1 THE HONORABLE RONALD B. LEIGHTON 2 3 4 5 6 7 UNITED STATES DISTRICT COURT WESTERN DISTRICT OF WASHINGTON AT TACOMA 8 SEAN WILSON, individually and on behalf of 9 all others similarly situated, Case No. 18-cv-05277-RBL 10 Plaintiff, 11 v. STIPULATED MOTION AND [PROPOSED] ORDER RE: 12 PLAYTIKA LTD, an Israeli limited company, THIRD-PARTY DISCOVERY and CAESARS INTERACTIVE 13 ENTERTAINMENT, LLC, a Delaware limited NOTE ON MOTION CALENDAR: liability company, 14 May 8, 2020 Defendants. 15 16 STIPULATED MOTION RE: THIRD PARTY DISCOVERY 17 In an effort to resolve for now certain disputes regarding third-party discovery, to avoid 18 unnecessary motion practice, and to further the interests of judicial economy, all Parties have 19 reached the following Stipulation and respectfully request, pursuant to Local Civil Rule 10(g), 20 that the Court enter the attached [Proposed] Order reflecting the Stipulation. 21 * * * 22 1. Plaintiff recently served subpoenas for documents, pursuant to Fed. R. Civ. P. 45, 23 upon non-parties Apple Inc., Google LLC, and Facebook Inc. 24 2. Specifically, the subpoenas seek documents sufficient to identify transaction-level 25 information for purchases within the following social casino games: Slotomania, Caesars Casino, 26 STIPULATED MOTION AND [PROPOSED] ORDER T OUSLEY B RAIN S TEPHENS, PLLC 1700 Seventh Avenue, Suite 2200 GRANTING LEAVE TO SERVE DISCOVERY Seattle, Washington 98101-4416 Case No. 18-cv-5277 RBL-1 Tel: 206.682.5600 ⢠Fax: 206.682.2992 1 Vegas Downtown Slots, and House of Fun. 2 3. The Parties continue to dispute whether claims regarding 'House of Fun' are 3 appropriately at issue in this case, and consequently dispute whether Plaintiff may appropriately 4 subpoena information regarding that social casino game from non-parties. 5 4. Nevertheless, in an effort to avoid unnecessary motion practice and to further the 6 interests of judicial economy, the Parties have agreed to the following Stipulation: 7 A. Plaintiff shall immediately narrow the scope of each pending subpoena to Facebook, Apple, and Google to exclude the requests for documents 8 regarding House of Fun. 9 B. In exchange, Defendants shall not in any way challengeâwhether through 10 a motion for a protective order, a motion to quash, or otherwiseâthe remaining scope of Plaintiff's pending subpoenas to Facebook, Apple, and 11 Google. 12 C. Defendant Playtika Ltd shall also, within two weeks of the entry of this stipulation, serve upon Plaintiff a declaration attesting to (a) the fact that 13 'Playtika UK â House of Fun Limited' is not owned by Playtika Ltd., and (b) facts sufficient to conclude that 'Playtika UK â House of Fun Limited' 14 is a separate and distinct legal entity from Playtika Ltd. and has operated as such since at least February 2014. 15 16 D. No party waives any rights or arguments regarding any further, future discovery regarding House of Fun or Playtika UK â House of Fun 17 Limited. 18 E. Nothing in this stipulation should be construed to waive any other right, defense or argument in connection with any other aspect of this case, 19 including but not limited to the question of whether the games that will remain subject to the subpoenas are properly within the scope of this case 20 as to either or both Defendants. 21 22 23 24 25 26 T OUSLEY B RAIN S TEPHENS PLLC STIPULATED MOTION AND [PROPOSED] ORDER 1700 Seventh Avenue, Suite 2200 Case No. 18-cv-5277-RBL-2 Seattle, Washington 98101-4416 Tel: 206.682.5600 ⢠Fax: 206.682.2992 1 IT IS SO STIPULATED, THROUGH COUNSEL OF RECORD. 2 DATED this 8th day of May, 2020. 3 4 DATED: May 8, 2020 By: s/ Cecily C. Shiel Cecily C. Shiel, WSBA #50061 5 [email protected] TOUSLEY BRAIN STEPHENS PLLC 6 1700 Seventh Avenue, Suite 2200 Seattle, Washington 98101 7 Tel: 206.682.5600 Fax: 206.682.2992 8 9 DATED: May 8, 2020 By: s/ Todd Logan Rafey Balabanian (admitted pro hac vice) 10 [email protected] 11 Todd Logan (admitted pro hac vice) [email protected] 12 EDELSON PC 123 Townsend Street, Ste. 100 13 San Francisco, California 94107 Tel: 415.638.9660 14 Attorneys for Plaintiff and the Putative Class 15 16 17 DATED: May 8, 2020 By: s/ Angelo J. Calfo Angelo J. Calfo, WSBA #27079 18 Emily Dodds Powell, WSBA #49351 CALFO EAKES & OSTROVSKY LLP 19 1301 Second Avenue, Suite 2800 Seattle, WA 98101 20 Tel: 206.407.2200 Fax: 206.407.2224 21 Email: [email protected] Email: [email protected] 22 23 24 25 26 T OUSLEY B RAIN S TEPHENS PLLC STIPULATED MOTION AND [PROPOSED] ORDER 1700 Seventh Avenue, Suite 2200 Case No. 