Case details

Court: nysd
Docket #: 1:09-cv-10155
Case Name: Software Freedom Conservancy, Inc. v. Best Buy Co., Inc. et al
PACER case #: 355978
Date filed: 2009-12-14
Date terminated: 2012-09-21
Date of last filing: 2012-09-21
Assigned to: Judge Shira A. Scheindlin
Referred to: Magistrate Judge Gabriel W. Gorenstein (Settlement)
Case Cause: 17:501 Copyright Infringement
Nature of Suit: 820 Copyright
Jury Demand: Defendant
Jurisdiction: Federal Question

Parties

Represented Party Attorney & Contact Info
Software Freedom Conservancy, Inc.
Counter Defendant
Aaron Kyle Williamson
(See above for address)
TERMINATED: 08/26/2011 LEAD ATTORNEY

Michael Andrew Spiegel
(See above for address)
TERMINATED: 09/09/2011 LEAD ATTORNEY

Mishi Choudhary
(See above for address)
TERMINATED: 08/26/2011 LEAD ATTORNEY

Best Buy Co., Inc.
Counter Claimant
TERMINATED: 06/14/2011
David Leichtman
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Emmett J. McMahon
(See above for address)
LEAD ATTORNEY PRO HAC VICE ATTORNEY TO BE NOTICED

Hillel Ira Parness
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Kevin P. Simmons
(See above for address)
TERMINATED: 08/26/2010 LEAD ATTORNEY ATTORNEY TO BE NOTICED

Oren Dov Langer
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Christopher K Larus
(See above for address)
PRO HAC VICE ATTORNEY TO BE NOTICED

Jason Wesley Creech
(See above for address)
TERMINATED: 08/26/2010 ATTORNEY TO BE NOTICED

Sharon E. Roberg-Perez
(See above for address)
ATTORNEY TO BE NOTICED

Samsung Electronics America, Inc.
Defendant
TERMINATED: 05/11/2010
Michael Maras Ratoza
Bullivant Houser Bailey PC 888 S.W. Fifth Ave., Ste. 300 Portland, OR 97204 503 228 6351 Fax: 503 295 0915 Email: michael.ratoza@bullivant.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Westinghouse Digital Electronics, LLC
Defendant
Kyle Bradford Fleming
Renner, Otto, Boisselle, & Sklar, LLP 1621 Euclid Avenue, 19th Floor Cleveland, OH 44115 216-736-3114 Fax: 216-621-6165 Email: kfleming@rennerotto.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Sarah Hawa Bawany Yousuf
Balber, Pickard, Battistoni, Maldonado, & Van Der Tuin 1370 Avenue of the Americas New York, NY 10019 (212)-246-2400 Fax: (212)-765-4212 Email: syousuf@kanekessler.com
ATTORNEY TO BE NOTICED

JVC Americas Corporation
Defendant
TERMINATED: 12/13/2010
David Lawrence Yohai
Weil, Gotshal & Manges LLP (NYC) 767 Fifth Avenue, 25th Fl. New York, NY 10153 (212)3108000 Fax: (212) 310-8007 Email: david.yohai@weil.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

David Efrem Yolkut
Weil, Gotshal & Manges LLP (NYC) 767 Fifth Avenue, 25th Fl. New York, NY 10153 (212)-310-8405 Fax: (212)-310-8007 Email: david.yolkut@weil.com
ATTORNEY TO BE NOTICED

Western Digital Technologies, Inc.
Defendant
TERMINATED: 05/12/2011
Lynn Michelle Marvin
Jones Day (NYC) 222 East 41st Street New York, NY 10017 (212)-326-3978 Fax: (212)-755-7306 Email: lmarvin@JonesDay.com
ATTORNEY TO BE NOTICED

Robert Bosch LLC
Defendant
TERMINATED: 09/13/2010
Judith Shulman Roth
Schiff Hardin LLP 666 Fifth Ave., 17th Floor New York, NY 10103 (212)-753-5000 Fax: (212)-753-5044 Email: jroth@schiffhardin.com

Phoebe Micro, Inc.
Counter Claimant
Andrew Kaver
(See above for address)
LEAD ATTORNEY

Brian Scott Cohen
(See above for address)
ATTORNEY TO BE NOTICED

Humax USA Inc.
Defendant
TERMINATED: 06/23/2010
Airina Lynn Rodrigues
DLA Piper 1251 Avenue of The Americas New York, NY 10020 (212)-335-4673 Fax: (917)-778-8673 Email: airina.rodrigues@dlapiper.com
LEAD ATTORNEY

Andrew Paul Valentine
DLA Piper LLP 2000 University Avenue East Palo Alto, CA 94303 (650)-833-2065 Fax: (650)-833-2001 Email: andrew.valentine@dlapiper.com
LEAD ATTORNEY PRO HAC VICE ATTORNEY TO BE NOTICED

Eugene M. Pak
DLA Piper US LLP (San Francisco) 153 Townsend Street Suite 800 San Francisco, CA 94107 (415836-2500 Fax: (415)836-2501 Email: eugene.pak@dlapiper.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Andrew Lawrence Deutsch
DLA Piper US LLP (NY) 1251 Avenue of the Americas New York, NY 10020 (212) 335-4500 Fax: (212) 335-4501 Email: andrew.deutsch@dlapiper.com
ATTORNEY TO BE NOTICED

Comtred Corporation
Defendant
TERMINATED: 04/06/2010
Emily Bab Kirsch
Reed Smith LLP (NYC) 599 Lexington Avenue New York, NY 10022 (212)-521-5400 Fax: (212)-521-5450 Email: ekirsch@reedsmith.com
LEAD ATTORNEY

Dobbs-Stanford Corporation
Defendant
TERMINATED: 05/12/2010
Justin F. Heinrich
Proskauer Rose LLP (NY) 11 Times Square New York, NY 10036 (212)-969-3277 Fax: (212)-969-2900 Email: jheinrich@proskauer.com
TERMINATED: 08/18/2010 LEAD ATTORNEY

Michael T. Mervis
Proskauer Rose LLP (NY) 11 Times Square New York, NY 10036 (212) 969-3565 Fax: (212)-969-2900 Email: mmervis@proskauer.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Versa Technology Inc.
Defendant
TERMINATED: 01/18/2011
Mark W. Yocca
The Yocca Law Firm LLP 19900 MacArthur Blvd., Suite 650 Irvine, CA 92612 (949) 253-0800
LEAD ATTORNEY PRO HAC VICE ATTORNEY TO BE NOTICED

Paul Kim
The Yocca Law Firm LLP 19900 MacAruthur Blvd Suite 650 Irnvine, CA 92612 (949)-253-0800
LEAD ATTORNEY PRO HAC VICE ATTORNEY TO BE NOTICED

Philippe Alain Zimmerman
Moses & Singer LLP 405 Lexington Avenue New York, NY 10174-1299 (212)554-7400 x7895 Fax: (212)554-7700 Email: pzimmerman@mosessinger.com
TERMINATED: 01/18/2011

ZYXEL Communications Inc.
Defendant
TERMINATED: 11/02/2011
David Leichtman
Robins, Kaplan, Miller & Ciresi, LLP (NYC) 601 Lexington Avenue, Suite 3400 New York, NY 10022 (212) 980-7400 Fax: (212) 980-7499 Email: dleichtman@rkmc.com
LEAD ATTORNEY

Emily Bab Kirsch
(See above for address)
LEAD ATTORNEY

Shiou- Jin Christine Hwang Yang
Law Offices of S.J. Christine Yang 17220 Newhope Street, Suite 101-102 Fountain Valley, CA 92708 (714)-641-4022 Fax: (714)-641-2082
PRO HAC VICE

Astak Inc.
Defendant
TERMINATED: 09/08/2010
Emily Bab Kirsch
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

GCI Technologies Corporation
Defendant
TERMINATED: 03/09/2010
Western Digital Corporation
Defendant
Ognjan Varbanov Shentov
Jones Day (Cleveland ) 901 Lakeside Avenue Cleveland, OH 44114 (212)-326-3650 Fax: (212)-755-7306 Email: ovshentov@jonesday.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Lynn Michelle Marvin
(See above for address)
ATTORNEY TO BE NOTICED

Stela Cristina Tipi
Jones Day (NYC) 222 East 41st Street New York, NY 10017 212 326 3939 326-8311 Fax: (212)-755-7306 Email: schincisan@jonesday.com
ATTORNEY TO BE NOTICED

Erik Andersen
Counter Defendant
Daniel Ben Ravicher
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Westinghouse Digital, LLC
Respondent
Credit Managers Association of California
Objector

