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Case number 1:20-cv-05927

Caddo Systems, Inc. et al v. Siemens Aktiengesellschaft (AG) et al > Documents

Date Field Doc. No.Description (Pages)
Apr 26, 2022 171 costs taxed (1)
Docket Text: COSTS Taxed in favor of Defendant Siemens Aktiengesellschaft (AG) in amount of $ 744.85 and against Plaintiffs. (ecw, )
Apr 26, 2022 172 costs taxed (2)
Docket Text: COSTS Taxed in favor of Defendant Siemens Industry, Inc. in amount of $ 9,457.47 and against Plaintiffs. (ecw, )
Apr 12, 2022 170 notice of filing (4)
Docket Text: NOTICE of Docketing Federal Circuit Docket No.: 2022-1623. (exr, )
Apr 8, 2022 168 motion for bill of costs (Main Document) (2)
Docket Text: BILL of Costs by Defendant Siemens Aktiengesellschaft (AG) (Attachments: # (1) Declaration of Salumeh R. Loesch, # (2) Exhibit Exhibits A and B)(Loesch, Salumeh) Modified on 4/26/2022 (ecw, ).
Apr 8, 2022 168 motion for bill of costs (Declaration of Salumeh R. Loesch) (5)
Docket Text: BILL of Costs by Defendant Siemens Aktiengesellschaft (AG) (Attachments: # (1) Declaration of Salumeh R. Loesch, # (2) Exhibit Exhibits A and B)(Loesch, Salumeh) Modified on 4/26/2022 (ecw, ).
Apr 8, 2022 168 motion for bill of costs (Exhibit Exhibits A and B) (11)
Docket Text: BILL of Costs by Defendant Siemens Aktiengesellschaft (AG) (Attachments: # (1) Declaration of Salumeh R. Loesch, # (2) Exhibit Exhibits A and B)(Loesch, Salumeh) Modified on 4/26/2022 (ecw, ).
Apr 8, 2022 169 motion for bill of costs (Main Document) (2)
Docket Text: BILL of Costs by Defendant Siemens Industry, Inc. (Attachments: # (1) Declaration of Salumeh R. Loesch, # (2) Exhibit Exhibits A - D)(Loesch, Salumeh) Modified on 4/26/2022 (ecw, ).
Apr 8, 2022 169 motion for bill of costs (Declaration of Salumeh R. Loesch) (6)
Docket Text: BILL of Costs by Defendant Siemens Industry, Inc. (Attachments: # (1) Declaration of Salumeh R. Loesch, # (2) Exhibit Exhibits A - D)(Loesch, Salumeh) Modified on 4/26/2022 (ecw, ).
Apr 8, 2022 169 motion for bill of costs (Exhibit Exhibits A - D) (21)
Docket Text: BILL of Costs by Defendant Siemens Industry, Inc. (Attachments: # (1) Declaration of Salumeh R. Loesch, # (2) Exhibit Exhibits A - D)(Loesch, Salumeh) Modified on 4/26/2022 (ecw, ).
Apr 7, 2022 163 notice of appeal (3)
Docket Text: NOTICE of appeal by 511 Technologies, Inc., Caddo Systems, Inc. regarding orders [161], [159] Filing fee $ 505, receipt number 0752-19321954. Receipt number: n (Benchell, Neil)
Apr 7, 2022 164 notice of appeal due letter (1)
Docket Text: Entered in Error. (daj, ) Modified on 4/7/2022 (daj, ).
Apr 7, 2022 165 transmitted short record to USCA (30)
Docket Text: Entered in Error. Notified counsel. (daj, ) Modified on 4/7/2022 (daj, ).
Apr 7, 2022 166 notice of correction (1)
Docket Text: NOTICE of Correction regarding notice of appeal due letter[164], transmitted short record to USCA[165] (daj, )
Apr 7, 2022 167 transmitted short record to USCA (30)
Docket Text: TRANSMITTED to the Federal Circuit the short record on notice of appeal[163]. Notified counsel (daj, )
Apr 7, 2022 1 Notice of Appeal* (1)
Mar 9, 2022 161 order on motion to dismiss/lack of jurisdiction (17)
Docket Text: MEMORANDUM Opinion and Order: For the reasons stated in the attached order, Siemens AG's motion to dismiss for lack of personal jurisdiction, R. [75], is granted. Caddo's motion for jurisdictional discovery, R. [81], is denied. Signed by the Honorable Thomas M. Durkin on 3/9/2022. Mailed notice. (ecw, )
Mar 9, 2022 162 entered judgment (1)
Docket Text: ENTERED JUDGMENT on 3/9/2022. Mailed notice. (ecw, )
Feb 25, 2022 160 status report (3)
Docket Text: STATUS Report JOINT STATUS REPORT by Caddo Systems, Inc. (Benchell, Neil)
Feb 11, 2022 159 order on motion for summary judgment (14)
Docket Text: MEMORANDUM Opinion and Order: For the reasons stated in the attached order, SII's motion for summary judgment R. [145] is granted. Judgment on Plaintiffs' claims against SII is entered in favor of SII. Within 14 days from the entry of this order, the parties shall file a joint status report as to whether they intend to resolve any remaining claims without Court intervention, or if the Court should rule on Siemens AG's motion to dismiss for lack of personal jurisdiction. Signed by the Honorable Thomas M. Durkin on 2/11/2022. Mailed notice. (ecw, )
Jan 10, 2022 157 order on motion for extension of time to file response/reply (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: Unopposed motion for extension of time to file response/reply [156] is granted. Defendant Siemens Industry, Inc. is to file its reply in support of its motion for summary judgment [145] by 1/12/2022. Mailed notice. (ecw, )
Jan 7, 2022 156 motion for extension of time to file response/reply (3)
Docket Text: MOTION by Defendant Siemens Industry, Inc. for extension of time to file response/reply as to motion for summary judgment[145] (Unopposed) (DePriest, Jennifer)
Dec 30, 2021 155 declaration (Main Document) (5)
Docket Text: DECLARATION of Alex Chan regarding sealed response, [154] (Attachments: # (1) Text of Proposed Order, # (2) Exhibit 1 Redacted in its Entirety, # (3) Exhibit 2 Redacted in its Entirety, # (4) Exhibit 3 Redacted in its Entirety, # (5) Exhibit 4 Redacted in its Entirety, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10, # (12) Exhibit 11, # (13) Exhibit 12 Redacted, # (14) Exhibit 13 Redacted in its Entirety, # (15) Exhibit 14, # (16) Exhibit 15 Redacted in its Entirety, # (17) Exhibit 16, # (18) Exhibit 17 Redacted in its Entirety, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23, # (25) Exhibit 24)(Chan, Alex)
Dec 30, 2021 155 declaration (Text of Proposed Order) (1)
Docket Text: DECLARATION of Alex Chan regarding sealed response, [154] (Attachments: # (1) Text of Proposed Order, # (2) Exhibit 1 Redacted in its Entirety, # (3) Exhibit 2 Redacted in its Entirety, # (4) Exhibit 3 Redacted in its Entirety, # (5) Exhibit 4 Redacted in its Entirety, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10, # (12) Exhibit 11, # (13) Exhibit 12 Redacted, # (14) Exhibit 13 Redacted in its Entirety, # (15) Exhibit 14, # (16) Exhibit 15 Redacted in its Entirety, # (17) Exhibit 16, # (18) Exhibit 17 Redacted in its Entirety, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23, # (25) Exhibit 24)(Chan, Alex)
Dec 30, 2021 155 declaration (Exhibit 1 Redacted in its Entirety) (1)
Docket Text: DECLARATION of Alex Chan regarding sealed response, [154] (Attachments: # (1) Text of Proposed Order, # (2) Exhibit 1 Redacted in its Entirety, # (3) Exhibit 2 Redacted in its Entirety, # (4) Exhibit 3 Redacted in its Entirety, # (5) Exhibit 4 Redacted in its Entirety, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10, # (12) Exhibit 11, # (13) Exhibit 12 Redacted, # (14) Exhibit 13 Redacted in its Entirety, # (15) Exhibit 14, # (16) Exhibit 15 Redacted in its Entirety, # (17) Exhibit 16, # (18) Exhibit 17 Redacted in its Entirety, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23, # (25) Exhibit 24)(Chan, Alex)
Dec 30, 2021 155 declaration (Exhibit 2 Redacted in its Entirety) (1)
Docket Text: DECLARATION of Alex Chan regarding sealed response, [154] (Attachments: # (1) Text of Proposed Order, # (2) Exhibit 1 Redacted in its Entirety, # (3) Exhibit 2 Redacted in its Entirety, # (4) Exhibit 3 Redacted in its Entirety, # (5) Exhibit 4 Redacted in its Entirety, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10, # (12) Exhibit 11, # (13) Exhibit 12 Redacted, # (14) Exhibit 13 Redacted in its Entirety, # (15) Exhibit 14, # (16) Exhibit 15 Redacted in its Entirety, # (17) Exhibit 16, # (18) Exhibit 17 Redacted in its Entirety, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23, # (25) Exhibit 24)(Chan, Alex)
Dec 30, 2021 155 declaration (Exhibit 3 Redacted in its Entirety) (1)
Docket Text: DECLARATION of Alex Chan regarding sealed response, [154] (Attachments: # (1) Text of Proposed Order, # (2) Exhibit 1 Redacted in its Entirety, # (3) Exhibit 2 Redacted in its Entirety, # (4) Exhibit 3 Redacted in its Entirety, # (5) Exhibit 4 Redacted in its Entirety, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10, # (12) Exhibit 11, # (13) Exhibit 12 Redacted, # (14) Exhibit 13 Redacted in its Entirety, # (15) Exhibit 14, # (16) Exhibit 15 Redacted in its Entirety, # (17) Exhibit 16, # (18) Exhibit 17 Redacted in its Entirety, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23, # (25) Exhibit 24)(Chan, Alex)
Dec 30, 2021 155 declaration (Exhibit 4 Redacted in its Entirety) (1)
Docket Text: DECLARATION of Alex Chan regarding sealed response, [154] (Attachments: # (1) Text of Proposed Order, # (2) Exhibit 1 Redacted in its Entirety, # (3) Exhibit 2 Redacted in its Entirety, # (4) Exhibit 3 Redacted in its Entirety, # (5) Exhibit 4 Redacted in its Entirety, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10, # (12) Exhibit 11, # (13) Exhibit 12 Redacted, # (14) Exhibit 13 Redacted in its Entirety, # (15) Exhibit 14, # (16) Exhibit 15 Redacted in its Entirety, # (17) Exhibit 16, # (18) Exhibit 17 Redacted in its Entirety, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23, # (25) Exhibit 24)(Chan, Alex)
Dec 30, 2021 155 declaration (Exhibit 5) (14)
Docket Text: DECLARATION of Alex Chan regarding sealed response, [154] (Attachments: # (1) Text of Proposed Order, # (2) Exhibit 1 Redacted in its Entirety, # (3) Exhibit 2 Redacted in its Entirety, # (4) Exhibit 3 Redacted in its Entirety, # (5) Exhibit 4 Redacted in its Entirety, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10, # (12) Exhibit 11, # (13) Exhibit 12 Redacted, # (14) Exhibit 13 Redacted in its Entirety, # (15) Exhibit 14, # (16) Exhibit 15 Redacted in its Entirety, # (17) Exhibit 16, # (18) Exhibit 17 Redacted in its Entirety, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23, # (25) Exhibit 24)(Chan, Alex)
Dec 30, 2021 155 declaration (Exhibit 6) (14)
Docket Text: DECLARATION of Alex Chan regarding sealed response, [154] (Attachments: # (1) Text of Proposed Order, # (2) Exhibit 1 Redacted in its Entirety, # (3) Exhibit 2 Redacted in its Entirety, # (4) Exhibit 3 Redacted in its Entirety, # (5) Exhibit 4 Redacted in its Entirety, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10, # (12) Exhibit 11, # (13) Exhibit 12 Redacted, # (14) Exhibit 13 Redacted in its Entirety, # (15) Exhibit 14, # (16) Exhibit 15 Redacted in its Entirety, # (17) Exhibit 16, # (18) Exhibit 17 Redacted in its Entirety, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23, # (25) Exhibit 24)(Chan, Alex)
Dec 30, 2021 155 declaration (Exhibit 7) (4)
Docket Text: DECLARATION of Alex Chan regarding sealed response, [154] (Attachments: # (1) Text of Proposed Order, # (2) Exhibit 1 Redacted in its Entirety, # (3) Exhibit 2 Redacted in its Entirety, # (4) Exhibit 3 Redacted in its Entirety, # (5) Exhibit 4 Redacted in its Entirety, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10, # (12) Exhibit 11, # (13) Exhibit 12 Redacted, # (14) Exhibit 13 Redacted in its Entirety, # (15) Exhibit 14, # (16) Exhibit 15 Redacted in its Entirety, # (17) Exhibit 16, # (18) Exhibit 17 Redacted in its Entirety, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23, # (25) Exhibit 24)(Chan, Alex)
Dec 30, 2021 155 declaration (Exhibit 8) (10)
Docket Text: DECLARATION of Alex Chan regarding sealed response, [154] (Attachments: # (1) Text of Proposed Order, # (2) Exhibit 1 Redacted in its Entirety, # (3) Exhibit 2 Redacted in its Entirety, # (4) Exhibit 3 Redacted in its Entirety, # (5) Exhibit 4 Redacted in its Entirety, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10, # (12) Exhibit 11, # (13) Exhibit 12 Redacted, # (14) Exhibit 13 Redacted in its Entirety, # (15) Exhibit 14, # (16) Exhibit 15 Redacted in its Entirety, # (17) Exhibit 16, # (18) Exhibit 17 Redacted in its Entirety, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23, # (25) Exhibit 24)(Chan, Alex)
Dec 30, 2021 155 declaration (Exhibit 9) (8)
Docket Text: DECLARATION of Alex Chan regarding sealed response, [154] (Attachments: # (1) Text of Proposed Order, # (2) Exhibit 1 Redacted in its Entirety, # (3) Exhibit 2 Redacted in its Entirety, # (4) Exhibit 3 Redacted in its Entirety, # (5) Exhibit 4 Redacted in its Entirety, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10, # (12) Exhibit 11, # (13) Exhibit 12 Redacted, # (14) Exhibit 13 Redacted in its Entirety, # (15) Exhibit 14, # (16) Exhibit 15 Redacted in its Entirety, # (17) Exhibit 16, # (18) Exhibit 17 Redacted in its Entirety, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23, # (25) Exhibit 24)(Chan, Alex)
Dec 30, 2021 155 declaration (Exhibit 10) (9)
Docket Text: DECLARATION of Alex Chan regarding sealed response, [154] (Attachments: # (1) Text of Proposed Order, # (2) Exhibit 1 Redacted in its Entirety, # (3) Exhibit 2 Redacted in its Entirety, # (4) Exhibit 3 Redacted in its Entirety, # (5) Exhibit 4 Redacted in its Entirety, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10, # (12) Exhibit 11, # (13) Exhibit 12 Redacted, # (14) Exhibit 13 Redacted in its Entirety, # (15) Exhibit 14, # (16) Exhibit 15 Redacted in its Entirety, # (17) Exhibit 16, # (18) Exhibit 17 Redacted in its Entirety, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23, # (25) Exhibit 24)(Chan, Alex)
Dec 30, 2021 155 declaration (Exhibit 11) (9)
