The opinion of the court was delivered by: Honorable Susan Illston United States District Judge
STIPULATION AND [PROPOSED] ORDER REQUESTING TO EXTEND THE DEADLINES TO FILE CERTAIN MOTIONS TO COMPEL IF THE PARTIES CANNOT REACH AGREEMENT ON THE SPECIFIED DISPUTES [Civil L.R. 7-12]
LLC, Samsung Electronics America, Inc., Samsung Telecommunications America, LLC, and Samsung Digital Imaging Co., Ltd. (collectively, "Samsung") jointly submit this Stipulation regarding the request to extend the deadline to file motions to compel regarding specified 6 discovery disputes. obviate the need to engage in motions practice with regard to discovery issues concerning U.S. Advanced Micro Devices, Inc. and ATI Technologies, ULC (collectively, "AMD"), and Samsung Electronics Co., Ltd., Samsung Semiconductor, Inc., Samsung Austin Semiconductor,
WHEREAS, the parties agree that there is still room for more negotiation which may Patent No. 5,740,065 ("'065 patent"). Therefore, the parties jointly stipulate to request to extend the deadline to file discovery-related motions to compel solely with respect to the following discovery requests: Samsung's Interrogatory 98, Samsung's related 30(b)(6) deposition request 58-60 and AMD's related 30(b)(6) deposition request Topic 323 served January 5, 2010.
obviate the need to engage in motions practice with regard to the production of additional AMD sales data. Therefore, the parties jointly stipulate to request to extend the deadline to file discovery-related motions to compel solely with respect to the production of additional AMD sales data.
Topic 31 served February 5, 2010, AMD's Request for Production 276, AMD's Interrogatories
WHEREAS, the parties agree that there is still room for more negotiation which may
WHEREAS, the parties have scheduled a telephonic meet-and-confer to be held on Sunday, March 28, 2010, during which the parties will attempt to resolve the issues set forth above.
and between AMD and Samsung that, subject to the Court's approval, the deadline for filing motions to compel with respect to the issues set forth above shall be extended by five (5) days (until March 31, 2010). The parties further agree that this stipulation will in no way lengthen the period of time in which to serve discovery. With regard to discovery issues relating to the '065 patent, the parties further agree that this stipulation will not change or serve as the basis for changing any other deadline in the case, particularly the deadlines for serving expert reports.
Pursuant to Civil Local Rule 7-12, IT IS HEREBY STIPULATED AND AGREED, by With regard to AMD sales data issues, AMD will continue to contest any extension to the expert report due date.
PURSUANT TO STIPULATION, IT IS SO ORDERED.
I, Logan J. Drew, am the ECF User whose identification and password are being used to file this Stipulation regarding requesting to extend deadlines to file motions to compel on specific items of discovery. I hereby attest that Christine S. Haskett has concurred in this filing.
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