Filed: Dec. 12, 2016
Latest Update: Dec. 12, 2016
Summary: STIPULATION AND ORDER REGARDING EXTENSION OF DISCOVERY CUTOFF WILLIAM H. ORRICK , District Judge . Pursuant to Civil Local Rules 6-2 and 7-12, Plaintiff EON Corp. IP Holdings, LLC ("EON") and Defendant Apple Inc. ("Apple") by and through their counsel, file this Stipulation and Proposed Order Regarding Extension of Fact Discovery Cutoff. WHEREAS, on November 30, 2015, the Court issued its Civil Pretrial Order setting the current schedule ( see ECF No. 161); WHEREAS, the parties require a
Summary: STIPULATION AND ORDER REGARDING EXTENSION OF DISCOVERY CUTOFF WILLIAM H. ORRICK , District Judge . Pursuant to Civil Local Rules 6-2 and 7-12, Plaintiff EON Corp. IP Holdings, LLC ("EON") and Defendant Apple Inc. ("Apple") by and through their counsel, file this Stipulation and Proposed Order Regarding Extension of Fact Discovery Cutoff. WHEREAS, on November 30, 2015, the Court issued its Civil Pretrial Order setting the current schedule ( see ECF No. 161); WHEREAS, the parties require a ..
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STIPULATION AND ORDER REGARDING EXTENSION OF DISCOVERY CUTOFF
WILLIAM H. ORRICK, District Judge.
Pursuant to Civil Local Rules 6-2 and 7-12, Plaintiff EON Corp. IP Holdings, LLC ("EON") and Defendant Apple Inc. ("Apple") by and through their counsel, file this Stipulation and Proposed Order Regarding Extension of Fact Discovery Cutoff.
WHEREAS, on November 30, 2015, the Court issued its Civil Pretrial Order setting the current schedule (see ECF No. 161);
WHEREAS, the parties require a short extension of fact discovery to complete responses to pending discovery and conduct requested fact depositions before the current Fact Discovery Cutoff (December 21, 2016) due to conflicts with the parties' and witnesses' schedules for the approaching holidays;
WHEREAS, the parties agree that such extension shall apply to discovery requests and deposition notices that have already been served or requested in writing, and that such extension shall not permit the parties to serve any new discovery requests or requests for deposition(s);
NOW, THEREFORE, the parties stipulate and agree, subject to the Court's approval, that: (1) the Fact Discovery Cutoff for completing pending discovery requests shall be extended 30 days from December 21, 2016 to January 20, 2017;
(2) as a result, the deadlines for fact discovery motions, expert disclosures, expert rebuttals, expert discovery cutoff, and expert discovery motions shall all be extended 30 days as shown in the Revised Schedule below;
(3) the dates for the pretrial conference and trial shall remain the same; and
(4) the Revised Schedule shown below shall be adopted for this case.
Event Current Schedule Revised Schedule
Fact discovery cutoff December 21, 2016 January 20, 2017
Deadline for fact discovery motions January 11, 2017 February 10, 2017
Expert disclosure January 11, 2017 February 10, 2017
Expert rebuttal February 13, 2017 March 15, 2017
Expert discovery cutoff March 13, 2017 April 12, 2017
Deadline for expert discovery motions March 27, 2017 April 26, 2017
Pretrial Conference September 25, 2017 September 25, 2017
2:00 p.m. 2:00 p.m.
Trial October 23, 2017 October 23, 2017
8:30 a.m. 8:30 a.m.
ORDER
PURSUANT TO STIPULATION, IT IS SO ORDERED.
FILER'S ATTESTATION
Pursuant to Civil Local Rule 5-1(i)(3), the filer of this document attests that concurrence in the filing of this document has been obtained from the other signatory above.
Dated: December 8, 2016.
SIDLEY AUSTIN LLP
By: Bryan K. Anderson
Bryan K. Anderson, SBN 170666
bkanderson@sidley.com
Attorneys for Defendant
APPLE INC.