Motorola Mobility, Inc. v. Apple, Inc.
Filing
362
REPLY to Response to Motion re (361 in 1:10-cv-23580-RNS) MOTION to Amend/Correct (84 in 1:12-cv-20271-RNS) Scheduling Order,,, MEMORANDUM OF LAW AND MOTION TO AMEND THE PROCEDURAL SCHEDULE filed by Apple Inc.. (Attachments: # 1 Exhibit 1 - Current iPhone Models, # 2 Exhibit 2 - Current Motorola Phones for Sale, # 3 Exhibit 3 - 8/21/12 Email from Searcy to Davis, # 4 Exhibit 4 - 8/15/12 Email from Vlasis to Searcy, # 5 Exhibit 5 - 9/17/12 Email from Searcy to Vlasis, # 6 Exhibit 6 - 9/14/12 Email from Searcy to Vlasis, # 7 Exhibit 7 - 9/24/12 Email from Vlasis to Searcy, # 8 Exhibit 8 - 10/1/12 Email from Vlasis to Searcy, # 9 Exhibit 9 - 10/5/12 Email from Vlasis to Searcy, # 10 Exhibit 10 - 10/8/12 Email from Vlasis to Searcy, # 11 Exhibit 11 - 10/9/12 Email from Davis to Vlasis, # 12 Exhibit 12 - 10/11/12 Email from Vlasis to Davis, # 13 Exhibit 13 - 10/11/12 Email from Davis to Vlasis, # 14 Exhibit 14 - 10/16/12 Letter from Bonifield to Vlasis)Associated Cases: 1:12-cv-20271-RNS, 1:10-cv-23580-RNS(Pace, Christopher)
EXHIBIT 7
From:
Sent:
To:
Cc:
Subject:
Vlasis, Robert
Monday, September 24, 2012 7:06 PM
Marshall Searcy; Greg Bonifield
Moto-Apple-SDFL; Weil_TLG Apple Moto FL External
RE: Apple/Motorola (FL)
Marshall,
Thank you for providing Motorola’s proposal. We agree with the January 24 date for exchanging non‐infringement,
validity, and secondary consideration contentions. With respect to claim construction, Motorola’s proposed February 12
deadline does not appear to include the exchange of the proposed constructions themselves. Apple proposes that the
exchange of constructions should follow the exchange of terms by approximately one week. We also propose that the
briefing schedule be adjusted to provide approximately the same amount of time for the opening and responsive
briefs. A revised proposal is below with our changes indicated in red. Also, this proposal applies only to the newly
asserted patents; the original patents will not be subject to claim construction again. Please confirm your agreement.
Current Case Schedule and Apple’s New Date Proposal
Case Event
Infringement Contentions
Invalidity Contentions
Non-infringement, Validity, & Secondary Consideration
Contentions
Exchange Terms for Construction
Exchange Proposed Constructions
Opening Markman Brief
First Interim Joint Status Report
Reply Markman Brief
Markman Hearing (2012 claims)
First Mediation Deadline
Fact Discovery Deadline
Opening Expert Report Deadline
Rebuttal Expert Report Deadline
Expert Discovery Deadline
Dispositive Motions Deadline
Second Joint Interim Status Report
Second Mediation Deadline
Pretrial Motions (Motions in Limine/Daubert) Deadline
Pretrial Stipulations and Proposed Jury Instructions
Deadline
Calendar Call
Trial Period
Best regards,
Robert
1
Deadline
Nov. 7, 2012
Dec. 5, 2012
Jan. 24, 2013
Feb. 4, 2013
Feb. 12, 2013
Mar. 5, 2013
Mar. 1, 2013
Mar. 26, 2013
Apr. 26, 2013
May 31, 2013
July 5, 2013
Aug. 16, 2013
Sept. 6, 2013
Oct. 4, 2013
Nov. 1, 2013
Nov. 8, 2013
Nov. 15, 2013
January 31, 2014
Mar. 24, 2014
Apr. 15, 2014
Apr. 21, 2014
From: Marshall Searcy [mailto:marshallsearcy@quinnemanuel.com]
Sent: Friday, September 14, 2012 2:47 PM
To: Vlasis, Robert; Greg Bonifield
Cc: Moto-Apple-SDFL; Weil_TLG Apple Moto FL External
Subject: RE: Apple/Motorola (FL)
Robert,
Per our conversation on Monday’s meet and confer conference call, Motorola has prepared a proposed schedule of
dates for Markman briefing and exchanging additional contentions. These proposals are shown on the chart below
(marked in blue).
Please let us know if Apple is agreeable to these proposed dates or provide an alternative proposal that we may
consider.
Best regards, Marshall
Current Case Schedule and Motorola’s New Date Proposal
Case Event
Infringement Contentions
Invalidity Contentions
Non-infringement, Validity, & Secondary Consideration
Contentions
Exchange of Terms for Construction
Opening Markman Brief
First Interim Joint Status Report
Reply Markman Brief
Markman Hearing (2012 claims)
First Mediation Deadline
Fact Discovery Deadline
Opening Expert Report Deadline
Rebuttal Expert Report Deadline
Expert Discovery Deadline
Dispositive Motions Deadline
Second Joint Interim Status Report
Second Mediation Deadline
Pretrial Motions (Motions in Limine/Daubert) Deadline
Pretrial Stipulations and Proposed Jury Instructions
Deadline
Calendar Call
Trial Period
From: Vlasis, Robert [mailto:robert.vlasis@weil.com]
Sent: Thursday, September 13, 2012 3:09 PM
To: Greg Bonifield
Cc: Moto-Apple-SDFL; Weil_TLG Apple Moto FL External
Subject: RE: Apple/Motorola (FL)
2
Deadline
Nov. 7, 2012
Dec. 5, 2012
Jan. 24, 2013
Feb. 12, 2013
Feb. 26, 2013
Mar. 1, 2013
Mar. 26, 2013
Apr. 26, 2013
May 31, 2013
July 5, 2013
Aug. 16, 2013
Sept. 6, 2013
Oct. 4, 2013
Nov. 1, 2013
Nov. 8, 2013
Nov. 15, 2013
January 31, 2014
Mar. 24, 2014
Apr. 15, 2014
Apr. 21, 2014
Greg,
Please see the attached letter.
Regards,
Robert
Robert T. Vlasis III, Esq.
Weil, Gotshal & Manges LLP
1300 Eye Street NW, Suite 900
Washington, DC 20005-3314
robert.vlasis@weil.com
+1 202 682 7024 Direct
+1 202 857 0940 Fax
From: Greg Bonifield [mailto:gregbonifield@quinnemanuel.com]
Sent: Friday, September 07, 2012 5:24 PM
To: Vlasis, Robert
Cc: Moto-Apple-SDFL; Weil_TLG Apple Moto FL External
Subject: Apple/Motorola (FL)
Robert,
Please see the attached correspondence.
Regards,
Greg
Greg Bonifield
Of Counsel,
Quinn Emanuel Urquhart & Sullivan, LLP
51 Madison Avenue, 22nd Floor
New York, NY 10010
212-849-7494 Direct
212.849.7000 Main Office Number
212.849.7100 FAX
gregbonifield@quinnemanuel.com
www.quinnemanuel.com
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