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Case number 1:17-cv-07216

Medline Industries, Inc. v. C.R. Bard, Inc. > Documents

Date Field Doc. No.Description (Pages)
May 30, 2023 405 MINUTE entry before the Honorable Nancy L. Maldonado:The Court has reviewed the joint status report 404 , which states that Medline filed its opening brief in the consolidated appeals before the Federal Circuit on 3/20/23 and Bard's response brief is due 6/7/23. Within 7 days of the Federal Circuit's decision, the parties should file a status report notifying the Court of the decision and its effect on the instant litigation and proposing next steps. (ca, ) (Entered: 05/30/2023) (1)
May 26, 2023 404 STATUS Report Joint Status Report by Medline Industries, Inc. (Rein, Thomas) (Entered: 05/26/2023) (3)
May 24, 2023 403 MINUTE entry before the Honorable Nancy L. Maldonado:Plaintiff's motions to withdraw Nicole L. Little, Joseph F. Marinelli, and Allen E. Hoover as counsel 400 401 [402 are granted. The appearances of Nicole L. Little, Joseph F. Marinelli, and Allen E. Hoover as counsel are terminated. (ca, ) (Entered: 05/24/2023) (1)
May 23, 2023 400 MOTION by Attorney Nicole L. Little to withdraw as attorney for Medline Industries, Inc.. No party information provided (Love, Nathaniel) (Entered: 05/23/2023) (3)
May 23, 2023 401 MOTION by Attorney Joseph F. Marinelli to withdraw as attorney for Medline Industries, Inc.. No party information provided (Love, Nathaniel) (Entered: 05/23/2023) (3)
May 23, 2023 402 MOTION by Attorney Allen E. Hoover to withdraw as attorney for Medline Industries, Inc.. No party information provided (Love, Nathaniel) (Entered: 05/23/2023) (3)
May 17, 2023 399 MINUTE entry before the Honorable Nancy L. Maldonado: Medline's unopposed motion to withdraw Courtney Cronin as counsel for the Plaintiff 398 is granted. (ca, ) (Entered: 05/17/2023) (1)
May 16, 2023 398 MOTION by Attorney Courtney E. Cronin to withdraw as attorney for Medline Industries, Inc.. No party information provided (Rein, Thomas) (Entered: 05/16/2023) (3)
Mar 21, 2023 397 MINUTE entry before the Honorable Nancy L. Maldonado: The Court has reviewed the parties' joint status report 396 , which states that the three appeals were consolidated on 1/30/23 and Medline's opening brief was due on 3/20/23. By 5/30/23, the parties shall file a joint status report updating the Court on the status of the pending appeal. The parties should promptly file a status report at any time prior to 5/30/23 if there are any further developments in the appeal that should be brought to this Court's attention. (ca, ) (Entered: 03/21/2023) (1)
Mar 20, 2023 396 STATUS Report (Joint) by Medline Industries, Inc. (Rein, Thomas) (Entered: 03/20/2023) (4)
Dec 29, 2022 395 ANNUAL REMINDER: Pursuant to Local Rule 3.2 (Notification of Affiliates), any nongovernmental party, other than an individual or sole proprietorship, must file a statement identifying all its affiliates known to the party after diligent review or, if the party has identified no affiliates, then a statement reflecting that fact must be filed. An affiliate is defined as follows: any entity or individual owning, directly or indirectly (through ownership of one or more other entities), 5% or more of a party. The statement is to be electronically filed as a PDF in conjunction with entering the affiliates in CM/ECF as prompted. As a reminder to counsel, parties must supplement their statements of affiliates within thirty (30) days of any change in the information previously reported. This minute order is being issued to all counsel of record to remind counsel of their obligation to provide updated information as to additional affiliates if such updating is necessary. If counsel has any questions regarding this process, this LINK will provide additional information. Signed by the Executive Committee on 12/29/2022: Mailed notice. (tg, ) (Entered: 12/29/2022) (1)
Dec 12, 2022 394 MINUTE entry before the Honorable Nancy L. Maldonado: Motion to appear pro hac vice by Jared Newton 393 is granted. (ca, ) (Entered: 12/12/2022) (1)
Dec 8, 2022 391 MINUTE entry before the Honorable Nancy L. Maldonado: Motion to appear pro hac vice BY Bianca Fox 390 is granted. (ca, ) (Entered: 12/08/2022) (1)
Dec 8, 2022 392 ATTORNEY Appearance for Defendant C.R. Bard, Inc. by Dawn Marie David (David, Dawn) (Entered: 12/08/2022) (1)
Dec 8, 2022 393 MOTION for Leave to Appear Pro Hac Vice Filing fee $ 150, receipt number AILNDC-20121341. Defendant C.R. Bard, Inc. (Newton, Jared) (Entered: 12/08/2022) (2)
Dec 7, 2022 388 MOTION for Leave to Appear Pro Hac Vice Filing fee $ 150, receipt number AILNDC-20115410. Defendant C.R. Bard, Inc. (Moore, Molly) (Entered: 12/07/2022) (2)
Dec 7, 2022 389 MINUTE entry before the Honorable Nancy L. Maldonado: Motion to appear pro hac vice by Molly Moore 388 is granted. (ca, ) (Entered: 12/07/2022) (1)
Dec 7, 2022 390 MOTION for Leave to Appear Pro Hac Vice Filing fee $ 150, receipt number AILNDC-20116710. Defendant C.R. Bard, Inc. (Fox, Bianca) (Entered: 12/07/2022) (2)
Dec 5, 2022 387 MINUTE entry before the Honorable Nancy L. Maldonado:Plaintiff's Unopposed Motion to Stay Pending IPR Appeal [386 ] is granted for the reasons stated in the motion: this case shall be stayed until further order of the Court. By 3/20/23, the parties shall filed a joint status report updating the Court on the status of the pending appeal. The parties should promptly file a status report at any time prior to 3/20/23 if there are any further developments in the appeal that should be brought to this Court's attention. (ca, ) (Entered: 12/05/2022) (1)
Dec 2, 2022 386 MOTION by Plaintiff Medline Industries, Inc. to stay PENDING IPR APPEAL (Unopposed) (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C)(Love, Nathaniel) (Entered: 12/02/2022) (0)
Nov 30, 2022 384 MINUTE entry before the Honorable Nancy L. Maldonado:The Joint Motion to Amend the Amended Protective Order 383 is granted. The Court has reviewed the parties' joint status report 382 . The parties shall file a joint status report by 12/15/22 to update the Court on the status of any appeal from the Patent Trial and Appeal Board decision and to propose next steps in this case. The Court continues the stay until 12/15/22. (ca, ) (Entered: 11/30/2022) (1)
Nov 30, 2022 385 SECOND Amended Protective Order Signed by the Honorable Nancy L. Maldonado on 11/30/22.(ca, ) (Entered: 11/30/2022) (11)
Nov 16, 2022 383 MOTION by Plaintiff Medline Industries, Inc. to amend/correct order on motion to amend/correct,, terminate deadlines and hearings, 362 (Joint) (Attachments: # 1 Exhibit A, # 2 Exhibit B)(Love, Nathaniel) (Entered: 11/16/2022) (0)
Nov 1, 2022 382 status report (7)
Docket Text: STATUS Report Joint Status Report Following Reassignment by Medline Industries, Inc. (Love, Nathaniel)
Oct 26, 2022 381 text entry (1)
Docket Text: MINUTE entry before the Honorable Nancy L. Maldonado: This case has recently been reassigned to the calendar of the Honorable Nancy L. Maldonado. By 11/9/2022, the parties shall file a joint Initial Status Report for Reassigned Cases that complies with the Court's standing order, which can be found on the Court's website. (ca, )
Oct 12, 2022 380 terminate deadlines and hearings (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Telephone conference set for 10/12/2022 before Judge Ellis is stricken. Mailed notice (rj, )
Oct 7, 2022 379 order on motion to withdraw as attorney (1)
Docket Text: MINUTE entry before the Honorable Nancy L. Maldonado: Motion to withdraw Stanley Schlitter as attorney [378] is granted. (ca, )
Oct 6, 2022 378 motion to withdraw as attorney (3)
Docket Text: MOTION by Attorney Stanley A. Schlitter to withdraw as attorney for Medline Industries, Inc.. No party information provided (Rein, Thomas)
Oct 5, 2022 377 status report (3)
Docket Text: STATUS Report (Joint Status Report) by Medline Industries, Inc. (Rein, Thomas)
Oct 3, 2022 376 assigning/reassigning Case (10)
Docket Text: EXECUTIVE COMMITTEE ORDER: GENERAL ORDER 22-0018: Pursuant that to the Executive Committee Order entered on September 9, 2022, the civil cases on the attached list have been selected for reassignment to form the initial calendar of the Honorable Nancy L. Maldonado; therefore IT IS HEREBY ORDERED that the attached list of 287 cases be reassigned to the Honorable Nancy L. Maldonado; and IT IS FURTHER ORDERED that all parties affected by this Order must review the Honorable Nancy L. Maldonado's webpage on the Court's website for the purpose of reviewing instructions regarding scheduling and case management procedures; and IT IS FURTHER ORDERED that any civil case that has been reassigned pursuant to this Order will not be randomly reassigned to create the initial calendar of a new district judge for twelve months from the date of this Order; and IT IS FURTHER ORDERED that the Clerk of Court is directed to add the Honorable Nancy L. Maldonado to the Court's civil case assignment system during the next business day, so that she shall receive a full share of such case; and IT IS FURTHER ORDERED that the Clerk of Court is directed to add the Honorable Nancy L. Maldonado to the Court's criminal case assignment system ninety (90) days so that Judge Maldonado shall thereafter receive a full share of such cases. Case reassigned to the Honorable Nancy L. Maldonado for all further proceedings. Honorable Sara L. Ellis no longer assigned to the case. Signed by Honorable Rebecca R. Pallmeyer on 10/03/2022.(tg, )
Jul 11, 2022 375 terminate deadlines and hearings (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Pursuant to the parties' status report [374], the Court strikes the status date set for 7/12/2022 and resets it to 10/12/2022 at 9:30 a.m. The parties should file a status report by 10/5/2022 indicating the status of the PTAB decisions in the remanded proceedings. The Court continues the stay through 10/12/2022. Should the PTAB issue its decisions prior to the next status date, the parties should inform the Court by filing a motion for a status hearing and noticing the motion for presentment. Mailed notice (rj, )
Jul 5, 2022 374 status report (3)
Docket Text: STATUS Report (Joint) by Medline Industries, Inc. (Rein, Thomas)
Apr 5, 2022 373 terminate deadlines and hearings (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Pursuant to the parties' status report [372], the Court strikes the status date set for 4/6/2022 and resets it to 7/12/2022 at 9:30 a.m. The parties should file a status report by 7/5/2022 indicating the status of the PTAB decisions in the remanded proceedings. The Court continues the stay through 7/12/2022. Mailed notice (rj, )
Mar 31, 2022 372 status report (3)
Docket Text: STATUS Report Joint Status Report by Medline Industries, Inc. (Rein, Thomas)
Mar 1, 2022 371 order on motion to withdraw (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: The Court grants Defendant's motion for leave to withdraw the appearance of counsel [369] and withdraws the appearance of Todd H. Flaming as counsel for Defendant. Mailed notice (rj, )
Feb 23, 2022 369 motion to withdraw (2)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to withdraw attorney (UNOPPOSED MOTION) (Flaming, Todd)
Feb 23, 2022 370 notice of motion (2)
Docket Text: (UNOPPOSED MOTION) NOTICE of Motion by Todd H. Flaming for presentment of motion to withdraw[369] before Honorable Sara L. Ellis on 3/2/2022 at 09:45 AM. (Flaming, Todd)
Feb 22, 2022 368 attorney appearance (1)
Docket Text: ATTORNEY Appearance for Defendant C.R. Bard, Inc. by Raymond N. Nimrod (Nimrod, Raymond)
Jan 31, 2022 367 order on sealed motion (3)
Docket Text: ORDER. The Court grants Defendant C.R. Bard, Inc.'s motion to stay this case [353]. The Court stays this case pending the issuance of the Patent Trial and Appeal Board's revised decisions. In light of the stay, the Court denies the pending motions for summary judgment and to strike expert opinions [279], [280], [285], [292], [293], [305], [307], [325], [326] without prejudice to the parties refiling these motions once the Court lifts the stay. The Court sets a status hearing on April 6, 2022 at 9:30 a.m. for the parties to report on the status of the Patent Trial and Appeal Board's decisions and directs the parties to file a joint status report by March 31, 2022. See Statement. Attorneys/Parties should appear for the hearing by calling the Toll-Free Number:(866) 434-5269, Access Code: 8087837. Members of the public and media will be able to call in to listen to this hearing (use toll free number). 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. Signed by the Honorable Sara L. Ellis on 1/31/2022:Mailed notice(rj, )
Jan 24, 2022 366 order on motion for miscellaneous relief (1)
Docket Text: ORDER: The Court grants Plaintiff's motion to modify the caption to reflect name change [363]. The caption is modified as follows: Medline Industries, LP v. C.R. Bard, Inc. Signed by the Honorable Sara L. Ellis on 1/24/2022. Mailed notice (jn, )
Jan 18, 2022 363 motion for miscellaneous relief (3)
Docket Text: MOTION by Plaintiff Medline Industries, Inc.TO MODIFY CAPTION TO REFLECT NAME CHANGE (Unopposed) (Rein, Thomas)
Jan 18, 2022 364 notice of motion (3)
Docket Text: NOTICE of Motion by Thomas David Rein for presentment of motion for miscellaneous relief[363] before Honorable Sara L. Ellis on 1/25/2022 at 09:45 AM. (Rein, Thomas)
Jan 18, 2022 365 notification of affiliates pursuant to local rule 3.2 (3)
Docket Text: NOTIFICATION of Affiliates pursuant to Local Rule 3.2 by Medline Industries, Inc. (Rein, Thomas)
Nov 16, 2021 362 order on motion to amend/correct (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: The Court grants the parties' motion to amend the protective order [360]. The Court amends the existing Protective Order [169] to provide that discovery produced in this litigation may be used in the related pending case Medline Industries, Inc. v. CR Bard, Inc., No. 1:20-cv-03981 (N.D. Ga.). Mailed notice (rj, )
Nov 11, 2021 360 motion to amend/correct (3)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to amend/correct protective order[169] (Rein, Thomas)
Nov 11, 2021 361 notice of motion (3)
Docket Text: NOTICE of Motion by Thomas David Rein for presentment of motion to amend/correct[360] before Honorable Sara L. Ellis on 11/17/2021 at 09:45 AM. (Rein, Thomas)
Oct 30, 2021 359 terminate deadlines and hearings (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: The Court strikes status hearing set for 11/17/2021 and resets it to 2/3/2022 at 1:30 PM for ruling on motion to stay. Attorneys/Parties should appear for the hearing by calling the Toll-Free Number:(866) 434-5269, Access Code: 8087837. Members of the public and media will be able to call in to listen to this hearing (use toll free number). 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 (rj, )
Oct 15, 2021 358 reply to response to motion (21)
Docket Text: REPLY by C.R. Bard, Inc. to response in opposition to motion, [357], MOTION by Defendant C.R. Bard, Inc. to stay litigation pending further inter partes review proceedings[353] (Cherny, Steven)
Oct 8, 2021 357 response in opposition to motion (Main Document) (19)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to stay litigation pending further inter partes review proceedings[353] (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (2) Exhibit 1, # (3) Exhibit 2)(Rein, Thomas)
Oct 8, 2021 357 response in opposition to motion (Declaration of Gwen Hochman Stewart) (2)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to stay litigation pending further inter partes review proceedings[353] (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (2) Exhibit 1, # (3) Exhibit 2)(Rein, Thomas)
Oct 8, 2021 357 response in opposition to motion (Exhibit 1) (8)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to stay litigation pending further inter partes review proceedings[353] (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (2) Exhibit 1, # (3) Exhibit 2)(Rein, Thomas)
Oct 8, 2021 357 response in opposition to motion (Exhibit 2) (8)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to stay litigation pending further inter partes review proceedings[353] (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (2) Exhibit 1, # (3) Exhibit 2)(Rein, Thomas)
Sep 30, 2021 356 terminate deadlines and hearings (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: The Court sets the following briefing schedule on Defendant's motion to stay [353]: Plaintiff's response is due by 10/8/2021 and Defendant's reply is due by 10/15/2021. The Court sets a ruling date of 11/17/2021 at 9:30 a.m. The Court strikes the summary judgment ruling date of 11/10/2021 and will reset the ruling date pending the Court's decision on Defendant's motion to stay. Attorneys/Parties should appear for the hearing by calling the Toll-Free Number: (866) 434-5269, Access Code: 8087837. Members of the public and media will be able to call in to listen to this hearing (use toll free number). 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. Emailed notice (rj, )
Sep 29, 2021 355 other (Main Document) (4)
Docket Text: Notice of Daubert Decision In Related Case by Medline Industries, Inc. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3)(Rein, Thomas)
Sep 29, 2021 355 other (Exhibit 1) (20)
Docket Text: Notice of Daubert Decision In Related Case by Medline Industries, Inc. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3)(Rein, Thomas)
Sep 29, 2021 355 other (Exhibit 2) (22)
Docket Text: Notice of Daubert Decision In Related Case by Medline Industries, Inc. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3)(Rein, Thomas)
Sep 29, 2021 355 other (Exhibit 3) (20)
Docket Text: Notice of Daubert Decision In Related Case by Medline Industries, Inc. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3)(Rein, Thomas)
Sep 27, 2021 353 motion to stay (18)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to stay litigation pending further inter partes review proceedings (Cherny, Steven)
Sep 27, 2021 354 notice of motion (2)
Docket Text: NOTICE of Motion by Steven Cherny for presentment of motion to stay[353] before Honorable Sara L. Ellis on 9/30/2021 at 01:45 PM. (Cherny, Steven)
Sep 3, 2021 352 Response (Main Document) (5)
Docket Text: RESPONSE by Plaintiff Medline Industries, Inc. to other[351] (Attachments: # (1) Exhibit 1 - Federal Circuit Opinion)(Rein, Thomas)
Sep 3, 2021 352 Response (Exhibit 1 - Federal Circuit Opinion) (25)
Docket Text: RESPONSE by Plaintiff Medline Industries, Inc. to other[351] (Attachments: # (1) Exhibit 1 - Federal Circuit Opinion)(Rein, Thomas)
Sep 2, 2021 351 other (9)
Docket Text: Notice Concerning Federal Circuit Opinion by C.R. Bard, Inc. (Cherny, Steven)
Aug 4, 2021 350 order on motion to seal (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: The Court grants Defendant's motion to seal [346]. Mailed notice (rj, )
Aug 2, 2021 346 motion to seal (3)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to seal Reply in Support of Motion to Exclude Opinions of Lori Chiappetta and Supporting Exhibits (Unopposed) (Cherny, Steven)
Aug 2, 2021 347 notice of motion (3)
Docket Text: NOTICE of Motion by Steven Cherny for presentment of motion to seal[346] before Honorable Sara L. Ellis on 8/5/2021 at 09:45 AM. (Cherny, Steven)
Aug 2, 2021 349 reply (Main Document) (19)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to motion to strike, [326] the Opinions of Lori Chiappetta (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F)(Cherny, Steven)
Aug 2, 2021 349 reply (Declaration of Marc Kaplan) (2)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to motion to strike, [326] the Opinions of Lori Chiappetta (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F)(Cherny, Steven)
Aug 2, 2021 349 reply (Exhibit A) (1)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to motion to strike, [326] the Opinions of Lori Chiappetta (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F)(Cherny, Steven)
Aug 2, 2021 349 reply (Exhibit B) (1)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to motion to strike, [326] the Opinions of Lori Chiappetta (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F)(Cherny, Steven)
Aug 2, 2021 349 reply (Exhibit C) (1)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to motion to strike, [326] the Opinions of Lori Chiappetta (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F)(Cherny, Steven)
Aug 2, 2021 349 reply (Exhibit D) (1)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to motion to strike, [326] the Opinions of Lori Chiappetta (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F)(Cherny, Steven)
Aug 2, 2021 349 reply (Exhibit E) (1)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to motion to strike, [326] the Opinions of Lori Chiappetta (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F)(Cherny, Steven)
Aug 2, 2021 349 reply (Exhibit F) (1)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to motion to strike, [326] the Opinions of Lori Chiappetta (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F)(Cherny, Steven)
Jul 21, 2021 344 reply to response to motion (Main Document) (20)
Docket Text: REPLY by Medline Industries, Inc. to response in opposition to motion, [336], MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement[305] (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 36)(Rein, Thomas)
Jul 21, 2021 344 reply to response to motion (Declaration of Courtney E. Cronin) (2)
Docket Text: REPLY by Medline Industries, Inc. to response in opposition to motion, [336], MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement[305] (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 36)(Rein, Thomas)
Jul 21, 2021 344 reply to response to motion (Exhibit 36) (7)
Docket Text: REPLY by Medline Industries, Inc. to response in opposition to motion, [336], MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement[305] (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 36)(Rein, Thomas)
Jul 21, 2021 345 reply to response to motion (18)
Docket Text: REPLY by Medline Industries, Inc. to response in opposition to motion, [333] (Rein, Thomas)
Jul 13, 2021 343 order on motion to seal (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: The Court grants Plaintiff's motion to seal [340]. Mailed notice (rj, )
Jul 12, 2021 339 response in opposition to motion (Main Document) (21)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to SEALED MOTION by Defendant C.R. Bard, Inc. Motion to Exclude the Opinions of Lori Chiappetta[325] (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15)(Rein, Thomas)
Jul 12, 2021 339 response in opposition to motion (Declaration of Gwen Hochman Stewart) (4)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to SEALED MOTION by Defendant C.R. Bard, Inc. Motion to Exclude the Opinions of Lori Chiappetta[325] (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15)(Rein, Thomas)
Jul 12, 2021 339 response in opposition to motion (Exhibit 1) (2)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to SEALED MOTION by Defendant C.R. Bard, Inc. Motion to Exclude the Opinions of Lori Chiappetta[325] (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15)(Rein, Thomas)
Jul 12, 2021 339 response in opposition to motion (Exhibit 2) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to SEALED MOTION by Defendant C.R. Bard, Inc. Motion to Exclude the Opinions of Lori Chiappetta[325] (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15)(Rein, Thomas)
Jul 12, 2021 339 response in opposition to motion (Exhibit 3) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to SEALED MOTION by Defendant C.R. Bard, Inc. Motion to Exclude the Opinions of Lori Chiappetta[325] (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15)(Rein, Thomas)
Jul 12, 2021 339 response in opposition to motion (Exhibit 4) (3)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to SEALED MOTION by Defendant C.R. Bard, Inc. Motion to Exclude the Opinions of Lori Chiappetta[325] (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15)(Rein, Thomas)
Jul 12, 2021 339 response in opposition to motion (Exhibit 5) (3)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to SEALED MOTION by Defendant C.R. Bard, Inc. Motion to Exclude the Opinions of Lori Chiappetta[325] (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15)(Rein, Thomas)
Jul 12, 2021 339 response in opposition to motion (Exhibit 6) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to SEALED MOTION by Defendant C.R. Bard, Inc. Motion to Exclude the Opinions of Lori Chiappetta[325] (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15)(Rein, Thomas)
Jul 12, 2021 339 response in opposition to motion (Exhibit 7) (7)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to SEALED MOTION by Defendant C.R. Bard, Inc. Motion to Exclude the Opinions of Lori Chiappetta[325] (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15)(Rein, Thomas)
Jul 12, 2021 339 response in opposition to motion (Exhibit 8) (4)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to SEALED MOTION by Defendant C.R. Bard, Inc. Motion to Exclude the Opinions of Lori Chiappetta[325] (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15)(Rein, Thomas)
Jul 12, 2021 339 response in opposition to motion (Exhibit 9) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to SEALED MOTION by Defendant C.R. Bard, Inc. Motion to Exclude the Opinions of Lori Chiappetta[325] (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15)(Rein, Thomas)
Jul 12, 2021 339 response in opposition to motion (Exhibit 10) (8)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to SEALED MOTION by Defendant C.R. Bard, Inc. Motion to Exclude the Opinions of Lori Chiappetta[325] (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15)(Rein, Thomas)
Jul 12, 2021 339 response in opposition to motion (Exhibit 11) (19)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to SEALED MOTION by Defendant C.R. Bard, Inc. Motion to Exclude the Opinions of Lori Chiappetta[325] (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15)(Rein, Thomas)
Jul 12, 2021 339 response in opposition to motion (Exhibit 12) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to SEALED MOTION by Defendant C.R. Bard, Inc. Motion to Exclude the Opinions of Lori Chiappetta[325] (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15)(Rein, Thomas)
Jul 12, 2021 339 response in opposition to motion (Exhibit 13) (30)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to SEALED MOTION by Defendant C.R. Bard, Inc. Motion to Exclude the Opinions of Lori Chiappetta[325] (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15)(Rein, Thomas)
Jul 12, 2021 339 response in opposition to motion (Exhibit 14) (30)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to SEALED MOTION by Defendant C.R. Bard, Inc. Motion to Exclude the Opinions of Lori Chiappetta[325] (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15)(Rein, Thomas)
Jul 12, 2021 339 response in opposition to motion (Exhibit 15) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to SEALED MOTION by Defendant C.R. Bard, Inc. Motion to Exclude the Opinions of Lori Chiappetta[325] (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15)(Rein, Thomas)
Jul 12, 2021 340 motion to seal (4)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to seal (Rein, Thomas)
Jul 12, 2021 341 notice of motion (3)
Docket Text: NOTICE of Motion by Thomas David Rein for presentment of motion to seal[340] before Honorable Sara L. Ellis on 7/15/2021 at 01:45 PM. (Rein, Thomas)
Jul 2, 2021 338 order on motion to seal (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: The Court grants Defendant's motion to seal [334]. Mailed notice (rj, )
Jun 30, 2021 332 notice of change of address (1)
Docket Text: NOTICE by Todd H. Flaming of Change of Address (Flaming, Todd)
Jun 30, 2021 333 response in opposition to motion (Main Document) (18)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Bard's Written Description Defense[307] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Cherny, Steven)
Jun 30, 2021 333 response in opposition to motion (Declaration of Marc Kaplan) (2)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Bard's Written Description Defense[307] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Cherny, Steven)
Jun 30, 2021 333 response in opposition to motion (Exhibit A) (6)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Bard's Written Description Defense[307] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Cherny, Steven)
Jun 30, 2021 333 response in opposition to motion (Exhibit B) (30)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Bard's Written Description Defense[307] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Cherny, Steven)
Jun 30, 2021 333 response in opposition to motion (Exhibit C) (30)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Bard's Written Description Defense[307] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Cherny, Steven)
Jun 30, 2021 333 response in opposition to motion (Exhibit D) (5)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Bard's Written Description Defense[307] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Cherny, Steven)
Jun 30, 2021 333 response in opposition to motion (Exhibit E) (30)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Bard's Written Description Defense[307] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Cherny, Steven)
Jun 30, 2021 333 response in opposition to motion (Exhibit F) (10)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Bard's Written Description Defense[307] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Cherny, Steven)
Jun 30, 2021 333 response in opposition to motion (Exhibit G) (5)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Bard's Written Description Defense[307] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Cherny, Steven)
Jun 30, 2021 334 motion to seal (3)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to seal Exhibits in Support of Bard's Opposition to Medline's Motion for Summary Judgment of Infringement (Unopposed) (Cherny, Steven)
Jun 30, 2021 335 notice of motion (3)
Docket Text: NOTICE of Motion by Steven Cherny for presentment of motion to seal[334] before Honorable Sara L. Ellis on 7/6/2021 at 09:45 AM. (Cherny, Steven)
Jun 30, 2021 336 response in opposition to motion (Main Document) (20)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement[305] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L)(Cherny, Steven)
Jun 30, 2021 336 response in opposition to motion (Declaration of Marc Kaplan) (3)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement[305] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L)(Cherny, Steven)
Jun 30, 2021 336 response in opposition to motion (Exhibit A) (1)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement[305] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L)(Cherny, Steven)
Jun 30, 2021 336 response in opposition to motion (Exhibit B) (2)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement[305] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L)(Cherny, Steven)
Jun 30, 2021 336 response in opposition to motion (Exhibit C) (3)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement[305] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L)(Cherny, Steven)
Jun 30, 2021 336 response in opposition to motion (Exhibit D) (3)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement[305] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L)(Cherny, Steven)
Jun 30, 2021 336 response in opposition to motion (Exhibit E) (3)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement[305] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L)(Cherny, Steven)
Jun 30, 2021 336 response in opposition to motion (Exhibit F) (1)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement[305] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L)(Cherny, Steven)
Jun 30, 2021 336 response in opposition to motion (Exhibit G) (4)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement[305] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L)(Cherny, Steven)
Jun 30, 2021 336 response in opposition to motion (Exhibit H) (10)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement[305] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L)(Cherny, Steven)
