Sprint Communications Company LP v. Vonage Holdings Corp., et al

Filing 289

WITNESS LIST by Vonage America, Inc., Vonage Holdings Corp..(Campbell, Terrence)

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Sprint Communications Company LP v. Vonage Holdings Corp., et al Doc. 289 Case 2:05-cv-02433-JWL Document 289 Filed 08/17/2007 Page 1 of 6 IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF KANSAS __________________________________________ ) SPRINT COMMUNICATIONS COMPANY, L.P., ) ) Plaintiff, ) ) Case No. 05-2433-JWL v. ) ) VONAGE HOLDINGS CORP. AND ) VONAGE AMERICA, INC., ) Defendants. ) __________________________________________) DEFENDANTS VONAGE HOLDINGS CORP. AND VONAGE AMERICA, INC.'S WITNESS LIST Defendants Vonage Holdings Corp. and Vonage America, Inc. (collectively "Vonage") respectfully submit the following list of witnesses pursuant to the Court's Pretrial Order (Doc. 207). (1) Albert Duree Mr. DuRee will be called at trial. Mr. DuRee is expected to testify on projects underlying the inventions disclosed and/or claimed in the asserted patents. (2) Allyn Strickland, Ph.D. Dr. Strickland will be called as an expert witness at trial. He will be expected to testify as to the damages issues arising from the patent infringement claims of plaintiff Sprint Communications Company L.P. ("Sprint") against Vonage. (3) Frank Koperda Mr. Koperda will be called as an expert witness at trial. He is expected to testify about matters including, but not limited to, the invalidity issues arising from Sprint's asserted patents and the asserted claims thereof. Dockets.Justia.com Case 2:05-cv-02433-JWL Document 289 Filed 08/17/2007 Page 2 of 6 (4) Joel Halpern Mr. Halpern will be called as an expert witness at trial. He is expected to testify about matters including, but not limited to, the Vonage VoIP telephony systems and the noninfringement, literally and under the doctrine of equivalents, of Sprint's asserted patents and the asserted claims thereof. (5) John Rego Mr. Rego will be called as a witness at trial. He is expected to testify about matters including, but not limited to, the sales, marketing and financial activities relating to the Vonage VoIP telephony systems. Mr. Rego is also expected to testify regarding issues relating to willfulness, including Vonages policies with respect to Vonage's receipt of letters regarding intellectual property as well as customer acquisition and retention. (6) Louis Holder Mr. Holder will be called as a witness at trial. He is expected to testify about matters including, but not limited to, the design, development, operation and launching of the Vonage VoIP telephony systems and prototypes. Mr. Holder is also expected to testify about sales, marketing and financial activities relating to Vonage and its VoIP telephony systems. Mr. Holder is also expected to testify regarding issues relating to willfulness, including Vonage's policies with respect to Vonage's receipt of letters regarding intellectual property as well as customer acquisition and retention. (7) Peter Miron Mr. Miron will be called as a witness at trial. He is expected to testify about matters including, but not limited to, the design and operation of the Vonage VoIP telephony systems. (8) Raymond Spitzer Mr. Spitzer will be called as a witness at trial. He is expected to testify about matters including, but not limited to, projects underlying the inventions disclosed and/or claimed in the asserted patents. (9) Rohan Dwarkha Mr. Dwarkha will be called as a witness at trial. He is expected to testify about matters including, but not limited to, the design and operation of the Vonage VoIP telephony systems. (10) William Wiley Mr. Wiley will be called as a witness at trial. He is expected to testify about matters including, but not limited to, projects underlying the inventions disclosed and/or claimed in the asserted patents. 2 DM1\1174346.1 Case 2:05-cv-02433-JWL Document 289 Filed 08/17/2007 Page 3 of 6 (11) Chakrapani Gorrepati Mr. Gorrepati may be called as a witness at trial. He is expected to testify about matters including but not limited to, the design and operation of the Vonage VoIP telephony systems. (12) Daniel Smires Mr. Smires may be called as a witness at trial. He is expected to testify about matters including, but not limited to, the operation of the Vonage VoIP telephony systems. (13) David Wu Mr. Wu may be called as a witness at trial. He is expected to testify about matters including, but not limited to, Vonage sales, marketing and product development. (14) Edward Mulligan Mr. Mulligan may be called as a witness at trial. He is expected to testify about financial issues relating to the projects underlying the inventions disclosed and/or claimed in the asserted patents matters including but not limited to, Vonage