Docket Text: DECLARATION of Alex Chan regarding sealed response, [154] (Attachments: # (1) Text of Proposed Order, # (2) Exhibit 1 Redacted in its Entirety, # (3) Exhibit 2 Redacted in its Entirety, # (4) Exhibit 3 Redacted in its Entirety, # (5) Exhibit 4 Redacted in its Entirety, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10, # (12) Exhibit 11, # (13) Exhibit 12 Redacted, # (14) Exhibit 13 Redacted in its Entirety, # (15) Exhibit 14, # (16) Exhibit 15 Redacted in its Entirety, # (17) Exhibit 16, # (18) Exhibit 17 Redacted in its Entirety, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23, # (25) Exhibit 24)(Chan, Alex)
Dec 30, 2021 155 declaration (Exhibit 12 Redacted) (23)
Docket Text: DECLARATION of Alex Chan regarding sealed response, [154] (Attachments: # (1) Text of Proposed Order, # (2) Exhibit 1 Redacted in its Entirety, # (3) Exhibit 2 Redacted in its Entirety, # (4) Exhibit 3 Redacted in its Entirety, # (5) Exhibit 4 Redacted in its Entirety, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10, # (12) Exhibit 11, # (13) Exhibit 12 Redacted, # (14) Exhibit 13 Redacted in its Entirety, # (15) Exhibit 14, # (16) Exhibit 15 Redacted in its Entirety, # (17) Exhibit 16, # (18) Exhibit 17 Redacted in its Entirety, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23, # (25) Exhibit 24)(Chan, Alex)
Dec 30, 2021 155 declaration (Exhibit 13 Redacted in its Entirety) (1)
Docket Text: DECLARATION of Alex Chan regarding sealed response, [154] (Attachments: # (1) Text of Proposed Order, # (2) Exhibit 1 Redacted in its Entirety, # (3) Exhibit 2 Redacted in its Entirety, # (4) Exhibit 3 Redacted in its Entirety, # (5) Exhibit 4 Redacted in its Entirety, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10, # (12) Exhibit 11, # (13) Exhibit 12 Redacted, # (14) Exhibit 13 Redacted in its Entirety, # (15) Exhibit 14, # (16) Exhibit 15 Redacted in its Entirety, # (17) Exhibit 16, # (18) Exhibit 17 Redacted in its Entirety, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23, # (25) Exhibit 24)(Chan, Alex)
Dec 30, 2021 155 declaration (Exhibit 14) (12)
Docket Text: DECLARATION of Alex Chan regarding sealed response, [154] (Attachments: # (1) Text of Proposed Order, # (2) Exhibit 1 Redacted in its Entirety, # (3) Exhibit 2 Redacted in its Entirety, # (4) Exhibit 3 Redacted in its Entirety, # (5) Exhibit 4 Redacted in its Entirety, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10, # (12) Exhibit 11, # (13) Exhibit 12 Redacted, # (14) Exhibit 13 Redacted in its Entirety, # (15) Exhibit 14, # (16) Exhibit 15 Redacted in its Entirety, # (17) Exhibit 16, # (18) Exhibit 17 Redacted in its Entirety, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23, # (25) Exhibit 24)(Chan, Alex)
Dec 30, 2021 155 declaration (Exhibit 15 Redacted in its Entirety) (1)
Docket Text: DECLARATION of Alex Chan regarding sealed response, [154] (Attachments: # (1) Text of Proposed Order, # (2) Exhibit 1 Redacted in its Entirety, # (3) Exhibit 2 Redacted in its Entirety, # (4) Exhibit 3 Redacted in its Entirety, # (5) Exhibit 4 Redacted in its Entirety, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10, # (12) Exhibit 11, # (13) Exhibit 12 Redacted, # (14) Exhibit 13 Redacted in its Entirety, # (15) Exhibit 14, # (16) Exhibit 15 Redacted in its Entirety, # (17) Exhibit 16, # (18) Exhibit 17 Redacted in its Entirety, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23, # (25) Exhibit 24)(Chan, Alex)
Dec 30, 2021 155 declaration (Exhibit 16) (4)
Docket Text: DECLARATION of Alex Chan regarding sealed response, [154] (Attachments: # (1) Text of Proposed Order, # (2) Exhibit 1 Redacted in its Entirety, # (3) Exhibit 2 Redacted in its Entirety, # (4) Exhibit 3 Redacted in its Entirety, # (5) Exhibit 4 Redacted in its Entirety, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10, # (12) Exhibit 11, # (13) Exhibit 12 Redacted, # (14) Exhibit 13 Redacted in its Entirety, # (15) Exhibit 14, # (16) Exhibit 15 Redacted in its Entirety, # (17) Exhibit 16, # (18) Exhibit 17 Redacted in its Entirety, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23, # (25) Exhibit 24)(Chan, Alex)
Dec 30, 2021 155 declaration (Exhibit 17 Redacted in its Entirety) (1)
Docket Text: DECLARATION of Alex Chan regarding sealed response, [154] (Attachments: # (1) Text of Proposed Order, # (2) Exhibit 1 Redacted in its Entirety, # (3) Exhibit 2 Redacted in its Entirety, # (4) Exhibit 3 Redacted in its Entirety, # (5) Exhibit 4 Redacted in its Entirety, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10, # (12) Exhibit 11, # (13) Exhibit 12 Redacted, # (14) Exhibit 13 Redacted in its Entirety, # (15) Exhibit 14, # (16) Exhibit 15 Redacted in its Entirety, # (17) Exhibit 16, # (18) Exhibit 17 Redacted in its Entirety, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23, # (25) Exhibit 24)(Chan, Alex)
Dec 30, 2021 155 declaration (Exhibit 18) (5)
Docket Text: DECLARATION of Alex Chan regarding sealed response, [154] (Attachments: # (1) Text of Proposed Order, # (2) Exhibit 1 Redacted in its Entirety, # (3) Exhibit 2 Redacted in its Entirety, # (4) Exhibit 3 Redacted in its Entirety, # (5) Exhibit 4 Redacted in its Entirety, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10, # (12) Exhibit 11, # (13) Exhibit 12 Redacted, # (14) Exhibit 13 Redacted in its Entirety, # (15) Exhibit 14, # (16) Exhibit 15 Redacted in its Entirety, # (17) Exhibit 16, # (18) Exhibit 17 Redacted in its Entirety, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23, # (25) Exhibit 24)(Chan, Alex)
Dec 30, 2021 155 declaration (Exhibit 19) (3)
Docket Text: DECLARATION of Alex Chan regarding sealed response, [154] (Attachments: # (1) Text of Proposed Order, # (2) Exhibit 1 Redacted in its Entirety, # (3) Exhibit 2 Redacted in its Entirety, # (4) Exhibit 3 Redacted in its Entirety, # (5) Exhibit 4 Redacted in its Entirety, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10, # (12) Exhibit 11, # (13) Exhibit 12 Redacted, # (14) Exhibit 13 Redacted in its Entirety, # (15) Exhibit 14, # (16) Exhibit 15 Redacted in its Entirety, # (17) Exhibit 16, # (18) Exhibit 17 Redacted in its Entirety, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23, # (25) Exhibit 24)(Chan, Alex)
Dec 30, 2021 155 declaration (Exhibit 20) (12)
Docket Text: DECLARATION of Alex Chan regarding sealed response, [154] (Attachments: # (1) Text of Proposed Order, # (2) Exhibit 1 Redacted in its Entirety, # (3) Exhibit 2 Redacted in its Entirety, # (4) Exhibit 3 Redacted in its Entirety, # (5) Exhibit 4 Redacted in its Entirety, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10, # (12) Exhibit 11, # (13) Exhibit 12 Redacted, # (14) Exhibit 13 Redacted in its Entirety, # (15) Exhibit 14, # (16) Exhibit 15 Redacted in its Entirety, # (17) Exhibit 16, # (18) Exhibit 17 Redacted in its Entirety, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23, # (25) Exhibit 24)(Chan, Alex)
Dec 30, 2021 155 declaration (Exhibit 21) (21)
Docket Text: DECLARATION of Alex Chan regarding sealed response, [154] (Attachments: # (1) Text of Proposed Order, # (2) Exhibit 1 Redacted in its Entirety, # (3) Exhibit 2 Redacted in its Entirety, # (4) Exhibit 3 Redacted in its Entirety, # (5) Exhibit 4 Redacted in its Entirety, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10, # (12) Exhibit 11, # (13) Exhibit 12 Redacted, # (14) Exhibit 13 Redacted in its Entirety, # (15) Exhibit 14, # (16) Exhibit 15 Redacted in its Entirety, # (17) Exhibit 16, # (18) Exhibit 17 Redacted in its Entirety, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23, # (25) Exhibit 24)(Chan, Alex)
Dec 30, 2021 155 declaration (Exhibit 22) (5)
Docket Text: DECLARATION of Alex Chan regarding sealed response, [154] (Attachments: # (1) Text of Proposed Order, # (2) Exhibit 1 Redacted in its Entirety, # (3) Exhibit 2 Redacted in its Entirety, # (4) Exhibit 3 Redacted in its Entirety, # (5) Exhibit 4 Redacted in its Entirety, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10, # (12) Exhibit 11, # (13) Exhibit 12 Redacted, # (14) Exhibit 13 Redacted in its Entirety, # (15) Exhibit 14, # (16) Exhibit 15 Redacted in its Entirety, # (17) Exhibit 16, # (18) Exhibit 17 Redacted in its Entirety, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23, # (25) Exhibit 24)(Chan, Alex)
Dec 30, 2021 155 declaration (Exhibit 23) (30)
Docket Text: DECLARATION of Alex Chan regarding sealed response, [154] (Attachments: # (1) Text of Proposed Order, # (2) Exhibit 1 Redacted in its Entirety, # (3) Exhibit 2 Redacted in its Entirety, # (4) Exhibit 3 Redacted in its Entirety, # (5) Exhibit 4 Redacted in its Entirety, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10, # (12) Exhibit 11, # (13) Exhibit 12 Redacted, # (14) Exhibit 13 Redacted in its Entirety, # (15) Exhibit 14, # (16) Exhibit 15 Redacted in its Entirety, # (17) Exhibit 16, # (18) Exhibit 17 Redacted in its Entirety, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23, # (25) Exhibit 24)(Chan, Alex)
Dec 30, 2021 155 declaration (Exhibit 24) (4)
Docket Text: DECLARATION of Alex Chan regarding sealed response, [154] (Attachments: # (1) Text of Proposed Order, # (2) Exhibit 1 Redacted in its Entirety, # (3) Exhibit 2 Redacted in its Entirety, # (4) Exhibit 3 Redacted in its Entirety, # (5) Exhibit 4 Redacted in its Entirety, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10, # (12) Exhibit 11, # (13) Exhibit 12 Redacted, # (14) Exhibit 13 Redacted in its Entirety, # (15) Exhibit 14, # (16) Exhibit 15 Redacted in its Entirety, # (17) Exhibit 16, # (18) Exhibit 17 Redacted in its Entirety, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23, # (25) Exhibit 24)(Chan, Alex)
Dec 27, 2021 153 notice of correction (1)
Docket Text: NOTICE of Correction [152]. (gcy, )
Dec 2, 2021 150 declaration (Main Document) (10)
Docket Text: DECLARATION of Neil Rhodes regarding motion for summary judgment[145] (In Support) (Attachments: # (1) Exhibit A)(DePriest, Jennifer)
Dec 2, 2021 150 declaration (Exhibit A) (10)
Docket Text: DECLARATION of Neil Rhodes regarding motion for summary judgment[145] (In Support) (Attachments: # (1) Exhibit A)(DePriest, Jennifer)
Dec 1, 2021 145 motion for summary judgment (3)
Docket Text: MOTION by Defendant Siemens Industry, Inc. for summary judgment (Loesch, Salumeh)
Dec 1, 2021 148 declaration (Main Document) (3)
Docket Text: DECLARATION of Arie Pellikaan regarding motion for summary judgment[145] In Support of Motion for Summary Judgment (Attachments: # (1) Exhibit 1-11)(Loesch, Salumeh)
Dec 1, 2021 148 declaration (Exhibit 1-11) (30)
Docket Text: DECLARATION of Arie Pellikaan regarding motion for summary judgment[145] In Support of Motion for Summary Judgment (Attachments: # (1) Exhibit 1-11)(Loesch, Salumeh)
Nov 15, 2021 143 text entry (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: The Court adopts the Parties' proposed briefing schedule for SII's anticipated Motion for Summary Judgment. SII's motion for summary judgment on the licensing issue is due by 12/1/2021. Caddo's opposition to SII's motion is due by 12/30/2021. SII's reply in support of its motion is due by 1/10/2022. Mailed notice. (ecw, )
Nov 15, 2021 144 order on sealed motion (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: Siemens Industry, Inc. previously withdrew its motion for summary judgment, supporting memorandum, and statement of facts [88], [89], [90]. Pursuant to the same notice of withdrawal [102], the sealed duplicate copies of the motion and memorandum [91], [92] are also withdrawn. Mailed notice. (ecw, )
Nov 12, 2021 142 terminate hearings (1)
Docket Text: MINUTE entry before the Honorable Susan E. Cox: The parties report there is no additional discovery relating the licensing issue that remains to be taken. Thus, all matters relating to the referral of this action are concluded. Referral terminated; case returned to the assigned judge. The parties have proposed a summary judgment schedule in their status report, but this is outside Judge Cox's purview; the District Judge in this matter will set the summary judgment schedule. Mailed notice (ber, )
Nov 10, 2021 140 set deadlines (1)
Docket Text: MINUTE entry before the Honorable Susan E. Cox: The parties failed to file their 11/8/21 status report as ordered [dkt. 138]. The parties are ordered to file their updated joint status report by 11/12/21 regarding whether any additional discovery relating the licensing issue remains to be taken and whether the Court can close its referral. Mailed notice (gw, )
Nov 10, 2021 141 status report (3)
Docket Text: STATUS Report by 511 Technologies, Inc., Caddo Systems, Inc. (Benchell, Neil)
Oct 20, 2021 139 order on motion to compel (6)
Docket Text: CORRECTED MEMORANDUM Opinion and Order: For the reasons discussed below, Plaintiff's Motion to Compel [dkt. [127]] is granted. However, Plaintiffs' questioning of Defendant's 30(b)(6) witness is limited to two hours. Signed by the Honorable Susan E. Cox on 10/20/2021.Mailed notice(mjc, )
Oct 14, 2021 138 text entry (1)
Docket Text: MINUTE entry before the Honorable Susan E. Cox: The parties are ordered to file an updated joint status report on 11/8/21 informing the Court whether any additional discovery relating the licensing issue remains to be taken and whether the Court can close its referral. Mailed notice (lp, )
Oct 13, 2021 137 memorandum opinion and order (6)
Docket Text: MEMORANDUM Opinion and Order: For the reasons discussed in the Court's Memorandum, Opinion and Order, Plaintiff's Motion to Compel [dkt. [112]] is granted. However, Plaintiffs' questioning of Defendant's 30(b)(6) witness is limited to two hours. Signed by the Honorable Susan E. Cox on 10/13/2021. Mailed notice(ber, )