Documents

Date Filed Document # Attachment # Short Description Long Description Upload date SHA1 hash
2009-12-14 1 0 Complaint COMPLAINT against Western Digital Technologies, Inc., Robert Bosch LLC, Phoebe Micro, Inc., Humax USA Inc., Comtred Corporation, Dobbs-Stanford Corporation, Versa Technology Inc., ZYXEL Communications Inc., Astak Inc., GCI Technologies Corporation, Best Buy Co., Inc., Samsung Electronics America, Inc., Westinghouse Digital Electronics, LLC, JVC Americas Corporation. (Filing Fee $ 350.00, Receipt Number 708298)Document filed by Software Freedom Conservancy, Inc..(rdz) (ama). (Entered: 12/14/2009) 2010-08-10 09:52:29 eb92a326b1ccdc56a798e23560cc429f6a182e1d
2009-12-14 2 0 Rule 7.1 Corporate Disclosure Statement RULE 7.1 CORPORATE DISCLOSURE STATEMENT. No Corporate Parent. Document filed by Software Freedom Conservancy, Inc..(rdz) (ama). (Entered: 12/14/2009)
2009-12-23 3 0 Stipulation and Order STIPULATION EXTENDING TIME, JVC Americas Corporation answer to complaint due 3/8/2010. (Signed by Judge Shira A. Scheindlin on 12/23/09) (cd) (Entered: 12/28/2009)
2010-01-05 4 0 Certificate of Service Complaints CERTIFICATE OF SERVICE. Astak Inc. served on 12/17/2009, answer due 1/7/2010. Service was accepted by Elliott Ning. Document filed by Software Freedom Conservancy, Inc.. (Williamson, Aaron) (Entered: 01/05/2010)
2010-01-05 5 0 Certificate of Service Complaints CERTIFICATE OF SERVICE. Best Buy Co., Inc. served on 12/16/2009, answer due 1/6/2010. Service was accepted by Tom Harris, Counsel. Document filed by Software Freedom Conservancy, Inc.. (Spiegel, Michael) (Entered: 01/05/2010)
2010-01-05 6 0 Certificate of Service Complaints CERTIFICATE OF SERVICE. Dobbs-Stanford Corporation served on 12/17/2009, answer due 1/7/2010. Service was accepted by J. Fred Dobbs, CEO. Document filed by Software Freedom Conservancy, Inc.. (Spiegel, Michael) (Entered: 01/05/2010)
2010-01-05 7 0 Certificate of Service Complaints CERTIFICATE OF SERVICE. GCI Technologies Corporation served on 12/17/2009, answer due 1/7/2010. Service was accepted by Maria Comerci, Office Manager. Document filed by Software Freedom Conservancy, Inc.. (Spiegel, Michael) (Entered: 01/05/2010)
2010-01-05 8 0 Certificate of Service Complaints CERTIFICATE OF SERVICE. Humax USA Inc. served on 12/17/2009, answer due 1/7/2010. Service was accepted by Sally Weo, Managing Agent. Document filed by Humax USA Inc.. (Spiegel, Michael) (Entered: 01/05/2010)
2010-01-05 9 0 Certificate of Service Complaints CERTIFICATE OF SERVICE. JVC Americas Corporation served on 12/17/2009, answer due 3/8/2010. Service was accepted by Teresa Charrkas, Legal Assistant. Document filed by Software Freedom Conservancy, Inc.. (Spiegel, Michael) (Entered: 01/05/2010)
2010-01-05 10 0 Certificate of Service Complaints CERTIFICATE OF SERVICE. Phoebe Micro, Inc. served on 12/17/2009, answer due 1/7/2010. Service was accepted by Flora Zheng, Operations Manager. Document filed by Software Freedom Conservancy, Inc.. (Spiegel, Michael) (Entered: 01/05/2010)
2010-01-05 11 0 Certificate of Service Complaints CERTIFICATE OF SERVICE. Robert Bosch LLC served on 12/17/2009, answer due 1/7/2010. Service was accepted by Cecille Martin, Assistant General Counsel. Document filed by Software Freedom Conservancy, Inc.. (Spiegel, Michael) (Entered: 01/05/2010)
2010-01-05 12 0 Certificate of Service Complaints CERTIFICATE OF SERVICE. Samsung Electronics America, Inc. served on 12/17/2009, answer due 1/7/2010. Service was accepted by Juli Askew, Paralegal. Document filed by Software Freedom Conservancy, Inc.. (Spiegel, Michael) (Entered: 01/05/2010)
2010-01-05 13 0 Certificate of Service Complaints CERTIFICATE OF SERVICE. Versa Technology Inc. served on 12/17/2009, answer due 1/7/2010. Service was accepted by Erica Yang, Office Manager. Document filed by Software Freedom Conservancy, Inc.. (Spiegel, Michael) (Entered: 01/05/2010)
2010-01-05 14 0 Certificate of Service Complaints CERTIFICATE OF SERVICE. ZYXEL Communications Inc. served on 12/23/2009, answer due 1/13/2010. Service was accepted by Hortensia Tafoalla, Managing Agent. Document filed by Software Freedom Conservancy, Inc.. (Spiegel, Michael) (Entered: 01/05/2010)
2010-01-06 15 0 Notice of Appearance NOTICE OF APPEARANCE by Emily Bab Kirsch on behalf of Comtred Corporation (Kirsch, Emily) (Entered: 01/06/2010)
2010-01-07 16 0 Notice of Appearance NOTICE OF APPEARANCE by Emily Bab Kirsch on behalf of ZYXEL Communications Inc. (Kirsch, Emily) (Entered: 01/07/2010)
2010-01-07 17 0 Notice of Appearance NOTICE OF APPEARANCE by Michael T. Mervis on behalf of Dobbs-Stanford Corporation (Mervis, Michael) (Entered: 01/07/2010)
2010-01-07 18 0 Notice of Appearance NOTICE OF APPEARANCE by Justin F. Heinrich on behalf of Dobbs-Stanford Corporation (Heinrich, Justin) (Entered: 01/07/2010)
2010-01-07 19 0 Stipulation and Order STIPULATION AND ORDER EXTENDING TIME OF DEFENDANT GCI TECHNOLOGIES CORPORATION TO RESPOND TO THE COMPLAINT, GCI Technologies Corporation answer due 3/8/2010. No further extensions for this, or any defendant in this action, will be granted. (Signed by Judge Shira A. Scheindlin on 1/6/10) (cd) (Entered: 01/07/2010) 2010-02-15 15:06:27 622e2521085006d65373a27df2d357b3a12ce605
2010-01-08 20 0 Motion for Extension of Time to File Answer FILING ERROR - ELECTRONIC FILING FOR NON-ECF DOCUMENT - MOTION for Extension of Time to File Answer. Document filed by Best Buy Co., Inc. (Attachments: # 1 Stipulation)(Simmons, Kevin) Modified on 1/11/2010 (db). (Entered: 01/08/2010)
2010-01-08 21 0 Stipulation and Order STIPULATION EXTENDING TIME: 1. The time for Comtrend to answer, move against, or otherwise respond to the Complaint is hereby extend to and including March 8, 2010. 2. Comtrend waives any Objection with respect to the service of process of the Complaint but otherwise reserves all of its defenses and objections. Comtred Corporation answer due 3/8/2010. (Signed by Judge Shira A. Scheindlin on 1/8/10) (db). (Entered: 01/08/2010) 2010-02-15 14:19:27 e2dcbaf95d9ea61cdb53e49e879def1abeb47b77
2010-01-08 22 0 Stipulation and Order STIPULATION EXTENDING TIME: 1. The time for ZYXEL Communications Inc. to answer, move against, or otherwise respond to the Complaint is hereby extend to and including March 8, 2010. 2. ZYXEL waives any Objection with respect to the service of process of the Complaint but otherwise reserves all of its defenses and objections. ZYXEL Communications Inc. Answer due 3/8/2010. (Signed by Judge Shira A. Scheindlin on 1/7/10) (db) Modified on 1/8/2010 (db). (Entered: 01/08/2010)
2010-01-08 23 0 Stipulation and Order STIPULATION EXTENDING TIME: 1. The time for Dobbs-Stanford Corporation to answer, move against, or otherwise respond to the Complaint is hereby extend to and including March 8, 2010. 2. Dobbs-Stanford Corporation waives any Objection with respect to the service of process of the Complaint but otherwise reserves all of its defenses and objections. Dobbs-Stanford Corporation answer due 3/8/2010. (Signed by Judge Shira A. Scheindlin on 1/7/10) (db) (Entered: 01/08/2010)
2010-01-08 24 0 Stipulation and Order STIPULATION EXTENDING TIME FOR DEFENDANT SAMSUNG ELECTRONICS AMERICA, INC.: 1. The time for Samsung to answer, move against, or otherwise respond to theComplaint is hereby extended to and including March 8, 2010. 2. Samsung waives any objection with respect to the service of process of the Complaint, but otherwise reserves all of its defenses and objections. Samsung Electronics America, Inc. answer due 3/8/2010. (Signed by Judge Shira A. Scheindlin on 1/7/10) (db) (Entered: 01/08/2010) 2010-02-15 14:00:21 f79b9ad37218142a4ef4736620d235fa8a147723
2010-01-11 25 0 Certificate of Service Complaints CERTIFICATE OF SERVICE. Western Digital Technologies, Inc. served on 1/6/2010, answer due 1/27/2010. Service was accepted by Becky DeGeorge, Managing Agent. Document filed by Software Freedom Conservancy, Inc.. (Spiegel, Michael) (Entered: 01/11/2010)
2010-01-11 26 0 Certificate of Service Complaints CERTIFICATE OF SERVICE. Westinghouse Digital Electronics, LLC served on 1/6/2010, answer due 1/27/2010. Service was accepted by Ninh Ho, Client Rep. Document filed by Software Freedom Conservancy, Inc.. (Spiegel, Michael) (Entered: 01/11/2010)
2010-01-11 27 0 Certificate of Service Complaints CERTIFICATE OF SERVICE. Comtred Corporation served on 12/17/2009, answer due 3/8/2010. Service was accepted by John Castreje, General Manager. Document filed by Software Freedom Conservancy, Inc.. (Spiegel, Michael) (Entered: 01/11/2010)
2010-01-11 28 0 Stipulation and Order STIPULATION EXTENDING TIME FOR DEFENDANT HUMAX USA INC. TO RESPOND TO COMPLAINT: Therefore, IT IS HEREBY STIPULATED, CONSENTED, AND AGREED by and between the undersigned parties, through their counsel, as follows:1. The time to Humax to file an Answer, to move against, or otherwise to respond to the Complaint is hereby extended to and including March 8, 2010. So Ordered (Signed by Judge Shira A. Scheindlin on 1/11/2010) (js) (Entered: 01/11/2010)
2010-01-15 29 0 Stipulation and Order STIPULATION that the time for Best Buy Co., Inc. to answer or move with regard to plaintiffs' complaint is hereby extended to and including 3/8/10. (Signed by Judge Shira A. Scheindlin on 1/15/10) (dle) (Entered: 01/15/2010)
2010-01-22 30 0 Stipulation and Order STIPULATION: It is hereby stipulated and agreed that the time for Robert Bosch LLC to answer, move or otherwise respond to the complaint is extended to March 8, 2010. (Signed by Judge Shira A. Scheindlin on 1/22/2010) (jpo) (Entered: 01/25/2010) 2010-02-15 13:56:19 9f66aaff399277d9984897c7d2827917231d49fa
2010-01-26 31 0 Notice of Appearance NOTICE OF APPEARANCE by Ognjan Varbanov Shentov on behalf of Western Digital Corporation (Shentov, Ognjan) (Entered: 01/26/2010)
2010-01-27 32 0 Notice of Appearance NOTICE OF APPEARANCE by Kyle Bradford Fleming on behalf of Westinghouse Digital Electronics, LLC (Fleming, Kyle) (Entered: 01/27/2010)
2010-01-28 33 0 Stipulation and Order STIPULATION EXTENDING TIME, Westinghouse Digital Electronics, LLC answer to complaint due 3/8/2010. This extension does not alter any other date fixed by the Court, including the date of the initial conference. (Signed by Judge Shira A. Scheindlin on 1/28/10) (cd) (Entered: 01/29/2010) 2010-03-26 19:49:52 61bfe28261fb7f63732f6670493cd3fff9990e5e
2010-01-28 34 0 Stipulation and Order STIPULATION AND ORDER EXTENDING TIME FOR DEFENDANT WESTERN DIGITAL TECHNOLOGIES INC TO RESPOND TO THE COMPLAINT, Western Digital Technologies, Inc. Answer due 3/8/2010...This extension does not alter any other date fixed by the Court, including the initial conference date. (Signed by Judge Shira A. Scheindlin on 1/28/10) (cd) (Entered: 01/29/2010) 2010-01-31 23:42:05 75e3a2e5ddbf23c1b6b653126e03745881e66d64
2010-02-01 35 0 Order for Initial Pretrial Conference ORDER FOR INITIAL PRETRIAL CONFERENCE: Initial Conference set for 2/22/2010 at 04:30 PM in Courtroom 15C, 500 Pearl Street, New York, NY 10007 before Judge Shira A. Scheindlin. (Signed by Judge Shira A. Scheindlin on 1/29/10) (djc) (Entered: 02/01/2010) 2010-02-01 23:50:08 603d4ba0acdcd67342672ecc795a77d44cf14fd3
2010-02-02 36 0 Notice of Appearance NOTICE OF APPEARANCE by Emily Bab Kirsch on behalf of Astak Inc. (Kirsch, Emily) (Entered: 02/02/2010) 2010-02-02 23:59:35 ad5661c7bd93775cb4c7ba2d342b686465375d85
2010-02-02 37 0 Notice of Appearance NOTICE OF APPEARANCE by Lynn Michelle Marvin on behalf of Western Digital Corporation (Marvin, Lynn) (Entered: 02/02/2010) 2010-02-03 00:00:21 714e7d331ac8ddb7ecf8513ed6aba80c112ce320
2010-02-03 38 0 Notice of Appearance NOTICE OF APPEARANCE by David Lawrence Yohai on behalf of JVC Americas Corporation (Yohai, David) (Entered: 02/03/2010)
2010-02-05 39 0 Notice of Appearance NOTICE OF APPEARANCE by Airina Lynn Rodrigues on behalf of Humax USA Inc. (Rodrigues, Airina) (Entered: 02/05/2010)
2010-02-05 40 0 Notice of Appearance NOTICE OF APPEARANCE by Andrew Lawrence Deutsch on behalf of Humax USA Inc. (Deutsch, Andrew) (Entered: 02/05/2010)
2010-02-09 41 0 Notice of Appearance NOTICE OF APPEARANCE by Andrew Kaver on behalf of Phoebe Micro, Inc. (Kaver, Andrew) (Entered: 02/09/2010)
2010-02-11 42 0 Order Admitting Attorney Pro Hac Vice ORDER GRANTING PRO HAC VICE ADMISSION: Attorney Andrew Valentine for Humax USA Inc. admitted Pro Hac Vice. (Signed by Judge Shira A. Scheindlin on 2/11/2010) (tve) Modified on 2/11/2010 (tve). (Entered: 02/11/2010)
2010-02-11 43 0 Order Admitting Attorney Pro Hac Vice ORDER GRANTING PRO HAC VICE ADMISSION: Attorney Eugene M. Pak for Humax USA Inc. admitted Pro Hac Vice. (Signed by Judge Shira A. Scheindlin on 2/11/2010) (tve) (Entered: 02/11/2010)
2010-02-16 44 0 Notice of Appearance NOTICE OF APPEARANCE by David Efrem Yolkut on behalf of JVC Americas Corporation (Yolkut, David) (Entered: 02/16/2010)
2010-02-16 45 0 Order Admitting Attorney Pro Hac Vice ORDER ADMITTING COUNSEL PRO HAC VICE: Attorney Michael M. Ratoza and Chad Colton for Samsung Electronics America, Inc. admitted Pro Hac Vice. (Signed by Judge Shira A. Scheindlin on 2/16/2010) (tve) (Entered: 02/16/2010)
