Message-ID: <01BF9071.7604E640@ip153.bedford2.ma.pub-ip.psi.net> From: "Irwin B. Schwartz" To: "'whgiii@openpgp.net'" , "'colin@rafferty.net'" , "'marleny@rafferty.net'" , "'webmaster@anonymizer.com'" , "'webmaster@waldo.net'" , "'die-spammer@ekj.vestdata.no'" Cc: "'mailbox@schwartz-nystrom.com'" Subject: Service of Temporary Restraining Order Date: Fri, 17 Mar 2000 23:32:25 -0600 X-Old_TimeStamp: Sat, 18 Mar 2000 00:32:25 -0500 MIME-Version: 1.0 Content-Type: multipart/mixed; boundary="---- =_NextPart_000_01BF9071.760C8760" Status: To Whom It May Concern Re: Microsystems Software Inc. et al. v. Scandinavia Online AB et al., Case No. 00-cv10488-EFH (D. Mass.) Greetings: This firm represents Microsystems Software, Inc. and Mattel, Inc. in the above-referenced action filed in the United States District Court for the District of Massachusetts. Today, United States District Judge Edward Harrington entered a temporary restraining order in the above-referenced matter prohibiting any further publication of "CP4break.zip" or "cphack.exe" or any derivative thereof, which likely violate United States copyright laws (the "Order"). A copy of that Order is attached here as Order.uni and in its proposed form as order.doc. You may open the *.uni document with a *.tif file reader. It has come to our attention that your Web hosting service or Web site is publishing one or both of these prohibited files. This letter and the enclosed Word documents and *uni files will place you on notice of Judge Harrington's Order. The Order also permits Microsystems to take discovery on an expedited basis. Accordingly, I have included a subpoena to you that requires you to disclose the log of persons who downloaded either "CP4break.zip" and/or "cphack.exe". A copy of the subpoena is attached here as *.uni and in Word format as subpoena.doc. In addition, attached to this E-mail transmittal are the following documents in Microsoft Word and *.uni format: Verified Complaint Plaintiffs' Ex Parte Motion for Temporary Restraining Order and Expedited Discovery; Memorandum in Support of Ex Parte Motion for Temporary Restraining Order and Expedited Discovery. We recommend that you retain counsel in Massachusetts and we ask that you or your counsel contact us as soon as possible to arrange more formal service of these documents on you. Sincerely, Irwin B. Schwartz Enclosures