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Published by: sabatino123 on Jun 19, 2013
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2013-1087(Reexamination Nos. 95/001,108 & 95/001,154)____________________________IN THEUNITED STATES COURT OF APPEALSFOR THE FEDERAL CIRCUIT
 _____________________ RAMBUS, INC.,
 Appellant 
,v.MICRON TECHNOLOGY, INC.,
 Appellee
. _________________________ Appeal from the United States Patent and Trademark Office,Patent Trial and Appeal Board. _________________________ 
R
AMBUS
I
NC
.’
S
U
NOPPOSED
M
OTION FOR
E
NLARGEMENT OF
T
IME TO
F
ILE
R
EPLY
B
RIEF
 ________________________
Appellant Rambus Inc. (Rambus) respectfully moves this Court for anenlargement of time of twenty-one (21) days, or up to and including July 22, 2013,for Rambus to file its reply brief. Rambus’s reply brief is currently due on July 1,2013.This motion is made in good faith by counsel and not for the purpose of delay or other procedural advantage. Rambus has not previously sought anyextensions of time for the filing of this reply brief. Rambus previously received a
Case: 13-1087 Document: 34 Page: 1 Filed: 06/19/2013
 
 
260-day extension to file its principal brief, and Appellee Micron Technology, Inc. previously received a 29-day extension to file its principal brief. A declarationsupporting these facts accompanies this motion. A proposed order granting therelief requested in this motion is attached.Counsel for Micron Technology, Inc. has indicated that it does not opposethis motion.Dated: June 19, 2013 Respectfully submitted,/s/ James R. BarneyJ. Michael JakesJames R. BarneyMolly R. SilfenFinnegan, Henderson, Farabow,Garrett & Dunner, LLP901 New York Ave., NWWashington, DC20001Telephone: (202) 408-4000
 Attorneys for Appellant  Rambus, Inc.
Case: 13-1087 Document: 34 Page: 2 Filed: 06/19/2013
 
2013-1087(Reexamination Nos. 95/001,108 & 95/001,154)____________________________IN THEUNITED STATES COURT OF APPEALSFOR THE FEDERAL CIRCUIT
 _____________________ RAMBUS, INC.,
 Appellant 
,v.MICRON TECHNOLOGY, INC.,
 Appellee
. _________________________ Appeal from the United States Patent and Trademark Office,Patent Trial and Appeal Board. _________________________ 
DECLARATION OF JAMES R. BARNEY
1.
 
I submit this declaration in accordance with Federal Circuit Rule26(b)(5) and in support of Rambus Inc.’s (“Rambus’s”) motion for a 21-dayextension of time for filing its reply brief.2.
 
I am an attorney with Finnegan, Henderson, Farabow, Garrett &Dunner, LLP, which represents Rambus in this appeal. I am the attorney principally responsible for supervising and preparing Rambus’s briefs in thisappeal.3.
 
This motion is made in good faith and not for the purpose of delay or other procedural advantage.
Case: 13-1087 Document: 34 Page: 3 Filed: 06/19/2013

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