Apple Inc. v. Samsung Electronics Co. Ltd. et al
Filing
822
Administrative Motion to File Under Seal filed by Apple Inc.. (Attachments: #1 Proposed Order, #2 [Redacted Public Version] Apple's Reply Brief, #3 [Redacted Public Version] Olson Reply Declaration, #4 Exhibit C to [Redacted Public Version] Olson Reply Declaration, #5 Exhibit E to [Redacted Public Version] Olson Reply Declaration, #6 Exhibit G to [Redacted Public Version] Olson Reply Declaration, *** DOCUMENT LOCKED [822-7] AT FILER'S REQUEST. *** #7 Exhibit I to [Redacted Public Version] Olson Reply Declaration, #8 [Redacted Public Version] Roberts Reply Declaration, #9 [Redacted Public Version] Kim Reply Declaration, #10 Exhibit 1 to [Redacted Public Version] Kim Reply Declaration, #11 Exhibit 2 to [Redacted Public Version] Kim Reply Declaration, #12 Exhibit 3 to [Redacted Public Version] Kim Reply Declaration, #13 Exhibit 4 to [Redacted Public Version] Kim Reply Declaration, #14 Exhibit 5 to [Redacted Public Version] Kim Reply Declaration, #15 Exhibit 6 to [Redacted Public Version] Kim Reply Declaration, #16 Exhibit 7 to [Redacted Public Version] Kim Reply Declaration, #17 Exhibit 8 Part 1 to [Redacted Public Version] Kim Reply Declaration, #18 Exhibit 8 Part 2 to [Redacted Public Version] Kim Reply Declaration, #19 Exhibit 11 to [Redacted Public Version] Kim Reply Declaration, #20 Exhibit 12 to [Redacted Public Version] Kim Reply Declaration, #21 Certificate/Proof of Service)(Jacobs, Michael) (Filed on 3/20/2012) Modified on 3/21/2012 (wv, COURT STAFF). Modified on 3/21/2012 (wv, COURT STAFF).
EXHIBIT C
Apple v. Samsung: Discovery Correspondence - Jae Hwang Sim Deposition
Page 1 of 4
Barajas, Rosemary
From:
Pernick, Marc J.
Sent:
Friday, March 09, 2012 2:33 AM
To:
'Jon Steiger'; Anthony Alden; Mazza, Mia
Cc:
AppleMoFo; Samsung v. Apple; 'WHAppleSamsungNDCalService@wilmerhale.com'
Subject: RE: Apple v. Samsung: Discovery Correspondence - Jae Hwang Sim Deposition
Hi Jon:
Samsung is in no position to be impatient here. Erik Olson just got through customs in Seoul, and I have
now updated him with respect to Samsung's latest production of documents that violates the Court's
order.
Mr. Sim should appear tomorrow morning at 9:00 a.m. Mr. Olson will hopefully by then have had time to
review Samsung's untimely production. Mr. Olson will be in the office at 9:00 a.m. too, and he will inform
Samsung then about how we are going to proceed.
Needless to say, Apple reserves all of its rights regarding this deposition.
Marc Pernick
From: Jon Steiger [mailto:jonsteiger@quinnemanuel.com]
Sent: Friday, March 09, 2012 2:05 AM
To: Pernick, Marc J.; Anthony Alden; Mazza, Mia
Cc: AppleMoFo; Samsung v. Apple; 'WHAppleSamsungNDCalService@wilmerhale.com'
Subject: Re: Apple v. Samsung: Discovery Correspondence - Jae Hwang Sim Deposition
Marc,
I believe any planes have landed by now. We need to decide now what date you prefer. We are fine
either way, and ready to proceed tomorrow. Vice President Sim cannot appear both Saturday and
Tuesday, however, as he must reallocate other work to one day or the other. If we do not hear from you
in the next half hour, we will assume you would prefer to go ahead tomorrow rather than Tuesday 3/13,
and we will appear at the deposition location at 9 am. If he appears tomorrow, Mr. Sim cannot then
appear again on 3/13. Please let us know your preference, thanks.
Jon
From: Pernick, Marc J. [mailto:MPernick@mofo.com]
Sent: Thursday, March 08, 2012 09:54 PM
To: Anthony Alden; Mazza, Mia
Cc: AppleMoFo ; Samsung v. Apple; WH Apple Samsung NDCal Service
Subject: RE: Apple v. Samsung: Discovery Correspondence - Jae Hwang Sim Deposition
Anthony:
The lawyer taking the Sim deposition is in the air en route to Korea. He was already in the air when we
received your message a few hours ago.
I will let you know about how we want to proceed once I hear from him.
Apple v. Samsung: Discovery Correspondence - Jae Hwang Sim Deposition
Page 2 of 4
Marc
From: Anthony Alden [mailto:anthonyalden@quinnemanuel.com]
Sent: Thursday, March 08, 2012 9:53 PM
To: Mazza, Mia
Cc: AppleMoFo; Samsung v. Apple; WH Apple Samsung NDCal Service; Anthony Alden
Subject: RE: Apple v. Samsung: Discovery Correspondence - Jae Hwang Sim Deposition
Marc: we intend to produce another approximately 14,000 pages within the next couple of hours. Can you please
let me know immediately whether Apple intends to proceed with Mr. Sim’s deposition tomorrow or March 13?