sales marketing activities and carrier operations. (15) Glen Eisen Mr. Eisen may be called as a witness at trial. He is expected to testify about matters including, but not limited to, Vonage sales and marketing activities. (16) Harley Ball Mr. Ball may be called as a witness at trial. He is expected to testify about matters including, but not limited to, the development, licensing, and patent prosecution of Sprint's asserted patents; prototypes made by or on behalf of Plaintiff's efforts to develop products under Sprint's asserted patents; license and agreements relating thereto; products made and sold by third parties under Sprint's asserted patents. (17) Jim Patterson Mr. Patterson may be called as a witness at trial. He is expected to testify about matters including, but not limited to, Sprint's business operations, financial issues and competition issues. (18) John Garcia Mr. Garcia may be called as a witness at trial. He is expected to testify about Sprint's business operations. 3 DM1\1174346.1 Case 2:05-cv-02433-JWL Document 289 Filed 08/17/2007 Page 4 of 6 (19) Jose Martinez Mr. Martinez may be called as a witness at trial. He is expected to testify about matters including, but not limited to, the design and operation of the Vonage VoIP telephony systems. (20) Louis Mamakos Mr. Mamakos may be called as a witness at trial. He is expected to testify about matters including, but not limited to, the design and operation of the Vonage VoIP telephony systems. (21) Manu Bahl Mr. Bahl may be called as a witness at trial. He is expected to testify about matters including, but not limited to, the projects underlying the inventions disclosed and/or claimed in the asserted patents and prototypes made by or on behalf of Plaintiff's efforts to develop products under Sprint's asserted patents. (22) Martin Kaplan Mr. Kaplan may be called as a witness at trial. He is expected to testify about projects underlying the inventions disclosed and/or claimed in asserted patents. (23) Masoud Kamali Mr. Kamali may be called as a witness at trial. He is expected to testify about projects underlying the inventions disclosed and/or claimed in asserted patents. (24) Michael Cordes Mr. Cordes may be called as a witness at trial. He is expected to testify about matters including, but not limited to, Sprint's business operations, financial issues and competitive issues. (25) Michael Gardner Mr. Gardner may be called as a witness at trial. He is expected to testify about matters including, but not limited to, issues relating to the projects underlying the inventions disclosed and/or claimed in the asserted patents. (26) Michael Setter Mr. Setter may be called as a witness at trial. He is expected to testify about matters including, but not limited to, the development, licensing, and patent prosecution of Sprint's asserted patents, prototypes made by or on behalf of Plaintiff's efforts to develop products under Sprint's asserted patents, licenses, contracts and agreements relating thereto; and products made and sold by third parties under Sprint's asserted patents. 4 DM1\1174346.1 Case 2:05-cv-02433-JWL Document 289 Filed 08/17/2007 Page 5 of 6 Vonage reserves the right to call any witness identified on Sprint's witness list, and any individuals that Vonage may call as rebuttal witnesses at trial. Vonage may call any witness necessary to establish authenticity or foundation for any document or testimony used, or sought to be used, at trial. Vonage also reserves the right to designate additional witnesses. August 17, 2007 Respectfully submitted, _s/ Terrence J. Campbell Terrence J. Campbell - 18377 Catherine C. Theisen - 22360 BARBER EMERSON, L.C. 1211 Massachusetts Street P.O. Box 667 Lawrence, KS 66044 (785) 843-6600 (785) 843-8405 Facsimile tcampbell@barberemerson.com ctheisen@barberemerson.com Patrick D. McPherson Barry Golob Donald R. McPhail Duane Morris LLP 1667 K Street N.W. Washington, DC 20006-1608 202-776-7800 pdmcpherson@duanemorris.com bgolob@duanemorris.com drmcphail@duanemorris.com ATTORNEYS FOR DEFENDANTS/COUNTERCLAIM PLAINTIFFS VONAGE HOLDINGS CORP. AND VONAGE AMERICA, INC. 5 DM1\1174346.1 Case 2:05-cv-02433-JWL Document 289 Filed 08/17/2007 Page 6 of 6 CERTIFICATE OF SERVICE I hereby certify on August 17, 2007, that a copy of Vonage Holdings Corp. and Vonage America, Inc.'s Witness List was filed electronically, with a notice of case activity to be generated and sent electronically by the Clerk of Court to: B. Trent Webb Adam P. Seitz Erick A. Buresh Shook, Hardy & Bacon LLP 2555 Grand Boulevard Kansas City, MO 64108-2613 bwebb@shb.com aseitz@shb.com eburesh@shb.com Attorneys for Plaintiff Sprint Communications Company L.P. _s/ Terrence J. Campbell Attorney for Defendants DM1\1174346.1

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