Vous êtes sur la page 1sur 4

FILED

15 APR 20 PM 4:08
KING COUNTY

THE HONORABLE
JOHN
CHUN
SUPERIOR
COURT
CLERK
ORAL ARGUMENT REQUESTED
E-FILED

CASE NUMBER: 14-2-07669-0 SEA

Noted for Consideration: April 28, 2015

3
4

5
6
7
IN THE SUPERIOR COURT OF THE STATE OF WASHINGTON

8
FOR THE COUNTY OF KING

9
10

11
12

13

MOVE, INC., a Delaware corporation,


REALSELECT, INC., a Delaware
corporation, TOP PRODUCER SYSTEMS
COMPANY, a British Columbia unlimited
liability company, NATIONAL
ASSOCIATION OF REALTORS, an
Illinois non-profit corporation, and
REALTORS INFORMATION
NETWORK, INC., an Illinois corporation,

Case No. 14-2-07669-0 SEA

DECLARATION OF CHRIS CROCKER


IN SUPPORT OF PLAINTIFFS' MOTION
TO UNSEAL THE SINGER
DECLARATION AND ATTACHED
WHISTLEBLOWER LETTER

14
Plaintiffs,

15
16
17
18

vs.
ZILLOW, INC., a Washington corporation,
ERROL SAMUELSON, an individual, and
CURT BEARDSLEY, an individual, and
DOES 1-20,
Defendants.

19
20
21

22
23

CROCKER DECL. IN SUPPORT OF PLAINTIFFS' MOTION TO


UNSEAL THE SINGER DECLARATION AND ATTACHED
WHISTLEBLOWER LETTER - 1
2348919.2
#982031 vI /99985-001

2
3

I, Chris Crocker, declare as follows:


I am over the age of eighteen years, have personal knowledge of the matters set forth
below, and am otherwise competent to testify.

4
5

From late December 2012 until April 13, 2015 I was employed by Zillow, Inc. as Vice
President, Strategic Partnerships. In that capacity I worked with Errol Samuelson and Curt
Beardsley who had become Zillow officers and employees after leaving their employment with
Move, Inc.

8
In my capacity as Vice President, Strategic Partnerships, I became aware of the lawsuit

9
brought by Move, Inc. and others against Zillow Inc. and Mr. Samuelson, and eventually against

10
Mr. Beardsley also. I learned about the allegations being made in the lawsuit and came to
11
understand that Move, Inc. and the other plaintiffs had difficulty obtaining complete discovery

12
from the defendants. I also observed conduct and actions on the parts of Mr. Samuelson and Mr.

13
Beardsley as Zillow officers and employees that I believed was unlawful and violated an order

14
that had been entered against Mr. Samuelson. I decided to disclose my observations and

15
knowledge to one of the attorneys for Move, Inc., Mr. Singer, who I erroneously identified as

16
"Mr. Skinner," in an unsigned letter to him. I did not disclose this information as a "disgruntled"

17
or "bitter" employee as Zillow has claimed. I did so confidentially because I wanted to avoid

18
and was worried about retribution and retaliation from Zillow for disclosing the activities I had

19
witnessed.
20
Each and every statement in the letter I sent to Mr. Singer true and correct to the best of

21
my knowledge, and each is based upon personal observation and experiences, except that my

22
23

CROCKER DECL. IN SUPPORT OF PLAINTIFFS' MOTION TO


UNSEAL THE SINGER DECLARATION AND ATTACHED
WHISTLEBLOWER LETTER - 2
2348919.2
#982031 v I /99985-001

2
3
4
5

6
7
8

reference to "other databases" meant mUltiple sources of data compiled into one spreadsheet. I
have not revealed any "trade secret" in this letter. The letter does not contain information or
describe a method or process that derives independent economic value from not being generally
known and readily ascertainable by others who might economically benefit from the
information's disclosure. I do not understand the unlawful character of the conduct described to
be a trade secret.
My letter to Mr. Singer asked that it be destroyed because I was concerned about
retaliation from Zillow and that being labeled publically as a "whistleblower" would harm my
future employment prospects. I did not ask or suggest the letter be made available to the public,

9
nor did I confer in advance with any person, including counsel, affiliated with the parties in the

10
lawsuit about my letter or its contents. My only communications with Mr. Singer before sending

11
the letter involved my telling him that as long as I was a Zillow employee he would have to go

12
through the proper channels for us to communicate and I redirected him back to Perkins Coie.

13
I have retained Jacquelyn Beatty ofKarr Tuttle Campbell to represent me in this matter.

14
I swear under the penalty of perjury under the laws of the State of Washington that the

15
foregoing is true and correct.

16
Dated this 2-o1'.t day of April 2015, in Seattle, Washington.

17

18
19
Chris Crocker
20

21

22
23

CROCKER DECL. IN SUPPORT OF PLAINTIFFS' MOTION TO


UNSEAL THE SINGER DECLARATION AND A IT ACHED
WHISTLEBLOWER LETTER - 3
2348919.2
#98203 1 v 1 I 99985-00 I

CERTIFICATE OF SERVICE
1

I hereby certify that on April 20, 2015, I electronically filed the foregoing with the Clerk

of the Court using the Court's CM/ECF System which will send notification of such filing to the

following individuals registered to receive electronic notices by email transmission at the email

addresses provided thereto.

6
7
8

9
10

11
12
13

CMIECF Participants:
Susan E. Foster
Kathleen M. O'Sullivan
Katherine G. Galipeau
Mary P. Gaston
PERKINS COlE LLP

Clemens H. Barnes
Estera Gordon
MILLER NASH GRAHAM & DUNN LLP

Counsel for Errol Samuelson

Counsel for Zillow, Inc.

I further certify that I served a copy of the foregoing to the following non-registered

CM/ECF attorneys via electronic mail:


David J. Burman
Judith B. Jennison
PERKINS COlE LLP
dburman@perkinscoie.com
i jennison@perkinscoie.com

K. Michael Fandel
MILLER NASH GRAHAM & DUNN LLP
michael.fanclel(mmillernash.com
Counsel for Errol Samuelson

14

Counsel for Ziilow, Inc.

15

James P. Savitt
SAVITT BRUCE & WILLEY LLP
jsavitt(m,sbwllp.com

16

Counsel for Curt Beardsley

17

I declare under penalty of perjury under the laws of the State of Washington that the

18
19

foregoing is true and correct.


DATED at Seattle, Washington on April 20, 2015.

20
21

Is/Katy Albritton
Katy Albritton, Legal Assistant

22
23
PLAINTIFFS' MOTION TO FILE DOCUMENTS
UNDER SEAL - 6

CABLE, LANGENBACH,
KINERK & BAUER, LLP
1000 SECOND AVENUE, SUITE 3500
SEATILE, WASHlNGTON 98 \04-1 048
(206) 292-8800

Vous aimerez peut-être aussi