Oct 5, 2021 135 text entry (1)
Docket Text: MINUTE entry before the Honorable Susan E. Cox: The Court granted Plaintiff's motion to file its reply brief under seal on 9/30/21 [dkt. 134], but Plaintiff has yet to file its unredacted, sealed reply brief. Plaintiff is ordered to do so by close of business 10/6/21. Mailed notice (np, )
Sep 30, 2021 134 order on motion for leave to file (1)
Docket Text: MINUTE entry before the Honorable Susan E. Cox: Plaintiff's motion for leave to file its Reply to Motion to Compel under Seal [133] is granted. Mailed notice (np, )
Sep 29, 2021 133 motion for leave to file (Main Document) (2)
Docket Text: MOTION by Plaintiffs 511 Technologies, Inc., Caddo Systems, Inc. for leave to file its Reply to Motion to Compel under Seal (Attachments: # (1) Declaration of Alex Chan, # (2) Redacted Version)(Chan, Alex)
Sep 29, 2021 133 motion for leave to file (Declaration of Alex Chan) (3)
Docket Text: MOTION by Plaintiffs 511 Technologies, Inc., Caddo Systems, Inc. for leave to file its Reply to Motion to Compel under Seal (Attachments: # (1) Declaration of Alex Chan, # (2) Redacted Version)(Chan, Alex)
Sep 29, 2021 133 motion for leave to file (Redacted Version) (6)
Docket Text: MOTION by Plaintiffs 511 Technologies, Inc., Caddo Systems, Inc. for leave to file its Reply to Motion to Compel under Seal (Attachments: # (1) Declaration of Alex Chan, # (2) Redacted Version)(Chan, Alex)
Sep 22, 2021 131 response to motion (Main Document) (13)
Docket Text: RESPONSE by Siemens Industry, Inc. to MOTION by Plaintiffs 511 Technologies, Inc., Caddo Systems, Inc. to compel Corporate Testimony on Deposition Topic Nos. 1-2 From Defendant Siemens Industry Inc. and Motion for Fees and Costs[127] (Attachments: # (1) Declaration of Salumeh R. Loesch, # (2) Exhibit Exhibits 1-5)(Loesch, Salumeh)
Sep 22, 2021 131 response to motion (Declaration of Salumeh R. Loesch) (3)
Docket Text: RESPONSE by Siemens Industry, Inc. to MOTION by Plaintiffs 511 Technologies, Inc., Caddo Systems, Inc. to compel Corporate Testimony on Deposition Topic Nos. 1-2 From Defendant Siemens Industry Inc. and Motion for Fees and Costs[127] (Attachments: # (1) Declaration of Salumeh R. Loesch, # (2) Exhibit Exhibits 1-5)(Loesch, Salumeh)
Sep 22, 2021 131 response to motion (Exhibit Exhibits 1-5) (30)
Docket Text: RESPONSE by Siemens Industry, Inc. to MOTION by Plaintiffs 511 Technologies, Inc., Caddo Systems, Inc. to compel Corporate Testimony on Deposition Topic Nos. 1-2 From Defendant Siemens Industry Inc. and Motion for Fees and Costs[127] (Attachments: # (1) Declaration of Salumeh R. Loesch, # (2) Exhibit Exhibits 1-5)(Loesch, Salumeh)
Sep 15, 2021 130 motion hearing (1)
Docket Text: MINUTE entry before the Honorable Susan E. Cox: Motion hearing held. The following briefing schedule is entered for motion [127]: Defendant's response brief (10-page limit) is due by 9/22/2021 and Plaintiff's reply brief (five-page limit) is due by 9/29/2021. Court will rule by mail. Mailed notice (np, )
Sep 1, 2021 129 set/reset hearings (1)
Docket Text: MINUTE entry before the Honorable Susan E. Cox: Plaintiff's Motion to Compel Corporate Testimony on Deposition Topic Nos. 1-2 From Defendant Siemens Industry Inc. and Motion for Fees and Costs [127] is set for a telephonic motion hearing on 9/15/21 at 9:30 a.m. Call in information is 888-684-8852 and the passcode is 1664086. Defendant should be prepared to argue the motion orally and present legal arguments for why the motion to compel should be denied. Mailed notice (yt)
Aug 30, 2021 127 motion to compel (2)
Docket Text: MOTION by Plaintiffs 511 Technologies, Inc., Caddo Systems, Inc. to compel Corporate Testimony on Deposition Topic Nos. 1-2 From Defendant Siemens Industry Inc. and Motion for Fees and Costs (Chan, Alex)
Aug 30, 2021 128 memorandum in support of motion (Main Document) (11)
Docket Text: MEMORANDUM by 511 Technologies, Inc., Caddo Systems, Inc. in support of motion to compel[127] (Attachments: # (1) Rule 37.2 Certificate, # (2) Declaration of Alex Chan)(Chan, Alex)
Aug 30, 2021 128 memorandum in support of motion (Rule 37.2 Certificate) (2)
Docket Text: MEMORANDUM by 511 Technologies, Inc., Caddo Systems, Inc. in support of motion to compel[127] (Attachments: # (1) Rule 37.2 Certificate, # (2) Declaration of Alex Chan)(Chan, Alex)
Aug 30, 2021 128 memorandum in support of motion (Declaration of Alex Chan) (2)
Docket Text: MEMORANDUM by 511 Technologies, Inc., Caddo Systems, Inc. in support of motion to compel[127] (Attachments: # (1) Rule 37.2 Certificate, # (2) Declaration of Alex Chan)(Chan, Alex)
Aug 13, 2021 126 order on motion for reconsideration (1)
Docket Text: MINUTE entry before the Honorable Susan E. Cox: Defendant's Motion for Reconsideration [122] is denied. The documents in question contain a factual recitation of Plaintiffs' position in this case by Defendant's counsel and do not contain the type of opinion, conclusion, or mental impression protected by the attorney work product privilege. The documents do not contain any commentary or analysis of Plaintiffs' claims, and disclosure will not give Plaintiffs a window to Defendant's counsel's views of this case or mental impressions. The Court does not believe that it made a manifest error of law or fact in ruling that these communications should be produced and Defendant has not presented any new evidence that would support reconsideration of this Court's prior ruling. The Court also rules that production of these documents will not constitute a waiver of the work product protection in any form or fashion. Additionally, the Court has reviewed the parties' joint status report. The parties should familiarize themselves with this Court's procedures on Discovery Motions, which can be found on the Court's website. Plaintiffs may file a motion to compel, and the Court will set the motion for a hearing at its next available hearing date. Per the Court's procedure on discovery motions: "All parties must be fully prepared to orally argue any discovery motion on the date that it is presented. The Court will often decide discovery motions after oral argument at the motion call and without briefing. Parties are not allowed to file a brief in response without leave of Court." Mailed notice (np, )
Aug 12, 2021 124 memorandum in opposition to motion (4)
Docket Text: MEMORANDUM by 511 Technologies, Inc., Caddo Systems, Inc. in Opposition to motion for reconsideration[122] (Chan, Alex)
Aug 12, 2021 125 status report (4)
Docket Text: STATUS Report Joint Status Report by 511 Technologies, Inc., Caddo Systems, Inc. (Chan, Alex)
Aug 11, 2021 123 order on motion for reconsideration (1)
Docket Text: MINUTE entry before the Honorable Susan E. Cox: Defendant's Motion for reconsideration regarding order on motion to compel [122] is taken under advisement. The Court has already destroyed the documents submitted for in camera review and does not have access to PRIV00000002 and PRIV00000003 anymore. Defendant may submit the relevant documents for its motion for reconsideration to the Court's proposed order inbox for review (Proposed_Order_Cox@ilnd.uscourts.gov). That inbox is private to the Court and documents submitted to it cannot be accessed by anyone outside chambers staff. Mailed notice (np, )
Aug 10, 2021 122 motion for reconsideration (4)
Docket Text: MOTION by Defendant Siemens Industry, Inc. for reconsideration regarding order on motion to compel,, memorandum opinion and order,, set deadlines, [121] (Loesch, Salumeh)
Aug 9, 2021 121 order on motion to compel (6)
Docket Text: MEMORANDUM Opinion and Order: For the reasons discussed below, Plaintiff's Motion to Compel [dkt. 112] is denied. The parties are ordered to file a joint status report on 8/12/2021 informing the Court whether they anticipate any additional discovery disputes related to the licensing issue, or if the Court can close its referral. - Signed by the Honorable Susan E. Cox on 8/9/2021. [For further details see order] Mailed notice (np, )
Aug 2, 2021 120 text entry (1)
Docket Text: MINUTE entry before the Honorable Susan E. Cox: The Court orders Defendants to provide copies of PRIV00000002-PRIV00000010 for in camera review to the Court's Courtroom Deputy, Nakita Perdue, Room 1024 of the Dirksen Federal Building by close of business on 8/3/21. Mailed notice (np, )
Jul 26, 2021 119 terminate hearings (1)
Docket Text: MINUTE entry before the Honorable Susan E. Cox: The hearing set for 7/28/21 on Plaintiff's Motion to Compel [112] is hereby stricken. The Court will rule by mail. Mailed notice (np, )
Jul 22, 2021 118 set/reset hearings (1)
Docket Text: MINUTE entry before the Honorable Susan E. Cox: Plaintiff's Motion to Compel [112] is set for a motion hearing on 7/28/21 at 9:30 a.m. Call in information is 888-684-8852 and the passcode is 1664086. Mailed notice (yt)
Jul 21, 2021 116 text entry (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: Plaintiffs' motion to compel, R. [112], is hereby referred to Magistrate Judge Cox for review. Judge Cox shall resolve Plaintiff's motion, and any other discovery dispute that may arise related to the licensing issue. Mailed notice. (ecw, )
Jul 21, 2021 117 Expedited referral to magistrate judge (1)
Docket Text: Pursuant to Local Rule 72.1, this case is hereby referred to the calendar of Honorable Susan E. Cox for the purpose of holding proceedings related to: motion to compel [112] and any other discovery dispute that may arise related to the licensing issue. Mailed notice. (ecw, )
Jul 19, 2021 115 reply (Main Document) (10)
Docket Text: REPLY by Plaintiffs 511 Technologies, Inc., Caddo Systems, Inc. to motion to compel[112] (Attachments: # (1) Declaration of Alex Chan, # (2) Exhibit 1)(Chan, Alex)
Jul 19, 2021 115 reply (Declaration of Alex Chan) (2)
Docket Text: REPLY by Plaintiffs 511 Technologies, Inc., Caddo Systems, Inc. to motion to compel[112] (Attachments: # (1) Declaration of Alex Chan, # (2) Exhibit 1)(Chan, Alex)
Jul 19, 2021 115 reply (Exhibit 1) (14)
Docket Text: REPLY by Plaintiffs 511 Technologies, Inc., Caddo Systems, Inc. to motion to compel[112] (Attachments: # (1) Declaration of Alex Chan, # (2) Exhibit 1)(Chan, Alex)
Jul 16, 2021 114 response in opposition to motion (Main Document) (9)
Docket Text: RESPONSE by Siemens Industry, Inc.in Opposition to MOTION by Plaintiffs 511 Technologies, Inc., Caddo Systems, Inc. to compel Corporate Testimony on Deposition Topic No. 4 From Siemens Industry Inc.[112] Defendant Siemens Industry, Inc.'s Opposition to Plaintiffs' Motion to Compel Corporate Testimony on Deposition Topic 4 from Siemens Industry, Inc. (Attachments: # (1) Declaration of Salumeh R. Loesch, # (2) Exhibit A - Declaration of Salumeh R. Loesch, # (3) Declaration of Arie Pellikaan)(Loesch, Salumeh)
Jul 16, 2021 114 response in opposition to motion (Declaration of Salumeh R. Loesch) (1)
Docket Text: RESPONSE by Siemens Industry, Inc.in Opposition to MOTION by Plaintiffs 511 Technologies, Inc., Caddo Systems, Inc. to compel Corporate Testimony on Deposition Topic No. 4 From Siemens Industry Inc.[112] Defendant Siemens Industry, Inc.'s Opposition to Plaintiffs' Motion to Compel Corporate Testimony on Deposition Topic 4 from Siemens Industry, Inc. (Attachments: # (1) Declaration of Salumeh R. Loesch, # (2) Exhibit A - Declaration of Salumeh R. Loesch, # (3) Declaration of Arie Pellikaan)(Loesch, Salumeh)
Jul 16, 2021 114 response in opposition to motion (Exhibit A - Declaration of Salumeh R. Loesch) (7)
Docket Text: RESPONSE by Siemens Industry, Inc.in Opposition to MOTION by Plaintiffs 511 Technologies, Inc., Caddo Systems, Inc. to compel Corporate Testimony on Deposition Topic No. 4 From Siemens Industry Inc.[112] Defendant Siemens Industry, Inc.'s Opposition to Plaintiffs' Motion to Compel Corporate Testimony on Deposition Topic 4 from Siemens Industry, Inc. (Attachments: # (1) Declaration of Salumeh R. Loesch, # (2) Exhibit A - Declaration of Salumeh R. Loesch, # (3) Declaration of Arie Pellikaan)(Loesch, Salumeh)
Jul 16, 2021 114 response in opposition to motion (Declaration of Arie Pellikaan) (3)
Docket Text: RESPONSE by Siemens Industry, Inc.in Opposition to MOTION by Plaintiffs 511 Technologies, Inc., Caddo Systems, Inc. to compel Corporate Testimony on Deposition Topic No. 4 From Siemens Industry Inc.[112] Defendant Siemens Industry, Inc.'s Opposition to Plaintiffs' Motion to Compel Corporate Testimony on Deposition Topic 4 from Siemens Industry, Inc. (Attachments: # (1) Declaration of Salumeh R. Loesch, # (2) Exhibit A - Declaration of Salumeh R. Loesch, # (3) Declaration of Arie Pellikaan)(Loesch, Salumeh)
Jul 13, 2021 111 stipulation (Main Document) (2)
Docket Text: STIPULATION (Joint) re: Briefing Schedule for Motion to Compel (Attachments: # (1) Text of Proposed Order)(Benchell, Neil)
Jul 13, 2021 111 stipulation (Text of Proposed Order) (1)
Docket Text: STIPULATION (Joint) re: Briefing Schedule for Motion to Compel (Attachments: # (1) Text of Proposed Order)(Benchell, Neil)
Jul 13, 2021 112 motion to compel (2)
Docket Text: MOTION by Plaintiffs 511 Technologies, Inc., Caddo Systems, Inc. to compel Corporate Testimony on Deposition Topic No. 4 From Siemens Industry Inc. (Benchell, Neil)
Jul 13, 2021 113 memorandum in support of motion (Main Document) (9)
Docket Text: MEMORANDUM by 511 Technologies, Inc., Caddo Systems, Inc. in support of motion to compel[112] (Attachments: # (1) Declaration of Alex Chan, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10)(Benchell, Neil)
