Apple Inc. v. Samsung Electronics Co. Ltd. et al
Filing
479
MOTION for Leave to File Excess Pages re Samsung's Administrative Motion to Exceed Page Limit in Samsung's Responsive Claim Construction Brief filed by Samsung Electronics America, Inc., Samsung Electronics Co. Ltd., Samsung Telecommunications America, LLC. (Attachments: #1 Briggs Declaration, #2 Exhibit 1 to Briggs Declaration, #3 Exhibit 2 to Briggs Declaration, #4 Proposed Order)(Briggs, Todd) (Filed on 12/12/2011)
EXHIBIT 2
Todd Briggs
From:
Sent:
To:
Cc:
Subject:
Hung, Richard S. J. [RHung@mofo.com]
Friday, December 09, 2011 6:03 PM
Victoria Maroulis; Jacobs, Michael A.; Bartlett, Jason R.; Kolovos, Peter; Selwyn, Mark
Kevin Johnson; Todd Briggs; Alan Whitehurst; Mark Tung
RE: Apple v. Samsung: additional pages for Samsung's opposition to Apple's claim
construction brief
Hi Vicki,
Yes -- that is correct. Without any explanation of why such a large page extension is necessary, we intend to oppose.
Rich
Richard S.J. Hung
Morrison & Foerster LLP
rhung@mofo.com
(415) 268-7602
From: Victoria Maroulis [mailto:victoriamaroulis@quinnemanuel.com]
Sent: Friday, December 09, 2011 12:04 PM
To: Hung, Richard S. J.; Jacobs, Michael A.; Bartlett, Jason R.; 'Kolovos, Peter'; 'Selwyn, Mark'
Cc: Kevin Johnson; Todd Briggs; Alan Whitehurst; Mark Tung
Subject: RE: Apple v. Samsung: additional pages for Samsung's opposition to Apple's claim construction brief
Thanks. For clarity, should we inform the court that Apple is opposing Samsung’s miscellaneous request for additional
pages?
From: Hung, Richard S. J. [mailto:RHung@mofo.com]
Sent: Friday, December 09, 2011 12:03 PM
To: Victoria Maroulis; Jacobs, Michael A.; Bartlett, Jason R.; Kolovos, Peter; Selwyn, Mark
Cc: Kevin Johnson; Todd Briggs; Alan Whitehurst; Mark Tung
Subject: RE: Apple v. Samsung: additional pages for Samsung's opposition to Apple's claim construction brief
Vicki,
As we have previously explained to other attorneys at your firm, Apple believes that the parties should follow the page
limits specified in the local rules. Indeed, we prepared our opening brief under that assumption.
By now you should have received a copy of our opening brief, which is within the local rule page limits.
We suggest that you review our brief to determine whether, in fact, any extension (and particularly such a large page
extension) truly is necessary.
Rich
Richard S.J. Hung
Morrison & Foerster LLP
rhung@mofo.com
(415) 268-7602
1
From: Victoria Maroulis [mailto:victoriamaroulis@quinnemanuel.com]
Sent: Thursday, December 08, 2011 2:41 PM
To: Hung, Richard S. J.; Jacobs, Michael A.; Bartlett, Jason R.; 'Kolovos, Peter'; 'Selwyn, Mark'
Cc: Kevin Johnson; Todd Briggs; Alan Whitehurst; Mark Tung
Subject: Apple v. Samsung: additional pages for Samsung's opposition to Apple's claim construction brief
Rich and Peter,
Please advise whether Apple would stipulate to Samsung’s request to the Court for up to additional 12 pages for
Samsung’s opposition to Apple’s claim construction brief. Please get back to us by noon tomorrow.
Thank you.
Victoria Maroulis
Partner,
Quinn Emanuel Urquhart & Sullivan, LLP
555 Twin Dolphin Drive, 5th Floor
Redwood Shores, CA 94065
650-801-5022 Direct
650.801.5000 Main Office Number
650.801.5100 FAX
victoriamaroulis@quinnemanuel.com
www.quinnemanuel.com
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