlanta
potentially duplicative of other
Pop Festival
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
Ticket Atlanta
potentially duplicative of other
Pop Festival
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
Promotional
impossible to specify objections;
Poster for
potentially duplicative of other
Atlanta Pop
exhibits, in which case objections as
Festival
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
News article for impossible to specify objections;
Atlanta Pop
potentially duplicative of other
Festival
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
Ticket from
impossible to specify objections;
Atlanta Pop
potentially duplicative of other
Festival
exhibits, in which case objections as
to those exhibits apply; otherwise,
300

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 301 of 383 Page ID
#:6827
1

objections reserved.

2
3
4
5

100134

6
7
8
9
10

100135

11
12
13
14

100136

15
16
17
18

100137

19
20
21
22

100138

23
24
25
26

100139

27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
D000134 RFP impossible to specify objections;
1,24 Chet
potentially duplicative of other
Baker Bouree exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
D000135 RFP
impossible to specify objections;
1,24
potentially duplicative of other
ChimChim
exhibits, in which case objections as
Cher-ee
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
News article
impossible to specify objections;
from Dec. 29, potentially duplicative of other
1968 Concert exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
Spirit Time
potentially duplicative of other
Circle Album
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
Spirit Time
potentially duplicative of other
Circle Album
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
Spirit Time
potentially duplicative of other
Circle Album
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
301

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 302 of 383 Page ID
#:6828
1
2
3

100140

Spirit Time
Circle Album

100141

Spirit Time
Circle Album

100142

Spirit Time
Circle Album

100143

Spirit Time
Circle Album

100144

Spirit Time
Circle Album

100145

Spirit Time
Circle Album

100146

News article
documenting
that Plant go
hurt after
attending a
Spirit concert

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
302

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 303 of 383 Page ID
#:6829
1

objections reserved.

2
3
4
5

100147

Zeppelin and
Spirit
Promotional
Poster for May
19, 1969

100148

My Back
Pages
Interview with
Jimmy Page

100149

My Back
Pages
Interview with
Jimmy Page

100150

My Back
Pages
Interview with
Jimmy Page

100151

My Back
Pages
Interview with
Jimmy Page

100152

My Back
Pages
Interview with
Jimmy Page

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
303

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 304 of 383 Page ID
#:6830
1
2
3

100153

4
5
6
7

100154

8
9
10
11

100155

12
13
14
15

100156

16
17
18
19

100157

20
21
22
23

100158

24
25
26
27

100159

28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
My Back
impossible to specify objections;
Pages
potentially duplicative of other
Interview with
exhibits, in which case objections as
Jimmy Page
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
My Back
impossible to specify objections;
Pages
potentially duplicative of other
Interview with
exhibits, in which case objections as
Jimmy Page
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
My Back
impossible to specify objections;
Pages
potentially duplicative of other
Interview with
exhibits, in which case objections as
Jimmy Page
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
My Back
impossible to specify objections;
Pages
potentially duplicative of other
Interview with
exhibits, in which case objections as
Jimmy Page
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
My Back
impossible to specify objections;
Pages
potentially duplicative of other
Interview with
exhibits, in which case objections as
Jimmy Page
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
News Article
impossible to specify objections;
Speaking About potentially duplicative of other
Spirit in 1969 exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
News Article on despite requests, making it
how Jimmy
impossible to specify objections;
Saw Spirit
potentially duplicative of other
Shows
exhibits, in which case objections as
to those exhibits apply; otherwise,
304

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 305 of 383 Page ID
#:6831
1

objections reserved.

2
3
4
5

100160

6
7
8
9
10

100161

11
12
13
14

100162

15
16
17
18

100163

19
20
21
22

100164

23
24
25

100164
T

26
27

100165

28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
D000160
impossible to specify objections;
ZigZag JP
potentially duplicative of other
Interview, Spirit
exhibits, in which case objections as
& Kaleidoscope
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
BBC Article on
impossible to specify objections;
Jimmy
potentially duplicative of other
Allegedly
exhibits, in which case objections as
Wrote Stairway
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
BBC Article on
impossible to specify objections;
Jimmy
potentially duplicative of other
Allegedly
exhibits, in which case objections as
Wrote Stairway
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
BBC Article on
impossible to specify objections;
Jimmy
potentially duplicative of other
Allegedly
exhibits, in which case objections as
Wrote Stairway
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
D000164
impossible to specify objections;
BBC Arms of
potentially duplicative of other
Atlas
exhibits, in which case objections as
Stairway
to those exhibits apply; otherwise,
objections reserved.
Transcript of
BBC Arms of
Atlas - Stairway
D000165 RFP Defs: failure to identify the exhibit,
5,35,37,67despite requests, making it
69,81 ZigZag impossible to specify objections;
Stairway To potentially duplicative of other
Heaven
exhibits, in which case objections as
305

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 306 of 383 Page ID
#:6832
1

to those exhibits apply; otherwise,


objections reserved.

