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Message: Pacer: e.DIGITAL v. Dropcam - Additional time to resolve disputed claim terms

ANTON HANDAL (Bar No. 113812)

PAMELA C. CHALK (Bar No. 216411)

GABRIEL HEDRICK (Bar No. 220649)

HANDAL & ASSOCIATES

750 B Street, Suite 2510

San Diego, California 92101

Telephone: 619.544.6400

Facsimile: 619.696.0323

E-Mail: anh@handal-law.com

pchalk@handal-law.com

ghedrick@handal-law.com

Attorneys for Plaintiff

E.DIGITAL CORPORATION

STEFANI E. SHANBERG (State Bar No. 206717)

JENNIFER J. SCHMIDT (State Bar No. 295579)

MADELEINE E. GREENE (State Bar No. 263120)

WILSON SONSINI GOODRICH & ROSATI

Professional Corporation

One Market Plaza

Spear Tower, Suite 3300

San Francisco, California 94105

Telephone: (415) 947-2000

Facsimile: (415) 947-2099

E-Mail: sshanberg@wsgr.com

jschmidt@wsgr.com

mgreene@wsgr.com

Attorneys for Defendant

DROPCAM, INC.

UNITED STATES DISTRICT COURT

NORTHERN DISTRICT OF CALIFORNIA

E.DIGITAL CORPORATION,

Plaintiff,

v.

DROPCAM, INC.,

Defendant.

Case No. 3:14-cv-04922-JST

JOINT STIPULATION EXTENDING

TIME TO EXCHANGE AUDIO-VISUAL

MATERIALS SO THAT THE PARTIES

MAY HAVE ADDITIONAL TIME TO

TRY TO RESOLVE THEIR ISSUES

WITH RESPECT TO ONE OR MORE

DISPUTED CLAIM TERMS










WHEREAS, Plaintiff e.Digital Corporation (“e.Digital”) and Defendant Dropcam, Inc.

(“Dropcam”) (collectively, the “Parties”) hereby make a stipulated request to alter the date to

exchange copies of any audio-visual materials to be used in the claim construction hearing, as

required by the Court’s Order of July 22, 2015 (Dkt. No. 65), from to July 28, 2015 to July 29,

2015;

WHEREAS, the Parties have met and conferred to attempt to resolve their issues with

respect to one or more disputed claim terms;

WHEREAS, the Parties have come to an agreement with respect to the claim term

“accurate”;

WHEREAS, the Parties are still meeting and conferring to determine whether they can

reach a compromise with respect to one or more other currently disputed claim terms;

WHEREAS, the proposed modification of time will not alter the date of any event or any

deadline already fixed by Court order.

IT IS HEREBY STIPULATED AND AGREED, pursuant to Civil Local Rule 6-1, by

e.Digital and Dropcam, through their respective counsel, that the date to exchange between the

parties copies of any audio-visual materials to be used in the claim construction hearing is

modified from July 28, 2015 to July 29, 2015.

IT IS SO STIPULATED, through Counsel of Record.

Dated: July 28, 2015 WILSON SONSINI GOODRICH & ROSATI

Professional Corporation

By:

Madeleine E. Greene

Attorneys for Defendant

DROPCAM, INC.

Dated: July 28, 2015 HANDAL & ASSOCIATES

By:

Pamela C. Chalk

Attorneys for Plaintiff

E.DIGITAL CORPORATION

/s/ Madeleine E. Greene

/s/ Pamela C. Chalk











ORDER

PURSUANT TO STIPULATION, IT IS SO ORDERED.

DATED: ______________________ ____________________________

The Honorable Jon S. Tigar

United States District Judge

July 28, 2015

UNITED STATES DISTRICT COURT

NORTHERN DISTRIC

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