Oracle Corporation et al v. SAP AG et al

Filing 908

Stipulation and [Proposed] Order Regarding Data Produced by Defendants on March 15, 2010 by Oracle International Corporation, Oracle USA Inc., Siebel Systems, Inc.. (Howard, Geoffrey) (Filed on 9/28/2010) Modified on 9/29/2010 (vlk, COURT STAFF).

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Oracle Corporation et al v. SAP AG et al Doc. 908 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 BINGHAM McCUTCHEN LLP DONN P. PICKETT (SBN 72257) GEOFFREY M. HOWARD (SBN 157468) HOLLY A. HOUSE (SBN 136045) ZACHARY J. ALINDER (SBN 209009) BREE HANN (SBN 215695) Three Embarcadero Center San Francisco, CA 94111-4067 Telephone: (415) 393-2000 Facsimile: (415) 393-2286 donn.pickett@bingham.com geoff.howard@bingham.com holly.house@bingham.com zachary.alinder@bingham.com bree.hann@bingham.com BOIES, SCHILLER & FLEXNER LLP DAVID BOIES (Admitted Pro Hac Vice) 333 Main Street Armonk, NY 10504 Telephone: (914) 749-8200 Facsimile: (914) 749-8300 dboies@bsfllp.com STEVEN C. HOLTZMAN (SBN 144177) FRED NORTON (SBN 224725) 1999 Harrison St., Suite 900 Oakland, CA 94612 Telephone: (510) 874-1000 Facsimile: (510) 874-1460 sholtzman@bsfllp.com fnorton@bsfllp.com DORIAN DALEY (SBN 129049) JENNIFER GLOSS (SBN 154227) 500 Oracle Parkway, M/S 5op7 Redwood City, CA 94070 Telephone: (650) 506-4846 Facsimile: (650) 506-7114 dorian.daley@oracle.com jennifer.gloss@oracle.com Attorneys for Plaintiffs Oracle USA, Inc., et al. Robert A. Mittelstaedt (SBN 060359) Jason McDonell (SBN 115084) Elaine Wallace (SBN 197882) JONES DAY 555 California Street, 26th Floor San Francisco, CA 94104 Telephone: (415) 626­3939 Facsimile: (415) 875­5700 ramittelstaedt@jonesday.com jmcdonell@jonesday.com ewallace@jonesday.com Tharan Gregory Lanier (SBN 138784) Jane L. Froyd (SBN 220776) JONES DAY 1755 Embarcadero Road Palo Alto, CA 94303 Telephone: (650) 739­3939 Facsimile: (650) 739­3900 tglanier@jonesday.com jfroyd@jonesday.com Scott W. Cowan (Admitted Pro Hac Vice) Joshua L. Fuchs (Admitted Pro Hac Vice) JONES DAY 717 Texas, Suite 3300 Houston, TX 77002 Telephone: (832) 239­3939 Facsimile: (832) 239­3600 swcowan@jonesday.com jlfuchs@jonesday.com Attorneys for Defendants SAP AG, SAP AMERICA, INC., and TOMORROWNOW, INC. UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA OAKLAND DIVISION ORACLE USA, INC., et al,, Plaintiffs, v. SAP AG, et al., Defendants. NO. 07-CV-01658PJH (EDL) STIPULATION AND [PROPOSED] ORDER REGARDING DATA PRODUCED BY DEFENDANTS ON MARCH 15, 2010 07-CV-01658 PJH (EDL) STIPULATION AND [PROPOSED] ORDER RE DATA PRODUCED BY DEFENDANTS ON MARCH 15, 2010 Dockets.Justia.com 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Plaintiffs Oracle USA, Inc., Oracle International Corporation, and Siebel Systems, Inc. (collectively, "Oracle") and Defendants SAP AG, SAP America, Inc., and TomorrowNow, Inc. ("TN," and together with SAP AG and SAP America, Inc., "Defendants," and all together with Oracle, the "Parties"), jointly enter this Stipulation Regarding Data Produced by Defendants On March 15, 2010 (the "Stipulation"). WHEREAS, on March 15, 2010, Defendants produced two hard drives to Oracle collected from certain images of machines or media such as DVDs ("Images") used or held by TN's employees previously named by Oracle as discovery custodians in this litigation;1 WHEREAS, the Parties have jointly determined that the hard drives produced on March 15, 2010 contained approximately 85,000 files (that when uncompressed contain approximately 385,000 files) that were responsive to Oracle's Discovery Requests and relevant to Oracle's allegations in this litigation; WHEREAS, the March 15, 2010 production also included approximately 26,000 Instant Message conversations, many, but not all of which are responsive to