Apple Inc. v. Samsung Electronics Co. Ltd. et al
Filing
1186
Administrative Motion to File Under Seal Apples Opening Supplemental Claim Construction Brief filed by Apple Inc.. (Attachments: #1 [Proposed] Order Granting Apple Inc.s Administrative Motion To File Documents Under Seal, #2 Apples Opening Supplemental Claim Construction Brief, #3 Declaration Of Ravin Balakrishnan, Ph.D., In Support Of Apples Opening Supplemental Claim Construction Brief, #4 Declaration Of Deok Keun Matthew Ahn In Support Of, #5 Exhibit 1, #6 Exhibit 2, #7 Exhibit 3, #8 Exhibit 4, #9 Exhibit 5, #10 Exhibit 6, #11 Exhibit 7)(Jacobs, Michael) (Filed on 7/5/2012)
Exhibit 6
FILED UNDER SEAL
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UNITED STATES DISTRICT COURT
NORTHERN DISTRICT OF CALIFORNIA
SAN JOSE DIVISION
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APPLE INC., A CALIFORNIA
CORPORATION,
PLAINTIFF,
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:
:
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VS.
: CASE NO.
: 11-CV-01846-LHK
SAMSUNG ELECTRONICS, CO.,
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LTD., A KOREAN BUSINESS
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ENTITY; SAMSUNG ELECTRONICS :
AMERICA, INC., A NEW YORK
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CORPORATION; SAMSUNG
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TELECOMMUNICATIONS AMERICA, :
LLC, A DELAWARE LIMITED
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LIABILITY COMPANY,
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DEFENDANTS
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VIDEOTAPED DEPOSITION OF ANDRIES VAN
DAM, an Expert Witness in the above-entitled
cause, taken on behalf of the Plaintiff,
before Barbara Warner, RPR, Notary Public in
and for the State of Rhode Island, at the
offices of Allied Court Reporters, 115-21 Phenix
Avenue, Cranston, RI, on May 2, 2012
at 9:00 A.M.
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TSG Job # 49185
TSG Reporting - Worldwide
877-702-9580
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(DEPOSITION COMMENCED AT 9:16 A.M.)
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ANDRIES VAN DAM
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THE VIDEOGRAPHER:
We are on the
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record.
This is the beginning of disk number
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1 of the deposition of Andries van Dam in the
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matter of Apple, Inc., versus Samsung
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Electronics Company, Limited, United States
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District Court for the Northern District of
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California, C.A. Number 11-CV-01846-LHK.
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This deposition is being held in Cranston,
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Rhode Island on May 2, 2012.
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9:16 on the video.
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I am the videographer.
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Barbara Warner, in association with TSG
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Reporting.
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identify themselves for the record.
09:16
MR. KREEGER:
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The time is
My name is William White,
The court reporter is
Would the attorneys please
Matthew Kreeger from
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Morrison & Foerster for Apple.
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MR. TUNG:
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Mark Tung from Quinn
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Emanuel for Samsung, and with me is Ailen
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Kim.
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ANDRIES VAN DAM
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Being duly sworn, deposes and
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testifies as follows:
THE REPORTER:
09:16
Would you state
TSG Reporting - Worldwide
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09:16
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electronic document to include another
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instance of the image that can be above or
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below as the one shown as explained below.
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The top and the bottom edges are off-screen.
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They are not visible in the figure below.
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And then I go on to explain that I
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learned by extensive discussions with Cliff
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Forlines, who looked at the source code, that
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the way this is implemented is a little
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different from how you would guess just by
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exercising this little demo program.
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keep two separate and discrete instances of
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the electronic document, and as you scroll
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portions of the primary image in either
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direction, you fill up with the corresponding
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portions of the second image.
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the standard behavior until you reach the
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edge of a two-copy electronic document, and
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then you go beyond the edge in the '381 way.
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You see gray area in the '381 way, and you
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snap back in the opposite direction and
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restore so that the final image in the
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sequence is the full, primary copy of that
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virtual desktop, the image that was used for
TSG Reporting - Worldwide
They
And that is
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C E R T I F I C A T E
I, Barbara Warner, a Notary Public in
and for the State of Rhode Island, duly
commissioned and qualified to administer
oaths, do hereby certify that the foreging
Deposition of Andries van Dam, a Witness in
the above-entitled cause, was taken before me
on behalf of the Plaintiff, at the offices of
Allied Court Reporters, 115 Phenix Avenue,
Cranston, Rhode Island on May 2, 2012 at 9:00
A.M.; that previous to examination of said
witness, who was of lawful age, he was first
sworn by me and duly cautioned to testify to
the truth, the whole truth, and nothing but
the truth, and that he thereupon testified in
the foregoing manner as set out in the
aforesaid transcript.
I further testify that the foregoing
Deposition was taken down by me in machine
shorthand and was later transcribed by
computer, and that the foregoing Deposition
is a true and accurate record of the
testimony of said witness.
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Pursuant to Rules 5(b) and 30(f) of the
Federal Rules of Civil Procedure, original
transcripts shall not be filed in Court;
therefore, the original is delivered to and
retained by Plaintiff's attorney, Matthew
Kreeger, Esquire.
Correction and signature pages were sent
to Defendant's Counsel, Mark Tung, Esquire.
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IN WITNESS WHEREOF, I have hereunto set
my hand and seal this 2nd day of May, 2012.
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__________________________________________
BARBARA WARNER, NOTARY PUBLIC/CERTIFIED
COURT REPORTER
*My commission expires October 15, 2014
TSG Reporting - Worldwide
877-702-9580
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