iLOR, LLC v. Google, Inc.
Filing
35
ORDER (1) iLor will respond to Google's 1st set of requests for production of docs & things 1-17 by 9/24/07; (2) Mr.Mansfield will be produced for depo on an agreeable date following production of iLOR's docs & in sufficient time for Google to respond to iLOR's preliminary inj motion; (3) Google's response to iLOR's 12 MOTION for Preliminary Injunction by 10/3/07; (4) pending deadlines for Google's response to iLOR's preliminary inj motion will be stayed; (5) the date for the preliminary inj mot will be continued as the ct's calendar permits; (6) Google will withdraw it's motions filed Sept 13 & 14. . Signed by Judge Joseph M. Hood. (KJR)cc: COR,D
iLOR, LLC v. Google, Inc.
Doc. 35
Case 5:07-cv-00109-JMH
Document 35
Filed 09/19/2007
Page 1 of 3
Baetern Dilrtriat of Kentuoky
PILED
UNITED STATES DISTRICT COURT EASTERN DISTRICT OF KENTUCKY CENTRAL DIVISION at LEXINGTON
SEP 1 9 2007
AT LEXINGTON LESLIE G WHITMER CLERK U S DISTRICT COURT
Electronically Filed
iLOR, LLC, Plaintiff,
V.
I
Civil Action No. 5:07-cv-00109-JMH
GOOGLE INC., Defendant.
I
ORDER
In consideration of the Stipulation between the parties, regarding (1) Expedited Discovery; (2) Extension Of Time To Oppose Plaintiffs Motion For Preliminary Injunction; (3) Stay Of Pending Response Time(s); And (4) To Continue Date For The Hearing On Plaintiffs Motion For Preliminary Injunction, and the Court being sufficiently advised:
IT IS HEREBY ORDERED that:
1) iLOR will respond to Google's first set of requests for production of documents and things (Nos. 1-17) no later than September 24,2007; 2) Mr. Mansfield will be produced for deposition on a mutually-agreeable date following production of iLORs documents, and in sufficient time for Google to respond to iLOR's preliminary injunction motion; 3) Google will respond to iLOR's preliminary injunction motion no later than October 3,2007; 4) The pending deadlines for Google's response to iLOR's preliminary injunction motion will be stayed;
Dockets.Justia.com
Case 5:07-cv-00109-JMH
Document 35
Filed 09/19/2007
Page 2 of 3
5)
The date for the preliminary injunction motion hearing will be continued as the Court's calendar permits; and
6)
Google will withdraw its motions filed September 13,2007 and
September 14,2007.
States-DistrictJudge
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Case 5:07-cv-00109-JMH
Document 35
Filed 09/19/2007
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TENDERED BY: Frank E. Scherkenbach Peter J. Kirk Matthew J. Leary Fish & Richardson, P C .. 225 Franklin Street Boston, MA 02 1 10-2804 Phone: (617) 542-2804 Facsimile: (617) 542-8906 James R. Higgins, Jr. (KBA No. 3 1790) Brian P. McGraw (KBA No. 90447) Middleton Reutlinger 2500 Brown & Williamson Tower Louisville, KY 40202-3410 Phone: (502) 584-1 135 Facsimile: (502) 561-0442 ATTORNEYS FOR DEFENDANT GOOGLE INC. -ANDDavid E. Schmit (Ohio Bar #0021147) Frost Brown Todd LLC 2200 PNC Center 201 East Fifth Street Cincinnati, Ohio 45202 (513) 651-6985 Phone (513) 651-6981 Fax ATTORNEY FOR PLAINTIFF ILOR, LLC.
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