Oracle's Discovery Requests and are relevant to Oracle's allegations in this litigation; NOW, THEREFORE, THE FOLLOWING FACTS ARE HEREBY STIPULATED by the Parties, through their respective counsel of record, as follows: As is typical in the enterprise software industry, Oracle's customers purchase licenses granting them specific rights with respect to Oracle's software applications and database products. Licensed customers may also purchase technical support services that include the right to obtain software updates, fixes, patches, and documentation related to their licensed products. Oracle makes many of these materials available to licensed customers on its password-protected support websites. This litigation involves multiple claims by Oracle related to how Defendants offered and TN provided competing technical support for Oracle products. Oracle alleges that in order to offer and provide this support, TN unlawfully copied, modified, distributed, and used Oracle's The hard drives are identified as TN Hard Drives 120 and 121 and were bates labeled TNOR10395670 and TN-0R10395671 respectively. Five of the Images for Mark Kreutz in this production were also made available to Oracle for inspection in late 2007. 07-CV-01658 PJH (EDL) STIPULATION AND [PROPOSED] ORDER RE DATA PRODUCED BY DEFENDANTS ON MARCH 15, 2010 1 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 software applications in multiple ways, as well as accessed, downloaded, and used the support materials related to those applications. I. DEFINITIONS 1. "Custodians" or "Custodial" as used below means the TN employees whose Images contain SSMs. 2. "Environments" means complete copies of Oracle's PeopleSoft, J.D. Edwards World, J.D. Edwards EnterpriseOne, and/or Siebel applications installed on Defendants' computer systems. Environments include copies that were modified by Defendants such as through the application of Software and Support Materials. 3. "Instant Messages" or "IMs" means a text-based communication that is not e-mail, but that is between two or more people using an instant messenger client such as Yahoo! Messenger. 4. "Oracle's Websites" means Oracle password-protected websites that are used for the purpose of permitting licensed Oracle customers (or their agents) with active support agreements to access and download Software and Support Materials related to their licensed products. 5. "Product Family" or "Product Families" refers to and includes any of the following brands of Oracle software and support materials, to the extent copies of portions of the Oracle Software and Support Materials were located on the Images: (a) PeopleSoft software, comprising PeopleSoft Customer Relationship Management ("CRM"), PeopleSoft Enterprise Performance Management ("EPM"), PeopleSoft Financials ("FIN") (otherwise known as Supply Chain Management ("SCM"), Financials, Distribution, and Manufacturing ("FDM"), or Financials and Supply Chain Management ("FSCM")), PeopleSoft Human Resources Management Software ("HRMS") (otherwise known as Human Capital Management ("HCM")), PeopleSoft Student Administrations ("SA") (otherwise known as Campus Solutions), and PeopleTools; (b) J.D. Edwards World, and J.D. Edwards EnterpriseOne software (otherwise known as OneWorld); (c) Siebel software; and (d) Oracle Relational Database Management System software. 