UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA
June 5, 2008
QUANTUM CORPORATION, A DELAWARE CORPORATION, PLAINTIFF,
RIVERBED TECHNOLOGY, INC. A DELAWARE CORPORATION, DEFENDANT.
RIVERBED TECHNOLOGY, INC. A DELAWARE CORPORATION, COUNTERCLAIMANT,
QUANTUM CORPORATION, A DELAWARE CORPORATION, COUNTERDEFENDANT.
The opinion of the court was delivered by: Honorable William H. Alsup United States District Judge
[PROPOSED] ORDER RE SCHEDULE FOR CLAIM CONSTRUCTION
Complaint Filed: February 13, 2008
Trial Date: August 31, 2009
Pursuant to Paragraph of the Court's Case Management Order (Docket No. 28), Quantum Corporation ("Quantum") and Riverbed Technology, Inc. ("Riverbed") jointly submit this Proposed Order Re Schedule For Claim Construction and will email a copy to firstname.lastname@example.org. The parties' proposal includes agreed dates for claim construction briefs and events required by the Patent Local Rules.
Disclosure of Asserted Claims and June 19, 2008 Preliminary Infringement Contentions
EVENT AGREED DATE
Preliminary Invalidity Contentions August 7, 2008 Simultaneous Exchange of Proposed August 14, 2008 9
Terms and Claim Elements for Construction
Claim Constructions and Extrinsic
Evidence Joint Claim Construction and Prehearing September 30, 2008 Statement
Close of discovery related to Claim October 23, 2008 Construction
Opening Claim Construction Brief November 6, 2008
Reply Claim Construction Brief November 27, 2008
Claim Construction Tutorial December 3, 2008 at 1:30 p.m.* 17
Final Infringement Contentions 30 days after issuance of claim construction ruling
Final Invalidity Contentions 50 days after issuance of claim construction ruling
Simultaneous Exchange of Preliminary September 4, 2008
Opposition Claim Construction Brief November 20, 2008
Claim Construction Hearing December 17, 2008 at 1:30 p.m.*
* These dates were set by the Court in its Case Management Order.
NOW, THEREFORE, the parties to this action, through their respective counsel of record, AGREE TO AND HEREBY STIPULATE to the foregoing schedule.
Dated: June 4, 2008
I, Nathaniel Bruno, am the ECF User whose identification and password are being used to file this document. Pursuant to General Order 45.X.B, I hereby attest that counsel for Quantum has concurred in this filing.
PURSUANT TO STIPULATION, IT IS SO ORDERED.
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