ELECTRONIC FRONTIER FOUNDATION
                                                         
                                                        

Andrew Bunner Declaration

In Support of Motion for Summary Judgment (Nov. 28, 2001)

RICHARD R. WIEBE (SBN 121156)
425 California Street, Suite 2025
San Francisco, CA 94104
Telephone: (415) 433-3200
Facsimile: (415) 433-6382

THOMAS E. MOORE III (SBN 115107)
TOMLINSON ZISKO MOROSOLI & MASER LLP
200 Page Mill Road, Second Floor
Palo Alto, CA 94306
Telephone: (650) 325-8666
Facsimile:(650) 324-1808

ALLONN E. LEVY (SBN 187251)
HS LAW GROUP
210 N. Fourth St., Second Floor
San Jose, CA 95112
Telephone: (408) 295-7034
Facsimile: (408) 295-5799

ROBIN D. GROSS (SBN 200701)
ELECTRONIC FRONTIER FOUNDATION
454 Shotwell Street
San Francisco CA 94110
Telephone: (415)436-9333
Facsimile: (415)436-9993

Attorneys for Defendant ANDREW BUNNER




SUPERIOR COURT OF THE STATE OF CALIFORNIA

COUNTY OF SANTA CLARA


DVD COPY CONTROL ASSOCIATION, INC.,

Plaintiff,

v.


ANDREW THOMAS MCLAUGHLIN; ANDREW BUNNER; et al.,

Defendants.

Case No. CV - 786804


DECLARATION OF DEFENDANT ANDREW BUNNER


IN SUPPPORT OF HIS

MOTION FOR SUMMARY JUDGMENT


I, ANDREW BUNNER, declare:

  1. I am one of the defendants in this action.

  2. I had no involvement in or first-hand knowledge of the creation or programming of DeCSS or any other DVD descrambling program.

  3. I had no involvement in or first-hand knowledge of whatever reverse engineering or technical analysis of CSS may have occurred in connection with the creation of DeCSS or any other DVD descrambling program.

  4. I had no involvement in the original publication of DeCSS or any other DVD descrambling program on the Internet.

  5. I first learned of DeCSS after CSS had been reverse engineered and after DeCSS had been created and published in October 1999 on the Internet.

  6. After the creation and publication on the Internet of DeCSS, I then downloaded a copy of DeCSS from an unrestricted, publicly available web site on the Internet and placed it on my personal web site.

  7. In December 1999, before being served with the summons and complaint in this action, I spoke by telephone by an attorney for plaintiff DVD Copy Control Association, Inc. (“DVD CCA”). I immediately removed DeCSS from my web site server during my telephone conversation with DVD CCA’s attorney. I have not disclosed or distributed DeCSS or any other DVD descrambling program since that time and I have obeyed the Court’s preliminary injunction.

I, ANDREW BUNNER, declare under penalty of perjury under the laws of the State of California that the foregoing is true and correct.


Dated: ________________

Andrew Bunner



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