Jul 13, 2021 113 memorandum in support of motion (Declaration of Alex Chan) (3)
Docket Text: MEMORANDUM by 511 Technologies, Inc., Caddo Systems, Inc. in support of motion to compel[112] (Attachments: # (1) Declaration of Alex Chan, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10)(Benchell, Neil)
Jul 13, 2021 113 memorandum in support of motion (Exhibit 1) (14)
Docket Text: MEMORANDUM by 511 Technologies, Inc., Caddo Systems, Inc. in support of motion to compel[112] (Attachments: # (1) Declaration of Alex Chan, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10)(Benchell, Neil)
Jul 13, 2021 113 memorandum in support of motion (Exhibit 2) (16)
Docket Text: MEMORANDUM by 511 Technologies, Inc., Caddo Systems, Inc. in support of motion to compel[112] (Attachments: # (1) Declaration of Alex Chan, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10)(Benchell, Neil)
Jul 13, 2021 113 memorandum in support of motion (Exhibit 3) (3)
Docket Text: MEMORANDUM by 511 Technologies, Inc., Caddo Systems, Inc. in support of motion to compel[112] (Attachments: # (1) Declaration of Alex Chan, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10)(Benchell, Neil)
Jul 13, 2021 113 memorandum in support of motion (Exhibit 4) (16)
Docket Text: MEMORANDUM by 511 Technologies, Inc., Caddo Systems, Inc. in support of motion to compel[112] (Attachments: # (1) Declaration of Alex Chan, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10)(Benchell, Neil)
Jul 13, 2021 113 memorandum in support of motion (Exhibit 5) (4)
Docket Text: MEMORANDUM by 511 Technologies, Inc., Caddo Systems, Inc. in support of motion to compel[112] (Attachments: # (1) Declaration of Alex Chan, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10)(Benchell, Neil)
Jul 13, 2021 113 memorandum in support of motion (Exhibit 6) (1)
Docket Text: MEMORANDUM by 511 Technologies, Inc., Caddo Systems, Inc. in support of motion to compel[112] (Attachments: # (1) Declaration of Alex Chan, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10)(Benchell, Neil)
Jul 13, 2021 113 memorandum in support of motion (Exhibit 7) (4)
Docket Text: MEMORANDUM by 511 Technologies, Inc., Caddo Systems, Inc. in support of motion to compel[112] (Attachments: # (1) Declaration of Alex Chan, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10)(Benchell, Neil)
Jul 13, 2021 113 memorandum in support of motion (Exhibit 8) (1)
Docket Text: MEMORANDUM by 511 Technologies, Inc., Caddo Systems, Inc. in support of motion to compel[112] (Attachments: # (1) Declaration of Alex Chan, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10)(Benchell, Neil)
Jul 13, 2021 113 memorandum in support of motion (Exhibit 9) (1)
Docket Text: MEMORANDUM by 511 Technologies, Inc., Caddo Systems, Inc. in support of motion to compel[112] (Attachments: # (1) Declaration of Alex Chan, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10)(Benchell, Neil)
Jul 13, 2021 113 memorandum in support of motion (Exhibit 10) (1)
Docket Text: MEMORANDUM by 511 Technologies, Inc., Caddo Systems, Inc. in support of motion to compel[112] (Attachments: # (1) Declaration of Alex Chan, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7, # (9) Exhibit 8, # (10) Exhibit 9, # (11) Exhibit 10)(Benchell, Neil)
Jul 7, 2021 110 text entry (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: For the reasons discussed with counsel, the deadline for Defendant Siemens Industry, Inc. to file its motion for summary judgment is suspended and will be reset once there is a ruling on the anticipated motion to compel filed by Plaintiff Caddo Systems, Inc. The parties' discovery deadline of 7/9/2021 is also suspended in light of the anticipated motion to compel. Mailed notice. (ecw, )
Jul 2, 2021 109 order on motion for leave to file excess pages (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: The motion filed by Defendant Siemen Industry, Inc. ("SII") for an extension of page and fact limits related to the summary judgment briefing is granted. See R. [106]. SII shall be given an additional 5 pages for its anticipated motion for summary judgment. Caddo shall also be given an additional 5 pages for its anticipated opposition brief. An increase of 20 additional paragraphs for the parties' statement of facts is also permitted. Mailed notice. (ecw, )
Jun 29, 2021 108 response in opposition to motion (5)
Docket Text: RESPONSE by 511 Technologies, Inc., Caddo Systems, Inc.in Opposition to MOTION by Defendant Siemens Industry, Inc. for leave to file excess pages Defendant Siemens Industry, Inc.'s Motion for Extension of Page and Fact Limits of Motion for Summary Judgment Briefing[106] (Benchell, Neil)
Jun 23, 2021 107 set motion and R&R deadlines/hearings (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: Plaintiffs' response to the motion for extension of page and fact limits of motion for summary judgment briefing [106] is due by 6/29/2021. Mailed notice. (ecw, )
Jun 22, 2021 106 motion for leave to file excess pages (5)
Docket Text: MOTION by Defendant Siemens Industry, Inc. for leave to file excess pages Defendant Siemens Industry, Inc.'s Motion for Extension of Page and Fact Limits of Motion for Summary Judgment Briefing (Loesch, Salumeh)
Jun 9, 2021 102 notice of filing (3)
Docket Text: NOTICE by Siemens Industry, Inc. re text entry,,,, [98] Notice of Withdrawal of Motion for Summary Judgment [88-92] (Loesch, Salumeh)
Jun 9, 2021 103 answer to amended complaint (19)
Docket Text: ANSWER to amended complaint Defendant Siemens Industry, Inc.'s Answer to Plaintiffs' Second Amended Complaint for Patent Infringement by Siemens Industry, Inc.(Loesch, Salumeh)
Jun 9, 2021 104 statement (3)
Docket Text: Rule 7.1 Corporate Disclosure Statement STATEMENT by Siemens Industry, Inc. (Loesch, Salumeh)
Jun 9, 2021 105 order on motion for summary judgment (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: Pursuant to the Notice of Withdrawal [102], Motion for Summary Judgment, Memorandum in Support of Motion for Summary Judgment, Separate Statement of Undisputed Facts in Support of Motion for Summary Judgment, together with its supporting declarations and exhibits thereto [ECF Nos. [88], [89], [90]] are withdrawn. Mailed notice. (ecw, )
Jun 8, 2021 100 order on motion for leave to file (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: Unopposed motion for leave to file a sur-reply [99] is granted. Defendant Siemens AG may file its three-page sur-reply as a separate entry on the docket. Mailed notice. (ecw, )
Jun 8, 2021 101 sur-reply (5)
Docket Text: SUR-REPLY by Defendant Siemens Aktiengesellschaft (AG) Defendant Siemens AG's Sur Reply in Support of its Opposition to Plaintiffs' Motion for Jurisdictional Discovery (Loesch, Salumeh)
Jun 7, 2021 99 motion for leave to file (Main Document) (6)
Docket Text: MOTION by Defendant Siemens Aktiengesellschaft (AG) for leave to file Defendant Siemens AG's Unopposed Motion for Leave to File Sur Reply in Support of its Opposition to Motion for Jurisdictional Discovery (Attachments: # (1) Exhibit A)(Loesch, Salumeh)
Jun 7, 2021 99 motion for leave to file (Exhibit A) (6)
Docket Text: MOTION by Defendant Siemens Aktiengesellschaft (AG) for leave to file Defendant Siemens AG's Unopposed Motion for Leave to File Sur Reply in Support of its Opposition to Motion for Jurisdictional Discovery (Attachments: # (1) Exhibit A)(Loesch, Salumeh)
Jun 4, 2021 98 text entry (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: The Court is in receipt of the parties' joint status report regarding the timing of the recently-filed motion for summary judgment. R. [95]. The heart of this case is the licensing issue, and SII's proposed discovery/briefing schedule found on pages 5-6 of the status report seems to be a sensible way to move that issue (and this case) along in an expeditious manner. It is not clear from the status report what parts of the proposed schedule, if any, Plaintiff objects to. The Court, however, believes the schedule is reasonable and accordingly adopts it as follows: SII files its answer and withdraws its motion for summary judgment by 6/9/2021; additional discovery related to the licensing issue begins on 6/9/2021 and closes on 7/9/2021; SII files its motion for summary judgment by 7/16/2021; Plaintiff files it response brief by 7/30/2021; SII files its reply brief by 8/13/2021. If, during the course of discovery, Plaintiff comes to believe that the discovery window should extend beyond 30 days, Plaintiff may seek additional time if good cause can be shown. Mailed notice. (ecw, )
Jun 1, 2021 96 reply to response to motion (Main Document) (11)
Docket Text: REPLY by 511 Technologies, Inc., Caddo Systems, Inc. to MOTION by Plaintiffs 511 Technologies, Inc., Caddo Systems, inc.for Jurisdictional Discovery as Alternative Relief to Denial of Defendant's Motion to Dismiss [81] (Attachments: # (1) Declaration of Alex Chan, # (2) Exhibit 1 - REDACTED, # (3) Exhibit 2 - REDACTED, # (4) Exhibit 3)(Benchell, Neil)
Jun 1, 2021 96 reply to response to motion (Declaration of Alex Chan) (2)
Docket Text: REPLY by 511 Technologies, Inc., Caddo Systems, Inc. to MOTION by Plaintiffs 511 Technologies, Inc., Caddo Systems, inc.for Jurisdictional Discovery as Alternative Relief to Denial of Defendant's Motion to Dismiss [81] (Attachments: # (1) Declaration of Alex Chan, # (2) Exhibit 1 - REDACTED, # (3) Exhibit 2 - REDACTED, # (4) Exhibit 3)(Benchell, Neil)
Jun 1, 2021 96 reply to response to motion (Exhibit 1 - REDACTED) (1)
Docket Text: REPLY by 511 Technologies, Inc., Caddo Systems, Inc. to MOTION by Plaintiffs 511 Technologies, Inc., Caddo Systems, inc.for Jurisdictional Discovery as Alternative Relief to Denial of Defendant's Motion to Dismiss [81] (Attachments: # (1) Declaration of Alex Chan, # (2) Exhibit 1 - REDACTED, # (3) Exhibit 2 - REDACTED, # (4) Exhibit 3)(Benchell, Neil)
Jun 1, 2021 96 reply to response to motion (Exhibit 2 - REDACTED) (1)
Docket Text: REPLY by 511 Technologies, Inc., Caddo Systems, Inc. to MOTION by Plaintiffs 511 Technologies, Inc., Caddo Systems, inc.for Jurisdictional Discovery as Alternative Relief to Denial of Defendant's Motion to Dismiss [81] (Attachments: # (1) Declaration of Alex Chan, # (2) Exhibit 1 - REDACTED, # (3) Exhibit 2 - REDACTED, # (4) Exhibit 3)(Benchell, Neil)
Jun 1, 2021 96 reply to response to motion (Exhibit 3) (3)
Docket Text: REPLY by 511 Technologies, Inc., Caddo Systems, Inc. to MOTION by Plaintiffs 511 Technologies, Inc., Caddo Systems, inc.for Jurisdictional Discovery as Alternative Relief to Denial of Defendant's Motion to Dismiss [81] (Attachments: # (1) Declaration of Alex Chan, # (2) Exhibit 1 - REDACTED, # (3) Exhibit 2 - REDACTED, # (4) Exhibit 3)(Benchell, Neil)
May 28, 2021 95 status report (12)
Docket Text: STATUS Report (Joint) by 511 Technologies, Inc., Caddo Systems, Inc. (Benchell, Neil)
May 27, 2021 94 order on motion to strike (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: Defendant Siemens Aktiengesellschaft ("AG") has moved to strike Plaintiffs' motion for jurisdictional discovery, arguing that Plaintiffs failed to comply with Local Rule 37.2 and this Court's standing order regarding discovery requests. See R. [86]. Local Rule 37.2 requires a motion for discovery to include a statement that explains whether the parties previously met and conferred about the discovery-related issue. If the meeting occurred, the statement must include the date, time and place of the meeting, and the names of all participating parties. If the meeting did not occur, the statement must explain what efforts were made to meet. This Court's standing order requires parties to comply with Local Rule 37.2. It appears from Plaintiff's motion for jurisdictional discovery that Plaintiffs did not comply with the mandates of Local Rule 37.2 or this Court's standing order. See R. [81], R. [82]. Nevertheless, Defendant AG included in its recently-filed reply brief to its motion to dismiss, R. [85], a section that explains why it opposes Plaintiff's motion for jurisdictional discovery for reasons other than compliance with the local rules. See R. [85] at 9-11. The Court is therefore skeptical that any attempt to meet and confer would be productive at this time, especially since the point of the meet and confer requirement is to allow parties to resolve disputes before they come to court. For these reasons, AG's motion to strike, R. [86], is denied as moot. Plaintiffs may file their reply brief regarding the motion for jurisdictional discovery by Tuesday, June 1. Mailed notice. (ecw, )
May 25, 2021 93 set deadlines (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: The Court is in receipt of the motion for summary judgment filed by Defendant Siemens Industry Inc. regarding the licensing issue. See R. [88], R. [91]. The previous discussions in this matter suggested that Defendant Siemens would file a motion to dismiss under Rule 12(b)(6) regarding the licensing issue before filing a motion for summary judgment under Rule 56. See R. [80]. The parties shall file a joint status report by Friday, May 28, 2021 that explains why the motion for summary judgment is being filed before a motion to dismiss, and whether the motion for summary judgment may be filed before Defendant Siemens has filed an answer to the complaint. The status report should include Plaintiffs' position on these issues. Mailed notice. (ecw, )
