Apple Inc. v. Samsung Electronics Co. Ltd. et al
Filing
1393
MOTION to Shorten Time for Briefing and Hearing re 1392 Motion for De Novo Determination of Dispositive Matter Referred to Magistrate Judge; Declaration of Victoria F. Maroulis filed by Samsung Electronics Co. Ltd.. (Attachments: # 1 Declaration, # 2 Exhibit, # 3 Proposed Order)(Maroulis, Victoria) (Filed on 7/26/2012) Modified on 7/27/2012 linking entry to document #1392 (dhm, COURT STAFF).
1 QUINN EMANUEL URQUHART & SULLIVAN, LLP
Charles K. Verhoeven (Bar No. 170151)
charlesverhoeven@quinnemanuel.com
2
50 California Street, 22nd Floor
3 San Francisco, California 94111
Telephone: (415) 875-6600
4 Facsimile: (415) 875-6700
5
Kevin P.B. Johnson (Bar No. 177129
kevinjohnson@quinnemanuel.com
Victoria F. Maroulis (Bar No. 202603)
6
victoriamaroulis@quinnemanuel.com
555 Twin Dolphin Drive, 5th Floor
7
Redwood Shores, California 94065-2139
(650) 801-5000
8 Telephone:
Facsimile:
(650) 801-5100
9
Michael T. Zeller (Bar No. 196417)
michaelzeller@quinnemanuel.com
10
865 S. Figueroa St., 10th Floor
11 Los Angeles, California 90017
Telephone: (213) 443-3000
12 Facsimile: (213) 443-3100
13 Attorneys for SAMSUNG ELECTRONICS CO.,
LTD., SAMSUNG ELECTRONICS AMERICA,
14 INC. and SAMSUNG
TELECOMMUNICATIONS AMERICA, LLC
15
16
UNITED STATES DISTRICT COURT
17
NORTHERN DISTRICT OF CALIFORNIA, SAN JOSE DIVISION
18 APPLE INC., a California corporation,
CASE NO. 11-cv-01846-LHK (PSG)
19
DECLARATION OF VICTORIA F.
MAROULIS IN SUPPORT OF
SAMSUNG’S MOTION TO SHORTEN
TIME
20
Plaintiff,
vs.
21 SAMSUNG ELECTRONICS CO., LTD., a
Korean business entity; SAMSUNG
22 ELECTRONICS AMERICA, INC., a New
York corporation; SAMSUNG
23 TELECOMMUNICATIONS AMERICA,
LLC, a Delaware limited liability company,
24
Defendant.
25
26
27
28
02198.51855/4860101.1
Case No. 11-cv-01846-LHK (PSG)
MAROULIS DECLARATION IN SUPPORT OF SAMSUNG'S MOTION TO SHORTEN TIME
1
I, Victoria F. Maroulis, declare as follows:
2
1.
I am a partner in the law firm of Quinn Emanuel Urquhart & Sullivan, LLP,
3 counsel for Samsung Electronics Co., Ltd., Samsung Electronics America, Inc., and Samsung
4 Telecommunications America, LLC (collectively, “Samsung”). I submit this declaration in
5 support of Samsung’s Motion to Shorten Time For Briefing and Hearing on its Motion De Novo
6 Determination of Dispositive Matter Referred to Magistrate Judge (“Motion for De Novo
7 Determination”). I have personal knowledge of the facts set forth in this declaration and, if called
8 upon as a witness, I could and would testify to such facts under oath.
9
2.
On July 26, 2012, I contacted counsel for Apple via email in order to propose a
10 shortened briefing schedule whereby Samsung would file its Motion for De Novo Determination
11 on July 26, Apple would file its opposition brief by July 31, Samsung would file its reply brief by
12 August 3, and hearing on the Motion for De Novo Determination would be held the week of
13 August 6, at the Court’s convenience.
14
3.
Apple responded to my message indicating that it would oppose a shortened
15 briefing schedule. Attached hereto as Exhibit 1 is a true and correct copy of my email exchange
16 with counsel for Apple.
17
4.
The relief requested in Samsung’s Motion to Shorten Time is necessary in order to
18 allow the Court to decide Samsung’s Motion for De Novo Determination in an expedited manner
19 based on the commencement of trial. If the Court does not grant briefing and hearing on shortened
20 time, the Motion for De Novo Determination would not be briefed until August 16, and would not
21 be heard until August 30. By that time, trial in this case will be concluding.
22
5.
The present request to shorten the briefing and hearing schedule on Samsung’s
23 Motion for De Novo Determination will not affect the schedule of the case.
24
I declare under penalty of perjury under the laws of the United States that the foregoing is
25 true and correct. Executed on July 26, 2012, at Redwood Shores, California.
26
27
28
02198.51855/4860101.1
/s/ Victoria F. Maroulis
Victoria F. Maroulis
Case No. 11-cv-01846-LHK (PSG)
-1MAROULIS DECLARATION IN SUPPORT OF SAMSUNG'S MOTION TO SHORTEN TIME
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