Apple Inc. v. Samsung Electronics Co. Ltd. et al
Filing
430
Declaration of Francis Ho in Support of #424 Apple's Reply in Support of its Motion for a Preliminary Injunction, filed by Apple Inc.. (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E, #6 Exhibit F-1, #7 Exhibit F-2, #8 Exhibit G, #9 Exhibit H, #10 Exhibit I, #11 Exhibit J-1, #12 Exhibit J-2, #13 Exhibit K, #14 Exhibit L-1, #15 Exhibit L-2, #16 Exhibit M, #17 Exhibit N, #18 Exhibit O, #19 Exhibit P, #20 Exhibit Q, #21 Exhibit R, #22 Exhibit S, #23 Exhibit T, #24 Exhibit U, #25 Exhibit V, #26 Exhibit W, #27 Exhibit X, #28 Exhibit Y, #29 Exhibit Z, #30 Exhibit AA, #31 Exhibit BB, #32 Exhibit CC, #33 Exhibit DD, #34 Exhibit EE, #35 Exhibit FF, #36 Exhibit GG, #37 Exhibit HH, #38 Exhibit II, #39 Exhibit JJ, #40 Exhibit KK, #41 Exhibit LL)(Related document(s) #424 ) (Bartlett, Jason) (Filed on 11/29/2011) Modified text on 11/30/2011 (dhm, COURT STAFF).
Exhibit X
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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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: CASE NO.
: 11-CV-01846-LHK
SAMSUNG ELECTRONICS, CO.,
:
LTD., A KOREAN BUSINESS
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ENTITY; SAMSUNG ELECTRONICS :
AMERICA, INC., A NEW YORK
:
CORPORATION; SAMSUNG
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TELECOMMUNICATIONS AMERICA, :
LLC, A DELAWARE LIMITED
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LIABILITY COMPANY,
:
VS.
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DEFENDANTS
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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 Phenix Avenue,
Cranston, RI, on September 14, 2011
at 9:30 A.M.
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Job Number: 41901
TSG Reporting - Worldwide
877-702-9580
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APPEARANCES:
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FOR THE PLAINTIFF APPLE INC.:
MORRISON & FOERSTER
BY: RICHARD S.J. HUNG, ESQ.
BY: DEOK KEUN MATTHEW AHN, ESQ.
425 MARKET STREET
SAN FRANCISCO, CALIFORNIA 94105
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FOR THE DEFENDANTS SAMSUNG:
QUINN EMANUEL URQUHART OLIVER & HEDGES
BY: TODD M. BRIGGS, ESQ.
BY: AARON KAUFMAN, ESQ.
555 TWIN DOLPHIN DRIVE
REDWOOD SHORES, CALIFORNIA 94065
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ALSO PRESENT:
MIKE HENRIQUES, VIDEOGRAPHER
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in its entirety and it is different from
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first, second and third portions.
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Q.
What if we exceed the threshold?
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A. If we exceed the threshold, then we don't
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get the bounce-back effect.
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reversing of the direction or different
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direction, which is all the claim calls for,
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but bounce-back typically has this notion of
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the opposite direction.
There is no
You are simply going
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to scroll the file so that most of it and
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eventually all of it becomes this gray no
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man's land.
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Q.
In which case there is no snap-back, correct?
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A. There is no snap-back in any of the prior
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art, or I believe the patent itself and its
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specification if you go beyond a certain
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threshold.
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Q.
Looking at the blue button with the blue
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bar --
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A. That's the chrome I was referring to
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earlier.
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Q.
That chrome is adjustable on the 1950,
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correct?
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A. It is.
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the E-mail application, I can move it up and
Some of it is.
In particular, in
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follow-up, there is follow-up.
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appreciate your time, Dr. van Dam.
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are happy to close the deposition now.
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MR. BRIGGS:
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THE WITNESS:
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Great.
But I
And we
Thanks.
Very good.
Thank
you.
THE VIDEOGRAPHER:
It is 6 p.m.,
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we are off the record.
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videotaped deposition of Andries van Dam on
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This concludes the
September 14, 2011.
(DEPOSITION CONCLUDED AT 6:00 P.M.)
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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 September 14, 2011
at 9:30 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, Richard
S.J. Hung, Esquire.
Correction and signature pages were sent
to Plaintiff's Counsel, Todd M. Briggs.
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IN WITNESS WHEREOF, I have hereunto set
my hand and seal this 15th day of September,
2011.
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__________________________________________
BARBARA WARNER, NOTARY PUBLIC/CERTIFIED
COURT REPORTER
TSG Reporting - Worldwide
877-702-9580
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