May 24, 2021 84 order on motion for extension of time (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: Second unopposed motion for a one-business-day extension of time on briefing schedule [83] is granted. Defendant's opening brief on licensing is due by 5/24/2021. Plaintiffs' response is due by 6/7/2021. Defendant's reply is due by 6/14/2021. Mailed notice. (ecw, )
May 24, 2021 85 reply (Main Document) (13)
Docket Text: REPLY by Defendant Siemens Aktiengesellschaft (AG) to motion to dismiss/lack of jurisdiction, [75], memorandum in support of motion, [76] (Attachments: # (1) Declaration of Paul Salazar, # (2) Declaration of Tucker Mottl, # (3) Exhibit 1-7)(Loesch, Salumeh)
May 24, 2021 85 reply (Declaration of Paul Salazar) (7)
Docket Text: REPLY by Defendant Siemens Aktiengesellschaft (AG) to motion to dismiss/lack of jurisdiction, [75], memorandum in support of motion, [76] (Attachments: # (1) Declaration of Paul Salazar, # (2) Declaration of Tucker Mottl, # (3) Exhibit 1-7)(Loesch, Salumeh)
May 24, 2021 85 reply (Declaration of Tucker Mottl) (3)
Docket Text: REPLY by Defendant Siemens Aktiengesellschaft (AG) to motion to dismiss/lack of jurisdiction, [75], memorandum in support of motion, [76] (Attachments: # (1) Declaration of Paul Salazar, # (2) Declaration of Tucker Mottl, # (3) Exhibit 1-7)(Loesch, Salumeh)
May 24, 2021 85 reply (Exhibit 1-7) (30)
Docket Text: REPLY by Defendant Siemens Aktiengesellschaft (AG) to motion to dismiss/lack of jurisdiction, [75], memorandum in support of motion, [76] (Attachments: # (1) Declaration of Paul Salazar, # (2) Declaration of Tucker Mottl, # (3) Exhibit 1-7)(Loesch, Salumeh)
May 24, 2021 86 motion to strike (3)
Docket Text: MOTION by Defendant Siemens Aktiengesellschaft (AG) to strike MOTION by Plaintiffs 511 Technologies, Inc., Caddo Systems, inc.for Jurisdictional Discovery as Alternative Relief to Denial of Defendant's Motion to Dismiss [81], memorandum, [82] (Loesch, Salumeh)
May 24, 2021 87 memorandum in support of motion (5)
Docket Text: MEMORANDUM by Siemens Aktiengesellschaft (AG) in support of motion to strike, [86] (Loesch, Salumeh)
May 24, 2021 88 motion for summary judgment (3)
Docket Text: MOTION by Defendant Siemens Industry, Inc. for summary judgment (Loesch, Salumeh)
May 24, 2021 89 memorandum in support of motion (Main Document) (18)
Docket Text: MEMORANDUM by Siemens Industry, Inc. in support of motion for summary judgment[88] (Attachments: # (1) Declaration Neil Rhodes, # (2) Exhibit Ex A-D Neil Rhodes, # (3) Declaration Arie Pellikaan, # (4) Exhibit Ex 1-10 Arie Pellikaan)(Loesch, Salumeh)
May 24, 2021 89 memorandum in support of motion (Declaration Neil Rhodes) (10)
Docket Text: MEMORANDUM by Siemens Industry, Inc. in support of motion for summary judgment[88] (Attachments: # (1) Declaration Neil Rhodes, # (2) Exhibit Ex A-D Neil Rhodes, # (3) Declaration Arie Pellikaan, # (4) Exhibit Ex 1-10 Arie Pellikaan)(Loesch, Salumeh)
May 24, 2021 89 memorandum in support of motion (Exhibit Ex A-D Neil Rhodes) (10)
Docket Text: MEMORANDUM by Siemens Industry, Inc. in support of motion for summary judgment[88] (Attachments: # (1) Declaration Neil Rhodes, # (2) Exhibit Ex A-D Neil Rhodes, # (3) Declaration Arie Pellikaan, # (4) Exhibit Ex 1-10 Arie Pellikaan)(Loesch, Salumeh)
May 24, 2021 89 memorandum in support of motion (Declaration Arie Pellikaan) (3)
Docket Text: MEMORANDUM by Siemens Industry, Inc. in support of motion for summary judgment[88] (Attachments: # (1) Declaration Neil Rhodes, # (2) Exhibit Ex A-D Neil Rhodes, # (3) Declaration Arie Pellikaan, # (4) Exhibit Ex 1-10 Arie Pellikaan)(Loesch, Salumeh)
May 24, 2021 89 memorandum in support of motion (Exhibit Ex 1-10 Arie Pellikaan) (30)
Docket Text: MEMORANDUM by Siemens Industry, Inc. in support of motion for summary judgment[88] (Attachments: # (1) Declaration Neil Rhodes, # (2) Exhibit Ex A-D Neil Rhodes, # (3) Declaration Arie Pellikaan, # (4) Exhibit Ex 1-10 Arie Pellikaan)(Loesch, Salumeh)
May 24, 2021 90 Rule 56 statement (23)
Docket Text: RULE 56 Local Rule 56.1 Statement (Loesch, Salumeh)
May 21, 2021 83 extension of time (4)
Docket Text: MOTION by Defendant Siemens Industry, Inc. for extension of time on briefing schedule (Loesch, Salumeh)
May 10, 2021 81 motion for miscellaneous relief (2)
Docket Text: MOTION by Plaintiffs 511 Technologies, Inc., Caddo Systems, inc.for Jurisdictional Discovery as Alternative Relief to Denial of Defendant's Motion to Dismiss (Benchell, Neil)
May 10, 2021 82 memorandum (Main Document) (18)
Docket Text: MEMORANDUM motion for miscellaneous relief[81] by 511 Technologies, Inc., Caddo Systems, inc. Memorandum In Opposition to Siemens AG's Motion to Dismiss and In Support of Motion for Leave to Conduct Expedited Jurisdictional Discovery (Attachments: # (1) Declaration of Alex Chan, # (2) Exhibit 1-10, # (3) Exhibit 11-20, # (4) Exhibit 21-30)(Benchell, Neil)
May 10, 2021 82 memorandum (Declaration of Alex Chan) (8)
Docket Text: MEMORANDUM motion for miscellaneous relief[81] by 511 Technologies, Inc., Caddo Systems, inc. Memorandum In Opposition to Siemens AG's Motion to Dismiss and In Support of Motion for Leave to Conduct Expedited Jurisdictional Discovery (Attachments: # (1) Declaration of Alex Chan, # (2) Exhibit 1-10, # (3) Exhibit 11-20, # (4) Exhibit 21-30)(Benchell, Neil)
May 10, 2021 82 memorandum (Exhibit 1-10) (30)
Docket Text: MEMORANDUM motion for miscellaneous relief[81] by 511 Technologies, Inc., Caddo Systems, inc. Memorandum In Opposition to Siemens AG's Motion to Dismiss and In Support of Motion for Leave to Conduct Expedited Jurisdictional Discovery (Attachments: # (1) Declaration of Alex Chan, # (2) Exhibit 1-10, # (3) Exhibit 11-20, # (4) Exhibit 21-30)(Benchell, Neil)
May 10, 2021 82 memorandum (Exhibit 11-20) (30)
Docket Text: MEMORANDUM motion for miscellaneous relief[81] by 511 Technologies, Inc., Caddo Systems, inc. Memorandum In Opposition to Siemens AG's Motion to Dismiss and In Support of Motion for Leave to Conduct Expedited Jurisdictional Discovery (Attachments: # (1) Declaration of Alex Chan, # (2) Exhibit 1-10, # (3) Exhibit 11-20, # (4) Exhibit 21-30)(Benchell, Neil)
May 10, 2021 82 memorandum (Exhibit 21-30) (30)
Docket Text: MEMORANDUM motion for miscellaneous relief[81] by 511 Technologies, Inc., Caddo Systems, inc. Memorandum In Opposition to Siemens AG's Motion to Dismiss and In Support of Motion for Leave to Conduct Expedited Jurisdictional Discovery (Attachments: # (1) Declaration of Alex Chan, # (2) Exhibit 1-10, # (3) Exhibit 11-20, # (4) Exhibit 21-30)(Benchell, Neil)
May 3, 2021 80 transcript (21)
Docket Text: TRANSCRIPT OF PROCEEDINGS held on 04/12/2021 before the Honorable Thomas M. Durkin. Status. Order Number: 40616. Court Reporter Contact Information: Elia E. Carrion, EECarrionOfficialTranscript@gmail.com, 312-408-7782. IMPORTANT: The transcript may be viewed at the court's 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 the Court Reporter/Transcriber or PACER. For further information on the redaction process, see the Court's web site at www.ilnd.uscourts.gov under Quick Links select Policy Regarding the Availability of Transcripts of Court Proceedings. Redaction Request due 5/24/2021. Redacted Transcript Deadline set for 6/3/2021. Release of Transcript Restriction set for 8/2/2021. (Carrion, Elia)
Apr 28, 2021 77 order on motion to appear pro hac vice (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: Motion to appear pro hac vice by attorney Salumeh R Loesch was previously granted at [45]. Motion to appear pro hac vice [74] is moot. Attorney Salumeh R Loesch for Siemens Aktiengesellschaft (AG) added. Mailed notice. (ecw, )
Apr 28, 2021 78 extension of time (4)
Docket Text: MOTION by Defendant Siemens Industry, Inc. for extension of time on briefing schedule (DePriest, Jennifer)
Apr 28, 2021 79 order on motion for extension of time (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: Unopposed motion for extension of time [78] is granted. Defendant's opening brief on the licensing issue is due by 5/21/2021. Plaintiff's response is due by 6/4/2021. Defendant's reply is due by 6/11/2021. Mailed notice. (ecw, )
Apr 26, 2021 74 motion to appear pro hac vice (3)
Docket Text: MOTION for Leave to Appear Pro Hac Vice Filing fee $ 150, receipt number 0752-18178050. Siemens Aktiengesellschaft (AG) (Loesch, Salumeh)
Apr 26, 2021 75 motion to dismiss/lack of jurisdiction (3)
Docket Text: MOTION by Defendants Siemens Aktiengesellschaft (AG), Siemens Industry, Inc. to dismiss for lack of jurisdiction Defendant Siemens AG's Motion to Dismiss Plaintiffs' Second Amended Complaint for Lack of Personal Jurisdiction (Loesch, Salumeh)
Apr 26, 2021 76 memorandum in support of motion (Main Document) (18)
Docket Text: MEMORANDUM by Siemens Aktiengesellschaft (AG) in support of motion to dismiss/lack of jurisdiction, [75] Defendant Siemens AG's Memorandum In Support of its Motion to Dismiss Plaintiffs' Second Amended Complaint for Lack of Personal Jurisdiction (Attachments: # (1) Declaration Declaration of Paul Salazar, # (2) Exhibit Exhibit A to Dec. Paul Salazar, # (3) Declaration Declaration of Marla Beier, # (4) Exhibit 1-6 to Dec. Marla Beier)(Loesch, Salumeh)
Apr 26, 2021 76 memorandum in support of motion (Declaration Declaration of Paul Salazar) (6)
Docket Text: MEMORANDUM by Siemens Aktiengesellschaft (AG) in support of motion to dismiss/lack of jurisdiction, [75] Defendant Siemens AG's Memorandum In Support of its Motion to Dismiss Plaintiffs' Second Amended Complaint for Lack of Personal Jurisdiction (Attachments: # (1) Declaration Declaration of Paul Salazar, # (2) Exhibit Exhibit A to Dec. Paul Salazar, # (3) Declaration Declaration of Marla Beier, # (4) Exhibit 1-6 to Dec. Marla Beier)(Loesch, Salumeh)
Apr 26, 2021 76 memorandum in support of motion (Exhibit Exhibit A to Dec. Paul Salazar) (6)
Docket Text: MEMORANDUM by Siemens Aktiengesellschaft (AG) in support of motion to dismiss/lack of jurisdiction, [75] Defendant Siemens AG's Memorandum In Support of its Motion to Dismiss Plaintiffs' Second Amended Complaint for Lack of Personal Jurisdiction (Attachments: # (1) Declaration Declaration of Paul Salazar, # (2) Exhibit Exhibit A to Dec. Paul Salazar, # (3) Declaration Declaration of Marla Beier, # (4) Exhibit 1-6 to Dec. Marla Beier)(Loesch, Salumeh)
Apr 26, 2021 76 memorandum in support of motion (Declaration Declaration of Marla Beier) (3)
Docket Text: MEMORANDUM by Siemens Aktiengesellschaft (AG) in support of motion to dismiss/lack of jurisdiction, [75] Defendant Siemens AG's Memorandum In Support of its Motion to Dismiss Plaintiffs' Second Amended Complaint for Lack of Personal Jurisdiction (Attachments: # (1) Declaration Declaration of Paul Salazar, # (2) Exhibit Exhibit A to Dec. Paul Salazar, # (3) Declaration Declaration of Marla Beier, # (4) Exhibit 1-6 to Dec. Marla Beier)(Loesch, Salumeh)
Apr 26, 2021 76 memorandum in support of motion (Exhibit 1-6 to Dec. Marla Beier) (30)
Docket Text: MEMORANDUM by Siemens Aktiengesellschaft (AG) in support of motion to dismiss/lack of jurisdiction, [75] Defendant Siemens AG's Memorandum In Support of its Motion to Dismiss Plaintiffs' Second Amended Complaint for Lack of Personal Jurisdiction (Attachments: # (1) Declaration Declaration of Paul Salazar, # (2) Exhibit Exhibit A to Dec. Paul Salazar, # (3) Declaration Declaration of Marla Beier, # (4) Exhibit 1-6 to Dec. Marla Beier)(Loesch, Salumeh)
Apr 12, 2021 73 telephone conference (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: Telephone status hearing held on 4/12/2021. Defendant's opening brief on the licensing issue is due by 5/14/2021. Plaintiff's response is due by 5/28/2021. Defendant's reply is due by 6/4/2021. Defendant is to file their answer or motion to dismiss by 4/26/2021. Plaintiff is to respond by 5/10/2021. Defendant's reply is due by 5/24/2021. Mailed notice. (ecw, )
Apr 9, 2021 72 set/reset hearings (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: A telephone status hearing is set for 4/12/2021 at 11:30 a.m. To join the telephone conference, dial 877-402-9757, Access Code 4410831. Members of the public and media will be able to call in to listen to this hearing. Please be sure to keep your phone on mute when you are not speaking. Persons granted remote access to proceedings are reminded of the general prohibition against photographing, recording, and rebroadcasting of court proceedings. Violation of these prohibitions may result in sanctions, including removal of court issued media credentials, restricted entry to future hearings, denial of entry to future hearings, or any other sanctions deemed necessary by the Court. Mailed notice. (ecw, )
Mar 13, 2021 71 transcript (33)
Docket Text: TRANSCRIPT OF PROCEEDINGS held on 02/16/2021 before the Honorable Thomas M. Durkin. Status Hearing. Order Number: 40153. Court Reporter Contact Information: Elia E. Carrion, EECarrionOfficialTranscript@gmail.com, 312-408-7782. IMPORTANT: The transcript may be viewed at the court's 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 the Court Reporter/Transcriber or PACER. For further information on the redaction process, see the Court's web site at www.ilnd.uscourts.gov under Quick Links select Policy Regarding the Availability of Transcripts of Court Proceedings. Redaction Request due 4/5/2021. Redacted Transcript Deadline set for 4/13/2021. Release of Transcript Restriction set for 6/11/2021. (Carrion, Elia)
Mar 2, 2021 70 other (5)
