Searching over 5,500,000 cases.


searching
Buy This Entire Record For $7.95

Official citation and/or docket number and footnotes (if any) for this case available with purchase.

Learn more about what you receive with purchase of this case.

Affinity Labs of Texas, LLC, A v. Apple Inc.

UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA OAKLAND DIVISION


March 9, 2011

AFFINITY LABS OF TEXAS, LLC, A TEXAS LIMITED LIABILITY COMPANY, PLAINTIFF AND COUNTERCLAIM-DEFENDANT,
v.
APPLE INC., A CALIFORNIA CORPORATION, DEFENDANT AND COUNTERCLAIM-PLAINTIFF.

The opinion of the court was delivered by: Judge: Hon. Claudia Wilken

Richard L. Seabolt, Esq. (SBN 67469) DUANE MORRIS LLP Spear Tower One Market Plaza, Suite 2200 San Francisco, CA 94105-1127 Telephone: 415.957.3000 Facsimile: 415.957.3001 E-Mail: rlseabolt@duanemorris.com L. Norwood Jameson (admitted pro hac vice) Matthew C. Gaudet (admitted pro hac vice) DUANE MORRIS LLP ATLANTIC CENTER PLAZA 1180 West Peachtree Street NW, Suite 700 Atlanta, GA 30309-3448 Telephone: 404.253.6900 Facsimile: 404.253.6901 E-mail: wjameson@duanemorris.com E-mail: mcgaudet@duanemorris.com Thomas W. Sankey, Esq. (admitted pro hac vice) Jordan T. Fowles (admitted pro hac vice) DUANE MORRIS LLP 1330 Post Oak Boulevard, Suite 800 Houston, Texas 77056 Telephone: 713.402.3900 Facsimile: 713.402.3901 E-mail: twsankey@duanemorris.com E-mail: jtfowles@duanemorris.com Attorneys for Plaintiff Affinity Labs of Texas, LLC

CIVIL LOCAL RULE 6-2(a) STIPULATION AND [PROPOSED] ORDER

IT IS HEREBY STIPULATED by and between Plaintiff Affinity Labs of Texas, LLC ("Affinity") and Defendant Apple Inc. ("Apple") as follows:

WHEREAS, pursuant to the Stipulation entered into between the parties and approved by the Court on December 23, 2010 (Docket No. 82) the close of fact discovery is scheduled for March 11, 2011, the designation of technical expert witnesses and exchange of initial expert reports is scheduled for March 15, 2011 and the designation of rebuttal technical expert witnesses and exchange of rebuttal expert reports is scheduled for April 5, 2011;

WHEREAS, Affinity requested additional time to take depositions of third party subpoena targets, and Apple agreed to Affinity's request;

WHEREAS, the parties need additional time for their technical expert reports and rebuttal technical expert reports;

WHEREAS, as of the date of this Stipulation, there are multiple third party subpoenas still outstanding;

WHEREAS, the parties agree not to issue additional subpoenas effective March 2, 2011;

WHEREAS, the parties' proposed modifications will not impact the trial date, Markman date, dispositive motion date, or any other dates not listed below;

WHEREAS, the parties agree that this stipulation does not provide cause to exceed the limit of 70 hours for depositions for each party identified in the Joint Case Management Statement;

WHEREAS, the parties agree

NOW, THEREFORE, IT IS HEREBY STIPULATED BY AND BETWEEN THE PARTIES HERETO, THROUGH THEIR RESPECTIVE COUNSEL AND SUBJECT TO THE APPROVAL OF THE COURT, AS FOLLOWS:

1. The close of fact discovery shall be extended from March 15, 2011, to March 21, 2011;

2. The deadline for designation of technical expert witnesses and exchange of initial expert reports shall be extended from March 15, 2011, to March 22, 2011;

3. The deadline for designation of rebuttal technical expert witnesses and exchange of rebuttal technical expert reports shall be extended from April 5, 2011, to April 12, 2011;

4. The close of expert discovery shall be extended from April 12, 2011, to April 19, 2011;

5. Unless already requested or scheduled, the parties cannot request the depositions of any additional party witnesses;

6. Unless a party can demonstrate a genuine basis for disputing authenticity, the parties waive their hearsay and authenticity objections related to the financial information produced (or authorized to be produced) by the defendants in the Texas cases (Affinity Labs v. BMW et al. 9:08-cv-164; Affinity Labs v. Alpine et al., 9:08-cv-171).

Dated: March 8, 2011 RICHARD L. SEABOLT L. NORWOOD JAMESON MATTHEW C. GAUDET DUANE MORRIS LLP By: /s/ Jordan T. Fowles Attorneys for Plaintiff AFFINITY LABS OF TEXAS, LLC

Pursuant to General Order No. 45 X(B), I hereby attest that concurrence in the filing of this document has been obtained from Darin Glasser.

PURSUANT TO STIPULATION, IT IS SO ORDERED,

Honorable Claudia Wilken United States District Judge

20110309

© 1992-2011 VersusLaw Inc.



Buy This Entire Record For $7.95

Official citation and/or docket number and footnotes (if any) for this case available with purchase.

Learn more about what you receive with purchase of this case.