2 07-CV-01658 PJH (EDL) STIPULATION AND [PROPOSED] ORDER RE DATA PRODUCED BY DEFENDANTS ON MARCH 15, 2010 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 6. "SSMs" or "Software and Support Materials" means program updates, software updates, bug fixes, patches, custom solutions, and/or instructional materials, created or owned by Oracle, or derived from, copied from, or based on any such materials, including by Defendants, for any of Oracle's Product Families. II. CUSTODIAL SSMS 7. Each Custodial SSM was either: a. b. c. Downloaded by TN directly from Oracle's Websites; A copy of an SSM downloaded by TN directly from Oracle's Websites; A copy of an SSM from one of the PeopleSoft, J.D. Edwards, or Siebel Environments on TN's systems; or d. 8. Obtained from one of TN's customers. The Custodial SSMs span many of the modules and versions of the PeopleSoft, J.D. Edwards, and Siebel products at issue in Oracle's Complaint. 9. Each Custodial SSM was maintained on TN's systems as part of TN's service offering, which involved recruiting customers away from Oracle and providing support services to those customers in competition with Oracle. 10. For the vast majority of Custodial SSMs that were downloaded from Customer Connection or SupportWeb: a. Defendants are currently not aware which customer's credential was used to download the Custodial SSM; b. TN likely provided copies of some of the Custodial SSMs to customers other than the customer whose credentials were used to download the Custodial SSM; and c. TN likely used some of the Custodial SSMs to support customers other than the customer whose credentials were used to download the Custodial SSM. 11. For the vast majority of Custodial SSMs that were a copy of a SSM from one of the complete or partial local Environments on TN's systems: 3 07-CV-01658 PJH (EDL) STIPULATION AND [PROPOSED] ORDER RE DATA PRODUCED BY DEFENDANTS ON MARCH 15, 2010 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 12. a. Defendants are currently not aware which customer, if any, provided the software used to create the complete or partial local Environment from which the Custodial SSMs were copied; b. TN likely delivered some copies of the Custodial SSMs to customers other than the customer, if any, who provided the software used to create the local Environment from which the Custodial SSMs were copied; and c. TN likely used some Custodial SSMs to support customers other than the customer, if any, who provided the software used to create the local Environment from with the Custodial SSMs were copied. Most Custodians had multiple copies of SSMs on their machine(s); however, approximately 90% of the Custodial SSMs were located on the Images of only 15 former TN employees. III. INSTANT MESSAGES 13. Attached as Exhibit A is a true and correct list of the former TN employees that used a personal IM client and for whom IMs were stored on the employees' computer as identified in TN's March 15, 2010 production. The IM screen names for those former TN employees are also included in Exhibit A. 14. Defendants waive the right to call as a live witness during trial any custodians who had an IM or a custodial SSM that was produced on March 15, 2010 with the exception of: (a) John Baugh, Michael Garafola, Bob Geib, Catherine Hyde, Mark Kreutz, Peggy Lanford, Robert Ludlum, Andrew Nelson, Shelley Nelson, Eric Osterloh, Roderic Russell, Keith Shankle, William Thomas, and Kathy Williams; provided, however, that Defendants shall not introduce testimony relating to the late-produced materials of any of these witnesses unless Defendants have produced that witness for a deposition in San Francisco, and shall not introduce argument related to the late-produced materials of any of these witnesses unless Defendants have produced that witness for a deposition in San Francisco, except for argument to dispute the meaning or legal effect of late-produced materials introduced into evidence by Oracle; and (b) any other witnesses that Defendants produce in San Francisco for a maximum four hour deposition prior to trial related to 4 07-CV-01658 PJH (EDL) STIPULATION AND [PROPOSED] ORDER RE DATA PRODUCED BY DEFENDANTS ON MARCH 15, 2010 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 the late production. Defendants specifically reserve the right to: (i) use at trial any prior deposition testimony taken in this case; and (ii) question during deposition or live at trial any witness that falls in either exception (a) or (b) above. 