Welcome to Scribd, the world's digital library. Read, publish, and share books and documents. See more
Download
Standard view
Full view
of .
Save to My Library
Look up keyword
Like this
3Activity
0 of .
Results for:
No results containing your search query
P. 1
Righthaven.class.action.counterclaim

Righthaven.class.action.counterclaim

Ratings: (0)|Views: 1,157 |Likes:
Published by joemullin
Buzzfeed class action counterclaim against Righthaven
Buzzfeed class action counterclaim against Righthaven

More info:

Published by: joemullin on May 17, 2011
Copyright:Attribution Non-commercial

Availability:

Read on Scribd mobile: iPhone, iPad and Android.
download as PDF, TXT or read online from Scribd
See more
See less

05/17/2011

pdf

text

original

 
1
IN THE UNITED STATES DISTRICT COURTFOR THE DISTRICT OF COLORADOSenior Judge John L. Kane
Civil Action No. 11-cv-00811-JLK RIGHTHAVEN, LLC,a Nevada limited liability companyPlaintiff,v.BUZZFEED, INC., a Delaware Corporation;JONAH PERETTI, an individual; andGAVON LAESSIG, an individual,Defendants.
DEFENDANTS' ANSWER AND COUNTERCLAIMSANDCLASS ACTION COUNTERCLAIM
Defendants BuzzFeed, Inc.and Jonah Perettiby and through their undersigned counsel of record, Brownstein Hyatt Farber Schreck, LLP, submit the following Answer and Counterclaimsand Class Action Counterclaim to Plaintiff’s Complaint:
NATURE OF ACTION
1.Defendants lack sufficient knowledge or information to form a belief as to thetruth of paragraph 1 of Plaintiff’s Complaint, and therefore deny the same.
Case 1:11-cv-00811-JLK Document 11 Filed 05/16/11 USDC Colorado Page 1 of 30
 
99999\1616\1538712.1
PARTIES
2.Defendants lack sufficient knowledge or information to form a belief as to thetruth of paragraph 2 of Plaintiff’s Complaint, and therefore deny the same.3.Defendants lack sufficient knowledge or information to form a belief as to thetruth of paragraph 3 of Plaintiff’s Complaint, and therefore deny the same.4.Defendants admit the allegation contained in paragraph 4 of Plaintiff’s Complaint.5.Defendants admit the allegation contained in paragraph 5 of Plaintiff’s Complaint.6.Defendants admit the allegation contained in paragraph 6 of Plaintiff’s Complaint.7.Defendants aver that the document attached as Exhibit 1 to Plaintiff’s Complaintspeaks for itself.8.Defendants aver that the document attached as Exhibit 2 to Plaintiff’s Complaintspeaks for itself.9.Defendants admit that a copyright notice is displayed on the BuzzFeed, Inc.website. Defendants deny the remaining allegations of paragraph 9 of Plaintiff’s Complaint.10.Defendants aver that the document attached as Exhibit 3 to Plaintiff’s Complaintspeaks for itself. Defendants lack sufficient knowledge or information to form a belief as to thetruth of the remaining allegations of paragraph 10 of Plaintiff’s Complaint, and therefore denythe same.
JURISDICTION
11.To the extent that paragraph 11 is a conclusion of law, no response is required.Defendants deny the remaining allegations of paragraph 11 of Plaintiff’s Complaint.
Case 1:11-cv-00811-JLK Document 11 Filed 05/16/11 USDC Colorado Page 2 of 30
 
99999\1616\1538712.1
12.Defendants lack sufficient knowledge or information to form a belief as to thetruth of paragraph 12 of Plaintiff’s Complaint, and therefore deny the same.13.Denied.14.Defendants aver that the document attached as Exhibit 4 to Plaintiff’s Complaintspeaks for itself. Defendants lack sufficient knowledge or information to form a belief as to thetruth of the remaining allegations of paragraph 14 of Plaintiff’s Complaint, and therefore denythe same.15.Defendants aver that the documents attached as Exhibits 4 and 5 to Plaintiff’sComplaint speak for itself. Defendants lack sufficient knowledge or information to form a belief as to the truth of the remaining allegations of paragraph 15 of Plaintiff’s Complaint, andtherefore deny the same.16.Defendants aver that the document attached as Exhibit 4 to Plaintiff’s Complaintspeaks for itself. Defendants lack sufficient knowledge or information to form a belief as to thetruth of the remaining allegations of paragraph 16 of Plaintiff’s Complaint, and therefore denythe same.17.Defendants aver that the document attached as Exhibit 3 to Plaintiff’s Complaintspeaks for itself. Defendants lack sufficient knowledge or information to form a belief as to thetruth of the remaining allegations of paragraph 17 of Plaintiff’s Complaint, and therefore denythe same.18.Defendants lack sufficient knowledge or information to form a belief as to thetruth of paragraph 18 of Plaintiff’s Complaint, and therefore deny the same.19.Denied.
Case 1:11-cv-00811-JLK Document 11 Filed 05/16/11 USDC Colorado Page 3 of 30

Activity (3)

You've already reviewed this. Edit your review.
1 thousand reads
1 hundred reads

You're Reading a Free Preview

Download
/*********** DO NOT ALTER ANYTHING BELOW THIS LINE ! ************/ var s_code=s.t();if(s_code)document.write(s_code)//-->