Illinois Computer Research, LLC v. Fish & Richardson, et al,
Filing
125
MOTION by Defendant Fish & Richardson P.C., Counter Claimant Fish & Richardson P.C., ThirdParty Plaintiff Fish & Richardson P.C., Counter Defendant Fish & Richardson P.C. to file instanter a supplemental brief in support of its renewed motion to compel (Attachments: #1 Exhibit A (Supplemental Brief))(Bradford, David)
Illinois Computer Research, LLC v. Google Inc.
Doc. 125
IN THE UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF ILLINOIS, EASTERN DIVISION ILLINOIS COMPUTER RESEARCH, LLC, Plaintiff and Counterclaim Defendant, v. FISH & RICHARDSON P.C., Defendant, Counterclaimant, ThirdParty Plaintiff, and Counterclaim Defendant, v. SCOTT C. HARRIS, Third-Party Defendant and Counterclaimant. ) ) ) ) ) ) ) ) ) ) ) ) ) ) )
No. 07 C 5081 Judge Rebecca R. Pallmeyer Magistrate Judge Maria Valdez
FISH & RICHARDSON P.C.'S MOTION FOR LEAVE TO FILE INSTANTER A SUPPLEMENTAL BRIEF IN SUPPORT OF ITS RENEWED MOTION TO COMPEL Fish & Richardson P.C., by its attorneys, respectfully submits this Motion For Leave To File Instanter a Supplemental Brief In Support Of Its Renewed Motion To Compel. As
explained in the Supplemental Brief, attached to this motion as Exhibit A, a document recently produced by Mr. Harris further demonstrates that ICR and Mr. Harris should be required to produce unredacted versions of the Retention and Fee Agreements. Fish & Richardson
respectfully suggests that limited supplemental briefing is necessary to notify the Court of this newly produced document, and to demonstrate how it provides additional support for Fish & Richardson's pending renewed motion to compel. WHEREFORE, for the reasons set forth herein, Fish & Richardson respectfully requests that this Court permit the filing of the attached Supplemental Brief.
Dockets.Justia.com
Dated: March 27, 2008
Respectfully submitted, FISH & RICHARDSON P.C. By: s/David J. Bradford dbradford@jenner.com One of Its Attorneys
David J. Bradford, Esq. Terrence J. Truax, Esq. Eric A. Sacks, Esq. Daniel J. Weiss, Esq. JENNER & BLOCK LLP 330 North Wabash Avenue Chicago, IL 60611 Telephone No: 312 222-9350 Facsimile No: 312 527-0484
2
CERTIFICATE OF SERVICE I certify that a copy of the foregoing was filed with the Court by means of the Court's CM/ECF system, which will send notification of such filing to the following counsel at their email address on file with the Court: Raymond P. Niro Paul K. Vickrey Richard B. Megley, Jr. Karen L. Blouin David J. Sheikh Niro, Scavone, Haller & Niro 181 W. Madison, Suite 4600 Chicago, Illinois 60602 L. Steven Platt Arnold and Kadjan 19 West Jackson Blvd., Suite 300 Chicago, IL 60604 (312) 236-0415
March 27, 2008. s/David J. Bradford JENNER & BLOCK LLP 330 North Wabash Avenue Chicago, Illinois 60611 Telephone No: 312 222-9350 Facsimile No: 312 527-0484
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