Eolas Technologies Incorporated v. Adobe Systems Incorporated et al

Filing 1306

MOTION to Expedite MOTION FOR EXPEDITED BRIEFING ON GO DADDY'S MOTION FOR JUDGMENT UNDER THE COURT'S ORDER (DKT 1305) by The Go Daddy Group, Inc.. (Attachments: # 1 Text of Proposed Order)(McNabnay, Neil)

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UNITED STATES DISTRICT COURT EASTERN DISTRICT OF TEXAS TYLER DIVISION Eolas Technologies Incorporated, et al. Plaintiffs, v. Adobe Systems Inc., et al. Defendants. ) ) ) ) ) ) ) ) ) ) No. 6:09-cv-00446-LED MOTION FOR EXPEDITED BRIEFING ON GO DADDY’S MOTION FOR JUDGMENT UNDER THE COURT’S ORDER (DKT. 1305) Earlier today (January 30, 2012), Defendant the Go Daddy Group, Inc. filed a Motion For Judgment Under The Court’s Order Regarding Go Daddy’s Motion For Summary Judgment Of Noninfringement Based On Its License Defense (Dkt. No. 1305). Go Daddy requests that the Court issue an expedited briefing schedule on this motion and address the motion on an expedited basis. Trial is scheduled to begin on February 6, and it is important that this dispositive motion be fully briefed before then. Accordingly, Go Daddy requests the Court to set an expedited briefing schedule on its Motion For Judgment, and set the due date for plaintiffs’ opposition to Go Daddy’s motion as Thursday, February 2. Dated: January 30, 2012 Respectfully submitted, FISH & RICHARDSON P.C. By: /s/ Neil J. McNabnay Thomas M. Melsheimer Email: melsheimer@fr.com Neil J. McNabnay Email: mcnabnay@fr.com Carl E. Bruce Email: bruce@fr.com FISH & RICHARDSON 1717 Main Street, Suite 5000 Dallas, TX 75201 Tel: (214) 474.5070 Proshanto Mukherji Email: mukherji@fr.com FISH & RICHARDSON One Marina Park Drive Boston, MA 02110-1878 Telephone: (617) 542-5070 Attorneys for Defendant THE GO DADDY GROUP, INC. -1- CERTIFICATE OF SERVICE I hereby certify that all counsel of record who are deemed to have consented to electronic service are being served with a copy of this document via the Court’s CM/ECF system per Local Rule CV-5(a)(3) on January 30, 2011. /s/ Neil J. McNabnay Neil J. McNabnay CERTIFICATE OF CONFERENCE I certify that John Lane, counsel for Go Daddy, conferred over the telephone with counsel for plaintiffs regarding this motion on January 30, 2012. Go Daddy understands this motion to be opposed. Go Daddy remains willing to meet and confer on any issue raised in this motion once the Plaintiff has had the chance to study the motion in detail. /s/ Neil J. McNabnay Neil J. McNabnay -2-

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