Northeastern University et al v. Google, Inc.,

Filing 205

Agreed MOTION for Leave to File Excess Pages for Reply ISO Jarosz Motion to Exclude by Google, Inc.,. (Attachments: # 1 Text of Proposed Order Proposed Order Google Motion to Exceed Page Limit Jarosz)(Scarpati, Jennifer)

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Northeastern University et al v. Google, Inc., Doc. 205 IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF TEXAS MARSHALL DIVISION NORTHEASTERN UNIVERSITY and JARG CORPORATION, Plaintiffs, v. GOOGLE INC., Defendant. DEFENDANT GOOGLE INC.'S UNOPPOSED MOTION FOR LEAVE TO EXCEED PAGE LIMIT Defendant Google Inc. ("Google") files this Unopposed Motion for Leave to Exceed Page Limit concerning Defendant Google Inc.'s Reply in Support of its Motion to Exclude the Expert Testimony of John Jarosz. Plaintiffs' Opposition is filed at Dkt. No. 181, and Google's initial Motion to Exclude may be found at Dkt. No. 155. Defendant Google respectfully shows as follows: Google seeks leave to file its Reply in Support of its Motion to Exclude the Expert Testimony of John Jarosz ("the Reply"), which is 10 pages in length, excluding exhibits. The Reply exceeds the page limit set forth in Local Rule CV-7(a)(2) by 5 pages, excluding exhibits. The additional pages are necessary because of the sheer number of issues raised in Plaintiffs' 30-page Opposition that require responsive briefing. Plaintiffs filed an unopposed motion for leave to file excess with respect to this Opposition at D.I. 182. The additional pages in Google's Reply are also necessitated by the severity of the relief sought by Google, including, inter alia, the exclusion of the testimony, analysis, and opinions of John Jarosz, Plaintiffs' damages expert. DEFENDANT GOOGLE INC.'S UNOPPOSED MOTION FOR LEAVE TO EXCEED PAGE LIMIT -Page 1 Civil Action No. 2:07-CV-486- CE Jury Trial Demand Dockets.Justia.com Google's counsel has conferred with counsel for Plaintiffs, and said counsel is not opposed to this Motion. Dated: April 7, 2011 Respectfully submitted, FISH & RICHARDSON P.C. By: /s/ Jennifer N. Scarpati Jennifer Parker Ainsworth (SBN 00784720) jainsworth@wilsonlawfirm.com WILSON, ROBERTSON&CORNELIUS, P.C. 909 ESE Loop 323, Suite 400 Tyler, TX 75701 Telephone: (903) 509-5000 Facsimile: (903) 509-5092 Michael E. Jones (SBN 10929400) mikejones@potterminton.com POTTER MINTON 110 N. College, Suite 500 Tyler, TX 75702 Telephone: (903) 597-8311 Facsimile: (903) 593-0846 Ruffin B. Cordell (SBN 04820550) cordell@fr.com FISH & RICHARDSON P.C. 1425 K Street, N.W., 11th Floor Washington, DC 20005-3500 Telephone: (202) 783-5070 Facsimile: (202) 783-2331 Jason W. Wolff (CA SBN 215819) wolff@fr.com Frank Albert (Admitted Pro Hac Vice) albert@fr.com FISH & RICHARDSON P.C. 12390 El Camino Real San Diego, CA 92130 Telephone: (858) 678-5070 Facsimile: (858) 678-5099 DEFENDANT GOOGLE INC.'S UNOPPOSED MOTION FOR LEAVE TO EXCEED PAGE LIMIT -Page 2 Jennifer N. Scarpati (Admitted Pro Hac Vice) scarpati@fr.com FISH & RICHARDSON P.C. 601 Lexington Avenue, 52nd Floor New York, NY 10022-4611 Telephone: (212) 641-2257 Facsimile: (212) 258-2291 Howard G. Pollack (Admitted Pro Hac Vice) pollack@fr.com Shelley K. Mack (Admitted Pro Hac Vice) mack@fr.com Jerry T. Yen (CA SBN 247988) yen@fr.com Enrique D. Duarte (Admitted Pro Hac Vice) duarte@fr.com FISH & RICHARDSON P.C. 500 Arguello Street, Suite 500 Redwood City, CA 94063 Telephone: (650) 839-5070 Facsimile: (650) 839-5071 Attorneys for Defendant GOOGLE INC. 50458266.doc DEFENDANT GOOGLE INC.'S UNOPPOSED MOTION FOR LEAVE TO EXCEED PAGE LIMIT -Page 3 CERTIFICATE OF SERVICE The undersigned hereby certifies that on April 7, 2011, a true and correct copy of the above and foregoing document was served on all counsel of record who are deemed to have consented to electronic service via the Court's CM/ECF system pursuant to Local Rule CV-5(a)(3). Any other counsel of record not deemed to have consented to electronic service were served by email and/or U.S. Mail on April 7, 2011. /s/ Jennifer N. Scarpati Jennifer N. Scarpati DEFENDANT GOOGLE INC.'S UNOPPOSED MOTION FOR LEAVE TO EXCEED PAGE LIMIT -Page 4 CERTIFICATE OF CONFERENCE The undersigned hereby certifies that counsel for Google has complied with the meet and confer requirements under Local Rule CV-7(h). Counsel for the parties conducted a meet and confer via email on April 7, 2011, and the present motion is unopposed. /s/ Jennifer N. Scarpati Jennifer N. Scarpati DEFENDANT GOOGLE INC.'S UNOPPOSED MOTION FOR LEAVE TO EXCEED PAGE LIMIT -Page 5

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