2
3
4
5

100165
T

Transcript of
ZigZag Stairway to
Heaven

6
7
8

100166

Interview with
Jimmy about
LZ 4

100167

Copyright
Registrations

100168

Copyright
Registrations

100169

Copyright
Registrations

100170

Copyright
Registrations

9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.

27
28
{00255828;1}

306

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 307 of 383 Page ID
#:6833
1
2
3

100171

Copyright
Registrations

100172

Copyright
Registrations

100173

Copyright
Registrations

100174

Copyright
Registrations

100175

Copyright
Registrations

100176

Copyright
Registrations

100177

Copyright
Registrations

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
307

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 308 of 383 Page ID
#:6834
1

objections reserved.

2
3
4
5

100178

Copyright
Registrations

100179

Copyright
Registrations

100180

Copyright
Registrations

100181

Copyright
Registrations

100182

Copyright
Registrations

100183

Copyright
Registrations

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
308

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 309 of 383 Page ID
#:6835
1
2
3

100184

Copyright
Registrations

100185

Copyright
Registrations

100186

Copyright
Registrations

100187

Copyright
Registrations

100188

Copyright
Registrations

100189

Copyright
Registrations

100190

Copyright
Registrations

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
309

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 310 of 383 Page ID
#:6836
1

objections reserved.

2
3
4
5

100191

Copyright
Registrations

100192

Copyright
Registrations

100193

Copyright
Registrations

100194

Copyright
Registrations

100195

Copyright
Registrations

100196

Copyright
Registrations

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
310

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 311 of 383 Page ID
#:6837
1
2
3

100197

4
5
6
7

100198

8
9
10
11

100199

12
13
14
15

100200

16
17
18
19

100201

20
21
22
23

100202

24
25
26
27

100203

28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
Copyright
potentially duplicative of other
Registrations
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
Copyright
potentially duplicative of other
Registrations
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
Copyright
potentially duplicative of other
Registrations
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
Copyright
potentially duplicative of other
Registrations
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
Copyright
potentially duplicative of other
Registrations
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
News Article on impossible to specify objections;
Atlanta Pop
potentially duplicative of other
Festival
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
Trust
impossible to specify objections;
Documents
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
311

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 312 of 383 Page ID
#:6838
1

objections reserved.

2
3
4
5

100204

Trust
Documents

100205

Trust
Documents

100206

Trust
Documents

100207

Trust
Documents

100208

Trust
Documents

100209

Trust
Documents

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
312

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 313 of 383 Page ID
#:6839
1
2
3

100210

Trust
Documents

100211

Trust
Documents

100212

Trust
Documents

100213

Trust
Documents

100214

Trust
Documents

100215

Trust
Documents

100216

Trust
Documents

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
313

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 314 of 383 Page ID
#:6840
1

objections reserved.

2
3
4
5

100217

Trust
Documents

100218

Trust
Documents

100219

Trust
Documents

100220

Trust
Documents

100221

Trust
Documents

100222

Trust
Documents

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
314

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 315 of 383 Page ID
#:6841
1
2
3

100223

Trust
Documents

100224

Trust
Documents

100225

Trust
Documents

100226

Trust
Documents

100227

Trust
Documents

100228

Trust
Documents

100229

Trust
Documents

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
315

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 316 of 383 Page ID
#:6842
1

objections reserved.

2
3
4
5

100230

Trust
Documents

100231

Trust
Documents

100232

Trust
Documents

100233

Trust
Documents

100234

Trust
Documents

100235

Trust
Documents

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
316

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 317 of 383 Page ID
#:6843
1
2
3

100236

Trust
Documents

100237

Trust
Documents

100238

Trust
Documents

100239

Trust
Documents

100240

Trust
Documents

100241

Trust
Documents

100242

Trust
Documents

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
317

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 318 of 383 Page ID
#:6844
1

objections reserved.

2
3
4
5

100243

Trust
Documents

100244

Trust
Documents

100245

Trust
Documents

100246

Trust
Documents

100247

Trust
Documents

100248

Trust
Documents

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
318

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 319 of 383 Page ID
#:6845
1
2
3

100249

Trust
Documents

100250

Trust
Documents

100251

Trust
Documents

100252

Trust
Documents

100253

Trust
Documents

100254

Trust
Documents

100255

Trust
Documents

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
319

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 320 of 383 Page ID
#:6846
1

objections reserved.

2
3
4
5

100256

Trust
Documents

100257

Trust
Documents

100258

Trust
Documents

100259

Trust
Documents

100260

Trust
Documents

100261

Trust
Documents

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
320

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 321 of 383 Page ID
#:6847
1
2
3

100262

Trust
Documents

100263

Trust
Documents

100264

Trust
Documents

100265

Trust
Documents

100266

Trust
Documents

100267

Trust
Documents

100268

Trust
Documents

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
321

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 322 of 383 Page ID
#:6848
1

objections reserved.

