Datatreasury Corporation v. Wells Fargo & Company et al

Filing 425

NOTICE by The Bank of New York, The Bank of New York Co, Inc. NOTICE OF DECISION REGARDING STIPULATION (Ainsworth, Jennifer)

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Datatreasury Corporation v. Wells Fargo & Company et al Doc. 425 Case 2:06-cv-00072-DF-CMC Document 425 Filed 01/19/2007 Page 1 of 3 UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF TEXAS MARSHALL DIVISION DATATREASURY CORPORATION, Plaintiff, v. WELLS FARGO & COMPANY, et al., Defendants. ) ) ) ) ) ) ) ) ) ) ) Civil Action No. 2-06CV-72 THE BANK OF NEW YORK AND THE BANK OF NEW YORK COMPANY, INC.'S NOTICE OF ACCEPTANCE OF STIPULATION REQUIRED FOR STAY The Court, having recently issued an order to stay litigation in three related cases, ordered (Docket No. 411) that this case be stayed as to U.S. Patent Nos. 5,910,988 and 6,032,137 (hereafter "Ballard Patents") in light of the ex parte reexamination initiated by First Data Corporation (hereafter "petitioner") of the Ballard Patents. As a required condition of the Court's stay, the Defendants The Bank Of New York and The Bank Of New York Company, Inc. (collectively "BNY") hereby notify the Court that they accept the following stipulation and the concomitant stay of all proceedings related to the Ballard Patents: As a condition of the stay, Defendant may not argue invalidity at trial based on one or more prior art printed publications that were submitted by the petitioner in the reexamination proceedings. However, Defendant will be permitted to rely for obviousness on the combination of a printed publication reference that was submitted by petitioner in the reexamination with prior art that was not so submitted. Defendants further note that they will work with Plaintiff in this matter to keep the Court apprised of developments in the reexamination which may impact the ordered stay. THE BANK OF NEW YORK AND THE BANK OF NEW YORK COMPANY, INC.'S NOTICE OF ACCEPTANCE OF STIPULATION REQUIRED FOR STAY ­ Page 1 Dockets.Justia.com Case 2:06-cv-00072-DF-CMC Document 425 Filed 01/19/2007 Page 2 of 3 Dated: January 19, 2007 Respectfully submitted, /s/ Jennifer Parker Ainsworth f Jennifer Parker Ainsworth Texas Bar No. 00784720 WILSON, SHEEHY, KNOWLES, ROBERTSON & CORNELIUS, P.C. 909 ESE Loop 323 Suite 400 Tyler, Texas 75701 T: (903) 509-5000 F: (903) 509-5092 jainsworth@wilsonlawfirm.com Richard Hogan Texas Bar No. 09802010 PILLSBURY WINTHROP SHAW PITTMAN LLP 2 Houston Center 909 Fannin Street 22nd Floor Houston TX 77010 T: (713) 425-7327 F: (713) 425-7373 richard.hogan@pillsburylaw.com Raymond L. Sweigart (admitted pro hac vice) Scott J. Pivnick (admitted pro hac vice) PILLSBURY WINTHROP SHAW PITTMAN LLP 1650 Tysons Blvd. McLean, VA 22102-4859 T: (703) 770-7900 F: (703) 905-2500 raymond.sweigart@pillsburylaw.com scott.pivnick@pillsburylaw.com Attorneys for Defendants, The Bank Of New York and The Bank Of New York Company, Inc. THE BANK OF NEW YORK AND THE BANK OF NEW YORK COMPANY, INC.'S NOTICE OF ACCEPTANCE OF STIPULATION REQUIRED FOR STAY ­ Page 2 Case 2:06-cv-00072-DF-CMC Document 425 Filed 01/19/2007 Page 3 of 3 CERTIFICATE OF SERVICE The undersigned certifies that the foregoing document was filed electronically in compliance with Local Rule CV-5(a). As such, this motion was served on all counsel who have consented to electronic service, Local Rule CV-5(a)(3)(A), on this the 19th day of January, 2007. /s/ Jennifer Parker Ainsworth______ Jennifer Parker Ainsworth THE BANK OF NEW YORK AND THE BANK OF NEW YORK COMPANY, INC.'S NOTICE OF ACCEPTANCE OF STIPULATION REQUIRED FOR STAY ­ Page 3

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