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COLLABORATIVE AGREEMENTS, LLC v. ADOBE SYSTEMS INCORPORATED, 3:15-cv-03853-EMC. (2015)

Court: District Court, N.D. California Number: infdco20151224779 Visitors: 8
Filed: Dec. 23, 2015
Latest Update: Dec. 23, 2015
Summary: STIPULATION TO EXTEND CERTAIN DISCOVERY DEADLINES EDWARD M. CHEN , District Judge . COMES NOW Plaintiff Collaborative Agreements, LLC d/b/a Oui Agree ("Oui Agree" or "Plaintiff") and Defendant Adobe Systems Incorporated ("Adobe" or "Defendant"), by and through their undersigned counsel, and hereby notify the Court that they have reached an agreement and stipulate to the extension of certain Discovery Deadlines as indicated below. EVENT CURRENT DEADLINE PROP
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STIPULATION TO EXTEND CERTAIN DISCOVERY DEADLINES

COMES NOW Plaintiff Collaborative Agreements, LLC d/b/a Oui Agree ("Oui Agree" or "Plaintiff") and Defendant Adobe Systems Incorporated ("Adobe" or "Defendant"), by and through their undersigned counsel, and hereby notify the Court that they have reached an agreement and stipulate to the extension of certain Discovery Deadlines as indicated below.

EVENT CURRENT DEADLINE PROPOSED DEADLINE P. R. 3-1 Infringement Contentions December 24, 2015 January 4, 2016 P. R. 3-2 Document Production December 24, 2015 January 22, 2016 Accompanying Disclosure P. R. 3-3 Invalidity Contentions February 7, 2016 February 25, 2016 P. R. 3-4 Document Production February 7, 2016 March 7, 2016 Accompanying Disclosure P. R. 3-7 Advice of Counsel (50 days after Claim April 6, 2016 Disclosure Construction Order Order)

The parties stipulate and request that the proposed Discovery deadlines be adopted as follows:

EVENT DEADLINE P. R. 3-1 Infringement January 4, 2016 Contentions P. R. 3-2 Document January 22, 2016 Production Accompanying Disclosure P. R. 3-3 Invalidity February 25, 2016 Contentions P. R. 3-4 Document March 7, 2016 Production Accompanying Disclosure P. R. 3-7 Advice of Counsel April 6, 2016 Disclosure

The parties also stipulate that none of the proposed deadlines shall detrimentally affect a party's right to discovery that is "focused on Defendants' early motion for summary adjudication" per the Court's Case Management Conference and Pretrial Order (Dkt. No. 134).

CONSENT TO FILING PURSUANT TO GENERAL ORDER 45(X)

The undersigned hereby attests that written concurrence in the filing of the Stipulation Extending Certain Discovery Deadlines has been obtained from each of the parties listed in the signature block above.

Source:  Leagle

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