UNITED STATES DISTRICT COURT EASTERN DISTRICT OF CALIFORNIA SACRAMENTO DIVISION
March 27, 2012
ROAD SCIENCE, L.L.C., A DELAWARE LIMITED LIABILITY COMPANY, PLAINTIFF,
TELFER OIL COMPANY D/B/A WINDSOR STIPULATION AND TO VACATE FUEL COMPANY WINDSOR FUEL SCHEDULE AND SET STATUS COMPANY, A CALIFORNIA PARTNERSHIP, TELFER CONFERENCE TANK LINES, INC., A CALIFORNIA CORPORATION, TELFER ENTERPRISES, INC., A CALIFORNIA CORPORATION AND ASPHALT SERVICE COMPANY, A CALIFORNIA CORPORATION, DEFENDANTS.
Please see continuation page for a complete list of the parties and their respective counsel.
CONTINUATION SHEET: PARTIES AND THEIR RESPECTIVE COUNSEL Robert F. Kramer (State Bar No. 181706) SNR DENTON US LLP 525 Market Street, 26th Floor San Francisco, CA 94105 Telephone: (415) 882-2416 Facsimile: (415) 882-0300 Email: email@example.com David A. Makman (State Bar No. 178195) LAW OFFICES OF DAVID MAKMAN 90 New Montgomery Street, Suite 600 San Francisco, California 94105 Telephone: (415) 777-8572 Facsimile: (415) 777-8632 Email: firstname.lastname@example.org Andrea M. Miller (State Bar No. 88992) NAGELEY, MEREDITH & MILLER, INC. 8001 Folsom Boulevard, Suite 100 Sacramento, CA 95826 Email: email@example.com Attorneys for Defendants TELFER OIL COMPANY d/b/a WINDSOR FUEL COMPANY, TELFER TANK LINES, INC. TELFER ENTERPRISES, INC., and ASPHALT SERVICE COMPANY
Plaintiff Road Science, LLC ("Road Science") and Defendants Telfer Oil Company, d/b/a Windsor Fuel Company, Telfer Tank Lines, Inc., Telfer Enterprises, Inc., and Asphalt Service Company (collectively "Defendants"), submit this Stipulation and Proposed Order to vacate the schedule and requesting to set a status conference in the above-captioned case;
WHEREAS, the schedule established in this patent infringement case by the Court's August 9, 2011 Order ([Doc No. 51, which was amended by various stipulations of the parties and orders of the Court, most recently by the Court's Order extending the deadline for filing amended counterclaims to March 30, 2012 [Doc. No. 109]) was determined with reference to the claim construction proceedings and the date that the Court issues a Claim Construction Order;
WHEREAS, the Court has taken the parties' claim construction briefing and argument under submission and the parties stipulate and respectfully request that the Court Order enter an Order scheduling a post-claim construction status conference to be held approximately two weeks after the date that the Court issues a Claim Construction Order and the parties respectfully request that the Court vacate the remaining dates on the current schedule;
THEREFORE, the Court Orders that a post-claim construction status conference will be scheduled to be held approximately two weeks after the date that the Court issues a Claim Construction Order and the remaining dates on the schedule set forth in the Court's August 9, 2011 Order are hereby vacated. The parties will be prepared to discuss new schedule dates at the post-claim construction status conference when it is scheduled.
IT IS SO STIPULATED.
Dated: March 26, 2012 By: /s/ Robert Fitz-Patrick Robert Fitz-Patrick, pro hac vice John F. Heil, III, pro hac vice HALL, ESTILL, HARDWICK, GABLE, GOLDEN & NELSON, P.C. AND James P. Mayo SEGAL & KIRBY LLP Attorney for Plaintiff ROAD SCIENCE, LLC By: /s/ Robert F. Kramer Robert F. Kramer SNR DENTON US LLP David A. Makman LAW OFFICES OF DAVID A. MAKMAN Attorney for Defendants TELFER OIL COMPANY d/b/a WINDSOR FUEL COMPANY, TELFER TANK LINES, INC. TELFER ENTERPRISES, INC., and ASPHALT SERVICE COMPANY AND Andrea Miller NAGELEY, MEREDITH & MILLER, INC. Attorney for Defendants TELFER OIL COMPANY d/b/a WINDSOR FUEL COMPANY, TELFER TANK LINES, INC. TELFER ENTERPRISES, INC., and ASPHALT SERVICE COMPANY
IT IS SO ORDERED.
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