Eolas Technologies Incorporated v. Adobe Systems Incorporated et al
Filing
476
Unopposed MOTION for Extension of Time to Complete Discovery by Google Inc., YouTube, LLC. (Attachments: # 1 Text of Proposed Order)(Jones, Michael)
Eolas Technologies Incorporated v. Adobe Systems Incorporated et al
Doc. 476
IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF TEXAS TYLER DIVISION EOLAS TECHNOLOGIES INCORPORATED, Plaintiff, v. ADOBE SYSTEMS INC., ET AL, Defendants. Hon. Leonard E. Davis JURY CASE NO. 6:09-cv-446
UNOPPOSED MOTION OF GOOGLE INC. AND YOUTUBE, LLC FOR EXTENSION OF TIME TO COMPLETE CERTAIN DISCOVERY Defendants Google Inc. and YouTube, LLC (collectively "Google") respectfully move the Court to extend (i) their deadline for rolling document production from October 29, 2010 (Dkt. 421) until November 19, 2010, and (ii) their deadline for the exchange of privilege logs from November 17, 2010 (Dkt. 464) until December 8, 2010. Google has been producing documents to Plaintiff on a rolling basis. As part of Google's production, it is using search logic recently negotiated with Plaintiff to comb through material collected from a large number of custodians and to identify documents for production. Google is producing this material on a rolling basis as quickly as reasonably possible and has reached an understanding with Eolas that given the number of accused Google products and the resultant scope of Google's production additional time is required to complete Google's production.
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The parties have met and conferred, and agreed that Google should endeavor to complete its rolling document production by November 19, 2010 and exchange privilege logs by December 8, 2010. As such, this motion is unopposed. This motion is not made for delay, and should not impact any other deadlines applicable to this litigation. Accordingly, Google respectfully moves the Court for an Order extending the deadline for Defendants Google Inc. and YouTube, LLC to produce documents pursuant to Paragraph 2(b) of the Joint Agreed Discovery Order (Dkt. 247) until November 19, 2010 and to exchange their privilege logs pursuant to the Docket Control Order (Dkt. 249) until December 8, 2010.
Dated: October 28, 2010
Respectfully submitted, By: /s/ Michael E. Jones _________________ Michael E. Jones State Bar No. 10929400 Allen F. Gardner State Bar No. 24043679 POTTER MINTON A Professional Corporation 110 N. College, Suite 500 Tyler, Texas 75702 (903) 597-8311 (903) 593-0846 (Facsimile) mikejones@potterminton.com allengardner@potterminton.com
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Scott T. Weingaertner sweingaertner@kslaw.com Robert F. Perry rperry@kslaw.com Christopher C. Carnaval ccarnaval@kslaw.com Mark H. Francis mfrancis@kslaw.com KING & SPALDING LLP 1185 Avenue of the Americas New York, NY 10036-4003 Telephone: (212) 556-2100 Facsimile: (212) 556-2222 ATTORNEYS FOR DEFENDANTS GOOGLE INC. AND YOUTUBE, LLC
CERTIFICATE OF SERVICE
The undersigned hereby certifies that counsel of record who are deemed to have consented to electronic service are being served with a copy of this UNOPPOSED MOTION OF GOOGLE INC. AND YOUTUBE, LLC FOR EXTENSION OF TIME TO COMPLETE CERTAIN DISCOVERY via the Court's CM/ECF system per Local Rule CV5(a)(3) on this the 28th day of October 2010. Any other counsel of record will be served via First Class U.S. Mail on this same date. /s/ Michael E. Jones Michael E. Jones
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