2
3
4
5

100269

Trust
Documents

100270

Trust
Documents

100271

Trust
Documents

100272

Trust
Documents

100273

Trust
Documents

100274

Trust
Documents

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
322

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 323 of 383 Page ID
#:6849
1
2
3

100275

Trust
Documents

100276

Trust
Documents

100277

Trust
Documents

100278

Trust
Documents

100279

Trust
Documents

100280

Trust
Documents

100281

Trust
Documents

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
323

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 324 of 383 Page ID
#:6850
1

objections reserved.

2
3
4
5

100282

Trust
Documents

100283

Trust
Documents

100284

Trust
Documents

100285

Trust
Documents

100286

Trust
Documents

100287

Trust
Documents

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
324

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 325 of 383 Page ID
#:6851
1
2
3

100288

Trust
Documents

100289

Track Sheet for


Stairway

100290

News Article
about Stairway
being played

100291

Press Release
on Rerelease

100292

Press Release
on Rerelease

100293

Press Release
on Rerelease

100294

Sheet Music
Sold for
Exploitation

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
325

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 326 of 383 Page ID
#:6852
1

objections reserved.

2
3
4
5

100295

Sheet Music
Sold for
Exploitation

100296

Sheet Music
Sold for
Exploitation

100297

Sheet Music
Sold for
Exploitation

100298

Sheet Music
Sold for
Exploitation

100299

Sheet Music
Sold for
Exploitation

100300

Sheet Music
Sold for
Exploitation

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
326

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 327 of 383 Page ID
#:6853
1
2
3

100301

Sheet Music
Sold for
Exploitation

100302

Sheet Music
Sold for
Exploitation

100303

Sheet Music
Sold for
Exploitation

100304

Sheet Music
Sold for
Exploitation

100305

Sheet Music
Sold for
Exploitation

100306

Sheet Music
Sold for
Exploitation

100307

Sheet Music
Sold for
Exploitation

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
327

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 328 of 383 Page ID
#:6854
1

objections reserved.

2
3
4
5

100308

Sheet Music
Sold for
Exploitation

100309

Sheet Music
Sold for
Exploitation

100310

Sheet Music
Sold for
Exploitation

100311

Sheet Music
Sold for
Exploitation

100312

Sheet Music
Sold for
Exploitation

100313

Sheet Music
Sold for
Exploitation

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
328

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 329 of 383 Page ID
#:6855
1
2
3

100314

Sheet Music
Sold for
Exploitation

100315

Sheet Music
Sold for
Exploitation

100316

Sheet Music
Sold for
Exploitation

100317

Sheet Music
Sold for
Exploitation

100318

Sheet Music
Sold for
Exploitation

100319

Sheet Music
Sold for
Exploitation

100320

Sheet Music
Sold for
Exploitation

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
329

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 330 of 383 Page ID
#:6856
1

objections reserved.

2
3
4
5

100321

Sheet Music
Sold for
Exploitation

100322

Sheet Music
Sold for
Exploitation

100323

Sheet Music
Sold for
Exploitation

100324

Sheet Music
Sold for
Exploitation

100325

Sheet Music
Sold for
Exploitation

100326

Sheet Music
Sold for
Exploitation

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
330

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 331 of 383 Page ID
#:6857
1
2
3

100327

Sheet Music
Sold for
Exploitation

100328

Sheet Music
Sold for
Exploitation

100329

Sheet Music
Sold for
Exploitation

100330

Sheet Music
Sold for
Exploitation

100331

Sheet Music
Sold for
Exploitation

100332

Sheet Music
Sold for
Exploitation

100333

Sheet Music
Sold for
Exploitation

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
331

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 332 of 383 Page ID
#:6858
1

objections reserved.

2
3
4
5

100334

Sheet Music
Sold for
Exploitation

100335

Sheet Music
Sold for
Exploitation

100336

Sheet Music
Sold for
Exploitation

100337

Sheet Music
Sold for
Exploitation

100338

Sheet Music
Sold for
Exploitation

100339

Sheet Music
Sold for
Exploitation

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
332

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 333 of 383 Page ID
#:6859
1
2
3

100340

Sheet Music
Sold for
Exploitation

100341

Sheet Music
Sold for
Exploitation

100342

Sheet Music
Sold for
Exploitation

100343

Sheet Music
Sold for
Exploitation

100344

Sheet Music
Sold for
Exploitation

100345

Sheet Music
Sold for
Exploitation

100346

Sheet Music
Sold for
Exploitation

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
333

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 334 of 383 Page ID
#:6860
1

objections reserved.

