Eolas Technologies Incorporated v. Adobe Systems Incorporated et al
Opposed MOTION for Discovery Motion for Leave to Serve Discovery on Apple, Inc., Patrick Heynen and Los Alamos National Laboratory by Adobe Systems Incorporated, Amazon.com Inc., CDW Corporation, Citigroup Inc., Google Inc., J.C. Penney Corporation, Inc., The Go Daddy Group, Inc., Yahoo! Inc., YouTube, LLC. (Attachments: # 1 Text of Proposed Order, # 2 Exhibit 1 - Discovery Topics, # 3 Exhibit 2 - July 20 Email Exchange)(Doan, Jennifer)
Wednesday, July 20, 2011 4:49 PM
FW: Eolas v. Apple et al.; Deposition Schedule Change
I just spoke with John O’Banion. He told me that Teague contacted him at 11:01 AM to let him know that all the depos
are off calendar. As a result, O’Banion has already sent the deponents and the McKool attorneys home. He also
indicated that we should reserve the subpoena for the UC because Apple was the one who served it in the case.
From: John O'Banion [mailto:firstname.lastname@example.org]
Sent: Wednesday, July 20, 2011 5:44 PM
To: Linhong Zhang
Subject: FW: Eolas v. Apple et al.; Deposition Schedule Change
From: Donahey, Teague [mailto:TDonahey@Sidley.com]
Sent: Wednesday, July 20, 2011 11:01 AM
To: John O'Banion; Steve Smith
Cc: Project Apple - Eolas; Bleharski, Aaron
Subject: RE: Eolas v. Apple et al.; Deposition Schedule Change
John and Steve:
Our understanding is that you have been informed by Eolas, but just in case and to avoid ambiguities: Apple is taking
the Rajdev, Baker, Rzeszutko, and Tucker depositions off calendar. Please confirm receipt of this notification. Thanks.
We expect that other defendants in the matter will want to go forward with these depositions. I will provide your
contact information to them and have them contact you directly for scheduling purposes.
Teague I. Donahey
Sidley Austin LLP
555 California Street
San Francisco, California 94104
Direct Line: (415) 772‐7431
Fax: (415) 772‐7400
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