We don’t mind either way, but I need to let the witness know now one way or the other.
Anthony Alden
Partner
Quinn Emanuel Urquhart & Sullivan, LLP
865 S. Figueroa Street, 10th Floor
Los Angeles, CA 90017
213-443-3159 Direct
213-443-3000 Main Office Number
213-443-3100 Fax
anthonyalden@quinnemanuel.com
www.quinnemanuel.com
NOTICE: The information contained in this e-mail message is intended only for the personal and confidential use of the recipient(s) named above. This
message may be an attorney-client communication and/or work product and as such is privileged and confidential. If the reader of this message is not the
intended recipient or agent responsible for delivering it to the intended recipient, you are hereby notified that you have received this document in error
and that any review, dissemination, distribution, or copying of this message is strictly prohibited. If you have received this communication in error, please
notify us immediately by e-mail, and delete the original message.
From: Anthony Alden
Sent: Thursday, March 08, 2012 5:38 PM
To: Mazza, Mia
Cc: AppleMoFo; Samsung v. Apple; WH Apple Samsung NDCal Service; Anthony Alden
Subject: RE: Apple v. Samsung: Discovery Correspondence - Jae Hwang Sim Deposition
Marc: in further response to your letter of March 6, 2012, Samsung designates Mr. Sim to testify as to the
following topics in Apple’s Seventh Rule 30(b)(6) notice, subject to its objections: 1‐6, 16, 17, 20, 22, 26‐30. These
topics largely overlap with the topics for which Mr. Sim has already been designated. In addition, Samsung expects
to produce additional documents tonight that may be relevant to Mr. Shim’s deposition.
Under these circumstances, Samsung is willing to postpone Mr. Shim’s deposition until March 13, 2012, to allow
Apple more time to prepare. Mr. Shim could stay relatively late on March 13 to ensure the deposition is
completed.
Please let me know how Apple would like to proceed as soon as possible.
Thanks,
Anthony P. Alden | Partner | quinn emanuel urquhart & sullivan, llp | 865 S. Figueroa Street, 10th Floor | Los
Angeles, CA 90017 | 213-443-3159 Direct | 213-443-3000 Main Office Number | 213-443-3100 Fax
| anthonyalden@quinnemanuel.com | www.quinnemanuel.com
NOTICE: The information contained in this e-mail message is intended only for the personal and confidential use of the recipient(s) named above. This
message may be an attorney-client communication and/or work product and as such is privileged and confidential. If the reader of this message is not the
intended recipient or agent responsible for delivering it to the intended recipient, you are hereby notified that you have received this document in error
and that any review, dissemination, distribution, or copying of this message is strictly prohibited. If you have received this communication in error, please
notify us immediately by e-mail, and delete the original message.
Apple v. Samsung: Discovery Correspondence - Jae Hwang Sim Deposition
Page 3 of 4
From: Anthony Alden
Sent: Wednesday, March 07, 2012 11:15 PM
To: Mazza, Mia
Cc: AppleMoFo; Samsung v. Apple; WH Apple Samsung NDCal Service
Subject: RE: Apple v. Samsung: Discovery Correspondence - Jae Hwang Sim Deposition
Marc: without taking the time to respond to the substantive inaccuracies in your letter, Mr. Sim will start his
deposition at 9:00 a.m. on March 10, but can be available until 8:00 p.m., if necessary.
Thanks,
Anthony P. Alden | Partner | quinn emanuel urquhart & sullivan, llp | 865 S. Figueroa Street, 10th Floor | Los
Angeles, CA 90017 | 213-443-3159 Direct | 213-443-3000 Main Office Number | 213-443-3100 Fax
| anthonyalden@quinnemanuel.com | www.quinnemanuel.com
NOTICE: The information contained in this e-mail message is intended only for the personal and confidential use of the recipient(s) named above. This
message may be an attorney-client communication and/or work product and as such is privileged and confidential. If the reader of this message is not the
intended recipient or agent responsible for delivering it to the intended recipient, you are hereby notified that you have received this document in error
and that any review, dissemination, distribution, or copying of this message is strictly prohibited. If you have received this communication in error, please
notify us immediately by e-mail, and delete the original message.
From: Mazza, Mia [mailto:MMazza@mofo.com]
Sent: Tuesday, March 06, 2012 5:57 PM
To: Anthony Alden
Cc: AppleMoFo; Samsung v. Apple; WH Apple Samsung NDCal Service
Subject: Apple v. Samsung: Discovery Correspondence - Jae Hwang Sim Deposition
<<2012-03-06 Ltr Pernick to Alden re Sim Depo.pdf>>
Hi Anthony,
Attached please find correspondence from Marc Pernick regarding the start and end times for the deposition of Jae
Hwang Sim.
Regards,
Mia Mazza
Morrison & Foerster LLP
San Francisco
(415) 268-6024 office
(415) 302-6583 mobile
(415) 268-7522 fax
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Apple v. Samsung: Discovery Correspondence - Jae Hwang Sim Deposition
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