Google Inc. v. Compression Labs Inc et al

Filing 8

Attachment 3
MOTION to Dismiss or, in the Alternative, to Transfer, and Memorandum in Support filed by Compression Labs Inc, Forgent Networks Inc, General Instruments Corporation. Motion Hearing set for 11/19/2004 10:00 AM. (Attachments: # 1 Proposed Order # 2 Affidavit Declaration of L. Steven Leshin# 3 Exhibit Exhibit A# 4 Exhibit Exhibit B# 5 Exhibit Exhibit C# 6 Exhibit Exhibit D)(Wessels, Shelley) (Filed on 10/12/2004)

Download PDF
Google Inc. v. Compression Labs Inc et al Doc. 8 Att. 3 Case 5:04-cv-03934-JF Document 8-4 Filed 10/12/2004 Page 1 of 2 EXHIBIT A Dockets.Justia.com Case 5:04-cv-03934-JF Document 8-4 Filed 10/12/2004 Page 2 of 2 IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF TEXAS M A RSHA LL DIVISION TIM E 10:00 (OPEN) J UDGE David Folsom COM PRESSION LABS V. DATE 10/4/04 REPORTER Libby Craw f ord A CER CIVIL ACTION NO. 2:04CV294 2:04CV158 2:04CV159 STATUS CONFERENCE A TTORNEYS FOR PLAINTIFF: Stephen Rudisill; Calvin Capshaw ; Carl Roth; Michael Sm it h; Franklin Jones; ATTORNEYS FOR DEFENDANT: Eric Albritton; Lance Lee; Danny Williams; Jennifer Doan; LAW CLERK: Peter Corcoran and Trip Fussell THIS DAY CAME THE PARTIES BY THEIR ATTORNEYS AND THE FOLLOWING PROCEEDINGS WERE HAD: 10:00 ct opens; ct may carry 3 cases over to March 2005 and ct w ill set all three of t hese cases to October 2005; plf opposes to stay discovery; dft lee responds; ct/ may st art criminal case in Texarkana that may take 2-3 mos. And local rules say discovery is not stayed because of pending motions; ct/ denies staying discovery; ct/ w ould like pt y s to w ork through a scheduling order and w ould like revised order 14 days from t oday s date; ct/ w ill set these motion (motion to dismiss and motion to change venue) as quickly as possible; 10:08 Capshaw / this resolves the issues; Williams for dft add ct and w ould like t o give ct heads up re: discovery; ct/ if plf w ant s to keep October 2 0 0 5 t rial date then they better provide discovery fast; dfts w ill have a hard time conv incing the ct that 2000 hrs of depositions are needed; ct/ some mention that a t echnical advisor may be needed; 10:12 recess; DAVID J. MALAND, CLERK BY: Mel Martin Courtroom Deputy TIM E: 10:12 (ADJOURN)

Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.


Why Is My Information Online?