2010-02-16 46 0 Order Admitting Attorney Pro Hac Vice ORDER ADMITTING ATTORNEY PRO HAC VICE. Attorney Michael M. Ratoza and Chad Colton for Samsung Electronics America, Inc. admitted Pro Hac Vice. (Signed by Judge Shira A. Scheindlin on 2/16/2010) (jmi) (Entered: 02/17/2010)
2010-02-17 47 0 Endorsed Letter ENDORSED LETTER addressed to Judge Shira A.Scheindlin from Eugene Pak dated 2/16/10 re: Request to appear by telephone at the 2/22/10 scheduling conference. ENDORSEMENT: Defendant's counsel's request to appear by telephone at the 2/22/10 conference is hereby granted. (Signed by Judge Shira A. Scheindlin on 2/16/10) (cd) (Entered: 02/17/2010)
2010-02-17 48 0 Stipulation and Order STIPULATION EXTENDING TIME, Astak Inc. answer to complaint due 3/8/2010. (Signed by Judge Shira A. Scheindlin on 2/3/10) (cd) (Entered: 02/17/2010)
2010-02-18 49 0 Stipulation and Order STIPULATION; Versa Technology's time to answer or otherwise respond to the Complaint is adjourned to March 7, 2010. So Ordered. (Signed by Judge Shira A. Scheindlin on 2/17/2010) (tve) (Entered: 02/18/2010)
2010-02-18 50 0 Endorsed Letter ENDORSED LETTER addressed to Judge Shira A. Scheindlin from Michael M. Ratoza dated 2/17/2010 re: Primary outside counsel for defendant Samsung Electronics America, Inc. writes requesting to appear by telephone at the 2/22/2010 scheduling conference. ENDORSEMENT: Defendant Samsung Electronics America, Inc.'s request to appear by telephone at the 2/22/2010 conference is hereby granted. (Signed by Judge Shira A. Scheindlin on 2/17/2010) (tve) (Entered: 02/18/2010)
2010-02-19 51 0 Notice of Appearance NOTICE OF APPEARANCE by Sarah Hawa Bawany Yousuf on behalf of Westinghouse Digital Electronics, LLC (Yousuf, Sarah) (Entered: 02/19/2010) 2010-02-21 23:56:23 deacbc724ca91fb48b75c235c8a5d3b328f2136a
2010-02-22 52 0 Stipulation and Order STIPULATION EXTENDING TIME: The time for Phoebe to answer, move against, or otherwise respond to the Complaint is hereby extended to and including 3/15/2010. Phoebe waives any objection with respect to the service of process of the Complaint, but otherwise reserves all of its defenses and objections. Phoebe Micro, Inc. answer due 3/15/2010. (Signed by Judge Shira A. Scheindlin on 2/19/2010) (tro) (Entered: 02/22/2010)
2010-02-22 53 0 Scheduling Order SCHEDULING ORDER: Depositions of fact witnesses to be completed by 12/17/2010. Initial disclosures by 3/8/2010. The parties will serve initial requests for production of documents by 3/22/2010. Initial expert reports due 2/11/2011. Rebuttal expert reports due 3/11/2011. Each expert's deposition will be completed by 4/15/2011. Fact discovery to be completed by 12/17/2010. Expert discovery to be completed by 4/15/2011. Final pre-trial conference: 1/6/2011 at 4:30. Counsel for the parties have conferred and their present best estimate of the length of trial is fifteen (15) days. Certain Defendants contemplate that they may request a jury trial. (Signed by Judge Shira A. Scheindlin on 2/22/2010) (jfe) (Entered: 02/23/2010) 2010-03-12 11:05:06 9f96d3e51d2cf33e650d62d721ff40ce820c9c3a
2010-02-22 54 0 Order Referring Case to Magistrate Judge ORDER REFERRING CASE TO MAGISTRATE JUDGE. Order that case be referred to the Clerk of Court for assignment to a Magistrate Judge for Settlement. Referred to Magistrate Judge Gabriel W. Gorenstein. May would be best. (Signed by Judge Shira A. Scheindlin on 2/22/2010) (jfe) (Entered: 02/23/2010)
2010-03-02 55 0 Notice of Appearance NOTICE OF APPEARANCE by Philippe Alain Zimmerman on behalf of Versa Technology Inc. (Zimmerman, Philippe) (Entered: 03/02/2010)
2010-03-03 56 0 Notice of Appearance NOTICE OF APPEARANCE by David Leichtman on behalf of Best Buy Co., Inc. (Leichtman, David) (Entered: 03/03/2010)
2010-03-03 57 0 Notice of Appearance NOTICE OF APPEARANCE by Hillel Ira Parness on behalf of Best Buy Co., Inc. (Parness, Hillel) (Entered: 03/03/2010)
2010-03-03 58 0 Notice of Appearance NOTICE OF APPEARANCE by Oren Dov Langer on behalf of Best Buy Co., Inc. (Langer, Oren) (Entered: 03/03/2010)
2010-03-04 59 0 Notice of Appearance NOTICE OF APPEARANCE by Jason Wesley Creech on behalf of Best Buy Co., Inc. (Attachments: # 1 Certificate of Service)(Creech, Jason) (Entered: 03/04/2010)
2010-03-05 60 0 Stipulation and Order STIPULATED ORDER FOR EXTENSION OF TIME FOR DEFENDANT SAMSUNG ELECTGRONICS AMERICA, INC. ("SAMSUNG") TO FILE ITS ANSWER, FOR PLAINTIFFS AND SAMSUNG TO SERVE THEIR INITIAL DISCLOSURES AND TO MAKE INITIAL DISCOVERY REQUESTS: Samsung shall file its answer in this cause to March 22, 2010 from the current due date of 3/8/10. Plaintiffs and defendant Samsung agree to extend the date for their exchange of initial disclosures to 3/22/10 from the current due date of 3/22/10 and further stipulate and agree to extend the date by two weeks to 4/5/10 for them to make initial discovery requests of one anther. (Signed by Judge Shira A. Scheindlin on 3/5/10) (dle) (Entered: 03/08/2010)
2010-03-08 61 0 Rule 7.1 Corporate Disclosure Statement RULE 7.1 CORPORATE DISCLOSURE STATEMENT. Identifying Nexis, Inc. as Corporate Parent. Document filed by Westinghouse Digital Electronics, LLC.(Fleming, Kyle) (Entered: 03/08/2010)
2010-03-08 62 0 Answer to Complaint ANSWER to Complaint with JURY DEMAND. Document filed by Westinghouse Digital Electronics, LLC.(Fleming, Kyle) (Entered: 03/08/2010)
2010-03-08 63 0 Rule 7.1 Corporate Disclosure Statement RULE 7.1 CORPORATE DISCLOSURE STATEMENT. No Corporate Parent. Document filed by Best Buy Co., Inc..(Leichtman, David) (Entered: 03/08/2010)
2010-03-08 64 0 Answer to Complaint ANSWER to Complaint with JURY DEMAND., COUNTERCLAIM against all plaintiffs. Document filed by Best Buy Co., Inc..(Leichtman, David) (Entered: 03/08/2010) 2010-08-02 18:36:03 bc4988f434725b33c0e6bfda840e4e8e42e14e87
2010-03-08 65 0 Rule 7.1 Corporate Disclosure Statement RULE 7.1 CORPORATE DISCLOSURE STATEMENT. Identifying Robert Bosch North America Corporation, Robert Bosch Industrieanlagen GmbH and Robert Bosch GmbH as Corporate Parent. Document filed by Robert Bosch LLC.(Roth, Judith) (Entered: 03/08/2010)
2010-03-08 66 0 Answer to Complaint ANSWER to Complaint with JURY DEMAND. Document filed by Versa Technology Inc..(Zimmerman, Philippe) (Entered: 03/08/2010)
2010-03-08 67 0 Answer to Complaint ANSWER to Complaint. Document filed by Robert Bosch LLC.(Roth, Judith) (Entered: 03/08/2010)
2010-03-08 68 0 Rule 26 Disclosure RULE 26 DISCLOSURE.Document filed by Robert Bosch LLC.(Roth, Judith) (Entered: 03/08/2010)
2010-03-08 69 0 Rule 7.1 Corporate Disclosure Statement RULE 7.1 CORPORATE DISCLOSURE STATEMENT. Identifying Victor Company of Japan, Limited as Corporate Parent. Document filed by JVC Americas Corporation.(Yohai, David) (Entered: 03/08/2010)
2010-03-08 70 0 Answer to Complaint ANSWER to Complaint. Document filed by JVC Americas Corporation.(Yohai, David) (Entered: 03/08/2010)
2010-03-08 71 0 Rule 7.1 Corporate Disclosure Statement RULE 7.1 CORPORATE DISCLOSURE STATEMENT. No Corporate Parent. Document filed by Versa Technology Inc..(Zimmerman, Philippe) (Entered: 03/08/2010)
2010-03-08 72 0 Rule 7.1 Corporate Disclosure Statement RULE 7.1 CORPORATE DISCLOSURE STATEMENT. no Corporate Parent. Document filed by Dobbs-Stanford Corporation.(Heinrich, Justin) (Entered: 03/08/2010)
2010-03-08 73 0 Answer to Complaint ANSWER to Complaint. Document filed by Dobbs-Stanford Corporation.(Heinrich, Justin) (Entered: 03/08/2010)
2010-03-08 74 0 Rule 7.1 Corporate Disclosure Statement RULE 7.1 CORPORATE DISCLOSURE STATEMENT. Identifying Western Digital Corporation as Corporate Parent. Document filed by Western Digital Technologies, Inc..(Marvin, Lynn) (Entered: 03/08/2010)
2010-03-08 75 0 Answer to Complaint ANSWER to Complaint with JURY DEMAND. Document filed by Comtred Corporation. (Attachments: # 1 Certificate of Service)(Kirsch, Emily) (Entered: 03/08/2010)
2010-03-08 76 0 Answer to Complaint ANSWER to Complaint with JURY DEMAND. Document filed by Astak Inc.. (Attachments: # 1 Certificate of Service)(Kirsch, Emily) (Entered: 03/08/2010)
2010-03-08 77 0 Answer to Complaint ANSWER to Complaint with JURY DEMAND. Document filed by ZYXEL Communications Inc.. (Attachments: # 1 Certificate of Service)(Kirsch, Emily) (Entered: 03/08/2010)
77 1
2010-03-08 78 0 Answer to Complaint ANSWER to Complaint with JURY DEMAND. Document filed by Western Digital Technologies, Inc..(Marvin, Lynn) (Entered: 03/08/2010)
2010-03-08 79 0 Answer to Complaint ANSWER to Complaint with JURY DEMAND. Document filed by Humax USA Inc..(Pak, Eugene) (Entered: 03/08/2010)
2010-03-08 80 0 Answer to Counterclaim ANSWER to Counterclaim. Document filed by Humax USA Inc..(Pak, Eugene) (Entered: 03/08/2010)
2010-03-09 81 0 Rule 7.1 Corporate Disclosure Statement RULE 7.1 CORPORATE DISCLOSURE STATEMENT. Identifying Comtrend Corporation Taiwan as Corporate Parent. Document filed by Comtred Corporation.(Kirsch, Emily) (Entered: 03/09/2010)
2010-03-09 82 0 Rule 7.1 Corporate Disclosure Statement RULE 7.1 CORPORATE DISCLOSURE STATEMENT. No Corporate Parent. Document filed by Astak Inc..(Kirsch, Emily) (Entered: 03/09/2010)
2010-03-09 83 0 Rule 7.1 Corporate Disclosure Statement RULE 7.1 CORPORATE DISCLOSURE STATEMENT. Identifying ZyXEL Communications Corporation as Corporate Parent. Document filed by ZYXEL Communications Inc..(Kirsch, Emily) (Entered: 03/09/2010)
2010-03-09 84 0 Notice of Voluntary Dismissal - Signed NOTICE OF VOLUNTARY DISMISSAL Pursuant to Rule 41(a)(1)(A)(i) of the Federal Rules of Civil Procedure, the plaintiff(s) and or their counsel(s), hereby give notice that the above-captioned action is voluntarily dismissed without prejudice against the defendant(s) GCI Technologies Corporation. (Signed by Judge Shira A. Scheindlin on 3/9/2010) (jpo) (Entered: 03/09/2010)
2010-03-16 85 0 Stipulation and Order STIPULATION EXTENDING TIME CONSENTED AND AGREED by and between the undersigned parties, through their counsel, as follows: The time for Phoebe to answer, move against, or otherwise respond to the Complaint is hereby extended to and including April 15, 2010. The time for Phoebe to file initial disclosures pursuant to Rule 26 of the Federal Rules of Civil Procedures is extended to April 29, 2010. The time for the parties to serve their initial request for production of documents is extended to May 21, 2010. All other dates in the Court;s Scheduling Order dated February 22, 2010 (Doc. No. 53), except as modified above, shall apply. Phoebe waives any objection with respect to the services of process of the Complaint, but otherwise reserves all of its defenses and objections. SO ORDERED Phoebe Micro, Inc. answer due 4/15/2010. (Signed by Judge Shira A. Scheindlin on 3/16/2010) (jmi) (Entered: 03/17/2010)
2010-03-18 86 0 Stipulation and Order STIPULATION ORDER FOR EXTENSION OF TIME FOR DEFENDANT BEST BUY CO. INC. AND PLAINTIFFS TO MAKE THEIR INITIAL DISCOVERY REQUESTS: The plaintiffs and Defendant Best Buy stipulate and agree to a reasonable two week extension of time, from March 22, 2010 to April 5, 2010, for the Plaintiffs and Defendant Best Buy to make their initial discovery requests of one other. So Ordered (Signed by Judge Shira A. Scheindlin on 3/17/2010) (js) (Entered: 03/18/2010)
2010-03-18 87 0 Stipulation and Order STIPULATED ORDER FOR AN EXTENSION OF TIME FOR PLAINTIFFS AND DEFENDANT WESTERN DIGITAL TECHNOLOGIES, INC. TO MAKE INITIAL DISCOVERY REQUESTS: Plaintiffs and Defendant WDT stipulate and agree to a reasonable three week extension of time for the Plaintiffs and Defendant WDT to make initial discovery requests of one another from the current due date of March 22, 2010 to April 12, 2010 No other extension of this date has been previously sought by WDT for these discovery requests. Plaintiffs have sought and were granted an extension of the time to serve initial discovery requests on Defendants Samsung Electronics America, Inc. and Phoebe Micro, Inc. So Ordered (Signed by Judge Shira A. Scheindlin on 3/17/2010) (js) Modified on 4/6/2010 (js). (Entered: 03/18/2010)
2010-03-19 88 0 Stipulation and Order STIPULATED ORDER EXTENDING TIME FOR PLAINTIFFS AND DEFENDANT HUMAX USA, INC. TO SERVE INITIAL DOCUMENT REQUESTS: It appearing that Plaintiffs and Defendant Humax USA, Inc. have been engaged in good faith settlement negotiations, and these parties have been unable to complete settlement due to the need for additional time to investigate certain complex issues regarding software code: and that Humax's parent company's location in Korea has added to a geographical and language challenge that has contributed to the need for additional time to complete the software code investigation for settlement, and the parties believe that their time, attention, and resources are best focused at this time on complete tasks needed for settlement, the Plaintiffs and Defendant Humax USA, Inc. stipulate and agree to a four-week extension of time to serve initial documents requests on one another from the current deadline of March 22, 2010 to and including April 12, 2010. Humax USA, Inc. has already answered the Complaint, and the parties have already exchanged initial disclosures. Other deadlines set forth in the Court's Scheduling Order shall remain unchanged. (Signed by Judge Shira A. Scheindlin on 3/19/2010) (jfe) (Entered: 03/19/2010)