Jun 30, 2021 336 response in opposition to motion (Exhibit I) (1)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement[305] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L)(Cherny, Steven)
Jun 30, 2021 336 response in opposition to motion (Exhibit J) (6)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement[305] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L)(Cherny, Steven)
Jun 30, 2021 336 response in opposition to motion (Exhibit K) (30)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement[305] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L)(Cherny, Steven)
Jun 30, 2021 336 response in opposition to motion (Exhibit L) (30)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement[305] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L)(Cherny, Steven)
Jun 23, 2021 331 order on motion for extension of time (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: The Court grants Defendant's motion for extension of time [329]. The Court modifies the summary judgment briefing schedule as follows: Defendant's responses are due by 6/30/2021 and Plaintiff's replies are due by 7/21/2021. Mailed notice (rj, )
Jun 21, 2021 329 extension of time (3)
Docket Text: MOTION by Defendant C.R. Bard, Inc. for extension of time to File Summary Judgment Oppositions and Replies (Unopposed) (Cherny, Steven)
Jun 21, 2021 330 notice of motion (2)
Docket Text: NOTICE of Motion by Steven Cherny for presentment of extension of time[329] before Honorable Sara L. Ellis on 6/24/2021 at 01:45 PM. (Cherny, Steven)
Jun 16, 2021 328 order on motion to seal (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: The Court grants Defendant's motions to seal [315], [319], and [323]. Plaintiff's response to Defendant's Daubert motion [325] is due by 7/12/2021 and Defendant's reply is due by 8/2/2021. No appearance required on 6/17/2021. Mailed notice (rj, )
Jun 14, 2021 323 motion to seal (2)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to seal Defendant's Motion to Exclude the Opinions of Lori Chiappetta and Exhibits A-E and G thereto (Unopposed) (Cherny, Steven)
Jun 14, 2021 324 notice of motion (3)
Docket Text: NOTICE of Motion by Steven Cherny for presentment of motion to seal[323] before Honorable Sara L. Ellis on 6/17/2021 at 09:45 AM. (Cherny, Steven)
Jun 14, 2021 326 motion to strike (Main Document) (21)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike the Opinions of Lori Chiappetta (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Cherny, Steven)
Jun 14, 2021 326 motion to strike (Declaration of Marc Kaplan) (2)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike the Opinions of Lori Chiappetta (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Cherny, Steven)
Jun 14, 2021 326 motion to strike (Exhibit A) (1)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike the Opinions of Lori Chiappetta (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Cherny, Steven)
Jun 14, 2021 326 motion to strike (Exhibit B) (1)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike the Opinions of Lori Chiappetta (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Cherny, Steven)
Jun 14, 2021 326 motion to strike (Exhibit C) (1)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike the Opinions of Lori Chiappetta (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Cherny, Steven)
Jun 14, 2021 326 motion to strike (Exhibit D) (1)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike the Opinions of Lori Chiappetta (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Cherny, Steven)
Jun 14, 2021 326 motion to strike (Exhibit E) (1)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike the Opinions of Lori Chiappetta (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Cherny, Steven)
Jun 14, 2021 326 motion to strike (Exhibit F) (7)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike the Opinions of Lori Chiappetta (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Cherny, Steven)
Jun 14, 2021 326 motion to strike (Exhibit G) (1)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike the Opinions of Lori Chiappetta (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Cherny, Steven)
Jun 14, 2021 327 notice of motion (3)
Docket Text: NOTICE of Motion by Steven Cherny for presentment of Sealed motion, [325] before Honorable Sara L. Ellis on 6/17/2021 at 09:45 AM. (Cherny, Steven)
Jun 11, 2021 315 motion to seal (3)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to seal Reply in Support of Motion to Exclude Unreliable Opinions of Thomas Vander Veen and Supporting Exhibits (Unopposed) (Cherny, Steven)
Jun 11, 2021 316 notice of motion (3)
Docket Text: NOTICE of Motion by Steven Cherny for presentment of motion to seal[315] before Honorable Sara L. Ellis on 6/17/2021 at 09:45 AM. (Cherny, Steven)
Jun 11, 2021 318 reply (Main Document) (20)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to Sealed motion, [279] Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit Q, # (3) Exhibit R, # (4) Exhibit S, # (5) Exhibit T, # (6) Exhibit U, # (7) Exhibit V, # (8) Exhibit W, # (9) Exhibit X, # (10) Exhibit Y, # (11) Exhibit Z, # (12) Exhibit AA, # (13) Exhibit BB, # (14) Exhibit CC, # (15) Exhibit DD, # (16) Exhibit EE)(Cherny, Steven)
Jun 11, 2021 318 reply (Declaration of Marc Kaplan) (3)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to Sealed motion, [279] Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit Q, # (3) Exhibit R, # (4) Exhibit S, # (5) Exhibit T, # (6) Exhibit U, # (7) Exhibit V, # (8) Exhibit W, # (9) Exhibit X, # (10) Exhibit Y, # (11) Exhibit Z, # (12) Exhibit AA, # (13) Exhibit BB, # (14) Exhibit CC, # (15) Exhibit DD, # (16) Exhibit EE)(Cherny, Steven)
Jun 11, 2021 318 reply (Exhibit Q) (7)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to Sealed motion, [279] Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit Q, # (3) Exhibit R, # (4) Exhibit S, # (5) Exhibit T, # (6) Exhibit U, # (7) Exhibit V, # (8) Exhibit W, # (9) Exhibit X, # (10) Exhibit Y, # (11) Exhibit Z, # (12) Exhibit AA, # (13) Exhibit BB, # (14) Exhibit CC, # (15) Exhibit DD, # (16) Exhibit EE)(Cherny, Steven)
Jun 11, 2021 318 reply (Exhibit R) (1)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to Sealed motion, [279] Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit Q, # (3) Exhibit R, # (4) Exhibit S, # (5) Exhibit T, # (6) Exhibit U, # (7) Exhibit V, # (8) Exhibit W, # (9) Exhibit X, # (10) Exhibit Y, # (11) Exhibit Z, # (12) Exhibit AA, # (13) Exhibit BB, # (14) Exhibit CC, # (15) Exhibit DD, # (16) Exhibit EE)(Cherny, Steven)
Jun 11, 2021 318 reply (Exhibit S) (1)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to Sealed motion, [279] Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit Q, # (3) Exhibit R, # (4) Exhibit S, # (5) Exhibit T, # (6) Exhibit U, # (7) Exhibit V, # (8) Exhibit W, # (9) Exhibit X, # (10) Exhibit Y, # (11) Exhibit Z, # (12) Exhibit AA, # (13) Exhibit BB, # (14) Exhibit CC, # (15) Exhibit DD, # (16) Exhibit EE)(Cherny, Steven)
Jun 11, 2021 318 reply (Exhibit T) (1)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to Sealed motion, [279] Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit Q, # (3) Exhibit R, # (4) Exhibit S, # (5) Exhibit T, # (6) Exhibit U, # (7) Exhibit V, # (8) Exhibit W, # (9) Exhibit X, # (10) Exhibit Y, # (11) Exhibit Z, # (12) Exhibit AA, # (13) Exhibit BB, # (14) Exhibit CC, # (15) Exhibit DD, # (16) Exhibit EE)(Cherny, Steven)
Jun 11, 2021 318 reply (Exhibit U) (1)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to Sealed motion, [279] Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit Q, # (3) Exhibit R, # (4) Exhibit S, # (5) Exhibit T, # (6) Exhibit U, # (7) Exhibit V, # (8) Exhibit W, # (9) Exhibit X, # (10) Exhibit Y, # (11) Exhibit Z, # (12) Exhibit AA, # (13) Exhibit BB, # (14) Exhibit CC, # (15) Exhibit DD, # (16) Exhibit EE)(Cherny, Steven)
Jun 11, 2021 318 reply (Exhibit V) (1)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to Sealed motion, [279] Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit Q, # (3) Exhibit R, # (4) Exhibit S, # (5) Exhibit T, # (6) Exhibit U, # (7) Exhibit V, # (8) Exhibit W, # (9) Exhibit X, # (10) Exhibit Y, # (11) Exhibit Z, # (12) Exhibit AA, # (13) Exhibit BB, # (14) Exhibit CC, # (15) Exhibit DD, # (16) Exhibit EE)(Cherny, Steven)
Jun 11, 2021 318 reply (Exhibit W) (1)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to Sealed motion, [279] Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit Q, # (3) Exhibit R, # (4) Exhibit S, # (5) Exhibit T, # (6) Exhibit U, # (7) Exhibit V, # (8) Exhibit W, # (9) Exhibit X, # (10) Exhibit Y, # (11) Exhibit Z, # (12) Exhibit AA, # (13) Exhibit BB, # (14) Exhibit CC, # (15) Exhibit DD, # (16) Exhibit EE)(Cherny, Steven)
Jun 11, 2021 318 reply (Exhibit X) (1)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to Sealed motion, [279] Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit Q, # (3) Exhibit R, # (4) Exhibit S, # (5) Exhibit T, # (6) Exhibit U, # (7) Exhibit V, # (8) Exhibit W, # (9) Exhibit X, # (10) Exhibit Y, # (11) Exhibit Z, # (12) Exhibit AA, # (13) Exhibit BB, # (14) Exhibit CC, # (15) Exhibit DD, # (16) Exhibit EE)(Cherny, Steven)
Jun 11, 2021 318 reply (Exhibit Y) (1)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to Sealed motion, [279] Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit Q, # (3) Exhibit R, # (4) Exhibit S, # (5) Exhibit T, # (6) Exhibit U, # (7) Exhibit V, # (8) Exhibit W, # (9) Exhibit X, # (10) Exhibit Y, # (11) Exhibit Z, # (12) Exhibit AA, # (13) Exhibit BB, # (14) Exhibit CC, # (15) Exhibit DD, # (16) Exhibit EE)(Cherny, Steven)
Jun 11, 2021 318 reply (Exhibit Z) (1)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to Sealed motion, [279] Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit Q, # (3) Exhibit R, # (4) Exhibit S, # (5) Exhibit T, # (6) Exhibit U, # (7) Exhibit V, # (8) Exhibit W, # (9) Exhibit X, # (10) Exhibit Y, # (11) Exhibit Z, # (12) Exhibit AA, # (13) Exhibit BB, # (14) Exhibit CC, # (15) Exhibit DD, # (16) Exhibit EE)(Cherny, Steven)
Jun 11, 2021 318 reply (Exhibit AA) (1)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to Sealed motion, [279] Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit Q, # (3) Exhibit R, # (4) Exhibit S, # (5) Exhibit T, # (6) Exhibit U, # (7) Exhibit V, # (8) Exhibit W, # (9) Exhibit X, # (10) Exhibit Y, # (11) Exhibit Z, # (12) Exhibit AA, # (13) Exhibit BB, # (14) Exhibit CC, # (15) Exhibit DD, # (16) Exhibit EE)(Cherny, Steven)
Jun 11, 2021 318 reply (Exhibit BB) (1)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to Sealed motion, [279] Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit Q, # (3) Exhibit R, # (4) Exhibit S, # (5) Exhibit T, # (6) Exhibit U, # (7) Exhibit V, # (8) Exhibit W, # (9) Exhibit X, # (10) Exhibit Y, # (11) Exhibit Z, # (12) Exhibit AA, # (13) Exhibit BB, # (14) Exhibit CC, # (15) Exhibit DD, # (16) Exhibit EE)(Cherny, Steven)
Jun 11, 2021 318 reply (Exhibit CC) (1)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to Sealed motion, [279] Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit Q, # (3) Exhibit R, # (4) Exhibit S, # (5) Exhibit T, # (6) Exhibit U, # (7) Exhibit V, # (8) Exhibit W, # (9) Exhibit X, # (10) Exhibit Y, # (11) Exhibit Z, # (12) Exhibit AA, # (13) Exhibit BB, # (14) Exhibit CC, # (15) Exhibit DD, # (16) Exhibit EE)(Cherny, Steven)
Jun 11, 2021 318 reply (Exhibit DD) (1)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to Sealed motion, [279] Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit Q, # (3) Exhibit R, # (4) Exhibit S, # (5) Exhibit T, # (6) Exhibit U, # (7) Exhibit V, # (8) Exhibit W, # (9) Exhibit X, # (10) Exhibit Y, # (11) Exhibit Z, # (12) Exhibit AA, # (13) Exhibit BB, # (14) Exhibit CC, # (15) Exhibit DD, # (16) Exhibit EE)(Cherny, Steven)
Jun 11, 2021 318 reply (Exhibit EE) (9)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to Sealed motion, [279] Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit Q, # (3) Exhibit R, # (4) Exhibit S, # (5) Exhibit T, # (6) Exhibit U, # (7) Exhibit V, # (8) Exhibit W, # (9) Exhibit X, # (10) Exhibit Y, # (11) Exhibit Z, # (12) Exhibit AA, # (13) Exhibit BB, # (14) Exhibit CC, # (15) Exhibit DD, # (16) Exhibit EE)(Cherny, Steven)
Jun 11, 2021 319 motion to seal (3)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to seal Reply in Support of Motion to Exclude Certain Opinions of Dr. Abraham (Unopposed) (Cherny, Steven)
Jun 11, 2021 320 notice of motion (3)
Docket Text: NOTICE of Motion by Steven Cherny for presentment of motion to seal[319] before Honorable Sara L. Ellis on 6/17/2021 at 09:45 AM. (Cherny, Steven)
Jun 11, 2021 322 reply (Main Document) (20)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to motion to strike, [285] Motion to Exclude Certain Opinions of Dr. Abraham (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit J)(Cherny, Steven)
Jun 11, 2021 322 reply (Declaration of Marc Kaplan) (2)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to motion to strike, [285] Motion to Exclude Certain Opinions of Dr. Abraham (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit J)(Cherny, Steven)
Jun 11, 2021 322 reply (Exhibit J) (4)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to motion to strike, [285] Motion to Exclude Certain Opinions of Dr. Abraham (Redacted Version) (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit J)(Cherny, Steven)
Jun 3, 2021 314 transcript (4)
Docket Text: TRANSCRIPT OF PROCEEDINGS held on 05/12/21 before the Honorable Sara L. Ellis. Order Number: 40847. Court Reporter Contact Information: Patrick Mullen, (312) 435-5565, patrick_mullen@ilnd.uscourts.gov. 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 6/24/2021. Redacted Transcript Deadline set for 7/5/2021. Release of Transcript Restriction set for 9/1/2021. (Mullen, Patrick)
May 28, 2021 313 order on motion to seal (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: The Court grants Plaintiff's motion to seal [309]. The Court previously set a briefing schedule on Plaintiff's motions for summary judgment and strikes the notices for presentment for those motions. Mailed notice (rj, )
May 26, 2021 305 motion for summary judgment (Main Document) (20)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (56.1 Statement Of Material Facts) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Declaration of Courtney E. Cronin) (5)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 1) (27)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 2) (16)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 3) (14)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 4) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 5) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 6) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 7) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 8) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 9) (8)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 10) (4)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 11) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 12) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 13) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 14) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 15) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 16) (26)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 17) (10)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 18) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 19) (4)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 20) (4)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 21) (6)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 22) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 23) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 24) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 25) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 26) (2)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 27) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 28) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 29) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 30) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 31) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 32) (7)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 33) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 34) (2)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 305 motion for summary judgment (Exhibit 35) (6)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Infringement (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11, # (14) Exhibit 12, # (15) Exhibit 13, # (16) Exhibit 14, # (17) Exhibit 15, # (18) Exhibit 16, # (19) Exhibit 17, # (20) Exhibit 18, # (21) Exhibit 19, # (22) Exhibit 20, # (23) Exhibit 21, # (24) Exhibit 22, # (25) Exhibit 23, # (26) Exhibit 24, # (27) Exhibit 25, # (28) Exhibit 26, # (29) Exhibit 27, # (30) Exhibit 28, # (31) Exhibit 29, # (32) Exhibit 30, # (33) Exhibit 31, # (34) Exhibit 32, # (35) Exhibit 33, # (36) Exhibit 34, # (37) Exhibit 35)(Rein, Thomas)
May 26, 2021 306 notice of motion (3)
Docket Text: NOTICE of Motion by Thomas David Rein for presentment of motion for summary judgment,,, [305] before Honorable Sara L. Ellis on 6/1/2021 at 09:45 AM. (Rein, Thomas)
May 26, 2021 307 motion for summary judgment (Main Document) (20)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Bard's Written Description Defense (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11 Part 1, # (14) Exhibit 11 Part 2, # (15) Exhibit 12 Part 1, # (16) Exhibit 12 Part 2, # (17) Exhibit 13 Part 1, # (18) Exhibit 13 Part 2, # (19) Exhibit 14, # (20) Exhibit 15)(Rein, Thomas)
May 26, 2021 307 motion for summary judgment (56.1 Statement Of Material Facts) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Bard's Written Description Defense (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11 Part 1, # (14) Exhibit 11 Part 2, # (15) Exhibit 12 Part 1, # (16) Exhibit 12 Part 2, # (17) Exhibit 13 Part 1, # (18) Exhibit 13 Part 2, # (19) Exhibit 14, # (20) Exhibit 15)(Rein, Thomas)
May 26, 2021 307 motion for summary judgment (Declaration of Courtney E. Cronin) (3)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Bard's Written Description Defense (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11 Part 1, # (14) Exhibit 11 Part 2, # (15) Exhibit 12 Part 1, # (16) Exhibit 12 Part 2, # (17) Exhibit 13 Part 1, # (18) Exhibit 13 Part 2, # (19) Exhibit 14, # (20) Exhibit 15)(Rein, Thomas)
May 26, 2021 307 motion for summary judgment (Exhibit 1) (3)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Bard's Written Description Defense (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11 Part 1, # (14) Exhibit 11 Part 2, # (15) Exhibit 12 Part 1, # (16) Exhibit 12 Part 2, # (17) Exhibit 13 Part 1, # (18) Exhibit 13 Part 2, # (19) Exhibit 14, # (20) Exhibit 15)(Rein, Thomas)
May 26, 2021 307 motion for summary judgment (Exhibit 2) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Bard's Written Description Defense (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11 Part 1, # (14) Exhibit 11 Part 2, # (15) Exhibit 12 Part 1, # (16) Exhibit 12 Part 2, # (17) Exhibit 13 Part 1, # (18) Exhibit 13 Part 2, # (19) Exhibit 14, # (20) Exhibit 15)(Rein, Thomas)
May 26, 2021 307 motion for summary judgment (Exhibit 3) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Bard's Written Description Defense (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11 Part 1, # (14) Exhibit 11 Part 2, # (15) Exhibit 12 Part 1, # (16) Exhibit 12 Part 2, # (17) Exhibit 13 Part 1, # (18) Exhibit 13 Part 2, # (19) Exhibit 14, # (20) Exhibit 15)(Rein, Thomas)
May 26, 2021 307 motion for summary judgment (Exhibit 4) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Bard's Written Description Defense (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11 Part 1, # (14) Exhibit 11 Part 2, # (15) Exhibit 12 Part 1, # (16) Exhibit 12 Part 2, # (17) Exhibit 13 Part 1, # (18) Exhibit 13 Part 2, # (19) Exhibit 14, # (20) Exhibit 15)(Rein, Thomas)
May 26, 2021 307 motion for summary judgment (Exhibit 5) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Bard's Written Description Defense (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11 Part 1, # (14) Exhibit 11 Part 2, # (15) Exhibit 12 Part 1, # (16) Exhibit 12 Part 2, # (17) Exhibit 13 Part 1, # (18) Exhibit 13 Part 2, # (19) Exhibit 14, # (20) Exhibit 15)(Rein, Thomas)
May 26, 2021 307 motion for summary judgment (Exhibit 6) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Bard's Written Description Defense (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11 Part 1, # (14) Exhibit 11 Part 2, # (15) Exhibit 12 Part 1, # (16) Exhibit 12 Part 2, # (17) Exhibit 13 Part 1, # (18) Exhibit 13 Part 2, # (19) Exhibit 14, # (20) Exhibit 15)(Rein, Thomas)
May 26, 2021 307 motion for summary judgment (Exhibit 7) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Bard's Written Description Defense (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11 Part 1, # (14) Exhibit 11 Part 2, # (15) Exhibit 12 Part 1, # (16) Exhibit 12 Part 2, # (17) Exhibit 13 Part 1, # (18) Exhibit 13 Part 2, # (19) Exhibit 14, # (20) Exhibit 15)(Rein, Thomas)
May 26, 2021 307 motion for summary judgment (Exhibit 8) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Bard's Written Description Defense (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11 Part 1, # (14) Exhibit 11 Part 2, # (15) Exhibit 12 Part 1, # (16) Exhibit 12 Part 2, # (17) Exhibit 13 Part 1, # (18) Exhibit 13 Part 2, # (19) Exhibit 14, # (20) Exhibit 15)(Rein, Thomas)
May 26, 2021 307 motion for summary judgment (Exhibit 9) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Bard's Written Description Defense (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11 Part 1, # (14) Exhibit 11 Part 2, # (15) Exhibit 12 Part 1, # (16) Exhibit 12 Part 2, # (17) Exhibit 13 Part 1, # (18) Exhibit 13 Part 2, # (19) Exhibit 14, # (20) Exhibit 15)(Rein, Thomas)
May 26, 2021 307 motion for summary judgment (Exhibit 10) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Bard's Written Description Defense (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11 Part 1, # (14) Exhibit 11 Part 2, # (15) Exhibit 12 Part 1, # (16) Exhibit 12 Part 2, # (17) Exhibit 13 Part 1, # (18) Exhibit 13 Part 2, # (19) Exhibit 14, # (20) Exhibit 15)(Rein, Thomas)
May 26, 2021 307 motion for summary judgment (Exhibit 11 Part 1) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Bard's Written Description Defense (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11 Part 1, # (14) Exhibit 11 Part 2, # (15) Exhibit 12 Part 1, # (16) Exhibit 12 Part 2, # (17) Exhibit 13 Part 1, # (18) Exhibit 13 Part 2, # (19) Exhibit 14, # (20) Exhibit 15)(Rein, Thomas)
May 26, 2021 307 motion for summary judgment (Exhibit 11 Part 2) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Bard's Written Description Defense (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11 Part 1, # (14) Exhibit 11 Part 2, # (15) Exhibit 12 Part 1, # (16) Exhibit 12 Part 2, # (17) Exhibit 13 Part 1, # (18) Exhibit 13 Part 2, # (19) Exhibit 14, # (20) Exhibit 15)(Rein, Thomas)
May 26, 2021 307 motion for summary judgment (Exhibit 12 Part 1) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Bard's Written Description Defense (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11 Part 1, # (14) Exhibit 11 Part 2, # (15) Exhibit 12 Part 1, # (16) Exhibit 12 Part 2, # (17) Exhibit 13 Part 1, # (18) Exhibit 13 Part 2, # (19) Exhibit 14, # (20) Exhibit 15)(Rein, Thomas)
May 26, 2021 307 motion for summary judgment (Exhibit 12 Part 2) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Bard's Written Description Defense (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11 Part 1, # (14) Exhibit 11 Part 2, # (15) Exhibit 12 Part 1, # (16) Exhibit 12 Part 2, # (17) Exhibit 13 Part 1, # (18) Exhibit 13 Part 2, # (19) Exhibit 14, # (20) Exhibit 15)(Rein, Thomas)
May 26, 2021 307 motion for summary judgment (Exhibit 13 Part 1) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Bard's Written Description Defense (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11 Part 1, # (14) Exhibit 11 Part 2, # (15) Exhibit 12 Part 1, # (16) Exhibit 12 Part 2, # (17) Exhibit 13 Part 1, # (18) Exhibit 13 Part 2, # (19) Exhibit 14, # (20) Exhibit 15)(Rein, Thomas)
May 26, 2021 307 motion for summary judgment (Exhibit 13 Part 2) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Bard's Written Description Defense (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11 Part 1, # (14) Exhibit 11 Part 2, # (15) Exhibit 12 Part 1, # (16) Exhibit 12 Part 2, # (17) Exhibit 13 Part 1, # (18) Exhibit 13 Part 2, # (19) Exhibit 14, # (20) Exhibit 15)(Rein, Thomas)
May 26, 2021 307 motion for summary judgment (Exhibit 14) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Bard's Written Description Defense (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11 Part 1, # (14) Exhibit 11 Part 2, # (15) Exhibit 12 Part 1, # (16) Exhibit 12 Part 2, # (17) Exhibit 13 Part 1, # (18) Exhibit 13 Part 2, # (19) Exhibit 14, # (20) Exhibit 15)(Rein, Thomas)
May 26, 2021 307 motion for summary judgment (Exhibit 15) (4)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for summary judgment On Bard's Written Description Defense (Attachments: # (1) 56.1 Statement Of Material Facts, # (2) Declaration of Courtney E. Cronin, # (3) Exhibit 1, # (4) Exhibit 2, # (5) Exhibit 3, # (6) Exhibit 4, # (7) Exhibit 5, # (8) Exhibit 6, # (9) Exhibit 7, # (10) Exhibit 8, # (11) Exhibit 9, # (12) Exhibit 10, # (13) Exhibit 11 Part 1, # (14) Exhibit 11 Part 2, # (15) Exhibit 12 Part 1, # (16) Exhibit 12 Part 2, # (17) Exhibit 13 Part 1, # (18) Exhibit 13 Part 2, # (19) Exhibit 14, # (20) Exhibit 15)(Rein, Thomas)
May 26, 2021 308 notice of motion (3)
Docket Text: NOTICE of Motion by Thomas David Rein for presentment of motion for summary judgment,, [307] before Honorable Sara L. Ellis on 6/1/2021 at 09:45 AM. (Rein, Thomas)
May 26, 2021 309 motion to seal (4)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to seal (Unopposed) (Rein, Thomas)
May 26, 2021 310 notice of motion (3)
Docket Text: NOTICE of Motion by Thomas David Rein for presentment of motion to seal[309] before Honorable Sara L. Ellis on 6/1/2021 at 09:45 AM. (Rein, Thomas)
May 25, 2021 304 order on motion to seal (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: The Court grants Plaintiff's motion for leave to file under seal [298]. The Court allows Plaintiff to file under seal its unredacted versions of its (1) Opposition to Bard's Motion to Exclude Opinions of Medline's Expert Dr. John Abraham and Exhibits 1, 3, 6, 8, and 9 thereto; and (2) Opposition to Bard's Motion to Exclude Opinions of Medline's Expert Dr. Thomas Vander Veen and Exhibits 1-11, 13-17, 19-20, and 22-23 thereto. Mailed notice (rj, )
May 21, 2021 298 motion to seal (4)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to seal (Rein, Thomas)
May 21, 2021 299 notice of motion (3)
Docket Text: NOTICE of Motion by Thomas David Rein for presentment of motion to seal[298] before Honorable Sara L. Ellis on 5/26/2021 at 09:45 AM. (Rein, Thomas)
May 21, 2021 302 response in opposition to motion (Main Document) (21)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen[280] (Public Redacted Version) (Attachments: # (1) Declaration of Nathaniel C. Love, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15, # (17) Exhibit 16, # (18) Exhibit 17, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23)(Rein, Thomas)
May 21, 2021 302 response in opposition to motion (Declaration of Nathaniel C. Love) (4)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen[280] (Public Redacted Version) (Attachments: # (1) Declaration of Nathaniel C. Love, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15, # (17) Exhibit 16, # (18) Exhibit 17, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23)(Rein, Thomas)
May 21, 2021 302 response in opposition to motion (Exhibit 1) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen[280] (Public Redacted Version) (Attachments: # (1) Declaration of Nathaniel C. Love, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15, # (17) Exhibit 16, # (18) Exhibit 17, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23)(Rein, Thomas)
May 21, 2021 302 response in opposition to motion (Exhibit 2) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen[280] (Public Redacted Version) (Attachments: # (1) Declaration of Nathaniel C. Love, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15, # (17) Exhibit 16, # (18) Exhibit 17, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23)(Rein, Thomas)
May 21, 2021 302 response in opposition to motion (Exhibit 3) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen[280] (Public Redacted Version) (Attachments: # (1) Declaration of Nathaniel C. Love, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15, # (17) Exhibit 16, # (18) Exhibit 17, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23)(Rein, Thomas)
May 21, 2021 302 response in opposition to motion (Exhibit 4) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen[280] (Public Redacted Version) (Attachments: # (1) Declaration of Nathaniel C. Love, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15, # (17) Exhibit 16, # (18) Exhibit 17, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23)(Rein, Thomas)
May 21, 2021 302 response in opposition to motion (Exhibit 5) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen[280] (Public Redacted Version) (Attachments: # (1) Declaration of Nathaniel C. Love, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15, # (17) Exhibit 16, # (18) Exhibit 17, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23)(Rein, Thomas)
May 21, 2021 302 response in opposition to motion (Exhibit 6) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen[280] (Public Redacted Version) (Attachments: # (1) Declaration of Nathaniel C. Love, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15, # (17) Exhibit 16, # (18) Exhibit 17, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23)(Rein, Thomas)
May 21, 2021 302 response in opposition to motion (Exhibit 7) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen[280] (Public Redacted Version) (Attachments: # (1) Declaration of Nathaniel C. Love, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15, # (17) Exhibit 16, # (18) Exhibit 17, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23)(Rein, Thomas)
May 21, 2021 302 response in opposition to motion (Exhibit 8) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen[280] (Public Redacted Version) (Attachments: # (1) Declaration of Nathaniel C. Love, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15, # (17) Exhibit 16, # (18) Exhibit 17, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23)(Rein, Thomas)
May 21, 2021 302 response in opposition to motion (Exhibit 9) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen[280] (Public Redacted Version) (Attachments: # (1) Declaration of Nathaniel C. Love, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15, # (17) Exhibit 16, # (18) Exhibit 17, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23)(Rein, Thomas)
May 21, 2021 302 response in opposition to motion (Exhibit 10) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen[280] (Public Redacted Version) (Attachments: # (1) Declaration of Nathaniel C. Love, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15, # (17) Exhibit 16, # (18) Exhibit 17, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23)(Rein, Thomas)
May 21, 2021 302 response in opposition to motion (Exhibit 11) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen[280] (Public Redacted Version) (Attachments: # (1) Declaration of Nathaniel C. Love, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15, # (17) Exhibit 16, # (18) Exhibit 17, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23)(Rein, Thomas)
May 21, 2021 302 response in opposition to motion (Exhibit 12) (26)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen[280] (Public Redacted Version) (Attachments: # (1) Declaration of Nathaniel C. Love, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15, # (17) Exhibit 16, # (18) Exhibit 17, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23)(Rein, Thomas)
