I/P Engine, Inc. v. AOL, Inc. et al
Filing
211
Declaration re 210 Brief in Support of Jen Ghaussy in Support of Motion to Compel Plaintiff to Produce Documents by Google Inc.. (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D, # 5 Exhibit E, # 6 Exhibit F, # 7 Exhibit G, # 8 Exhibit H, # 9 Exhibit I, # 10 Exhibit J, # 11 Exhibit K, # 12 Exhibit L, # 13 Exhibit M, # 14 Exhibit N, # 15 Exhibit O, # 16 Exhibit P, # 17 Exhibit Q, # 18 Exhibit R, # 19 Exhibit S, # 20 Exhibit T, # 21 Exhibit U)(Noona, Stephen)
EXHIBIT O
Emily O'Brien
From:
Sent:
To:
Cc:
Subject:
Jen Ghaussy
Wednesday, June 27, 2012 1:27 PM
Monterio, Charles
zz-IPEngine; QE-IP Engine; Stephen E. Noona
FW: I/P Engine v. AOL et al.
Dear Charles,
You did not respond to my question of why we never received the production of Mr. Kosak’s documents as part of Mr.
Lang’s production, as he is a sender/recipient and the documents are responsive. Please explain this deficiency in Mr.
Lang’s production promptly.
Thank you,
Jen
From: Jen Ghaussy
Sent: Wednesday, May 30, 2012 1:17 PM
To: Monterio, Charles
Cc: zz-IPEngine; QE-IP Engine; AOL-IPEngine@finnegan.com; Noona, Stephen E.
Subject: I/P Engine v. AOL et al.
Dear Charles,
We received Plaintiff’s production today of documents DK 0000001‐13. This production comes on the eve of Kosak’s
deposition, which prejudices Defendants. Defendants reserve all rights. In addition, it is unclear why the emails were
not produced as part of Ken Lang’s documents, as he is a sender/recipient and the documents are responsive. Please
promptly explain Plaintiff’s failure to previously produce these responsive documents.
Jen
Jen Ghaussy
Associate,
Quinn Emanuel Urquhart & Sullivan, LLP
50 California Street, 22nd Floor
San Francisco, CA 94111
415-875-6343 Direct
415.875.6600 Main Office Number
415.875.6700 FAX
jenghaussy@quinnemanuel.com
www.quinnemanuel.com
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