Docket Text: Plaintiffs' Identification of Accused Instrumentalities by 511 Technologies, Inc., Caddo Systems, inc. pursuant to Docket 69 (Benchell, Neil)
Feb 16, 2021 69 telephone conference (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: Telephone status hearing held on 2/16/2021. Plaintiff's filing, as described on the record, is due by 3/2/2021. Third-party discovery may be issued. Plaintiff may revise their 3/2/2021 filing if needed. Parties may then contact the courtroom deputy to either set a status hearing or set a briefing schedule on defendant's motion to dismiss. Mailed notice. (ecw, )
Feb 10, 2021 68 set/reset hearings (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: A telephone status hearing is set for 2/16/2021 at 9:30 a.m. To join the telephone conference, dial 877-402-9757, Access Code 4410831. Members of the public and media will be able to call in to listen to this hearing. Please be sure to keep your phone on mute when you are not speaking. Persons granted remote access to proceedings are reminded of the general prohibition against photographing, recording, and rebroadcasting of court proceedings. Violation of these prohibitions may result in sanctions, including removal of court issued media credentials, restricted entry to future hearings, denial of entry to future hearings, or any other sanctions deemed necessary by the Court. Mailed notice. (ecw, )
Jan 28, 2021 67 order on motion to seal (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: Joint Motion for Leave to File Joint Status Report Under Seal [65] is granted. Mailed notice. (ecw, )
Jan 27, 2021 65 motion to seal (4)
Docket Text: MOTION by Plaintiffs 511 Technologies, Inc., Caddo Systems, inc. to seal - Joint Motion for Leave to File Joint Status Report Under Seal (Benchell, Neil)
Jan 25, 2021 63 motion to appear pro hac vice (2)
Docket Text: MOTION for Leave to Appear Pro Hac Vice Filing fee $ 150, receipt number 0752-17858629. (Chan, Alex)
Jan 25, 2021 64 order on motion to appear pro hac vice (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: Motion to appear pro hac vice [63] is granted. Attorney Alex Chan for Caddo Systems, Inc. and 511 Technologies, Inc.v added. Mailed notice. (ecw, )
Jan 22, 2021 59 extension of time (3)
Docket Text: MOTION by Defendant Siemens Industry, Inc. for extension of time To File Joint Status Report (Joint) (DePriest, Jennifer)
Jan 22, 2021 60 order on motion for extension of time (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: Joint motion for extension of time [59] is granted. The parties' deadline to file a joint status report is extended until and including 1/27/2021. Mailed notice. (ecw, )
Jan 22, 2021 61 motion to appear pro hac vice (2)
Docket Text: MOTION for Leave to Appear Pro Hac Vice Filing fee $ 150, receipt number 0752-17854081. (Devlin, Timothy)
Jan 22, 2021 62 order on motion to appear pro hac vice (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: Motion to appear pro hac vice [61] is granted. Attorney Timothy Devlin for Caddo Systems, Inc. and 511 Technologies, Inc. added. Mailed notice. (ecw, )
Jan 14, 2021 57 extension of time (3)
Docket Text: MOTION by Defendant Siemens Industry, Inc. for extension of time to File Joint Status Report ( Joint) (DePriest, Jennifer)
Jan 14, 2021 58 order on motion for extension of time (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: Joint motion for extension of time [57] is granted. The parties are to file their joint status report by 1/22/2021. Mailed notice. (ecw, )
Dec 11, 2020 55 order (2)
Docket Text: STIPULATION for Agreed Protective Order. Signed by the Honorable Thomas M. Durkin on 12/11/2020. Mailed notice. (ecw, )
Dec 11, 2020 56 protective order (18)
Docket Text: PROTECTIVE Order. Signed by the Honorable Thomas M. Durkin on 12/11/2020. Mailed notice. (ecw, )
Dec 10, 2020 54 stipulation (Main Document) (2)
Docket Text: STIPULATION for Agreed Protective Order (Attachments: # (1) Exhibit Protective Order)(Loesch, Salumeh)
Dec 10, 2020 54 stipulation (Exhibit Protective Order) (17)
Docket Text: STIPULATION for Agreed Protective Order (Attachments: # (1) Exhibit Protective Order)(Loesch, Salumeh)
Nov 5, 2020 52 motion to withdraw (3)
Docket Text: MOTION by Defendant Siemens Industry, Inc. to withdraw Melissa R. Smith as Local Counsel (DePriest, Jennifer)
Nov 5, 2020 53 order on motion to withdraw (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: Unopposed motion to withdraw [52] is granted. Attorney Melissa Richards Smith terminated. Mailed notice. (ecw, )
Oct 30, 2020 51 telephone conference (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: Telephone conference held on 10/30/20. No answers to the Second Amended Complaint are required until further notice. The parties shall submit a joint status report on 1/15/21, which can be filed under seal. Mailed notice. (ecw, )
Oct 28, 2020 50 summons returned executed (2)
Docket Text: SUMMONS Returned Executed by Caddo Systems, inc., 511 Technologies, Inc. as to Siemens Aktiengesellschaft (AG) on 10/27/2020, answer due 11/17/2020. (Chan, Alex)
Oct 27, 2020 49 terminate hearings (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: Telephone conference set for 10/27/2020 is reset to 10/30/2020 at 1:00 p.m. To join the telephone call, dial 877-402-9757, Access Code 4410831. Mailed notice. (ecw, )
Oct 26, 2020 N/A alias summons issued (0)
Docket Text: ALIAS Summons Issued as to Defendant Siemens Aktiengesellschaft (AG). (gw, )
Oct 23, 2020 43 motion to appear pro hac vice (3)
Docket Text: MOTION for Leave to Appear Pro Hac Vice Filing fee $ 150, receipt number 0752-17574356. (Loesch, Salumeh)
Oct 23, 2020 44 motion to appear pro hac vice (3)
Docket Text: MOTION for Leave to Appear Pro Hac Vice Filing fee $ 150, receipt number 0752-17574392. (Cleveland, Kristin)
Oct 23, 2020 45 order on motion to appear pro hac vice (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: Motions to appear pro hac vice [43] and [44] are granted. Attorneys Kristin L Cleveland and Salumeh R Loesch for Siemens Industry, Inc. added. Mailed notice. (ecw, )
Oct 23, 2020 46 motion to appear pro hac vice (2)
Docket Text: MOTION for Leave to Appear Pro Hac Vice Filing fee $ 150, receipt number 0752-17574887. (Wilson, Mark)
Oct 23, 2020 47 set/reset hearings (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: In accordance with minute entry [42], parties have contacted the courtroom deputy to set a telephone conference for 10/27/2020 at 1:15 p.m. To join the telephone call, dial 877-402-9757, Access Code 4410831. Mailed notice. (ecw, )
Oct 23, 2020 48 order on motion to appear pro hac vice (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: Motion to appear pro hac vice [46] is granted. Attorney Mark Wilson for Siemens Industry, Inc. added. Mailed notice. (ecw, )
Oct 21, 2020 41 amended complaint (Main Document) (30)
Docket Text: SECOND AMENDED complaint by Caddo Systems, inc., 511 Technologies, Inc. against All Defendants (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6)(Benchell, Neil)
Oct 21, 2020 41 amended complaint (Exhibit 1) (12)
Docket Text: SECOND AMENDED complaint by Caddo Systems, inc., 511 Technologies, Inc. against All Defendants (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6)(Benchell, Neil)
Oct 21, 2020 41 amended complaint (Exhibit 2) (16)
Docket Text: SECOND AMENDED complaint by Caddo Systems, inc., 511 Technologies, Inc. against All Defendants (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6)(Benchell, Neil)
Oct 21, 2020 41 amended complaint (Exhibit 3) (12)
Docket Text: SECOND AMENDED complaint by Caddo Systems, inc., 511 Technologies, Inc. against All Defendants (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6)(Benchell, Neil)
Oct 21, 2020 41 amended complaint (Exhibit 4) (16)
Docket Text: SECOND AMENDED complaint by Caddo Systems, inc., 511 Technologies, Inc. against All Defendants (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6)(Benchell, Neil)
Oct 21, 2020 41 amended complaint (Exhibit 5) (16)
Docket Text: SECOND AMENDED complaint by Caddo Systems, inc., 511 Technologies, Inc. against All Defendants (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6)(Benchell, Neil)
Oct 21, 2020 41 amended complaint (Exhibit 6) (17)
Docket Text: SECOND AMENDED complaint by Caddo Systems, inc., 511 Technologies, Inc. against All Defendants (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6)(Benchell, Neil)
Oct 21, 2020 42 text entry (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: The Local Rules of course apply to all patent cases filed in this District. It is Judge Durkin's practice, however, to hold an informal, off the record meeting with the attorneys for the parties assoon as possible after all parties have counsel who have filed appearances. All discussions at the meeting will be inadmissible in any later proceeding under Federal Rule of Evidence 408.The purpose of the meeting is to see whether an early resolution of the case, or a narrowing or prioritizing of the contested issues can occur before any scheduling order is prepared by the parties. No position papers or other briefs should be filed in advance of the meeting, which will last an hour or less. Counsel shall collaborate in selecting a prompt date and email Judge Durkin's courtroom deputy, Emily Wall at emily_wall@ilnd.uscourts.gov to schedule. No answer to the complaint is required until after this meeting, which is intended to minimize the costs of this uniquely expensive kind of litigation. Mailed notice. (ecw, )
Oct 21, 2020 1 Amended Complaint* (1)
Oct 19, 2020 40 order on motion for leave to file (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: Unopposed motion for leave to file a second amended complaint [39] is granted. No appearance on the motion is necessary. Mailed notice. (ecw, )
Oct 16, 2020 38 notice of motion (2)
Docket Text: NOTICE of Motion by Neil A Benchell for presentment of before Honorable Thomas M. Durkin on 10/26/2020 at 09:00 AM. (Benchell, Neil)
Oct 16, 2020 39 motion for leave to file (Main Document) (4)
Docket Text: MOTION by Plaintiffs 511 Technologies, Inc., Caddo Systems, inc. for leave to file a Second Amended Complaint (Attachments: # (1) Exhibit 1 - Second Amended Complaint, # (2) Exhibit 2 - Redlined Complaint, # (3) Exhibit 3 - First Amended Complaint)(Benchell, Neil)
Oct 16, 2020 39 motion for leave to file (Exhibit 1 - Second Amended Complaint) (30)
Docket Text: MOTION by Plaintiffs 511 Technologies, Inc., Caddo Systems, inc. for leave to file a Second Amended Complaint (Attachments: # (1) Exhibit 1 - Second Amended Complaint, # (2) Exhibit 2 - Redlined Complaint, # (3) Exhibit 3 - First Amended Complaint)(Benchell, Neil)
Oct 16, 2020 39 motion for leave to file (Exhibit 2 - Redlined Complaint) (30)
Docket Text: MOTION by Plaintiffs 511 Technologies, Inc., Caddo Systems, inc. for leave to file a Second Amended Complaint (Attachments: # (1) Exhibit 1 - Second Amended Complaint, # (2) Exhibit 2 - Redlined Complaint, # (3) Exhibit 3 - First Amended Complaint)(Benchell, Neil)
Oct 16, 2020 39 motion for leave to file (Exhibit 3 - First Amended Complaint) (30)
Docket Text: MOTION by Plaintiffs 511 Technologies, Inc., Caddo Systems, inc. for leave to file a Second Amended Complaint (Attachments: # (1) Exhibit 1 - Second Amended Complaint, # (2) Exhibit 2 - Redlined Complaint, # (3) Exhibit 3 - First Amended Complaint)(Benchell, Neil)
Oct 15, 2020 35 attorney appearance (1)
Docket Text: ATTORNEY Appearance for Defendant Siemens Industry, Inc. by Jennifer Yule DePriest (DePriest, Jennifer)
Oct 15, 2020 36 attorney appearance (1)
Docket Text: ATTORNEY Appearance for Defendant Siemens Industry, Inc. by Ismail Cem Kuru (Kuru, Ismail)
Oct 15, 2020 37 notification of affiliates pursuant to local rule 3.2 (3)
Docket Text: NOTIFICATION of Affiliates pursuant to Local Rule 3.2 by Siemens Industry, Inc. (Kuru, Ismail)
Oct 9, 2020 32 motion to appear pro hac vice (2)
Docket Text: MOTION for Leave to Appear Pro Hac Vice Filing fee $ 150, receipt number 0752-17528271. (Chan, Alex)
Oct 9, 2020 33 motion to appear pro hac vice (2)
Docket Text: MOTION for Leave to Appear Pro Hac Vice Filing fee $ 150, receipt number 0752-17528296. (Schad, Veronica)
Oct 9, 2020 34 order on motion to appear pro hac vice (1)
Docket Text: MINUTE entry before the Honorable Thomas M. Durkin: Motions to appear pro hac vice [32] and [33] are granted. Attorneys Veronica Schad and Alex Chan for 511 Technologies, Inc. and Caddo Systems, inc. added. Mailed notice. (ecw, )
Oct 8, 2020 31 order (1)
Docket Text: ORDER: Defendant Siemens Industry, Inc. shall have until 21 days after receiving notice via electronic court filing that the case has been received by the Northern District of Illinois, up to an including October 26, 2020, in which to respond to the First Amended Complaint for Patent Infringement in this action. Signed by the Honorable Thomas M. Durkin on 10/8/2020. Mailed notice. (ecw, )
Oct 7, 2020 29 attorney appearance (1)
Docket Text: ATTORNEY Appearance for Plaintiffs 511 Technologies, Inc., Caddo Systems, inc. by Neil A Benchell (Benchell, Neil)
Oct 7, 2020 30 stipulation (3)
Docket Text: STIPULATION regarding amended complaint, [16] to Extend Time for Defendant Siemens Industry, Inc. to Respond (Benchell, Neil)
Oct 5, 2020 N/A case transferred out - district transfer (0)
Docket Text: Interdistrict transfer to the NORTHERN District of ILLINOIS. (baf, ) [Transferred from Texas Eastern on 10/5/2020.]
