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Joint Appendix One

Joint Appendix One

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2:10-cv-07678-JFW-DTB Document 65-23 Filed 10/07/11 Page 3 of 8 Page ID<br />

#: 1380<br />

always." This statement is consistent with my recollection that I treated<br />

FutureLogic's technical intbrmation regarding its printers as confidential during the<br />

course the FutureLogic development project with The Customer.<br />

5. To the best of my recollection, them was a general written non-<br />

disclosure agreement between Interleave Systems and The Customer that would<br />

have covered confidential information provided by Interleave to The Customer. I<br />

have been unable, so far, to find this documentation. Interleave made a conscious<br />

decision to allow FutureLogic to deal directly with The Customer on this project.<br />

6. The coupon printers provided by FutumLogie to The Customer in the<br />

1998-2000 timeframe were, to my knowledge never commercialized beyond the<br />

prototype phase. A small number of prototypes were installed in vending machines<br />

in Cincinnati, Ohio for field trials of the printers and the coupon redemption<br />

systems. I visited field trial sites and helped The Customer's technicians use<br />

prototype software to create specific coupon images on the prototype printers. I also<br />

recall effecting basic mechanical repairs or adjustments to printers as needed. At<br />

the field trial sites, the printers were tested in vending machines under conditions of<br />

actual use.<br />

7. To my knowledge, the project was not funded for commercialization.<br />

The measurable results of the effectiveness of the method of couponing were not<br />

strong enough to justify further investment in the development of the printer or<br />

related support systems. Instead development funds were directed to other projects.<br />

8. During field trials of FutureLogic's printers, I participated in periodic<br />

telephone conversations with The Customer's personnel regarding the progress and<br />

status of the field trials. I relayed information about these field trials to<br />

FutumLogic. I also recall providing feedback to Future Logic about specific<br />

technical problems with the paper tray and with the coupon image creation software<br />

ease of use,<br />

-3-<br />

-A0489-<br />

DECLARATION OF DAVE ULAND<br />

2:10-CV-07678-JFW-DTB

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