Apple Inc. v. Samsung Electronics Co. Ltd. et al
Filing
773
RESPONSE (re #736 Administrative Motion to File Under Seal ) Opposition to Apple's Motion to Compel filed bySamsung Electronics America, Inc.(a New York corporation), Samsung Electronics Co. Ltd., Samsung Telecommunications America, LLC(a Delaware limited liability company). (Attachments: #1 Proposed Order Granting Administrative Motion to File Documents Under Seal, #2 Declaration of Hankil Kang in Support of Samsung's Motion to File Documents Under Seal, #3 Exhibit Samsung's Redacted Opposition to Apple's Motion to Compel, #4 Declaration of Joby Martin In Support of Samsung's Opposition to Apple's Motion to Compel, #5 Exhibit A to Declaration of Joby Martin, #6 Proposed Order Denying Apple's Motion to Compel)(Maroulis, Victoria) (Filed on 3/6/2012)
Exhibit A
425 MARKET STREET
SAN FRANCISCO
CALIFORNIA 94105-2482
TELEPHONE: 415.268.7000
FACSIMILE: 415.268.7522
MO RRI SO N & F O E RST E R L LP
N E W YO RK , SAN F RAN C I SCO ,
L O S A N G E L E S, P A L O A L T O ,
SAC RAME N T O , SAN D I E G O ,
D E N VE R, N O RT H E RN VI RG I N I A,
WASH I N G T O N , D .C.
T O K YO , L O N D O N , BR U SSE L S,
BE I JI N G , SH AN G H AI , H O N G K O N G
WWW.MOFO.COM
February 23, 2012
Writer’s Direct Contact
415.268.6615
JasonBartlett@mofo.com
By Email (chrisprice@quinnemanuel.com)
Christopher Price
Quinn Emanuel
865 S. Figueroa Street, 10th Floor
Los Angeles, CA 90017
Re:
Apple v. Samsung, Case No. 11-cv-1846-LHK (PSG) (N.D. Cal.)
Dear Christopher:
Samsung has already deposed more than 60 Apple witnesses on Apple’s offensive side of
this case, and the parties have already confirmed scheduling of depositions for at least 17
additional Apple witnesses. Even if no additional depositions are taken by Samsung in this
case, by the end of the fact discovery period Samsung will have deposed a total of 77 Apple
witnesses in Apple’s offensive case alone.
Samsung has noticed the depositions of the following additional individuals in Apple’s
offensive case, none of whom possesses sufficiently direct knowledge of discoverable facts
relevant to this case to justify Samsung’s taking their depositions:
Aaron von Minden
Amy Chuang
Bruce Sewell
Chris Birgers
Chris Hood
David Falkenburg
Deborah Goldsmith
Eddy Cue
Eugene Kim
Fred Simon
Jack Fu
Jeff Robbin
Jeff Williams
John Brown
John Geleynse
Michael Lewis
Nima Parivar
Noreen Krall
Rebecca Van Dyck
Steven Sinclair
Tim Cook
Zack Kamen
Apple does not understand what factual basis could underlie any argument by Samsung that
these additional witnesses have sufficient direct knowledge to outweigh the burden of
making them available for deposition. On top of that, some of these individuals would
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Christopher Price
February 23, 2012
Page Two
qualify as “apex” witnesses, making Samsung’s burden even more difficult to overcome.
Others of these individuals are attorneys, and the taking of their depositions is disfavored.
On February 3, 2012, Samsung sent Apple a list of witnesses whose depositions Samsung
questioned along similar lines. As a result of the mutual agreement that the parties reached
at the February 6, 2012 lead counsel meet-and-confer session, we sent you letters on both
February 9th and February 12th setting out in great detail — with references to documents
produced by Samsung and deposition testimony of Samsung witnesses — the bases for
Apple’s belief that those witnesses had directly relevant knowledge justifying their
depositions.
At the February 6, 2012, lead counsel meeting, Samsung agreed to provide the same type of
letter with respect to certain Apple witnesses whose depositions had been noticed by that
point, including Eddy Cue and others in the above list. Samsung never provided Apple with
that letter. We now ask that Samsung provide the promised letter for all of the above
witnesses, many of whom were not noticed for deposition until well after the February 6th
meet and confer.
Please provide Samsung’s factual basis in writing, in at least the level of detail provided by
Apple in its letters, citing to documents and deposition testimony, if any, for its belief that
any of these witnesses possess information directly relevant to this case sufficient to justify
their depositions. Such a letter would help Apple to better understand Samsung’s position,
and to assess which witnesses should be scheduled and which should be the subject of a
motion for protective order.
Sincerely,
/s/ Jason R. Bartlett
Jason R. Bartlett
cc:
S. Calvin Walden
Peter Kolovos
sf-3111024
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