Eolas Technologies Incorporated v. Adobe Systems Incorporated et al

Filing 968

MOTION to Compel LOG-IN INFORMATION FOR STAPLESLINK.COM AND EWAY.COM FROM STAPLES INC. by Eolas Technologies Incorporated. (Attachments: # 1 Attachment A, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Exhibit 12, # 14 Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Exhibit 19, # 21 Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23, # 25 Exhibit 24, # 26 Exhibit 25, # 27 Text of Proposed Order)(McKool, Mike)

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EXHIBIT 8 Gretchen Curran From: Sent: To: Cc: Subject: Matuschak, Mark [Mark.Matuschak@wilmerhale.com] Friday, July 08, 2011 10:44 AM Tom Fasone III Hutchins, Kate; MRichardson@brsfirm.com; Williams, Daniel V.; John B. Campbell; Josh Budwin; Hardt, Jonathan; Steinberg, Don; Ewenstein, Richard I; Eolas; Bob Kramer; Matt Rappaport RE: Eolas/Staples: Stipulation Regarding Business to Business Websites and Features Hi Tom We didn't promise any specific date but said we hoped to have something this week but given the holiday we weren't certain about that. As it turns out, our client is on vacation this week, which I didn't know at the time of the conference. We'll be back to you on this promptly once he returns next week. Regards, Mark -----Original Message----From: Tom Fasone III [mailto:tfasone@McKoolSmith.com] Sent: Friday, July 08, 2011 11:41 AM To: Matuschak, Mark Cc: Hutchins, Kate; MRichardson@brsfirm.com; Williams, Daniel V.; John B. Campbell; Josh Budwin; Hardt, Jonathan; Steinberg, Don; Ewenstein, Richard I; Eolas; Bob Kramer; Matt Rappaport Subject: RE: Eolas/Staples: Stipulation Regarding Business to Business Websites and Features Mark I understand from our team members who participated in the LR7 conference on June 28, wherein Staples promised to provide a stipulation on its business to business websites and their features, that you indicated that Staples would provide the proposed stipulation at the beginning of this week. Today is Friday and Eolas has yet to receive the proposed stipulation from your client. Given the potential impact that this stipulation may have on Eolas' prosecution of its case against Staples within the current deadlines in this litigation, it is imperative that Eolas receive the promised proposed stipulation without further delay. Please advise. Tom -----Original Message----From: Tom Fasone III Sent: Tuesday, July 05, 2011 8:54 PM To: Tom Fasone III Cc: kate.hutchins@wilmerhale.com; mrichardson@brsfirm.com; Matuschak, Mark; John B. Campbell; Josh Budwin Subject: Re: Eolas/Staples: Stipulation Regarding Business to Business Websites and Features ERRATA: Tuesday's LR7 conference Tom 1 On Jul 5, 2011, at 3:52 PM, "Tom Fasone III" <tfasone@McKoolSmith.com> wrote: > > Kate, Mark, and Michael > > I write to follow up on the parties' LR7 conference last Thursday, June 30. > > Eolas would very much appreciate it if Staples could provide its proposed stipulation for addressing the business to business websites and their features by no later than the close of business on Thursday, July 7. Given that fact discovery closes on August 12, Eolas needs ample time in advance of the deadline to consider the proposed stipulation to make sure that it adequately addresses its concerns. > > Thank you for your attention to this matter. > > Best, > > Tom 2

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