2010-03-23 89 0 Stipulation and Order STIPULATED ORDER EXTENDING TIME FOR PLAINTIFFS AND DEFENDANT DOBBS-STANFORD CORPORATION TO SERVE INITIAL DOCUMENT REQUESTS: Plaintiffs and Defendant DSC stipulate and agree to a three week extension of time to serve initial documents requests on one another from the current deadline of March 22, 2010 to and including April 12, 2010. DSC has already answered the Complaint and the parties have already exchanged initial disclosures. Other deadlines set forth in the Court's Scheduling Order shall remain unchanged. ENDORSEMENT: No further extensions. So Ordered (Signed by Judge Shira A. Scheindlin on 3/22/2010) (js) Modified on 4/6/2010 (js). (Entered: 03/23/2010)
2010-03-23 90 0 Stipulation and Order STIPULATION AND ORDER EXTENDING TIME FOR PLAINTIFFS AND DEFENDANT JVC AMERICAS CORP. TO SERVE INITIAL DOCUMENT REQUESTS:It appearing that Plaintiffs and defendant JVC Americas Corporation ("JVC") have been engaged in good-faith settlement negotiations, and that these parties have been unable to complete settlement due to the need for additional time to investigate and resolve certain issues,and the parties believe that their time, attention and resources are best focused at this time on tasks related to settlement, the Plaintiffs and JVC stipulate and agree to a four-week extension of time to serve initial document requests on one another form the current deadline of March 22, 2010 to and including April 19, 2010. JVC has already answered Plaintiffs' Complaint, and the parties have already exchanged initial disclosures. Other deadlines in the Court's Scheduling Order (Docket No. 53) remain unchanged. So Ordered (Signed by Judge Shira A. Scheindlin on 3/22/2010) (js) Modified on 4/6/2010 (js). (Entered: 03/23/2010)
2010-03-23 91 0 Stipulation and Order STIPULATION EXTENDING TIME: It appearing that plaintiffs and Defendant Astak. Inc. ("Astak") have been engaged in good faith settlement negotiations, that the parties have been unable to complete their anticipated settlement due to the need for additional time to investigate certain issues, and that these parties believe that their time. attention and resources are best focused at this time on completing the tasks needed for settlement, the Plaintiffs and Defendant Astak stipulate and agree to a reasonable two week extension of time, from March 22, 2010 to April 5, 2010, for the Plaintiffs and Defendant Astak to make their initial discovery requests of one another. So Ordered (Signed by Judge Shira A. Scheindlin on 3/22/2010) (js) Modified on 4/6/2010 (js). (Entered: 03/23/2010)
2010-03-23 92 0 Stipulation and Order STIPULATION EXTENDING TIME: It appearing that Plaintiffs and Defendant Astak. Inc. ("Astak") have been engaged in good faith settlement negotiations, that the parties have been unable to complete their anticipated settlement due to the need for additional time to investigate certain issues, and that these parties believe that their time. attention and resources are best focused at this time on completing the tasks needed for settlement, the Plaintiffs and Defendant Astak stipulate and agree to are asonable two week extension of time, from March 22, 2010 to April 5, 2010, for the Plaintiffs and Defendant Astak to make their initial discovery requests of one another. So Ordered (Signed by Judge Shira A. Scheindlin on 3/22/2010) (js) (Entered: 03/23/2010)
2010-03-23 93 0 Stipulation and Order STIPULATION EXTENDING TIME: It appearing that Plaintiffs and Defendant Comtrend Corporation ("Comtrend") have been engaged in good faith settlement negotiations, that the parties have been unable to complete their anticipated settlement due to the need for additional time to investigate certain issues, and that these parties believe that their time, attention and resources are best focused at this time on completing the tasks needed for settlement, the Plaintiffs and Defendant Comtrend stipulate and agree to a reasonable two week extension of time, from March 22, 2010 to April 5, 2010, for the Plaintiffs and Defendant Comtrend to make their initial discovery requests of one another. So Ordered (Signed by Judge Shira A. Scheindlin on 3/22/2010) (js) (Entered: 03/23/2010)
2010-03-23 94 0 Stipulation and Order STIPULATION EXTENDING TIME: It appearing that Plaintiffs and,Defendant ZyXEL Communications Inc. Corporation(ZyXEL") have been engaged in good faith settlement negotiations, that the parties have been unable to complete their anticipated settlement due to the need for additional time to investigate certain issues, and that these parties believe that their time, attention and resources are best focused at this time on completing the tasks needed for settlement, the Plaintiffs and Defendant ZyXEL stipulate and agree to a reasonable two week extension of time, from March 22, 2010 to April 5, 2010, for the Plaintiffs and Defendant ZyXEL to make their initial discovery requests of one another. (Signed by Judge Shira A. Scheindlin on 3/22/2010) (js) (Entered: 03/23/2010)
2010-03-23 95 0 Stipulation and Order STIPULATED ORDER FOR FURTHER EXTENSION OF TIME FOR DEFENDANT SAMSUNG ELECTRONICS AMERICA,INC. (SAMSUNG) TO FILE ITS ANSWER, FOR PLAINTIFFS AND SAMSUNG TO SERVE THEIR INITIAL DISCLOSURES AND TO MAKE INITIAL DISCOVERY REQUESTS. The plaintiffs and Defendant Samsung stipulate and agree to a further reasonable two week extension of time for Samsung to file its answer in this cause to April 5, 2010 from the current date of March 2, 2010. In addition, the Plaintiffs and Defendant Samsung for the same reasons stipulate and agree to extend the date for their exchange of initial disclosures to April 5, 2010 from the current date of March 22, 2010, and further stipulate and agree to extend the date by two weeks to April 19, 2010 for them to make initial discovery requests of one another. (Signed by Judge Shira A. Scheindlin on 3/22/10) (djc) (Entered: 03/24/2010)
2010-03-24 96 0 Stipulation and Order STIPULATION. It appearing that Plaintiffs and Defendant Robert Bosch LLC have been engaged in good faith settlement negotiations, that the parties have been unable to complete their anticipated settlement due to the need for additional time to investigate certain issues, and that these parties believe that their time, attention and resources are best focused at this time on completing the tasks needed for settlement, the Plaintiffs and Defendant Robert Bosch LLC Best Buy stipulate and agree to a reasonable three-week extension of time, from March 22, 2010 to April 12, 2010, for the Plaintiffs and Defendant Robert Bosch LLC to make their initial discovery requests of one another. Neither Plaintiff nor Defendant Robert Bosch LLC has sought a previous extension of this deadline. Both have served their initial disclosures pursuant to Rule 26(A) and Defendant Robert Bosch LLC has served and filed its Answer, all in timely fashion. (Signed by Judge Shira A. Scheindlin on 3/23/10) (djc) Modified on 3/30/2010 (djc). (Entered: 03/24/2010)
2010-03-29 97 0 Answer to Counterclaim ANSWER to Counterclaim. Document filed by Erik Andersen, Software Freedom Conservancy, Inc..(Ravicher, Daniel) (Entered: 03/29/2010) 2013-12-03 17:05:43 66fd854eed565ed9326cddfb2aa7245e2f65b4d7
2010-03-30 98 0 Order Admitting Attorney Pro Hac Vice ORDER ADMITTING ATTORNEY PRO HAC VICE. Attorney Paul Kim for Versa Technology Inc. admitted Pro Hac Vice. (Signed by Judge Shira A. Scheindlin on 3/30/2010) (jmi) (Entered: 03/30/2010)
2010-03-30 99 0 Order Admitting Attorney Pro Hac Vice ORDER ADMITTING ATTORNEY PRO HAC VICE. Attorney Mark W. Yocca for Versa Technology Inc. admitted Pro Hac Vice. SO ORDERED (Signed by Judge Shira A. Scheindlin on 3/30/2010) (jmi) (Entered: 03/30/2010)
2010-04-02 100 0 Notice of Appearance NOTICE OF APPEARANCE by Stela Cristina Tipi on behalf of Western Digital Corporation (Tipi, Stela) (Entered: 04/02/2010)
2010-04-05 101 0 Rule 7.1 Corporate Disclosure Statement RULE 7.1 CORPORATE DISCLOSURE STATEMENT. Identifying Samsung Electronics Co., Ltd. as Corporate Parent. Document filed by Samsung Electronics America, Inc..(Ratoza, Michael) (Entered: 04/05/2010)
2010-04-05 102 0 Answer to Complaint ANSWER to Complaint with JURY DEMAND. Document filed by Samsung Electronics America, Inc..(Ratoza, Michael) (Entered: 04/05/2010)
2010-04-06 103 0 Stipulation and Order of Dismissal STIPULATION OF DISMISSAL: Plaintiffs Software Freedom Conservancy, Inc. and Erik Andersen and Defendant Comtrend Corporation hereby stipulate to dismiss defendant Comtrend Corporation from this action WITHOUT PREJUDICE, and without costs to any party. Plaintiffs maintain this action against all other defendants. (Signed by Judge Shira A. Scheindlin on 4/6/2010) (tro) (Entered: 04/07/2010)
2010-04-22 104 0 Order ORDER SCHEDULING SETTLEMENT CONFERENCE: Settlement Conference set for 5/11/2010 at 02:30 PM in Courtroom 17A, 500 Pearl Street, New York, NY 10007 before Magistrate Judge Gabriel W. Gorenstein. (Signed by Magistrate Judge Gabriel W. Gorenstein on 4/22/2010) (tve) (Entered: 04/22/2010) 2010-06-21 10:56:10 93d1ac47b3a5130a745f7dff14176cc77f37cd61
2010-04-28 105 0 Endorsed Letter ENDORSED LETTER: addressed to Magistrate Judge Gabriel W. Gorenstein from David L. Yohai dated 4/26/2010 re: The parties hereby request that the settlement conference in this action currently scheduled for 5/11/2010, be adjourned until June 29, 2010 at 2:30 p.m. which was a date and time provided by the Court's Deputy Clerk. ENDORSEMENT: Granted. Letters due June 24, 2010. So Ordered. ( Settlement Conference set for 6/29/2010 at 02:30 PM before Magistrate Judge Gabriel W. Gorenstein.) (Signed by Magistrate Judge Gabriel W. Gorenstein on 4/26/2010) (js) Modified on 5/6/2010 (js). (Entered: 04/28/2010)
2010-04-30 106 0 Order Admitting Attorney Pro Hac Vice ORDER ADMITTING ATTORNEY PRO HAC VICE. Attorney Emmett J. McMahon for Best Buy Co., Inc. admitted Pro Hac Vice. (Signed by Judge Shira A. Scheindlin on 4/30/2010) (jpo) (Entered: 04/30/2010)
2010-04-30 107 0 Order Admitting Attorney Pro Hac Vice ORDER FOR ADMISSION PRO HAC VICE: It is hereby ordered that Sharon E. Roberg-Perez is admitted to practice pro hac vice as counsel for Best Buy Co., in this action. (Signed by Judge Shira A. Scheindlin on 4/30/2010) (jpo) (Entered: 04/30/2010)
2010-05-04 108 0 Endorsed Letter ENDORSED LETTER addressed to Judge Shira A.Scheindlin from Daniel Ravicher dated 5/3/10 re: Request for a premotion conference to discuss summary judgment motion. ENDORSEMENT: Plaintiffs' request for a premotion conference is hereby granted. A conference is scheduled for 5/20/10. ( Pre-Motion Conference set for 5/20/2010 at 11:00 AM before Judge Shira A. Scheindlin.) (Signed by Judge Shira A. Scheindlin on 5/4/10) (cd) (Entered: 05/05/2010)
2010-05-11 109 0 Stipulation and Order of Dismissal STIPULATION OF DISMISSAL of action as against Samsung Electronics America, WITHOUT PREJUDICE, and without costs to any party. Plaintiffs maintain this action against all other defendants. (Signed by Judge Shira A. Scheindlin on 5/10/10) (djc) (Entered: 05/11/2010)
2010-05-12 110 0 Stipulation and Order of Dismissal STIPULATION OF DISMISSAL: Plaintiffs Software Freedom Conservancy, Inc. and Erik Andersen and Defendant Samsung Electronics America, Inc., ("Samsung") hereby stipulate to dismiss defendant Samsung from this action WITHOUT PREJUDICE, and without costs to any party. Plaintiffs maintain this action against all other defendants. (Signed by Judge Shira A. Scheindlin on 5/12/2010) (jfe) (Entered: 05/12/2010)
2010-05-12 111 0 Order of Dismissal ORDER OF DISMISSAL Plaintiffs Software Freedom Conservancy, Inc. and Erik Andersen and Defendant Dobbs-Stanford Corporation ("OSC") hereby stipulate to dismiss defendant DSC from this action WITHOUT PREJUDICE and without costs to any party. Plaintiffs maintain this action against all other defendants. SO ORDERED. (Signed by Judge Shira A. Scheindlin on 5/12/2010) (jmi) (Entered: 05/13/2010)
2010-06-03 112 0 Motion for Default Judgment MOTION for Default Judgment as to Westinghouse Digital Electronics, LLC., MOTION for Summary Judgment against Westinghouse Digital Electronics, LLC.( Responses due by 6/17/2010) Document filed by Software Freedom Conservancy, Inc., Erik Andersen.(Ravicher, Daniel) (Entered: 06/03/2010) 2010-08-10 09:56:26 9b1f789b4a3f03e688e6a5ad13eb2f0737f8b7e2
2010-06-03 113 0 Memorandum of Law in Support of Motion MEMORANDUM OF LAW in Support re: 112 MOTION for Default Judgment as to Westinghouse Digital Electronics, LLC. MOTION for Summary Judgment against Westinghouse Digital Electronics, LLC.. Document filed by Software Freedom Conservancy, Inc., Erik Andersen. (Ravicher, Daniel) (Entered: 06/03/2010) 2010-08-10 09:57:25 bf42138902456c3016d1f678acad2d04ff8786c7
2010-06-03 114 0 Rule 56.1 Statement RULE 56.1 STATEMENT. Document filed by Software Freedom Conservancy, Inc., Erik Andersen. (Ravicher, Daniel) (Entered: 06/03/2010) 2011-03-22 11:44:47 60c571525667873e3b58d9e38d792afc1d332247
2010-06-03 115 0 Declaration in Support of Motion DECLARATION of Erik Andersen in Support re: 112 MOTION for Default Judgment as to Westinghouse Digital Electronics, LLC. MOTION for Summary Judgment against Westinghouse Digital Electronics, LLC.. Document filed by Software Freedom Conservancy, Inc., Erik Andersen. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2)(Ravicher, Daniel) (Entered: 06/03/2010)