15. Defendants will make available at trial any custodian Oracle wishes to call regarding any IM or late-produced SSM that was in the possession of or authored by that custodian and produced on March 15, 2010, provided that custodian is still within Defendants' control and Oracle provides reasonable advance notice related to calling that custodian at trial. 16. facts: a. Several TN employees regularly used IM and/or oral communication to discuss what Oracle contends are improper practices, and several of those employees likely believed that such communication was not being permanently recorded or otherwise documented in any way. b. A TN employee appears to have installed on his systems the following versions of Oracle's J.D. Edwards EnterpriseOne software: Xe, 8.0, 8.10, 8.11, and 8.12 and made them available to TN employees. TN downloaded many of the SSMs available on Oracle's Websites for these versions of J.D. Edwards EnterpriseOne. TN used the XE J.D. Edwards EnterpriseOne Environments to service customers which may have helped recruit customers away from Oracle. In some instances, TN may have downloaded more SSMs than certain of its customers indicated they (the customers) were licensed to when downloading J.D. Edwards SSMs from Oracle's Websites. c. On numerous occasions, TN employees used credentials obtained from one customer to access Oracle's Websites for purposes unrelated to supporting only that customer. Instead, the credentials were used in a generic way for research, training, troubleshooting for other customers, and fix development. 5 07-CV-01658 PJH (EDL) The Instant Messages produced on March 15, 2010 establish at least the following STIPULATION AND [PROPOSED] ORDER RE DATA PRODUCED BY DEFENDANTS ON MARCH 15, 2010 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 IV. d. On numerous occasions, TN employees regularly accessed and/or copied portions of J.D. Edwards Environments created from software obtained by customers Koontz-Wagner and Praxair for purposes unrelated to supporting Koontz-Wagner and Praxair. On those occasions, TN employees did so as a routine part of conducting their business of providing support to some other J.D. Edwards customers that were on the same products and releases as Koontz-Wagner and Praxair. e. For some local environments, TN installed local modules beyond those which the customer who had provided the software had represented it was licensed. For those local environments, TN installed all available modules within that Oracle product family, regardless of whether the customer was licensed to the modules or not. f. On several occasions, some TN employees downloaded from Oracle's Websites using credentials from customers whom those TN employees knew were no longer paying maintenance fees to Oracle, as long as the credential's access had not yet been blocked. g. A TN employee insinuated that TN had a "don't ask, don't tell" policy with respect to copying and using Oracle's intellectual property. h. Some TN employees were not surprised by Oracle's filing of this lawsuit and implied that TN had in some way been caught by Oracle. REMEDIES 17. In future testimony in this matter (at trial or in a declaration), any of Oracle's experts may refer to or rely on: (a) the Custodial SSMs or IMs and/or (b) the testimony of another Oracle expert about the Custodial SSMs or IMs. None of Oracle's experts shall be made available for further deposition related to the Custodial SSMs or IMs, and no Defendant expert shall be permitted to issue a report, supplement an existing report, or provide testimony related to any Custodial SSM or IM except to explain or rebut any of the Custodial SSMs or IMs that Oracle introduces at trial. 