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Case3:08-cv-03343-SI Document267

Filed11/10/11 Page1 of 3

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A PROFESSIONAL CORPORATION ATTORNEYS

[COUNSEL IDENTIFIED ON SIGNATURE PAGE]

UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA, SAN FRANCISCO DIVISION RAMBUS INC., Plaintiff, v. NVIDIA CORPORATION, Defendant. Date: November 18, 2011 Time: 3:00 p.m. Judge: Honorable Susan Illston Case No. C-08-03343 SI STIPULATED MOTION TO CONTINUE 11/18/2011 CASE MANAGEMENT CONFERENCE TO 1/13/2012

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MCKOOL SMITH HENNIGAN

Stipulated Motion to Continue CMC Case No. C-08-03343 SI McKool 403092v1

Case3:08-cv-03343-SI Document267

Filed11/10/11 Page2 of 3

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Currently the parties are scheduled for a case management conference on November 18, 2011. The parties jointly file this stipulated motion in lieu of a joint CMC statement, to report to the Court that discovery is ongoing and that the parties see no need for a case management conference at this time. The parties jointly request that the case management conference

scheduled for November 18, 2011 be rescheduled for January 13, 2012 or as soon thereafter as would be convenient for the Court.1 The parties are not seeking to alter any other dates through this stipulated motion, and agree that the rescheduling of the CMC will not be used as a basis for an argument to alter other dates. Respectfully submitted, Dated: November 10, 2011 MCKOOL SMITH HENNIGAN, A PROFESSIONAL CORPORATION CROWELL & MORING LLP By: /s/ Pierre J. Hubert Pierre J. Hubert 300 West 6th Street, Suite 1700 Austin, Texas 78701 Phone: 512/692-8700 Facsimile: 512/692-8744 Email: phubert@mckoolsmith.com Attorneys for Plaintiff RAMBUS INC. Dated: November 10, 2011 ORRICK, HERRINGTON & SUTCLIFFE LLP By: /s/ I. Neel Chatterjee I. Neel Chatterjee 1000 Marsh Road Menlo Park, California 94025 Phone: 650/614-7400 Facsimile: 650/614-7401 Email: nchatterjee@orrick.com
To spare party resources, the parties jointly seek leave from the declaration requirements for this jointlysought extension.
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A PROFESSIONAL CORPORATION ATTORNEYS

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MCKOOL SMITH HENNIGAN

Stipulated Motion to Continue CMC Case No. C-08-03343 SI McKool 403092v1

Case3:08-cv-03343-SI Document267

Filed11/10/11 Page3 of 3

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A PROFESSIONAL CORPORATION ATTORNEYS

Attorneys for Defendant NVIDIA CORPORATION Filers Attestation: Pursuant to General Order No. 45, X(B), I attest under penalty of perjury that concurrence in the filing of the document has been obtained from its signatory. Dated: November 10, 2011 Respectfully submitted, By: /s/Pierre J. Hubert Pierre J. Hubert

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Stipulated Motion to Continue CMC Case No. C-08-03343 SI McKool 403092v1

MCKOOL SMITH HENNIGAN

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