Elan Microelectronics Corporation v. Apple, Inc.
Filing
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CERTIFICATE OF SERVICE by Apple, Inc. re 306 Declaration in Support, 305 Administrative Motion to File Under Seal Apple's Reply in Support of Motion to Compel and Exh B to supporting Walter Declaration (Mehta, Sonal) (Filed on 6/21/2011)
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MATTHEW D. POWERS (Bar No. 104795)
matthew.powers@weil.com
JARED BOBROW (Bar No. 133712)
jared.bobrow@weil.com
SONAL N. MEHTA (Bar No. 222086)
sonal.mehta@weil.com
DEREK C. WALTER (Bar. No. 246322)
derek.walter@weil.com
NATHAN GREENBLATT (Bar No. 262279)
nathan.greenblatt@weil.com
WEIL, GOTSHAL & MANGES LLP
Silicon Valley Office
201 Redwood Shores Parkway
Redwood Shores, CA 94065
Telephone: (650) 802-3000
Facsimile: (650) 802-3100
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Attorneys for Defendant and Counterclaim Plaintiff
Apple 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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ELAN MICROELECTRONICS
CORPORATION,
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CERTIFICATE OF SERVICE
Plaintiff and Counterclaim
Defendant,
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Case No. C-09-01531 RS (PVT)
v.
APPLE INC.,
Defendant and Counterclaim
Plaintiff.
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CERTIFICATE OF SERVICE
Case No. C-09-01531 RS (PVT)
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CERTIFICATE OF SERVICE
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I declare that I am employed with the law firm of Weil, Gotshal & Manges LLP,
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whose address is 201 Redwood Shores Parkway, Redwood Shores, California 94065-1175. I am
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not a party to the within cause, and I am over the age of eighteen years. I further declare that on
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June 21, 2011, I served a copy of:
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1) APPLE INC.’S REPLY TO ELAN’S OPPOSITION TO MOTION TO COMPEL (1)
DISCOVERY RELATING TO ELAN’S U.S. SALES; (2) DOCUMENTS IMPROPERLY
WITHHELD ON THE BASIS OF PRIVILEGE; AND (3) INVENTOR DEPOSITIONS
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2) DECLARATION OF DEREK C. WALTER IN SUPPORT OF APPLE INC.’S REPLY
TO ELAN’S OPPOSITION TO MOTION TO COMPEL (1) DISCOVERY RELATING
TO ELAN’S U.S. SALES; (2) DOCUMENTS IMPROPERLY WITHHELD ON THE
BASIS OF PRIVILEGE; AND (3) INVENTOR DEPOSITIONS
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BY U.S. MAIL by placing a true copy thereof enclosed in a sealed
envelope with postage thereon fully prepaid, addressed as follows, for collection and mailing in
accordance with the firm’s ordinary business practices. I am readily familiar with the practice for
collection and processing of mail, and know that in the ordinary course of business practice that
the document(s) described above will be deposited with the U.S. Postal Service on the same date
as sworn to below.
BY ELECTRONIC SERVICE by electronically mailing a true and
correct copy through the electronic mail system to the email address(es) set forth in the service
list below.
BY OVERNIGHT DELIVERY by placing a true copy thereof enclosed
in a sealed envelope with overnight delivery fees provided for, addressed as follows, for
collection by Federal Express in accordance with ordinary business practices. I am readily
familiar with the practice for collection and processing of correspondence for overnight delivery
and know that in the ordinary course of business practice the document(s) described above will be
deposited by an employee or agent in a box or other facility regularly maintained by Federal
Express for collection on the same day that the document(s) are deposited.
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Sean DeBruine
Alston & Bird LLP
275 Middlefield Road | Suite 150 | Menlo Park, CA 94025
650-838-2019 Direct
650-838-2001 Fax
Sean.Debruine@Alston.com
I declare under penalty of perjury under the laws of the United States of America
that the foregoing is true and correct.
Executed on June 21, 2011, at Redwood Shores, California.
/s/ Derek C. Walter
Derek Walter
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CERTIFICATE OF SERVICE
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Case No. C-09-01531 RS (PVT)
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