LSI Corporation v. Vizio, Inc.
Filing
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STIPULATION AND ORDER re 16 STIPULATION WITH PROPOSED ORDER to Further Extend Briefing Schedule on LSI Corporation's Motion to Compel The Production of Documents And Deposition Testimony From Third-Party Zoran Corporation, filed by Zoran Corporation. Signed by Judge James Ware on 3/27/12. (sis, COURT STAFF) (Filed on 3/27/2012)
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MICHAEL G. SCHWARTZ, Bar No. 197010
michael.schwartz@dlapiper.com
ERIK R. FUEHRER, Bar No. 252578
erik.fuehrer@dlapiper.com
DLA PIPER LLP (US)
2000 University Avenue
East Palo Alto, CA 94303-2214
Tel: 650.833.2000
Fax: 650.833.2001
Wayne W. Call, Bar No. 56676
wcall@calljensen.com
Aaron L. Renfro, Bar No. 255086
arenfro@calljensen.com
CALL & JENSEN
A Professional Corporation
610 Newport Center Drive, Suite 700
Newport Beach, CA 92660
Tel: (949) 717-3000; Fax: (949) 717-3100
Attorneys for Non-Party
Zoran Corporation
Herbert J. Hammond (Pro Hac Vice)
herberthammond@tklaw.com
THOMPSON & KNIGHT LLP
1722 Routh Street, Suite 1500
Dallas, TX 75201
Tel: (214) 969-1700; Fax: (214) 969-1751
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Attorneys for Plaintiff and Counterdefendant
LSI Corporation, dba LSI Logic Corporation
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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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LSI CORPORATION, dba LSI Logic
Corporation,
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Plaintiff,
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(Central District Case No. SACV10-01602 AG
(AJWx))
v.
STIPULATION AND [PROPOSED]
ORDER TO FURTHER EXTEND
BRIEFING SCHEDULE ON LSI
CORPORATION’S MOTION TO COMPEL
THE PRODUCTION OF DOCUMENTS
AND DEPOSITION TESTIMONY FROM
THIRD-PARTY ZORAN CORPORATION
VIZIO, INC.,
Defendant.
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CASE NO. CV12 80021 JW MISC.
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AND RELATED COUNTERCLAIMS
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DLA P IPER LLP (US)
EAST PALO ALTO
-1WEST\229509574.1
STIPULATION AND [PROPOSED] ORDER TO FURTHER EXTEND BRIEFING
SCHEDULE; CASE NO. CV12 80021 JW MISC
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Pursuant to Civil Local Rules 6-1, 6-2 and 7-12, IT IS HEREBY STIPULATED by and
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between Plaintiff LSI Corporation (“LSI”) and Non-party Zoran Corporation (“Zoran”), by and
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through their counsel of record, as follows:
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WHEREAS, on January 25, 2012, Plaintiff LSI filed a motion to compel the production of
documents and deposition testimony from third-party Zoran Corporation (“Motion to Compel”);
WHEREAS, on February 3, 2012, the Court issued an order setting the following briefing
schedule for LSI’s Motion to Compel:
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Third-Party Zoran Corporation shall file its Opposition to Plaintiff’s Motion on or
before February 17, 2012; and
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2.
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WHEREAS, LSI and Zoran have met and conferred in good faith (through counsel) and
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have reached an agreement for Zoran to provide certain discovery that Zoran and LSI anticipate
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will alleviate the need for motion practice in this matter;
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Plaintiff LSI Corporation shall file its Reply on or before February 27, 2012;
WHEREAS, on February 21, 2012, Zoran and LSI filed a stipulation extending Zoran’s
opposition date to LSI’s motion to compel until February 24, 2012;
WHEREAS, on February 22, 2012, the Court granted the parties’ stipulation to extend the
deadlines in its February 3, 2012 order;
WHEREAS, the parties further met and conferred and agreed to further extend the
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briefing deadlines for LSI’s Motion to Compel to allow Zoran to collect and provide the agreed
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upon discovery;
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WHEREAS, on February 24, 2012, Zoran and LSI filed a further stipulation extending
Zoran’s opposition date to LSI’s motion to compel until March 16, 2012;
WHEREAS, on February 28, 2012, the Court granted the parties’ stipulation to further
extend the deadlines in its February 22, 2012 order;
WHEREAS, the parties further met and conferred and agreed to further extend the
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briefing deadlines for LSI’s Motion to Compel to allow Zoran additional time to complete its
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collection and provide the remaining agreed upon discovery;
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DLA P IPER LLP (US)
EAST PALO ALTO
WHEREAS, on March 16, 2012, the parties agreed that Zoran could have another one
-2WEST\229509574.1
STIPULATION AND [PROPOSED] ORDER TO FURTHER EXTEND BRIEFING
SCHEDULE; CASE NO. CV12 80021 JW MISC
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week extension for its opposition to LSI’s motion to compel, but were not able to file a stipulation
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with the Court on that day;
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WHEREAS, on March 16, 2012, Zoran filed a letter with the Court memorializing the
parties’ oral agreement;
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WHEREAS, the parties have previously requested two extensions of the briefing schedule
in their February 21 and 24, 2012 stipulations;
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WHEREAS, this is a miscellaneous action and the requested time modification, therefore,
will not effect the dates set by the Court other than as described above;
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The parties hereby STIPULATE to the following briefing schedule relating to LSI’s
Motion to Compel:
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March 23, 2012 – Last Day for Zoran to file its Opposition to LSI’s Motion to Compel;
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March 30, 2012 – Last Day for LSI to file is Reply;
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SO STIPULATED.
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Dated: March 19, 2012
DLA PIPER LLP (US)
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By /s/ Michael G. Schwartz
MICHAEL G. SCHWARTZ
Attorneys for Non-Party
Zoran Corporation
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Dated: March 19, 2012
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THOMPSON & KNIGHT LLP
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By /s/ Herbert J. Hammond
HERBERT J. HAMMOND
Attorneys for Plaintiff and Counterdefendant
LSI Corporation, dba LSI Logic Corporation
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DLA P IPER LLP (US)
EAST PALO ALTO
In accordance with General Order 45.X.B., Erik Fuehrer, counsel for Zoran Corporation,
attests that each other signatory listed above has concurred in this filing.
-3WEST\229509574.1
STIPULATION AND [PROPOSED] ORDER TO FURTHER EXTEND BRIEFING
SCHEDULE; CASE NO. CV12 80021 JW MISC
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[PROPOSED] ORDER
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GOOD CAUSE APPEARING, it is hereby ORDERED as follows:
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The Court adopts the Stipulation agreed to between Zoran and LSI with respect to the
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briefing schedule for LSI Corporation’s motion to compel the production of documents and
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deposition testimony from third-party Zoran Corporation (“Motion to Compel”).
The briefing and hearing schedule relating to LSI’s Motion to Compel shall be extended
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as follows:
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March 23, 2012 – Last Day for Zoran to file its Opposition to LSI’s Motion to Compel;
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March 30, 2012 – Last Day for LSI to file is Reply;
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PURSUANT TO STIPULATION, IT IS SO ORDERED.
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March 27, 2012
DATED: ______________________
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_________________________________
The Honorable James Ware
Chief United States District Court Judge
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DLA P IPER LLP (US)
EAST PALO ALTO
-4WEST\229509574.1
STIPULATION AND [PROPOSED] ORDER TO FURTHER EXTEND BRIEFING
SCHEDULE; CASE NO. CV12 80021 JW MISC
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