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.

Alzheimer's Institute of America, Inc v. Elan Pharmaceuticals

UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA SAN FRANCISCO DIVISION


October 21, 2011

ALZHEIMER'S INSTITUTE OF AMERICA, INC., PLAINTIFF,
v.
ELAN PHARMACEUTICALS, INC.,
ELI LILLY AND COMPANY, DEFENDANTS.

The opinion of the court was delivered by: Honorable Elizabeth D. Laporte District Court Magistrate Judge

AND OTHER COUNTERCLAIMS

JOINT STIPULATION TO WITHDRAW ELAN'S JULY 19, 2011 ADMINISTRATIVE MOTION TO FILE UNDER SEAL , ORDER

Elan Pharmaceuticals, Inc. ("Elan") and Plaintiff Alzheimer's Institute of America, Inc. ("AIA") (collectively "the Parties"), by and through their respective counsel, hereby agree and stipulate, and 4 respectfully request the Court to enter an Order withdrawing Elan's July 19, 2011 Administrative Motion to file under seal portions of Elan's Responsive Claim Construction Brief and Exhibit 23 to 6 the Rajani Declaration in Support of Elan's Responsive Claim Construction Brief (D.N. 200).

Responsive Claim Construction Brief and Exhibit 23 to the Rajani Declaration in Support of Elan's 10 Construction Brief and Exhibit 23 contained selected passages of the deposition transcript of Dr. 12 AIA. AIA did not file a declaration pursuant to Civil L.R. 79-5(d) in support of sealing these 14 documents.

motion. The parties agree that Elan's Responsive Claim Construction Brief (D.N. 201) and Exhibit

WHEREFORE, the Parties, by and through their respective counsel, hereby stipulate to and request this Court to enter an Order: (1) withdrawing Elan's July 19, 2011 Administrative Motion to 20 file under seal portions of Elan's Responsive Claim Construction Brief and Exhibit 23 to the Rajani Declaration in Support of Elan's Responsive Claim Construction Brief (D.N. 200); and (2) 22 permitting Elan to publicly file Elan's Responsive Claim Construction Brief and Exhibit 23 in 23 unredacted form.

Pursuant to Civil L.R. 7-12 and Federal Rules of Civil Procedure 20(a)(2) and 21, Defendant

This joint stipulation sets forth the following facts upon which the Parties agree:

1. On July 19, 2011, Elan filed an administrative motion to file portions of its Responsive Claim Construction Brief (D.N. 200). Pages 16-17 of Elan's Responsive Claim 11 Michael Mullan previously designated as "CONFIDENTIAL -- ATTORNEYS EYES ONLY" by 13

2. On October 19, 2011, counsel for Elan and AIA conferred on Elan's administrative 23 (D.N. 202) are not confidential and should be filed publicly. 18

Dated: October 20, 2011 Respectfully Submitted, K. Lee Marshall (SBN 277092) Robert Padway SBN 48439) Berrie Goldman (SBN 246061) BRYAN CAVE LLP /s/ Berrie R. Goldman lklk Two Embarcadero Center, Suite 1410 San Francisco, CA 94111 Telephone: (415) 675-3400 Facsimile: (415) 675 3434 E-Mail: klmarshall@bryancave.com robert.padway@bryancave.com berrie.goldman@bryancave.com Ameer Gado (admitted pro hac vice) Benjamin Sodey (admitted pro hac vice) BRYAN CAVE LLP One Metropolitan Square 211 North Broadway, Suite 3600 St. Louis, MO 63102-2750 Telephone: (314) 259-2000 Facsimile: (314) 259-2020 E-Mail: ameer.gado@bryancave.com benjamin.sodey@bryancave.com Attorneys for Plaintiff ALZHEIMER'S INSTITUTE OF AMERICA, INC. Dated: October 20, 2011 Respectfully Submitted, /s/ Assad H. Rajani Deborah E. Fishman (SBN 197584) Katie J.L. Scott (SBN 233171) Assad H. Rajani (SBN 251143) Jessica L. Hubley (SBN 260672) DICKSTEIN SHAPIRO LLP 700 Hansen Way Palo Alto, CA 94304 Telephone: (650) 690-9500 Facsimile: (650) 690-9501 Email: fishmand@dicksteinshapiro.com scottk@dicksteinshapiro.com rajania@dicksteinshapiro.com hubleyj@dicksteinshapiro.com Charles D. Ossola (admitted pro hac vice) DICKSTEIN SHAPIRO LLP 1825 Eye Street NW Washington, DC 20006 Telephone: (202) 420-2200 Facsimile: (202) 420-2201 Email: ossolad@dicksteinshapiro.com Attorneys for Defendant and Counterclaim Plaintiff ELAN PHARMACEUTICALS, INC Attorneys for Defendant and Counterclaim Plaintiff ELAN PHARMACEUTICALS, INC.

Pursuant to General Order No. 45.X.B., the below filer attests that concurrence in the filing of this document has been obtained from the above Signatories.

PURSUANT TO STIPULATION, IT IS SO ORDERED.

20111021

© 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.