2
3
4
5

100347

Sheet Music
Sold for
Exploitation

100348

Sheet Music
Sold for
Exploitation

100349

Sheet Music
Sold for
Exploitation

100350

Sheet Music
Sold for
Exploitation

100351

Sheet Music
Sold for
Exploitation

100352

Sheet Music
Sold for
Exploitation

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
334

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 335 of 383 Page ID
#:6861
1
2
3

100353

Sheet Music
Sold for
Exploitation

100354

Sheet Music
Sold for
Exploitation

100355

Sheet Music
Sold for
Exploitation

100356

Sheet Music
Sold for
Exploitation

100357

Sheet Music
Sold for
Exploitation

100358

Sheet Music
Sold for
Exploitation

100359

Sheet Music
Sold for
Exploitation

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
335

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 336 of 383 Page ID
#:6862
1

objections reserved.

2
3
4
5

100360

Sheet Music
Sold for
Exploitation

100361

Sheet Music
Sold for
Exploitation

100362

Sheet Music
Sold for
Exploitation

100363

Sheet Music
Sold for
Exploitation

100364

Sheet Music
Sold for
Exploitation

100365

Sheet Music
Sold for
Exploitation

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
336

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 337 of 383 Page ID
#:6863
1
2
3

100366

Sheet Music
Sold for
Exploitation

100367

Sheet Music
Sold for
Exploitation

100368

Sheet Music
Sold for
Exploitation

100369

Sheet Music
Sold for
Exploitation

100370

Sheet Music
Sold for
Exploitation

100371

Sheet Music
Sold for
Exploitation

100372

Sheet Music
Sold for
Exploitation

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
337

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 338 of 383 Page ID
#:6864
1

objections reserved.

2
3
4
5

100373

Sheet Music
Sold for
Exploitation

100374

Sheet Music
Sold for
Exploitation

100375

Sheet Music
Sold for
Exploitation

100376

Sheet Music
Sold for
Exploitation

100377

Sheet Music
Sold for
Exploitation

100378

Sheet Music
Sold for
Exploitation

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
338

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 339 of 383 Page ID
#:6865
1
2
3

100379

Sheet Music
Sold for
Exploitation

100380

Sheet Music
Sold for
Exploitation

100381

Sheet Music
Sold for
Exploitation

100382

Sheet Music
Sold for
Exploitation

100383

Sheet Music
Sold for
Exploitation

100384

Sheet Music
Sold for
Exploitation

100385

Sheet Music
Sold for
Exploitation

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
339

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 340 of 383 Page ID
#:6866
1

objections reserved.

2
3
4
5

100386

Sheet Music
Sold for
Exploitation

100387

Sheet Music
Sold for
Exploitation

100388

Sheet Music
Sold for
Exploitation

100389

Sheet Music
Sold for
Exploitation

100390

Sheet Music
Sold for
Exploitation

100391

Sheet Music
Sold for
Exploitation

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
340

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 341 of 383 Page ID
#:6867
1
2
3

100392

Sheet Music
Sold for
Exploitation

100393

Sheet Music
Sold for
Exploitation

100394

Sheet Music
Sold for
Exploitation

100395

Sheet Music
Sold for
Exploitation

100396

Sheet Music
Sold for
Exploitation

100397

Sheet Music
Sold for
Exploitation

100398

Sheet Music
Sold for
Exploitation

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
341

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 342 of 383 Page ID
#:6868
1

objections reserved.

2
3
4
5

100399

Sheet Music
Sold for
Exploitation

100400

Sheet Music
Sold for
Exploitation

100401

Sheet Music
Sold for
Exploitation

100402

Sheet Music
Sold for
Exploitation

100403

Sheet Music
Sold for
Exploitation

100404

Sheet Music
Sold for
Exploitation

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
342

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 343 of 383 Page ID
#:6869
1
2
3

100405

Sheet Music
Sold for
Exploitation

100406

Sheet Music
Sold for
Exploitation

100407

Sheet Music
Sold for
Exploitation

100408

Sheet Music
Sold for
Exploitation

100409

Sheet Music
Sold for
Exploitation

100410

Sheet Music
Sold for
Exploitation

100411

Sheet Music
Sold for
Exploitation

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
343

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 344 of 383 Page ID
#:6870
1

objections reserved.

2
3
4
5

100412

Sheet Music
Sold for
Exploitation

100413

Sheet Music
Sold for
Exploitation

100414

Sheet Music
Sold for
Exploitation

100415

Sheet Music
Sold for
Exploitation

100416

Sheet Music
Sold for
Exploitation

100417

Sheet Music
Sold for
Exploitation

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
344

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 345 of 383 Page ID
#:6871
1
2
3

100418

Sheet Music
Sold for
Exploitation

100419

Sheet Music
Sold for
Exploitation

100420

Sheet Music
Sold for
Exploitation

100421

Sheet Music
Sold for
Exploitation

100422

Sheet Music
Sold for
Exploitation

100423

Sheet Music
Sold for
Exploitation

100424

Sheet Music
Sold for
Exploitation

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
345

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 346 of 383 Page ID
#:6872
1

objections reserved.

