The opinion of the court was delivered by: Hon. James Ware, Chief Judge United States District Court
STIPULATION AND [PROPOSED] ORDER RELATING TO ENLARGEMENT OF TIME TO FILE CLAIM CONSTRUCTION BRIEF PURSUANT TO FIRST CLAIM CONSTRUCTION ORDER
Judge: Hon. James Ware Courtroom: 9, 19th Floor Declaratory Judgment
IT IS HEREBY STIPULATED AND AGREED, by and between the parties, through their respective counsel, and subject to the approval of the Court, as follows: 3
Pursuant to the Court's Order of March 5, 2012 [Dk. No. 594] (the "Order"), the parties are to provide on March 14, 2012 simultaneous supplemental briefs relating to all phrases 5 identified in the Court's January 31 Order. The parties hereby jointly request that the Court 6 extend the deadline to file supplemental briefs by one day to March 15, 2012. 7
WHEREAS, the parties are working diligently to finish the supplemental briefing ordered by the Court in its March 5th Order.
WHEREAS, Plaintiff requires one additional day to prepare its submission.
WHEREAS, the proposed deadline of March 15 provides 25 days until the Case Management Conference, and will not affect any other date set by the Court.
Accordingly, the parties STIPULATE AND AGREE that the date to simultaneously file supplemental briefs relating to all of the phrases identified in the Court's January 31 Order be 14 extended to Thursday, March 15, 2012 and the date to deliver two chambers copies of the 15 supplemental briefs in three-ring binders to the Court remains on or before Friday, March 16, 2012.
DATED: March 14, 2012 ROBBINS GELLER RUDMAN & DOWD LLP 18 By: /s/ Peter M. Jones Peter M. Jones, email@example.com 19 Counsel for Plaintiff, U.S. ETHERNET INNOVATIONS, LLC 20 21 22 DATED: March 14, 2012 FISH & RICHARDSON P.C. 23 24 By: /s/ Seth M. Sproul Seth M. Sproul, firstname.lastname@example.org 25 26 Counsel for Intervenor INTEL CORPORATION On behalf of Defendants
Pursuant to General Order No. 45, Section X(B) regarding signatures, I attest under penalty of perjury that concurrence in the filing of this document has been obtained from the 4 parties hereto. 5 6
DATED: March 14, 2012 ROBBINS GELLER RUDMAN & DOWD LLP 7 8 By: /s/ Peter M. Jones Peter M. Jones, email@example.com Counsel for Plaintiff, U.S. ETHERNET INNOVATIONS, LLP