Amgen Inc. v. F. Hoffmann-LaRoche LTD et al

Filing 1215

DECLARATION re #1214 Emergency MOTION To Preclude Amgen From Publicly Disclosing Roche's Trade Secrets Without Prior Notice to Roche By Julia Huston by F. Hoffmann-LaRoche LTD. (Attachments: #1 Exhibit A#2 Exhibit B#3 Exhibit C#4 Exhibit D)(Huston, Julia)

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Case 1:05-cv-12237-WGY Document 1215-4 Filed 10/01/2007 Page 1 of 3 EXHIBIT C 1642 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 1643 1 2 3 DUANE MORRIS LLP (By D. Dennis Allegretti, Esq. and Michael R. Gottfried, Esq.), 470 Atlantic APPEARANCES 1 Courthouse Way Boston, Massachusetts September 27, 2007 BEFORE: The Honorable William G. Young, District Judge, and a Jury ***************** * AMGEN, INC., * * Plaintiff, * * v. * * F. HOFFMANN-LA ROCHE LTD, * ROCHE DIAGNOSTICS GmbH and * HOFFMANN-LA ROCHE, INC., * * Defendants. * * ***************** Civil Action No. 05-12237-WGY UNITED STATES DISTRICT COURT FOR THE DISTRICT OF MASSACHUSETTS DAILY TRANSCRIPT OF THE EVIDENCE (Volume 12) Case 1:05-cv-12237-WGY Document 1215-4 Filed 10/01/2007 Page 2 of 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 Avenue, Suite 500, Boston, Massachusetts 02210 - and DAY CASEBEER MADRID & BATCHELDER, LLP (By Lloyd R. Day, Jr., Esq., David M. Madrid, Esq. and Robert M. Galvin, Esq.) 20300 Stevens Creek Boulevard, Suite 400, Cupertino, California 95014 - and McDERMOTT WILL & EMERY (By Michael Kendall, Esq.), 28 State Street, Boston, Massachusetts 02109 - and McDERMOTT WILL & EMERY (By William G. Gaede, III, Esq.), 3150 Porter Drive, Palo Alto, California 94304 - and MARSHALL, GERSTEIN & BORUN LLP (By Kevin M. Flowers, Esq.), 6300 Sears Tower, 233 S. Wacker Drive, Chicago, Illinois 60606-6402 - and STUART L. WATT and WENDY A. WHITEFORD, Of Counsel, Amgen, Inc., One Amgen Center Drive, Thousand Oaks, California 91320-1789, on behalf of the Plaintiff BROMBERG & SUNSTEIN LLP (By Lee Carl Bromberg, Esq. and Julia Huston, Esq.), 125 Summer Street, Boston, Massachusetts 02110 - and KAYE SCHOLER LLP (By Leora Ben-Ami, Thomas F. Fleming, Esq., Patricia Carson, Esq., Christopher Jagoe, Esq. and Howard Suh, Esq.), 425 Park Avenue, New York, New York 10022, on behalf of the Defendants *** 1656 1 2 3 4 on this? THE COURT: You may. SIDEBAR CONFERENCE, AS FOLLOWS: THE COURT: You people have daily copy. You may Case 1:05-cv-12237-WGY Document 1215-4 Filed 10/01/2007 Page 3 of 3 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 ask her, Ms. Ben-Ami asked you and would you like to explain your answer, and you answered whatever, would you like to explain that answer. MR. FLOWERS: Yes, you can. That's it. Your Honor, Dr. Orkin was identified as a fact witness in this case and in fact a motion was -THE COURT: direct. MR. FLOWERS: Is he allowed to testify as a fact We've had your direct. We've had your witness at all on redirect? THE COURT: see. I don't give advisory opinions. We'll But that's outside the scope. That calls -- what As a matter of you're asking for there calls for expertise. fact, this is so technical that most of this calls for expertise. So I don't think there's much along that line. This business about the Now, something else. Harlow deposition. I take grave umbrage to the fact that a And this business deposition was designated confidential. of giving me confidential documents stops right now. Everything further in this trial is on the record. (Whereupon the sidebar conference concluded.)

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