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Case 5:05-cv-00334-RMW Document 2387 Filed 10/20/2008 Page 1 of 3

1 Parties Listed On Signature Page


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8 UNITED STATES DISTRICT COURT


9 NORTHERN DISTRICT OF CALIFORNIA, SAN JOSE DIVISION
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11 RAMBUS INC., CASE NO.: C 05-00334 RMW


12 Plaintiff, STIPULATION AND [PROPOSED]
ORDER TO EXTEND THE DEADLINE
13 vs. FOR ANY MOTION TO COMPEL
RESPECTING THE DEPOSITION OF
14 HYNIX SEMICONDUCTOR INC., et al., MICRON’S 30(B)(6) WITNESS ON TOPIC
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15 Defendant.
Judge: Hon. Ronald M. Whyte
16 Courtroom: 6
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RAMBUS INC., CASE NO.: C 05-02298 RMW
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Plaintiff,
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vs.
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SAMSUNG ELECTRONICS CO., LTD.,
21 et al.,
22 Defendant.
23 RAMBUS INC., CASE NO. C-06-00244 RMW
24 Plaintiff,
25 vs.
26 MICRON TECHNOLOGY INC., et al,
27 Defendants.
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STIP. AND [PROP’D] ORDER EXTENDING TIME FOR ANY
MOTION TO COMPEL MICRON’S 30(B)(6) DEPOSITION ON 05-00334 RMW; 05-02298 RMW; 06-244 RMW
TOPIC 5
Case 5:05-cv-00334-RMW Document 2387 Filed 10/20/2008 Page 2 of 3

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WHEREAS, on October 8, 2008, Rambus took the deposition of defendants
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Micron Technology, Inc. and Micron Semiconductor Products, Inc. (“Micron”) on Topics 4 and 5
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of Rambus Inc.’s Amended Notice of Deposition Pursuant to Fed. R. Civ. P. 30(b)(6) Re: Sales of
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Accused Products (the “Micron 30(b)(6) Deposition”);
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WHEREAS, pursuant to the parties’ prior agreement and stipulation, Rambus has
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seven (7) court days from the date on which the Micron 30(b)(6) Deposition was conducted (i.e.,
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until October 20, 2008) to file a motion to compel on testimony objections and documents
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discovered in such deposition;
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WHEREAS, the parties have met and conferred respecting certain issues raised by
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Rambus regarding the witness’s preparation and testimony as to Topic 5, and intend to continue
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to meet and confer respecting such issues;
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WHEREAS, the parties have agreed that Rambus shall have until October 27,
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2008, to file a motion to compel respecting Topic 5 in Micron 30(b)(6) Deposition.
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STIP. AND [PROP’D] ORDER EXTENDING TIME FOR ANY
MOTION TO COMPEL MICRON’S 30(B)(6) DEPOSITION ON -1- 05-00334 RMW; 05-02298 RMW; 06-244 RMW
TOPIC 5
Case 5:05-cv-00334-RMW Document 2387 Filed 10/20/2008 Page 3 of 3

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NOW, THEREFORE, IT IS ORDERED THAT,
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Rambus shall have until October 27, 2008 to file a motion to compel respecting Topic 5 in the
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Micron 30(b)(6) Deposition.
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SO ORDERED
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DATED: ________________________ ____________________________________
6 The Honorable Read Ambler (ret)
Special Master
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8 DATED: October 20, 2008 MUNGER, TOLLES & OLSON LLP


9 SIDLEY AUSTIN LLP
10 McKOOL SMITH P.C.
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By: /s/
12 ROLLIN RANSOM
13 Attorneys for RAMBUS INC.
14 DATED: October 20, 2008 WEIL, GOTSHAL & MANGES LLP
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By: /s/
16 ELIZABETH WEISWASSER
17 Attorneys for MICRON TECHNOLOGY
INC., et. al.
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Filer's Attestation:
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I, Rollin Ransom, am the ECF user whose identification and password are being used to
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file this STIPULATION AND [PROPOSED] ORDER TO EXTEND THE DEADLINE FOR
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ANY MOTION TO COMPEL RESPECTING THE DEPOSITION OF MICRON’S
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30(B)(6) WITNESS ON TOPIC 5. In compliance with General Order 45.X.B, I hereby attest
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that Elizabeth Weiswasser concurs in this filing.
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By: _____/s/____________________________
26 Rollin Ransom
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STIP. AND [PROP’D] ORDER EXTENDING TIME FOR ANY
MOTION TO COMPEL MICRON’S 30(B)(6) DEPOSITION ON -2- 05-00334 RMW; 05-02298 RMW; 06-244 RMW
TOPIC 5

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