6 07-CV-01658 PJH (EDL) STIPULATION AND [PROPOSED] ORDER RE DATA PRODUCED BY DEFENDANTS ON MARCH 15, 2010 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 18. Subject to the Court's approval, the jury shall be instructed as follows: Interpretation of Instant Messages: Defendants did not produce in a timely fashion certain relevant instant messages (IMs) involving TN employees. As a result, Plaintiffs were unable to fully investigate and use the late-produced IMs during preparations for this trial. Therefore, if any of these IMs are introduced into evidence during trial, and if there is any dispute about their meaning, you should interpret them consistent with what you find to be any reasonable interpretation presented by Plaintiffs. 19. All of the IMs produced on March 15, 2010 are authentic and admissible at trial by Oracle for any purpose. 20. Defendants will not and may not offer into evidence any of the Custodial SSMs or IMs produced on March 15, 2010, except to explain, rebut, or otherwise place into context any of the Custodial SSMs or IMs that Oracle introduces at trial, and any such evidence offered by Defendants shall be limited to the same, or other portions of the same, Custodial SSMs or IMs introduced by Oracle at trial. 21. Exhibit A shall be admissible at trial as an accurate reflection of the screen names corresponding to certain of TN's current or former employees. 22. Defendants shall not offer any evidence or argument, at trial or as part of any other proceeding or motion in this litigation, for the purpose of rebutting any fact in this Stipulation. 23. Plaintiffs shall not file a motion or seek relief pursuant to Rule 37 relating to Defendants' late-production (as referred to in the September 9, 2010 Joint Statement ((D.I. 826)) with Magistrate Judge Laporte or Judge Hamilton.. V. APPLICABILITY 1. The Parties reach this stipulation for purposes of this action only, and this stipulation has no force or effect in any other proceeding or jurisdiction. IT IS SO STIPULATED. 7 07-CV-01658 PJH (EDL) STIPULATION AND [PROPOSED] ORDER RE DATA PRODUCED BY DEFENDANTS ON MARCH 15, 2010 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Dated: September 28, 2010 BINGHAM McCUTCHEN LLP By: /s/ Geoffrey M. Howard Geoffrey M. Howard Attorneys for Plaintiffs Oracle USA, Inc., Oracle International Corporation, and Siebel Systems, Inc. In accordance with General Order No. 45, Rule X, the above signatory attests that concurrence in the filing of this document has been obtained from the signatory below. Dated: September 28, 2010 JONES DAY By: /s/ Scott W. Cowan Scott W. Cowan Attorneys for Defendants SAP AG, SAP America, Inc. and TomorrowNow, Inc. IT IS SO ORDERED. Dated: September ____, 2010 _________________________________ Phyllis J. Hamilton United States District Judge 8 07-CV-01658 PJH (EDL) STIPULATION AND [PROPOSED] ORDER RE DATA PRODUCED BY DEFENDANTS ON MARCH 15, 2010 Exhibit A Exhibit A IM Screenname aaron.phillips ac_mcmillan acefola adidasrta aggie_nv aggie_nv@@imm( aggie_nv ) akrenek09 albertvanwissen alex_baumann_jde alex_la_mar_tn alicezsmiff anke_mogannam anthonyonpc aphillips arthurpenn ashis5228 ashis5228@@imm( ashis5228 ) batistatn bdigeron beardly2000 bert_oltmans bert_oltmans@@imm( bert_oltmans ) bert_oltmans@hotmail.com@@imm bethjedlester bijesh_lamsal bill.thomas9@cox.net@@imm bjohnstone07 bjrapavy bob_geib_tomorrownow bob_ludlam_tomorrownow brenda_clark14 brodellis cacapagotto canine_communication catherine_schalk cgalzote924 chaundra_ayers chrisjackson_ps clewtnow clint_auer cobolhugger matthew_bwdn colacrazyOI [colacrazy01] ctkur cweaver_tn cynthia_teo2 d.swartwood david_swartwood dan_parson danieljaytn danthone2002 dave_palmer_jde dave_wilson1293 david_swartwood dbaron44 dbarron44 Last Name (TN employee) Phillips McMillan Cefola Alex Vuong Krenek Van Wissen Baumann La Mar Smith Mogannam Johnson Phillips Pennington Ghosh O'Brien DiGeronimo Beard IM Screennames First Name Aaron Adrianne Anthony Robin Nhat Amanda Albert Alex Alexander Alice Anke Anthony Aaron Arthur Ashis Adriana Brent Lynn Oltmans Lester Lamsal Thomas Johnstone Rapavy Geib Ludlam Clark Ellis Pagotto Zwart Schalk Galzote Ayers Jackson Lew Auer Bowden Wheeler Kur Weaver Teo Swartwood Parson Jay Anthone Palmer Wilson Swartwood Baron Bert Beth Bijesh Bill Robert Barry Robert Robert Brenda Broderick Carlos Hendrik Catherine Chris Chaundra Chris Cindy Clint Matthew Mandy Charles Calvin Siew Choo (Cynthia) David Daniel Daniel Daniel David David david Douglas Ex. A to Stipulation re Late Production 1/6 Exhibit A IM Screenname dbing611 debgjordan diana_tmrnow dickwilliams1000 dimitri_spideygarcia dndes2002 donna_walker_tomorrownow doublej2001 drleipold duncan_kell ed_tnow ed_tnow@@imm( ed_tnow ) edw429 egary1965 eggman371 eric_osterloh eyavar Last Name (TN employee) Bing Jordan Yip Williams Garcia Harris Walker Johnson Leipold Cefola Tong Harris Gary Phillips Osterloh Yavar IM Screennames First Name Darlene Deborah Yuen Yue (Diana) Dick Dimitri Desmond Donna Justin Dana Anthony Edward Edward Ethe'Ann Aaron Eric Eskander fcamblor@usa.net@@lcsid fercamblor fercamblor@@imm( fercamblor ) fercamblor@@lcsid( fercamblor ) rcamblor Camblor fibarra1 ibarra1 Ibarra florence1_tn gabriel_99_77515 garafolasebl glesteriv gordon_a_robinson gphilip_tnow grbichj guy.gowen@sbcglobal.net hadi_arakib hans_jin harry_miller_tnow harry_schoennagel hchris2007@yahoo.com.sg hcole182 ibarra1 janejohnson_tn janescaparro jaslinng jbaugh_tnow john_baugh2002 jbuehrle1 jeanne_irvin jerry.jin jewell4664 jfsjrsailing jhfeldman1951 jicarr2000 jim_egger_tn jkbamber Leong Hernandez Garafola Lester Robinson Phillip Grbich Gowen Arakib Jin Miller Schoennagel Ho Cole Ibarra Johnson Scaparro Ng Baugh Buehrle Irvin Jin Geiger Sullivan Feldman Carr Egger Bamber Fernando Federico Sook Fun (Florence) Luis (Gabriel) Michael George Gordon George Jennifer Guy Hadi Ziyu (Jerry) Harry Harry Ying Peng (Christine) Heather Federico Jane Jane Mui Hwa (Jaslin) John Jeff Jeanne Jerry Carol John John James Jim Jason Ex. A to Stipulation re Late Production 2/6 Exhibit A IM Screenname jkozel@prodigy.net sjuhawk_co jlee7526 jltsiebel johntanner3 joonliangwong joowah_low jritchie777@msn.com@@lcsid jstomorrownow jtuntomnow julie_le_tomorrownow julio_c_guzman julio_c_guzman@@imm( julio_c_guzman ) julio_c_guzman@@lcsid( julio_c_guzman ) jverretta keith_shankle kgray925 kimberley2229 kirkjc kirstybrowny Last Name (TN employee) Kozel Lee Tanner Tanner Wong Low Ritchie Jennifer Tunney Le IM Screennames First Name John Kieng Woo (Joseph) John John Joon Liang Joo Wah John Spencer John Julie Guzman Veretta Shankle Gray Martinez Chan Brown Julio Jeffrey Keith Kimberly Kimberley Kirk Kirsty kl5992037cars kl5992037cars@@imm( kl5992037cars ) Larsen klui_2005 kn5660391 kpeden kpedn kristin32532 Lui Nakamura Williams Paige Keith Kok Ming Kenji Krista Kristin Kollengode Ramakrisnan (KR) Faye (Elouise) Lai Choon Hilario (Larry) Lesley krthandavan ladyonthego02 laichoonng larryhgarcia lesley_loftus letsgo2thegogo( petsur ) petetomorrownow petsur petsur@@imm( petsur ) Thandavan Plain Ng Garcia Loftus Surette lindabird08 liz_psft llsweetman lon_fiala lonestarstrat lyw9991 magnusds mamaupgrd manetha_hall margot_goff mario_ramia_tn mark_ardekani mark_kreutz_tn marty_murphytomorrownow matthew_bwdn Birdwell Simeonidis Sweetman Fiala Nelson Widjaja DeLing Williams Hall