115 1 Exhibit 1
115 2 Exhibit 2
2010-06-03 116 0 Declaration in Support of Motion DECLARATION of Bradley M. Kuhn in Support re: 112 MOTION for Default Judgment as to Westinghouse Digital Electronics, LLC. MOTION for Summary Judgment against Westinghouse Digital Electronics, LLC.. Document filed by Software Freedom Conservancy, Inc., Erik Andersen. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3)(Ravicher, Daniel) (Entered: 06/03/2010) 2010-08-11 21:02:07 2638b1b87907cc88676e0c3de8c1f3487f86c74f
116 1 Exhibit 1
116 2 Exhibit 2
116 3 Exhibit 3
2010-06-03 117 0 Declaration in Support of Motion DECLARATION of Daniel B. Ravicher in Support re: 112 MOTION for Default Judgment as to Westinghouse Digital Electronics, LLC. MOTION for Summary Judgment against Westinghouse Digital Electronics, LLC.. Document filed by Software Freedom Conservancy, Inc., Erik Andersen. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4)(Ravicher, Daniel) (Entered: 06/03/2010)
2010-06-08 118 0 Transcript TRANSCRIPT of proceedings held on 5/20/2010 before Judge Shira A. Scheindlin. (ab) (Entered: 06/09/2010)
2010-06-18 119 0 Notice of Appearance NOTICE OF APPEARANCE by Sharon E. Roberg-Perez on behalf of Best Buy Co., Inc. (Roberg-Perez, Sharon) (Entered: 06/18/2010)
2010-06-18 120 0 Notice of Appearance NOTICE OF APPEARANCE by Emmett J. McMahon on behalf of Best Buy Co., Inc. (McMahon, Emmett) (Entered: 06/18/2010)
2010-06-18 121 0 Endorsed Letter ENDORSED LETTER addressed to Judge Shira A. Scheindlin from Kyle B. Fleming dated 6/16/2010 re: Counsel for Westinghouse seek permission from the Court to file a motion to withdraw, as Westinghouse has been liquidated under California law, and its trustee has terminated their representation. ENDORSEMENT: Counsel for Westinghouse's request to file a motion to withdraw is hereby granted. SO ORDERED. (Signed by Judge Shira A. Scheindlin on 6/17/2010) (tve) (Entered: 06/18/2010)
2010-06-14 122 0 Motion to Appear Pro Hac Vice MOTION for Shiou-Jin Christine Hwang Yang to Appear Pro Hac Vice. Document filed by ZYXEL Communications Inc.(mro) (Entered: 06/21/2010)
2010-06-23 123 0 Stipulation of Voluntary Dismissal STIPULATION OF VOLUNTARY DISMISSAL It is hereby stipulated and agreed by and between the parties and/or their respective counsel(s) that the above-captioned action is voluntarily dismissed, without prejudice against the defendant(s) Humax USA Inc. and without costs to either party pursuant to Rule 41(a)(1)(A)(ii) of the Federal Rules of Civil Procedure. Document filed by Software Freedom Conservancy, Inc., Erik Andersen.(Williamson, Aaron) (Entered: 06/23/2010) 2010-08-19 10:56:06 266cc2b5bce13fc720ece6f2ce16379bd945e03e
2010-06-24 124 0 Motion to Withdraw MOTION to Withdraw 122 MOTION for Shiou-Jin Christine Hwang Yang to Appear Pro Hac Vice.. Document filed by ZYXEL Communications Inc..(Kirsch, Emily) (Entered: 06/24/2010) 2011-02-14 19:38:46 509d789d73494cb2dbd91af562e1ee92de62f4cc
2010-06-24 125 0 Order on Motion to Appear Pro Hac Vice ORDER FOR ADMISSION PRO HAC VICE ON WRITTEN REQUEST granting 122 Motion for Shiou-Jin Christine Hwang Yang to Appear Pro Hac Vice. (Signed by Judge Shira A. Scheindlin on 6/24/2010) (jpo) (Entered: 06/24/2010)
2010-06-24 126 0 Stipulation and Order of Dismissal STIPULATION OF DISMISSAL: Plaintiffs Software Freedom Conservancy, Inc. and Erik Anderson and Defendant Humax, USA, Inc., hereby stipulate to dismiss defendant Humax from this action without prejudice and without costs to any party. Plaintiffs maintain this action against all other defendants. (Signed by Judge Shira A. Scheindlin on 6/24/2010) (jpo) (Entered: 06/24/2010) 2010-08-05 17:24:15 691191e098b7671845fe3d6e191a2ef43697b6fa
2010-06-29 127 0 Motion to Withdraw as Attorney MOTION for Kyle Bradford Fleming; Sarah Bawany Yousuf to Withdraw as Attorney. Document filed by Westinghouse Digital Electronics, LLC.(Fleming, Kyle) (Entered: 06/29/2010) 2010-08-05 17:22:54 50d8021300b2634225b29f32e7b16add410fe3f7
2010-06-29 128 0 Memorandum of Law in Support of Motion MEMORANDUM OF LAW in Support re: 127 MOTION for Kyle Bradford Fleming; Sarah Bawany Yousuf to Withdraw as Attorney.. Document filed by Westinghouse Digital Electronics, LLC. (Fleming, Kyle) (Entered: 06/29/2010) 2010-08-05 17:23:16 1b31194936888c537f0868688da0fe61becfbc3d
2010-06-29 129 0 Declaration in Support of Motion DECLARATION of Jay R. Campbell in Support re: 127 MOTION for Kyle Bradford Fleming; Sarah Bawany Yousuf to Withdraw as Attorney.. Document filed by Westinghouse Digital Electronics, LLC. (Attachments: # 1 Exhibit A to Declaration, # 2 Exhibit to Declaration, # 3 Exhibit C to Declaration)(Fleming, Kyle) (Entered: 06/29/2010) 2010-08-05 17:21:22 08f34990cb830fb34789ca9a3c372f1eff51ca61
129 1 Exhibit A to Declaration
129 2 Exhibit to Declaration
129 3 Exhibit C to Declaration
2010-07-02 130 0 Memorandum of Law in Opposition to Motion MEMORANDUM OF LAW in Opposition re: 127 MOTION for Kyle Bradford Fleming; Sarah Bawany Yousuf to Withdraw as Attorney.. Document filed by Software Freedom Conservancy, Inc., Erik Andersen. (Ravicher, Daniel) (Entered: 07/02/2010) 2010-08-05 17:20:25 44e4ff6e4fc68d6af35c354466e63e5129540f87
2010-07-27 131 0 Memorandum & Opinion OPINION AND ORDER granting # 99231 re: 112 MOTION for Default Judgment as to Westinghouse Digital Electronics, LLC. MOTION for Summary Judgment against Westinghouse Digital Electronics, LLC, filed by Erik Andersen, Software Freedom Conservancy, Inc., 127 MOTION for Kyle Bradford Fleming; Sarah Bawany Yousuf to Withdraw as Attorney, filed by Westinghouse Digital Electronics, LLC. Plaintiffs' motion for a default judgment against Westinghouse is granted. Accordingly, the Court need not address Plaintiffs' motion for summary judgment. Plaintiffs are directed to submit a fee application by 8/6/10. The Clerk of Court is directed to close the motion to withdraw Renner, Otto, Boisselle & Sklar and Kane Kessler as counsel for Westinghouse (Docket no. 127). (Signed by Judge Shira A. Scheindlin on 7/27/10) (cd) Modified on 7/29/2010 (ajc). (Entered: 07/27/2010) 2010-07-28 10:23:07 eec5baaa71e6a305e9bdf0178f7ad789c4c13b71
2010-08-02 132 0 Order ORDER: On July 27, 2010, attorneys for Plaintiffs wrote a letter to the Court requesting $47,010 in attorneys' fees and $675 in other costs*. Because I find that these fees and costs are reasonable in light of the attorneys' technical expertise in the field, Westinghouse is ordered to pay Plaintiffs a total of$47,685. * - (Plaintiffs calculated their costs and attorneys' fees as follows. Lead counsel Daniel Ravicher worked 54.2 hours in connection with Plaintiffs' motion for a default judgment at a rate of $550 per hour. Associate counsels Aaron Williamson and Michael Spiegel worked one hour and forty-two hours, respectively, at a rate of four hundred dollars per hour. All three attorneys have legal and technical expertise in the area of software-related copyright law. The additional $675 was for experts' fees.) (Signed by Judge Shira A. Scheindlin on 8/2/10) (db) (Entered: 08/02/2010) 2010-08-03 04:25:06 6d9ca3e2e8f6d1623df8a46d575d1bb53012071d
2010-08-09 133 0 Motion for Joinder MOTION for Joinder. Document filed by Erik Andersen, Software Freedom Conservancy, Inc..(Ravicher, Daniel) (Entered: 08/09/2010) 2010-08-10 03:56:06 4974c4a5e58f89eb2bfad8243d457b2ed5320331
2010-08-09 134 0 Memorandum of Law in Support of Motion MEMORANDUM OF LAW in Support re: 133 MOTION for Joinder.. Document filed by Erik Andersen, Software Freedom Conservancy, Inc.. (Ravicher, Daniel) (Entered: 08/09/2010) 2010-08-10 03:55:07 09f1e1bf1cfd2c81c3048067f0ff159cb76181b5
2010-08-09 135 0 Declaration in Support of Motion DECLARATION of Daniel B. Ravicher in Support re: 133 MOTION for Joinder.. Document filed by Erik Andersen, Software Freedom Conservancy, Inc.. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3)(Ravicher, Daniel) (Entered: 08/09/2010)
2010-08-13 136 0 Protective Order STIPULATION AND PROTECTIVE ORDER CONCERNING CONFIDENTIAL INFORMATION regarding procedures to be followed that shall govern the handling of confidential material. (Signed by Judge Shira A. Scheindlin on 8/13/10) (rjm) (Entered: 08/16/2010) 2011-01-11 15:42:20 0503e77e442b13b126e14acd8fb0724e7c17b3d9
2010-08-16 137 0 Endorsed Letter ENDORSED LETTER addressed to Judge Shira Scheindlin from Daniel B. Ravicher dated 8/16/2010 re: At your request, Plaintiffs have communicated with counsel for both parties and arrived at the following briefing schedule for the motion: (i) opposition briefs by CMA and Successor WD due by September 20; and, (ii) reply brief by plaintiffs due by October 4. ENDORSEMENT: Opposition brief to Plaintiffs joinder motion are due by September 20, 2010. Plaintiffs reply brief is due by October 4, 2010. Defendant CMAs proposal to attach various conditions to the briefing schedule is hereby denied by the Court in its entirety. SO ORDERED. ( Responses due by 9/20/2010, Replies due by 10/4/2010.) (Signed by Judge Shira A. Scheindlin on 8/16/2010) (jmi) (Entered: 08/17/2010) 2010-08-18 04:00:04 30802855b42014ca2bd91f1fce6166b730e5ffae
2010-08-17 138 0 Certificate of Service Other CERTIFICATE OF SERVICE of Motion to Join Successors in Interest served on Westinghouse Digital, LLC on 8/10/2010. Service was accepted by Glenda Hallett, Managing Agent (Paracorp, Inc.). Document filed by Erik Andersen, Software Freedom Conservancy, Inc.. (Spiegel, Michael) (Entered: 08/17/2010) 2010-08-17 18:07:18 668866d033cda3120a828abd9e591b1b7e1ef805
2010-08-17 139 0 Certificate of Service Other CERTIFICATE OF SERVICE of Motion to Join Successors in Interest of Westinghouse Digital Electronics, LLC served on Credit Managers Ass'n of California on 8/10/2010. Service was accepted by Michael Jonich, Office Manager. Document filed by Erik Andersen, Software Freedom Conservancy, Inc.. (Spiegel, Michael) (Entered: 08/17/2010) 2010-08-17 18:08:22 267cf766ea5507af69000aa1aef5cb679b0d0786
2010-08-17 140 0 Certificate of Service Other CERTIFICATE OF SERVICE of Motion to Join Successors in Interest of Westinghouse Digital Electronics, LLC served on Westinghouse Digital, LLC on 8/10/2010. Service was accepted by Arthur Moore, Managing Agent. Document filed by Erik Andersen, Software Freedom Conservancy, Inc.. (Spiegel, Michael) (Entered: 08/17/2010) 2010-08-18 03:59:23 16ce45280af067092592d30ff050789a401b5969
2010-08-18 141 0 Memo Endorsement MEMO ENDORSEMENT on NOTICE OF WITHDRAWAL AND REQUEST FOR REMOVAL FROM DOCKET that Justin F. Heinrich no longer represents Dobbs-Stanford Corporation, a former defendant in the captioned matter, and hereby withdraws his Notice of Appearance and requests removal of his name from the docket. ENDORSEMENT: SO ORDERED. (Signed by Judge Shira A. Scheindlin on 9/3/10) (cd) (Entered: 08/18/2010) 2011-05-10 14:57:23 4c2c4b85083b202cf121dedbadb017618189c865
2010-08-26 142 0 Stipulation and Order STIPULATION TO WITHDRAW AS COUNSEL AND AGREED, between Simmons Jannace and Robins Kaplan, as attorneys for Best Buy, that Simmons Jannace is hereby relieved as counsel of record for Best Buy and that the appearances of Kevin P. Simmons and Jason W. Creech of Simmons Jannace as counsel of record for Best Buy are hereby withdrawn; and IT IS FURTHER STIPULATED AND AGREED, that this Stipulation may be executed in counterparts, any of which may be transmitted by facsimile and each of which when so executed and delivered shall be deemed an original, with all which shall together constitute one and the same agreement. (Signed by Judge Shira A. Scheindlin on 8/26/2010) (jmi) (Entered: 08/27/2010) 2010-08-30 18:33:16 a14cb877089402b0dee8a9625a6bb99d33a423b4
2010-09-07 143 0 Order Admitting Attorney Pro Hac Vice ORDER ADMITTING ATTORNEY PRO HAC VICE. Attorney Nicole E. Kopinski for Best Buy Co., Inc. admitted Pro Hac Vice. (Signed by Judge Shira A. Scheindlin on 9/7/2010) (jmi) (Entered: 09/08/2010) 2010-09-09 03:58:06 d0031b05cc3b2f1ef1936e979b386f5cf3b32075
2010-09-08 144 0 Notice of Voluntary Dismissal - Signed NOTICE OF VOLUNTARY DISMISSAL Pursuant to Rule 41(a)(1)(A)(i) of the Federal Rules of Civil Procedure, the plaintiff(s) and or their counsel(s), hereby give notice that the above-captioned action is voluntarily dismissed against the defendant(s) Astak Inc without prejudice and without costs to any party. (Signed by Judge Shira A. Scheindlin on 9/8/2010) (jpo) Modified on 9/22/2010 (jpo). (Entered: 09/09/2010) 2010-09-10 04:52:07 f7ed647f9546adb206bde36e6abe8e04192e8d93
2010-09-13 145 0 Stipulation and Order of Dismissal STIPULATION OF DISMISSAL Plaintiffs Software Freedom Conservancy, Inc. and Erik Andersen and Defendant Robert Bosch LLC ("Bosch") hereby stipulate to dismiss defendant Bosch from this action WITHOUT PREJUDICE, and without costs or fees to any party. Plaintiffs maintain this action against all other defendants. (Signed by Judge Shira A. Scheindlin on 9/13/2010) (jmi) (Entered: 09/14/2010) 2010-09-15 04:36:41 b70ba7ae24961f7274b9c9653bb92691d43cb9f4