May 21, 2021 302 response in opposition to motion (Exhibit 13) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen[280] (Public Redacted Version) (Attachments: # (1) Declaration of Nathaniel C. Love, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15, # (17) Exhibit 16, # (18) Exhibit 17, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23)(Rein, Thomas)
May 21, 2021 302 response in opposition to motion (Exhibit 14) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen[280] (Public Redacted Version) (Attachments: # (1) Declaration of Nathaniel C. Love, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15, # (17) Exhibit 16, # (18) Exhibit 17, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23)(Rein, Thomas)
May 21, 2021 302 response in opposition to motion (Exhibit 15) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen[280] (Public Redacted Version) (Attachments: # (1) Declaration of Nathaniel C. Love, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15, # (17) Exhibit 16, # (18) Exhibit 17, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23)(Rein, Thomas)
May 21, 2021 302 response in opposition to motion (Exhibit 16) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen[280] (Public Redacted Version) (Attachments: # (1) Declaration of Nathaniel C. Love, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15, # (17) Exhibit 16, # (18) Exhibit 17, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23)(Rein, Thomas)
May 21, 2021 302 response in opposition to motion (Exhibit 17) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen[280] (Public Redacted Version) (Attachments: # (1) Declaration of Nathaniel C. Love, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15, # (17) Exhibit 16, # (18) Exhibit 17, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23)(Rein, Thomas)
May 21, 2021 302 response in opposition to motion (Exhibit 18) (7)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen[280] (Public Redacted Version) (Attachments: # (1) Declaration of Nathaniel C. Love, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15, # (17) Exhibit 16, # (18) Exhibit 17, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23)(Rein, Thomas)
May 21, 2021 302 response in opposition to motion (Exhibit 19) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen[280] (Public Redacted Version) (Attachments: # (1) Declaration of Nathaniel C. Love, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15, # (17) Exhibit 16, # (18) Exhibit 17, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23)(Rein, Thomas)
May 21, 2021 302 response in opposition to motion (Exhibit 20) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen[280] (Public Redacted Version) (Attachments: # (1) Declaration of Nathaniel C. Love, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15, # (17) Exhibit 16, # (18) Exhibit 17, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23)(Rein, Thomas)
May 21, 2021 302 response in opposition to motion (Exhibit 21) (10)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen[280] (Public Redacted Version) (Attachments: # (1) Declaration of Nathaniel C. Love, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15, # (17) Exhibit 16, # (18) Exhibit 17, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23)(Rein, Thomas)
May 21, 2021 302 response in opposition to motion (Exhibit 22) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen[280] (Public Redacted Version) (Attachments: # (1) Declaration of Nathaniel C. Love, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15, # (17) Exhibit 16, # (18) Exhibit 17, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23)(Rein, Thomas)
May 21, 2021 302 response in opposition to motion (Exhibit 23) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen[280] (Public Redacted Version) (Attachments: # (1) Declaration of Nathaniel C. Love, # (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, # (12) Exhibit 11, # (13) Exhibit 12, # (14) Exhibit 13, # (15) Exhibit 14, # (16) Exhibit 15, # (17) Exhibit 16, # (18) Exhibit 17, # (19) Exhibit 18, # (20) Exhibit 19, # (21) Exhibit 20, # (22) Exhibit 21, # (23) Exhibit 22, # (24) Exhibit 23)(Rein, Thomas)
May 21, 2021 303 response in opposition to motion (Main Document) (21)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Certain Opinions of Dr. Abraham[285] (Redacted Public Version) (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (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)(Rein, Thomas)
May 21, 2021 303 response in opposition to motion (Declaration of Gwen Hochman Stewart) (3)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Certain Opinions of Dr. Abraham[285] (Redacted Public Version) (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (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)(Rein, Thomas)
May 21, 2021 303 response in opposition to motion (Exhibit 1) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Certain Opinions of Dr. Abraham[285] (Redacted Public Version) (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (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)(Rein, Thomas)
May 21, 2021 303 response in opposition to motion (Exhibit 2) (30)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Certain Opinions of Dr. Abraham[285] (Redacted Public Version) (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (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)(Rein, Thomas)
May 21, 2021 303 response in opposition to motion (Exhibit 3) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Certain Opinions of Dr. Abraham[285] (Redacted Public Version) (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (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)(Rein, Thomas)
May 21, 2021 303 response in opposition to motion (Exhibit 4) (26)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Certain Opinions of Dr. Abraham[285] (Redacted Public Version) (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (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)(Rein, Thomas)
May 21, 2021 303 response in opposition to motion (Exhibit 5) (10)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Certain Opinions of Dr. Abraham[285] (Redacted Public Version) (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (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)(Rein, Thomas)
May 21, 2021 303 response in opposition to motion (Exhibit 6) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Certain Opinions of Dr. Abraham[285] (Redacted Public Version) (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (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)(Rein, Thomas)
May 21, 2021 303 response in opposition to motion (Exhibit 7) (4)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Certain Opinions of Dr. Abraham[285] (Redacted Public Version) (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (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)(Rein, Thomas)
May 21, 2021 303 response in opposition to motion (Exhibit 8) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Certain Opinions of Dr. Abraham[285] (Redacted Public Version) (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (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)(Rein, Thomas)
May 21, 2021 303 response in opposition to motion (Exhibit 9) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Certain Opinions of Dr. Abraham[285] (Redacted Public Version) (Attachments: # (1) Declaration of Gwen Hochman Stewart, # (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)(Rein, Thomas)
May 12, 2021 297 order on motion to seal (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Telephone conference held on 5/12/2021. Motion to seal [288] is granted; Sealed motion [290] and Motion [295] are resolved as stated on the record. Mailed notice (rj, )
May 5, 2021 288 motion to seal (5)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to seal (Unopposed) (Rein, Thomas)
May 5, 2021 289 notice of motion (3)
Docket Text: NOTICE of Motion by Thomas David Rein for presentment of motion to seal[288] before Honorable Sara L. Ellis on 5/12/2021 at 09:45 AM. (Rein, Thomas)
May 5, 2021 291 notice of motion (3)
Docket Text: NOTICE of Motion by Thomas David Rein for presentment of Sealed motion, [290] before Honorable Sara L. Ellis on 5/12/2021 at 09:45 AM. (Rein, Thomas)
May 5, 2021 292 motion for miscellaneous relief (Main Document) (7)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Fact In Support Of Medline's Motion For Summary Judgment On Bard's Written Description Defense (Joint) - Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit A, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 14)(Rein, Thomas)
May 5, 2021 292 motion for miscellaneous relief (Declaration of Courtney E. Cronin) (2)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Fact In Support Of Medline's Motion For Summary Judgment On Bard's Written Description Defense (Joint) - Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit A, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 14)(Rein, Thomas)
May 5, 2021 292 motion for miscellaneous relief (Exhibit A) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Fact In Support Of Medline's Motion For Summary Judgment On Bard's Written Description Defense (Joint) - Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit A, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 14)(Rein, Thomas)
May 5, 2021 292 motion for miscellaneous relief (Exhibit 8) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Fact In Support Of Medline's Motion For Summary Judgment On Bard's Written Description Defense (Joint) - Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit A, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 14)(Rein, Thomas)
May 5, 2021 292 motion for miscellaneous relief (Exhibit 9) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Fact In Support Of Medline's Motion For Summary Judgment On Bard's Written Description Defense (Joint) - Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit A, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 14)(Rein, Thomas)
May 5, 2021 292 motion for miscellaneous relief (Exhibit 14) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Fact In Support Of Medline's Motion For Summary Judgment On Bard's Written Description Defense (Joint) - Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit A, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 14)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Main Document) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Declaration of Courtney E. Cronin) (4)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit 1) (27)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit 8) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit 9) (8)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit 11) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit 16) (26)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit 18) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit 19) (4)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit 20) (4)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit 21) (6)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit 22) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit 23) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit 24) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit 25) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit 26) (2)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit 27) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit 28) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit 29) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit 31) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Declaration of Gwen Hochman Stewart) (2)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit A) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit B) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit C) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Declaration of Marc L. Kaplan) (4)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit B1) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit B2) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit B3) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit B4) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit B5) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit B6) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit B7) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit B8) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit B9) (7)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit B10) (9)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit B11) (3)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit B12) (7)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit B13) (7)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit B14) (10)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit B15) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit B16) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit B17) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit B18) (2)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit B19) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 295 motion for miscellaneous relief (Exhibit B20) (5)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. Concerning Medline's Proposed Statements Of Facts In Support Of Medline's Motion For Summary Judgment Of Infringement (Joint) Redacted Version (Attachments: # (1) Declaration of Courtney E. Cronin, # (2) Exhibit 1, # (3) Exhibit 8, # (4) Exhibit 9, # (5) Exhibit 11, # (6) Exhibit 16, # (7) Exhibit 18, # (8) Exhibit 19, # (9) Exhibit 20, # (10) Exhibit 21, # (11) Exhibit 22, # (12) Exhibit 23, # (13) Exhibit 24, # (14) Exhibit 25, # (15) Exhibit 26, # (16) Exhibit 27, # (17) Exhibit 28, # (18) Exhibit 29, # (19) Exhibit 31, # (20) Declaration of Gwen Hochman Stewart, # (21) Exhibit A, # (22) Exhibit B, # (23) Exhibit C, # (24) Declaration of Marc L. Kaplan, # (25) Exhibit B1, # (26) Exhibit B2, # (27) Exhibit B3, # (28) Exhibit B4, # (29) Exhibit B5, # (30) Exhibit B6, # (31) Exhibit B7, # (32) Exhibit B8, # (33) Exhibit B9, # (34) Exhibit B10, # (35) Exhibit B11, # (36) Exhibit B12, # (37) Exhibit B13, # (38) Exhibit B14, # (39) Exhibit B15, # (40) Exhibit B16, # (41) Exhibit B17, # (42) Exhibit B18, # (43) Exhibit B19, # (44) Exhibit B20)(Rein, Thomas)
May 5, 2021 296 notice of motion (3)
Docket Text: NOTICE of Motion by Thomas David Rein for presentment of motion for miscellaneous relief,,,, [295] before Honorable Sara L. Ellis on 5/12/2021 at 09:45 AM. (Rein, Thomas)
Apr 25, 2021 287 order on motion to seal (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: The Court grants Defendant's motions to seal [277],[281], and [284]. Mailed notice (rj, )
Apr 22, 2021 286 notice of motion (3)
Docket Text: NOTICE of Motion by Steven Cherny for presentment of Sealed motion, [284] before Honorable Sara L. Ellis on 4/27/2021 at 09:45 AM. (Cherny, Steven)
Apr 21, 2021 276 order on motion to amend/correct (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: The Court grants the parties' joint motion regarding case deadlines [271]. The Court modifies the deposition and Daubert briefing schedules as follows: Ms. Chiappetta's deposition should take place by 5/21/2021; Daubert motion regarding Ms. Chiappetta is due by 6/14/2021; response due by 7/12/2021; and reply is due by 8/2/2021. The Court grants Defendant's motion to withdraw counsel [272] and withdraws the appearances of Vincent J. Belusko of Morrison & Foerster LLP and Nicole Smith and Jonathan McNeal Smith of Jones Day for Defendant. The Court grants Plaintiff's motion for extension of summary judgment briefing schedule [274]. The Court modifies the summary judgment briefing schedule as follows: any motion for resolution of disputed statements of fact is due by 5/5/2021 for presentment on 5/12/2021; Plaintiff's motions for summary judgment are due by 5/26/2021; responses are due by 6/23/2021; and replies are due by 7/14/2021. The Court strikes the status date set for 10/13/2021 and resets it to 11/10/2021 at 9:30 a.m. for ruling on summary judgment and Daubert motions. The Court reminds the parties to review the Court's standing orders to ensure that they have sufficient time to comply with the requirements. Mailed notice (rj, )
Apr 21, 2021 277 motion to seal (3)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to seal Motion to Exclude Unreliable Opinions of Thomas Vander Veen and Supporting Exhibits (Unopposed) (Cherny, Steven)
Apr 21, 2021 278 notice of motion (3)
Docket Text: NOTICE of Motion by Steven Cherny for presentment of motion to seal[277] before Honorable Sara L. Ellis on 4/27/2021 at 09:45 AM. (Cherny, Steven)
Apr 21, 2021 280 motion to strike (Main Document) (21)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L, # (14) Exhibit M, # (15) Exhibit N, # (16) Exhibit O, # (17) Exhibit P)(Cherny, Steven)
Apr 21, 2021 280 motion to strike (Declaration of Marc Kaplan) (4)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L, # (14) Exhibit M, # (15) Exhibit N, # (16) Exhibit O, # (17) Exhibit P)(Cherny, Steven)
Apr 21, 2021 280 motion to strike (Exhibit A) (1)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L, # (14) Exhibit M, # (15) Exhibit N, # (16) Exhibit O, # (17) Exhibit P)(Cherny, Steven)
Apr 21, 2021 280 motion to strike (Exhibit B) (1)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L, # (14) Exhibit M, # (15) Exhibit N, # (16) Exhibit O, # (17) Exhibit P)(Cherny, Steven)
Apr 21, 2021 280 motion to strike (Exhibit C) (1)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L, # (14) Exhibit M, # (15) Exhibit N, # (16) Exhibit O, # (17) Exhibit P)(Cherny, Steven)
Apr 21, 2021 280 motion to strike (Exhibit D) (1)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L, # (14) Exhibit M, # (15) Exhibit N, # (16) Exhibit O, # (17) Exhibit P)(Cherny, Steven)
Apr 21, 2021 280 motion to strike (Exhibit E) (1)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L, # (14) Exhibit M, # (15) Exhibit N, # (16) Exhibit O, # (17) Exhibit P)(Cherny, Steven)
Apr 21, 2021 280 motion to strike (Exhibit F) (1)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L, # (14) Exhibit M, # (15) Exhibit N, # (16) Exhibit O, # (17) Exhibit P)(Cherny, Steven)
Apr 21, 2021 280 motion to strike (Exhibit G) (1)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L, # (14) Exhibit M, # (15) Exhibit N, # (16) Exhibit O, # (17) Exhibit P)(Cherny, Steven)
Apr 21, 2021 280 motion to strike (Exhibit H) (1)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L, # (14) Exhibit M, # (15) Exhibit N, # (16) Exhibit O, # (17) Exhibit P)(Cherny, Steven)
Apr 21, 2021 280 motion to strike (Exhibit I) (1)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L, # (14) Exhibit M, # (15) Exhibit N, # (16) Exhibit O, # (17) Exhibit P)(Cherny, Steven)
Apr 21, 2021 280 motion to strike (Exhibit J) (1)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L, # (14) Exhibit M, # (15) Exhibit N, # (16) Exhibit O, # (17) Exhibit P)(Cherny, Steven)
Apr 21, 2021 280 motion to strike (Exhibit K) (1)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L, # (14) Exhibit M, # (15) Exhibit N, # (16) Exhibit O, # (17) Exhibit P)(Cherny, Steven)
Apr 21, 2021 280 motion to strike (Exhibit L) (1)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L, # (14) Exhibit M, # (15) Exhibit N, # (16) Exhibit O, # (17) Exhibit P)(Cherny, Steven)
Apr 21, 2021 280 motion to strike (Exhibit M) (1)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L, # (14) Exhibit M, # (15) Exhibit N, # (16) Exhibit O, # (17) Exhibit P)(Cherny, Steven)
Apr 21, 2021 280 motion to strike (Exhibit N) (1)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L, # (14) Exhibit M, # (15) Exhibit N, # (16) Exhibit O, # (17) Exhibit P)(Cherny, Steven)
Apr 21, 2021 280 motion to strike (Exhibit O) (1)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L, # (14) Exhibit M, # (15) Exhibit N, # (16) Exhibit O, # (17) Exhibit P)(Cherny, Steven)
Apr 21, 2021 280 motion to strike (Exhibit P) (1)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Unreliable Opinions of Thomas Vander Veen (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L, # (14) Exhibit M, # (15) Exhibit N, # (16) Exhibit O, # (17) Exhibit P)(Cherny, Steven)
Apr 21, 2021 281 motion to seal (3)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to seal Motion to Exclude Certain Opinions of Dr. Abraham and Supporting Exhibits A,C,D,E,F,G, and H (Unopposed) (Cherny, Steven)
Apr 21, 2021 282 notice of motion (2)
Docket Text: NOTICE of Motion by Steven Cherny for presentment of motion to seal[281] before Honorable Sara L. Ellis on 4/27/2021 at 09:45 AM. (Cherny, Steven)
Apr 21, 2021 283 notice of motion (3)
Docket Text: NOTICE of Motion by Steven Cherny for presentment of Sealed motion, [279] before Honorable Sara L. Ellis on 4/27/2021 at 09:45 AM. (Cherny, Steven)
Apr 21, 2021 285 motion to strike (Main Document) (21)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Certain Opinions of Dr. Abraham (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I)(Cherny, Steven)
Apr 21, 2021 285 motion to strike (Declaration of Marc Kaplan) (3)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Certain Opinions of Dr. Abraham (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I)(Cherny, Steven)
Apr 21, 2021 285 motion to strike (Exhibit A) (1)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Certain Opinions of Dr. Abraham (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I)(Cherny, Steven)
Apr 21, 2021 285 motion to strike (Exhibit B) (30)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Certain Opinions of Dr. Abraham (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I)(Cherny, Steven)
Apr 21, 2021 285 motion to strike (Exhibit C) (1)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Certain Opinions of Dr. Abraham (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I)(Cherny, Steven)
Apr 21, 2021 285 motion to strike (Exhibit D) (1)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Certain Opinions of Dr. Abraham (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I)(Cherny, Steven)
Apr 21, 2021 285 motion to strike (Exhibit E) (1)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Certain Opinions of Dr. Abraham (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I)(Cherny, Steven)
Apr 21, 2021 285 motion to strike (Exhibit F) (1)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Certain Opinions of Dr. Abraham (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I)(Cherny, Steven)
Apr 21, 2021 285 motion to strike (Exhibit G) (1)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Certain Opinions of Dr. Abraham (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I)(Cherny, Steven)
Apr 21, 2021 285 motion to strike (Exhibit H) (1)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Certain Opinions of Dr. Abraham (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I)(Cherny, Steven)
Apr 21, 2021 285 motion to strike (Exhibit I) (7)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike Motion to Exclude Certain Opinions of Dr. Abraham (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I)(Cherny, Steven)
Apr 20, 2021 274 motion for miscellaneous relief (Main Document) (5)
Docket Text: MOTION by Plaintiff Medline Industries, Inc.To Modify Case Schedule Including Extension Of Time To File Summary Judgment Motions (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D)(Rein, Thomas)
Apr 20, 2021 274 motion for miscellaneous relief (Exhibit A) (3)
Docket Text: MOTION by Plaintiff Medline Industries, Inc.To Modify Case Schedule Including Extension Of Time To File Summary Judgment Motions (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D)(Rein, Thomas)
Apr 20, 2021 274 motion for miscellaneous relief (Exhibit B) (3)
Docket Text: MOTION by Plaintiff Medline Industries, Inc.To Modify Case Schedule Including Extension Of Time To File Summary Judgment Motions (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D)(Rein, Thomas)
Apr 20, 2021 274 motion for miscellaneous relief (Exhibit C) (6)
Docket Text: MOTION by Plaintiff Medline Industries, Inc.To Modify Case Schedule Including Extension Of Time To File Summary Judgment Motions (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D)(Rein, Thomas)
Apr 20, 2021 274 motion for miscellaneous relief (Exhibit D) (2)
Docket Text: MOTION by Plaintiff Medline Industries, Inc.To Modify Case Schedule Including Extension Of Time To File Summary Judgment Motions (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D)(Rein, Thomas)
Apr 20, 2021 275 notice of motion (3)
Docket Text: NOTICE of Motion by Thomas David Rein for presentment of motion for miscellaneous relief[274] before Honorable Sara L. Ellis on 4/27/2021 at 09:45 AM. (Rein, Thomas)
Apr 19, 2021 272 motion to withdraw (3)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to withdraw (UNOPPOSED MOTION TO WITHDRAW ATTORNEYS FOR DEFENDANT C. R. BARD, INC.) (Flaming, Todd)
Apr 19, 2021 273 notice of motion (2)
Docket Text: (UNOPPOSED MOTION) NOTICE of Motion by Todd H. Flaming for presentment of motion to withdraw[272] before Honorable Sara L. Ellis on 4/22/2021 at 01:45 PM. (Flaming, Todd)
Apr 14, 2021 270 transcript (14)
Docket Text: TRANSCRIPT OF PROCEEDINGS held on 3/31/21 before the Honorable Sara L. Ellis. Order Number: 40514. Court Reporter Contact Information: Patrick Mullen, (312) 435-5565, patrick_mullen@ilnd.uscourts.gov. 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 5/5/2021. Redacted Transcript Deadline set for 5/17/2021. Release of Transcript Restriction set for 7/13/2021. (Mullen, Patrick)
Apr 14, 2021 271 motion to amend/correct (5)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to amend/correct Deposition and Daubert Deadlines (Joint) (Cherny, Steven)
Mar 31, 2021 269 order on motion for extension of time (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Telephone conference held on 3/31/2021. Joint agreed motion to modify deadline for submission of proposed schedule [266] is granted. Briefing schedule: Summary judgment and Daubert motions by 4/21/2021; responses by 5/21/2021; replies by 6/11/2021. Medline. 's expert reports due by 5/14/2021; depositions of Medline's experts by 6/4/2021. Status hearing set for 10/13/2021 at 9:30 AM for ruling on summary judgment and Daubert motions. Mailed notice (rj, )
Mar 26, 2021 268 notice of filing (7)
Docket Text: PROPOSED DISCOVERY AND BRIEFING SCHEDULES (Rein, Thomas) Modified on 3/26/2021 (mc, ).
Mar 24, 2021 266 extension of time (4)
Docket Text: MOTION by Defendant C.R. Bard, Inc., Counter Claimant C.R. Bard, Inc. for extension of time (Unopposed) (Cherny, Steven)
Mar 24, 2021 267 notice of motion (3)
Docket Text: NOTICE of Motion by Steven Cherny for presentment of extension of time[266] before Honorable Sara L. Ellis on 3/31/2021 at 09:30 AM. (Cherny, Steven)
Mar 10, 2021 265 order on motion for extension of time to complete discovery (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: The Court grants Defendant's motion for extension of time to complete discovery [263]. The Court extends expert discovery through 3/26/2021 for the limited purpose of taking the deposition of Lori Chiappetta. Mailed notice (rj, )
Mar 8, 2021 263 motion for extension of time to complete discovery (4)
Docket Text: MOTION by Defendant C.R. Bard, Inc. for extension of time to complete discovery (Unopposed) (Cherny, Steven)
Mar 8, 2021 264 notice of motion (2)
Docket Text: NOTICE of Motion by Steven Cherny for presentment of motion for extension of time to complete discovery[263] before Honorable Sara L. Ellis on 3/11/2021 at 11:45 AM. (Cherny, Steven)
Mar 3, 2021 261 order on sealed motion (19)
Docket Text: OPINION AND ORDER. For the reasons stated in the accompanying Opinion and Order, the Court grants in part and denies in part Medline's motion to strike [239], [240]. The parties must file their agreed-upon proposed schedule for reopening fact and expert discovery for the limited purpose of allowing Medline to address SureStep 1.1 (or, if they cannot agree, their competing proposed schedules) with the Court within twenty-one days of this opinion. The Court further orders Bard to pay: (1) the reasonable attorneys' fees incurred by Medline in briefing the current motion; (2) the reasonable attorneys' fees and expenses (including expert fees) incurred by Medline in connection with any supplemental reports that its experts provide to address SureStep 1.1; and (3) the reasonable attorneys' fees and expenses (including expert fees) incurred by Medline in connection with any deposition that Bard takes of Medline's experts in connection with their supplemental expert reports. Signed by the Honorable Sara L. Ellis on 3/2/2021. Mailed notice(rj, )
Mar 3, 2021 262 telephone conference (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis:Telephone conference held on 3/3/2021. Proposed discovery and briefing schedules due by 3/24/2021. Telephone Conference set for 3/31/2021 at 9:30 AM to set close of fact discovery, expert discovery, summary judgment and Daubert briefing schedules. Throughout the telephonic hearing, each speaker will be expected to identify themselves for the record before speaking. Please note that the conference call-in will be used by all cases that are on the court's calendar for the said date, therefore counsel must be in a quiet area while on the line and must have the telephone muted until your case is called. Members of the public and media will be able to call in to listen to this hearing. The call-in number is (866) 434-5269 and the access code is 8087837. Counsel of record will receive an email the morning of the telephonic hearing with instructions to join the call. 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 (rj, )
Mar 1, 2021 260 order on motion for miscellaneous relief (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: The Court grants the parties' motion to modify case schedule [257]. The Court extends expert discovery through 3/2/2021 for the limited purpose of taking the deposition of Ms. Chiappetta. Mailed notice (rj, )
Feb 26, 2021 259 order on motion for miscellaneous relief (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: The Court grants Defendant's unopposed motion for leave to serve a supplemental expert report [256]. Mailed notice (rj, )
Feb 24, 2021 257 motion for miscellaneous relief (4)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. To Modify Case Schedule (Joint) (Rein, Thomas)
Feb 24, 2021 258 notice of motion (3)
Docket Text: NOTICE of Motion by Thomas David Rein for presentment of motion for miscellaneous relief[257] before Honorable Sara L. Ellis on 3/2/2021 at 09:45 AM. (Rein, Thomas)
Feb 15, 2021 256 motion for miscellaneous relief (4)
Docket Text: MOTION by Defendant C.R. Bard, Inc. for Leave to Serve Supplemental Expert Report of Raymond S. Sims (Unopposed) (Cherny, Steven)
Jan 27, 2021 255 order on motion to amend/correct (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: The Court grants the parties' joint motion to extend expert discovery [253]. The Court extends expert discovery through 2/25/2021 for the purposes of taking the depositions of Mr. Sims, Dr. Hillstead, and Ms. Chiappetta. The Court strikes the status date set for 2/17/2021 and resets it to 3/3/2021 at 9:30 a.m. Throughout the telephonic hearing, each speaker will be expected to identify themselves for the record before speaking. Please note that the conference call-in will be used by all cases that are on the court's calendar for the said date, therefore counsel must be in a quiet area while on the line and must have the telephone muted until your case is called. Members of the public and media will be able to call in to listen to this hearing. The call-in number is (866) 434-5269 and the access code is 8087837. Counsel of record will receive an email the morning of the telephonic hearing with instructions to join the call. 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 (rj, )
Jan 25, 2021 253 motion to amend/correct (4)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to amend/correct Joint Motion to Modify Case Schedule (Cherny, Steven)
Jan 25, 2021 254 notice of motion (2)