2
3
4
5

100425

Sheet Music
Sold for
Exploitation

100426

Sheet Music
Sold for
Exploitation

100427

Sheet Music
Sold for
Exploitation

100428

Sheet Music
Sold for
Exploitation

100429

Sheet Music
Sold for
Exploitation

100430

Sheet Music
Sold for
Exploitation

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
346

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 347 of 383 Page ID
#:6873
1
2
3

100431

Sheet Music
Sold for
Exploitation

100432

Sheet Music
Sold for
Exploitation

100433

Sheet Music
Sold for
Exploitation

100434

Sheet Music
Sold for
Exploitation

100435

Sheet Music
Sold for
Exploitation

100436

Sheet Music
Sold for
Exploitation

100437

Sheet Music
Sold for
Exploitation

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
347

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 348 of 383 Page ID
#:6874
1

objections reserved.

2
3
4
5

100438

Sheet Music
Sold for
Exploitation

100439

Sheet Music
Sold for
Exploitation

100440

Sheet Music
Sold for
Exploitation

100441

Sheet Music
Sold for
Exploitation

100442

Sheet Music
Sold for
Exploitation

100443

Sheet Music
Sold for
Exploitation

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
348

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 349 of 383 Page ID
#:6875
1
2
3

100444

Sheet Music
Sold for
Exploitation

100445

Sheet Music
Sold for
Exploitation

100446

Sheet Music
Sold for
Exploitation

100447

Sheet Music
Sold for
Exploitation

100448

Sheet Music
Sold for
Exploitation

100449

Sheet Music
Sold for
Exploitation

100450

Sheet Music
Sold for
Exploitation

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
349

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 350 of 383 Page ID
#:6876
1

objections reserved.

2
3
4
5

100451

Sheet Music
Sold for
Exploitation

100452

Sheet Music
Sold for
Exploitation

100453

Sheet Music
Sold for
Exploitation

100454

Sheet Music
Sold for
Exploitation

100455

Sheet Music
Sold for
Exploitation

100456

Sheet Music
Sold for
Exploitation

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
350

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 351 of 383 Page ID
#:6877
1
2
3

100457

Sheet Music
Sold for
Exploitation

100458

Sheet Music
Sold for
Exploitation

100459

Sheet Music
Sold for
Exploitation

100460

Sheet Music
Sold for
Exploitation

100461

Sheet Music
Sold for
Exploitation

100462

Sheet Music
Sold for
Exploitation

100463

Sheet Music
Sold for
Exploitation

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
351

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 352 of 383 Page ID
#:6878
1

objections reserved.

2
3
4
5

100464

Sheet Music
Sold for
Exploitation

100465

Sheet Music
Sold for
Exploitation

100466

Sheet Music
Sold for
Exploitation

100467

Sheet Music
Sold for
Exploitation

100468

Sheet Music
Sold for
Exploitation

100469

Sheet Music
Sold for
Exploitation

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
352

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 353 of 383 Page ID
#:6879
1
2
3

100470

Sheet Music
Sold for
Exploitation

100471

Sheet Music
Sold for
Exploitation

100472

Sheet Music
Sold for
Exploitation

100473

Sheet Music
Sold for
Exploitation

100474

Sheet Music
Sold for
Exploitation

100475

Sheet Music
Sold for
Exploitation

100476

Sheet Music
Sold for
Exploitation

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
353

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 354 of 383 Page ID
#:6880
1

objections reserved.

2
3
4
5

100477

Sheet Music
Sold for
Exploitation

100478

Sheet Music
Sold for
Exploitation

100479

Sheet Music
Sold for
Exploitation

100480

Sheet Music
Sold for
Exploitation

100481

Sheet Music
Sold for
Exploitation

100482

Sheet Music
Sold for
Exploitation

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
354

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 355 of 383 Page ID
#:6881
1
2
3

100483

Sheet Music
Sold for
Exploitation

100484

Sheet Music
Sold for
Exploitation

100485

Sheet Music
Sold for
Exploitation

100486

Sheet Music
Sold for
Exploitation

100487

Sheet Music
Sold for
Exploitation

100488

Sheet Music
Sold for
Exploitation

100489

Sheet Music
Sold for
Exploitation

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
355

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 356 of 383 Page ID
#:6882
1

objections reserved.