2010-09-20 146 0 Memorandum of Law in Opposition to Motion MEMORANDUM OF LAW in Opposition re: 133 MOTION for Joinder.. Document filed by Credit Managers Association of California. (Weigel, Robert) (Entered: 09/20/2010) 2010-09-21 04:15:11 6d8e565bb9c49aebc295cade6351f0bf3e68c420
2010-09-20 147 0 Declaration in Opposition to Motion DECLARATION of Michael Joncich in Opposition re: 133 MOTION for Joinder.. Document filed by Credit Managers Association of California. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2)(Weigel, Robert) (Entered: 09/20/2010)
147 1
147 2
2010-09-20 148 0 Declaration in Opposition to Motion DECLARATION of Samuel A. Newman in Opposition re: 133 MOTION for Joinder.. Document filed by Credit Managers Association of California. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5, # 6 Exhibit 6, # 7 Exhibit 7, # 8 Exhibit 8)(Weigel, Robert) (Entered: 09/20/2010)
148 1 Exhibit 1 2010-09-21 18:51:07 6cc506f239d86e02b08780896b11cfcaf2035493
148 2 Exhibit 2 2010-09-21 18:54:20 e2b743bf46dd17707ac017c631f95f778d920a3a
148 3 Exhibit 3
148 4 Exhibit 4
148 5 Exhibit 5
148 6 Exhibit 6
148 7 Exhibit 7
148 8 Exhibit 8
2010-09-20 149 0 Memorandum of Law in Opposition to Motion MEMORANDUM OF LAW in Opposition re: 133 MOTION for Joinder.. Document filed by Westinghouse Digital, LLC. (Attachments: # 1 Exhibit A - Declaration of Arthur Moore, # 2 Exhibit B-1 - Verified Complaint, # 3 Exhibit B-2 - Verified Complaint, with exhibits [excertped], # 4 Exhibit C-1 - Asset Purchase Agreement [excerpted], # 5 Exhibit C-2 - Asset Purchase Agreement [excerpted], # 6 Exhibit D - Press Release of Software Freedom Conservancy, # 7 Exhibit E - California Secretary of State record for Mora Electronics, LLC, # 8 Exhibit F - Bulletin No.1 from Credit Managment Association)(Kazan, Barry) (Entered: 09/20/2010) 2010-11-01 15:49:29 b560fe84c6f97ccb6267f679c1c928c8d5549dbb
149 1 Exhibit A - Declaration of Arthur Moore
149 2 Exhibit B-1 - Verified Complaint
149 3 Exhibit B-2 - Verified Complaint, with exhibits [excertped]
149 4 Exhibit C-1 - Asset Purchase Agreement [excerpted]
149 5 Exhibit C-2 - Asset Purchase Agreement [excerpted]
149 6 Exhibit D - Press Release of Software Freedom Conservancy
149 7 Exhibit E - California Secretary of State record for Mora Electronics, LLC
149 8 Exhibit F - Bulletin No.1 from Credit Managment Association
2010-09-24 150 0 Order Admitting Attorney Pro Hac Vice ORDER FOR ADMISSION PRO HAC VICE: Attorney Christopher K Larus for Best Buy Co., Inc.,Christopher K Larus for Best Buy Co., Inc. admitted Pro Hac Vice. (Signed by Judge Shira A. Scheindlin on 9/24/2010) (jfe) (Entered: 09/24/2010) 2010-09-25 04:52:30 bbe67c2461f5f136c943a4708526d2ee592f01fd
2010-09-24 151 0 Certificate of Service Other CERTIFICATE OF SERVICE of Memorandum of Law in Opposition to Plaintiffs' Motion to Join Successors in Interest of Defendant Westinghouse Digital Electronics, LLC, Declaration of Michael Joncich with Exhibits, and Declaration of Samuel A. Newman with Exhibits. served on All Parties of Record on 09/20/2010. Service was made by ECF Notification. Document filed by Credit Managers Association of California. (Weigel, Robert) (Entered: 09/24/2010) 2010-09-25 04:53:08 7d4f18e28d364fe0f2b169af3f0fcf7bda0e65aa
2010-10-01 152 0 Notice of Change of Address NOTICE OF CHANGE OF ADDRESS by David Leichtman on behalf of Best Buy Co., Inc.. New Address: Robins, Kaplan, Miller & Ciresi L.L.P., 601 Lexington Avenue, Suite 3400, New York, New York, 10022, 212-980-7400. (Leichtman, David) (Entered: 10/01/2010) 2010-10-04 04:52:29 21047cafb855c11212c1ac01943a94750d4f95f3
2010-10-01 153 0 Declaration in Opposition to Motion DECLARATION of Michael Joncich in Opposition re: 133 MOTION for Joinder.. Document filed by Credit Managers Association of California. (Weigel, Robert) (Entered: 10/01/2010) 2010-10-04 04:52:18 30ccb49971468b961bb759bb3da97c796aee5f8c
2010-10-01 154 0 Notice of Change of Address NOTICE OF CHANGE OF ADDRESS by Oren Dov Langer on behalf of Best Buy Co., Inc.. New Address: Robins, Kaplan, Miller & Ciresi L.L.P., 601 Lexington Avenue, Suite 3400, New York, New York, USA 10022, 212-980-7400. (Langer, Oren) (Entered: 10/01/2010) 2010-10-04 04:53:08 3e23d7d59035c8c3c4035664e9424147be2aea10
2010-10-04 155 0 Reply Memorandum of Law in Support of Motion REPLY MEMORANDUM OF LAW in Support re: 133 MOTION for Joinder.. Document filed by Erik Andersen, Software Freedom Conservancy, Inc.. (Ravicher, Daniel) (Entered: 10/04/2010) 2010-10-05 04:51:14 ea64f630caaedbfc2a6e95984525be0155f1fb67
2010-10-04 156 0 Declaration in Support of Motion DECLARATION of Bradley M. Kuhn in Support re: 133 MOTION for Joinder.. Document filed by Erik Andersen, Software Freedom Conservancy, Inc.. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3)(Ravicher, Daniel) (Entered: 10/04/2010)
156 1 Exhibit 1
156 2 Exhibit 2
156 3 Exhibit 3
2010-10-05 157 0 Certificate of Service Other CERTIFICATE OF SERVICE of Supplemental Declaration of Michael Joncich served on All Parties of Record on 10/01/2010. Service was made by ECF Notification. Document filed by Credit Managers Association of California. (Weigel, Robert) (Entered: 10/05/2010) 2010-10-06 05:17:14 0bb41e4b34507bb538705af22ef5e0c5f9fec100
2010-11-17 158 0 Scheduling Order REVISED SCHEDULING ORDER: Initial expert reports due April 11, 2011. Rebuttal expert reports due May 11, 2011. Each expert's deposition will completed by June 15, 2011. Fact discovery is to be completed by February 18, 2011. Expert discovery is to be completed June 15, 2011. ENDORSEMENT: No further extensions will granted. (Signed by Judge Shira A. Scheindlin on 11/16/2010) (jpo) (Entered: 11/17/2010) 2010-11-22 16:40:44 f519fa81ec9d5bab5178faee0bb382c2621c1bb4
2010-11-29 159 0 Memorandum & Opinion OPINION AND ORDER: #99698 For the foregoing reasons, Plaintiffs' motion to join respondents is denied as to CMA. Plaintiffs' motion to join WD is denied, without prejudice, subject to Plaintiffs' decision to refile following an evidentiary hearing on the issues of whether the asset sale amounted to a merger between WDE and WD and whether WD substantially continued WDE's business. A hearing is scheduled for February 2, 2011 at 4:30 P.M. The Clerk of the Court is directed to close this motion (Docket No. 133). (Signed by Judge Shira A. Scheindlin on 11/29/2010) (jfe) Modified on 11/30/2010 (jfe). Modified on 12/3/2010 (ajc). (Entered: 11/29/2010) 2010-12-01 01:01:13 fd0b69e271745f134ad96d66d4421b7cfb246f3c
2010-12-13 160 0 Notice of Voluntary Dismissal - Signed NOTICE OF VOLUNTARY DISMISSAL Pursuant to Rule 41(a)(1)(A)(i) of the Federal Rules of Civil Procedure, the plaintiff(s) and or their counsel(s), hereby give notice that the above-captioned action is voluntarily dismissed without prejudice and without costs against the defendant(s) JVC Americas Corporation. (Signed by Judge Shira A. Scheindlin on 12/13/10) (laq) (Entered: 12/13/2010) 2010-12-14 03:52:10 b317abc625c4a1cf486ee0c8f54a824bc09c248b
2010-12-29 161 0 Notice of Appeal NOTICE OF APPEAL from 159 Memorandum & Opinion. Document filed by Erik Andersen, Software Freedom Conservancy, Inc. Filing fee $ 455.00, receipt number E 924625. (tp) (Entered: 12/29/2010) 2010-12-30 03:08:08 c9043e913b49dda4d48dd41d4038a30872cc2444
2011-01-18 162 0 Notice of Voluntary Dismissal - Signed NOTICE OF VOLUNTARY DISMISSAL Pursuant to Rule 41(a)(1)(A)(i) of the Federal Rules of Civil Procedure, the plaintiff(s) and or their counsel(s), hereby give notice that the above-captioned action is voluntarily dismissed against the defendant(s) Versa Technology Inc. SO ORDERED. (Signed by Judge Shira A. Scheindlin on 1/18/2011) (jmi) (Entered: 01/19/2011) 2011-01-25 17:33:55 4391305241d84ab0b759978e4aacbebb9cbfacfb
2011-01-31 163 0 Motion for Preliminary Injunction MOTION for Preliminary Injunction. Document filed by Erik Andersen, Software Freedom Conservancy, Inc..(Ravicher, Daniel) (Entered: 01/31/2011) 2011-03-21 19:49:26 8d0f760314f9936d78fa0816c412949c92889e7a
2011-01-31 164 0 Memorandum of Law in Support of Motion MEMORANDUM OF LAW in Support re: 163 MOTION for Preliminary Injunction.. Document filed by Erik Andersen, Software Freedom Conservancy, Inc.. (Ravicher, Daniel) (Entered: 01/31/2011) 2013-12-03 17:12:02 36807fdca0f9c4bceea7a50188b14e7c87841c13
2011-01-31 165 0 Declaration in Support of Motion DECLARATION of Erik Andersen in Support re: 163 MOTION for Preliminary Injunction.. Document filed by Erik Andersen, Software Freedom Conservancy, Inc.. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2)(Ravicher, Daniel) (Entered: 01/31/2011)
165 1 Exhibit 1
165 2 Exhibit 2
2011-01-31 166 0 Declaration in Support of Motion DECLARATION of Bradley M. Kuhn in Support re: 163 MOTION for Preliminary Injunction.. Document filed by Erik Andersen, Software Freedom Conservancy, Inc.. (Ravicher, Daniel) (Entered: 01/31/2011) 2013-03-26 19:03:09 5cbac93269f82412e61ca198316375b14c6c983e
2011-02-01 167 0 Answer to Complaint ANSWER to Complaint with JURY DEMAND. Document filed by Phoebe Micro, Inc.. (Attachments: # 1 Supplement Certificate of Service)(Kaver, Andrew) (Entered: 02/01/2011)
167 1 Supplement Certificate of Service
2011-02-01 168 0 Rule 7.1 Corporate Disclosure Statement RULE 7.1 CORPORATE DISCLOSURE STATEMENT. No Corporate Parent. Document filed by Phoebe Micro, Inc..(Kaver, Andrew) (Entered: 02/01/2011) 2011-02-02 06:27:34 d5546378189e5d67dac20030417685d8246fab61
2011-02-14 169 0 Order on Motion to Withdraw MEMO ENDORSEMENT ON 124 Motion to Withdraw. ENDORSEMENT: Ms. Kirsch's motion to withdraw her motion to admit counsel pro hac vice is granted. The Clerk of the Court is directed to close this motion, docket number 124 . So Ordered. (Signed by Judge Shira A. Scheindlin on 2/14/2011) (lnl) (Entered: 02/14/2011) 2011-03-15 09:15:34 1b61db656a5b7d01068f30ee502214b60e528e7e
2011-02-17 170 0 Transcript TRANSCRIPT of proceedings held on February 2, 2011 before Judge Shira A. Scheindlin. (js) (Entered: 02/18/2011)
2011-02-23 171 0 Motion for Miscellaneous Relief FILING ERROR - ELECTRONIC FILING FOR NON-ECF DOCUMENT(LETTER) - MOTION Finding of Contempt. Document filed by Erik Andersen, Software Freedom Conservancy, Inc..(Ravicher, Daniel) Modified on 2/24/2011 (ka). (Entered: 02/23/2011) 2011-02-23 14:43:01 d7d36133a7fe2b2cb40e4276ed8977bfadf08651
2011-02-23 172 0 Motion for Miscellaneous Relief MOTION Finding Westinghouse Digital Electronics, LLC in Contempt. Document filed by Erik Andersen, Software Freedom Conservancy, Inc.(Ravicher, Daniel) Modified on 2/24/2011 (ka). (Entered: 02/23/2011) 2011-02-23 14:43:22 b9502a04ad7ee42fc52dd995d58c1b6830cedcc3
2011-02-23 173 0 Memorandum of Law in Support of Motion MEMORANDUM OF LAW in Support re: 172 MOTION Finding of Contempt. Document filed by Erik Andersen, Software Freedom Conservancy, Inc. (Ravicher, Daniel) Modified on 2/24/2011 (ka). (Entered: 02/23/2011) 2011-02-23 14:45:36 1faee887bbd01a1615ac839801a2df2198325f3d
2011-02-25 174 0 USCA Order TRUE COPY ORDER of USCA as to 161 Notice of Appeal filed by Erik Andersen, Software Freedom Conservancy, Inc. USCA Case Number 10-5290....that the appeal is hereby WITHDRAWN pursuant to Rule 42(b) of the Federal Rules of Appellate Procedure. Catherine O'Hagan Wolfe, Clerk USCA for the Second Circuit. Certified: 02/25/2011. (nd) (Entered: 02/25/2011) 2011-02-27 22:45:18 64fb048d4367f5f82bd70b26b884ab9be050ff2b
2011-02-28 175 0 Order ORDER FOR EXTENSION OF TIME: IT IS HEREBY ORDERED that (i) the deadline for Phoebe Micro and Best Buy to file their papers in opposition to SFC's motion for preliminary injunction (Dkt. 163 ) is extended from February 28, 2011, to March 7, 2011; and (ii) the deadline for SFC to file its reply papers in support of its motion for preliminary injunction is extended from March 14, 2011, to March 21, 2011. Set Deadlines as to 163 MOTION for Preliminary Injunction: Responses due by 3/7/2011. Replies due by 3/21/2011. (Signed by Judge Shira A. Scheindlin on 2/25/2011) (lnl) (Entered: 02/28/2011) 2011-02-28 17:22:12 c6dd89edc777d6a19492eb327be49588b2932751
2011-02-28 176 0 Transcript TRANSCRIPT of proceedings held on 2/22/11 before Judge Shira A. Scheindlin. (ama) (Entered: 02/28/2011)
2011-03-01 177 0 Transcript TRANSCRIPT of proceedings held on 2/2/2011 before Judge Shira A. Scheindlin. (ja) (Entered: 03/01/2011)
2011-03-07 178 0 Memorandum of Law in Opposition to Motion MEMORANDUM OF LAW in Opposition re: 163 MOTION for Preliminary Injunction.. Document filed by Best Buy Co., Inc.. (McMahon, Emmett) (Entered: 03/07/2011) 2011-03-09 19:18:27 d02dc6de3c11e0439168eda9cfb3a8e6bf284888
2011-03-07 179 0 Declaration in Opposition to Motion DECLARATION of Sharon E. Roberg-Perez in Opposition re: 163 MOTION for Preliminary Injunction.. Document filed by Best Buy Co., Inc.. (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D, # 5 Exhibit E, # 6 Exhibit F, # 7 Exhibit G, # 8 Exhibit H, # 9 Exhibit I, # 10 Exhibit J, # 11 Exhibit K, # 12 Exhibit L)(McMahon, Emmett) (Entered: 03/07/2011)
179 1 Exhibit A
179 2 Exhibit B
179 3 Exhibit C
179 4 Exhibit D
179 5 Exhibit E
179 6 Exhibit F
179 7 Exhibit G
179 8 Exhibit H
179 9 Exhibit I
179 10 Exhibit J
179 11 Exhibit K
179 12 Exhibit L