Docket Text: NOTICE of Motion by Steven Cherny for presentment of motion to amend/correct[253] before Honorable Sara L. Ellis on 1/28/2021 at 01:45 PM. (Cherny, Steven)
Jan 13, 2021 252 order on motion to seal (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: The Court grants Plaintiff's motion to seal [248]. Mailed notice (rj, )
Jan 11, 2021 248 motion to seal (3)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to seal (Rein, Thomas)
Jan 11, 2021 249 notice of motion (3)
Docket Text: NOTICE of Motion by Thomas David Rein for presentment of motion to seal[248] before Honorable Sara L. Ellis on 1/14/2021 at 01:45 PM. (Rein, Thomas)
Jan 11, 2021 251 reply to response to motion (Main Document) (18)
Docket Text: REPLY by Medline Industries, Inc. to response in opposition to motion, [242] (Redacted Version) (Attachments: # (1) Declaration of Nathaniel C. Love, # (2) Exhibit 6, # (3) Exhibit 7)(Rein, Thomas)
Jan 11, 2021 251 reply to response to motion (Declaration of Nathaniel C. Love) (2)
Docket Text: REPLY by Medline Industries, Inc. to response in opposition to motion, [242] (Redacted Version) (Attachments: # (1) Declaration of Nathaniel C. Love, # (2) Exhibit 6, # (3) Exhibit 7)(Rein, Thomas)
Jan 11, 2021 251 reply to response to motion (Exhibit 6) (1)
Docket Text: REPLY by Medline Industries, Inc. to response in opposition to motion, [242] (Redacted Version) (Attachments: # (1) Declaration of Nathaniel C. Love, # (2) Exhibit 6, # (3) Exhibit 7)(Rein, Thomas)
Jan 11, 2021 251 reply to response to motion (Exhibit 7) (5)
Docket Text: REPLY by Medline Industries, Inc. to response in opposition to motion, [242] (Redacted Version) (Attachments: # (1) Declaration of Nathaniel C. Love, # (2) Exhibit 6, # (3) Exhibit 7)(Rein, Thomas)
Jan 5, 2021 247 order on motion to strike (30)
Docket Text: OPINION AND ORDER. For the reasons stated in the accompanying Opinion and Order, the Court grants in part and denies in part Medline's motion to strike [226] and grants Bard's motion to strike [228]. The Court strikes (1) any reference to or discussion of Serany in paragraphs 548, 551, 563, 575, 621, 737, 923, 959, 1033, 1075, 1325, and 1354 of the Leinsing Report, pages 12, 22, and 32 of Exhibit 1 to the Leinsing Report, pages 10 and 25 of Exhibit 2 to the Leinsing Report, page 32 of Exhibit 4 to the Leinsing Report, pages 37 and 58 of Exhibit 5 to the Leinsing Report, and pages 72 and 85 of Exhibit 6 to the Leinsing Report; (2) any reference to or discussion of Salvadori in paragraphs 322, 66772, and 85460 of the Leinsing Report, pages 4244 of Exhibit 1 to the Leinsing Report, and pages 6871 of Exhibit 4 to the Leinsing Report; and (3) the reference to Salvadori's disclosure of swabs or swab sticks in paragraphs 250 and 384 of the Leinsing Report. The Court also strikes those portions of the Abraham Report (including any accompanying claim charts) where Dr. Abraham opines (1) that the Meter tray or kit infringes claim 7 of the '596 patent and (2) that the swab sticks from Bard's Bag and Meter kits infringe claim 54 of the '088 patent. Finally, the Court grants Medline's unopposed motion to seal [232]. Signed by the Honorable Sara L. Ellis on 1/5/2021. Mailed notice (rj, )
Jan 4, 2021 246 order on motion to seal (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: The Court grants the parties' various motions for leave to file under seal [232], [238], [244]. The Court sets a ruling date on Plaintiff's motion to strike [239] for 3/3/2021 at 9:30 a.m. and allows Plaintiff to file a reply by 1/11/2021. Throughout the telephonic hearing, each speaker will be expected to identify themselves for the record before speaking. Please note that the conference call-in will be used by all cases that are on the court's calendar for the said date, therefore counsel must be in a quiet area while on the line and must have the telephone muted until your case is called. Members of the public and media will be able to call in to listen to this hearing. The call-in number is (866) 434-5269 and the access code is 8087837. Counsel of record will receive an email the morning of the telephonic hearing with instructions to join the call. 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 (rj, )
Dec 30, 2020 242 response in opposition to motion (Main Document) (17)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. to strike Bard's Reliance on Untimely Production Including Portions of the Expert Reports of Dr. Richard Hillstead, Raymond Sims, and Dr. Edward Yun (REDACTED PUBLIC VERSION)[240] (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F)(Raife, Dylan)
Dec 30, 2020 242 response in opposition to motion (Declaration of Dylan Raife) (3)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. to strike Bard's Reliance on Untimely Production Including Portions of the Expert Reports of Dr. Richard Hillstead, Raymond Sims, and Dr. Edward Yun (REDACTED PUBLIC VERSION)[240] (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F)(Raife, Dylan)
Dec 30, 2020 242 response in opposition to motion (Exhibit A) (1)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. to strike Bard's Reliance on Untimely Production Including Portions of the Expert Reports of Dr. Richard Hillstead, Raymond Sims, and Dr. Edward Yun (REDACTED PUBLIC VERSION)[240] (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F)(Raife, Dylan)
Dec 30, 2020 242 response in opposition to motion (Exhibit B) (1)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. to strike Bard's Reliance on Untimely Production Including Portions of the Expert Reports of Dr. Richard Hillstead, Raymond Sims, and Dr. Edward Yun (REDACTED PUBLIC VERSION)[240] (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F)(Raife, Dylan)
Dec 30, 2020 242 response in opposition to motion (Exhibit C) (1)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. to strike Bard's Reliance on Untimely Production Including Portions of the Expert Reports of Dr. Richard Hillstead, Raymond Sims, and Dr. Edward Yun (REDACTED PUBLIC VERSION)[240] (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F)(Raife, Dylan)
Dec 30, 2020 242 response in opposition to motion (Exhibit D) (1)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. to strike Bard's Reliance on Untimely Production Including Portions of the Expert Reports of Dr. Richard Hillstead, Raymond Sims, and Dr. Edward Yun (REDACTED PUBLIC VERSION)[240] (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F)(Raife, Dylan)
Dec 30, 2020 242 response in opposition to motion (Exhibit E) (1)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. to strike Bard's Reliance on Untimely Production Including Portions of the Expert Reports of Dr. Richard Hillstead, Raymond Sims, and Dr. Edward Yun (REDACTED PUBLIC VERSION)[240] (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F)(Raife, Dylan)
Dec 30, 2020 242 response in opposition to motion (Exhibit F) (1)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. to strike Bard's Reliance on Untimely Production Including Portions of the Expert Reports of Dr. Richard Hillstead, Raymond Sims, and Dr. Edward Yun (REDACTED PUBLIC VERSION)[240] (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F)(Raife, Dylan)
Dec 30, 2020 244 motion to seal document (3)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to seal document sealed document, [243] Bard's Opposition to Medline's Motion to Strike Portions of Bard's Expert Reports (Raife, Dylan)
Dec 30, 2020 245 notice of motion (2)
Docket Text: NOTICE of Motion by Dylan J Raife for presentment of motion to seal document[244] before Honorable Sara L. Ellis on 1/5/2021 at 09:45 AM. (Raife, Dylan)
Dec 29, 2020 241 order on motion to appear pro hac vice (1)
Docket Text: ORDER: Motion by Scott L. Watson for leave to appear pro hac vice [237] is granted. Signed by the Honorable Sara L. Ellis on 12/29/2020.Mailed notice (lma, )
Dec 11, 2020 237 motion to appear pro hac vice (3)
Docket Text: MOTION for Leave to Appear Pro Hac Vice Filing fee $ 150, receipt number 0752-17731860. (Watson, Scott)
Dec 11, 2020 238 motion for leave to file (3)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for leave to file under seal (Rein, Thomas)
Dec 11, 2020 240 motion to strike (Main Document) (3)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Bard's Reliance on Untimely Production Including Portions of the Expert Reports of Dr. Richard Hillstead, Raymond Sims, and Dr. Edward Yun (REDACTED PUBLIC VERSION) (Attachments: # (1) Redacted memorandum in support of the motion to strike, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit 1 (filed under seal), # (4) Exhibit 2 (filed under seal), # (5) Exhibit 3 (filed under seal), # (6) Exhibit 4 (filed under seal), # (7) Exhibit 5 (filed under seal))(Rein, Thomas)
Dec 11, 2020 240 motion to strike (Redacted memorandum in support of the motion to strike) (12)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Bard's Reliance on Untimely Production Including Portions of the Expert Reports of Dr. Richard Hillstead, Raymond Sims, and Dr. Edward Yun (REDACTED PUBLIC VERSION) (Attachments: # (1) Redacted memorandum in support of the motion to strike, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit 1 (filed under seal), # (4) Exhibit 2 (filed under seal), # (5) Exhibit 3 (filed under seal), # (6) Exhibit 4 (filed under seal), # (7) Exhibit 5 (filed under seal))(Rein, Thomas)
Dec 11, 2020 240 motion to strike (Declaration of Nathaniel C. Love) (2)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Bard's Reliance on Untimely Production Including Portions of the Expert Reports of Dr. Richard Hillstead, Raymond Sims, and Dr. Edward Yun (REDACTED PUBLIC VERSION) (Attachments: # (1) Redacted memorandum in support of the motion to strike, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit 1 (filed under seal), # (4) Exhibit 2 (filed under seal), # (5) Exhibit 3 (filed under seal), # (6) Exhibit 4 (filed under seal), # (7) Exhibit 5 (filed under seal))(Rein, Thomas)
Dec 11, 2020 240 motion to strike (Exhibit 1 (filed under seal)) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Bard's Reliance on Untimely Production Including Portions of the Expert Reports of Dr. Richard Hillstead, Raymond Sims, and Dr. Edward Yun (REDACTED PUBLIC VERSION) (Attachments: # (1) Redacted memorandum in support of the motion to strike, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit 1 (filed under seal), # (4) Exhibit 2 (filed under seal), # (5) Exhibit 3 (filed under seal), # (6) Exhibit 4 (filed under seal), # (7) Exhibit 5 (filed under seal))(Rein, Thomas)
Dec 11, 2020 240 motion to strike (Exhibit 2 (filed under seal)) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Bard's Reliance on Untimely Production Including Portions of the Expert Reports of Dr. Richard Hillstead, Raymond Sims, and Dr. Edward Yun (REDACTED PUBLIC VERSION) (Attachments: # (1) Redacted memorandum in support of the motion to strike, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit 1 (filed under seal), # (4) Exhibit 2 (filed under seal), # (5) Exhibit 3 (filed under seal), # (6) Exhibit 4 (filed under seal), # (7) Exhibit 5 (filed under seal))(Rein, Thomas)
Dec 11, 2020 240 motion to strike (Exhibit 3 (filed under seal)) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Bard's Reliance on Untimely Production Including Portions of the Expert Reports of Dr. Richard Hillstead, Raymond Sims, and Dr. Edward Yun (REDACTED PUBLIC VERSION) (Attachments: # (1) Redacted memorandum in support of the motion to strike, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit 1 (filed under seal), # (4) Exhibit 2 (filed under seal), # (5) Exhibit 3 (filed under seal), # (6) Exhibit 4 (filed under seal), # (7) Exhibit 5 (filed under seal))(Rein, Thomas)
Dec 11, 2020 240 motion to strike (Exhibit 4 (filed under seal)) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Bard's Reliance on Untimely Production Including Portions of the Expert Reports of Dr. Richard Hillstead, Raymond Sims, and Dr. Edward Yun (REDACTED PUBLIC VERSION) (Attachments: # (1) Redacted memorandum in support of the motion to strike, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit 1 (filed under seal), # (4) Exhibit 2 (filed under seal), # (5) Exhibit 3 (filed under seal), # (6) Exhibit 4 (filed under seal), # (7) Exhibit 5 (filed under seal))(Rein, Thomas)
Dec 11, 2020 240 motion to strike (Exhibit 5 (filed under seal)) (1)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Bard's Reliance on Untimely Production Including Portions of the Expert Reports of Dr. Richard Hillstead, Raymond Sims, and Dr. Edward Yun (REDACTED PUBLIC VERSION) (Attachments: # (1) Redacted memorandum in support of the motion to strike, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit 1 (filed under seal), # (4) Exhibit 2 (filed under seal), # (5) Exhibit 3 (filed under seal), # (6) Exhibit 4 (filed under seal), # (7) Exhibit 5 (filed under seal))(Rein, Thomas)
Nov 24, 2020 235 reply to response to motion (11)
Docket Text: REPLY by Medline Industries, Inc. to response in opposition to motion, [234] (Rein, Thomas)
Nov 24, 2020 236 reply to response to motion (15)
Docket Text: REPLY by C.R. Bard, Inc. to response in opposition to motion, [231] motion to strike portions of the Expert Report of Dr. Abraham (Cherny, Steven)
Nov 17, 2020 231 response in opposition to motion (Main Document) (16)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike portions of the Expert Report of Dr. Abraham[228] (Attachments: # (1) Declaration of Nathaniel C. Love, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7)(Rein, Thomas)
Nov 17, 2020 231 response in opposition to motion (Declaration of Nathaniel C. Love) (2)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike portions of the Expert Report of Dr. Abraham[228] (Attachments: # (1) Declaration of Nathaniel C. Love, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7)(Rein, Thomas)
Nov 17, 2020 231 response in opposition to motion (Exhibit 1) (10)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike portions of the Expert Report of Dr. Abraham[228] (Attachments: # (1) Declaration of Nathaniel C. Love, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7)(Rein, Thomas)
Nov 17, 2020 231 response in opposition to motion (Exhibit 2) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike portions of the Expert Report of Dr. Abraham[228] (Attachments: # (1) Declaration of Nathaniel C. Love, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7)(Rein, Thomas)
Nov 17, 2020 231 response in opposition to motion (Exhibit 3) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike portions of the Expert Report of Dr. Abraham[228] (Attachments: # (1) Declaration of Nathaniel C. Love, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7)(Rein, Thomas)
Nov 17, 2020 231 response in opposition to motion (Exhibit 4) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike portions of the Expert Report of Dr. Abraham[228] (Attachments: # (1) Declaration of Nathaniel C. Love, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7)(Rein, Thomas)
Nov 17, 2020 231 response in opposition to motion (Exhibit 5) (30)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike portions of the Expert Report of Dr. Abraham[228] (Attachments: # (1) Declaration of Nathaniel C. Love, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7)(Rein, Thomas)
Nov 17, 2020 231 response in opposition to motion (Exhibit 6) (6)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike portions of the Expert Report of Dr. Abraham[228] (Attachments: # (1) Declaration of Nathaniel C. Love, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7)(Rein, Thomas)
Nov 17, 2020 231 response in opposition to motion (Exhibit 7) (30)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to strike portions of the Expert Report of Dr. Abraham[228] (Attachments: # (1) Declaration of Nathaniel C. Love, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7)(Rein, Thomas)
Nov 17, 2020 232 motion to seal (3)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to seal (Unopposed) (Rein, Thomas)
Nov 17, 2020 234 response in opposition to motion (Main Document) (21)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing[226] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7)(Cherny, Steven)
Nov 17, 2020 234 response in opposition to motion (Declaration of Marc Kaplan) (2)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing[226] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7)(Cherny, Steven)
Nov 17, 2020 234 response in opposition to motion (Exhibit 1) (30)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing[226] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7)(Cherny, Steven)
Nov 17, 2020 234 response in opposition to motion (Exhibit 2) (13)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing[226] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7)(Cherny, Steven)
Nov 17, 2020 234 response in opposition to motion (Exhibit 3) (15)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing[226] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7)(Cherny, Steven)
Nov 17, 2020 234 response in opposition to motion (Exhibit 4) (30)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing[226] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7)(Cherny, Steven)
Nov 17, 2020 234 response in opposition to motion (Exhibit 5) (30)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing[226] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7)(Cherny, Steven)
Nov 17, 2020 234 response in opposition to motion (Exhibit 6) (30)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing[226] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7)(Cherny, Steven)
Nov 17, 2020 234 response in opposition to motion (Exhibit 7) (30)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing[226] (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6, # (8) Exhibit 7)(Cherny, Steven)
Nov 2, 2020 230 terminate deadlines and hearings (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: The Court enter the following briefing schedule on the parties respective motions to strike certain portions of the opposing party's expert reports [226], [228]: responses are due by 11/17/2020 and replies are due by 11/24/2020. The Court sets a ruling date for 1/12/2021 at 9:30 a.m. Throughout the telephonic hearing, each speaker will be expected to identify themselves for the record before speaking. Please note that the conference call-in will be used by all cases that are on the court's calendar for the said date, therefore counsel must be in a quiet area while on the line and must have the telephone muted until your case is called. Members of the public and media will be able to call in to listen to this hearing. The call-in number is (866) 434-5269 and the access code is 8087837. Counsel of record will receive an email the morning of the telephonic hearing with instructions to join the call. 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 (rj, )
Oct 29, 2020 228 motion to strike (Main Document) (20)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike portions of the Expert Report of Dr. Abraham (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Cherny, Steven)
Oct 29, 2020 228 motion to strike (Declaration of Marc Kaplan) (2)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike portions of the Expert Report of Dr. Abraham (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Cherny, Steven)
Oct 29, 2020 228 motion to strike (Exhibit A) (8)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike portions of the Expert Report of Dr. Abraham (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Cherny, Steven)
Oct 29, 2020 228 motion to strike (Exhibit B) (8)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike portions of the Expert Report of Dr. Abraham (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Cherny, Steven)
Oct 29, 2020 228 motion to strike (Exhibit C) (30)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike portions of the Expert Report of Dr. Abraham (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Cherny, Steven)
Oct 29, 2020 228 motion to strike (Exhibit D) (22)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike portions of the Expert Report of Dr. Abraham (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Cherny, Steven)
Oct 29, 2020 228 motion to strike (Exhibit E) (30)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike portions of the Expert Report of Dr. Abraham (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Cherny, Steven)
Oct 29, 2020 228 motion to strike (Exhibit F) (30)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike portions of the Expert Report of Dr. Abraham (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Cherny, Steven)
Oct 29, 2020 228 motion to strike (Exhibit G) (30)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to strike portions of the Expert Report of Dr. Abraham (Attachments: # (1) Declaration of Marc Kaplan, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Cherny, Steven)
Oct 29, 2020 229 notice of motion (2)
Docket Text: NOTICE of Motion by Steven Cherny for presentment of motion to strike, [228] before Honorable Sara L. Ellis on 11/3/2020 at 09:45 AM. (Cherny, Steven)
Oct 27, 2020 226 motion to strike (Main Document) (4)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing (Attachments: # (1) Memorandum In Support, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I, # (12) Exhibit J, # (13) Exhibit K, # (14) Exhibit L, # (15) Exhibit M, # (16) Exhibit N, # (17) Exhibit O, # (18) Exhibit P, # (19) Exhibit Q, # (20) Exhibit R, # (21) Exhibit S, # (22) Exhibit T, # (23) Exhibit U)(Rein, Thomas)
Oct 27, 2020 226 motion to strike (Memorandum In Support) (18)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing (Attachments: # (1) Memorandum In Support, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I, # (12) Exhibit J, # (13) Exhibit K, # (14) Exhibit L, # (15) Exhibit M, # (16) Exhibit N, # (17) Exhibit O, # (18) Exhibit P, # (19) Exhibit Q, # (20) Exhibit R, # (21) Exhibit S, # (22) Exhibit T, # (23) Exhibit U)(Rein, Thomas)
Oct 27, 2020 226 motion to strike (Declaration of Nathaniel C. Love) (5)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing (Attachments: # (1) Memorandum In Support, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I, # (12) Exhibit J, # (13) Exhibit K, # (14) Exhibit L, # (15) Exhibit M, # (16) Exhibit N, # (17) Exhibit O, # (18) Exhibit P, # (19) Exhibit Q, # (20) Exhibit R, # (21) Exhibit S, # (22) Exhibit T, # (23) Exhibit U)(Rein, Thomas)
Oct 27, 2020 226 motion to strike (Exhibit A) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing (Attachments: # (1) Memorandum In Support, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I, # (12) Exhibit J, # (13) Exhibit K, # (14) Exhibit L, # (15) Exhibit M, # (16) Exhibit N, # (17) Exhibit O, # (18) Exhibit P, # (19) Exhibit Q, # (20) Exhibit R, # (21) Exhibit S, # (22) Exhibit T, # (23) Exhibit U)(Rein, Thomas)
Oct 27, 2020 226 motion to strike (Exhibit B) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing (Attachments: # (1) Memorandum In Support, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I, # (12) Exhibit J, # (13) Exhibit K, # (14) Exhibit L, # (15) Exhibit M, # (16) Exhibit N, # (17) Exhibit O, # (18) Exhibit P, # (19) Exhibit Q, # (20) Exhibit R, # (21) Exhibit S, # (22) Exhibit T, # (23) Exhibit U)(Rein, Thomas)
Oct 27, 2020 226 motion to strike (Exhibit C) (15)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing (Attachments: # (1) Memorandum In Support, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I, # (12) Exhibit J, # (13) Exhibit K, # (14) Exhibit L, # (15) Exhibit M, # (16) Exhibit N, # (17) Exhibit O, # (18) Exhibit P, # (19) Exhibit Q, # (20) Exhibit R, # (21) Exhibit S, # (22) Exhibit T, # (23) Exhibit U)(Rein, Thomas)
Oct 27, 2020 226 motion to strike (Exhibit D) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing (Attachments: # (1) Memorandum In Support, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I, # (12) Exhibit J, # (13) Exhibit K, # (14) Exhibit L, # (15) Exhibit M, # (16) Exhibit N, # (17) Exhibit O, # (18) Exhibit P, # (19) Exhibit Q, # (20) Exhibit R, # (21) Exhibit S, # (22) Exhibit T, # (23) Exhibit U)(Rein, Thomas)
Oct 27, 2020 226 motion to strike (Exhibit E) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing (Attachments: # (1) Memorandum In Support, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I, # (12) Exhibit J, # (13) Exhibit K, # (14) Exhibit L, # (15) Exhibit M, # (16) Exhibit N, # (17) Exhibit O, # (18) Exhibit P, # (19) Exhibit Q, # (20) Exhibit R, # (21) Exhibit S, # (22) Exhibit T, # (23) Exhibit U)(Rein, Thomas)
Oct 27, 2020 226 motion to strike (Exhibit F) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing (Attachments: # (1) Memorandum In Support, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I, # (12) Exhibit J, # (13) Exhibit K, # (14) Exhibit L, # (15) Exhibit M, # (16) Exhibit N, # (17) Exhibit O, # (18) Exhibit P, # (19) Exhibit Q, # (20) Exhibit R, # (21) Exhibit S, # (22) Exhibit T, # (23) Exhibit U)(Rein, Thomas)
Oct 27, 2020 226 motion to strike (Exhibit G) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing (Attachments: # (1) Memorandum In Support, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I, # (12) Exhibit J, # (13) Exhibit K, # (14) Exhibit L, # (15) Exhibit M, # (16) Exhibit N, # (17) Exhibit O, # (18) Exhibit P, # (19) Exhibit Q, # (20) Exhibit R, # (21) Exhibit S, # (22) Exhibit T, # (23) Exhibit U)(Rein, Thomas)
Oct 27, 2020 226 motion to strike (Exhibit H) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing (Attachments: # (1) Memorandum In Support, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I, # (12) Exhibit J, # (13) Exhibit K, # (14) Exhibit L, # (15) Exhibit M, # (16) Exhibit N, # (17) Exhibit O, # (18) Exhibit P, # (19) Exhibit Q, # (20) Exhibit R, # (21) Exhibit S, # (22) Exhibit T, # (23) Exhibit U)(Rein, Thomas)
Oct 27, 2020 226 motion to strike (Exhibit I) (25)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing (Attachments: # (1) Memorandum In Support, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I, # (12) Exhibit J, # (13) Exhibit K, # (14) Exhibit L, # (15) Exhibit M, # (16) Exhibit N, # (17) Exhibit O, # (18) Exhibit P, # (19) Exhibit Q, # (20) Exhibit R, # (21) Exhibit S, # (22) Exhibit T, # (23) Exhibit U)(Rein, Thomas)
Oct 27, 2020 226 motion to strike (Exhibit J) (30)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing (Attachments: # (1) Memorandum In Support, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I, # (12) Exhibit J, # (13) Exhibit K, # (14) Exhibit L, # (15) Exhibit M, # (16) Exhibit N, # (17) Exhibit O, # (18) Exhibit P, # (19) Exhibit Q, # (20) Exhibit R, # (21) Exhibit S, # (22) Exhibit T, # (23) Exhibit U)(Rein, Thomas)
Oct 27, 2020 226 motion to strike (Exhibit K) (5)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing (Attachments: # (1) Memorandum In Support, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I, # (12) Exhibit J, # (13) Exhibit K, # (14) Exhibit L, # (15) Exhibit M, # (16) Exhibit N, # (17) Exhibit O, # (18) Exhibit P, # (19) Exhibit Q, # (20) Exhibit R, # (21) Exhibit S, # (22) Exhibit T, # (23) Exhibit U)(Rein, Thomas)
Oct 27, 2020 226 motion to strike (Exhibit L) (5)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing (Attachments: # (1) Memorandum In Support, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I, # (12) Exhibit J, # (13) Exhibit K, # (14) Exhibit L, # (15) Exhibit M, # (16) Exhibit N, # (17) Exhibit O, # (18) Exhibit P, # (19) Exhibit Q, # (20) Exhibit R, # (21) Exhibit S, # (22) Exhibit T, # (23) Exhibit U)(Rein, Thomas)
Oct 27, 2020 226 motion to strike (Exhibit M) (5)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing (Attachments: # (1) Memorandum In Support, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I, # (12) Exhibit J, # (13) Exhibit K, # (14) Exhibit L, # (15) Exhibit M, # (16) Exhibit N, # (17) Exhibit O, # (18) Exhibit P, # (19) Exhibit Q, # (20) Exhibit R, # (21) Exhibit S, # (22) Exhibit T, # (23) Exhibit U)(Rein, Thomas)
Oct 27, 2020 226 motion to strike (Exhibit N) (4)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing (Attachments: # (1) Memorandum In Support, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I, # (12) Exhibit J, # (13) Exhibit K, # (14) Exhibit L, # (15) Exhibit M, # (16) Exhibit N, # (17) Exhibit O, # (18) Exhibit P, # (19) Exhibit Q, # (20) Exhibit R, # (21) Exhibit S, # (22) Exhibit T, # (23) Exhibit U)(Rein, Thomas)
Oct 27, 2020 226 motion to strike (Exhibit O) (9)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing (Attachments: # (1) Memorandum In Support, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I, # (12) Exhibit J, # (13) Exhibit K, # (14) Exhibit L, # (15) Exhibit M, # (16) Exhibit N, # (17) Exhibit O, # (18) Exhibit P, # (19) Exhibit Q, # (20) Exhibit R, # (21) Exhibit S, # (22) Exhibit T, # (23) Exhibit U)(Rein, Thomas)
Oct 27, 2020 226 motion to strike (Exhibit P) (7)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing (Attachments: # (1) Memorandum In Support, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I, # (12) Exhibit J, # (13) Exhibit K, # (14) Exhibit L, # (15) Exhibit M, # (16) Exhibit N, # (17) Exhibit O, # (18) Exhibit P, # (19) Exhibit Q, # (20) Exhibit R, # (21) Exhibit S, # (22) Exhibit T, # (23) Exhibit U)(Rein, Thomas)
Oct 27, 2020 226 motion to strike (Exhibit Q) (5)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing (Attachments: # (1) Memorandum In Support, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I, # (12) Exhibit J, # (13) Exhibit K, # (14) Exhibit L, # (15) Exhibit M, # (16) Exhibit N, # (17) Exhibit O, # (18) Exhibit P, # (19) Exhibit Q, # (20) Exhibit R, # (21) Exhibit S, # (22) Exhibit T, # (23) Exhibit U)(Rein, Thomas)
Oct 27, 2020 226 motion to strike (Exhibit R) (7)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing (Attachments: # (1) Memorandum In Support, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I, # (12) Exhibit J, # (13) Exhibit K, # (14) Exhibit L, # (15) Exhibit M, # (16) Exhibit N, # (17) Exhibit O, # (18) Exhibit P, # (19) Exhibit Q, # (20) Exhibit R, # (21) Exhibit S, # (22) Exhibit T, # (23) Exhibit U)(Rein, Thomas)
Oct 27, 2020 226 motion to strike (Exhibit S) (5)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing (Attachments: # (1) Memorandum In Support, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I, # (12) Exhibit J, # (13) Exhibit K, # (14) Exhibit L, # (15) Exhibit M, # (16) Exhibit N, # (17) Exhibit O, # (18) Exhibit P, # (19) Exhibit Q, # (20) Exhibit R, # (21) Exhibit S, # (22) Exhibit T, # (23) Exhibit U)(Rein, Thomas)
Oct 27, 2020 226 motion to strike (Exhibit T) (3)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing (Attachments: # (1) Memorandum In Support, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I, # (12) Exhibit J, # (13) Exhibit K, # (14) Exhibit L, # (15) Exhibit M, # (16) Exhibit N, # (17) Exhibit O, # (18) Exhibit P, # (19) Exhibit Q, # (20) Exhibit R, # (21) Exhibit S, # (22) Exhibit T, # (23) Exhibit U)(Rein, Thomas)
Oct 27, 2020 226 motion to strike (Exhibit U) (14)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Certain Portions Of The Expert Report Of Karl R. Leinsing (Attachments: # (1) Memorandum In Support, # (2) Declaration of Nathaniel C. Love, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I, # (12) Exhibit J, # (13) Exhibit K, # (14) Exhibit L, # (15) Exhibit M, # (16) Exhibit N, # (17) Exhibit O, # (18) Exhibit P, # (19) Exhibit Q, # (20) Exhibit R, # (21) Exhibit S, # (22) Exhibit T, # (23) Exhibit U)(Rein, Thomas)
Oct 27, 2020 227 notice of motion (3)
Docket Text: NOTICE of Motion by Thomas David Rein for presentment of motion to strike,, [226] before Honorable Sara L. Ellis on 11/3/2020 at 09:45 AM. (Rein, Thomas)
Oct 14, 2020 225 order on motion to appear pro hac vice (1)
Docket Text: ORDER: Motion by Steven C. Cherny for leave to appear pro hac vice [224] is granted. Signed by the Honorable Sara L. Ellis on 10/14/2020. Mailed notice. (sxb, )
Oct 9, 2020 223 order on motion to appear pro hac vice (1)
Docket Text: ORDER: Motion by Matthew A. Traupman for leave to appear pro hac vice [222] is granted. Signed by the Honorable Sara L. Ellis on 10/9/2020. Mailed notice. (sxb, )
