Dimdim Inc et al v. Williamson
Filing
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JOINT STIPULATION AND ORDER RE 41 SETTING DATE FOR OPENING CLAIM CONSTRUCTION BRIEFS. Signed by Judge Richard Seeborg on 10/30/12. (cl, COURT STAFF) (Filed on 10/30/2012)
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JOSE C. VILLARREAL (admitted pro hac vice)
jvillarreal@wsgr.com
ADEN M. ALLEN (admitted pro hac vice)
aallen@wsgr.com
JOEL C. BOEHM (admitted pro hac vice)
jboehm@wsgr.com
900 South Capital of Texas Highway
Las Cimas IV, 5th Floor
Austin, TX 78746
Telephone: (512) 338-5400
RYAN R. SMITH, State Bar No. 229323
WILSON SONSINI GOODRICH & ROSATI
Professional Corporation
650 Page Mill Road
Palo Alto, CA 94304-1050
Telephone: (650) 493-9300
Facsimile: (650) 565-5100
rsmith@wsgr.com
Attorneys for Plaintiffs and Counter-Defendants
Dimdim, Inc., and salesforce.com, inc.
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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SAN FRANCISCO DIVISION
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DIMDIM, INC., a Delaware corporation,
and
SALESFORCE.COM, INC., a Delaware
corporation,
Plaintiffs,
v.
RICHARD A. WILLIAMSON, ON BEHALF
OF AND AS TRUSTEE FOR AT HOME
BONDHOLDERS’ LIQUIDATING TRUST,
Defendant.
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CASE NO. 3:12-CV-03403-RS
JOINT STIPULATION AND
[PROPOSED] ORDER SETTING
DATE FOR OPENING CLAIM
CONSTRUCTION BRIEFS
DEMAND FOR JURY TRIAL
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-1JOINT STIPULATION AND [PROPOSED] ORDER SETTING DATE FOR OPENING
CLAIM CONSTRUCTION BRIEFS
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WHEREAS, the parties submitted a Joint Case Management Statement in the above-
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captioned action (Dkt. No. 35) on October 5, 2012, proposing a deadline of Monday, July 15,
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2013 for the parties to file simultaneous opening claim construction briefs;
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WHEREAS, the Court entered its Case Management Scheduling Order (Dkt. No. 37) on
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October 16, which Order omitted any deadline for the parties to file simultaneous opening claim
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construction briefs;
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WHEREAS, the Court indicated at the Case Management Conference held on October
15, 2012 that the parties’ proposed dates for claim construction briefing were acceptable;
NOW, THEREFORE, IT IS HEREBY STIPULATED AND AGREED, that Plaintiffs
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Dimdim, Inc. and salesforce.com, inc., and Defendant Richard A. Williamson, on behalf of and
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as Trustee for At Home Bondholders’ Liquidating Trust, through their respective counsel, hereby
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stipulate and agree that on or before July 15, 2013, the parties are to file simultaneous opening
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claim construction briefs.
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Dated: October 30, 2012
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By: /s/ Joel C. Boehm
Joel C. Boehm
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Attorneys for Plaintiffs and CounterDefendants
Dimdim, Inc. and salesforce.com, inc.
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WILSON SONSINI GOODRICH & ROSATI
Professional Corporation
Dated: October 30, 2012
O’MELVENY & MYERS LLP
By: /s/ Geoffrey Yost
Geoffrey Yost, SBN 159687
gyost@omm.com
Attorneys for Defendant and
Counterclaimant
Richard A. Williamson, on behalf of and as
Trustee for At Home Bondholders’
Liquidating Trust
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-2JOINT STIPULATION AND [PROPOSED] ORDER SETTING DATE FOR OPENING
CLAIM CONSTRUCTION BRIEFS
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ATTESTATION PURSUANT TO GENERAL ORDER 45
Pursuant to General Order No. 45, §X(B), the below signatory attests under penalty of
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perjury that concurrence in the filing of this document has been obtained from its signatory.
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Dated: October 30, 2012
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By: /s/ Joel C. Boehm
Joel C. Boehm
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-3JOINT STIPULATION AND [PROPOSED] ORDER SETTING DATE FOR OPENING
CLAIM CONSTRUCTION BRIEFS
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PURSUANT TO STIPULATION, IT IS SO ORDERED
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10/30/12
Dated: ________________________
_________________________________
UNITED STATES DISTRICT JUDGE
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-4JOINT STIPULATION AND [PROPOSED] ORDER SETTING DATE FOR OPENING
CLAIM CONSTRUCTION BRIEFS
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