Motorola Mobility, Inc. v. Apple, Inc.
Filing
249
NOTICE by Apple, Inc. of Filing of Exhibits to Defendant and Counterclaim Plaintiff Apple Inc.'s Motion to Compel Motorola to Provide Timely Depositions Concerning The Accused Set-Top Boxes (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D, # 5 Exhibit E, # 6 Exhibit F, # 7 Exhibit G, # 8 Exhibit H, # 9 Exhibit I, # 10 Exhibit J, # 11 Exhibit K, # 12 Exhibit L, # 13 Exhibit M, # 14 Exhibit N, # 15 Exhibit O, # 16 Exhibit P, # 17 Exhibit Q, # 18 Exhibit S, # 19 Exhibit T, # 20 Exhibit U, # 21 Exhibit V, # 22 Exhibit W, # 23 Exhibit X, # 24 Exhibit Y)(Pace, Christopher)
EXHIBIT J
From:
Sent:
To:
Schmidt, Jill
Wednesday, February 08, 2012 12:34 PM
Marshall Searcy (marshallsearcy@quinnemanuel.com); David Perlson
(davidperlson@quinnemanuel.com); Moto-Apple-SDFL (Moto-AppleSDFL@quinnemanuel.com)
Weil_TLG Apple Moto FL External; AppleCov@cov.com
RE: Apple/Motorola (FL): individual depositions
Cc:
Subject:
Hi Marshall,
On January 18, you said you expected to provide deposition dates for Motorola's 30(b)(6) designees on Topics 59‐62
"early next week." On January 27, that became "very shortly." I have been asking you to identify Motorola's witnesses
and deposition dates for those specific topics since December 9, yet you continue to ignore my requests. While I
appreciate that it takes time to coordinate everyone's schedules, Motorola has been dragging its feet on providing
depositions of its technical witnesses for almost two months now, which is severely hampering Apple's ability to prepare
its case. We need to know who these witnesses are, whether their document production is complete, and when they
are available for deposition. Please provide this information by the end of the day.
In addition, if Chuck Supinski, Joe Murray, Mike DiFiglia, Lou Fodor, Nathan Mengel, and Scott Sellers are still employed
by Motorola, please provide deposition dates as soon as possible. If not, please let me know if Quinn represents them.
Thank you,
Jill
From: Schmidt, Jill
Sent: Monday, February 06, 2012 3:59 PM
To: Marshall Searcy (marshallsearcy@quinnemanuel.com); David Perlson (davidperlson@quinnemanuel.com); MotoApple-SDFL (Moto-Apple-SDFL@quinnemanuel.com)
Cc: Weil_TLG Apple Moto FL External; AppleCov@cov.com
Subject: RE: Apple/Motorola (FL): individual depositions
Hi Marshall / David,
Please provide deposition dates before March 1 for the witnesses below or let me know when you are available to meet
and confer tomorrow.
Best regards,
Jill
Jill Schmidt (née Ho)
Weil, Gotshal & Manges LLP
201 Redwood Shores Parkway
Redwood Shores, CA 94065-1134
jill.schmidt@weil.com
+1 650 802 3163 Direct
+1 650 802 3100 Fax
1
From: Schmidt, Jill
Sent: Friday, February 03, 2012 8:11 AM
To: Marshall Searcy (marshallsearcy@quinnemanuel.com); David Perlson (davidperlson@quinnemanuel.com); MotoApple-SDFL (Moto-Apple-SDFL@quinnemanuel.com)
Cc: Weil_TLG Apple Moto FL External; AppleCov@cov.com
Subject: RE: Apple/Motorola (FL): individual depositions
Hi Marshall / David,
Please respond to my email and let me know when these individuals are available for deposition. We are also still
waiting for Motorola to designate technical witnesses for Topics 59‐62 of Apple's 30(b)(6) notice.
Thanks,
Jill
Jill Schmidt (née Ho)
Weil, Gotshal & Manges LLP
201 Redwood Shores Parkway
Redwood Shores, CA 94065-1134
jill.schmidt@weil.com
+1 650 802 3163 Direct
+1 650 802 3100 Fax
From: Ho, Jill
Sent: Thursday, January 26, 2012 6:20 PM
To: Marshall Searcy (marshallsearcy@quinnemanuel.com); David Perlson (davidperlson@quinnemanuel.com); MotoApple-SDFL (Moto-Apple-SDFL@quinnemanuel.com)
Cc: Weil_TLG Apple Moto FL External; AppleCov@cov.com
Subject: Apple/Motorola (FL): individual depositions
Hi Marshall / David,
I write to follow up on this question from my November 16, 2011 letter to your former colleague, Ben Quarmby. Please
let me know whether Motorola intends to call to trial any of the following witnesses listed in its initial disclosures: Kirk
Dailey, Chris Collins, Peter Prunuske, Marjorie Silha, Steven Fischer, David Briggs, Jeanette Orlen, Gregory Schladt, Paul
Martinson, Warren Fernandez, Jim Conroy, Amy Verbeke, Gunjan Shah, Sandy Baek, Jaime Wheeler, Allison Yi, Jeff
Snow, Lawrence Robinson, John Kamieniecki, Richard Rementilla, Robert Simons, and John Tracy. If so, please provide
deposition dates for those witnesses immediately.
In addition, it appears that Chuck Supinski, Joe Murray, Mike DiFiglia, Lou Fodor, Nathan Mengel, and Scott Sellers may
have knowledge regarding Motorola's testing of IPGs/EPGs on its set‐top boxes. Please let me know if these individuals
are still employed by Motorola and, if not, whether Quinn represents them.
Thanks,
Jill
Jill Ho
Weil, Gotshal & Manges LLP
2
201 Redwood Shores Parkway
Redwood Shores, CA 94065-1134
jill.ho@weil.com
+1 650 802 3163 Direct
+1 650 802 3100 Fax
3
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