Oct 9, 2020 224 motion to appear pro hac vice (2)
Docket Text: MOTION for Leave to Appear Pro Hac Vice Filing fee $ 150, receipt number 0752-17526797. (Cherny, Steven)
Oct 8, 2020 220 attorney appearance (1)
Docket Text: ATTORNEY Appearance for Defendant C.R. Bard, Inc. by Marc Lawrence Kaplan (Kaplan, Marc)
Oct 8, 2020 221 attorney appearance (1)
Docket Text: ATTORNEY Appearance for Defendant C.R. Bard, Inc. by Athena Diane Dalton (Dalton, Athena)
Oct 8, 2020 222 motion to appear pro hac vice (2)
Docket Text: MOTION for Leave to Appear Pro Hac Vice Filing fee $ 150, receipt number 0752-17526033. (Traupman, Matthew)
Sep 14, 2020 218 order on motion to strike (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: The Court grants in part and denies in part Medline's motion to strike [207]. The Court precludes Bard from asserting its invalidity ground based on ERASE CAUTI, but it allows Bard to proceed with its invalidity grounds based on Bardex and Turkel. [Enter Opinion and Order]. See separate order for further details. Mailed notice (rj, )
Sep 14, 2020 219 memorandum opinion and order (17)
Docket Text: OPINION AND ORDER. Signed by the Honorable Sara L. Ellis on 9/14/2020. Mailed notice(rj, )
Sep 9, 2020 216 terminate hearings (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Telephone Conference set for 9/9/2020 at 9:30 AM. Throughout the telephonic hearing, each speaker will be expected to identify themselves for the record before speaking. Please note that the conference call-in will be used by all cases that are on the court's calendar for the said date, therefore counsel must be in a quiet area while on the line and must have the telephone muted until your case is called. Members of the public and media will be able to call in to listen to this hearing. The call-in number is (866) 434-5269 and the access code is 8087837. Counsel of record will receive an email the morning of the telephonic hearing with instructions to join the call. 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 (rj, )
Sep 9, 2020 217 status hearing (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Telephone status hearing held on 9/9/2020. Medline's motion to strike Bard's prior art defenses [207] is granted in part and denied in part. A written opinion to issue. Opening expert reports are due by 10/12/2020; rebuttal reports due by 11/23/2020; expert discovery closes on 2/15/2021. Status hearing set for 2/17/2021 at 9:30 AM. Mailed notice (rj, )
Sep 1, 2020 215 order on motion to withdraw (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: The Court grants Defendant's motion to withdraw John R. O'Donnell as counsel for Defendant [213]. Mailed notice (rj, )
Aug 27, 2020 213 motion to withdraw (2)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to withdraw (UNOPPOSED MOTION TO WITHDRAW JOHN R. O'DONNELL AS ATTORNEY FOR C. R. BARD, INC.) (Flaming, Todd)
Aug 27, 2020 214 notice of motion (2)
Docket Text: (UNOPPOSED MOTION) NOTICE of Motion by Todd H. Flaming for presentment of motion to withdraw[213] before Honorable Sara L. Ellis on 9/3/2020 at 09:30 AM. (Flaming, Todd)
Jul 31, 2020 211 reply to response to motion (15)
Docket Text: REPLY by Medline Industries, Inc. to response in opposition to motion, [210] (Rein, Thomas)
Jul 31, 2020 212 declaration (Main Document) (2)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Supplemental) (Attachments: # (1) Exhibit 37)(Rein, Thomas)
Jul 31, 2020 212 declaration (Exhibit 37) (4)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Supplemental) (Attachments: # (1) Exhibit 37)(Rein, Thomas)
Jul 27, 2020 210 response in opposition to motion (Main Document) (17)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. to strike Bard's Prior Art Defenses[207] (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Raife, Dylan)
Jul 27, 2020 210 response in opposition to motion (Declaration of Dylan Raife) (2)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. to strike Bard's Prior Art Defenses[207] (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Raife, Dylan)
Jul 27, 2020 210 response in opposition to motion (Exhibit A) (13)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. to strike Bard's Prior Art Defenses[207] (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Raife, Dylan)
Jul 27, 2020 210 response in opposition to motion (Exhibit B) (15)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. to strike Bard's Prior Art Defenses[207] (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Raife, Dylan)
Jul 27, 2020 210 response in opposition to motion (Exhibit C) (4)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. to strike Bard's Prior Art Defenses[207] (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Raife, Dylan)
Jul 27, 2020 210 response in opposition to motion (Exhibit D) (3)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. to strike Bard's Prior Art Defenses[207] (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Raife, Dylan)
Jul 27, 2020 210 response in opposition to motion (Exhibit E) (3)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. to strike Bard's Prior Art Defenses[207] (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Raife, Dylan)
Jul 27, 2020 210 response in opposition to motion (Exhibit F) (5)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. to strike Bard's Prior Art Defenses[207] (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Raife, Dylan)
Jul 27, 2020 210 response in opposition to motion (Exhibit G) (3)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. to strike Bard's Prior Art Defenses[207] (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G)(Raife, Dylan)
Jul 13, 2020 207 motion to strike (4)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to strike Bard's Prior Art Defenses (Rein, Thomas)
Jul 13, 2020 208 memorandum in support of motion (20)
Docket Text: MEMORANDUM by Medline Industries, Inc. in support of motion to strike[207] (Rein, Thomas)
Jul 13, 2020 209 declaration (Main Document) (6)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 1) (30)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 2) (30)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 3) (11)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 4) (6)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 5) (30)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 6) (19)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 7) (12)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 8) (30)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 9) (30)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 10) (30)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 11) (30)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 12) (30)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 13) (30)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 14) (30)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 15) (30)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 16) (3)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 17) (2)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 18) (2)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 19) (3)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 20) (24)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 21) (4)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 22) (4)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 23) (30)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 24) (8)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 25) (15)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 26) (5)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 27) (25)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 28) (5)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 29) (13)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 30) (7)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 31) (7)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 32) (2)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 33) (2)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 34) (2)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 35) (2)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 13, 2020 209 declaration (Exhibit 36) (4)
Docket Text: DECLARATION of Courtney E. Cronin regarding motion to strike[207] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13, # (14) Exhibit 14, # (15) Exhibit 15, # (16) Exhibit 16, # (17) Exhibit 17, # (18) Exhibit 18, # (19) Exhibit 19, # (20) Exhibit 20, # (21) Exhibit 21, # (22) Exhibit 22, # (23) Exhibit 23, # (24) Exhibit 24, # (25) Exhibit 25, # (26) Exhibit 26, # (27) Exhibit 27, # (28) Exhibit 28, # (29) Exhibit 29, # (30) Exhibit 30, # (31) Exhibit 31, # (32) Exhibit 32, # (33) Exhibit 33, # (34) Exhibit 34, # (35) Exhibit 35, # (36) Exhibit 36)(Cronin, Courtney)
Jul 10, 2020 205 transcript (13)
Docket Text: TRANSCRIPT OF PROCEEDINGS held on 07/07/20 before the Honorable Sara L. Ellis. Order Number: 38780. Court Reporter Contact Information: Patrick Mullen, (312) 435-5565, patrick_mullen@ilnd.uscourts.gov. 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 7/31/2020. Redacted Transcript Deadline set for 8/10/2020. Release of Transcript Restriction set for 10/8/2020. (Mullen, Patrick)
Jul 10, 2020 206 order (8)
Docket Text: ORDER Fifth Amended General Order 20-0012 IN RE: CORONAVIRUS COVID-19 PUBLIC EMERGENCY Signed by the Chief Judge Rebecca R. Pallmeyer on July 10, 2020. This Order does not extend or modify any deadlines set in civil cases. No motions may be noticed for in-person presentment; the presiding judge will notify parties of the need, if any, for a hearing by electronic means or in-court proceeding. See attached Order. Signed by the Honorable Rebecca R. Pallmeyer on 7/10/2020: Mailed notice. (Clerk3, Docket)
Jul 7, 2020 204 status hearing (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Teleconference status hearing held on 7/7/2020. Medline to file motion to strike Bard's prior-art based defenses on IPR estoppel by 7/13/2020; Bard's response by 7/27/2020; Medline's reply by 7/31/2020. Status hearing set for 9/9/2020 at 9:30 a.m. for ruling and to set expert discovery schedule. Mailed notice (rj, )
Jul 6, 2020 203 text entry (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Teleconference set for 7/7/2020 at 9:30 a.m. Throughout the telephonic hearing, each speaker will be expected to identify themselves for the record before speaking. Please note that the conference call-in will be used by all cases that are on the court's calendar for the said date, therefore counsel must be in a quiet area while on the line and must have the telephone muted until your case is called. Members of the public and media will be able to call in to listen to this hearing. The call-in number is (866) 434-5269 and the access code is 8087837. Counsel of record will receive an email the morning of the telephonic hearing with instructions to join the call. 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 (rj, )
Jun 5, 2020 202 set/reset hearings (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: The Court sets a status hearing for 7/7/2020 at 9:30 a.m. Mailed notice (ma,)
Jun 3, 2020 201 other (Main Document) (3)
Docket Text: Notice Concerning Final Written Decisions In Related Inter Partes Review Proceedings by Medline Industries, Inc. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2)(Rein, Thomas)
Jun 3, 2020 201 other (Exhibit 1) (30)
Docket Text: Notice Concerning Final Written Decisions In Related Inter Partes Review Proceedings by Medline Industries, Inc. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2)(Rein, Thomas)
Jun 3, 2020 201 other (Exhibit 2) (30)
Docket Text: Notice Concerning Final Written Decisions In Related Inter Partes Review Proceedings by Medline Industries, Inc. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2)(Rein, Thomas)
May 26, 2020 200 order (8)
Docket Text: ORDER ORDER Fourth Amended General Order 20-0012 IN RE: CORONAVIRUS COVID-19 PUBLIC EMERGENCY Signed by the Chief Judge Rebecca R. Pallmeyer on May 26, 2020. This Order does not extend or modify any deadlines set in civil cases. For non-emergency motions, no motion may be noticed for presentment on a date earlier than July 15, 2020. See attached Order. Signed by the Honorable Rebecca R. Pallmeyer on 5/26/2020: Mailed notice. (docket1, )
May 18, 2020 199 status report (Main Document) (11)
Docket Text: STATUS Report Pursuant To General Order 20-00012 (Joint) by Medline Industries, Inc. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E)(Rein, Thomas)
May 18, 2020 199 status report (Exhibit A) (30)
Docket Text: STATUS Report Pursuant To General Order 20-00012 (Joint) by Medline Industries, Inc. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E)(Rein, Thomas)
May 18, 2020 199 status report (Exhibit B) (23)
Docket Text: STATUS Report Pursuant To General Order 20-00012 (Joint) by Medline Industries, Inc. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E)(Rein, Thomas)
May 18, 2020 199 status report (Exhibit C) (30)
Docket Text: STATUS Report Pursuant To General Order 20-00012 (Joint) by Medline Industries, Inc. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E)(Rein, Thomas)
May 18, 2020 199 status report (Exhibit D) (3)
Docket Text: STATUS Report Pursuant To General Order 20-00012 (Joint) by Medline Industries, Inc. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E)(Rein, Thomas)
May 18, 2020 199 status report (Exhibit E) (2)
Docket Text: STATUS Report Pursuant To General Order 20-00012 (Joint) by Medline Industries, Inc. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E)(Rein, Thomas)
May 4, 2020 198 order on motion to withdraw (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Unopposed motion to withdraw as counsel for plaintiff [197] is granted. Attorney Andrew Charles Wood terminated. Mailed notice (rj, )
May 1, 2020 196 notice of change of address (1)
Docket Text: NOTICE by Jonathan Mcneal Smith of Change of Address (Smith, Jonathan)
May 1, 2020 197 motion to withdraw (2)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to withdraw Andrew C. Wood as Counsel for Plaintiff (Marinelli, Joseph)
Apr 24, 2020 195 order (11)
Docket Text: ORDER Third Amended General Order 20-0012 IN RE: CORONAVIRUS COVID-19 PUBLIC EMERGENCY Signed by the Chief Judge Rebecca R. Pallmeyer on April 24, 2020. All open cases are impacted by this Third Amended General Order. Parties are must carefully review all obligations under this Order, including the requirement listed in paragraph number 5 to file a joint written status report in most civil cases. See attached Order. Signed by the Honorable Rebecca R. Pallmeyer on 4/24/2020: Mailed notice. (docket1, )
Mar 30, 2020 194 order (10)
Docket Text: ORDER Seconded Amended General Order 20-0012 IN RE: CORONAVIRUS COVID-19 PUBLIC EMERGENCY Signed by the Chief Judge Rebecca R. Pallmeyer on March 30, 2020. All open cases are impacted by this Second Amended General Order. Amended General Order 20-0012, entered on March 17, 2020, and General Order 20-0014, entered on March 20, 2020, are vacated and superseded by this Second Amended General. See attached Order for guidance.Signed by the Honorable Rebecca R. Pallmeyer on 3/30/2020: Mailed notice. (docket1, )
Mar 16, 2020 193 order (5)
Docket Text: ORDER Amended General Order 20-0012 IN RE: CORONAVIRUS COVID-19 PUBLIC EMERGENCY Signed by the Chief Judge Rebecca R. Pallmeyer on March 16, 2020. All open cases are impacted by this Amended General Order. See attached Order for guidance.Signed by the Honorable Rebecca R. Pallmeyer on 3/16/2020: Mailed notice. (pj, )
Feb 26, 2020 192 terminate hearings (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Status hearing set for 3/5/20 is stricken. Mailed notice (rj, )
Dec 9, 2019 191 attorney appearance (1)
Docket Text: ATTORNEY Appearance for Plaintiff Medline Industries, Inc. by Gwen Hochman Stewart (Stewart, Gwen)
Sep 10, 2019 190 order on motion to stay (6)
Docket Text: OPINION AND ORDER. The Court grants Bard's motion to stay [176]. The Court strikes the status date set for September 11, 2019 and resets it to April 21, 2020 at 9:30 a.m. Signed by the Honorable Sara L. Ellis on 9/10/2019:Mailed notice(rj, )
Aug 7, 2019 189 notice of change of address (1)
Docket Text: NOTICE by Nicole M. Smith of Change of Address (Smith, Nicole)
Aug 6, 2019 188 order on motion to withdraw (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: The Court grants Defendant's unopposed motion to withdraw the appearance of Ashleigh K. Landis as counsel for Defendant [186]. Mailed notice (rj, )
Aug 1, 2019 186 motion to withdraw (2)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to withdraw (UNOPPOSED MOTION TO WITHDRAW ASHLEIGH K. LANDIS AS ATTORNEY FOR C. R. BARD, INC.) (Flaming, Todd)
Aug 1, 2019 187 notice of motion (2)
Docket Text: NOTICE of Motion by Todd H. Flaming for presentment of motion to withdraw[186] before Honorable Sara L. Ellis on 8/7/2019 at 09:45 AM. (Flaming, Todd)
Jul 2, 2019 185 order on motion for extension of time (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Motion hearing held on 7/2/2019. C.R. Bard's motion to extend expert discovery deadlines until after Court's ruling on renewed motion to stay [181] is granted as stated on the record. Mailed notice (rj, )
Jul 1, 2019 184 reply to response to motion (Main Document) (8)
Docket Text: REPLY by C.R. Bard, Inc. to response in opposition to motion[180] to Stay After Institution of Inter Partes Review (Attachments: # (1) Declaration of Nicole Smith in Support of Reply, # (2) Exhibit 1 to Smith Reply Declaration)(Smith, Nicole)
Jul 1, 2019 184 reply to response to motion (Declaration of Nicole Smith in Support of Reply) (1)
Docket Text: REPLY by C.R. Bard, Inc. to response in opposition to motion[180] to Stay After Institution of Inter Partes Review (Attachments: # (1) Declaration of Nicole Smith in Support of Reply, # (2) Exhibit 1 to Smith Reply Declaration)(Smith, Nicole)
Jul 1, 2019 184 reply to response to motion (Exhibit 1 to Smith Reply Declaration) (3)
Docket Text: REPLY by C.R. Bard, Inc. to response in opposition to motion[180] to Stay After Institution of Inter Partes Review (Attachments: # (1) Declaration of Nicole Smith in Support of Reply, # (2) Exhibit 1 to Smith Reply Declaration)(Smith, Nicole)
Jun 28, 2019 183 memorandum in opposition to motion (5)
Docket Text: MEMORANDUM by Medline Industries, Inc. in Opposition to extension of time[181] (Hoover, Allen)
Jun 27, 2019 181 extension of time (3)
Docket Text: MOTION by Defendant C.R. Bard, Inc. for extension of time of Expert Discovery Deadlines Until After Court's Ruling on Renewed Motion to Stay (Smith, Nicole)
Jun 27, 2019 182 notice of motion (2)
Docket Text: NOTICE of Motion by Nicole M. Smith for presentment of extension of time[181] before Honorable Sara L. Ellis on 7/2/2019 at 09:45 AM. (Smith, Nicole)
Jun 24, 2019 180 response in opposition to motion (6)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to stay After Institution of Inter Partes Review[176] (Little, Nicole)
Jun 12, 2019 178 terminate deadlines and hearings (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Motion hearing held on 6/12/2019. Motion to withdraw Cooley LLP attorneys as counsel for Plaintiff Medline Industries, Inc. [174] is granted. Attorneys Erik Milch; Naina Soni; Mark Zambarda; Stephen Crawford Crenshaw and Erin M Estevez are terminated. Mailed notice (rj, )
Jun 12, 2019 179 order on motion to withdraw as attorney (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Briefing schedule as to motion to stay [176]: Medline's response is due by 6/24/2019; C.R. Bard's reply is due by 7/3/2019. Status hearing set for 9/11/2019 at 9:30 AM for ruling. No appearance required on 6/13/2019. Mailed notice (rj, )
Jun 10, 2019 176 motion to stay (Main Document) (2)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to stay After Institution of Inter Partes Review (Attachments: # (1) Bard's Memorandum in Support of Renewed Motion to Stay After Institution of Inter Partes Review, # (2) Declaration of Nicole Smith in Support of Bard's Renewed Motion to Stay After Institution of Inter Partes Review, # (3) Exhibit A to Declaration of Nicole Smith, # (4) Exhibit B to Declaration of Nicole Smith, # (5) Exhibit C to Declaration of Nicole Smith, # (6) Exhibit D to Declaration of Nicole Smith, # (7) Exhibit E to Declaration of Nicole Smith, # (8) Exhibit F to Declaration of Nicole Smith)(Smith, Nicole)
Jun 10, 2019 176 motion to stay (Bard's Memorandum in Support of Renewed Motion to Stay After Institution o) (17)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to stay After Institution of Inter Partes Review (Attachments: # (1) Bard's Memorandum in Support of Renewed Motion to Stay After Institution of Inter Partes Review, # (2) Declaration of Nicole Smith in Support of Bard's Renewed Motion to Stay After Institution of Inter Partes Review, # (3) Exhibit A to Declaration of Nicole Smith, # (4) Exhibit B to Declaration of Nicole Smith, # (5) Exhibit C to Declaration of Nicole Smith, # (6) Exhibit D to Declaration of Nicole Smith, # (7) Exhibit E to Declaration of Nicole Smith, # (8) Exhibit F to Declaration of Nicole Smith)(Smith, Nicole)
Jun 10, 2019 176 motion to stay (Declaration of Nicole Smith in Support of Bard's Renewed Motion to Stay Aft) (2)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to stay After Institution of Inter Partes Review (Attachments: # (1) Bard's Memorandum in Support of Renewed Motion to Stay After Institution of Inter Partes Review, # (2) Declaration of Nicole Smith in Support of Bard's Renewed Motion to Stay After Institution of Inter Partes Review, # (3) Exhibit A to Declaration of Nicole Smith, # (4) Exhibit B to Declaration of Nicole Smith, # (5) Exhibit C to Declaration of Nicole Smith, # (6) Exhibit D to Declaration of Nicole Smith, # (7) Exhibit E to Declaration of Nicole Smith, # (8) Exhibit F to Declaration of Nicole Smith)(Smith, Nicole)
Jun 10, 2019 176 motion to stay (Exhibit A to Declaration of Nicole Smith) (29)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to stay After Institution of Inter Partes Review (Attachments: # (1) Bard's Memorandum in Support of Renewed Motion to Stay After Institution of Inter Partes Review, # (2) Declaration of Nicole Smith in Support of Bard's Renewed Motion to Stay After Institution of Inter Partes Review, # (3) Exhibit A to Declaration of Nicole Smith, # (4) Exhibit B to Declaration of Nicole Smith, # (5) Exhibit C to Declaration of Nicole Smith, # (6) Exhibit D to Declaration of Nicole Smith, # (7) Exhibit E to Declaration of Nicole Smith, # (8) Exhibit F to Declaration of Nicole Smith)(Smith, Nicole)
Jun 10, 2019 176 motion to stay (Exhibit B to Declaration of Nicole Smith) (30)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to stay After Institution of Inter Partes Review (Attachments: # (1) Bard's Memorandum in Support of Renewed Motion to Stay After Institution of Inter Partes Review, # (2) Declaration of Nicole Smith in Support of Bard's Renewed Motion to Stay After Institution of Inter Partes Review, # (3) Exhibit A to Declaration of Nicole Smith, # (4) Exhibit B to Declaration of Nicole Smith, # (5) Exhibit C to Declaration of Nicole Smith, # (6) Exhibit D to Declaration of Nicole Smith, # (7) Exhibit E to Declaration of Nicole Smith, # (8) Exhibit F to Declaration of Nicole Smith)(Smith, Nicole)
Jun 10, 2019 176 motion to stay (Exhibit C to Declaration of Nicole Smith) (30)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to stay After Institution of Inter Partes Review (Attachments: # (1) Bard's Memorandum in Support of Renewed Motion to Stay After Institution of Inter Partes Review, # (2) Declaration of Nicole Smith in Support of Bard's Renewed Motion to Stay After Institution of Inter Partes Review, # (3) Exhibit A to Declaration of Nicole Smith, # (4) Exhibit B to Declaration of Nicole Smith, # (5) Exhibit C to Declaration of Nicole Smith, # (6) Exhibit D to Declaration of Nicole Smith, # (7) Exhibit E to Declaration of Nicole Smith, # (8) Exhibit F to Declaration of Nicole Smith)(Smith, Nicole)
Jun 10, 2019 176 motion to stay (Exhibit D to Declaration of Nicole Smith) (30)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to stay After Institution of Inter Partes Review (Attachments: # (1) Bard's Memorandum in Support of Renewed Motion to Stay After Institution of Inter Partes Review, # (2) Declaration of Nicole Smith in Support of Bard's Renewed Motion to Stay After Institution of Inter Partes Review, # (3) Exhibit A to Declaration of Nicole Smith, # (4) Exhibit B to Declaration of Nicole Smith, # (5) Exhibit C to Declaration of Nicole Smith, # (6) Exhibit D to Declaration of Nicole Smith, # (7) Exhibit E to Declaration of Nicole Smith, # (8) Exhibit F to Declaration of Nicole Smith)(Smith, Nicole)
Jun 10, 2019 176 motion to stay (Exhibit E to Declaration of Nicole Smith) (29)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to stay After Institution of Inter Partes Review (Attachments: # (1) Bard's Memorandum in Support of Renewed Motion to Stay After Institution of Inter Partes Review, # (2) Declaration of Nicole Smith in Support of Bard's Renewed Motion to Stay After Institution of Inter Partes Review, # (3) Exhibit A to Declaration of Nicole Smith, # (4) Exhibit B to Declaration of Nicole Smith, # (5) Exhibit C to Declaration of Nicole Smith, # (6) Exhibit D to Declaration of Nicole Smith, # (7) Exhibit E to Declaration of Nicole Smith, # (8) Exhibit F to Declaration of Nicole Smith)(Smith, Nicole)
Jun 10, 2019 176 motion to stay (Exhibit F to Declaration of Nicole Smith) (7)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to stay After Institution of Inter Partes Review (Attachments: # (1) Bard's Memorandum in Support of Renewed Motion to Stay After Institution of Inter Partes Review, # (2) Declaration of Nicole Smith in Support of Bard's Renewed Motion to Stay After Institution of Inter Partes Review, # (3) Exhibit A to Declaration of Nicole Smith, # (4) Exhibit B to Declaration of Nicole Smith, # (5) Exhibit C to Declaration of Nicole Smith, # (6) Exhibit D to Declaration of Nicole Smith, # (7) Exhibit E to Declaration of Nicole Smith, # (8) Exhibit F to Declaration of Nicole Smith)(Smith, Nicole)
Jun 10, 2019 177 notice of motion (1)
Docket Text: NOTICE of Motion by Nicole M. Smith for presentment of motion to stay,, [176] before Honorable Sara L. Ellis on 6/13/2019 at 01:45 PM. (Smith, Nicole)
Jun 7, 2019 174 motion to withdraw as attorney (3)
Docket Text: MOTION by Attorney Stephen C. Crenshaw, Erin Estevez, Eric B. Milch, Naina Soni, and Mark Zambarda to withdraw as attorney for Medline Industries, Inc., Medline Industries, Inc.. No party information provided (Hoover, Allen)
Jun 7, 2019 175 notice of motion (3)
Docket Text: NOTICE of Motion by Allen E. Hoover for presentment of motion to withdraw as attorney[174] before Honorable Sara L. Ellis on 6/12/2019 at 09:45 AM. (Hoover, Allen)
May 28, 2019 173 order on motion to amend/correct (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Plaintiff's motion to amend or correct its final infringement contentions [171] is granted. Mailed notice (rj, )
May 22, 2019 170 order on motion to appear pro hac vice (1)
Docket Text: ORDER: Motion by Jonathan M. Smith for leave to appear pro hac vice [168] is granted. Signed by the Honorable Sara L. Ellis on 5/22/2019. Mailed notice. (sxb, )
May 22, 2019 171 motion to amend/correct (Main Document) (5)
Docket Text: MOTION by Plaintiff Medline Industries, Inc., Counter Defendant Medline Industries, Inc. to amend/correct Medline's Final Infringement Contentions (Attachments: # (1) Exhibit 1 - Amended Medline Covered Products, # (2) Exhibit 2 - Previously-served Final Infringement Contentions (excerpt), # (3) Exhibit 3 - Oil-Dri v. Nestle Purina, 2017 U.S. Dist. LEXIS 70501 (May 9, 2017 N.D. Ill.))(Hoover, Allen)
May 22, 2019 171 motion to amend/correct (Exhibit 1 - Amended Medline Covered Products) (3)
Docket Text: MOTION by Plaintiff Medline Industries, Inc., Counter Defendant Medline Industries, Inc. to amend/correct Medline's Final Infringement Contentions (Attachments: # (1) Exhibit 1 - Amended Medline Covered Products, # (2) Exhibit 2 - Previously-served Final Infringement Contentions (excerpt), # (3) Exhibit 3 - Oil-Dri v. Nestle Purina, 2017 U.S. Dist. LEXIS 70501 (May 9, 2017 N.D. Ill.))(Hoover, Allen)
May 22, 2019 171 motion to amend/correct (Exhibit 2 - Previously-served Final Infringement Contentions (excerpt)) (4)
Docket Text: MOTION by Plaintiff Medline Industries, Inc., Counter Defendant Medline Industries, Inc. to amend/correct Medline's Final Infringement Contentions (Attachments: # (1) Exhibit 1 - Amended Medline Covered Products, # (2) Exhibit 2 - Previously-served Final Infringement Contentions (excerpt), # (3) Exhibit 3 - Oil-Dri v. Nestle Purina, 2017 U.S. Dist. LEXIS 70501 (May 9, 2017 N.D. Ill.))(Hoover, Allen)
May 22, 2019 171 motion to amend/correct (Exhibit 3 - Oil-Dri v. Nestle Purina, 2017 U.S. Dist. LEXIS 70501 (May 9, 2017 N) (8)
Docket Text: MOTION by Plaintiff Medline Industries, Inc., Counter Defendant Medline Industries, Inc. to amend/correct Medline's Final Infringement Contentions (Attachments: # (1) Exhibit 1 - Amended Medline Covered Products, # (2) Exhibit 2 - Previously-served Final Infringement Contentions (excerpt), # (3) Exhibit 3 - Oil-Dri v. Nestle Purina, 2017 U.S. Dist. LEXIS 70501 (May 9, 2017 N.D. Ill.))(Hoover, Allen)
May 22, 2019 172 notice of motion (3)
Docket Text: NOTICE of Motion by Allen E. Hoover for presentment of motion to amend/correct, [171] before Honorable Sara L. Ellis on 5/29/2019 at 09:45 AM. (Hoover, Allen)
May 21, 2019 169 protective order (11)
Docket Text: PROTECTIVE Order. Signed by the Honorable Sara L. Ellis on 5/21/2019:Mailed notice(rj, )
May 20, 2019 168 motion to appear pro hac vice (2)
Docket Text: MOTION for Leave to Appear Pro Hac Vice Filing fee $ 150, receipt number 0752-15845550. (Smith, Jonathan)
May 16, 2019 167 order on motion for protective order (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: The Court grants the joint motion for protective order [165] and allows Plaintiff to withdraw its motion for protective order [163]. The parties should submit the proposed protective order to the Court's proposed order email. Mailed notice (rj, )
May 13, 2019 165 motion for protective order (Main Document) (4)
Docket Text: MOTION by Plaintiff Medline Industries, Inc., Counter Defendant Medline Industries, Inc. for protective order - Joint (Attachments: # (1) Text of Proposed Order)(Marinelli, Joseph)
May 13, 2019 165 motion for protective order (Text of Proposed Order) (11)
Docket Text: MOTION by Plaintiff Medline Industries, Inc., Counter Defendant Medline Industries, Inc. for protective order - Joint (Attachments: # (1) Text of Proposed Order)(Marinelli, Joseph)
May 13, 2019 166 notice of motion (3)
Docket Text: NOTICE of Motion by Joseph Frank Marinelli for presentment of motion for protective order[165] before Honorable Sara L. Ellis on 5/16/2019 at 01:45 PM. (Marinelli, Joseph)
May 7, 2019 163 motion for protective order (6)
Docket Text: MOTION by Plaintiff Medline Industries, Inc., Counter Defendant Medline Industries, Inc. for protective order (Hoover, Allen)
May 7, 2019 164 notice of motion (3)
Docket Text: NOTICE of Motion by Allen E. Hoover for presentment of motion for protective order[163] before Honorable Sara L. Ellis on 5/16/2019 at 01:45 PM. (Hoover, Allen)
May 6, 2019 162 attorney appearance (1)
Docket Text: ATTORNEY Appearance for Plaintiff Medline Industries, Inc. by Courtney Elizabeth Cronin (Cronin, Courtney)
Apr 26, 2019 158 attorney appearance (1)
Docket Text: ATTORNEY Appearance for Plaintiff Medline Industries, Inc., Counter Defendant Medline Industries, Inc. by Thomas David Rein (Rein, Thomas)
Apr 26, 2019 159 order on motion to amend/correct (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Plaintiff's motion to modify the case schedule under the Local Patent Rules entered by the Court on February 26, 2019 and for leave to withdraw the appearance of Christopher Campbell as one of the attorneys of record in this matter [156] is granted. The Court withdraws the appearance of Christopher Campbell. The Court modifies the scheduling order as follows: fact discovery closes on 5/31/19; expert reports are due by 8/28/19; rebuttal expert reports are due by 10/7/19; and expert discovery closes on 11/11/19. The Court strikes the status date set for 5/14/19 and resets it to 3/5/20 at 1:30 p.m. where the Court will set a summary judgment briefing schedule. Mailed notice (rj, )
