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Pfeffernusse

07/02/21 10:26 PM

#43042 RE: cinnamonpee #43040

What?? The appeal was filed at the end of May.


1
THE UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF MASSACHUSETTS
WORLDS, INC.,
Plaintiff,
v.
ACTIVISION BLIZZARD, INC.,
BLIZZARD ENTERTAINMENT, INC.
and ACTIVISION PUBLISHING, INC.,
Defendants.
)
)
)
Civil Action No. 1:12-CV-10576 (DJC)
PLAINTIFF WORLDS, INC’S NOTICE OF APPEAL
Notice is hereby given that Plaintiff Worlds, Inc. hereby appeals to the United States
Court of Appeals for the Federal Circuit from the Judgment entered by the Court on April 30,
2021 (Dkt. # 359), the Court’s Memorandum and Order of the same date (Dkt. # 358), the
Electronic Order entered by the Court on March 4, 2021 (Dkt. # 345), the Court’s Memorandum
and Order on claim construction, entered on June 26, 2015 (Dkt. # 153), the Court’s
Memorandum and Order entered on March 13, 2014 (Dkt. # 124), and all other interlocutory
orders entered in this action.
Dated: May 28, 2021 Respectfully submitted,
/s/ Wayne M. Helge
Wayne M. Helge (pro hac vice)
whelge@dbjg.com
Aldo Noto (pro hac vice)
anoto@dbjg.com
Alan A.Wright (pro hac vice)
awright@dbjg.com
Gregory A. Krauss (pro hac vice)
Case 1:12-cv-10576-DJC Document 366 Filed 05/28/21 Page 1 of 32
GKrauss@dbjg.com
James T. Wilson (pro hac vice)
jwilson@dbjg.com
Donald L. Jackson (pro hac vice)
djackson@dbjg.com
Walter D. Davis, Jr. (pro hac vice)
wdavis@dbjg.com
DAVIDSON BERQUIST JACKSON &
GOWDEY, LLP
8300 Greensboro Drive, Suite 500
McLean, VA 22102
T: (571) 765-7700
Max L. Tribble (pro hac vice)
mtribble@susmangodfrey.com
Chanler Langham (pro hac vice)
clangham@susmangodfrey.com
Ryan Caughey (pro hac vice)
rcaughey@susmangodfrey.com
SUSMAN GODFREY L.L.P.
1000 Louisiana Street, Suite 5100
Houston, Texas 77002
T: (713) 651-9366
Joel R. Leeman (BBO # 292070)
jleeman@sunsteinlaw.com
SUNSTEIN KANN MURPHY &
TIMBERS
125 Summer Street
Boston, MA 02110-1618
T: (617) 443-9292
ATTORNEYS FOR PLAINTIFF,
WORLDS, INC.
Case 1:12-cv-10576-DJC Document 366 Filed 05/28/21 Page 2 of 3CERTIFICATE OF SERVICE
I hereby certify that this document filed through the ECF systems will be sent electronically
to the registered participants as identified on the Notice of Electronic Filing on the above date.
/s/ Wayne M. Helge
Wayne M. Helge
Case 1:12-cv-10576-DJC Document 366 Filed 05/28/21 Page 3 of

cadillacdave

07/02/21 10:36 PM

#43044 RE: cinnamonpee #43040

I thought the company made a statement that they plan to appeal. You would think a PR statement would be in order here just for clarification to set the record straight. It would be nice for Thom to simply and unequivocally state we are appealing and the appeal was filed on XX date. Yes or no if S&G is still representing WDDD on contingency. I realize there are some large private investors (who I'm sure know the answers to the questions we have) but there are also a lot of investors here who also have the same right to know what is going on here.

I know a lot of people here sing Thom's praises. However, a true measure of a man is to see what he does in the bad and difficult times, not only the good times. At the moment, his communication with average shareholders seems to be deficient.