UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA SAN FRANCISCO DIVISION
December 30, 2009
GREGORY BENDER, PLAINTIFF,
MAXIM INTEGRATED PRODUCTS, INC., DEFENDANT.
The opinion of the court was delivered by: The Hon. Susan Illston United States District Court Judge
STIPULATION AND [PROPOSED] ORDER EXTENDING DEADLINE FOR MAXIM TO FILE ITS DISCOVERY MOTION RELATED TO BENDER'S AMENDED INFRINGEMENT CONTENTIONS
Plaintiff Gregory Bender ("Plaintiff") and Defendant Maxim Integrated Products, Inc., ("Defendant"), through their respective counsel, hereby make the following stipulation with regards to Defendant's discovery motion related to Plaintiff's amended infringement contentions.
Due to the parties' and counsels' limited availability due to the upcoming holidays, the parties have agreed, and hereby request that the deadline for Defendant to file its discovery motion pursuant to the Court's Order of November 19, 2009 (D.I. 42) be extended until Friday, January 15, 2010. The parties further stipulate that the Court's order granting Defendant temporary relief from its discovery obligations (D.I. 34) shall remain in place until the dispute is 25 resolved.
Dated: December 28, 2009
Jones Day Gregory Greg L. Lippetz State Bar No. 154228
JONES DAY Silicon Valley Office 1755 Embarcadero Road Palo Alto, CA 94303 Telephone: 650-739-3939 Facsimile: 650-739-3900 Counsel for Defendant Maxim Integrated Products, Inc.
In accordance with General Order No. 45, Section X(B), the above signatory attests that concurrence in the filing of this document has been obtained from the signatory below.
David N. Kuhn Attorney-at-Law 144 Hagar Avenue Piedmont, California 94611 Telephone: (510) 653-4983 Counsel for Plaintiff Gregory Bender
PURSUANT TO STIPULATION, IT IS SO ORDERED:
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