Apr 26, 2019 160 attorney appearance (1)
Docket Text: ATTORNEY Appearance for Plaintiff Medline Industries, Inc., Counter Defendant Medline Industries, Inc. by Stephanie Pauline Smith Koh (Koh, Stephanie)
Apr 26, 2019 161 attorney appearance (1)
Docket Text: ATTORNEY Appearance for Plaintiff Medline Industries, Inc., Counter Defendant Medline Industries, Inc. by Nathaniel Carrick Love (Love, Nathaniel)
Apr 25, 2019 156 motion to amend/correct (4)
Docket Text: MOTION by Plaintiff Medline Industries, Inc., Counter Defendant Medline Industries, Inc. to amend/correct order on motion for order, terminate deadlines and hearings, set/reset hearings[152] - Agreed Motion to Modify the Scheduling Order and Withdraw Christopher Campbell as Counsel for Plaintiff Medline Industries (Hoover, Allen)
Apr 25, 2019 157 notice of motion (2)
Docket Text: NOTICE of Motion by Allen E. Hoover for presentment of motion to amend/correct, [156] before Honorable Sara L. Ellis on 4/30/2019 at 09:45 AM. (Hoover, Allen)
Apr 24, 2019 155 attorney appearance (1)
Docket Text: ATTORNEY Appearance for Plaintiff Medline Industries, Inc., Counter Defendant Medline Industries, Inc. by Stanley Allen Schlitter (Schlitter, Stanley)
Apr 3, 2019 154 order on motion to appear pro hac vice (1)
Docket Text: ORDER: Motion by John R. O'Donnell for leave to appear pro hac vice [153] is granted. Signed by the Honorable Sara L. Ellis on 4/3/2019. Mailed notice. (pk, )
Mar 27, 2019 153 motion to appear pro hac vice (2)
Docket Text: MOTION for Leave to Appear Pro Hac Vice Filing fee $ 150, receipt number 0752-15645426. (O'Donnell, John)
Feb 26, 2019 152 order on motion for order (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Joint motion for scheduling order [150] is granted. The Court sets the scheduling order as proposed by the parties and sets a status date for 5/14/19 at 9:30 a.m. Mailed notice (rj, )
Feb 22, 2019 150 motion for order (4)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for order Joint Motion for Scheduling Order (Campbell, Christopher)
Feb 22, 2019 151 notice of motion (2)
Docket Text: NOTICE of Motion by Christopher C. Campbell for presentment of motion for order[150] before Honorable Sara L. Ellis on 2/27/2019 at 09:45 AM. (Campbell, Christopher)
Jan 28, 2019 149 memorandum opinion and order (20)
Docket Text: OPINION AND ORDER. Signed by the Honorable Sara L. Ellis on 1/28/2019. Mailed notice(rj, )
Jan 17, 2019 148 notice of filing (Main Document) (2)
Docket Text: NOTICE by C.R. Bard, Inc. (NOTICE OF MARKMAN RULING IN RELATED CASE) (Attachments: # (1) Exhibit A (Markman Order))(Flaming, Todd)
Jan 17, 2019 148 notice of filing (Exhibit A (Markman Order)) (25)
Docket Text: NOTICE by C.R. Bard, Inc. (NOTICE OF MARKMAN RULING IN RELATED CASE) (Attachments: # (1) Exhibit A (Markman Order))(Flaming, Todd)
Jan 4, 2019 147 notice of filing (Main Document) (2)
Docket Text: NOTICE by C.R. Bard, Inc. (NOTICE OF MARKMAN RULING IN RELATED CASE) (Attachments: # (1) Exhibit A)(Flaming, Todd)
Jan 4, 2019 147 notice of filing (Exhibit A) (16)
Docket Text: NOTICE by C.R. Bard, Inc. (NOTICE OF MARKMAN RULING IN RELATED CASE) (Attachments: # (1) Exhibit A)(Flaming, Todd)
Dec 17, 2018 146 order on motion to stay (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Claim construction hearing held on 12/17/2018. The Court denies Defendant's motion to stay [126] without prejudice. The Court grants Defendant's motion to seal [144]. Mailed notice (rj, )
Dec 14, 2018 141 order on motion to appear pro hac vice (1)
Docket Text: ORDER: Motion by Naina Soni for leave to appear pro hac vice [139] is granted. Notice of Motion [140] is stricken. Signed by the Honorable Sara L. Ellis on 12/14/2018. Mailed notice. (sxb, )
Dec 14, 2018 142 reply (Main Document) (16)
Docket Text: REPLY by Defendant C.R. Bard, Inc., Counter Claimant C.R. Bard, Inc. to motion to stay, [126] (PUBLIC version of Reply; full version of Reply and Exhibits 3 and 4 to be filed under seal) (Attachments: # (1) Declaration of Nicole Smith in Support, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 5, # (5) Exhibit 6, # (6) Exhibit 7)(Flaming, Todd)
Dec 14, 2018 142 reply (Declaration of Nicole Smith in Support) (2)
Docket Text: REPLY by Defendant C.R. Bard, Inc., Counter Claimant C.R. Bard, Inc. to motion to stay, [126] (PUBLIC version of Reply; full version of Reply and Exhibits 3 and 4 to be filed under seal) (Attachments: # (1) Declaration of Nicole Smith in Support, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 5, # (5) Exhibit 6, # (6) Exhibit 7)(Flaming, Todd)
Dec 14, 2018 142 reply (Exhibit 1) (7)
Docket Text: REPLY by Defendant C.R. Bard, Inc., Counter Claimant C.R. Bard, Inc. to motion to stay, [126] (PUBLIC version of Reply; full version of Reply and Exhibits 3 and 4 to be filed under seal) (Attachments: # (1) Declaration of Nicole Smith in Support, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 5, # (5) Exhibit 6, # (6) Exhibit 7)(Flaming, Todd)
Dec 14, 2018 142 reply (Exhibit 2) (30)
Docket Text: REPLY by Defendant C.R. Bard, Inc., Counter Claimant C.R. Bard, Inc. to motion to stay, [126] (PUBLIC version of Reply; full version of Reply and Exhibits 3 and 4 to be filed under seal) (Attachments: # (1) Declaration of Nicole Smith in Support, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 5, # (5) Exhibit 6, # (6) Exhibit 7)(Flaming, Todd)
Dec 14, 2018 142 reply (Exhibit 5) (6)
Docket Text: REPLY by Defendant C.R. Bard, Inc., Counter Claimant C.R. Bard, Inc. to motion to stay, [126] (PUBLIC version of Reply; full version of Reply and Exhibits 3 and 4 to be filed under seal) (Attachments: # (1) Declaration of Nicole Smith in Support, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 5, # (5) Exhibit 6, # (6) Exhibit 7)(Flaming, Todd)
Dec 14, 2018 142 reply (Exhibit 6) (5)
Docket Text: REPLY by Defendant C.R. Bard, Inc., Counter Claimant C.R. Bard, Inc. to motion to stay, [126] (PUBLIC version of Reply; full version of Reply and Exhibits 3 and 4 to be filed under seal) (Attachments: # (1) Declaration of Nicole Smith in Support, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 5, # (5) Exhibit 6, # (6) Exhibit 7)(Flaming, Todd)
Dec 14, 2018 142 reply (Exhibit 7) (4)
Docket Text: REPLY by Defendant C.R. Bard, Inc., Counter Claimant C.R. Bard, Inc. to motion to stay, [126] (PUBLIC version of Reply; full version of Reply and Exhibits 3 and 4 to be filed under seal) (Attachments: # (1) Declaration of Nicole Smith in Support, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 5, # (5) Exhibit 6, # (6) Exhibit 7)(Flaming, Todd)
Dec 14, 2018 144 motion to seal document (2)
Docket Text: MOTION by Defendant C.R. Bard, Inc., Counter Claimant C.R. Bard, Inc. to seal document reply[143] (Flaming, Todd)
Dec 14, 2018 145 notice of motion (1)
Docket Text: NOTICE of Motion by Todd H. Flaming for presentment of motion to seal document[144] before Honorable Sara L. Ellis on 12/20/2018 at 01:45 PM. (Flaming, Todd)
Dec 13, 2018 139 motion to appear pro hac vice (2)
Docket Text: MOTION for Leave to Appear Pro Hac Vice Filing fee $ 150, receipt number 0752-15276189. (Soni, Naina)
Dec 13, 2018 140 notice of motion (3)
Docket Text: NOTICE of Motion by Naina Soni for presentment of motion to appear pro hac vice[139] before Honorable Sara L. Ellis on 12/18/2018 at 09:45 AM. (Soni, Naina)
Dec 12, 2018 138 order on motion for leave to file (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Plaintiff's unopposed motion for leave to file sur-reply to Defendant's reply claim construction brief [135] is granted. The Claim Construction hearing set for 12/17/2018 will begin at 9:00 a.m. and shall end at 1:00 p.m. The Court will not hear expert testimony and the parties will each have twenty (20) minutes for opening statements. Mailed notice (rj, )
Dec 10, 2018 135 motion for leave to file (Main Document) (3)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for leave to file Sur-Reply to C.R. Bard's Reply Claim Construction Brief (Attachments: # (1) Sur-Reply, # (2) Exhibit A to Sur-Reply)(Campbell, Christopher)
Dec 10, 2018 135 motion for leave to file (Sur-Reply) (3)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for leave to file Sur-Reply to C.R. Bard's Reply Claim Construction Brief (Attachments: # (1) Sur-Reply, # (2) Exhibit A to Sur-Reply)(Campbell, Christopher)
Dec 10, 2018 135 motion for leave to file (Exhibit A to Sur-Reply) (3)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for leave to file Sur-Reply to C.R. Bard's Reply Claim Construction Brief (Attachments: # (1) Sur-Reply, # (2) Exhibit A to Sur-Reply)(Campbell, Christopher)
Dec 10, 2018 136 notice of motion (3)
Docket Text: NOTICE of Motion by Christopher C. Campbell for presentment of motion for leave to file[135] before Honorable Sara L. Ellis on 12/13/2018 at 01:45 PM. (Campbell, Christopher)
Dec 10, 2018 137 other (Main Document) (7)
Docket Text: Joint Claim Construction Chart and Status Report by Medline Industries, Inc. (Attachments: # (1) Exhibit 1)(Campbell, Christopher)
Dec 10, 2018 137 other (Exhibit 1) (4)
Docket Text: Joint Claim Construction Chart and Status Report by Medline Industries, Inc. (Attachments: # (1) Exhibit 1)(Campbell, Christopher)
Dec 5, 2018 134 reply (Main Document) (20)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to Response,, [123] Claim Construction Brief (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6)(Smith, Nicole)
Dec 5, 2018 134 reply (Declaration of Dylan Raife) (2)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to Response,, [123] Claim Construction Brief (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6)(Smith, Nicole)
Dec 5, 2018 134 reply (Exhibit 1) (9)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to Response,, [123] Claim Construction Brief (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6)(Smith, Nicole)
Dec 5, 2018 134 reply (Exhibit 2) (3)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to Response,, [123] Claim Construction Brief (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6)(Smith, Nicole)
Dec 5, 2018 134 reply (Exhibit 3) (13)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to Response,, [123] Claim Construction Brief (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6)(Smith, Nicole)
Dec 5, 2018 134 reply (Exhibit 4) (5)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to Response,, [123] Claim Construction Brief (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6)(Smith, Nicole)
Dec 5, 2018 134 reply (Exhibit 5) (4)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to Response,, [123] Claim Construction Brief (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6)(Smith, Nicole)
Dec 5, 2018 134 reply (Exhibit 6) (2)
Docket Text: REPLY by Defendant C.R. Bard, Inc. to Response,, [123] Claim Construction Brief (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4, # (6) Exhibit 5, # (7) Exhibit 6)(Smith, Nicole)
Dec 3, 2018 133 memorandum in opposition to motion (Main Document) (16)
Docket Text: MEMORANDUM by Medline Industries, Inc. in Opposition to motion to stay, [126] (Attachments: # (1) Declaration of Stephen C. Crenshaw, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D)(Campbell, Christopher)
Dec 3, 2018 133 memorandum in opposition to motion (Declaration of Stephen C. Crenshaw) (2)
Docket Text: MEMORANDUM by Medline Industries, Inc. in Opposition to motion to stay, [126] (Attachments: # (1) Declaration of Stephen C. Crenshaw, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D)(Campbell, Christopher)
Dec 3, 2018 133 memorandum in opposition to motion (Exhibit A) (2)
Docket Text: MEMORANDUM by Medline Industries, Inc. in Opposition to motion to stay, [126] (Attachments: # (1) Declaration of Stephen C. Crenshaw, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D)(Campbell, Christopher)
Dec 3, 2018 133 memorandum in opposition to motion (Exhibit B) (6)
Docket Text: MEMORANDUM by Medline Industries, Inc. in Opposition to motion to stay, [126] (Attachments: # (1) Declaration of Stephen C. Crenshaw, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D)(Campbell, Christopher)
Dec 3, 2018 133 memorandum in opposition to motion (Exhibit C) (13)
Docket Text: MEMORANDUM by Medline Industries, Inc. in Opposition to motion to stay, [126] (Attachments: # (1) Declaration of Stephen C. Crenshaw, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D)(Campbell, Christopher)
Dec 3, 2018 133 memorandum in opposition to motion (Exhibit D) (6)
Docket Text: MEMORANDUM by Medline Industries, Inc. in Opposition to motion to stay, [126] (Attachments: # (1) Declaration of Stephen C. Crenshaw, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D)(Campbell, Christopher)
Nov 28, 2018 132 order on motion for extension of time (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Joint agreed motion to modify briefing schedule to allow for deposition of Medline's experts [130] is granted. Defendant's reply claim construction brief is due by 12/5/18 and the parties must submit their joint claim construction chart by 12/10/18. Mailed notice (rj, )
Nov 26, 2018 130 extension of time (3)
Docket Text: MOTION by Defendant C.R. Bard, Inc. for extension of time (JOINT AGREED MOTION TO MODIFY BRIEFING SCHEDULE TO ALLOW FOR DEPOSITION OF MEDLINE'S EXPERTS) (Flaming, Todd)
Nov 26, 2018 131 notice of motion (1)
Docket Text: (JOINT AGREED MOTION) NOTICE of Motion by Todd H. Flaming for presentment of extension of time[130] before Honorable Sara L. Ellis on 11/29/2018 at 01:45 PM. (Flaming, Todd)
Nov 19, 2018 129 declaration (Main Document) (17)
Docket Text: DECLARATION of Richard Meyst regarding Response,, [123] ** Corrected ** (Attachments: # (1) Exhibit 11)(Campbell, Christopher)
Nov 19, 2018 129 declaration (Exhibit 11) (5)
Docket Text: DECLARATION of Richard Meyst regarding Response,, [123] ** Corrected ** (Attachments: # (1) Exhibit 11)(Campbell, Christopher)
Nov 13, 2018 128 terminate deadlines and hearings (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Briefing schedule as to motion to stay [126]: Plaintiff's response due by 12/3/2018; Defendant's reply due by 12/14/2018. No appearance required, 11/14/2018. Mailed notice (rj, )
Nov 9, 2018 125 order on motion to appear pro hac vice (1)
Docket Text: ORDER: Motion by Stephen Crawford Crenshaw for leave to appear pro hac vice [121] is granted. Notice of Motion [122] is stricken. No appearance required, 11/13/2018. Signed by the Honorable Sara L. Ellis on 11/9/2018. Mailed notice. (sxb, )
Nov 9, 2018 126 motion to stay (Main Document) (2)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to stay (Attachments: # (1) Memorandum in Support of Motion to Stay, # (2) Declaration of Nicole Smith, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I)(Smith, Nicole)
Nov 9, 2018 126 motion to stay (Memorandum in Support of Motion to Stay) (16)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to stay (Attachments: # (1) Memorandum in Support of Motion to Stay, # (2) Declaration of Nicole Smith, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I)(Smith, Nicole)
Nov 9, 2018 126 motion to stay (Declaration of Nicole Smith) (2)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to stay (Attachments: # (1) Memorandum in Support of Motion to Stay, # (2) Declaration of Nicole Smith, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I)(Smith, Nicole)
Nov 9, 2018 126 motion to stay (Exhibit A) (8)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to stay (Attachments: # (1) Memorandum in Support of Motion to Stay, # (2) Declaration of Nicole Smith, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I)(Smith, Nicole)
Nov 9, 2018 126 motion to stay (Exhibit B) (8)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to stay (Attachments: # (1) Memorandum in Support of Motion to Stay, # (2) Declaration of Nicole Smith, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I)(Smith, Nicole)
Nov 9, 2018 126 motion to stay (Exhibit C) (5)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to stay (Attachments: # (1) Memorandum in Support of Motion to Stay, # (2) Declaration of Nicole Smith, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I)(Smith, Nicole)
Nov 9, 2018 126 motion to stay (Exhibit D) (30)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to stay (Attachments: # (1) Memorandum in Support of Motion to Stay, # (2) Declaration of Nicole Smith, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I)(Smith, Nicole)
Nov 9, 2018 126 motion to stay (Exhibit E) (30)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to stay (Attachments: # (1) Memorandum in Support of Motion to Stay, # (2) Declaration of Nicole Smith, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I)(Smith, Nicole)
Nov 9, 2018 126 motion to stay (Exhibit F) (30)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to stay (Attachments: # (1) Memorandum in Support of Motion to Stay, # (2) Declaration of Nicole Smith, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I)(Smith, Nicole)
Nov 9, 2018 126 motion to stay (Exhibit G) (30)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to stay (Attachments: # (1) Memorandum in Support of Motion to Stay, # (2) Declaration of Nicole Smith, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I)(Smith, Nicole)
Nov 9, 2018 126 motion to stay (Exhibit H) (30)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to stay (Attachments: # (1) Memorandum in Support of Motion to Stay, # (2) Declaration of Nicole Smith, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I)(Smith, Nicole)
Nov 9, 2018 126 motion to stay (Exhibit I) (4)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to stay (Attachments: # (1) Memorandum in Support of Motion to Stay, # (2) Declaration of Nicole Smith, # (3) Exhibit A, # (4) Exhibit B, # (5) Exhibit C, # (6) Exhibit D, # (7) Exhibit E, # (8) Exhibit F, # (9) Exhibit G, # (10) Exhibit H, # (11) Exhibit I)(Smith, Nicole)
Nov 9, 2018 127 notice of motion (1)
Docket Text: NOTICE of Motion by Nicole M. Smith for presentment of motion to stay, [126] before Honorable Sara L. Ellis on 11/14/2018 at 09:45 AM. (Smith, Nicole)
Nov 7, 2018 121 motion to appear pro hac vice (3)
Docket Text: MOTION for Leave to Appear Pro Hac Vice Filing fee $ 150, receipt number 0752-15154321. (Crenshaw, Stephen)
Nov 7, 2018 122 notice of motion (3)
Docket Text: NOTICE of Motion by Stephen Crawford Crenshaw for presentment of motion to appear pro hac vice[121] before Honorable Sara L. Ellis on 11/13/2018 at 09:45 AM. (Crenshaw, Stephen)
Nov 7, 2018 123 Response (Main Document) (30)
Docket Text: RESPONSE by Plaintiff Medline Industries, Inc. to other, [120] (Attachments: # (1) Declaration of Stephen C. Crenshaw, # (2) Exhibit A to Crenshaw Declaration, # (3) Exhibit B to Crenshaw Declaration, # (4) Exhibit C to Crenshaw Declaration, # (5) Exhibit D to Crenshaw Declaration, # (6) Exhibit E to Crenshaw Declaration, # (7) Exhibit F to Crenshaw Declaration, # (8) Exhibit G to Crenshaw Declaration, # (9) Exhibit H to Crenshaw Declaration, # (10) Declaration of Barbara Weintraub, # (11) Exhibit A to Weintraub Declaration)(Campbell, Christopher)
Nov 7, 2018 123 Response (Declaration of Stephen C. Crenshaw) (2)
Docket Text: RESPONSE by Plaintiff Medline Industries, Inc. to other, [120] (Attachments: # (1) Declaration of Stephen C. Crenshaw, # (2) Exhibit A to Crenshaw Declaration, # (3) Exhibit B to Crenshaw Declaration, # (4) Exhibit C to Crenshaw Declaration, # (5) Exhibit D to Crenshaw Declaration, # (6) Exhibit E to Crenshaw Declaration, # (7) Exhibit F to Crenshaw Declaration, # (8) Exhibit G to Crenshaw Declaration, # (9) Exhibit H to Crenshaw Declaration, # (10) Declaration of Barbara Weintraub, # (11) Exhibit A to Weintraub Declaration)(Campbell, Christopher)
Nov 7, 2018 123 Response (Exhibit A to Crenshaw Declaration) (6)
Docket Text: RESPONSE by Plaintiff Medline Industries, Inc. to other, [120] (Attachments: # (1) Declaration of Stephen C. Crenshaw, # (2) Exhibit A to Crenshaw Declaration, # (3) Exhibit B to Crenshaw Declaration, # (4) Exhibit C to Crenshaw Declaration, # (5) Exhibit D to Crenshaw Declaration, # (6) Exhibit E to Crenshaw Declaration, # (7) Exhibit F to Crenshaw Declaration, # (8) Exhibit G to Crenshaw Declaration, # (9) Exhibit H to Crenshaw Declaration, # (10) Declaration of Barbara Weintraub, # (11) Exhibit A to Weintraub Declaration)(Campbell, Christopher)
Nov 7, 2018 123 Response (Exhibit B to Crenshaw Declaration) (5)
Docket Text: RESPONSE by Plaintiff Medline Industries, Inc. to other, [120] (Attachments: # (1) Declaration of Stephen C. Crenshaw, # (2) Exhibit A to Crenshaw Declaration, # (3) Exhibit B to Crenshaw Declaration, # (4) Exhibit C to Crenshaw Declaration, # (5) Exhibit D to Crenshaw Declaration, # (6) Exhibit E to Crenshaw Declaration, # (7) Exhibit F to Crenshaw Declaration, # (8) Exhibit G to Crenshaw Declaration, # (9) Exhibit H to Crenshaw Declaration, # (10) Declaration of Barbara Weintraub, # (11) Exhibit A to Weintraub Declaration)(Campbell, Christopher)
Nov 7, 2018 123 Response (Exhibit C to Crenshaw Declaration) (7)
Docket Text: RESPONSE by Plaintiff Medline Industries, Inc. to other, [120] (Attachments: # (1) Declaration of Stephen C. Crenshaw, # (2) Exhibit A to Crenshaw Declaration, # (3) Exhibit B to Crenshaw Declaration, # (4) Exhibit C to Crenshaw Declaration, # (5) Exhibit D to Crenshaw Declaration, # (6) Exhibit E to Crenshaw Declaration, # (7) Exhibit F to Crenshaw Declaration, # (8) Exhibit G to Crenshaw Declaration, # (9) Exhibit H to Crenshaw Declaration, # (10) Declaration of Barbara Weintraub, # (11) Exhibit A to Weintraub Declaration)(Campbell, Christopher)
Nov 7, 2018 123 Response (Exhibit D to Crenshaw Declaration) (30)
Docket Text: RESPONSE by Plaintiff Medline Industries, Inc. to other, [120] (Attachments: # (1) Declaration of Stephen C. Crenshaw, # (2) Exhibit A to Crenshaw Declaration, # (3) Exhibit B to Crenshaw Declaration, # (4) Exhibit C to Crenshaw Declaration, # (5) Exhibit D to Crenshaw Declaration, # (6) Exhibit E to Crenshaw Declaration, # (7) Exhibit F to Crenshaw Declaration, # (8) Exhibit G to Crenshaw Declaration, # (9) Exhibit H to Crenshaw Declaration, # (10) Declaration of Barbara Weintraub, # (11) Exhibit A to Weintraub Declaration)(Campbell, Christopher)
Nov 7, 2018 123 Response (Exhibit E to Crenshaw Declaration) (7)
Docket Text: RESPONSE by Plaintiff Medline Industries, Inc. to other, [120] (Attachments: # (1) Declaration of Stephen C. Crenshaw, # (2) Exhibit A to Crenshaw Declaration, # (3) Exhibit B to Crenshaw Declaration, # (4) Exhibit C to Crenshaw Declaration, # (5) Exhibit D to Crenshaw Declaration, # (6) Exhibit E to Crenshaw Declaration, # (7) Exhibit F to Crenshaw Declaration, # (8) Exhibit G to Crenshaw Declaration, # (9) Exhibit H to Crenshaw Declaration, # (10) Declaration of Barbara Weintraub, # (11) Exhibit A to Weintraub Declaration)(Campbell, Christopher)
Nov 7, 2018 123 Response (Exhibit F to Crenshaw Declaration) (7)
Docket Text: RESPONSE by Plaintiff Medline Industries, Inc. to other, [120] (Attachments: # (1) Declaration of Stephen C. Crenshaw, # (2) Exhibit A to Crenshaw Declaration, # (3) Exhibit B to Crenshaw Declaration, # (4) Exhibit C to Crenshaw Declaration, # (5) Exhibit D to Crenshaw Declaration, # (6) Exhibit E to Crenshaw Declaration, # (7) Exhibit F to Crenshaw Declaration, # (8) Exhibit G to Crenshaw Declaration, # (9) Exhibit H to Crenshaw Declaration, # (10) Declaration of Barbara Weintraub, # (11) Exhibit A to Weintraub Declaration)(Campbell, Christopher)
Nov 7, 2018 123 Response (Exhibit G to Crenshaw Declaration) (2)
Docket Text: RESPONSE by Plaintiff Medline Industries, Inc. to other, [120] (Attachments: # (1) Declaration of Stephen C. Crenshaw, # (2) Exhibit A to Crenshaw Declaration, # (3) Exhibit B to Crenshaw Declaration, # (4) Exhibit C to Crenshaw Declaration, # (5) Exhibit D to Crenshaw Declaration, # (6) Exhibit E to Crenshaw Declaration, # (7) Exhibit F to Crenshaw Declaration, # (8) Exhibit G to Crenshaw Declaration, # (9) Exhibit H to Crenshaw Declaration, # (10) Declaration of Barbara Weintraub, # (11) Exhibit A to Weintraub Declaration)(Campbell, Christopher)
Nov 7, 2018 123 Response (Exhibit H to Crenshaw Declaration) (30)
Docket Text: RESPONSE by Plaintiff Medline Industries, Inc. to other, [120] (Attachments: # (1) Declaration of Stephen C. Crenshaw, # (2) Exhibit A to Crenshaw Declaration, # (3) Exhibit B to Crenshaw Declaration, # (4) Exhibit C to Crenshaw Declaration, # (5) Exhibit D to Crenshaw Declaration, # (6) Exhibit E to Crenshaw Declaration, # (7) Exhibit F to Crenshaw Declaration, # (8) Exhibit G to Crenshaw Declaration, # (9) Exhibit H to Crenshaw Declaration, # (10) Declaration of Barbara Weintraub, # (11) Exhibit A to Weintraub Declaration)(Campbell, Christopher)
Nov 7, 2018 123 Response (Declaration of Barbara Weintraub) (7)
Docket Text: RESPONSE by Plaintiff Medline Industries, Inc. to other, [120] (Attachments: # (1) Declaration of Stephen C. Crenshaw, # (2) Exhibit A to Crenshaw Declaration, # (3) Exhibit B to Crenshaw Declaration, # (4) Exhibit C to Crenshaw Declaration, # (5) Exhibit D to Crenshaw Declaration, # (6) Exhibit E to Crenshaw Declaration, # (7) Exhibit F to Crenshaw Declaration, # (8) Exhibit G to Crenshaw Declaration, # (9) Exhibit H to Crenshaw Declaration, # (10) Declaration of Barbara Weintraub, # (11) Exhibit A to Weintraub Declaration)(Campbell, Christopher)
Nov 7, 2018 123 Response (Exhibit A to Weintraub Declaration) (10)
Docket Text: RESPONSE by Plaintiff Medline Industries, Inc. to other, [120] (Attachments: # (1) Declaration of Stephen C. Crenshaw, # (2) Exhibit A to Crenshaw Declaration, # (3) Exhibit B to Crenshaw Declaration, # (4) Exhibit C to Crenshaw Declaration, # (5) Exhibit D to Crenshaw Declaration, # (6) Exhibit E to Crenshaw Declaration, # (7) Exhibit F to Crenshaw Declaration, # (8) Exhibit G to Crenshaw Declaration, # (9) Exhibit H to Crenshaw Declaration, # (10) Declaration of Barbara Weintraub, # (11) Exhibit A to Weintraub Declaration)(Campbell, Christopher)
Nov 7, 2018 124 declaration (Main Document) (17)
Docket Text: DECLARATION of Richard Meyst regarding Response,, [123] (Attachments: # (1) Exhibit A to Meyst Declaration, # (2) Exhibit 1 to Meyst Declaration, # (3) Exhibit 2 to Meyst Declaration, # (4) Exhibit 3 to Meyst Declaration, # (5) Exhibit 4 to Meyst Declaration, # (6) Exhibit 5 to Meyst Declaration, # (7) Exhibit 6 to Meyst Declaration, # (8) Exhibit 7 to Meyst Declaration, # (9) Exhibit 8 to Meyst Declaration, # (10) Exhibit 9 to Meyst Declaration, # (11) Exhibit 10 to Meyst Declaration)(Campbell, Christopher)
Nov 7, 2018 124 declaration (Exhibit A to Meyst Declaration) (10)
Docket Text: DECLARATION of Richard Meyst regarding Response,, [123] (Attachments: # (1) Exhibit A to Meyst Declaration, # (2) Exhibit 1 to Meyst Declaration, # (3) Exhibit 2 to Meyst Declaration, # (4) Exhibit 3 to Meyst Declaration, # (5) Exhibit 4 to Meyst Declaration, # (6) Exhibit 5 to Meyst Declaration, # (7) Exhibit 6 to Meyst Declaration, # (8) Exhibit 7 to Meyst Declaration, # (9) Exhibit 8 to Meyst Declaration, # (10) Exhibit 9 to Meyst Declaration, # (11) Exhibit 10 to Meyst Declaration)(Campbell, Christopher)
Nov 7, 2018 124 declaration (Exhibit 1 to Meyst Declaration) (8)
Docket Text: DECLARATION of Richard Meyst regarding Response,, [123] (Attachments: # (1) Exhibit A to Meyst Declaration, # (2) Exhibit 1 to Meyst Declaration, # (3) Exhibit 2 to Meyst Declaration, # (4) Exhibit 3 to Meyst Declaration, # (5) Exhibit 4 to Meyst Declaration, # (6) Exhibit 5 to Meyst Declaration, # (7) Exhibit 6 to Meyst Declaration, # (8) Exhibit 7 to Meyst Declaration, # (9) Exhibit 8 to Meyst Declaration, # (10) Exhibit 9 to Meyst Declaration, # (11) Exhibit 10 to Meyst Declaration)(Campbell, Christopher)
Nov 7, 2018 124 declaration (Exhibit 2 to Meyst Declaration) (13)
Docket Text: DECLARATION of Richard Meyst regarding Response,, [123] (Attachments: # (1) Exhibit A to Meyst Declaration, # (2) Exhibit 1 to Meyst Declaration, # (3) Exhibit 2 to Meyst Declaration, # (4) Exhibit 3 to Meyst Declaration, # (5) Exhibit 4 to Meyst Declaration, # (6) Exhibit 5 to Meyst Declaration, # (7) Exhibit 6 to Meyst Declaration, # (8) Exhibit 7 to Meyst Declaration, # (9) Exhibit 8 to Meyst Declaration, # (10) Exhibit 9 to Meyst Declaration, # (11) Exhibit 10 to Meyst Declaration)(Campbell, Christopher)
Nov 7, 2018 124 declaration (Exhibit 3 to Meyst Declaration) (6)
Docket Text: DECLARATION of Richard Meyst regarding Response,, [123] (Attachments: # (1) Exhibit A to Meyst Declaration, # (2) Exhibit 1 to Meyst Declaration, # (3) Exhibit 2 to Meyst Declaration, # (4) Exhibit 3 to Meyst Declaration, # (5) Exhibit 4 to Meyst Declaration, # (6) Exhibit 5 to Meyst Declaration, # (7) Exhibit 6 to Meyst Declaration, # (8) Exhibit 7 to Meyst Declaration, # (9) Exhibit 8 to Meyst Declaration, # (10) Exhibit 9 to Meyst Declaration, # (11) Exhibit 10 to Meyst Declaration)(Campbell, Christopher)
Nov 7, 2018 124 declaration (Exhibit 4 to Meyst Declaration) (10)
Docket Text: DECLARATION of Richard Meyst regarding Response,, [123] (Attachments: # (1) Exhibit A to Meyst Declaration, # (2) Exhibit 1 to Meyst Declaration, # (3) Exhibit 2 to Meyst Declaration, # (4) Exhibit 3 to Meyst Declaration, # (5) Exhibit 4 to Meyst Declaration, # (6) Exhibit 5 to Meyst Declaration, # (7) Exhibit 6 to Meyst Declaration, # (8) Exhibit 7 to Meyst Declaration, # (9) Exhibit 8 to Meyst Declaration, # (10) Exhibit 9 to Meyst Declaration, # (11) Exhibit 10 to Meyst Declaration)(Campbell, Christopher)
Nov 7, 2018 124 declaration (Exhibit 5 to Meyst Declaration) (12)
Docket Text: DECLARATION of Richard Meyst regarding Response,, [123] (Attachments: # (1) Exhibit A to Meyst Declaration, # (2) Exhibit 1 to Meyst Declaration, # (3) Exhibit 2 to Meyst Declaration, # (4) Exhibit 3 to Meyst Declaration, # (5) Exhibit 4 to Meyst Declaration, # (6) Exhibit 5 to Meyst Declaration, # (7) Exhibit 6 to Meyst Declaration, # (8) Exhibit 7 to Meyst Declaration, # (9) Exhibit 8 to Meyst Declaration, # (10) Exhibit 9 to Meyst Declaration, # (11) Exhibit 10 to Meyst Declaration)(Campbell, Christopher)
Nov 7, 2018 124 declaration (Exhibit 6 to Meyst Declaration) (6)
Docket Text: DECLARATION of Richard Meyst regarding Response,, [123] (Attachments: # (1) Exhibit A to Meyst Declaration, # (2) Exhibit 1 to Meyst Declaration, # (3) Exhibit 2 to Meyst Declaration, # (4) Exhibit 3 to Meyst Declaration, # (5) Exhibit 4 to Meyst Declaration, # (6) Exhibit 5 to Meyst Declaration, # (7) Exhibit 6 to Meyst Declaration, # (8) Exhibit 7 to Meyst Declaration, # (9) Exhibit 8 to Meyst Declaration, # (10) Exhibit 9 to Meyst Declaration, # (11) Exhibit 10 to Meyst Declaration)(Campbell, Christopher)
Nov 7, 2018 124 declaration (Exhibit 7 to Meyst Declaration) (2)
Docket Text: DECLARATION of Richard Meyst regarding Response,, [123] (Attachments: # (1) Exhibit A to Meyst Declaration, # (2) Exhibit 1 to Meyst Declaration, # (3) Exhibit 2 to Meyst Declaration, # (4) Exhibit 3 to Meyst Declaration, # (5) Exhibit 4 to Meyst Declaration, # (6) Exhibit 5 to Meyst Declaration, # (7) Exhibit 6 to Meyst Declaration, # (8) Exhibit 7 to Meyst Declaration, # (9) Exhibit 8 to Meyst Declaration, # (10) Exhibit 9 to Meyst Declaration, # (11) Exhibit 10 to Meyst Declaration)(Campbell, Christopher)
Nov 7, 2018 124 declaration (Exhibit 8 to Meyst Declaration) (18)
Docket Text: DECLARATION of Richard Meyst regarding Response,, [123] (Attachments: # (1) Exhibit A to Meyst Declaration, # (2) Exhibit 1 to Meyst Declaration, # (3) Exhibit 2 to Meyst Declaration, # (4) Exhibit 3 to Meyst Declaration, # (5) Exhibit 4 to Meyst Declaration, # (6) Exhibit 5 to Meyst Declaration, # (7) Exhibit 6 to Meyst Declaration, # (8) Exhibit 7 to Meyst Declaration, # (9) Exhibit 8 to Meyst Declaration, # (10) Exhibit 9 to Meyst Declaration, # (11) Exhibit 10 to Meyst Declaration)(Campbell, Christopher)
Nov 7, 2018 124 declaration (Exhibit 9 to Meyst Declaration) (7)