Oct 5, 2020 26 order on motion for change of venue (1)
Docket Text: ORDER - GRANTING [24] Motion to Transfer to the United States District Court for the Northern District of Illinois. It is therefore ORDERED that the above-styled action be transferred to the United States District Court for the Northern District of Illinois. As all parties agree to this transfer, the Clerk is directed to transfer this case without delay. Signed by District Judge Amos L. Mazzant, III on 10/5/2020. (baf, ) [Transferred from Texas Eastern on 10/5/2020.]
Oct 5, 2020 27 case transferred in - district transfer (Main Document Public Docket Sheet) (5)
Docket Text: RECEIVED from Texas Eastern; Case Number 4:20-cv-00255 (bg)
Oct 5, 2020 28 mailed (1)
Docket Text: MAILED Rule 83.15 Letter to all counsel of record. (bg, )
Oct 2, 2020 N/A other (0)
Docket Text: Defendant's Unopposed THIRD Application for Extension of Time to Answer Complaint is granted pursuant to Local Rule CV-12 for Siemens Industry, Inc. to 10/8/2020. 7 Days Granted for Deadline Extension.( baf, )[Transferred from Texas Eastern on 10/5/2020.]
Oct 1, 2020 25 other (1)
Docket Text: Defendant's Unopposed Third Application for Extension of Time to Answer Complaint re 511 Technologies, Inc., Caddo Systems, Inc..( Chan, Alex) [Transferred from Texas Eastern on 10/5/2020.]
Sep 30, 2020 24 motion to change venue (Main Document) (2)
Docket Text: Joint MOTION to Change Venue to the United States District Court for the Northern District of Illinois, Joint MOTION to Stay All Deadlines Pending Transfer of Case by 511 Technologies, Inc., Caddo Systems, Inc.. (Attachments: # (1) Text of Proposed Order)(Devlin, Timothy) [Transferred from Texas Eastern on 10/5/2020.]
Sep 30, 2020 24 motion to change venue (Text of Proposed Order) (1)
Docket Text: Joint MOTION to Change Venue to the United States District Court for the Northern District of Illinois, Joint MOTION to Stay All Deadlines Pending Transfer of Case by 511 Technologies, Inc., Caddo Systems, Inc.. (Attachments: # (1) Text of Proposed Order)(Devlin, Timothy) [Transferred from Texas Eastern on 10/5/2020.]
Sep 25, 2020 23 order (1)
Docket Text: ORDER OF DISMISSAL WITHOUT PREJUDICE. Pursuant to Fed. R. Civ. P. 41(a)(i), recognizing the Notice of Voluntary Dismissal Without Prejudice filed by Plaintiffs Caddo Systems, Inc. and 511 Technologies, Inc. (collectively, "Plaintiffs") it is: ORDERED that the claims and causes of action asserted between Plaintiffs and Siemens Aktiengellschaft hereby are, dismissed without prejudice; and ORDERED that the parties shall bear their own attorney's fees, expenses and costs. The Clerk is directed to terminate Defendant Siemens Aktiengellschaft AG as a party to this case. Signed by District Judge Amos L. Mazzant, III on 9/25/2020. (baf, ) [Transferred from Texas Eastern on 10/5/2020.]
Sep 24, 2020 N/A other (0)
Docket Text: Defendant's Unopposed SECOND Application for Extension of Time to Answer Complaint is granted pursuant to Local Rule CV-12 for Siemens Industry, Inc.. 7 Days Granted for Deadline Extension.( baf, ) [Transferred from Texas Eastern on 10/5/2020.]
Sep 23, 2020 21 notice of voluntary dismissal (Main Document) (2)
Docket Text: NOTICE of Voluntary Dismissal by 511 Technologies, Inc., Caddo Systems, Inc. (Attachments: # (1) Text of Proposed Order)(Devlin, Timothy) [Transferred from Texas Eastern on 10/5/2020.]
Sep 23, 2020 21 notice of voluntary dismissal (Text of Proposed Order) (1)
Docket Text: NOTICE of Voluntary Dismissal by 511 Technologies, Inc., Caddo Systems, Inc. (Attachments: # (1) Text of Proposed Order)(Devlin, Timothy) [Transferred from Texas Eastern on 10/5/2020.]
Sep 23, 2020 22 other (1)
Docket Text: Defendant Siemens Industry, Inc.'s Unopposed Second Application for Extension of Time to Answer Complaint re 511 Technologies, Inc., Caddo Systems, Inc..( Chan, Alex) [Transferred from Texas Eastern on 10/5/2020.]
Sep 17, 2020 20 order (15)
Docket Text: ORDER GOVERNING PROCEEDINGS. This case is SET for the Initial Rule 16 Management Conference on Monday, 11/16/2020, at 10:00 AM in Ctrm 208 (Sherman) before District Judge Amos L. Mazzant III. Signed by District Judge Amos L. Mazzant, III on 9/17/2020. (baf, ) [Transferred from Texas Eastern on 10/5/2020.]
Sep 15, 2020 N/A other (0)
Docket Text: Defendant's Unopposed FIRST Application for Extension of Time to Answer Complaint is granted pursuant to Local Rule CV-12 for Siemens Industry, Inc. to 9/24/2020. 7 Days Granted for Deadline Extension.( baf, )[Transferred from Texas Eastern on 10/5/2020.]
Sep 15, 2020 19 other (1)
Docket Text: Defendant's Unopposed First Application for Extension of Time to Answer Complaint re 511 Technologies, Inc., Caddo Systems, Inc..( Chan, Alex) [Transferred from Texas Eastern on 10/5/2020.]
Sep 11, 2020 N/A terminated case (0)
Docket Text: Counsel are reminded that the Court has not opted out of this court's Local Rules concerning courtesy copies; therefore, Counsel are asked to comply with Local Rule CV-5(a)(9) and Local Rule CV-10(b) with respect to sending courtesy copies to Judge Mazzant. Please send copies of pleadings that exceed 20 pages to Judge Mazzant's chambers. Please use tabs and dividers for exhibits, and please place voluminous pleadings in three-ring binder(s). (tls)[Transferred from Texas Eastern on 10/5/2020.]
Sep 11, 2020 18 statement (3)
Docket Text: CORPORATE DISCLOSURE STATEMENT filed by Siemens Aktiengesellschaft (AG) (Cleveland, Kristin) [Transferred from Texas Eastern on 10/5/2020.]
Sep 10, 2020 17 motion to dismiss/lack of jurisdiction (Main Document) (20)
Docket Text: MOTION to Dismiss for Lack of Jurisdiction by Siemens Aktiengesellschaft (AG). (Attachments: # (1) Text of Proposed Order Proposed Order, # (2) Affidavit Declaration of Marla Beier, # (3) Exhibit Ex A to Declaration of Marla Beier, # (4) Exhibit Ex B to Declaration of Marla Beier, # (5) Exhibit Ex C to Declaration of Marla Beier, # (6) Exhibit Ex D to Declaration of Marla Beier, # (7) Exhibit Ex E to Declaration of Marla Beier, # (8) Affidavit Declaration of Paul Salazar, # (9) Exhibit Ex 1 to Declaration of Paul Salazar, # (10) Exhibit Ex 2 to Declaration of Paul Salazar)(Loesch, Salumeh) [Transferred from Texas Eastern on 10/5/2020.]
Sep 10, 2020 17 motion to dismiss/lack of jurisdiction (Text of Proposed Order Proposed Order) (1)
Docket Text: MOTION to Dismiss for Lack of Jurisdiction by Siemens Aktiengesellschaft (AG). (Attachments: # (1) Text of Proposed Order Proposed Order, # (2) Affidavit Declaration of Marla Beier, # (3) Exhibit Ex A to Declaration of Marla Beier, # (4) Exhibit Ex B to Declaration of Marla Beier, # (5) Exhibit Ex C to Declaration of Marla Beier, # (6) Exhibit Ex D to Declaration of Marla Beier, # (7) Exhibit Ex E to Declaration of Marla Beier, # (8) Affidavit Declaration of Paul Salazar, # (9) Exhibit Ex 1 to Declaration of Paul Salazar, # (10) Exhibit Ex 2 to Declaration of Paul Salazar)(Loesch, Salumeh) [Transferred from Texas Eastern on 10/5/2020.]
Sep 10, 2020 17 motion to dismiss/lack of jurisdiction (Affidavit Declaration of Marla Beier) (4)
Docket Text: MOTION to Dismiss for Lack of Jurisdiction by Siemens Aktiengesellschaft (AG). (Attachments: # (1) Text of Proposed Order Proposed Order, # (2) Affidavit Declaration of Marla Beier, # (3) Exhibit Ex A to Declaration of Marla Beier, # (4) Exhibit Ex B to Declaration of Marla Beier, # (5) Exhibit Ex C to Declaration of Marla Beier, # (6) Exhibit Ex D to Declaration of Marla Beier, # (7) Exhibit Ex E to Declaration of Marla Beier, # (8) Affidavit Declaration of Paul Salazar, # (9) Exhibit Ex 1 to Declaration of Paul Salazar, # (10) Exhibit Ex 2 to Declaration of Paul Salazar)(Loesch, Salumeh) [Transferred from Texas Eastern on 10/5/2020.]
Sep 10, 2020 17 motion to dismiss/lack of jurisdiction (Exhibit Ex A to Declaration of Marla Beier) (8)
Docket Text: MOTION to Dismiss for Lack of Jurisdiction by Siemens Aktiengesellschaft (AG). (Attachments: # (1) Text of Proposed Order Proposed Order, # (2) Affidavit Declaration of Marla Beier, # (3) Exhibit Ex A to Declaration of Marla Beier, # (4) Exhibit Ex B to Declaration of Marla Beier, # (5) Exhibit Ex C to Declaration of Marla Beier, # (6) Exhibit Ex D to Declaration of Marla Beier, # (7) Exhibit Ex E to Declaration of Marla Beier, # (8) Affidavit Declaration of Paul Salazar, # (9) Exhibit Ex 1 to Declaration of Paul Salazar, # (10) Exhibit Ex 2 to Declaration of Paul Salazar)(Loesch, Salumeh) [Transferred from Texas Eastern on 10/5/2020.]
Sep 10, 2020 17 motion to dismiss/lack of jurisdiction (Exhibit Ex B to Declaration of Marla Beier) (5)
Docket Text: MOTION to Dismiss for Lack of Jurisdiction by Siemens Aktiengesellschaft (AG). (Attachments: # (1) Text of Proposed Order Proposed Order, # (2) Affidavit Declaration of Marla Beier, # (3) Exhibit Ex A to Declaration of Marla Beier, # (4) Exhibit Ex B to Declaration of Marla Beier, # (5) Exhibit Ex C to Declaration of Marla Beier, # (6) Exhibit Ex D to Declaration of Marla Beier, # (7) Exhibit Ex E to Declaration of Marla Beier, # (8) Affidavit Declaration of Paul Salazar, # (9) Exhibit Ex 1 to Declaration of Paul Salazar, # (10) Exhibit Ex 2 to Declaration of Paul Salazar)(Loesch, Salumeh) [Transferred from Texas Eastern on 10/5/2020.]
Sep 10, 2020 17 motion to dismiss/lack of jurisdiction (Exhibit Ex C to Declaration of Marla Beier) (3)
Docket Text: MOTION to Dismiss for Lack of Jurisdiction by Siemens Aktiengesellschaft (AG). (Attachments: # (1) Text of Proposed Order Proposed Order, # (2) Affidavit Declaration of Marla Beier, # (3) Exhibit Ex A to Declaration of Marla Beier, # (4) Exhibit Ex B to Declaration of Marla Beier, # (5) Exhibit Ex C to Declaration of Marla Beier, # (6) Exhibit Ex D to Declaration of Marla Beier, # (7) Exhibit Ex E to Declaration of Marla Beier, # (8) Affidavit Declaration of Paul Salazar, # (9) Exhibit Ex 1 to Declaration of Paul Salazar, # (10) Exhibit Ex 2 to Declaration of Paul Salazar)(Loesch, Salumeh) [Transferred from Texas Eastern on 10/5/2020.]
Sep 10, 2020 17 motion to dismiss/lack of jurisdiction (Exhibit Ex D to Declaration of Marla Beier) (13)
Docket Text: MOTION to Dismiss for Lack of Jurisdiction by Siemens Aktiengesellschaft (AG). (Attachments: # (1) Text of Proposed Order Proposed Order, # (2) Affidavit Declaration of Marla Beier, # (3) Exhibit Ex A to Declaration of Marla Beier, # (4) Exhibit Ex B to Declaration of Marla Beier, # (5) Exhibit Ex C to Declaration of Marla Beier, # (6) Exhibit Ex D to Declaration of Marla Beier, # (7) Exhibit Ex E to Declaration of Marla Beier, # (8) Affidavit Declaration of Paul Salazar, # (9) Exhibit Ex 1 to Declaration of Paul Salazar, # (10) Exhibit Ex 2 to Declaration of Paul Salazar)(Loesch, Salumeh) [Transferred from Texas Eastern on 10/5/2020.]
Sep 10, 2020 17 motion to dismiss/lack of jurisdiction (Exhibit Ex E to Declaration of Marla Beier) (3)
Docket Text: MOTION to Dismiss for Lack of Jurisdiction by Siemens Aktiengesellschaft (AG). (Attachments: # (1) Text of Proposed Order Proposed Order, # (2) Affidavit Declaration of Marla Beier, # (3) Exhibit Ex A to Declaration of Marla Beier, # (4) Exhibit Ex B to Declaration of Marla Beier, # (5) Exhibit Ex C to Declaration of Marla Beier, # (6) Exhibit Ex D to Declaration of Marla Beier, # (7) Exhibit Ex E to Declaration of Marla Beier, # (8) Affidavit Declaration of Paul Salazar, # (9) Exhibit Ex 1 to Declaration of Paul Salazar, # (10) Exhibit Ex 2 to Declaration of Paul Salazar)(Loesch, Salumeh) [Transferred from Texas Eastern on 10/5/2020.]
Sep 10, 2020 17 motion to dismiss/lack of jurisdiction (Affidavit Declaration of Paul Salazar) (6)
Docket Text: MOTION to Dismiss for Lack of Jurisdiction by Siemens Aktiengesellschaft (AG). (Attachments: # (1) Text of Proposed Order Proposed Order, # (2) Affidavit Declaration of Marla Beier, # (3) Exhibit Ex A to Declaration of Marla Beier, # (4) Exhibit Ex B to Declaration of Marla Beier, # (5) Exhibit Ex C to Declaration of Marla Beier, # (6) Exhibit Ex D to Declaration of Marla Beier, # (7) Exhibit Ex E to Declaration of Marla Beier, # (8) Affidavit Declaration of Paul Salazar, # (9) Exhibit Ex 1 to Declaration of Paul Salazar, # (10) Exhibit Ex 2 to Declaration of Paul Salazar)(Loesch, Salumeh) [Transferred from Texas Eastern on 10/5/2020.]