2
3
4
5

100490

Sheet Music
Sold for
Exploitation

100491

Sheet Music
Sold for
Exploitation

100492

Sheet Music
Sold for
Exploitation

100493

Sheet Music
Sold for
Exploitation

100494

Sheet Music
Sold for
Exploitation

100495

Sheet Music
Sold for
Exploitation

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
356

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 357 of 383 Page ID
#:6883
1
2
3

100496

Sheet Music
Sold for
Exploitation

100497

Sheet Music
Sold for
Exploitation

100498

Sheet Music
Sold for
Exploitation

100499

Sheet Music
Sold for
Exploitation

100500

Sheet Music
Sold for
Exploitation

100501

Sheet Music
Sold for
Exploitation

100502

Sheet Music
Sold for
Exploitation

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
357

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 358 of 383 Page ID
#:6884
1

objections reserved.

2
3
4
5

100503

Sheet Music
Sold for
Exploitation

100504

Sheet Music
Sold for
Exploitation

100505

Sheet Music
Sold for
Exploitation

100506

Sheet Music
Sold for
Exploitation

100507

Sheet Music
Sold for
Exploitation

100508

Sheet Music
Sold for
Exploitation

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
358

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 359 of 383 Page ID
#:6885
1
2
3

100509

Sheet Music
Sold for
Exploitation

100510

Sheet Music
Sold for
Exploitation

100511

Sheet Music
Sold for
Exploitation

100512

Sheet Music
Sold for
Exploitation

100513

Sheet Music
Sold for
Exploitation

100514

Sheet Music
Sold for
Exploitation

100515

Sheet Music
Sold for
Exploitation

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
359

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 360 of 383 Page ID
#:6886
1

objections reserved.

2
3
4
5

100516

Sheet Music
Sold for
Exploitation

100517

Sheet Music
Sold for
Exploitation

100518

Sheet Music
Sold for
Exploitation

100519

Sheet Music
Sold for
Exploitation

100520

Sheet Music
Sold for
Exploitation

100521

Sheet Music
Sold for
Exploitation

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
360

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 361 of 383 Page ID
#:6887
1
2
3

100522

Sheet Music
Sold for
Exploitation

100523

Sheet Music
Sold for
Exploitation

100524

Sheet Music
Sold for
Exploitation

100525

Sheet Music
Sold for
Exploitation

100526

Sheet Music
Sold for
Exploitation

100527

Sheet Music
Sold for
Exploitation

100528

Sheet Music
Sold for
Exploitation

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
361

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 362 of 383 Page ID
#:6888
1

objections reserved.

2
3
4
5

100529

Sheet Music
Sold for
Exploitation

100530

Sheet Music
Sold for
Exploitation

100531

Sheet Music
Sold for
Exploitation

100532

Sheet Music
Sold for
Exploitation

100533

Sheet Music
Sold for
Exploitation

100534

Sheet Music
Sold for
Exploitation

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
362

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 363 of 383 Page ID
#:6889
1
2
3

100535

Sheet Music
Sold for
Exploitation

100536

Sheet Music
Sold for
Exploitation

100537

Sheet Music
Sold for
Exploitation

100538

Sheet Music
Sold for
Exploitation

100539

Sheet Music
Sold for
Exploitation

100540

Sheet Music
Sold for
Exploitation

100541

Sheet Music
Sold for
Exploitation

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
363

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 364 of 383 Page ID
#:6890
1

objections reserved.

2
3
4
5

100542

Sheet Music
Sold for
Exploitation

100543

Sheet Music
Sold for
Exploitation

100544

Sheet Music
Sold for
Exploitation

100545

Sheet Music
Sold for
Exploitation

100546

Sheet Music
Sold for
Exploitation

100547

Sheet Music
Sold for
Exploitation

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
364

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 365 of 383 Page ID
#:6891
1
2
3

100548

Sheet Music
Sold for
Exploitation

100549

Sheet Music
Sold for
Exploitation

100550

Sheet Music
Sold for
Exploitation

100551

Sheet Music
Sold for
Exploitation

100552

Sheet Music
Sold for
Exploitation

100553

Sheet Music
Sold for
Exploitation

100554

Sheet Music
Sold for
Exploitation

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
365

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 366 of 383 Page ID
#:6892
1

objections reserved.

2
3
4
5

100555

Sheet Music
Sold for
Exploitation

100556

Sheet Music
Sold for
Exploitation

100557

Sheet Music
Sold for
Exploitation

100558

Sheet Music
Sold for
Exploitation

100559

Billboard list of
releases,
including LZ4

100560

Billboard list of
releases,
including LZ4

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
366

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 367 of 383 Page ID
#:6893
1
2
3

100561

Billboard list of
releases,
including LZ4

100562

1972 Stairway
Music Sheet

100563

1972 Stairway
Music Sheet

100564

1972 Stairway
Music Sheet

100565

1972 Stairway
Music Sheet

100566

Certificates of
Incorporation

100567

Certificates of
Incorporation

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
367

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 368 of 383 Page ID
#:6894
1

objections reserved.

