Timebase Pty Ltd v. Thomson Corporation, The

Filing 153

LETTER TO MAGISTRATE JUDGE by Timebase Pty Ltd. (Attachments: # 1 Attachment-Status Regarding Depositions)(Hosteny, Joseph)

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Timebase Pty Ltd v. Thomson Corporation, The Doc. 153 Att. 1 IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF MINNESOTA TIMEBASE PTY LTD., Plaintiff, vs. THE THOMSON CORPORATION, WEST PUBLISHING CORPORATION, AND WEST SERVICES, INC. Defendants. ) ) ) ) ) ) ) ) ) ) ) File No. 07CV1687 (JNE/JJG) TIMEBASE'S NOTICE AND STATUS REGARDING DEPOSITIONS AS OF JULY 6, 2010 TimeBase understands the defendants will or may take the following depositions: NAME Timothy Arnold Moore COMPLETE PROPOSED DATE AND TIME June 22, 2010 9:00 a.m. LOCATION Morgan, Lewis & Bockius 1111 Pennsylvania Ave., NW Washington, D.C. 20004 K&L Gates 925 Fourth Avenue, Ste. 2900, Seattle, Washington Faegre & Benson 2200 Wells Fargo Center 90 S. 7th Street Minneapolis, MN 55402 Faegre & Benson 2200 Wells Fargo Center 90 S. 7th Street Minneapolis, MN TIMEBASE'S OR DEPONENT'S COMMENT The defendants are requested to provide any documents obtained from the subpoena, and any documents to be used at the deposition at least ten days prior to the deposition. Roger Gerdes July 13, 2010 9:00 a.m. July 21, 2010 9:00 a.m. Peter Dowding The 23rd is not suitable for Mr. Dowding. The 21st is his preference. TimeBase Pty Ltd. July 22, 2010 9:00 a.m. Dockets.Justia.com 55402 Leonie Muldoon July 23, 2010 Faegre & Benson 2200 Wells Fargo 9:00 a.m. TimeBase will not Center object to 90 S. 7th Street reasonable Minneapolis, MN overlap to the 55402 23rd. Vishal Khatri July 26, 2010 Howrey LLP 9:00 a.m. 1299 Pennsylvania Ave. N.W. Washington, D.C. 20004 Deutsche Bank July 29, 2010 Howrey LLP AG 9:00 a.m. 601 Lexington Ave., Floor 54 New York, NY 10022 Deutsche Asset August 3, 2010 Norton Rose Management 9:00 a.m. Level 18 (Australia) Grosvenor Place 225 George Street Sydney NSW 2000 Peter Mariani August 5, 2010 Norton Rose 9:00 a.m. Level 18 Grosvenor Place 225 George Street Sydney NSW 2000 Geoffrey J. Nolan August 6, 2010 Norton Rose 9:00 a.m. Level 18 Grosvenor Place 225 George Street Sydney NSW 2000 Paul W. Leslie August 9, 2010 Norton Rose 9:00 a.m. Level 18 Grosvenor Place 225 George Street Sydney NSW 2000 Abha Lessing August 10, 2010 Norton Rose 9:00 a.m. Level 18 Grosvenor Place 225 George Street Sydney NSW 2000 Christoph August 11, 2010 Norton Rose Schnelle 9:00 a.m. Level 18 2 Mr. Khatri has confirmed the date. See Mr. Hosteny's letter of June 24, 2010. The date is being checked as it may not be suitable for the deponent. The date is being checked as it may not be suitable for the deponent. The date is being checked as it may not be suitable for the deponent. The notice is inaccurate. As the defendants have been advised, TimeBase does not represent the deponent. The notice is inaccurate. As the defendants have Gene Lorenz Unknown Grosvenor Place 225 George Street Sydney NSW 2000 Unknown Scott Berggren Unknown Unknown Clifford Browning Unknown Unknown been advised, TimeBase does not represent the deponent. The defendants have informally indicated that a deposition would be taken. However, they have not issued any notice. TimeBase understands this deposition is not being sought. The defendants have informally indicated that a deposition would be taken. However, they have not issued any notice. TimeBase understands this deposition is not being sought. The defendants have informally indicated that a deposition would be taken. However, they have not issued any notice. TimeBase understands this deposition is not being sought. /s/ Joseph N. Hosteny Joseph N. Hosteny Arthur A. Gasey Robert A. Conley Niro, Haller & Niro 181 West Madison Street, Suite 4600 Chicago, IL 60602 Telephone: 3122360733 Fax: 3122363137 Email: hosteny@nshn.com Email: gasey@nshn.com Email: rconley@nshn.com 3 Michael R. Cunningham Attorney No. 20424 GRAY, PLANT, MOOTY, MOOTY & BENNETT, P.A. 500 IDS Center 80 South Eighth Street Minneapolis, Minnesota 55402 Telephone: (612) 6323000 Fax: (612) 6324444 michael.cunningham@gmplaw.com 4 CERTIFICATE OF SERVICE The undersigned hereby certifies that TIMEBASE'S NOTICE AND STATUS REGARDING DEPOSITIONS AS OF JULY 6 2010 was served on July 6, 2010 upon Thomson Corporation's counsel, listed below, by email and first class mail: Calvin L. Litsey; CLitsey@faegre.com FaegreThomsonList Faegre & Benson LLP 2200 Wells Fargo Center 90 South Seventh Street Minneapolis, Minnesota 55402 Phone: 6127667000 Fax: 6127661600 Attorneys for Thomson Corporation /s/ Joseph N. Hosteny

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