2011-03-07 180 0 Declaration in Opposition to Motion DECLARATION of Rashid Khan in Opposition re: 163 MOTION for Preliminary Injunction.. Document filed by Best Buy Co., Inc.. (Attachments: # 1 Exhibit A, # 2 Exhibit B)(McMahon, Emmett) (Entered: 03/07/2011) 2011-08-15 03:27:23 8486465a823c7dcbae81cc9afaa615f00bd1ce4f
180 1 Exhibit A
180 2 Exhibit B
2011-03-07 181 0 Declaration in Opposition to Motion DECLARATION of Patrick McGinnis in Opposition re: 163 MOTION for Preliminary Injunction.. Document filed by Best Buy Co., Inc.. (McMahon, Emmett) (Entered: 03/07/2011) 2011-03-07 16:45:42 f65395bd0a2db30afd148a2757c90bc814534c71
2011-03-07 182 0 Notice of Appearance NOTICE OF APPEARANCE by Brian Scott Cohen on behalf of Phoebe Micro, Inc. (Cohen, Brian) (Entered: 03/07/2011) 2011-03-08 11:10:58 f96dcc4acdb2e4a0f95d867fd67eb85cd562df98
2011-03-07 183 0 Response in Opposition to Motion RESPONSE in Opposition re: 163 MOTION for Preliminary Injunction. Phoebe Micro, Inc.'s Notice of Joinder In Defendant Best Buy Co. Inc.'s Opposition to Motion for Preliminary Injunction. Document filed by Phoebe Micro, Inc.. (Cohen, Brian) (Entered: 03/07/2011) 2011-03-07 18:42:51 dc740301701964e7ed9ebf8223a017dcc310a241
2011-03-07 184 0 Declaration in Opposition to Motion DECLARATION of Peter Lui in Opposition re: 163 MOTION for Preliminary Injunction.. Document filed by Phoebe Micro, Inc.. (Cohen, Brian) (Entered: 03/07/2011) 2011-03-07 18:45:19 48df665041fc1b56567e6139f597cb0a9b669c0d
2011-03-09 185 0 Memorandum of Law in Opposition to Motion MEMORANDUM OF LAW in Opposition re: 172 MOTION Finding of Contempt re: 171 MOTION Finding of Contempt... Document filed by Westinghouse Digital, LLC. (Kazan, Barry) (Entered: 03/09/2011) 2011-03-10 00:12:19 7bf23c8d6796e49d1207b52d6b2f1755a8797880
2011-03-09 186 0 Declaration in Opposition to Motion DECLARATION of Terri Poindexter in Opposition re: 172 MOTION Finding of Contempt re: 171 MOTION Finding of Contempt... Document filed by Westinghouse Digital, LLC. (Attachments: # 1 Certificate of Service)(Kazan, Barry) (Entered: 03/09/2011) 2011-03-10 12:04:43 0b8e15cbdd29cbf4f1133aaa3bfa8673956083ea
186 1 Certificate of Service
2011-03-09 187 0 Declaration in Opposition to Motion DECLARATION of Kenneth Randall in Opposition re: 172 MOTION Finding of Contempt re: 171 MOTION Finding of Contempt... Document filed by Westinghouse Digital, LLC. (Attachments: # 1 Exhibit FCC Order, # 2 Exhibit Compliance Plan, # 3 Certificate of Service)(Kazan, Barry) (Entered: 03/09/2011)
2011-03-21 188 0 Reply Memorandum of Law in Support of Motion REPLY MEMORANDUM OF LAW in Support re: 163 MOTION for Preliminary Injunction.. Document filed by Erik Andersen, Software Freedom Conservancy, Inc.. (Ravicher, Daniel) (Entered: 03/21/2011) 2011-03-22 06:21:40 1ad24262a26d1b9ad30fc75e5bd3d6c17cb982ba
2011-03-21 189 0 Declaration in Support of Motion DECLARATION of Bradley M. Kuhn in Support re: 163 MOTION for Preliminary Injunction.. Document filed by Erik Andersen, Software Freedom Conservancy, Inc.. (Ravicher, Daniel) (Entered: 03/21/2011) 2011-03-22 06:24:52 6afd1b3ad02daee27d70cb080965545e5a298c17
2011-03-21 190 0 Declaration in Support of Motion DECLARATION of Aaron Williamson, Esq. in Support re: 163 MOTION for Preliminary Injunction.. Document filed by Erik Andersen, Software Freedom Conservancy, Inc.. (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D)(Ravicher, Daniel) (Entered: 03/21/2011) 2011-08-15 02:57:51 2ccf08c2317a2b4e023a9399f619f3f0beb7600d
190 1 Exhibit A 2011-08-15 03:00:23 4d85a2fc626889c75ed2a16dab38cb10fdb475c2
190 2 Exhibit B
190 3 Exhibit C
190 4 Exhibit D 2011-08-15 03:12:22 897d4cba16afb5248877e30c389e7f47d5352463
2011-03-22 191 0 Reply Memorandum of Law in Support of Motion REPLY MEMORANDUM OF LAW in Support re: 172 MOTION Finding of Contempt re: 171 MOTION Finding of Contempt... Document filed by Erik Andersen, Software Freedom Conservancy, Inc.. (Ravicher, Daniel) (Entered: 03/22/2011) 2011-03-24 09:34:19 9cff058ed87233a7a9919ffc2ba399a1d79fddb7
2011-03-23 192 0 Endorsed Letter ENDORSED LETTER addressed to Judge Shira A. Scheindlin from David Leichtman dated 3/23/2011 re: Requesting that the Reply and Kuhn Declaration be stricken, or in the alternative, that the Court consider Best Buy's responses to these new theories and arguments. ENDORSEMENT: Defendant's request is granted. The Court will consider Best Buy's response to the new issues raised in Plaintiffs' Reply, as set forth in this letter. So Ordered. (Signed by Judge Shira A. Scheindlin on 3/23/2011) (jpo) (Entered: 03/23/2011) 2011-03-24 09:36:36 ae59469043438bae4d61856699606e19412ff5eb
2011-04-14 193 0 Memorandum & Opinion OPINION AND ORDER. #100223 For the reasons in this opinion and order, plaintiffs' motion to join WD is denied. The Clerk of the Court is directed to close this motion (Docket No. 133). (Signed by Judge Shira A. Scheindlin on 4/14/2011) (rjm) Modified on 4/20/2011 (ajc). (Entered: 04/15/2011) 2011-04-21 17:15:49 edc8b79fd254b5dbe0b5514f41687f4bda9409a3
2011-04-26 194 0 Endorsed Letter ENDORSED LETTER addressed to Judge Shira A. Scheindlin from Emmett J. McMahon, dated 4/25/2011, re: Counsel for the defendant Best Buy Co., writes to request a pre-motion conference regarding a motion to strike Plaintiffs' claim for "actual damages and any additional profits of [Best Buy] incurred as the result of infringement." ENDORSEMENT: Request granted. A premotion conference will be held on May 6 at 2:30. So Ordered. (Pre-Motion Conference set for 5/6/2011 at 02:30 PM before Judge Shira A. Scheindlin) (Signed by Judge Shira A. Scheindlin on 4/25/2011) (lnl) (Entered: 04/26/2011)
2011-05-12 195 0 Notice of Voluntary Dismissal - Signed NOTICE OF VOLUNTARY DISMISSAL Pursuant to Rule 41(a)(1) of the Federal Rules of Civil Procedure, the plaintiff(s) and or their counsel(s), hereby give notice that the above-captioned action is voluntarily dismissed against the defendant(s) Western Digital Technologies, Inc. WITHOUT PREJUDICE, and without costs to any party. Plaintiffs maintain this action against all other defendants. (Signed by Judge Shira A. Scheindlin on 5/12/11) (pl) (Entered: 05/12/2011) 2011-06-01 21:37:44 720fc57dcf23028d15f07fea8a1810dc2ef00362
2011-05-17 196 0 Motion to Withdraw as Attorney FILING ERROR - DEFICIENT DOCKET ENTRY - MOTION for Michael Andrew Spiegel to Withdraw as Attorney. Document filed by Software Freedom Conservancy, Inc. Return Date set for 5/24/2011 at 12:00 PM. (Attachments: # 1 Affidavit Declaration of Michael A. Spiegel)(Spiegel, Michael) Modified on 5/18/2011 (db). (Entered: 05/17/2011)
2011-05-19 197 0 Motion to Withdraw as Attorney MOTION for Michael Andrew Spiegel to Withdraw as Attorney. Document filed by Software Freedom Conservancy, Inc..(Spiegel, Michael) (Entered: 05/19/2011) 2011-06-01 21:38:36 83bb573f3aa958c4845dfc80217581944da619ed
2011-05-19 198 0 Declaration in Support of Motion DECLARATION of Michael Andrew Spiegel in Support re: 197 MOTION for Michael Andrew Spiegel to Withdraw as Attorney.. Document filed by Software Freedom Conservancy, Inc.. (Spiegel, Michael) (Entered: 05/19/2011) 2011-06-01 21:39:47 6964bb3e77e798147f3d6ea542f578a59a7eca2b
2011-05-31 199 0 Transcript TRANSCRIPT of Proceedings re: Conference held on 5/6/2011 before Judge Shira A. Scheindlin. Court Reporter/Transcriber: Denise Richards, (212) 805-0300. Transcript may be viewed at the court public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. After that date it may be obtained through PACER. Redaction Request due 6/24/2011. Redacted Transcript Deadline set for 7/5/2011. Release of Transcript Restriction set for 9/1/2011.(McGuirk, Kelly) (Entered: 05/31/2011) 2014-06-20 11:13:49 bb4e382accd2937dde270b4a72a6cedf1d4021f7
2011-05-31 200 0 Notice of Filing Transcript NOTICE OF FILING OF OFFICIAL TRANSCRIPT Notice is hereby given that an official transcript of a Conference proceeding held on 5/6/11 has been filed by the court reporter/transcriber in the above-captioned matter. The parties have seven (7) calendar days to file with the court a Notice of Intent to Request Redaction of this transcript. If no such Notice is filed, the transcript may be made remotely electronically available to the public without redaction after 90 calendar days...(McGuirk, Kelly) (Entered: 05/31/2011)
2011-06-03 201 0 USCA Mandate MANDATE of USCA (Certified Copy) as to 161 Notice of Appeal filed by Erik Andersen, Software Freedom Conservancy, Inc. USCA Case Number 10-5290. The parties in the above-referenced case have filed a stipulation withdrawing this appeal pursuant to Local Rule 42.1. Each party has submitted a separate electronically signed counterpart reflecting the negotiated terms of the stipulation. The stipulations are hereby "So Ordered". Catherine O'Hagan Wolfe, Clerk USCA for the Second Circuit. Issued As Mandate: 6/3/2011. (tp) (Entered: 06/06/2011)
2011-06-10 202 0 Motion to Withdraw as Attorney MOTION for Mishi Choudhary to Withdraw as Attorney. Document filed by Erik Andersen, Software Freedom Conservancy, Inc..(Ravicher, Daniel) (Entered: 06/10/2011) 2015-03-27 20:20:34 862fd336cb98862c251a1095a28680c7ee8ced36
2011-06-10 203 0 Declaration in Support of Motion DECLARATION of Mishi Choudhary in Support re: 202 MOTION for Mishi Choudhary to Withdraw as Attorney.. Document filed by Erik Andersen, Software Freedom Conservancy, Inc.. (Ravicher, Daniel) (Entered: 06/10/2011) 2011-07-07 00:30:50 384d1bcbb2be0d23a18f4e9690187e568ac96743
2011-06-14 204 0 Stipulation and Order of Voluntary Dismissal STIPULATION AND ORDER OF VOLUNTARY DISMISSAL: It is hereby stipulated and agreed by and between the parties and/or their respective counsel(s) that the above-captioned action is voluntarily dismissed, with prejudice against the defendant Best Buy Co., Inc. pursuant to Rule 41(a)(1)(A)(ii) of the Federal Rules of Civil Procedure. (Signed by Judge Shira A. Scheindlin on 6/13/2011) (js) Modified on 6/16/2011 (js). (Entered: 06/14/2011) 2011-07-07 00:33:21 a7a31be114ac22a6d7ee39a4effb0cd4798685b3
2011-06-20 205 0 Motion to Withdraw as Attorney MOTION for Aaron Kyle Williamson to Withdraw as Attorney. Document filed by Erik Andersen, Software Freedom Conservancy, Inc..(Ravicher, Daniel) (Entered: 06/20/2011) 2011-07-07 00:28:41 c053af5c74ea9ac9b48537fbcb27fc20e60c56f5
2011-06-20 206 0 Declaration in Support of Motion DECLARATION of Aaron Williamson, Esq. in Support re: 205 MOTION for Aaron Kyle Williamson to Withdraw as Attorney.. Document filed by Erik Andersen, Software Freedom Conservancy, Inc.. (Ravicher, Daniel) (Entered: 06/20/2011) 2011-07-07 00:29:10 d9ab25fcb8b20e49e7c03522dedc26aed76f2fac
2011-06-30 207 0 Notice of Appearance NOTICE OF APPEARANCE by David Leichtman on behalf of ZYXEL Communications Inc. (Leichtman, David) (Entered: 06/30/2011)
2011-07-19 208 0 Endorsed Letter ENDORSED LETTER addressed to Judge Shira A. Scheindlin from Daniel B. Ravicher dated 7/15/2011 re: Counsel request a pre-motion conference in contemplation of filing motion for summary judgment. ENDORSEMENT: Request for a pre-motion conference is granted and scheduled for July 28, 2011 at 3:30 p.m. So Ordered. (Signed by Judge Shira A. Scheindlin on 7/18/2011) (jfe) (Entered: 07/20/2011) 2011-07-24 22:17:32 e779b6913a97c519679b2460b09c380a05e79bf7
2011-07-21 209 0 Stipulation and Order STIPULATION AND ORDER: It is hereby stipulated and agreed that: Plaintiffs' currently pending Motion For Preliminary Injunction Against Best Buy and Phoebe (Dkt. 163) shall be withdrawn in its entirety, Plaintiffs may refile their motion for a preliminary injunction against Phoebe any time after the entering of this Order by the Court, If Plaintiffs refile their motion for a preliminary injunction, Phoebe shall have ten (l0) days after Plaintiffs refile their motion to file any opposition, and if Phoebe files an opposition, Plaintiffs shall have seven (7) days from the filing of that opposition to file a reply. (Signed by Judge Shira A. Scheindlin on 7/21/2011) (ft) (Entered: 07/21/2011)
2011-07-21 210 0 Endorsed Letter ENDORSED LETTER addressed to Judge Shira A. Scheindlin from David Leichtman dated 7/20/11 re: counsel defendant writes that due to a scheduling conflict, the parties respectfully request the Court to re-schedule the above-noticed pre-motion conference. ENDORSEMENT: Request granted. Conference rescheduled to August 8 at 5:00 pm. So Ordered., ( Pre-Motion Conference set for 8/8/2011 at 05:00 PM before Judge Shira A. Scheindlin.) (Signed by Judge Shira A. Scheindlin on 7/20/11) (pl) (Entered: 07/22/2011)
2011-08-08 211 0 Memorandum & Opinion OPINION AND ORDER:#100634 For the aforementioned reasons stated above, plaintiffs' motion to hold WD in contempt of this Court's earlier injunction against WDE pursuant to Rule 65( d) is granted. Counsel is ordered to submit information regarding WD's ability to pay and plaintiffs' lost profits within fifteen (15) days of the issuance of this Opinion and Order. Plaintiffs are directed to submit a fee application by the same date. The Clerk of the Court is directed to close this motion (docket # 172). (Signed by Judge Shira A. Scheindlin on 8/8/2011) (js) Modified on 8/9/2011 (jab). (Entered: 08/09/2011) 2011-08-15 02:45:27 e8a268c08ee5127fbab7db9b2582ef385d29f515