18-cv-5277-RBL-3 Seattle, Washington 98101-4416 Tel: 206.682.5600 ⢠Fax: 206.682.2992 1 DATED: May 8, 2020 By: s/ Behnam Dayanim Behnam Dayanim (pro hac vice) 2 Noah Pinegar (pro hac vice) PAUL HASTINGS LLP 3 875 15th Street, NW Washington, DC 20005 4 Tel: 202.551.1737 Email: [email protected] 5 6 Attorneys for Defendant Playtika, Ltd. 7 8 9 DATED: May 8, 2020 By: s/ John A. Tondini John A. Tondini, WSBA #19092 10 BYRNES KELLER CROMWELL LLP 1000 Second Avenue, 38th Floor 11 Seattle, Washington 98104 12 Phone: 206.622.2000 Fax: 206.622.2522 Email: 13 [email protected] 14 15 DATED: May 8, 2020 By: s/ John Nadolenco 16 John Nadolenco, CA # 181128 (pro hac vice) MAYER BROWN LLP 17 350 South Grand Avenue, 25th floor Los Angeles CA, 90071 Phone: 213.229.5173 18 Email: [email protected] 19 Attorneys for Defendant Caesars Interactive Entertainment, LLC. 20 21 22 23 24 25 26 T OUSLEY B RAIN S TEPHENS PLLC STIPULATED MOTION AND [PROPOSED] ORDER 1700 Seventh Avenue, Suite 2200 Case No. 18-cv-5277-RBL-4 Seattle, Washington 98101-4416 Tel: 206.682.5600 ⢠Fax: 206.682.2992 1 [PROPOSED] ORDER 2 PURSUANT TO STIPULATION, IT IS SO ORDERED: 3 DATED this _____ day of ___________, 2020. 4 ___________________________________ 5 RONALD B. LEIGHTON UNITED STATES DISTRICT JUDGE 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 T OUSLEY B RAIN S TEPHENS PLLC STIPULATED MOTION AND [PROPOSED] ORDER 1700 Seventh Avenue, Suite 2200 Case No. 18-cv-5277-RBL-5 Seattle, Washington 98101-4416 Tel: 206.682.5600 ⢠Fax: 206.682.2992
- Playtika creates disruptive gaming experiences that are reshaping the gaming landscape using cutting-edge technologies in Live-Ops, Data Analytics and Performance Marketing.
- Playtika Ltd develops and publishes games. The Company designs games for entertainment on social media networks. Playtika markets its games online internationally.
- A Chinese consortium has bought Playtika, an Israeli online games company, for $4.4 billion in cash, the consortium and US-based Caesars Interactive Entertainment said in a joint statement on.
- GOOGLE PLAYTIKA LTD GOOGLE COM CH CA has been in the DB for a while, it is the number 1195. It comes from Luxembourg. There are 6085 searches per month from people that come from terms like google playtika or similar.
Usually people are afraid of charges in their credit card and ask on Google what happened, what is this charge? Where is this extract from? What is GOOGLE-PLAYTIKA-LTD-GOOGLE-COM-CHCA? Don’t be afraid, but this is a huge scam.
Read this carefully to recover from. GOOGLE-PLAYTIKA-LTD-GOOGLE-COM-CHCA credit card scam it is not that rare actually to be scammed by this usual techniques when people buy online (and also offline).
Total scams with this charge: 849 votes, and 387 voted that it is a fraud CHARGE.
What is your credit card company? You better act now!
Whatever Playtika corporation is the most solvent at the moment when a buyer looks at Slotomania, is the corporation that Slotomania can be shifted to. To say that Playtika SM is not responsible for games listed under Playtika Ltd is just ridiculous. When they count up their money, I am sure that Ltd shares revenue with SM for operating expenses.
Scam? What is GOOGLE-PLAYTIKA-LTD-GOOGLE-COM-CHCA?
GOOGLE-PLAYTIKA-LTD-GOOGLE-COM-CHCA has been in the DB for a while, it is the number 18180. It comes from Libya. There are 325 searches per month from people that come from terms like google playtika or similar.
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More info about credit cards and frauds
- Please search for the official Fraug.org website, there are tutorials on how to prevent this scams in credit cards.
- Visit VISA or Mastercard official websites to ask for help, or open dispute on PayPal.
- Any information about the scam? Please share in comment section.
Relevant information about GOOGLE-PLAYTIKA-LTD-GOOGLE-COM-CHCA credit card charge
Found on Jordan, India and India. New gambling movie. Crazy 8 game online.
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Combinate score with Credit Card Agency says that it is a 16% transaction fraud rate and the score for Stripe and Bank of America (other credit card providers like Revolut, N26, BBVA, Banco Santander, JPMorgan Chase, Bank of America, Wells Fargo, Citigroup, Goldman Sachs, Morgan Stanley and Capital One says it is a 58% credit charge fraud rate.
GOOGLE-PLAYTIKA-LTD-GOOGLE-COM-CHCA charge notice was found Sunday at 3 in 2014. Juegos de 300 spartans.
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