Apple Inc. v. Samsung Electronics Co. Ltd. et al
Filing
1041
Administrative Motion to File Under Seal Apple Inc.'s Opposition to Samsung's Motion to Enforce April 12, 2012 Order filed by Apple Inc.. (Attachments: #1 Declaration of Erica Tierney in Support of Admin. Motion to Seal, #2 Proposed Order Granting Motion to Seal, #3 Apple's Opposition to Samsung's Motion to Enforce April 12, 2012 Order, #4 Proposed Order Denying Samsung's Motion, #5 Declaration of Mia Mazza in Support of Apple's Opposition, #6 Exhibit 1, #7 Exhibit 2, #8 Exhibit 3, #9 Exhibit 4, #10 Exhibit 5, #11 Exhibit 6, #12 Exhibit 7)(Jacobs, Michael) (Filed on 6/5/2012) Modified on 6/6/2012 pursuant to General Order No. 62, attachment #1 sealed (dhm, COURT STAFF).
DECLARATION OF MIA MAZZA IN SUPPORT
OF APPLE’S OPPOSITIONS TO SAMSUNG’S
MOTION FOR SANCTIONS AND MOTION TO
ENFORCE
EXHIBIT 4
Kolovos, Peter
From:
Sent:
To:
Cc:
Subject:
Attachments:
Kolovos, Peter
Monday, March 12, 2012 9:56 PM
Diane Hutnyan; Rachel Herrick Kassabian; Samsung v. Apple
AppleMoFo; WH Apple Samsung NDCal Service
FW: Apple v Samsung (NDCal) -- Discovery Correspondence
Mar 6 Letter Blevins and Hieta.pdf
Diane and Rachel,
We continue to await Samsung's response to the attached proposal. If Samsung accepts this proposal, Mr. Blevins can
be available for an additional half day of deposition on March 22nd. Please respond as soon as possible, as we cannot
hold this date on Mr. Blevins' calendar indefinitely.
‐‐ Peter
From: Kolovos, Peter
Sent: Wednesday, March 07, 2012 9:49 PM
To: Samsung v. Apple
Cc: 'AppleMoFo'; WH Apple Samsung NDCal Service
Subject: FW: Apple v Samsung (NDCal) -- Discovery Correspondence
Counsel,
We await your response to this proposal. We look forward to hearing from you.
Peter
From: Kolovos, Peter
Sent: Tuesday, March 06, 2012 12:57 PM
To: Diane Hutnyan; Rachel Herrick Kassabian; Samsung v. Apple
Cc: 'AppleMoFo@mofo.com'; WH Apple Samsung NDCal Service
Subject: Apple v Samsung (NDCal) -- Discovery Correspondence
Rachel and Diane,
Please see the attached proposal regarding Samsung's noticed deposition of Saku Hieta and its request for additional
deposition time with Tony Blevins.
We look forward to your response.
‐‐ Peter
Peter J. Kolovos | WilmerHale
60 State Street
Boston, MA 02109 USA
+1 617 526 6493 (t)
+1 617 526 5000 (f)
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peter.kolovos@wilmerhale.com
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