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Case number 1:20-cv-00158

Monterey Research, LLC v. Marvell Technology Group Ltd. et al > Documents

Date Field Doc. No.Description (Pages)
Feb 26, 2021 60 Stipulation of Dismissal (2)
Docket Text: STIPULATION of Dismissal by Monterey Research, LLC. (Farnan, Brian)
Feb 26, 2021 61 Stipulation and Order (2)
Docket Text: STIPULATION AND ORDER of Dismissal with Prejudice re [60] Stipulation. Signed by Judge Nitza I. Quinones Alejandro on 2/26/2021. (kmd)
Jan 11, 2021 59 Stipulation and Order (2)
Docket Text: STIPULATION AND ORDER TO STAY CASE IN VIEW OF SETTLEMENT. Signed by Judge Nitza I. Quinones Alejandro on 1/11/2021. (amf)
Jan 8, 2021 58 Stipulation (2)
Docket Text: Joint STIPULATION [and Proposed Order] to Stay Case in View of Settlement by Monterey Research, LLC. (Farnan, Brian)
Dec 23, 2020 56 Notice (Other) (Main Document) (5)
Docket Text: NOTICE of Subpoena to IPValue Management Inc. by Advanced Micro Devices, Inc. (Attachments: # (1) Exhibit 1)(Cottrell, Frederick)
Dec 23, 2020 56 Notice (Other) (Exhibit 1) (18)
Docket Text: NOTICE of Subpoena to IPValue Management Inc. by Advanced Micro Devices, Inc. (Attachments: # (1) Exhibit 1)(Cottrell, Frederick)
Nov 23, 2020 55 Notice of Service (4)
Docket Text: NOTICE OF SERVICE of Monterey Research, LLC's Preliminary Disclosure of Asserted Claims and Infringement Contentions filed by Monterey Research, LLC.(Farnan, Brian)
Nov 23, 2020 57 Protective Order (30)
Docket Text: STIPULATED PROTECTIVE ORDER. Signed by Judge Nitza I. Quinones Alejandro on 11/23/2020.(amf)
Nov 18, 2020 54 Proposed Order (30)
Docket Text: PROPOSED ORDER Proposed Protective Order by Monterey Research, LLC. (Farnan, Brian)
Nov 16, 2020 53 Notice of Service (3)
Docket Text: NOTICE OF SERVICE of Responses to Monterey Research, LLC's Second Set of Interrogatories (Nos. 2-3) filed by Marvell Asia Pte Ltd., Marvell International Ltd., Marvell Semiconductor, Inc., Marvell Technology Group Ltd..(Blumenfeld, Jack)
Nov 13, 2020 52 Stipulation to EXTEND Time (3)
Docket Text: STIPULATION TO EXTEND TIME to submit a protective order to November 18, 2020 - filed by Qualcomm CDMA Technologies Asia-Pacific Pte Ltd., Qualcomm Incorporated, Qualcomm Technologies, Inc.. (Keller, Karen)
Nov 12, 2020 51 Notice (Other) (Main Document) (2)
Docket Text: NOTICE of Subsequent Development by Monterey Research, LLC (Attachments: # (1) Exhibit A)(Farnan, Brian)
Nov 12, 2020 51 Notice (Other) (Exhibit A) (3)
Docket Text: NOTICE of Subsequent Development by Monterey Research, LLC (Attachments: # (1) Exhibit A)(Farnan, Brian)
Nov 9, 2020 50 Notice of Service (3)
Docket Text: NOTICE OF SERVICE of Responses to Monterey Research, LLC's Second Set of Common Interrogatories (Nos. 5-8) filed by Marvell Asia Pte Ltd., Marvell International Ltd., Marvell Semiconductor, Inc., Marvell Technology Group Ltd..(Blumenfeld, Jack)
Nov 3, 2020 49 Notice of Service (4)
Docket Text: NOTICE OF SERVICE of Monterey Research LLC's Disclosures Pursuant to Paragraph 3 of the Delaware Default Standard for Discovery filed by Monterey Research, LLC.(Farnan, Brian)
Oct 26, 2020 48 Notice of Service (3)
Docket Text: NOTICE OF SERVICE of Marvell's Initial Disclosures Pursuant to Fed. R. Civ. P 26 filed by Marvell Asia Pte Ltd., Marvell International Ltd., Marvell Semiconductor, Inc., Marvell Technology Group Ltd..(Blumenfeld, Jack)
Oct 22, 2020 47 Notice of Service (4)
Docket Text: NOTICE OF SERVICE of Plaintiff's Initial Disclosures Pursuant to Fed. R. Civ. P. 26 filed by Monterey Research, LLC.(Farnan, Brian)
Oct 19, 2020 46 Notice of Service (2)
Docket Text: NOTICE OF SERVICE of Monterey Research, LLC's Second Set of Interrogatories to Marvell Technology Group Ltd., Marvell International Ltd., Marvell Asia Pte Ltd., and Marvell Semiconductor, Inc. (Nos. 2-3) filed by Monterey Research, LLC.(Farnan, Brian)