Goff Ramia Ardekani Kreutz Murphy III Bowden Peter Linda Elizabeth Laura Lon Greg Lili Mark Katherine Manetha Margot Mario Mark Mark Martin Matthew Ex. A to Stipulation re Late Production 3/6 Exhibit A IM Screenname mddeling@hotmail.com@@imm mdominguez07 mel_gadd mhosalli mike_bentley_tnow mike_d_bentley mikebentley mike_soumokil mimioltmans bert_oltmans bert_oltmans@@imm( bert_oltmans ) bert_oltmans@hotmail.com@@imm mimislater mjahrsdoerfer mkatvm, mkatvm3 morgan_messick mtrolan muvvalac n.lanford@sbcglobal.net pwlanford( pwlanford@sbcglobal.net ) pwlanford@sbcglobal.net pwlanford@sbcglobal( pwlanford@sbcglobal.net ) natasha_dtnow nick_rawls2005 nicole_wolfgram nigel_pullan ofo owenoneilnow owenoneilnow( ofo ) ofohome oldestpet orlando_de_souza orlando_de_souza@yahoo.com.sg pasquale_andreano_jde pasquale_andreano_jde@@imm( pasquale_andreano_jde ) pqlrx patti_vonfeldt paul_auger_tn paul_henville paul_ijs_jde paul_ijsde paula_murphykeif petetomorrownow petsur petsur@@imm( petsur ) pinnamaraju pmurphykeif pqlrx pwlanford( pwlanford@sbcglobal.net ) pwlanford@sbcglobal.net pwlanford@sbcglobal( pwlanford@sbcglobal.net ) ray_iallonardo rayttnow Last Name (TN employee) DeLing Garcia (formerly Dominguez) Gadd Hosalli IM Screennames First Name Mark Melissa Melvin (Mel) Manjula Bentley Soumokil Michael Mike Oltmans Slater Jahrsdoerfer Myrick Messick Trolan Muvvala Bert Michelle Michael Barbara Morgan Matthew Chandra Lanford Dalton Rawls Wolfgram Pullan Peggy Natasha Nick Nicole Nigel O'Neil Petter DeSouza Owen Dale Orlando Lancelot Andreano VonFeldt Auger Henville Ijs Ijs Murphy-Keif Pasquale Pattison (Patti) Paul Paul Paul Paul Paula Surette Pinnamaraju Murphy-Keif Andreano Peter Leela (Prasad) Paula Pasquale Lanford Iallonardo Thompson Peggy Raymond Raymond Ex. A to Stipulation re Late Production 4/6 Exhibit A IM Screenname rcamblor rick_frank rkwolf0211 rob_sier rob_van_reenen robert_guichon roberto_porfirio robertwg88 roderic_russell rothwell_clive rubenlaguna saralu12006 say_hi_2_us scott_mcgrath2001 send2cat sfboatright shaun_psuk shelleyb53 shortfatblonde sjuhawk_co siddaniel stevencmills sudarshand sunilgandra sylviane_provostcampbell2003 tabbrown0512 tch_001 tch_001( timharper_01 ) timharper_01 timharper_01( tch_001 ) timharper_01@@imm( tch_001 ) tdunfee98 timharper_01 tleier5 tn_dale_wade tn_spencer_phillips tngeek guy.gowen@sbcglobal.net tnow_bstephens TNowCoder tnow_murray tnowludlow tnowphillips tnwifetex tommy_dle tracyearll trusharpatel2002 umhb_josh umhb_kendra uwe_lueck vanessa_shiels vicky_damelio wcwalden wendi_wolfgram Last Name (TN employee) Camblor Frank Wolf Sier Van Reenen Guichon Porfirio Glue Russell Rothwell IM Screennames First Name Fernando Richard Keith Rob Rob Robert Roberto Robert Roderic Clive Laguna (Guerrero) Ruben Lu (Lue?) Chua McGrath Hyde Boatright Brooke Blackmarr Piper Kozel Aliwarga Mills Desai Gandra Sara Eugene Scott Catherine Susan Shaun Shelley Sharon John Sidarta Steve Sudarshan Sunil Kumar Provost-Campbell Sylviane Brown Thurman (Tab) Harper Dunfee Harper Leier Wade Phillips Gowen Stephens Testone Murray Ludlow Phillips Nelson Le Earll Patel Testone Burns Luck Shiels D'Amelio Walden Wolfgram Timothy Todd Timothy Thomas Dale James "Spencer" Guy Robert Josh Todd John Thomas Shelley Tommy Tracy Trushar Josh Kendra Uwe Vanessa Vicky Wade Wendi Ex. A to Stipulation re Late Production 5/6 Exhibit A IM Screenname wheeler0117@sbcglobal.net wndkyjns wongsiewhee xxpgold xxpgold@@imm( xxpgold ) yespiriqueta yolimartinez1969@sbcglobal.net yvonne_979 Last Name (TN employee) Wheeler Jones Wong Goldsworthy Espiriqueta Espiriqueta Puente IM Screennames First Name Mandy Wanda Siew Hee Peter Yolanda Yolanda Yvonne Ex. A to Stipulation re Late Production 6/6

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