Picketfence Inc. v. R.R. Donnelley & Sons Company
Filing
107
ORDER RE: EXPERT WITNESS DEADLINES re 106 Stipulation filed by Picketfence Inc. Signed by Judge James Larson on 11/20/08. (jlsec, COURT STAFF) (Filed on 11/20/2008)
Case 3:07-cv-01551-JL
Document 106
Filed 11/19/2008
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Robert O. Whyte (SBN 130021) Christina A. Dondero (SBN 230616) NIESAR & WHYTE, LLP 90 New Montgomery Street, 9th Floor San Francisco, CA 94105 Telephone: (415) 882-5300 Facsimile: (415) 882-5400 rwhyte@ncblaw.com cdondero@ncblaw.com Attorneys for Plaintiff/Counter-defendant Picketfence, Inc. d/b/a SandBox Studio SHAW GUSSIS FISHMAN GLANTZ WOLFSON & TOWBIN JEFFREY L. WIDMAN 321 North Clark Street, Suite 800 Chicago, IL 60610 Telephone: (312) 541-0151 Facsimile: (312) 275-0557 jlwidman@shawgussis.com Attorneys for Defendant/Counter-claimant R.R. Donnelley & Sons Company UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA SAN FRANCISCO DIVISION PICKETFENCE, INC., a California corporation doing business as SANDBOX STUDIO, Plaintiff, v. R.R. DONNELLEY & SONS COMPANY, a Delaware corporation, and DOES 1 through 30, inclusive, Defendants. AND RELATED COUNTERCLAIM Pursuant to an agreement between Plaintiff/Counter-Defendant, PICKETFENCE, INC. d/b/a SANDBOX STUDIO ("SandBox") and Defendant/Counterclaimant, R.R. DONNELLEY
{5931 ORD A0217846.DOC 2}
Case No. C 07-1551 JL STIPULATION REGARDING EXPERT WITNESS DEADLINES; [PROPOSED] ORDER THEREON
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Case 3:07-cv-01551-JL
Document 106
Filed 11/19/2008
Page 2 of 2
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& SONS CO., ("Donnelley") (SandBox and Donnelley are hereinafter referred to collectively as the "Parties"), the Parties hereby Stipulate to the following: 1. The date for the Parties to exchange their expert witness report is continued to December 8, 2008; 2. The date for the Parties to designate their rebuttal experts is continued to January 19, 2009; and 3. By November 20, 2008, SandBox will provide a partial response to Donnelley's interrogatory No. 15, by identifying all experts that Plaintiff has retained to testify in this case, and for each such expert will state the subject matter on which the expert is expected to testify and his or her qualifications. Date: November 19, 2008 NEISAR & WHYTE LLP By: /s/ Robert O. Whyte Robert O. Whyte NEISAR & WHYTE LLP Attorneys for Plaintiff/Counter-Defendant PicketFence, Inc. doing business as SandBox Studio
Date: November 19, 2008
SHAW GUSSIS FISHMAN GLANTZ WOLFSON & TOWBIN LLC By: /s/ Jeffrey L. Widman Jeffrey L. Widman (Admitted Pro Hac Vice) SHAW GUSSIS FISHMAN GLANTZ WOLFSON & TOWBIN LLC Attorneys for Defendant /Counter- Claimant R.R. Donnelley & Sons Company
IT IS SO ORDERED.
November 20, 2008 Date: ____________________
The Honorable James Larson
{5931 ORD A0217846.DOC 2}
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