Oct 12, 2020 45 Notice of Service (4)
Docket Text: NOTICE OF SERVICE of Monterey Research, LLC's Second Set of Common Interrogatories (Nos. 5-8) filed by Monterey Research, LLC.(Farnan, Brian)
Oct 9, 2020 44 Notice (Other) (9)
Docket Text: NOTICE of Subpoena to Cypress Semiconductor Corporation by Monterey Research, LLC (Farnan, Brian)
Oct 2, 2020 43 Motion for Leave to Appear Pro Hac Vice (4)
Docket Text: MOTION for Pro Hac Vice Appearance of Attorney Eliyahu Balsam - filed by Monterey Research, LLC. (Farnan, Brian)
Oct 1, 2020 42 Scheduling Order (22)
Docket Text: SCHEDULING ORDER. Signed by Judge Nitza I. Quinones Alejandro on 10/1/2020. Associated Cases: 1:19-cv-02083-NIQA-LAS, 1:19-cv-02090-NIQA-LAS, 1:19-cv-02149-NIQA-LAS, 1:20-cv-00089-NIQA-LAS, 1:20-cv-00158-NIQA-LAS(amf)
Sep 14, 2020 41 Proposed Order (Main Document) (26)
Docket Text: PROPOSED ORDER Proposed Scheduling Order by Monterey Research, LLC. (Attachments: # (1) Letter to The Honorable Nitza I. Quiones Alejandro)(Farnan, Brian)
Sep 14, 2020 41 Proposed Order (Letter to The Honorable Nitza I. Quiones Alejandro) (1)
Docket Text: PROPOSED ORDER Proposed Scheduling Order by Monterey Research, LLC. (Attachments: # (1) Letter to The Honorable Nitza I. Quiones Alejandro)(Farnan, Brian)
Jul 21, 2020 39 Notice of Service (3)
Docket Text: NOTICE OF SERVICE of (1) Responses to Monterey Research, LLC's First Set of Common Interrogatories (Nos. 1-4); and (2) Responses to Monterey Research, LLC's First Set of Interrogatories (No. 1) filed by Marvell Asia Pte Ltd., Marvell International Ltd., Marvell Semiconductor, Inc., Marvell Technology Group Ltd..(Blumenfeld, Jack)
Jul 21, 2020 40 Notice of Service (4)
Docket Text: NOTICE OF SERVICE of Plaintiff's Response to Defendants' First Set of Common Interrogatories (Nos. 1-10) filed by Monterey Research, LLC.(Farnan, Brian)
Jul 17, 2020 38 Notice of Service (3)
Docket Text: NOTICE OF SERVICE of Responses to Monterey Research, LLC's First Set of Requests for Production of Documents (Nos. 1-96) filed by Marvell Asia Pte Ltd., Marvell International Ltd., Marvell Semiconductor, Inc., Marvell Technology Group Ltd..(Blumenfeld, Jack)
Jun 11, 2020 36 Reply Brief (Main Document) (16)
Docket Text: REPLY BRIEF re [26] MOTION to Dismiss for Improper Venue MOTION to Dismiss for Lack of Jurisdiction Over the Person MOTION to Transfer Case to Northern District of California filed by Marvell Asia Pte Ltd., Marvell International Ltd., Marvell Semiconductor, Inc., Marvell Technology Group Ltd.. (Attachments: # (1) Exhibits A-B)(Blumenfeld, Jack)
Jun 11, 2020 36 Reply Brief (Exhibits A-B) (30)
Docket Text: REPLY BRIEF re [26] MOTION to Dismiss for Improper Venue MOTION to Dismiss for Lack of Jurisdiction Over the Person MOTION to Transfer Case to Northern District of California filed by Marvell Asia Pte Ltd., Marvell International Ltd., Marvell Semiconductor, Inc., Marvell Technology Group Ltd.. (Attachments: # (1) Exhibits A-B)(Blumenfeld, Jack)
Jun 11, 2020 37 Declaration (4)
Docket Text: Supplemental DECLARATION re [36] Reply Brief, -- Declaration of Rita Patel -- by Marvell Asia Pte Ltd., Marvell International Ltd., Marvell Semiconductor, Inc., Marvell Technology Group Ltd.. (Blumenfeld, Jack)
Jun 5, 2020 35 Notice of Service (3)
Docket Text: NOTICE OF SERVICE of Common Interrogatories: Set One (Nos. 1-10) filed by Advanced Micro Devices, Inc..(Cottrell, Frederick)
Jun 4, 2020 31 Notice of Service (4)
Docket Text: NOTICE OF SERVICE of Monterey Research, LLC's First Set of Common Interrogatories (Nos. 1-4) filed by Monterey Research, LLC.(Farnan, Brian)
Jun 4, 2020 32 Notice of Service (2)
Docket Text: NOTICE OF SERVICE of Monterey Research, LLC's First Set of Interrogatories to Marvell Technology Group Ltd., Marvell International Ltd., Marvell Asia PTE Ltd., and Marvell Semiconductor, Inc. (No. 1) filed by Monterey Research, LLC.(Farnan, Brian)
