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Dell Inc. and Dell Products L.P v. Sharp Corporation

UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA (SAN FRANCISCO DIVISION)


June 20, 2011

DELL INC. AND DELL PRODUCTS L.P.,
PLAINTIFFS,
v.
SHARP CORPORATION;
SHARP ELECTRONICS CORPORATION; HITACHI DISPLAYS, LTD.;
HITACHI ELECTRONIC DEVICES (USA), INC.; HITACHI, LTD.;
EPSON IMAGING
DEVICES CORPORATION;
EPSON ELECTRONICS AMERICA, INC.; HANNSTAR DISPLAY CORPORATION;
TOSHIBA AMERICA ELECTRONIC COMPONENTS, INC.;
TOSHIBA AMERICA INFORMATION SYSTEMS, INC.;
TOSHIBA CORPORATION; AND
TOSHIBA MOBILE DISPLAY CO., LTD.,
DEFENDANTS.

The opinion of the court was delivered by: Hon. Susan Illston United States District Judge

MORGAN, LEWIS & BOCKIUS LLP KENT M. ROGER, State Bar No, 95987 HERMAN J. HOYING, State Bar No. 257495 JENNIFER L. CALVERT, State Bar No. 258018 One Market, Spear Street Tower San Francisco, CA 94105-1126 Tel: 415.442.1000 Fax: 415.442.1001 5 kroger@morganlewis.com hhoying@morganlewis.com 6 jennifer.calvert@morganlewis.com Attorneys for Defendants HITACHI, LTD., HITACHI DISPLAYS, LTD., HITACHI ELECTRONIC DEVICES (USA), INC.

STIPULATION AND [PROPOSED] ORDER REGARDING TIME TO RESPOND TO AMENDED COMPLAINT

WHEREAS plaintiffs Dell Inc. and Dell Products L.P. (collectively, "Dell") filed the above captioned lawsuit on March 12, 2010;

WHEREAS Dell filed a first amended complaint on April 8, 2011 ("Amended Complaint");

WHEREAS Defendants Hitachi Displays, Ltd., Hitachi Electronic Devices (USA), Inc. and Hitachi, Ltd. (collectively, the "Hitachi Defendants") and Defendants Sharp Corporation and Sharp Electronics Corporation, filed a motion to dismiss Count Six of the Amended Complaint 9 alleging violations of New York's Donnelly Act claims on April 22, 2011;

WHEREAS the Court granted Defendants' motion to dismiss Count Six of the Amended Complaint on May 17, 2011;

WHEREAS the Hitachi Defendants' deadline to respond to Dell's Amended Complaint currently is June 10, 2011;

WHEREAS extending the Hitachi Defendants' time to respond to the Amended Complaint will not alter the date of any other event or deadline already fixed by the Court;

NOW, THEREFORE, IT IS HEREBY STIPULATED AND AGREED by and among the undersigned counsel, on behalf of their respective clients, Dell, on the one hand, and the Hitachi Defendants on the other hand, as follows:

1. Hitachi Defendants will have until July 11, 2011 to answer Dell's Amended Complaint.

FILER'S ATTESTATION

I, Kent M. Roger, am the ECF user whose identification and password are being used to file 3 this Stipulation and [Proposed] Order. In compliance with General Order 45.X.B, I hereby 4 attest that Debra Bernstein concurs in this filing.

[PROPOSED] ORDER

Pursuant to the parties' stipulation set forth above and pursuant to Rule 6-1(a) of the Civil Local Rules, IT IS SO ORDERED.

Dated: June ___, 2011

20110620

© 1992-2011 VersusLaw Inc.



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