2
3
4
5

100568

Certificates of
Incorporation

100569

Certificates of
Incorporation

100570

Certificates of
Incorporation

100571

Certificates of
Incorporation

100572

Certificates of
Incorporation

100573

Certificates of
Incorporation

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
368

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 369 of 383 Page ID
#:6895
1
2
3

100574

Certificates of
Incorporation

100575

Certificates of
Incorporation

100576

Certificates of
Incorporation

100577

Certificates of
Incorporation

100578

Certificates of
Incorporation

100579

Certificates of
Incorporation

100580

Certificates of
Incorporation

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
369

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 370 of 383 Page ID
#:6896
1

objections reserved.

2
3
4
5

100581

Certificates of
Incorporation

100582

Certificates of
Incorporation

100583

Certificates of
Incorporation

100584

Certificates of
Incorporation

100585

Certificates of
Incorporation

100586

Certificates of
Incorporation

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
370

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 371 of 383 Page ID
#:6897
1
2
3

100587

Certificates of
Incorporation

100588

Certificates of
Incorporation

100589

Certificates of
Incorporation

100590

Certificates of
Incorporation

100591

Certificates of
Incorporation

100592

Certificates of
Incorporation

100593

Certificates of
Incorporation

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
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
371

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 372 of 383 Page ID
#:6898
1

objections reserved.

2
3
4
5

100594

Certificates of
Incorporation

100595

Certificates of
Incorporation

100596

Certificates of
Incorporation

100597

Certificates of
Incorporation

100598

Certificates of
Incorporation

100599

Certificates of
Incorporation

6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
372

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 373 of 383 Page ID
#:6899
1
2
3

100600

4
5
6
7

100601

8
9
10
11

100602

12
13
14
15

100603

16
17
18
19

100604

20
21
22
23

100605

24
25
26
27

100606

28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
Certificates of
potentially duplicative of other
Incorporation
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
Certificates of
potentially duplicative of other
Incorporation
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
*************
impossible to specify objections;
**NEED TO
potentially duplicative of other
FILL********
exhibits, in which case objections as
*********
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
*************
impossible to specify objections;
**NEED TO
potentially duplicative of other
FILL********
exhibits, in which case objections as
**********
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
Led Zeppelin
impossible to specify objections;
IV Reissued
potentially duplicative of other
(Album/Vinyl) exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
Led Zeppelin
impossible to specify objections;
IV Reissude
potentially duplicative of other
(Album/Vinyl
exhibits, in which case objections as
Deluxe)
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
Led Zeppelin
impossible to specify objections;
IV (Reissued
potentially duplicative of other
Box Set)
exhibits, in which case objections as
to those exhibits apply; otherwise,
373

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 374 of 383 Page ID
#:6900
1

objections reserved.

2
3
4
5

100607

Notes of some
sort

100608
100641

Production
expenses and
checks

100642
100654

Licensing
Agreement

6
7
8
9
10
11
12
13
14
15
16
17
18

100655
100700

19
20
21
22

100701
101153

23
24
25
26

101154
101653

27
28
{00255828;1}

Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements
Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements
Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
374

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 375 of 383 Page ID
#:6901
1
2
3

101654
102153

4
5
6
7

102154
102653

8
9
10
11

102654
103153

12
13
14
15
16

103154
103653

17
18
19
20

103654
104153

21
22
23
24

104154
104653

25
26
27

104654
105046

28
{00255828;1}

Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements
Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements
Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements
Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements
Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements
Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements
Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
375

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 376 of 383 Page ID
#:6902
1

Statements

objections reserved.

2
3
4
5
6

105047
105123

7
8
9
10

105124
105350

11
12
13
14

105351
108850

15
16
17
18

108851
112642

19
20
21
22

112643
114578

23
24
25
26

114579
115152

27
28
{00255828;1}

Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements
Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements
Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements
Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements
Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements
Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
376

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 377 of 383 Page ID
#:6903
1
2
3

115153
115236

4
5
6
7

115237
115330

8
9
10
11

115331
115471

12
13
14
15

11472115625

16
17
18
19
20

115626
115714

21
22
23
24

115715
116096

25
26
27

116097
118658

28
{00255828;1}

Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements
Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements
Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements
Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements
Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements
Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements
Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
377

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 378 of 383 Page ID
#:6904
1

Statements

objections reserved.

2
3
4
5
6

118659
122158

7
8
9
10

122159
126051

11
12
13
14

126052
128163

15
16
17
18

128164
129283

19
20
21
22

129284
130482

23
24
25
26

130483
132903

27
28
{00255828;1}

Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements
Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements
Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements
Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements
Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements
Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
378

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 379 of 383 Page ID
#:6905
1
2
3

130904
134194

4
5
6
7

134195
135849

8
9
10
11

135850
136251

12
13
14
15
16

136252
136893

17
18
19
20

136894
138062

21
22
23
24

138063
139242

25
26
27

139243
139321

28
{00255828;1}

Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements
Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements
Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements
Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements
Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements
Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements
Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
379

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 380 of 383 Page ID
#:6906
1

Statements

objections reserved.

2
3
4
5
6

139322
139687

7
8
9
10

139688
140191

11
12
13
14

140192
140193

15
16
17
18

14194140241

19
20
21
22

140242
140263

23
24
25
26

140264
140265

27
28
{00255828;1}

Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements
Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
Letters from
despite requests, making it
1968 to 69
impossible to specify objections;
concerning who potentially duplicative of other
to make
exhibits, in which case objections as
payments to
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
Agreement on impossible to specify objections;
Exploitation
potentially duplicative of other
from July 2012 exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
1968 Letter
potentially duplicative of other
Agreement
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
Covers of
potentially duplicative of other
Masters
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
380

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 381 of 383 Page ID
#:6907
1
2
3

140266
140333

4
5
6
7

140334
140340

8
9
10
11

140341
140342

12
13
14
15
16

140343
140395

17
18
19
20

140396
140415

21
22
23
24

140416
140418

25
26
27

140419

28
{00255828;1}

Defs: failure to identify the exhibit,


despite requests, making it
Email and
impossible to specify objections;
Report from
potentially duplicative of other
Rhino on
exhibits, in which case objections as
Exploitation
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
1980
despite requests, making it
Agreement
impossible to specify objections;
between
potentially duplicative of other
Randy/Spirit
exhibits, in which case objections as
and Rhino
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
Cease and
impossible to specify objections;
desist letter
potentially duplicative of other
from 2012
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
impossible to specify objections;
Insurance
potentially duplicative of other
Policy
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
Concert
impossible to specify objections;
engagements,
potentially duplicative of other
hotel rooms,
exhibits, in which case objections as
and radio play
to those exhibits apply; otherwise,
objections reserved.
Defs: failure to identify the exhibit,
despite requests, making it
R.G. Private
impossible to specify objections;
Recording CD potentially duplicative of other
Pictures
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.
RHINO/ATLA Defs: failure to identify the exhibit,
NTC US P&L despite requests, making it
Stariway to
impossible to specify objections;
Heaven
potentially duplicative of other
(05/31/2011exhibits, in which case objections as
10/30/2015)
to those exhibits apply; otherwise,
381

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 382 of 383 Page ID
#:6908
1

objections reserved.

2
3
4
5

140420

D040420
Spring Is Near
(AUDIO)

7
8
9

140421
140455

10
11
12
13

Defs: failure to identify the exhibit,


despite requests, making it
impossible to specify objections;
potentially duplicative of other
exhibits, in which case objections as
to those exhibits apply; otherwise,
objections reserved.

140456
148071

Summary of
Mechanical
Royalties,
Publishing
Receipts, etc.,
Directors
Statements

14
15
16
17

DATED: June 14, 2016

FRANCIS ALEXANDER, LLC

18

By

19
20
21

/s/ Francis Malofiy


Francis Malofiy
Attorney for Plaintiff
Michael Skidmore, Trustee

22
23
24
25
26
27
28
{00255828;1}

382

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

Case 2:15-cv-03462-RGK-AGR Document 242 Filed 06/14/16 Page 383 of 383 Page ID
#:6909
1
2
3
4
5
6
7
8

CERTIFICATE OF SERVICE
Plaintiff hereby represents that Plaintiffs Supplemental Exhibit List has been served upon
counsel by email:
Helene Freeman, Esquire
666 Fifth Avenue
New York, NY 10103-0084
T: (212) 841-0547
F: (212) 262-5152
E: hfreeman@phillipsnizer.com
Attorneys for Defendants James Patrick Page, Robert Anthony Plant, and John Paul Jones
(collectively with John Bonham (Deceased), professionally known as Led Zeppelin)

9
10
11
12
13
14

Peter J. Anderson, Esquire


100 Wilshire Blvd. | Suite 2010
Santa Monica, CA 90401
T:(310) 260-6030
F: (310) 260-6040
E: pja@pjanderson.com
Attorney for Defendants Super Hype Publishing, Inc., Warner Music Group Corp.,
Warner/Chappell Music, Inc., Atlantic Recording Corporation, and
Rhino Entertainment Company

15
16
*****
Respectfully submitted,

17
18

Francis Alexander, LLC

19

/s/ Francis Alexander Malofiy


Francis Alexander Malofiy, Esquire
Attorney ID No.: 208494
280 N. Providence Road | Suite 105
Media, PA 19063
T: (215) 500-1000
F: (215) 500-1005
E: francis@francisalexander.com

20
21
22
23

/d/ June 14, 2016

24
25
26
27
28
{00255828;1}

PLAINTIFFS SUPPLEMENTAL EXHIBIT LIST

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