Jun 4, 2020 33 Answering Brief in Opposition (27)
Docket Text: ANSWERING BRIEF in Opposition re [26] MOTION to Dismiss for Improper Venue MOTION to Dismiss for Lack of Jurisdiction Over the Person MOTION to Transfer Case to Northern District of California filed by Monterey Research, LLC.Reply Brief due date per Local Rules is 6/11/2020. (Farnan, Brian)
Jun 4, 2020 34 Declaration (Main Document) (4)
Docket Text: DECLARATION re [33] Answering Brief in Opposition, of Michael Wueste by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F, # (7) Exhibit G, # (8) Exhibit H, # (9) Exhibit I, # (10) Exhibit J, # (11) Exhibit K, # (12) Exhibit L, # (13) Exhibit M, # (14) Exhibit N, # (15) Exhibit O, # (16) Exhibit P, # (17) Exhibit Q, # (18) Exhibit R, # (19) Exhibit S, # (20) Exhibit T, # (21) Exhibit U, # (22) Exhibit V, # (23) Exhibit W, # (24) Exhibit X)(Farnan, Brian)
Jun 4, 2020 34 Declaration (Exhibit A) (30)
Docket Text: DECLARATION re [33] Answering Brief in Opposition, of Michael Wueste by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F, # (7) Exhibit G, # (8) Exhibit H, # (9) Exhibit I, # (10) Exhibit J, # (11) Exhibit K, # (12) Exhibit L, # (13) Exhibit M, # (14) Exhibit N, # (15) Exhibit O, # (16) Exhibit P, # (17) Exhibit Q, # (18) Exhibit R, # (19) Exhibit S, # (20) Exhibit T, # (21) Exhibit U, # (22) Exhibit V, # (23) Exhibit W, # (24) Exhibit X)(Farnan, Brian)
Jun 4, 2020 34 Declaration (Exhibit B) (2)
Docket Text: DECLARATION re [33] Answering Brief in Opposition, of Michael Wueste by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F, # (7) Exhibit G, # (8) Exhibit H, # (9) Exhibit I, # (10) Exhibit J, # (11) Exhibit K, # (12) Exhibit L, # (13) Exhibit M, # (14) Exhibit N, # (15) Exhibit O, # (16) Exhibit P, # (17) Exhibit Q, # (18) Exhibit R, # (19) Exhibit S, # (20) Exhibit T, # (21) Exhibit U, # (22) Exhibit V, # (23) Exhibit W, # (24) Exhibit X)(Farnan, Brian)
Jun 4, 2020 34 Declaration (Exhibit C) (2)
Docket Text: DECLARATION re [33] Answering Brief in Opposition, of Michael Wueste by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F, # (7) Exhibit G, # (8) Exhibit H, # (9) Exhibit I, # (10) Exhibit J, # (11) Exhibit K, # (12) Exhibit L, # (13) Exhibit M, # (14) Exhibit N, # (15) Exhibit O, # (16) Exhibit P, # (17) Exhibit Q, # (18) Exhibit R, # (19) Exhibit S, # (20) Exhibit T, # (21) Exhibit U, # (22) Exhibit V, # (23) Exhibit W, # (24) Exhibit X)(Farnan, Brian)
Jun 4, 2020 34 Declaration (Exhibit D) (27)
Docket Text: DECLARATION re [33] Answering Brief in Opposition, of Michael Wueste by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F, # (7) Exhibit G, # (8) Exhibit H, # (9) Exhibit I, # (10) Exhibit J, # (11) Exhibit K, # (12) Exhibit L, # (13) Exhibit M, # (14) Exhibit N, # (15) Exhibit O, # (16) Exhibit P, # (17) Exhibit Q, # (18) Exhibit R, # (19) Exhibit S, # (20) Exhibit T, # (21) Exhibit U, # (22) Exhibit V, # (23) Exhibit W, # (24) Exhibit X)(Farnan, Brian)
Jun 4, 2020 34 Declaration (Exhibit E) (29)
Docket Text: DECLARATION re [33] Answering Brief in Opposition, of Michael Wueste by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F, # (7) Exhibit G, # (8) Exhibit H, # (9) Exhibit I, # (10) Exhibit J, # (11) Exhibit K, # (12) Exhibit L, # (13) Exhibit M, # (14) Exhibit N, # (15) Exhibit O, # (16) Exhibit P, # (17) Exhibit Q, # (18) Exhibit R, # (19) Exhibit S, # (20) Exhibit T, # (21) Exhibit U, # (22) Exhibit V, # (23) Exhibit W, # (24) Exhibit X)(Farnan, Brian)
Jun 4, 2020 34 Declaration (Exhibit F) (30)
Docket Text: DECLARATION re [33] Answering Brief in Opposition, of Michael Wueste by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F, # (7) Exhibit G, # (8) Exhibit H, # (9) Exhibit I, # (10) Exhibit J, # (11) Exhibit K, # (12) Exhibit L, # (13) Exhibit M, # (14) