Brilliant Instruments, Inc. v. GuideTech, Inc.

Filing 136

ORDER Granting 135 Stipulation to Continue Pretrial Deadlines and 134 Joint MOTION to Continue Trial Date. Final Pretrial Conference set for 1/3/2012 02:00 PM. Jury Selection set for 1/17/2012 08:30 AM before Hon. Claudia Wilken. Jury Trial (7 day) set for 1/17/2012 08:30 AM before Hon. Claudia Wilken. Signed by Judge Claudia Wilken on 7/21/2011. (ndr, COURT STAFF) (Filed on 7/21/2011)

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1 2 3 4 5 6 7 KILPATRICK TOWNSEND & STOCKTON LLP THEODORE T. HERHOLD (State Bar No. 122895) ROBERT J. ARTUZ (State Bar No. 227789) BYRON R. CHIN (State Bar No. 259846) 379 Lytton Avenue Palo Alto, CA 94301 Telephone: (650) 326-2400 Facsimile: (650) 326-2422 Email: therhold@kilpatricktownsend.com rartuz@kilpatricktownsend.com bchin@kilpatricktownsend.com Attorneys for Defendants, Counterclaimants and Counter-Defendants, GUIDETECH, LLC and RONEN SIGURA 8 9 10 UNITED STATES DISTRICT COURT 11 FOR THE NORTHERN DISTRICT OF CALIFORNIA 12 OAKLAND DIVISION 13 BRILLIANT INSTRUMENTS, INC., Case No. C09-05517 CW (JCS) 14 Plaintiff, 15 STIPULATION TO CONTINUE PRETRIAL DEADLINES AND ORDER v. 16 17 18 GUIDETECH, INC., and RONEN SIGURA, an individual, Defendants. 19 AND RELATED COUNTERCLAIMS 20 21 22 23 TO ALL PARTIES AND THEIR ATTORNEYS OF RECORD: Plaintiff, Counterdefendant and Counterclaimant Brilliant Instruments, Inc. (“Brilliant”), 24 Defendant, Counterclaimant and Counterdefendant GuideTech, LLC (“GuideTech”), and 25 Defendant Ronen Sigura (“Sigura”) hereby submit their Stipulation to Continue Pretrial Deadlines 26 and Proposed Order. 27 28 On July 8, 2011, the parties filed a Joint Motion for Continuance of the Trial Date (Dkt 134) in view of a stipulation entered among the parties regarding the consolidation of certain STIPULATED REQUEST FOR ORDER CONTINUING PRETRIAL DATES - CASE NO. C09-05517 CW (JCS) 1 1 business tort claims (Dkt. 133). That motion was jointly filed by all parties in this action and is 2 unopposed. In the Joint Motion, the parties requested that the trial date be rescheduled for 3 January 16, 2012, and that the Final Pretrial Conference be rescheduled to January 3, 2012. As the 4 Court has not yet ruled on the parties’ Joint Motion, under the present schedule set forth by the 5 Court’s Order for Pretrial Preparation, the parties are to exchange papers and motions in limine by 6 July 29, 2011, to have lead trial counsel meet and confer by August 10, 2011, and to file their 7 Pretrial Conference Statement by August 20, 2011. Dkt 29, at 4. Pursuant to Local Rule 6-2, the parties submit this stipulated request to move the 8 9 abovementioned dates to a time consistent with the proposed new Final Pretrial Conference date of 10 January 3, 2012. Accordingly, pursuant to the Court’s Order for Pretrial Preparation, the parties 11 stipulate to the following new pretrial dates and seek an Order from the Court approving the 12 stipulation: 13 The parties shall exchange pretrial papers and motions in limine by December 5, 2011. 14 Lead trial counsel shall meet and confer by December 15, 2011. 15 The parties shall file their Pretrial Conference Statement by December 23, 2011. 16 In the event the Court adopts a Final Pretrial Conference date different from that proposed 17 in the parties joint motion (Dkt 134), the parties shall comply with the pretrial dates for the above 18 actions as set forth in the Order for Pretrial Preparation. Dkt 29, at 4. 19 DATED: July 21, 2011 20 SILICON EDGE LAW GROUP LLP KILPATRICK TOWNSEND & STOCKTON LLP By: By: 21 22 23 24 25 26 27 28 /s/ Thomas W. Lathram Thomas W. Lathram Attorneys for Brilliant Instruments, Inc. Respectfully submitted, /s/ Robert J. Artuz Robert J. Artuz Attorneys for GuideTech LLC and Ronen Sigura PURSUANT TO STIPULATION, IT IS SO ORDERED. Along with their Pretrial Conference Statement, the parties shall file all other documents required by section 3 of the Court's Order for Pretrial Preparation on December 23, 2011. Pretrial will be held January 3, 2012 at 2:00 p.m. Jury trial will begin on January 17, 2012 at 8:30 a.m. 7/21/2011 Dated: _______________________ _____________________________________ Claudia Wilken United Stated District Judge STIPULATED REQUEST FOR ORDER CONTINUING PRETRIAL DATES - CASE NO. C09-05517 CW (JCS) 2 ATTESTATION CLAUSE REGARDING SIGNATURES 1 2 3 Pursuant to General Order No. 45, Section X(B) regarding signatures, I attest under penalty 4 of perjury that I have on file permission to sign for counsel, as indicated by a “conformed” signature 5 (/s/) within this e-filed document. 6 DATED: July 21, 2011 Respectfully submitted, 7 KILPATRICK TOWNSEND & STOCKTON LLP 8 By: 9 /s/ Robert J. Artuz ROBERT J. ARTUZ Attorneys for Defendants, Counterclaimants and Counter-Defendants GUIDETECH LLC AND RONEN SIGURA 10 11 12 63614121 v1 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 STIPULATED REQUEST FOR ORDER CONTINUING PRETRIAL DATES - CASE NO. C09-05517 CW (JCS) 1

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