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INTEL CORPORATION v. VITAL INTEL, INC., C 15-03306 EJD. (2016)

Court: District Court, N.D. California Number: infdco20160622956 Visitors: 4
Filed: Jun. 21, 2016
Latest Update: Jun. 21, 2016
Summary: STIPULATED REQUEST TO EXTEND DISCOVERY AND ADR DEADLINES AND [ PROPOSED ] ORDER [CIVIL LOCAL RULE 6-2] EDWARD J. DAVILA , District Judge . This Stipulated Request and Proposed Order is entered into and made by Plaintiff Intel Corporation and Defendant Vital Intel, Inc., by and through their respective counsel of record. The parties previously agreed upon, and on December 15, 2016 the Court ordered, a sixty-day extension of the ADR deadline to enable the parties to hold the ADR session a
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STIPULATED REQUEST TO EXTEND DISCOVERY AND ADR DEADLINES AND [PROPOSED] ORDER [CIVIL LOCAL RULE 6-2]

This Stipulated Request and Proposed Order is entered into and made by Plaintiff Intel Corporation and Defendant Vital Intel, Inc., by and through their respective counsel of record. The parties previously agreed upon, and on December 15, 2016 the Court ordered, a sixty-day extension of the ADR deadline to enable the parties to hold the ADR session after both the initial case management conference and an opportunity to engage in discovery. That time modification did not affect the overall case schedule.

The parties are engaged in a discovery dispute and accordingly believe it most efficient to continue the discovery deadlines and the ADR deadline, as set forth below. The parties do not believe that the requested modification will materially affect the overall schedule of the case.

EVENT DEADLINE Deadline to Hold ADR Session August 11, 2016 Fact Discovery Cutoff September 22, 2016 Designation of Opening Experts with Reports October 13, 2016 Designation of Rebuttal Experts with Reports November 10, 2016 Expert Discovery Cutoff December 1, 2016 Deadline for Filing Discovery Motions See Civil Local Rule 37-3 Deadline for Filing Dispositive Motions January 5, 2017 Last Day to Hear Dispositive Motions February 16, 2017 Trial Setting Conference November 10, 2016 at 11:00 a.m. Joint Trial Setting Conference Statement October 31, 2016

Accordingly, the parties respectfully request that the case calendar be modified accordingly. Respectfullysubmitted,

I, Ian K. Boyd, am the ECF User whose identification and password are being used to file this document. Pursuant to Civil Local Rule 5-1, I hereby attest that counsel for Defendant has concurred in this filing.

PURSUANT TO STIPULATION, IT IS SO ORDERED.

Source:  Leagle

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