Sep 10, 2020 17 motion to dismiss/lack of jurisdiction (Exhibit Ex 1 to Declaration of Paul Salazar) (5)
Docket Text: MOTION to Dismiss for Lack of Jurisdiction by Siemens Aktiengesellschaft (AG). (Attachments: # (1) Text of Proposed Order Proposed Order, # (2) Affidavit Declaration of Marla Beier, # (3) Exhibit Ex A to Declaration of Marla Beier, # (4) Exhibit Ex B to Declaration of Marla Beier, # (5) Exhibit Ex C to Declaration of Marla Beier, # (6) Exhibit Ex D to Declaration of Marla Beier, # (7) Exhibit Ex E to Declaration of Marla Beier, # (8) Affidavit Declaration of Paul Salazar, # (9) Exhibit Ex 1 to Declaration of Paul Salazar, # (10) Exhibit Ex 2 to Declaration of Paul Salazar)(Loesch, Salumeh) [Transferred from Texas Eastern on 10/5/2020.]
Sep 10, 2020 17 motion to dismiss/lack of jurisdiction (Exhibit Ex 2 to Declaration of Paul Salazar) (4)
Docket Text: MOTION to Dismiss for Lack of Jurisdiction by Siemens Aktiengesellschaft (AG). (Attachments: # (1) Text of Proposed Order Proposed Order, # (2) Affidavit Declaration of Marla Beier, # (3) Exhibit Ex A to Declaration of Marla Beier, # (4) Exhibit Ex B to Declaration of Marla Beier, # (5) Exhibit Ex C to Declaration of Marla Beier, # (6) Exhibit Ex D to Declaration of Marla Beier, # (7) Exhibit Ex E to Declaration of Marla Beier, # (8) Affidavit Declaration of Paul Salazar, # (9) Exhibit Ex 1 to Declaration of Paul Salazar, # (10) Exhibit Ex 2 to Declaration of Paul Salazar)(Loesch, Salumeh) [Transferred from Texas Eastern on 10/5/2020.]
Aug 27, 2020 16 amended complaint (Main Document) (30)
Docket Text: AMENDED COMPLAINT First Amended Complaint for Patent Infringement against Siemens Aktiengesellschaft (AG), Siemens Industry, Inc., filed by Caddo Systems, Inc., 511 Technologies, Inc.. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7)(Chan, Alex) [Transferred from Texas Eastern on 10/5/2020.]
Aug 27, 2020 16 amended complaint (Exhibit 1) (12)
Docket Text: AMENDED COMPLAINT First Amended Complaint for Patent Infringement against Siemens Aktiengesellschaft (AG), Siemens Industry, Inc., filed by Caddo Systems, Inc., 511 Technologies, Inc.. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7)(Chan, Alex) [Transferred from Texas Eastern on 10/5/2020.]
Aug 27, 2020 16 amended complaint (Exhibit 2) (16)
Docket Text: AMENDED COMPLAINT First Amended Complaint for Patent Infringement against Siemens Aktiengesellschaft (AG), Siemens Industry, Inc., filed by Caddo Systems, Inc., 511 Technologies, Inc.. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7)(Chan, Alex) [Transferred from Texas Eastern on 10/5/2020.]
Aug 27, 2020 16 amended complaint (Exhibit 3) (12)
Docket Text: AMENDED COMPLAINT First Amended Complaint for Patent Infringement against Siemens Aktiengesellschaft (AG), Siemens Industry, Inc., filed by Caddo Systems, Inc., 511 Technologies, Inc.. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7)(Chan, Alex) [Transferred from Texas Eastern on 10/5/2020.]
Aug 27, 2020 16 amended complaint (Exhibit 4) (16)
Docket Text: AMENDED COMPLAINT First Amended Complaint for Patent Infringement against Siemens Aktiengesellschaft (AG), Siemens Industry, Inc., filed by Caddo Systems, Inc., 511 Technologies, Inc.. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7)(Chan, Alex) [Transferred from Texas Eastern on 10/5/2020.]
Aug 27, 2020 16 amended complaint (Exhibit 5) (16)
Docket Text: AMENDED COMPLAINT First Amended Complaint for Patent Infringement against Siemens Aktiengesellschaft (AG), Siemens Industry, Inc., filed by Caddo Systems, Inc., 511 Technologies, Inc.. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7)(Chan, Alex) [Transferred from Texas Eastern on 10/5/2020.]
Aug 27, 2020 16 amended complaint (Exhibit 6) (17)
Docket Text: AMENDED COMPLAINT First Amended Complaint for Patent Infringement against Siemens Aktiengesellschaft (AG), Siemens Industry, Inc., filed by Caddo Systems, Inc., 511 Technologies, Inc.. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7)(Chan, Alex) [Transferred from Texas Eastern on 10/5/2020.]
Aug 27, 2020 16 amended complaint (Exhibit 7) (6)
Docket Text: AMENDED COMPLAINT First Amended Complaint for Patent Infringement against Siemens Aktiengesellschaft (AG), Siemens Industry, Inc., filed by Caddo Systems, Inc., 511 Technologies, Inc.. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7)(Chan, Alex) [Transferred from Texas Eastern on 10/5/2020.]
Aug 25, 2020 15 order on motion for extension of time to answer (1)
Docket Text: ORDER - GRANTING [14] Motion for Extension of Time to Answer Complaint. IT IS THEREFORE ORDERED that the deadline for Defendants to move, answer or otherwise respond to Plaintiffs' Complaint is August 27, 2020. Signed by District Judge Amos L. Mazzant, III on 8/25/2020. (baf, ) [Transferred from Texas Eastern on 10/5/2020.]
Aug 24, 2020 14 motion for extension of time to file answer (Main Document) (2)
Docket Text: Unopposed MOTION for Extension of Time to File Answer by Siemens Aktiengesellschaft (AG), Siemens Digital Industries Software, Inc.. (Attachments: # (1) Text of Proposed Order)(Smith, Melissa) [Transferred from Texas Eastern on 10/5/2020.]
Aug 24, 2020 14 motion for extension of time to file answer (Text of Proposed Order) (1)
Docket Text: Unopposed MOTION for Extension of Time to File Answer by Siemens Aktiengesellschaft (AG), Siemens Digital Industries Software, Inc.. (Attachments: # (1) Text of Proposed Order)(Smith, Melissa) [Transferred from Texas Eastern on 10/5/2020.]
Aug 21, 2020 13 attorney appearance (2)
Docket Text: NOTICE of Attorney Appearance by Melissa Richards Smith on behalf of Siemens Aktiengesellschaft (AG), Siemens Digital Industries Software, Inc. (Smith, Melissa) [Transferred from Texas Eastern on 10/5/2020.]
Aug 10, 2020 N/A set/reset deadlines (0)
Docket Text: Answer Due Deadline Updated for Siemens Aktiengesellschaft (AG) to 8/24/2020; Siemens Digital Industries Software, Inc. to 8/24/2020. (daj, ) [Transferred from Texas Eastern on 10/5/2020.]
Aug 10, 2020 12 order on motion for extension of time to answer (1)
Docket Text: ORDER granting [11] Motion for Extension of Time to Answer. Defendants shall have an additional 14-days in which to respond to Plaintiffs' Complaint, through and including August 24, 2020. Signed by District Judge Amos L. Mazzant, III on 8/10/2020. (daj, ) [Transferred from Texas Eastern on 10/5/2020.]
Aug 7, 2020 9 attorney appearance (2)
Docket Text: NOTICE of Attorney Appearance by Kristin L Cleveland on behalf of All Defendants (Cleveland, Kristin) [Transferred from Texas Eastern on 10/5/2020.]
Aug 7, 2020 10 attorney appearance (2)
Docket Text: NOTICE of Attorney Appearance by Salumeh R Loesch on behalf of All Defendants (Loesch, Salumeh) [Transferred from Texas Eastern on 10/5/2020.]
Aug 7, 2020 11 motion for extension of time to file answer (Main Document) (3)
Docket Text: Unopposed MOTION for Extension of Time to File Answer to Complaint by Siemens Aktiengesellschaft (AG), Siemens Digital Industries Software, Inc.. (Attachments: # (1) Text of Proposed Order Order)(Loesch, Salumeh)[Transferred from Texas Eastern on 10/5/2020.]
Aug 7, 2020 11 motion for extension of time to file answer (Text of Proposed Order Order) (1)
Docket Text: Unopposed MOTION for Extension of Time to File Answer to Complaint by Siemens Aktiengesellschaft (AG), Siemens Digital Industries Software, Inc.. (Attachments: # (1) Text of Proposed Order Order)(Loesch, Salumeh)[Transferred from Texas Eastern on 10/5/2020.]
Jul 23, 2020 N/A other (0)
Docket Text: Defendant's Unopposed SECOND Application for Extension of Time to Answer Complaint is granted pursuant to Local Rule CV-12 for Siemens Digital Industries Software, Inc. to 8/10/2020; Siemens Aktiengesellschaft (AG) to 8/10/2020. 14 Days Granted for Deadline Extension.( baf, ) [Transferred from Texas Eastern on 10/5/2020.]
Jul 23, 2020 8 other (1)
Docket Text: Defendant's Unopposed Second Application for Extension of Time to Answer Complaint re 511 Technologies, Inc., Caddo Systems, Inc..( Chan, Alex) [Transferred from Texas Eastern on 10/5/2020.]
Jun 23, 2020 N/A other (0)
Docket Text: Defendant's Unopposed FIRST Application for Extension of Time to Answer Complaint is granted pursuant to Local Rule CV-12 for Siemens Digital Industries Software, Inc. to 7/27/2020; Siemens Aktiengesellschaft (AG) to 7/27/2020. 30 Days Granted for Deadline Extension.( baf, ) [Transferred from Texas Eastern on 10/5/2020.]
Jun 23, 2020 7 other (1)
Docket Text: Defendant's Unopposed First Application for Extension of Time to Answer Complaint re 511 Technologies, Inc., Caddo Systems, Inc..( Chan, Alex) [Transferred from Texas Eastern on 10/5/2020.]
Jun 9, 2020 6 summons returned executed (4)
Docket Text: SUMMONS Returned Executed by Caddo Systems, Inc., 511 Technologies, Inc.. All Defendants. (Chan, Alex) [Transferred from Texas Eastern on 10/5/2020.]
Mar 27, 2020 N/A case assigned/reassigned (0)
Docket Text: Case ASSIGNED to District Judge Amos L. Mazzant, III. (baf, ) [Transferred from Texas Eastern on 10/5/2020.]
Mar 27, 2020 N/A other (0)
Docket Text: In accordance with the provisions of 28 USC Section 636(c), you are hereby notified that a U.S. Magistrate Judge of this district court is available to conduct any or all proceedings in this case including a jury or non-jury trial and to order the entry of a final judgment. The form Consent to Proceed Before Magistrate Judge is available on our website. All signed consent forms, excluding pro se parties, should be filed electronically using the event Notice Regarding Consent to Proceed Before Magistrate Judge. (baf, ) [Transferred from Texas Eastern on 10/5/2020.]
Mar 27, 2020 1 complaint (Main Document) (30)
Docket Text: COMPLAINT against All Defendants ( Filing fee $ 400 receipt number 0540-7728471.), filed by Caddo Systems, inc., 511 Technologies, Inc.. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Civil Cover Sheet)(Devlin, Timothy) [Transferred from Texas Eastern on 10/5/2020.]
Mar 27, 2020 1 complaint (Exhibit 1) (12)
Docket Text: COMPLAINT against All Defendants ( Filing fee $ 400 receipt number 0540-7728471.), filed by Caddo Systems, inc., 511 Technologies, Inc.. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Civil Cover Sheet)(Devlin, Timothy) [Transferred from Texas Eastern on 10/5/2020.]
Mar 27, 2020 1 complaint (Exhibit 2) (16)
Docket Text: COMPLAINT against All Defendants ( Filing fee $ 400 receipt number 0540-7728471.), filed by Caddo Systems, inc., 511 Technologies, Inc.. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Civil Cover Sheet)(Devlin, Timothy) [Transferred from Texas Eastern on 10/5/2020.]
Mar 27, 2020 1 complaint (Exhibit 3) (12)
Docket Text: COMPLAINT against All Defendants ( Filing fee $ 400 receipt number 0540-7728471.), filed by Caddo Systems, inc., 511 Technologies, Inc.. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Civil Cover Sheet)(Devlin, Timothy) [Transferred from Texas Eastern on 10/5/2020.]
Mar 27, 2020 1 complaint (Exhibit 4) (16)
Docket Text: COMPLAINT against All Defendants ( Filing fee $ 400 receipt number 0540-7728471.), filed by Caddo Systems, inc., 511 Technologies, Inc.. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Civil Cover Sheet)(Devlin, Timothy) [Transferred from Texas Eastern on 10/5/2020.]
Mar 27, 2020 1 complaint (Exhibit 5) (16)
Docket Text: COMPLAINT against All Defendants ( Filing fee $ 400 receipt number 0540-7728471.), filed by Caddo Systems, inc., 511 Technologies, Inc.. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Civil Cover Sheet)(Devlin, Timothy) [Transferred from Texas Eastern on 10/5/2020.]
Mar 27, 2020 1 complaint (Exhibit 6) (17)
Docket Text: COMPLAINT against All Defendants ( Filing fee $ 400 receipt number 0540-7728471.), filed by Caddo Systems, inc., 511 Technologies, Inc.. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Civil Cover Sheet)(Devlin, Timothy) [Transferred from Texas Eastern on 10/5/2020.]
Mar 27, 2020 1 complaint (Civil Cover Sheet) (2)
Docket Text: COMPLAINT against All Defendants ( Filing fee $ 400 receipt number 0540-7728471.), filed by Caddo Systems, inc., 511 Technologies, Inc.. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Civil Cover Sheet)(Devlin, Timothy) [Transferred from Texas Eastern on 10/5/2020.]
Mar 27, 2020 2 notice of filing (1)
Docket Text: Notice of Filing of Patent/Trademark Form (AO 120). AO 120 mailed to the Director of the U.S. Patent and Trademark Office. (Devlin, Timothy) [Transferred from Texas Eastern on 10/5/2020.]
Mar 27, 2020 3 statement (2)
Docket Text: CORPORATE DISCLOSURE STATEMENT filed by 511 Technologies, Inc., Caddo Systems, inc. (Chan, Alex) [Transferred from Texas Eastern on 10/5/2020.]
Mar 27, 2020 4 summons issued (2)
Docket Text: SUMMONS Issued as to Siemens Digital Industries Software, Inc.. (baf, ) [Transferred from Texas Eastern on 10/5/2020.]
Mar 27, 2020 5 summons issued (2)
Docket Text: SUMMONS Issued as to Siemens Aktiengesellschaft (AG). (baf, ) [Transferred from Texas Eastern on 10/5/2020.]
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