Amgen Inc. v. F. Hoffmann-LaRoche LTD et al
Filing
134
DECLARATION re #128 MOTION for Protective Order BY KIMBERLIN L. MORLEY by Amgen Inc.. (Gottfried, Michael)
Amgen Inc. v. F. Hoffmann-LaRoche LTD et al
Doc. 134
Case 1:05-cv-12237-WGY
Document 134
Filed 10/24/2006
Page 1 of 5
UNITED STATES DISTRICT COURT DISTRICT OF MASSACHUSETTS AMGEN INC., Plaintiff, v. F. HOFFMAN-LAROCHE LTD., a Swiss Company, ROCHE DIAGNOSTICS GmbH, a German Company and HOFFMAN LAROCHE INC., a New Jersey Corporation, Defendants. ) ) ) ) ) ) ) ) ) ) ) )
Civil Action No.: 05-12237 WGY
Declaration of Kimberlin L. Morley
1.
I am an attorney in good standing with the District of Columbia and have applied
for admission pro hac vice to this Court. I am employed by Amgen Inc. as Senior Counsel in the Intellectual Property and Litigation Group of Amgen's Law Department. I joined Amgen in September of 2002 and report to Wendy A. Whiteford. 2. I submit this declaration in support of my access to confidential information
produced by Defendants or third parties under the terms of a protective order in this case. 3. I am admitted to practice before the District of Columbia and the United States
Patent and Trademark Office. I am also admitted to the Registered In-House Counsel program of the State Bar of California. 4. Before joining Amgen, I was in house counsel for Chiron Corporation in
Emeryville, California for over three years. I was an attorney with the law firm of Sterne, Kessler, Goldstein and Fox PLLC in Washington, D.C. for three years. I was a Patent Agent for the law firm of Finnegan, Hederson, Farabow, Garrett & Dunner LLC in Washington D.C. for
DM1\702168.1
Dockets.Justia.com
Case 1:05-cv-12237-WGY
Document 134
Filed 10/24/2006
Page 2 of 5
five years. During my time at those firms, I was involved in patent prosecution as well as patent litigation. I graduated from the George Mason University School of Law in 1997 and was admitted to practice to the District of Columbia in 1997. Since that time and up to the present, I have continuously been a member in good standing with the District of Columbia. I was admitted to practice before the United States Patent and Trademark Office in 1991. Since that time and up into the present I have continuously been a member in good standing with the United States Patent and Trademark Office. 5. In my role as in-house counsel with Amgen, I have direct responsibility for
supervising the work of outside trial counsel retained by Amgen to represent its interests in this litigation. 6. As in-house counsel, my responsibilities include the day-to-day supervision of
Amgen's present litigation against the Defendants. In consultation with Ms. Whiteford, I am responsible for evaluation the issues in this case, evaluation and directing the work and strategies of trial counsel, determining which issues merit greater or lesser allocation of resources, and evaluating and authorizing assignment of resources, both human and capital, to the issues of the case. 7. My responsibilities at Amgen are legal, not business or commercial, in nature. I
have no responsibility for and do not participate in "competitive decision making," such as pricing, clinical trial design, regulatory proceedings, and the like. Within Amgen, responsibility for the legal support for the business functions engaged in such "competitive decision making" resides within Amgen's Business Law Group, which is a separate organization reporting to a separate vice president and assistant general counsel in Amgen's Law Department.
2
DM1\702168.1
Case 1:05-cv-12237-WGY
Document 134
Filed 10/24/2006
Page 3 of 5
8.
In order to perform my professional responsibilities to Amgen, I believe I must
have full access to the documents and information produced in this litigation, subject to the terms of the protective order proposed by Amgen's counsel. Such access is needed not only to discuss this action intelligently with Amgen's trial counsel, but also to give input and direction to trial counsel, and to assess accurately whether Amgen's interests in this litigation are adequately and appropriately represented. 9. Based on my experience with the protective order in the ITC proceeding, where
Defendants' confidential information was denied to in-house counsel, I do not believe that I would be able to make an informed evaluation of this issues or merits of this dispute, provide proper direction to trial counsel, or advise Amgen with respect to the appropriate conduct of this litigation without the access Amgen has requested for in-house counsel. For example, in being denied access to Defendants' documents that characterized their peg-EPO product and the process by which such product is made, including Defendants' Biologics License Application and Investigational New Drug Applications, I could not independently assess the merits of Defendants' assertions, as set forth in their Answer in the ITC proceeding, that they did not infringe Amgen's patent-in-suit. Nor could I assess which claims should be pursued against Defendants. 10. If I am permitted access to confidential information under the terms of a
protective order in this case, I agree to be bound by the terms of such an order and will abide by its terms. 11. In my position at Amgen, and in my previous experience as outside counsel, I
have received confidential and highly sensitive information of opposing parties subject to the provisions of several protective orders entered in various proceedings in different jurisdictions. I
3
DM1\702168.1
Case 1:05-cv-12237-WGY
Document 134
Filed 10/24/2006
Page 4 of 5
have understood and complied with my obligations of confidentiality under those protective orders. No one has ever raised a complaint about my compliance with the terms of a protective order. 12. I declare under penalty and perjury under the laws of the United States of
America that the foregoing is true and correct.
Dated: October 24, 2006
/s/ Kimberlin L. Morley Kimberlin L. Morley
4
DM1\702168.1
Case 1:05-cv-12237-WGY
Document 134
Filed 10/24/2006
Page 5 of 5
CERTIFICATE OF SERVICE I hereby certify that this document, filed through the ECF system, will be sent electronically to the registered participants as identified on the Notice of Electronic Filing and paper copies will be sent to those indicated as non-registered participants on October 24, 2006.
/s/ Michael R. Gottfried Michael R. Gottfried
DM1\702168.1
Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.
Why Is My Information Online?