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Case No. 16-cv-02787-WHO
SAMSUNG’S MOTION FOR A PRELIMINARY ANTISUIT INJUNCTION
TO PLAINTIFFS AND COUNTERCLAIM-DEFENDANTS HUAWEI TECHNOLOGIES CO., LTD., HUAWEI DEVICE USA, INC., HUAWEI TECHNOLOGIES USA, INC., AND HISILICON TECHNOLOGIES CO., LTD., AND THEIR COUNSEL OF RECORD PLEASE TAKE NOTICE that on March 14, 2018 at 2:00 p.m., or as soon thereafter as the matter may be heard, in the courtroom of the Honorable William H. Orrick, located at 450 Golden Gate Avenue, San Francisco, California 94102, Defendants and Counterclaim-Plaintiffs Samsung Electronics Co., Ltd., Samsung Electronics America, Inc., and Samsung Research America, Inc. (collectively
“
Samsung
”
) respectfully request that this Court enjoin Huawei Technologies Co., Ltd., Huawei Device USA, Inc., Huawei Technologies USA, Inc., and HiSilicon Technologies Co., Ltd. (collectively
“
Huawei
”
) from taking steps to enforce, anywhere, the injunction issued by the Intermediate People
’
s Court of Shenzhen, China against Samsung on January 11, 2018. This motion is based on this notice of motion and supporting memorandum of points and authorities, the supporting declarations of Dr. Song Lianbing, Guanbin Xie, and Tong Wang, the accompanying exhibits, reply briefing in further support of this motion and supporting declarations and accompanying exhibits, as well as other written or oral argument that Samsung may present to the Court. DATED: February 1, 2018 Respectfully submitted, QUINN EMANUEL URQUHART & SULLIVAN, LLP By
/s/ Charles K. Verhoeven
Charles K. Verhoeven Kevin P.B. Johnson Victoria F. Maroulis Thomas D. Pease David A. Perlson
Attorneys for Samsung Electronics Co., Ltd., Samsung Electronics America, Inc., and Samsung Research America, Inc.
Case 3:16-cv-02787-WHO Document 234-3 Filed 02/01/18 Page 2 of 28