Docket Text: DECLARATION of Richard Meyst regarding Response,, [123] (Attachments: # (1) Exhibit A to Meyst Declaration, # (2) Exhibit 1 to Meyst Declaration, # (3) Exhibit 2 to Meyst Declaration, # (4) Exhibit 3 to Meyst Declaration, # (5) Exhibit 4 to Meyst Declaration, # (6) Exhibit 5 to Meyst Declaration, # (7) Exhibit 6 to Meyst Declaration, # (8) Exhibit 7 to Meyst Declaration, # (9) Exhibit 8 to Meyst Declaration, # (10) Exhibit 9 to Meyst Declaration, # (11) Exhibit 10 to Meyst Declaration)(Campbell, Christopher)
Nov 7, 2018 124 declaration (Exhibit 10 to Meyst Declaration) (2)
Docket Text: DECLARATION of Richard Meyst regarding Response,, [123] (Attachments: # (1) Exhibit A to Meyst Declaration, # (2) Exhibit 1 to Meyst Declaration, # (3) Exhibit 2 to Meyst Declaration, # (4) Exhibit 3 to Meyst Declaration, # (5) Exhibit 4 to Meyst Declaration, # (6) Exhibit 5 to Meyst Declaration, # (7) Exhibit 6 to Meyst Declaration, # (8) Exhibit 7 to Meyst Declaration, # (9) Exhibit 8 to Meyst Declaration, # (10) Exhibit 9 to Meyst Declaration, # (11) Exhibit 10 to Meyst Declaration)(Campbell, Christopher)
Oct 10, 2018 119 appendix (Main Document) (2)
Docket Text: APPENDIX Joint Appendix Pursuant to Local Patent Rule 4.2(b) (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8)(Smith, Nicole)
Oct 10, 2018 119 appendix (Exhibit 1) (30)
Docket Text: APPENDIX Joint Appendix Pursuant to Local Patent Rule 4.2(b) (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8)(Smith, Nicole)
Oct 10, 2018 119 appendix (Exhibit 2) (30)
Docket Text: APPENDIX Joint Appendix Pursuant to Local Patent Rule 4.2(b) (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8)(Smith, Nicole)
Oct 10, 2018 119 appendix (Exhibit 3) (23)
Docket Text: APPENDIX Joint Appendix Pursuant to Local Patent Rule 4.2(b) (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8)(Smith, Nicole)
Oct 10, 2018 119 appendix (Exhibit 4) (30)
Docket Text: APPENDIX Joint Appendix Pursuant to Local Patent Rule 4.2(b) (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8)(Smith, Nicole)
Oct 10, 2018 119 appendix (Exhibit 5) (30)
Docket Text: APPENDIX Joint Appendix Pursuant to Local Patent Rule 4.2(b) (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8)(Smith, Nicole)
Oct 10, 2018 119 appendix (Exhibit 6) (30)
Docket Text: APPENDIX Joint Appendix Pursuant to Local Patent Rule 4.2(b) (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8)(Smith, Nicole)
Oct 10, 2018 119 appendix (Exhibit 7) (30)
Docket Text: APPENDIX Joint Appendix Pursuant to Local Patent Rule 4.2(b) (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8)(Smith, Nicole)
Oct 10, 2018 119 appendix (Exhibit 8) (30)
Docket Text: APPENDIX Joint Appendix Pursuant to Local Patent Rule 4.2(b) (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8)(Smith, Nicole)
Oct 10, 2018 120 other (Main Document) (27)
Docket Text: Opening Claim Construction Brief by C.R. Bard, Inc. (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L)(Smith, Nicole)
Oct 10, 2018 120 other (Declaration of Dylan Raife) (3)
Docket Text: Opening Claim Construction Brief by C.R. Bard, Inc. (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L)(Smith, Nicole)
Oct 10, 2018 120 other (Exhibit A) (3)
Docket Text: Opening Claim Construction Brief by C.R. Bard, Inc. (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L)(Smith, Nicole)
Oct 10, 2018 120 other (Exhibit B) (3)
Docket Text: Opening Claim Construction Brief by C.R. Bard, Inc. (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L)(Smith, Nicole)
Oct 10, 2018 120 other (Exhibit C) (4)
Docket Text: Opening Claim Construction Brief by C.R. Bard, Inc. (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L)(Smith, Nicole)
Oct 10, 2018 120 other (Exhibit D) (6)
Docket Text: Opening Claim Construction Brief by C.R. Bard, Inc. (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L)(Smith, Nicole)
Oct 10, 2018 120 other (Exhibit E) (12)
Docket Text: Opening Claim Construction Brief by C.R. Bard, Inc. (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L)(Smith, Nicole)
Oct 10, 2018 120 other (Exhibit F) (5)
Docket Text: Opening Claim Construction Brief by C.R. Bard, Inc. (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L)(Smith, Nicole)
Oct 10, 2018 120 other (Exhibit G) (5)
Docket Text: Opening Claim Construction Brief by C.R. Bard, Inc. (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L)(Smith, Nicole)
Oct 10, 2018 120 other (Exhibit H) (28)
Docket Text: Opening Claim Construction Brief by C.R. Bard, Inc. (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L)(Smith, Nicole)
Oct 10, 2018 120 other (Exhibit I) (5)
Docket Text: Opening Claim Construction Brief by C.R. Bard, Inc. (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L)(Smith, Nicole)
Oct 10, 2018 120 other (Exhibit J) (6)
Docket Text: Opening Claim Construction Brief by C.R. Bard, Inc. (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L)(Smith, Nicole)
Oct 10, 2018 120 other (Exhibit K) (22)
Docket Text: Opening Claim Construction Brief by C.R. Bard, Inc. (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L)(Smith, Nicole)
Oct 10, 2018 120 other (Exhibit L) (21)
Docket Text: Opening Claim Construction Brief by C.R. Bard, Inc. (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E, # (7) Exhibit F, # (8) Exhibit G, # (9) Exhibit H, # (10) Exhibit I, # (11) Exhibit J, # (12) Exhibit K, # (13) Exhibit L)(Smith, Nicole)
Sep 25, 2018 118 order on motion to appear pro hac vice (1)
Docket Text: ORDER: Mark Zambarda's motion for leave to appear pro hac vice for Plaintiff/Counter Defendant Medline Industries, Inc [116] is granted. Noticed motion date of 9/27/2018 is stricken. Signed by the Honorable Sara L. Ellis on 9/25/2018. Mailed notice. (sxb, )
Sep 21, 2018 116 motion to appear pro hac vice (2)
Docket Text: MOTION for Leave to Appear Pro Hac Vice Filing fee $ 150, receipt number 0752-14976219. (Mark, Zambaarda)
Sep 21, 2018 117 notice of motion (3)
Docket Text: NOTICE of Motion by Zambaarda Mark for presentment of motion to appear pro hac vice[116] before Honorable Sara L. Ellis on 9/27/2018 at 01:45 PM. (Mark, Zambaarda)
Sep 19, 2018 115 transcript (7)
Docket Text: TRANSCRIPT OF PROCEEDINGS held on 09/12/18 before the Honorable Sara L. Ellis. Order Number: 32130. Court Reporter Contact Information: Patrick Mullen, (312) 435-5565, patrick_mullen@ilnd.uscourts.gov. 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 10/10/2018. Redacted Transcript Deadline set for 10/22/2018. Release of Transcript Restriction set for 12/18/2018. (Mullen, Patrick)
Sep 12, 2018 114 status hearing (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Status hearing held. Counsel reported on track to complete Pre-Claim Fact Discovery by 10/3/2018. Markman hearing set to begin on 12/17/2018 to stand. Mailed notice (mw, )
Sep 11, 2018 113 order on motion to dismiss (12)
Docket Text: OPINION AND ORDER Signed by the Honorable Sara L. Ellis on 9/11/2018: For the foregoing reasons, the Court grants Medline's motion to dismiss the counterclaims and to strike the inequitable conduct affirmative defense [69]. Mailed notice (mw, )
Sep 6, 2018 111 transcript (8)
Docket Text: TRANSCRIPT OF PROCEEDINGS held on 04/04/18 before the Honorable Sara L. Ellis. Order Number: 31975. Court Reporter Contact Information: Patrick Mullen, (312) 435-5565, patrick_mullen@ilnd.uscourts.gov. 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 9/27/2018. Redacted Transcript Deadline set for 10/9/2018. Release of Transcript Restriction set for 12/5/2018. (Mullen, Patrick)
Sep 6, 2018 112 transcript (7)
Docket Text: TRANSCRIPT OF PROCEEDINGS held on 06/12/18 before the Honorable Sara L. Ellis. Order Number: 31975. Court Reporter Contact Information: Patrick Mullen, (312) 435-5565, patrick_mullen@ilnd.uscourts.gov. 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 9/27/2018. Redacted Transcript Deadline set for 10/9/2018. Release of Transcript Restriction set for 12/5/2018. (Mullen, Patrick)
Sep 5, 2018 110 notice of filing (Main Document) (6)
Docket Text: NOTICE by Medline Industries, Inc. of Material Developments in Prosecution Dispelling Bard's Inequitable Conduct Counterclaims (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F)(Campbell, Christopher)
Sep 5, 2018 110 notice of filing (Exhibit A) (4)
Docket Text: NOTICE by Medline Industries, Inc. of Material Developments in Prosecution Dispelling Bard's Inequitable Conduct Counterclaims (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F)(Campbell, Christopher)
Sep 5, 2018 110 notice of filing (Exhibit B) (4)
Docket Text: NOTICE by Medline Industries, Inc. of Material Developments in Prosecution Dispelling Bard's Inequitable Conduct Counterclaims (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F)(Campbell, Christopher)
Sep 5, 2018 110 notice of filing (Exhibit C) (2)
Docket Text: NOTICE by Medline Industries, Inc. of Material Developments in Prosecution Dispelling Bard's Inequitable Conduct Counterclaims (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F)(Campbell, Christopher)
Sep 5, 2018 110 notice of filing (Exhibit D) (8)
Docket Text: NOTICE by Medline Industries, Inc. of Material Developments in Prosecution Dispelling Bard's Inequitable Conduct Counterclaims (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F)(Campbell, Christopher)
Sep 5, 2018 110 notice of filing (Exhibit E) (19)
Docket Text: NOTICE by Medline Industries, Inc. of Material Developments in Prosecution Dispelling Bard's Inequitable Conduct Counterclaims (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F)(Campbell, Christopher)
Sep 5, 2018 110 notice of filing (Exhibit F) (9)
Docket Text: NOTICE by Medline Industries, Inc. of Material Developments in Prosecution Dispelling Bard's Inequitable Conduct Counterclaims (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F)(Campbell, Christopher)
Aug 10, 2018 109 terminate hearings (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Status hearing set for 8/14/18 is stricken and reset to 9/12/2018 at 9:30 a.m. for ruling on motion to dismiss counterclaims. Mailed notice (mw, )
Jul 26, 2018 108 Response (Main Document) (10)
Docket Text: RESPONSE by Plaintiff Medline Industries, Inc. to sur-reply, [106] in support of Motion to Dismiss Defendant's Inequitable Conduct Counterclaims and to Strike Affirmative Defense of Inequitable Conduct (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D)(Campbell, Christopher)
Jul 26, 2018 108 Response (Exhibit A) (30)
Docket Text: RESPONSE by Plaintiff Medline Industries, Inc. to sur-reply, [106] in support of Motion to Dismiss Defendant's Inequitable Conduct Counterclaims and to Strike Affirmative Defense of Inequitable Conduct (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D)(Campbell, Christopher)
Jul 26, 2018 108 Response (Exhibit B) (30)
Docket Text: RESPONSE by Plaintiff Medline Industries, Inc. to sur-reply, [106] in support of Motion to Dismiss Defendant's Inequitable Conduct Counterclaims and to Strike Affirmative Defense of Inequitable Conduct (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D)(Campbell, Christopher)
Jul 26, 2018 108 Response (Exhibit C) (2)
Docket Text: RESPONSE by Plaintiff Medline Industries, Inc. to sur-reply, [106] in support of Motion to Dismiss Defendant's Inequitable Conduct Counterclaims and to Strike Affirmative Defense of Inequitable Conduct (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D)(Campbell, Christopher)
Jul 26, 2018 108 Response (Exhibit D) (30)
Docket Text: RESPONSE by Plaintiff Medline Industries, Inc. to sur-reply, [106] in support of Motion to Dismiss Defendant's Inequitable Conduct Counterclaims and to Strike Affirmative Defense of Inequitable Conduct (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D)(Campbell, Christopher)
Jul 17, 2018 107 text entry (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Minute order Dkt. [105] is amended to include the following: Plaintiff's sur-response is due by 7/26/2018. Mailed notice (rj, )
Jul 16, 2018 105 order on motion to withdraw as attorney (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Motion for leave to withdraw as counsel for Defendant [101] is granted. Attorney Kenneth E. Kraus is terminated. Defendant's motion for leave to file sur-reply [103] is granted. Mailed notice (rj, )
Jul 16, 2018 106 sur-reply (Main Document) (6)
Docket Text: SUR-REPLY by Defendant C.R. Bard, Inc., Counter Claimant C.R. Bard, Inc. to reply to response to motion, [99] (Attachments: # (1) Declaration of Dylan Raife in Support, # (2) Exhibit 1 to Raife Decl., # (3) Exhibit 2 to Raife Decl.)(Smith, Nicole)
Jul 16, 2018 106 sur-reply (Declaration of Dylan Raife in Support) (2)
Docket Text: SUR-REPLY by Defendant C.R. Bard, Inc., Counter Claimant C.R. Bard, Inc. to reply to response to motion, [99] (Attachments: # (1) Declaration of Dylan Raife in Support, # (2) Exhibit 1 to Raife Decl., # (3) Exhibit 2 to Raife Decl.)(Smith, Nicole)
Jul 16, 2018 106 sur-reply (Exhibit 1 to Raife Decl.) (14)
Docket Text: SUR-REPLY by Defendant C.R. Bard, Inc., Counter Claimant C.R. Bard, Inc. to reply to response to motion, [99] (Attachments: # (1) Declaration of Dylan Raife in Support, # (2) Exhibit 1 to Raife Decl., # (3) Exhibit 2 to Raife Decl.)(Smith, Nicole)
Jul 16, 2018 106 sur-reply (Exhibit 2 to Raife Decl.) (3)
Docket Text: SUR-REPLY by Defendant C.R. Bard, Inc., Counter Claimant C.R. Bard, Inc. to reply to response to motion, [99] (Attachments: # (1) Declaration of Dylan Raife in Support, # (2) Exhibit 1 to Raife Decl., # (3) Exhibit 2 to Raife Decl.)(Smith, Nicole)
Jul 13, 2018 103 motion for leave to file (Main Document) (2)
Docket Text: MOTION by Defendant C.R. Bard, Inc., Counter Claimant C.R. Bard, Inc. for leave to file Sur-Reply in Response to Medline's Reply Brief (Attachments: # (1) Exhibit A - Proposed Sur-Reply, # (2) Declaration Declaration of Dylan J. Raife in Support of Sur-Reply, # (3) Exhibit 1 to Raife Decl., # (4) Exhibit 2 to Raife Decl.)(Smith, Nicole)
Jul 13, 2018 103 motion for leave to file (Exhibit A - Proposed Sur-Reply) (7)
Docket Text: MOTION by Defendant C.R. Bard, Inc., Counter Claimant C.R. Bard, Inc. for leave to file Sur-Reply in Response to Medline's Reply Brief (Attachments: # (1) Exhibit A - Proposed Sur-Reply, # (2) Declaration Declaration of Dylan J. Raife in Support of Sur-Reply, # (3) Exhibit 1 to Raife Decl., # (4) Exhibit 2 to Raife Decl.)(Smith, Nicole)
Jul 13, 2018 103 motion for leave to file (Declaration Declaration of Dylan J. Raife in Support of Sur-Reply) (2)
Docket Text: MOTION by Defendant C.R. Bard, Inc., Counter Claimant C.R. Bard, Inc. for leave to file Sur-Reply in Response to Medline's Reply Brief (Attachments: # (1) Exhibit A - Proposed Sur-Reply, # (2) Declaration Declaration of Dylan J. Raife in Support of Sur-Reply, # (3) Exhibit 1 to Raife Decl., # (4) Exhibit 2 to Raife Decl.)(Smith, Nicole)
Jul 13, 2018 103 motion for leave to file (Exhibit 1 to Raife Decl.) (14)
Docket Text: MOTION by Defendant C.R. Bard, Inc., Counter Claimant C.R. Bard, Inc. for leave to file Sur-Reply in Response to Medline's Reply Brief (Attachments: # (1) Exhibit A - Proposed Sur-Reply, # (2) Declaration Declaration of Dylan J. Raife in Support of Sur-Reply, # (3) Exhibit 1 to Raife Decl., # (4) Exhibit 2 to Raife Decl.)(Smith, Nicole)
Jul 13, 2018 103 motion for leave to file (Exhibit 2 to Raife Decl.) (3)
Docket Text: MOTION by Defendant C.R. Bard, Inc., Counter Claimant C.R. Bard, Inc. for leave to file Sur-Reply in Response to Medline's Reply Brief (Attachments: # (1) Exhibit A - Proposed Sur-Reply, # (2) Declaration Declaration of Dylan J. Raife in Support of Sur-Reply, # (3) Exhibit 1 to Raife Decl., # (4) Exhibit 2 to Raife Decl.)(Smith, Nicole)
Jul 13, 2018 104 notice of motion (1)
Docket Text: NOTICE of Motion by Nicole M. Smith for presentment of motion for leave to file, [103] before Honorable Sara L. Ellis on 7/18/2018 at 09:45 AM. (Smith, Nicole)
Jul 2, 2018 100 notice of change of address (2)
Docket Text: NOTICE by Todd H. Flaming of Change of Address (CHANGE OF FIRM NAME) (Flaming, Todd)
Jul 2, 2018 101 motion to withdraw as attorney (1)
Docket Text: MOTION by Attorney KENNETH E. KRAUS to withdraw as attorney for C.R. Bard, Inc.. No party information provided (Flaming, Todd)
Jul 2, 2018 102 notice of motion (1)
Docket Text: NOTICE of Motion by Todd H. Flaming for presentment of motion to withdraw as attorney[101] before Honorable Sara L. Ellis on 7/17/2018 at 09:45 AM. (Flaming, Todd)
Jun 26, 2018 99 reply to response to motion (Main Document) (20)
Docket Text: REPLY by Medline Industries, Inc. to response in opposition to motion, [77] to Dismiss Defendant's inequitable Conduct Counterclaims and to Strike Affirmative Defense of Inequitable Conduct (Attachments: # (1) Declaration of Christopher C. Campbell, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4)(Campbell, Christopher)
Jun 26, 2018 99 reply to response to motion (Declaration of Christopher C. Campbell) (2)
Docket Text: REPLY by Medline Industries, Inc. to response in opposition to motion, [77] to Dismiss Defendant's inequitable Conduct Counterclaims and to Strike Affirmative Defense of Inequitable Conduct (Attachments: # (1) Declaration of Christopher C. Campbell, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4)(Campbell, Christopher)
Jun 26, 2018 99 reply to response to motion (Exhibit 1) (30)
Docket Text: REPLY by Medline Industries, Inc. to response in opposition to motion, [77] to Dismiss Defendant's inequitable Conduct Counterclaims and to Strike Affirmative Defense of Inequitable Conduct (Attachments: # (1) Declaration of Christopher C. Campbell, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4)(Campbell, Christopher)
Jun 26, 2018 99 reply to response to motion (Exhibit 2) (30)
Docket Text: REPLY by Medline Industries, Inc. to response in opposition to motion, [77] to Dismiss Defendant's inequitable Conduct Counterclaims and to Strike Affirmative Defense of Inequitable Conduct (Attachments: # (1) Declaration of Christopher C. Campbell, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4)(Campbell, Christopher)
Jun 26, 2018 99 reply to response to motion (Exhibit 3) (30)
Docket Text: REPLY by Medline Industries, Inc. to response in opposition to motion, [77] to Dismiss Defendant's inequitable Conduct Counterclaims and to Strike Affirmative Defense of Inequitable Conduct (Attachments: # (1) Declaration of Christopher C. Campbell, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4)(Campbell, Christopher)
Jun 26, 2018 99 reply to response to motion (Exhibit 4) (8)
Docket Text: REPLY by Medline Industries, Inc. to response in opposition to motion, [77] to Dismiss Defendant's inequitable Conduct Counterclaims and to Strike Affirmative Defense of Inequitable Conduct (Attachments: # (1) Declaration of Christopher C. Campbell, # (2) Exhibit 1, # (3) Exhibit 2, # (4) Exhibit 3, # (5) Exhibit 4)(Campbell, Christopher)
Jun 18, 2018 98 order on motion to appear pro hac vice (1)
Docket Text: ORDER: Motion by Dylan James Raife for leave to appear pro hac vice [94] is granted. Signed by the Honorable Sara L. Ellis on 6/18/2018. Mailed notice (nsf, )
Jun 15, 2018 96 text entry (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Enter Order. The Court hereby adopts the parties' case schedule and modifies the existing dates as follows: Final Infringement, Unenforceability, and Invalidity Contentions (modified from LPR 3.1) due by 7/24/2018. Final Non-Infringement Contentions and Validity Contentions due by 8/22/2018. Exchange of Claim Terms Needing Construction (LPR 4.1(a)) due by 9/5/2018. Meet and Confer Upon Claim Terms for Construction (LPR 4.1(b)) due by 9/12/2018. Pre-Claim Construction Deposition Fact Discovery Closes by 10/3/2018. Opening Claim Construction Brief(s) (by alleged infringer(s)) (LPR 4.2(a)) due by 10/10/2018. Joint Appendix for Claim Construction(LPR 4.2(b)) due by 10/10/2018. Responsive Claim Construction Brief (by patent infringement Asserter(s)) (LPR 4.2(c)) due by 11/7/2018. Reply Claim Construction Brief (LPR 4.2(d)) due by 11/21/2018. Joint Claim Construction Chart (LPR 4.2(f)) due by 11/30/2018. Claim Construction Hearing is set for 12/17-18/2018 at 9:00 AM. Mailed notice (rj, )
Jun 15, 2018 97 order (2)
Docket Text: ORDER. Signed by the Honorable Sara L. Ellis on 6/15/2018:Mailed notice(rj, )
Jun 12, 2018 95 order on motion to set a briefing schedule (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Motion hearing held on 6/12/2018. Motion to set a briefing schedule [90] is granted. Markman hearing set for 10/25/2018 is stricken and reset for 12/17/2018 at 9:00 AM and 12/18/2018. Parties to submit proposed order regarding briefing. Mailed notice (rj, )
Jun 11, 2018 93 reply to response to motion (Main Document) (5)
Docket Text: REPLY by Medline Industries, Inc. to response in opposition to motion[92] (Attachments: # (1) Exhibit A - Bard v. Angiodynamics Scheduling Order, # (2) Exhibit B - Zeiss v. Nikon Scheduling Order)(Hoover, Allen)
Jun 11, 2018 93 reply to response to motion (Exhibit A - Bard v. Angiodynamics Scheduling Order) (5)
Docket Text: REPLY by Medline Industries, Inc. to response in opposition to motion[92] (Attachments: # (1) Exhibit A - Bard v. Angiodynamics Scheduling Order, # (2) Exhibit B - Zeiss v. Nikon Scheduling Order)(Hoover, Allen)
Jun 11, 2018 93 reply to response to motion (Exhibit B - Zeiss v. Nikon Scheduling Order) (2)
Docket Text: REPLY by Medline Industries, Inc. to response in opposition to motion[92] (Attachments: # (1) Exhibit A - Bard v. Angiodynamics Scheduling Order, # (2) Exhibit B - Zeiss v. Nikon Scheduling Order)(Hoover, Allen)
Jun 11, 2018 94 motion to appear pro hac vice (2)
Docket Text: MOTION for Leave to Appear Pro Hac Vice Filing fee $ 150, receipt number 0752-14574850. (Raife, Dylan)
Jun 8, 2018 92 response in opposition to motion (4)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc., Counter Defendant Medline Industries, Inc. to set a briefing schedule [90] (Smith, Nicole)
Jun 1, 2018 90 motion by filer to set a briefing schedule (5)
Docket Text: MOTION by Plaintiff Medline Industries, Inc., Counter Defendant Medline Industries, Inc. to set a briefing schedule (Hoover, Allen)
Jun 1, 2018 91 notice of motion (3)
Docket Text: NOTICE of Motion by Allen E. Hoover for presentment of motion by filer to set a briefing schedule[90] before Honorable Sara L. Ellis on 6/12/2018 at 09:30 AM. (Hoover, Allen)
May 29, 2018 89 order on motion to withdraw as attorney (1)
Docket Text: ORDER: Motion to Withdraw Brian Eutermoster as counsel for Plaintiff Medline Industries, Inc. [78] is granted. Motion to Withdraw Peter Sauer as counsel for Plaintiff Medline Industries, Inc. [80] is granted. Motion to Withdraw Angela Tarasi as counsel for Plaintiff Medline Industries, Inc. [82] is granted. Motion by Erin M. Estevez for leave to appear pro hac vice [84] is granted. Plaintiff's motion for extension of time to file reply brief [87] is granted. Plaintiff's reply brief is due by 6/26/18. Ruling date of 8/14/18 to stand. No appearance required, 5/30/18 or 5/31/18. Signed by the Honorable Sara L. Ellis on 5/29/2018. Mailed notice (nsf, )
May 28, 2018 87 extension of time (4)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for extension of time (Milch, Erik)
May 28, 2018 88 notice of motion (3)
Docket Text: NOTICE of Motion by Erik Milch for presentment of extension of time[87] before Honorable Sara L. Ellis on 5/31/2018 at 01:45 PM. (Milch, Erik)
May 25, 2018 85 notice of motion (3)
Docket Text: NOTICE of Motion by Christopher C. Campbell for presentment of motion to appear pro hac vice[84] before Honorable Sara L. Ellis on 5/30/2018 at 09:00 AM. (Campbell, Christopher)
May 25, 2018 86 notice of motion (3)
Docket Text: Corrected NOTICE of Motion by Christopher C. Campbell for presentment of motion to appear pro hac vice[84] before Honorable Sara L. Ellis on 5/30/2018 at 09:45 AM. (Campbell, Christopher)
May 24, 2018 84 motion to appear pro hac vice (3)
Docket Text: MOTION for Leave to Appear Pro Hac Vice Filing fee $ 150, receipt number 0752-14509520. (Estevez, Erin)
May 23, 2018 78 motion to withdraw as attorney (3)
Docket Text: MOTION by Attorney Brian Eutermoser to withdraw as attorney for Medline Industries, Inc.. No party information provided (Campbell, Christopher)
May 23, 2018 79 notice of motion (3)
Docket Text: NOTICE of Motion by Christopher C. Campbell for presentment of motion to withdraw as attorney[78] before Honorable Sara L. Ellis on 5/30/2018 at 09:45 AM. (Campbell, Christopher)
May 23, 2018 80 motion to withdraw as attorney (3)
Docket Text: MOTION by Attorney Peter Sauer to withdraw as attorney for Medline Industries, Inc.. No party information provided (Campbell, Christopher)
May 23, 2018 81 notice of motion (3)
Docket Text: NOTICE of Motion by Christopher C. Campbell for presentment of motion to withdraw as attorney[80] before Honorable Sara L. Ellis on 5/30/2018 at 09:45 AM. (Campbell, Christopher)
May 23, 2018 82 motion to withdraw as attorney (3)
Docket Text: MOTION by Attorney Angela Tarasi to withdraw as attorney for Medline Industries, Inc.. No party information provided (Campbell, Christopher)
May 23, 2018 83 notice of motion (3)
Docket Text: NOTICE of Motion by Christopher C. Campbell for presentment of motion to withdraw as attorney[82] before Honorable Sara L. Ellis on 5/30/2018 at 09:45 AM. (Campbell, Christopher)
May 22, 2018 77 response in opposition to motion (17)
Docket Text: RESPONSE by C.R. Bard, Inc.in Opposition to MOTION by Plaintiff Medline Industries, Inc. to dismiss Plaintiff Medline's Motion to Dismiss Defendant CR Bard's Inequitable Conduct Counterclaims and Strike Affirmative Defense of Inequitable Conduct[69] (Smith, Nicole)
Apr 24, 2018 76 order on motion to seal document (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Motion hearing held. Motion to withdraw [73] is granted. Motion to seal [71] the motion to dismiss is granted. The Clerk's office is directed to seal document [69] until further order of the Court. Oral motion for extension of time is granted. Defendant's response to motion to dismiss is due by 5/22/2018; Plaintiff's reply is due by 6/5/2018. Ruling date of 8/14/18 to stand. Mailed notice (ags, )
Apr 23, 2018 75 attorney appearance (1)
Docket Text: ATTORNEY Appearance for Plaintiff Medline Industries, Inc., Counter Defendant Medline Industries, Inc. by Andrew Charles Wood (Wood, Andrew)
Apr 17, 2018 71 motion to seal document (3)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to seal document MOTION by Plaintiff Medline Industries, Inc. to dismiss Plaintiff Medline's Motion to Dismiss Defendant CR Bard's Inequitable Conduct Counterclaims and Strike Affirmative Defense of Inequitable Conduct[69] (Campbell, Christopher)
Apr 17, 2018 72 notice of motion (3)
Docket Text: NOTICE of Motion by Christopher C. Campbell for presentment of motion to seal document, [71] before Honorable Sara L. Ellis on 4/24/2018 at 09:45 AM. (Campbell, Christopher)
Apr 17, 2018 73 motion to withdraw as attorney (2)
Docket Text: MOTION by Attorney James Brogan to withdraw as attorney for Medline Industries, Inc.. No party information provided (Campbell, Christopher)
Apr 17, 2018 74 notice of motion (2)
Docket Text: NOTICE of Motion by Christopher C. Campbell for presentment of motion to withdraw as attorney[73] before Honorable Sara L. Ellis on 4/24/2018 at 09:45 AM. (Campbell, Christopher)
Apr 16, 2018 70 terminate deadlines and hearings (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Motion hearing date of 4/17/18 is stricken. Mailed notice (rj, )
Apr 10, 2018 68 notice of motion (3)
Docket Text: NOTICE of Motion by Christopher C. Campbell for presentment of before Honorable Sara L. Ellis on 4/17/2018 at 09:45 AM. (Campbell, Christopher)
Apr 5, 2018 67 internet citation note (30)
Docket Text: INTERNET Citation Note. Decision re order on motion to transfer case, memorandum opinion and order[65] cited material from the internet. The cited material is attached. (U.S. District Courts National Judicial Caseload Profile) (Library, )
Apr 4, 2018 65 order on motion to transfer case (11)
Docket Text: OPINION AND ORDER. The Court denies Bard's motion to transfer [38]. Signed by the Honorable Sara L. Ellis on 4/4/2018:Mailed notice(rj, )
Apr 4, 2018 66 status hearing (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis:Status hearing held on 4/4/18. Briefing schedule on Plaintiff's motion to dismiss counterclaims: Defendant's response is due by 5/8/18; Plaintiff's reply is due by 5/22/18. Next status date set for 8/14/18 at 9:30 AM for ruling on motion to dismiss counterclaims. Markman hearing set for 10/25/18 at 9:00 AM and 10/26/18 with briefing completed by 10/4/18. Parties to submit proposed order regarding briefing. Mailed notice (rj, )
Mar 30, 2018 64 attorney appearance (1)
Docket Text: ATTORNEY Appearance for Plaintiff Medline Industries, Inc., Counter Defendant Medline Industries, Inc. by Nicole L. Little (Little, Nicole)
Mar 14, 2018 63 order on motion for extension of time to answer (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Plaintiff's motion for extension of time to respond to Defendant's counter-claims [61] is granted. Plaintiff's responsive pleading is due by 4/10/18. No appearance required, 3/15/18. Mailed notice (rj, )
Mar 12, 2018 61 motion for extension of time to file answer (4)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. for extension of time to file answer or otherwise respond to C.R. Bard, Inc.s Second Amended Answer to Second Amended Complaint (Sauer, Peter)
Mar 12, 2018 62 notice of motion (3)
Docket Text: NOTICE of Motion by Peter Joseph Sauer for presentment of motion for extension of time to file answer[61] before Honorable Sara L. Ellis on 3/15/2018 at 01:45 PM. (Sauer, Peter)
Mar 7, 2018 60 notice of change of address (1)
Docket Text: NOTICE by Allen E. Hoover of Change of Address (Hoover, Allen)
Mar 6, 2018 57 order on motion for leave to file (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Defendant's motion for leave to add counterclaims for inequitable conduct [55] is granted. The Court strikes the ruling date set for 3/7/18 and resets it to 4/4/18 at 9:30 AM. Mailed notice (rj, )
Mar 6, 2018 59 amended answer to complaint (30)
Docket Text: AMENDED Answer by C.R. Bard, Inc. to SECOND amended complaint[23] (SECOND AMENDED ANSWER), ADDITIONAL DEFENSES, and COUNTERCLAIM filed by C.R. Bard, Inc. against Medline Industries, Inc. (COUNTERCLAIMS). (Smith, Nicole)
Feb 27, 2018 55 motion for leave to file (Main Document) (17)
Docket Text: MOTION by Defendant C.R. Bard, Inc. for leave to file Counterclaims for Inequitable Conduct (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E)(Smith, Nicole)
Feb 27, 2018 55 motion for leave to file (Declaration of Dylan Raife) (2)
Docket Text: MOTION by Defendant C.R. Bard, Inc. for leave to file Counterclaims for Inequitable Conduct (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E)(Smith, Nicole)
Feb 27, 2018 55 motion for leave to file (Exhibit A) (30)
Docket Text: MOTION by Defendant C.R. Bard, Inc. for leave to file Counterclaims for Inequitable Conduct (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E)(Smith, Nicole)
Feb 27, 2018 55 motion for leave to file (Exhibit B) (30)
Docket Text: MOTION by Defendant C.R. Bard, Inc. for leave to file Counterclaims for Inequitable Conduct (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E)(Smith, Nicole)
Feb 27, 2018 55 motion for leave to file (Exhibit C) (30)
Docket Text: MOTION by Defendant C.R. Bard, Inc. for leave to file Counterclaims for Inequitable Conduct (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E)(Smith, Nicole)
Feb 27, 2018 55 motion for leave to file (Exhibit D) (3)
Docket Text: MOTION by Defendant C.R. Bard, Inc. for leave to file Counterclaims for Inequitable Conduct (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E)(Smith, Nicole)
Feb 27, 2018 55 motion for leave to file (Exhibit E) (4)
Docket Text: MOTION by Defendant C.R. Bard, Inc. for leave to file Counterclaims for Inequitable Conduct (Attachments: # (1) Declaration of Dylan Raife, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D, # (6) Exhibit E)(Smith, Nicole)
Feb 27, 2018 56 notice of motion (1)
