CLAUDIA WILSON FROST (admitted pro hac vice) email@example.com JEFFREY L. JOHNSON (admitted pro hac vice) firstname.lastname@example.org PILLSBURY WINTHROP SHAW PITTMAN LLP 909 Fannin Street, Suite 2000 Houston, TX 77010 Phone: (713) 276-7600 Fax: (713) 276-7373 DAVID A. JAKOPIN (CSB No. 209950) email@example.com DIANNE L. SWEENEY (CSB No. 187198) firstname.lastname@example.org PILLSBURY WINTHROP SHAW PITTMAN LLP 2475 Hanover Street Palo Alto, CA 94304 Phone: (650) 233-4500 Fax: (650) 233-4545 Attorneys for Defendant AT&T INTELLECTUAL PROPERTY II, L.P.
JOINT STIPULATION AND [PROPOSED] ORDER TO HAVE THE SETTLEMENT CONFERENCE RESET TO APRIL 5, 2011
THE PARTIES HEREBY STIPULATE AS FOLLOWS:
YMax Corporation, YMax Communications Corp., magicJack LP, Tiger Jet Networks, Inc. and Property II, L.P. ("AT&T IP") have met and conferred and agreed that neither party is available 7 for a conference on that date. After inquiry with the Court, the Parties have agreed and hereby 8 stipulate to a Settlement Conference date of April 5, 2011.
Pursuant to the Court's January 13, 2011 Settlement Conference Order, a Settlement Conference was scheduled with Magistrate Judge Edward M. Chen for March 17, 2011. Plaintiffs Stratus Telecommunications LLC (collectively, "YMax") and Defendant AT&T Intellectual Accordingly, the Parties respectfully request that the Court reset the Settlement
Conference to April 5, 2011.
DARRYL M. WOO (CSB No. 100513) CLAUDIA WILSON FROST (admitted pro hac vice)
ATTESTATION PURSUANT TO GENERAL ORDER
I, Jeffery L. Johnson, attest that concurrence in the filing of this document has been
3 obtained from the other signatory. I declare under penalty of perjury that the foregoing is true and 4 correct.
By: /s/ Jeffrey L. Johnson
BASED ON THE STIPULATION, IT IS SO ORDERED. Settlement Conference statements
shall be lodged with Judge Chen's Chambers by hard copy only by ...