2011-08-15 212 0 Transcript TRANSCRIPT of Proceedings re: Conference held on 8/8/2011 before Judge Shira A. Scheindlin. Court Reporter/Transcriber: Andrew Walker, (212) 805-0300. Transcript may be viewed at the court public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. After that date it may be obtained through PACER. Redaction Request due 9/8/2011. Redacted Transcript Deadline set for 9/19/2011. Release of Transcript Restriction set for 11/17/2011.(McGuirk, Kelly) (Entered: 08/15/2011)
2011-08-15 213 0 Notice of Filing Transcript NOTICE OF FILING OF OFFICIAL TRANSCRIPT Notice is hereby given that an official transcript of a Conference proceeding held on 8/8/11 has been filed by the court reporter/transcriber in the above-captioned matter. The parties have seven (7) calendar days to file with the court a Notice of Intent to Request Redaction of this transcript. If no such Notice is filed, the transcript may be made remotely electronically available to the public without redaction after 90 calendar days...(McGuirk, Kelly) (Entered: 08/15/2011)
2011-08-19 214 0 Endorsed Letter ENDORSED LETTER addressed to Judge Shira A. Scheindlin from Barry M. Kazan dated 8/19/2011 re: Counsel for the non-party Westinghouse Digital LLC writes to request that the Court extend the time for submissions under the 8/8/2011 Order until 9/7/2011. ENDORSEMENT: Request granted. The parties may have until September 7 to make their submissions as required by the August 8 Order. (Signed by Judge Shira A. Scheindlin on 8/19/211) (ab) (Entered: 08/19/2011)
2011-08-26 215 0 Memo Endorsement MEMO ENDORSEMENT on Notice of Withdrawal and Request for Removal from Docket. ENDORSEMENT: Request granted. Mishi Choudhary is hereby relieved as counsel to plaintiffs in this matter. The Clerk of Court is directed to remove her name from the docket and to terminate ECF noticing to her in this matter. The Clerk is further directed to close this motion 202 . So ordered. (Signed by Judge Shira A. Scheindlin on 8/26/2011) (mro) (Entered: 08/26/2011)
2011-08-26 216 0 Memo Endorsement MEMO ENDORSEMENT on Notice of Withdrawal and Request for Removal from Docket. ENDORSEMENT: Request granted. Aaron Williamson is hereby relieved as counsel to plaintiffs in this matter. The Clerk of Court is directed to remove his name from the docket and to terminate ECF noticing to him in this matter. The Clerk is further directed to close this motion 205 . So ordered. Motions terminated: 205 MOTION for Aaron Kyle Williamson to Withdraw as Attorney filed by Erik Andersen, Software Freedom Conservancy, Inc. (Signed by Judge Shira A. Scheindlin on 8/26/2011) (mro) (Entered: 08/26/2011)
2011-08-30 217 0 Transcript TRANSCRIPT of Proceedings re: CONFERENCE held on 8/15/2011 before Judge Shira A. Scheindlin. Court Reporter/Transcriber: William Richards, (212) 805-0300. Transcript may be viewed at the court public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. After that date it may be obtained through PACER. Redaction Request due 9/23/2011. Redacted Transcript Deadline set for 10/3/2011. Release of Transcript Restriction set for 12/1/2011.(Moya, Goretti) (Entered: 08/30/2011) 2015-03-27 20:22:31 781901e2449794b8e0250b82eab426d5d724d16b
2011-08-30 218 0 Notice of Filing Transcript NOTICE OF FILING OF OFFICIAL TRANSCRIPT Notice is hereby given that an official transcript of a CONFERENCE proceeding held on 8/15/11 has been filed by the court reporter/transcriber in the above-captioned matter. The parties have seven (7) calendar days to file with the court a Notice of Intent to Request Redaction of this transcript. If no such Notice is filed, the transcript may be made remotely electronically available to the public without redaction after 90 calendar days...(Moya, Goretti) (Entered: 08/30/2011)
2011-09-07 219 0 Notice of Appeal NOTICE OF APPEAL from 211 Opinion & Order. Document filed by Westinghouse Digital, LLC. Filing fee $ 455.00, receipt number 465401015859. (nd) (Entered: 09/08/2011) 2011-09-11 12:57:25 5650edd54561208e5c0acc479b4c6d35ae190227
2011-09-09 220 0 Memo Endorsement MEMO ENDORSEMENT on NOTICE OF WITHDRAWAL AND REQUEST FOR REMOVAL FROM DOCKET. Endorsement: Request granted. Michael A. Spiegel is hereby relieved as counsel to plaintiffs in this matter. The Clerk of the Court is directed to remove his name from the docket and to terminate ECF noticing to him in this matter. The Clerk is further directed to close this motion (docket No. 197). (Signed by Judge Shira A. Scheindlin on 9/8/2011) (jar) (Entered: 09/09/2011)
2011-09-15 221 0 Transcript TRANSCRIPT of Proceedings re: Conference held on 8/18/2011 before Judge Shira A. Scheindlin. Court Reporter/Transcriber: William Richards, (212) 805-0300. Transcript may be viewed at the court public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. After that date it may be obtained through PACER. Redaction Request due 10/10/2011. Redacted Transcript Deadline set for 10/20/2011. Release of Transcript Restriction set for 12/19/2011.(McGuirk, Kelly) (Entered: 09/15/2011) 2015-03-27 20:32:43 c683b1728e2f47dd46e3137f79a2a47d9f32845b
2011-09-15 222 0 Notice of Filing Transcript NOTICE OF FILING OF OFFICIAL TRANSCRIPT Notice is hereby given that an official transcript of a Conference proceeding held on 8/18/11 has been filed by the court reporter/transcriber in the above-captioned matter. The parties have seven (7) calendar days to file with the court a Notice of Intent to Request Redaction of this transcript. If no such Notice is filed, the transcript may be made remotely electronically available to the public without redaction after 90 calendar days...(McGuirk, Kelly) (Entered: 09/15/2011) 2015-03-27 20:30:37 27664af1bb25148bac8e7536daaf215dfeda035a
2011-09-16 223 0 Motion to Amend/Correct MOTION to Amend/Correct 1 Complaint,. Document filed by Erik Andersen, Software Freedom Conservancy, Inc..(Ravicher, Daniel) (Entered: 09/16/2011)
2011-09-16 224 0 Memorandum of Law in Support of Motion MEMORANDUM OF LAW in Support re: 223 MOTION to Amend/Correct 1 Complaint,.. Document filed by Erik Andersen, Software Freedom Conservancy, Inc.. (Ravicher, Daniel) (Entered: 09/16/2011) 2011-09-26 16:21:58 7086e78f4a4f295bec7872d3e83c05635d8c6796
2011-09-16 225 0 Declaration in Support of Motion DECLARATION of Daniel B. Ravicher, Esq. in Support re: 223 MOTION to Amend/Correct 1 Complaint,.. Document filed by Erik Andersen, Software Freedom Conservancy, Inc.. (Attachments: # 1 Exhibit 1)(Ravicher, Daniel) (Entered: 09/16/2011)
2011-10-13 226 0 Endorsed Letter ENDORSED LETTER addressed to Judge Shira A Scheindlin from David Leichtman dated 10/12/2011 re: Request for a 30 day extension as follows. ENDORSEMENT: The parties request is granted and the above deadlines are adjourned as set forth above. No further extensions will be granted. ZYXEL Communications Inc. answer due 11/14/2011. (Motion due by 11/14/2011. Responses due by 12/12/2011. Replies due by 12/30/2011.) (Signed by Judge Shira A. Scheindlin on 10/13/2011) (cd) (Entered: 10/13/2011) 2011-10-20 17:39:30 e02174606a7e26792f5578718be848002894a3bd
2011-11-02 227 0 Stipulation and Order of Dismissal STIPULATION OF DISMISSAL: Pursuant to Federal Rule of Civil Procedure 41(a) and the agreement of the parties, Plaintiffs Software Freedom Conservancy, Inc. and Erik Andersen and Defendant ZyXEL Communications, Inc. ("ZyXEL") hereby stipulate to dismiss defendant ZyXEL from this action WITHOUT PREJUDICE, and agree that the parties shall bear their own costs, attorneys' fees, and other expenses in connection with the above-captioned action without costs to any party. Plaintiffs maintain this action against all other defendants. (Signed by Judge Shira A. Scheindlin on 10/31/2011) (lmb) (Entered: 11/02/2011)
2011-11-02 228 0 Order on Motion to Amend/Correct MEMO ENDORSEMENT granting 223 Motion to Amend Complaint. ENDORSEMENT: Plaintiffs' motion to amend complaint is granted. The amended complaint shall be filed no later than November 16, 2011. The Clerk of the Court is directed to close this motion [Doc. No. 223]. So ordered. (Signed by Judge Shira A. Scheindlin on 11/2/2011) (mro) (Entered: 11/03/2011)
2011-11-15 229 0 Amended Complaint AMENDED COMPLAINT amending 1 Complaint, against Phoebe Micro, Inc., Westinghouse Digital Electronics, LLC, ZYXEL Communications Inc..Document filed by Software Freedom Conservancy, Inc., Erik Andersen. Related document: 1 Complaint, filed by Software Freedom Conservancy, Inc. (cd) (Entered: 11/15/2011) 2013-11-08 14:34:12 5fe9eefdecc08db757122f94e768c722f090decf
2011-11-29 230 0 Affidavit of Service Complaints AFFIDAVIT OF SERVICE of Summons and Amended Complaint,. Phoebe Micro, Inc. served on 11/15/2011, answer due 12/6/2011. Service was accepted by Flora Zheng, Managing Agent. Document filed by Software Freedom Conservancy, Inc.; Erik Andersen. (Ravicher, Daniel) (Entered: 11/29/2011)
2011-12-16 231 0 Answer to Amended Complaint ANSWER to 229 Amended Complaint, with JURY DEMAND., COUNTERCLAIM against All Plaintiffs. Document filed by Phoebe Micro, Inc..(Cohen, Brian) (Entered: 12/16/2011) 2012-01-06 16:54:37 cd700385405effcc237d889be8c922faf0bfb269
2012-01-05 232 0 Order ORDER: The August 8, 2011 Order in this matter is hereby vacated. The Clerk of the Court is directed to withdraw this entry (Docket No. 211) from the docket. So Ordered (Signed by Judge Shira A. Scheindlin on 1/5/2012) (js) (Entered: 01/06/2012) 2012-01-06 17:15:32 582c3585674c554cf6d9b8f2c2594efefa919e15
2012-02-10 233 0 Scheduling Order SECOND REVISED SCHEDULING ORDER:NOW THEREFORE, the Court revises the Revised Scheduling Order as follows: Fact discovery is to be completed by March 16, 2012; Initial expert reports due April 20, 2012; Rebuttal expert reports due May 18, 2012; and Each expert's deposition and expert discovery will be completed by June 15, 2012. (Signed by Judge Shira A. Scheindlin on 2/10/2012) (mro) (Entered: 02/10/2012) 2012-03-06 17:12:27 d238eb208d3af434fca2f31cfd7596bde8c12a89
2012-03-26 234 0 USCA Mandate MANDATE of USCA (Certified Copy) as to 219 Notice of Appeal filed by Westinghouse Digital, LLC USCA Case Number 11-3639....that the appeal is hereby WITHDRAWN pursuant to Rule 42(b) of the Federal Rules of Appellate Procedure. Catherine O'Hagan Wolfe, Clerk USCA for the Second Circuit. Issued As Mandate: 03/26/2012. (nd) (Entered: 03/26/2012) 2012-04-03 22:27:09 184001e368ab9c63e97655bbcb6e9446d8af31c7
2012-05-01 235 0 Endorsed Letter ENDORSED LETTER addressed to Judge Shira A. Scheindlin from Daniel B. Ravicher dated 4/24/2012 re: On behalf of Plaintiffs Software Freedom Conservancy, Inc. and Erik Andersen in this action for copyright infringement, I write to request a pre-motion conference regarding a motion to strike the lone remaining defendant Phoebe Micro Inc.'s ("Phoebe") designation of Armijn Hemel and Professor Stu Green as expert witnesses and to preclude them from testifying at trial. ENDORSEMENT: The pre-motion conference requirement is waived. Plaintiff may make its motion to strike by May 30, 2012. ( Motions due by 5/30/2012.) (Signed by Judge Shira A. Scheindlin on 4/30/2012) (djc) (Entered: 05/01/2012) 2012-06-07 21:18:18 59e35769a17bcb84ee88b045f014120926332352
2012-08-21 236 0 Rule 56.1 Statement RULE 56.1 STATEMENT. Document filed by Erik Andersen, Software Freedom Conservancy, Inc.. (Ravicher, Daniel) (Entered: 08/21/2012) 2012-09-06 21:01:53 30c56b3a3bbe1e64d81f2b00b1a81645716b1489
2012-08-21 237 0 Motion for Summary Judgment MOTION for Summary Judgment. Document filed by Erik Andersen, Software Freedom Conservancy, Inc.. Responses due by 9/21/2012(Ravicher, Daniel) (Entered: 08/21/2012) 2014-06-20 11:12:19 94dc6d2818c35cf47ccd61dd6d5f8a49cb375fe7
2012-08-21 238 0 Memorandum of Law in Support of Motion MEMORANDUM OF LAW in Support re: 237 MOTION for Summary Judgment.. Document filed by Erik Andersen, Software Freedom Conservancy, Inc.. (Ravicher, Daniel) (Entered: 08/21/2012) 2012-09-06 21:03:34 826cecec99da14874b446e4bb23ef460bedd0435
2012-08-21 239 0 Declaration in Support of Motion DECLARATION of Erik Andersen in Support re: 237 MOTION for Summary Judgment.. Document filed by Erik Andersen, Software Freedom Conservancy, Inc.. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4)(Ravicher, Daniel) (Entered: 08/21/2012) 2014-08-11 12:05:34 aaaa25b19701abf3ea5570c64c1ba5274eba48ec
239 1 Exhibit 1
239 2 Exhibit 2
239 3 Exhibit 3
239 4 Exhibit 4
2012-08-21 240 0 Declaration in Support of Motion DECLARATION of Bradley M. Kuhn in Support re: 237 MOTION for Summary Judgment.. Document filed by Erik Andersen, Software Freedom Conservancy, Inc.. (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C)(Ravicher, Daniel) (Entered: 08/21/2012) 2014-08-11 12:08:23 887d7ce42a8940b4aaab446cc51244694f6251e9
240 1 Exhibit A
240 2 Exhibit B
240 3 Exhibit C 2014-08-11 12:10:26 8854bc36d86225cbae5e48b2e30eb84d4d0efa2f
2012-09-21 241 0 Stipulation and Order of Dismissal STIPULATION OF DISMISSAL: Plaintiffs Software Freedom Conservancy, Inc. and Erik Andersen and DefendantPhoebe Micro, Inc., hereby stipulate to dismiss defendant Phoebe Micro, Inc., from this action without prejudice, and without costs to any party. ENDORSEMENT: Clerk is directed to close this case. So Ordered (Signed by Judge Shira A. Scheindlin on 9/21/2012) (js) (Entered: 09/24/2012) 2012-10-01 15:36:21 f88936a155ef339c52e4e3abb92aec2d31c5eb09