Apple Inc. v. Samsung Electronics Co. Ltd. et al
Filing
65
Declaration of Erik Olson in Support of #64 Reply to Opposition/Response to Samsung's Motion to Compel Apple to Produce Reciprocal Expedited Discovery filed bySamsung Electronics America, Inc., Samsung Electronics Co. Ltd., Samsung Telecommunications America, LLC. (Attachments: #1 Exhibit 1, #2 Exhibit 2, #3 Exhibit 3)(Related document(s) #64 ) (Maroulis, Victoria) (Filed on 6/10/2011)
EXHIBIT 1
Erik Olson
From:
Sent:
To:
Cc:
Subject:
Attachments:
Erik Olson
Monday, June 06, 2011 11:01 AM
'Bartlett, Jason R.'
Charles K Verhoeven; Kevin Johnson; Victoria Maroulis; Margret Caruso; Michael T Zeller;
'McElhinny, Harold J.'; 'Jacobs, Michael A.'; 'Taylor, Jennifer Lee (SF)'; 'Tucher, Alison M.'
Stipulated Modification to Interim Protective Order for Purposes of Expedited Discovery
Pat LR 2-2 Interim Model Prot Ord1[1].pdf; 4176997_Stipulated Modification to Interim
Protective Order for Purposes of Expedited Discovery.DOC
Dear Jason,
In advance of the production to Apple of discovery relating to Samsung’s unreleased products, I write to seek Apple’s
stipulation to the attached modification to the Patent Local Rule 2‐2 Interim Model Protective Order of the United States
District Court for the Northern District of California (“Interim Model Protective Order”). For your reference, I have also
attached as a PDF the Interim Model Protective Order itself.
Please let me know by Wednesday, June 8, whether Apple agrees to enter into the attached stipulated modification. If
not, please let me know whether Apple would be willing to stipulate to the attached modification with edits and please
provide the edits that would make the modification acceptable to Apple.
Thank you.
Regards,
Erik Olson
Associate,
Quinn Emanuel Urquhart & Sullivan, LLP
50 California Street, 22nd Floor
San Francisco, CA 94111
415-875-6410 Direct
415.875.6600 Main Office Number
415.875.6700 FAX
erikolson@quinnemanuel.com
www.quinnemanuel.com
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