Docket Text: NOTICE of Motion by Nicole M. Smith for presentment of motion for leave to file[55] before Honorable Sara L. Ellis on 3/7/2018 at 09:30 AM. (Smith, Nicole)
Feb 12, 2018 53 order on motion to seal document (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Motion for leave to file reply in support of motion to transfer venue and supporting exhibits under seal [49] is granted. No appearance required, 2/13/18. Mailed notice (rj, )
Feb 12, 2018 54 attorney appearance (1)
Docket Text: ATTORNEY Appearance for Plaintiff Medline Industries, Inc. by Joseph Frank Marinelli (Marinelli, Joseph)
Feb 5, 2018 49 motion to seal document (3)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to seal document C.R. Bard's Reply in Support of Motion to Transfer Venue and Supporting Exhibits (Smith, Nicole)
Feb 5, 2018 50 notice of motion (2)
Docket Text: NOTICE of Motion by Nicole M. Smith for presentment of motion to seal document[49] before Honorable Sara L. Ellis on 2/13/2018 at 09:45 AM. (Smith, Nicole)
Feb 5, 2018 51 reply to response to motion (Main Document) (16)
Docket Text: REPLY by C.R. Bard, Inc. to response in opposition to motion,,, [41] to Transfer Venue (Attachments: # (1) Declaration of Jonathan McNeal Smith in Support of Reply in Support of Motion to Transfer Venue, # (2) Exhibit A (to be filed Under Seal), # (3) Exhibit B (to be filed Under Seal), # (4) Exhibit C (to be filed Under Seal))(Smith, Nicole)
Feb 5, 2018 51 reply to response to motion (Declaration of Jonathan McNeal Smith in Support of Reply in Support of Motion to) (2)
Docket Text: REPLY by C.R. Bard, Inc. to response in opposition to motion,,, [41] to Transfer Venue (Attachments: # (1) Declaration of Jonathan McNeal Smith in Support of Reply in Support of Motion to Transfer Venue, # (2) Exhibit A (to be filed Under Seal), # (3) Exhibit B (to be filed Under Seal), # (4) Exhibit C (to be filed Under Seal))(Smith, Nicole)
Feb 5, 2018 51 reply to response to motion (Exhibit A (to be filed Under Seal)) (1)
Docket Text: REPLY by C.R. Bard, Inc. to response in opposition to motion,,, [41] to Transfer Venue (Attachments: # (1) Declaration of Jonathan McNeal Smith in Support of Reply in Support of Motion to Transfer Venue, # (2) Exhibit A (to be filed Under Seal), # (3) Exhibit B (to be filed Under Seal), # (4) Exhibit C (to be filed Under Seal))(Smith, Nicole)
Feb 5, 2018 51 reply to response to motion (Exhibit B (to be filed Under Seal)) (1)
Docket Text: REPLY by C.R. Bard, Inc. to response in opposition to motion,,, [41] to Transfer Venue (Attachments: # (1) Declaration of Jonathan McNeal Smith in Support of Reply in Support of Motion to Transfer Venue, # (2) Exhibit A (to be filed Under Seal), # (3) Exhibit B (to be filed Under Seal), # (4) Exhibit C (to be filed Under Seal))(Smith, Nicole)
Feb 5, 2018 51 reply to response to motion (Exhibit C (to be filed Under Seal)) (1)
Docket Text: REPLY by C.R. Bard, Inc. to response in opposition to motion,,, [41] to Transfer Venue (Attachments: # (1) Declaration of Jonathan McNeal Smith in Support of Reply in Support of Motion to Transfer Venue, # (2) Exhibit A (to be filed Under Seal), # (3) Exhibit B (to be filed Under Seal), # (4) Exhibit C (to be filed Under Seal))(Smith, Nicole)
Jan 29, 2018 48 order on motion to seal (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Plaintiff's unopposed motion for leave to file under seal [42] is granted. Joint motion to amend discovery schedule [46] is granted. The Court adopts the proposed amended discovery schedule. No appearance required, 1/30/18. Mailed notice (rj, )
Jan 24, 2018 45 notification of affiliates pursuant to local rule 3.2 (1)
Docket Text: NOTIFICATION of Affiliates pursuant to Local Rule 3.2 by C.R. Bard, Inc. (C.R. BARD'S SUPPLEMENTAL CORPORATE DISCLOSURE STATEMENT) (Flaming, Todd)
Jan 24, 2018 46 motion to amend/correct (4)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to amend/correct Discovery Schedule [39] (JOINT) (Sauer, Peter)
Jan 24, 2018 47 notice of motion (3)
Docket Text: NOTICE of Motion by Peter Joseph Sauer for presentment of motion to amend/correct[46] before Honorable Sara L. Ellis on 1/30/2018 at 09:45 AM. (Sauer, Peter)
Jan 22, 2018 41 response in opposition to motion (Main Document) (18)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to transfer case [38] (Attachments: # (1) Declaration of K. Chua, # (2) Declaration of S. Dickinson, # (3) Declaration of T. Haywood, # (4) Declaration of J. Maze, # (5) Declaration of J. Tomes, # (6) Declaration of A. Tarasi, # (7) Exhibit Ex. A, # (8) Exhibit Ex. B, # (9) Exhibit Ex. C, # (10) Exhibit Ex. D, # (11) Exhibit Ex. E, # (12) Exhibit Ex. F (Filed under seal), # (13) Exhibit Ex. G (Filed under seal), # (14) Exhibit Ex. H (Filed under seal), # (15) Exhibit Ex. I, # (16) Exhibit Ex. J (Filed under seal), # (17) Exhibit Ex. K (Filed under seal), # (18) Exhibit Ex. L (Filed under seal), # (19) Exhibit Ex. M, # (20) Exhibit Ex. N)(Campbell, Christopher)
Jan 22, 2018 41 response in opposition to motion (Declaration of K. Chua) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to transfer case [38] (Attachments: # (1) Declaration of K. Chua, # (2) Declaration of S. Dickinson, # (3) Declaration of T. Haywood, # (4) Declaration of J. Maze, # (5) Declaration of J. Tomes, # (6) Declaration of A. Tarasi, # (7) Exhibit Ex. A, # (8) Exhibit Ex. B, # (9) Exhibit Ex. C, # (10) Exhibit Ex. D, # (11) Exhibit Ex. E, # (12) Exhibit Ex. F (Filed under seal), # (13) Exhibit Ex. G (Filed under seal), # (14) Exhibit Ex. H (Filed under seal), # (15) Exhibit Ex. I, # (16) Exhibit Ex. J (Filed under seal), # (17) Exhibit Ex. K (Filed under seal), # (18) Exhibit Ex. L (Filed under seal), # (19) Exhibit Ex. M, # (20) Exhibit Ex. N)(Campbell, Christopher)
Jan 22, 2018 41 response in opposition to motion (Declaration of S. Dickinson) (3)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to transfer case [38] (Attachments: # (1) Declaration of K. Chua, # (2) Declaration of S. Dickinson, # (3) Declaration of T. Haywood, # (4) Declaration of J. Maze, # (5) Declaration of J. Tomes, # (6) Declaration of A. Tarasi, # (7) Exhibit Ex. A, # (8) Exhibit Ex. B, # (9) Exhibit Ex. C, # (10) Exhibit Ex. D, # (11) Exhibit Ex. E, # (12) Exhibit Ex. F (Filed under seal), # (13) Exhibit Ex. G (Filed under seal), # (14) Exhibit Ex. H (Filed under seal), # (15) Exhibit Ex. I, # (16) Exhibit Ex. J (Filed under seal), # (17) Exhibit Ex. K (Filed under seal), # (18) Exhibit Ex. L (Filed under seal), # (19) Exhibit Ex. M, # (20) Exhibit Ex. N)(Campbell, Christopher)
Jan 22, 2018 41 response in opposition to motion (Declaration of T. Haywood) (3)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to transfer case [38] (Attachments: # (1) Declaration of K. Chua, # (2) Declaration of S. Dickinson, # (3) Declaration of T. Haywood, # (4) Declaration of J. Maze, # (5) Declaration of J. Tomes, # (6) Declaration of A. Tarasi, # (7) Exhibit Ex. A, # (8) Exhibit Ex. B, # (9) Exhibit Ex. C, # (10) Exhibit Ex. D, # (11) Exhibit Ex. E, # (12) Exhibit Ex. F (Filed under seal), # (13) Exhibit Ex. G (Filed under seal), # (14) Exhibit Ex. H (Filed under seal), # (15) Exhibit Ex. I, # (16) Exhibit Ex. J (Filed under seal), # (17) Exhibit Ex. K (Filed under seal), # (18) Exhibit Ex. L (Filed under seal), # (19) Exhibit Ex. M, # (20) Exhibit Ex. N)(Campbell, Christopher)
Jan 22, 2018 41 response in opposition to motion (Declaration of J. Maze) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to transfer case [38] (Attachments: # (1) Declaration of K. Chua, # (2) Declaration of S. Dickinson, # (3) Declaration of T. Haywood, # (4) Declaration of J. Maze, # (5) Declaration of J. Tomes, # (6) Declaration of A. Tarasi, # (7) Exhibit Ex. A, # (8) Exhibit Ex. B, # (9) Exhibit Ex. C, # (10) Exhibit Ex. D, # (11) Exhibit Ex. E, # (12) Exhibit Ex. F (Filed under seal), # (13) Exhibit Ex. G (Filed under seal), # (14) Exhibit Ex. H (Filed under seal), # (15) Exhibit Ex. I, # (16) Exhibit Ex. J (Filed under seal), # (17) Exhibit Ex. K (Filed under seal), # (18) Exhibit Ex. L (Filed under seal), # (19) Exhibit Ex. M, # (20) Exhibit Ex. N)(Campbell, Christopher)
Jan 22, 2018 41 response in opposition to motion (Declaration of J. Tomes) (2)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to transfer case [38] (Attachments: # (1) Declaration of K. Chua, # (2) Declaration of S. Dickinson, # (3) Declaration of T. Haywood, # (4) Declaration of J. Maze, # (5) Declaration of J. Tomes, # (6) Declaration of A. Tarasi, # (7) Exhibit Ex. A, # (8) Exhibit Ex. B, # (9) Exhibit Ex. C, # (10) Exhibit Ex. D, # (11) Exhibit Ex. E, # (12) Exhibit Ex. F (Filed under seal), # (13) Exhibit Ex. G (Filed under seal), # (14) Exhibit Ex. H (Filed under seal), # (15) Exhibit Ex. I, # (16) Exhibit Ex. J (Filed under seal), # (17) Exhibit Ex. K (Filed under seal), # (18) Exhibit Ex. L (Filed under seal), # (19) Exhibit Ex. M, # (20) Exhibit Ex. N)(Campbell, Christopher)
Jan 22, 2018 41 response in opposition to motion (Declaration of A. Tarasi) (4)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to transfer case [38] (Attachments: # (1) Declaration of K. Chua, # (2) Declaration of S. Dickinson, # (3) Declaration of T. Haywood, # (4) Declaration of J. Maze, # (5) Declaration of J. Tomes, # (6) Declaration of A. Tarasi, # (7) Exhibit Ex. A, # (8) Exhibit Ex. B, # (9) Exhibit Ex. C, # (10) Exhibit Ex. D, # (11) Exhibit Ex. E, # (12) Exhibit Ex. F (Filed under seal), # (13) Exhibit Ex. G (Filed under seal), # (14) Exhibit Ex. H (Filed under seal), # (15) Exhibit Ex. I, # (16) Exhibit Ex. J (Filed under seal), # (17) Exhibit Ex. K (Filed under seal), # (18) Exhibit Ex. L (Filed under seal), # (19) Exhibit Ex. M, # (20) Exhibit Ex. N)(Campbell, Christopher)
Jan 22, 2018 41 response in opposition to motion (Exhibit Ex. A) (11)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to transfer case [38] (Attachments: # (1) Declaration of K. Chua, # (2) Declaration of S. Dickinson, # (3) Declaration of T. Haywood, # (4) Declaration of J. Maze, # (5) Declaration of J. Tomes, # (6) Declaration of A. Tarasi, # (7) Exhibit Ex. A, # (8) Exhibit Ex. B, # (9) Exhibit Ex. C, # (10) Exhibit Ex. D, # (11) Exhibit Ex. E, # (12) Exhibit Ex. F (Filed under seal), # (13) Exhibit Ex. G (Filed under seal), # (14) Exhibit Ex. H (Filed under seal), # (15) Exhibit Ex. I, # (16) Exhibit Ex. J (Filed under seal), # (17) Exhibit Ex. K (Filed under seal), # (18) Exhibit Ex. L (Filed under seal), # (19) Exhibit Ex. M, # (20) Exhibit Ex. N)(Campbell, Christopher)
Jan 22, 2018 41 response in opposition to motion (Exhibit Ex. B) (9)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to transfer case [38] (Attachments: # (1) Declaration of K. Chua, # (2) Declaration of S. Dickinson, # (3) Declaration of T. Haywood, # (4) Declaration of J. Maze, # (5) Declaration of J. Tomes, # (6) Declaration of A. Tarasi, # (7) Exhibit Ex. A, # (8) Exhibit Ex. B, # (9) Exhibit Ex. C, # (10) Exhibit Ex. D, # (11) Exhibit Ex. E, # (12) Exhibit Ex. F (Filed under seal), # (13) Exhibit Ex. G (Filed under seal), # (14) Exhibit Ex. H (Filed under seal), # (15) Exhibit Ex. I, # (16) Exhibit Ex. J (Filed under seal), # (17) Exhibit Ex. K (Filed under seal), # (18) Exhibit Ex. L (Filed under seal), # (19) Exhibit Ex. M, # (20) Exhibit Ex. N)(Campbell, Christopher)
Jan 22, 2018 41 response in opposition to motion (Exhibit Ex. C) (7)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to transfer case [38] (Attachments: # (1) Declaration of K. Chua, # (2) Declaration of S. Dickinson, # (3) Declaration of T. Haywood, # (4) Declaration of J. Maze, # (5) Declaration of J. Tomes, # (6) Declaration of A. Tarasi, # (7) Exhibit Ex. A, # (8) Exhibit Ex. B, # (9) Exhibit Ex. C, # (10) Exhibit Ex. D, # (11) Exhibit Ex. E, # (12) Exhibit Ex. F (Filed under seal), # (13) Exhibit Ex. G (Filed under seal), # (14) Exhibit Ex. H (Filed under seal), # (15) Exhibit Ex. I, # (16) Exhibit Ex. J (Filed under seal), # (17) Exhibit Ex. K (Filed under seal), # (18) Exhibit Ex. L (Filed under seal), # (19) Exhibit Ex. M, # (20) Exhibit Ex. N)(Campbell, Christopher)
Jan 22, 2018 41 response in opposition to motion (Exhibit Ex. D) (10)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to transfer case [38] (Attachments: # (1) Declaration of K. Chua, # (2) Declaration of S. Dickinson, # (3) Declaration of T. Haywood, # (4) Declaration of J. Maze, # (5) Declaration of J. Tomes, # (6) Declaration of A. Tarasi, # (7) Exhibit Ex. A, # (8) Exhibit Ex. B, # (9) Exhibit Ex. C, # (10) Exhibit Ex. D, # (11) Exhibit Ex. E, # (12) Exhibit Ex. F (Filed under seal), # (13) Exhibit Ex. G (Filed under seal), # (14) Exhibit Ex. H (Filed under seal), # (15) Exhibit Ex. I, # (16) Exhibit Ex. J (Filed under seal), # (17) Exhibit Ex. K (Filed under seal), # (18) Exhibit Ex. L (Filed under seal), # (19) Exhibit Ex. M, # (20) Exhibit Ex. N)(Campbell, Christopher)
Jan 22, 2018 41 response in opposition to motion (Exhibit Ex. E) (5)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to transfer case [38] (Attachments: # (1) Declaration of K. Chua, # (2) Declaration of S. Dickinson, # (3) Declaration of T. Haywood, # (4) Declaration of J. Maze, # (5) Declaration of J. Tomes, # (6) Declaration of A. Tarasi, # (7) Exhibit Ex. A, # (8) Exhibit Ex. B, # (9) Exhibit Ex. C, # (10) Exhibit Ex. D, # (11) Exhibit Ex. E, # (12) Exhibit Ex. F (Filed under seal), # (13) Exhibit Ex. G (Filed under seal), # (14) Exhibit Ex. H (Filed under seal), # (15) Exhibit Ex. I, # (16) Exhibit Ex. J (Filed under seal), # (17) Exhibit Ex. K (Filed under seal), # (18) Exhibit Ex. L (Filed under seal), # (19) Exhibit Ex. M, # (20) Exhibit Ex. N)(Campbell, Christopher)
Jan 22, 2018 41 response in opposition to motion (Exhibit Ex. F (Filed under seal)) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to transfer case [38] (Attachments: # (1) Declaration of K. Chua, # (2) Declaration of S. Dickinson, # (3) Declaration of T. Haywood, # (4) Declaration of J. Maze, # (5) Declaration of J. Tomes, # (6) Declaration of A. Tarasi, # (7) Exhibit Ex. A, # (8) Exhibit Ex. B, # (9) Exhibit Ex. C, # (10) Exhibit Ex. D, # (11) Exhibit Ex. E, # (12) Exhibit Ex. F (Filed under seal), # (13) Exhibit Ex. G (Filed under seal), # (14) Exhibit Ex. H (Filed under seal), # (15) Exhibit Ex. I, # (16) Exhibit Ex. J (Filed under seal), # (17) Exhibit Ex. K (Filed under seal), # (18) Exhibit Ex. L (Filed under seal), # (19) Exhibit Ex. M, # (20) Exhibit Ex. N)(Campbell, Christopher)
Jan 22, 2018 41 response in opposition to motion (Exhibit Ex. G (Filed under seal)) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to transfer case [38] (Attachments: # (1) Declaration of K. Chua, # (2) Declaration of S. Dickinson, # (3) Declaration of T. Haywood, # (4) Declaration of J. Maze, # (5) Declaration of J. Tomes, # (6) Declaration of A. Tarasi, # (7) Exhibit Ex. A, # (8) Exhibit Ex. B, # (9) Exhibit Ex. C, # (10) Exhibit Ex. D, # (11) Exhibit Ex. E, # (12) Exhibit Ex. F (Filed under seal), # (13) Exhibit Ex. G (Filed under seal), # (14) Exhibit Ex. H (Filed under seal), # (15) Exhibit Ex. I, # (16) Exhibit Ex. J (Filed under seal), # (17) Exhibit Ex. K (Filed under seal), # (18) Exhibit Ex. L (Filed under seal), # (19) Exhibit Ex. M, # (20) Exhibit Ex. N)(Campbell, Christopher)
Jan 22, 2018 41 response in opposition to motion (Exhibit Ex. H (Filed under seal)) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to transfer case [38] (Attachments: # (1) Declaration of K. Chua, # (2) Declaration of S. Dickinson, # (3) Declaration of T. Haywood, # (4) Declaration of J. Maze, # (5) Declaration of J. Tomes, # (6) Declaration of A. Tarasi, # (7) Exhibit Ex. A, # (8) Exhibit Ex. B, # (9) Exhibit Ex. C, # (10) Exhibit Ex. D, # (11) Exhibit Ex. E, # (12) Exhibit Ex. F (Filed under seal), # (13) Exhibit Ex. G (Filed under seal), # (14) Exhibit Ex. H (Filed under seal), # (15) Exhibit Ex. I, # (16) Exhibit Ex. J (Filed under seal), # (17) Exhibit Ex. K (Filed under seal), # (18) Exhibit Ex. L (Filed under seal), # (19) Exhibit Ex. M, # (20) Exhibit Ex. N)(Campbell, Christopher)
Jan 22, 2018 41 response in opposition to motion (Exhibit Ex. I) (6)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to transfer case [38] (Attachments: # (1) Declaration of K. Chua, # (2) Declaration of S. Dickinson, # (3) Declaration of T. Haywood, # (4) Declaration of J. Maze, # (5) Declaration of J. Tomes, # (6) Declaration of A. Tarasi, # (7) Exhibit Ex. A, # (8) Exhibit Ex. B, # (9) Exhibit Ex. C, # (10) Exhibit Ex. D, # (11) Exhibit Ex. E, # (12) Exhibit Ex. F (Filed under seal), # (13) Exhibit Ex. G (Filed under seal), # (14) Exhibit Ex. H (Filed under seal), # (15) Exhibit Ex. I, # (16) Exhibit Ex. J (Filed under seal), # (17) Exhibit Ex. K (Filed under seal), # (18) Exhibit Ex. L (Filed under seal), # (19) Exhibit Ex. M, # (20) Exhibit Ex. N)(Campbell, Christopher)
Jan 22, 2018 41 response in opposition to motion (Exhibit Ex. J (Filed under seal)) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to transfer case [38] (Attachments: # (1) Declaration of K. Chua, # (2) Declaration of S. Dickinson, # (3) Declaration of T. Haywood, # (4) Declaration of J. Maze, # (5) Declaration of J. Tomes, # (6) Declaration of A. Tarasi, # (7) Exhibit Ex. A, # (8) Exhibit Ex. B, # (9) Exhibit Ex. C, # (10) Exhibit Ex. D, # (11) Exhibit Ex. E, # (12) Exhibit Ex. F (Filed under seal), # (13) Exhibit Ex. G (Filed under seal), # (14) Exhibit Ex. H (Filed under seal), # (15) Exhibit Ex. I, # (16) Exhibit Ex. J (Filed under seal), # (17) Exhibit Ex. K (Filed under seal), # (18) Exhibit Ex. L (Filed under seal), # (19) Exhibit Ex. M, # (20) Exhibit Ex. N)(Campbell, Christopher)
Jan 22, 2018 41 response in opposition to motion (Exhibit Ex. K (Filed under seal)) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to transfer case [38] (Attachments: # (1) Declaration of K. Chua, # (2) Declaration of S. Dickinson, # (3) Declaration of T. Haywood, # (4) Declaration of J. Maze, # (5) Declaration of J. Tomes, # (6) Declaration of A. Tarasi, # (7) Exhibit Ex. A, # (8) Exhibit Ex. B, # (9) Exhibit Ex. C, # (10) Exhibit Ex. D, # (11) Exhibit Ex. E, # (12) Exhibit Ex. F (Filed under seal), # (13) Exhibit Ex. G (Filed under seal), # (14) Exhibit Ex. H (Filed under seal), # (15) Exhibit Ex. I, # (16) Exhibit Ex. J (Filed under seal), # (17) Exhibit Ex. K (Filed under seal), # (18) Exhibit Ex. L (Filed under seal), # (19) Exhibit Ex. M, # (20) Exhibit Ex. N)(Campbell, Christopher)
Jan 22, 2018 41 response in opposition to motion (Exhibit Ex. L (Filed under seal)) (1)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to transfer case [38] (Attachments: # (1) Declaration of K. Chua, # (2) Declaration of S. Dickinson, # (3) Declaration of T. Haywood, # (4) Declaration of J. Maze, # (5) Declaration of J. Tomes, # (6) Declaration of A. Tarasi, # (7) Exhibit Ex. A, # (8) Exhibit Ex. B, # (9) Exhibit Ex. C, # (10) Exhibit Ex. D, # (11) Exhibit Ex. E, # (12) Exhibit Ex. F (Filed under seal), # (13) Exhibit Ex. G (Filed under seal), # (14) Exhibit Ex. H (Filed under seal), # (15) Exhibit Ex. I, # (16) Exhibit Ex. J (Filed under seal), # (17) Exhibit Ex. K (Filed under seal), # (18) Exhibit Ex. L (Filed under seal), # (19) Exhibit Ex. M, # (20) Exhibit Ex. N)(Campbell, Christopher)
Jan 22, 2018 41 response in opposition to motion (Exhibit Ex. M) (30)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to transfer case [38] (Attachments: # (1) Declaration of K. Chua, # (2) Declaration of S. Dickinson, # (3) Declaration of T. Haywood, # (4) Declaration of J. Maze, # (5) Declaration of J. Tomes, # (6) Declaration of A. Tarasi, # (7) Exhibit Ex. A, # (8) Exhibit Ex. B, # (9) Exhibit Ex. C, # (10) Exhibit Ex. D, # (11) Exhibit Ex. E, # (12) Exhibit Ex. F (Filed under seal), # (13) Exhibit Ex. G (Filed under seal), # (14) Exhibit Ex. H (Filed under seal), # (15) Exhibit Ex. I, # (16) Exhibit Ex. J (Filed under seal), # (17) Exhibit Ex. K (Filed under seal), # (18) Exhibit Ex. L (Filed under seal), # (19) Exhibit Ex. M, # (20) Exhibit Ex. N)(Campbell, Christopher)
Jan 22, 2018 41 response in opposition to motion (Exhibit Ex. N) (13)
Docket Text: RESPONSE by Medline Industries, Inc.in Opposition to MOTION by Defendant C.R. Bard, Inc. to transfer case [38] (Attachments: # (1) Declaration of K. Chua, # (2) Declaration of S. Dickinson, # (3) Declaration of T. Haywood, # (4) Declaration of J. Maze, # (5) Declaration of J. Tomes, # (6) Declaration of A. Tarasi, # (7) Exhibit Ex. A, # (8) Exhibit Ex. B, # (9) Exhibit Ex. C, # (10) Exhibit Ex. D, # (11) Exhibit Ex. E, # (12) Exhibit Ex. F (Filed under seal), # (13) Exhibit Ex. G (Filed under seal), # (14) Exhibit Ex. H (Filed under seal), # (15) Exhibit Ex. I, # (16) Exhibit Ex. J (Filed under seal), # (17) Exhibit Ex. K (Filed under seal), # (18) Exhibit Ex. L (Filed under seal), # (19) Exhibit Ex. M, # (20) Exhibit Ex. N)(Campbell, Christopher)
Jan 22, 2018 42 motion to seal (3)
Docket Text: MOTION by Plaintiff Medline Industries, Inc. to seal Response in Opposition and Exhibits F,G,H,J,K,L (Campbell, Christopher)
Jan 22, 2018 43 notice of motion (3)
Docket Text: NOTICE of Motion by Christopher C. Campbell for presentment of motion to seal[42] before Honorable Sara L. Ellis on 1/30/2018 at 09:45 AM. (Campbell, Christopher)
Jan 17, 2018 40 amended answer to complaint (20)
Docket Text: AMENDED Answer by C.R. Bard, Inc. to Second amended complaint[23] (Smith, Nicole)
Dec 19, 2017 39 terminate motion and R&R deadlines/hearings (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Status hearing held on 12/19/2017. Discovery will proceed under local patent rules schedule. Briefing schedule on motion to transfer case [38]: Plaintiff's response due by 1/22/2018. Defendant's reply due by 2/5/2018. Status hearing set for 3/7/2018 at 9:30 AM for ruling on motion to transfer case. Mailed notice (rj, )
Dec 14, 2017 37 notice of motion (1)
Docket Text: Notice of Motion to Transfer Venue NOTICE of Motion by Nicole M. Smith for presentment of before Honorable Sara L. Ellis on 12/19/2017 at 09:45 AM. (Smith, Nicole)
Dec 14, 2017 38 motion to transfer case (Main Document) (3)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to transfer case (Attachments: # (1) Memorandum in Support of Motion to Transfer Venue, # (2) Declaration of Brian Burn, # (3) Declaration of Jonathan M. Smith)(Smith, Nicole)
Dec 14, 2017 38 motion to transfer case (Memorandum in Support of Motion to Transfer Venue) (17)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to transfer case (Attachments: # (1) Memorandum in Support of Motion to Transfer Venue, # (2) Declaration of Brian Burn, # (3) Declaration of Jonathan M. Smith)(Smith, Nicole)
Dec 14, 2017 38 motion to transfer case (Declaration of Brian Burn) (5)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to transfer case (Attachments: # (1) Memorandum in Support of Motion to Transfer Venue, # (2) Declaration of Brian Burn, # (3) Declaration of Jonathan M. Smith)(Smith, Nicole)
Dec 14, 2017 38 motion to transfer case (Declaration of Jonathan M. Smith) (8)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to transfer case (Attachments: # (1) Memorandum in Support of Motion to Transfer Venue, # (2) Declaration of Brian Burn, # (3) Declaration of Jonathan M. Smith)(Smith, Nicole)
Dec 8, 2017 36 terminate hearings (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Status hearing set for 12/19/2017 at 9:45 AM. Mailed notice (rj, )
Dec 7, 2017 35 other (3)
Docket Text: Joint Notice Rescheduling Initial Status Hearing by Medline Industries, Inc. [32] (Campbell, Christopher)
Dec 5, 2017 33 answer to amended complaint (20)
Docket Text: C.R. BARD, INC.'S ANSWER to amended complaint SECOND AMENDED COMPLAINT by C.R. Bard, Inc.(Smith, Nicole)
Dec 5, 2017 34 status report (Main Document) (7)
Docket Text: STATUS Report (Joint) by Medline Industries, Inc. (Attachments: # (1) Exhibit A)(Campbell, Christopher)
Dec 5, 2017 34 status report (Exhibit A) (2)
Docket Text: STATUS Report (Joint) by Medline Industries, Inc. (Attachments: # (1) Exhibit A)(Campbell, Christopher)
Dec 4, 2017 32 order on motion to reset (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Unopposed motion to reschedule initial status hearing [30] is granted. The Court strikes the status hearing set for 12/12/17 and instructs the parties to choose a mutually agreeable date when the Court is sitting. Mailed notice (rj, )
Nov 27, 2017 30 motion to reset (2)
Docket Text: MOTION by Defendant C.R. Bard, Inc. to reset Initial Status Hearing (UNOPPOSED MOTION TO RESCHEDULE INITIAL STATUS HEARING) (Flaming, Todd)
Nov 27, 2017 31 notice of motion (1)
Docket Text: NOTICE of Motion by Todd H. Flaming for presentment of motion to reset[30] before Honorable Sara L. Ellis on 12/5/2017 at 09:45 AM. (Flaming, Todd)
Nov 21, 2017 29 attorney appearance (1)
Docket Text: ATTORNEY Appearance for Defendant C.R. Bard, Inc. by Vincent J Belusko (Belusko, Vincent)
Nov 20, 2017 28 attorney appearance (1)
Docket Text: ATTORNEY Appearance for Defendant C.R. Bard, Inc. by Nicole M. Smith (Smith, Nicole)
Nov 14, 2017 27 order on motion for extension of time to answer (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Agreed motion to enlarge time to answer or otherwise plead [25] is granted. Defendant's responsive pleading is due by 12/5/17. Mailed notice (rj, )
Nov 8, 2017 25 motion for extension of time to file answer (2)
Docket Text: MOTION by Defendant C.R. Bard, Inc. for extension of time to file answer (AGREED MOTION FOR EXTENSION OF TIME TO ANSWER OR OTHERWISE PLEAD TO MEDLINE'S SECOND AMENDED COMPLAINT) (Flaming, Todd)
Nov 8, 2017 26 notice of motion (1)
Docket Text: NOTICE of Motion by Todd H. Flaming for presentment of motion for extension of time to file answer[25] before Honorable Sara L. Ellis on 11/14/2017 at 09:45 AM. (Flaming, Todd)
Nov 7, 2017 1 Amended Complaint* (1)
Nov 7, 2017 23 amended complaint (Main Document) (30)
Docket Text: Second AMENDED complaint by Medline Industries, Inc. against C.R. Bard, Inc. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D)(Campbell, Christopher)
Nov 7, 2017 23 amended complaint (Exhibit A) (30)
Docket Text: Second AMENDED complaint by Medline Industries, Inc. against C.R. Bard, Inc. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D)(Campbell, Christopher)
Nov 7, 2017 23 amended complaint (Exhibit B) (30)
Docket Text: Second AMENDED complaint by Medline Industries, Inc. against C.R. Bard, Inc. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D)(Campbell, Christopher)
Nov 7, 2017 23 amended complaint (Exhibit C) (23)
Docket Text: Second AMENDED complaint by Medline Industries, Inc. against C.R. Bard, Inc. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D)(Campbell, Christopher)
Nov 7, 2017 23 amended complaint (Exhibit D) (30)
Docket Text: Second AMENDED complaint by Medline Industries, Inc. against C.R. Bard, Inc. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D)(Campbell, Christopher)
Nov 7, 2017 24 other (4)
Docket Text: Local Rule 3.4 Notice of Claims Involving Patents by Medline Industries, Inc. (Campbell, Christopher)
Nov 2, 2017 22 notification of affiliates pursuant to local rule 3.2 (1)
Docket Text: NOTIFICATION of Affiliates pursuant to Local Rule 3.2 by C.R. Bard, Inc. (C. R. BARD'S CORPORATE DISCLOSURE STATEMENT) (Flaming, Todd)
Oct 31, 2017 21 order on motion for extension of time to answer (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: Agreed motion to enlarge time to answer or otherwise plead [19] is granted. Defendant's responsive pleading is due by 11/21/17. No appearance required, 11/1/2017. Mailed notice (rj, )
Oct 25, 2017 18 attorney appearance (1)
Docket Text: ATTORNEY Appearance for Defendant C.R. Bard, Inc. by Todd H. Flaming (Flaming, Todd)
Oct 25, 2017 19 motion for extension of time to file answer (2)
Docket Text: MOTION by Defendant C.R. Bard, Inc. for extension of time to file answer (AGREED MOTION FOR EXTENSION OF TIME TO ANSWER OR OTHERWISE PLEAD) (Flaming, Todd)
Oct 25, 2017 20 notice of motion (1)
Docket Text: NOTICE of Motion by Todd H. Flaming for presentment of motion for extension of time to file answer[19] before Honorable Sara L. Ellis on 11/1/2017 at 09:45 AM. (Flaming, Todd)
Oct 24, 2017 1 Amended Complaint* (1)
Oct 24, 2017 16 amended complaint (Main Document) (27)
Docket Text: FIRST AMENDED complaint by Medline Industries, Inc. against C.R. Bard, Inc. (Attachments: # (1) Exhibit A, # (2) Exhibit B)(Campbell, Christopher)
Oct 24, 2017 16 amended complaint (Exhibit A) (30)
Docket Text: FIRST AMENDED complaint by Medline Industries, Inc. against C.R. Bard, Inc. (Attachments: # (1) Exhibit A, # (2) Exhibit B)(Campbell, Christopher)
Oct 24, 2017 16 amended complaint (Exhibit B) (30)
Docket Text: FIRST AMENDED complaint by Medline Industries, Inc. against C.R. Bard, Inc. (Attachments: # (1) Exhibit A, # (2) Exhibit B)(Campbell, Christopher)
Oct 24, 2017 17 other (2)
Docket Text: Local Rule 3.4 Notice of Claims Involving Patents by Medline Industries, Inc. (Campbell, Christopher)
Oct 20, 2017 15 order on motion to appear pro hac vice (1)
Docket Text: ORDER: Motions [9, 10, 11, 12, 13, and 14] for leave to proceed pro hac vice are granted.Signed by the Honorable Sara L. Ellis on 10/20/2017. Mailed notice(ks, )
Oct 18, 2017 9 motion to appear pro hac vice (3)
Docket Text: MOTION for Leave to Appear Pro Hac Vice Filing fee $ 50, receipt number 0752-13694058. (Eutermoser, Brian)
Oct 18, 2017 10 motion to appear pro hac vice (2)
Docket Text: MOTION for Leave to Appear Pro Hac Vice Filing fee $ 50, receipt number 0752-13694099. (Sauer, Peter)
Oct 18, 2017 11 motion to appear pro hac vice (2)
Docket Text: MOTION for Leave to Appear Pro Hac Vice Filing fee $ 50, receipt number 0752-13694147. (Tarasi, Angela)
Oct 18, 2017 12 motion to appear pro hac vice (3)
Docket Text: MOTION for Leave to Appear Pro Hac Vice Filing fee $ 50, receipt number 0752-13694185. (Brogan, James)
Oct 18, 2017 13 motion to appear pro hac vice (2)
Docket Text: MOTION for Leave to Appear Pro Hac Vice Filing fee $ 50, receipt number 0752-13694454. (Campbell, Christopher)
Oct 18, 2017 14 motion to appear pro hac vice (2)
Docket Text: MOTION for Leave to Appear Pro Hac Vice Filing fee $ 50, receipt number 0752-13694495. (Milch, Erik)
Oct 11, 2017 8 summons returned executed (2)
Docket Text: SUMMONS Returned Executed by Medline Industries, Inc. as to C.R. Bard, Inc. on 10/6/2017, answer due 10/27/2017. (Hoover, Allen)
Oct 6, 2017 N/A summons issued (0)
Docket Text: SUMMONS Issued as to Defendant C.R. Bard, Inc. (pg, )
Oct 6, 2017 6 Patent/Trademark report (1)
Docket Text: MAILED Patent report to Patent Trademark Office, Alexandria VA (nsf, )
Oct 6, 2017 7 terminate hearings (1)
Docket Text: MINUTE entry before the Honorable Sara L. Ellis: The initial status conference in this matter is set for 12/12/2017 at 9:30AM. The parties are directed to review the procedures and requirements for this conference on Judge Ellis' web site and to submit the required Initial Status Report by 12/5/2017. Mailed notice (rj, )
Oct 5, 2017 1 Complaint* (1)
Oct 5, 2017 N/A case assigned (0)
Docket Text: CASE ASSIGNED to the Honorable Sara L. Ellis. Designated as Magistrate Judge the Honorable Michael T. Mason. (meg, )
Oct 5, 2017 1 complaint (Main Document) (18)
Docket Text: COMPLAINT for Patent Infringement filed by Medline Industries, Inc.; Jury Demand. Filing fee $ 400, receipt number 0752-13657571. (Attachments: # (1) Exhibit A - U.S. Pat. No. 9,745,088)(Hoover, Allen)
Oct 5, 2017 1 complaint (Exhibit A - U.S. Pat. No. 9,745,088) (30)
Docket Text: COMPLAINT for Patent Infringement filed by Medline Industries, Inc.; Jury Demand. Filing fee $ 400, receipt number 0752-13657571. (Attachments: # (1) Exhibit A - U.S. Pat. No. 9,745,088)(Hoover, Allen)
Oct 5, 2017 2 civil cover sheet (2)
Docket Text: CIVIL Cover Sheet (Hoover, Allen)
Oct 5, 2017 3 attorney appearance (1)
Docket Text: ATTORNEY Appearance for Plaintiff Medline Industries, Inc. by Allen E. Hoover (Hoover, Allen)
Oct 5, 2017 4 other (2)
Docket Text: Local Rule 3.4 Notice of Claims Involving Patents by Medline Industries, Inc. (Hoover, Allen)
Oct 5, 2017 5 notification of affiliates pursuant to local rule 3.2 (2)
Docket Text: NOTIFICATION of Affiliates pursuant to Local Rule 3.2 by Medline Industries, Inc. (Hoover, Allen)
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