WhatsApp Inc. et al v. NSO Group Technologies Limited et al
California Northern District Court | |
Judge: | Phyllis J Hamilton |
Referred: | Kandis A Westmore |
Case #: | 3:19-cv-07123 |
Nature of Suit | 890 Other Statutes - Other Statutory Actions |
Cause | 28:1331 Fed. Question |
Case Filed: | Oct 29, 2019 |
Case in other court: | Ninth Circuit Court of Appeals, 20-16408 Supreme Court of the United States, 21-01338 |
Last checked: Sunday Apr 26, 2020 2:52 AM PDT |
Defendant
NSO Group Technologies Limited
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Represented By
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Defendant
Q Cyber Technologies Limited
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Represented By
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Miscellaneous
King & Spalding LLP
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Represented By
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Plaintiff
Facebook Inc.
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Represented By
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Plaintiff
WhatsApp Inc.
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Represented By
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1. | Federal court rules WhatsApp and Facebook's malware exploit case against NSO Group can proceed. (social.techcrunch.com) |
Submitted Fri 07/17/2020 | |
2. | Facebook Sues Israel's NSO Group Over Alleged WhatsApp Attack (wsj.com) |
Submitted Wed 10/30/2019 | |
Docket last updated: 11/22/2024 11:59 PM PST |
Friday, July 05, 2024 | ||
334 | 334 CERTIFICATE OF SERVICE by Facebook Inc., WhatsApp Inc. re331 Administrative Motion to Consider Whether Another Party's Material Should Be Sealed (Cagney, Craig) | |
333 | 333 Declaration of Craig T. Cagney in Support of332 MOTION to Compel Discovery Regarding AWS Server filed byFacebook Inc., WhatsApp Inc.. (Cagney, Craig) | |
Att: 1 Exhibits A through F (Redacted Version) | ||
332 | 332 MOTION to Compel Discovery Regarding AWS Server filed by Facebook Inc., WhatsApp Inc.. Motion Hearing set for 8/1/2024 01:30 PM in Oakland, Courtroom 3, 3rd Floor before Judge Phyllis J. Hamilton. Responses due by 7/12/2024. Replies due by 7/15/2024.(Block, Micah) | |
Att: 1 Proposed Order | ||
331 | 331 Administrative Motion to Consider Whether Another Party's Material Should Be Sealed filed by Facebook Inc., WhatsApp Inc..(Block, Micah) | |
Att: 1 Declaration of M. Block, | ||
Att: 2 Exhibit 1 (Unredacted Version of Motion to Compel Discovery Regarding AWS Server), | ||
Att: 3 Exhibit 2 (Unredacted Version of Declaration of C. Cagney in Support of Motion to Compel), | ||
Att: 4 Exhibit 3 (Unredacted Version of Exhibits A through F to Declaration of C. Cagney), | ||
Att: 5 Proposed Order | ||
Wednesday, July 03, 2024 | ||
330 | 330 Declaration of Craig T. Cagney in Support of329 Statement, Declaration of Craig T. Cagney in Support of Plaintiffs' Statement in Response to Nonparty Dr. William Marczak's Administrative Motion to Consider Whether Another Party's Materials Should be Filed Under Seal filed byFacebook Inc., WhatsApp Inc.. (Cagney, Craig) | |
329 | 329 Statement re323 Administrative Motion to Consider Whether Another Party's Material Should Be Sealed Local Rule 79-5(f)(3) Statement in Response to Nonparty Dr. William Marczak's Administrative Motion to Consider Whether Another Party's Material Should be Filed Under Seal by Facebook Inc., WhatsApp Inc..(Block, Micah) | |
Att: 1 Proposed Order | ||
328 | 328 Statement re: Maintaining Seal of Materials Filed by Plaintiffs by Francisco Partners LP. (Ball, Matthew) Modified on 7/5/2024 (kc, COURT STAFF). | |
Att: 1 Declaration of Steve Eisner in Support of Third-Party Francisco Partners Management L.P.'s L.R. 79-5(f)(3) Statement re: Maintaining Seal of Materials filed by Plaintiffs in Support of Motion for Issuance of a Letter Rogatory Pursuant to the Hague Convention [ECF No. 319], | ||
Att: 2 Proposed Order | ||
327 | 327 NOTICE of Appearance by Matthew Gordon Ball (Ball, Matthew) | |
Monday, July 01, 2024 | ||
326 | 326 Statement re319 Administrative Motion to Consider Whether Another Party's Material Should Be Sealed by NSO Group Technologies Limited, Q Cyber Technologies Limited. (Craig, Aaron) |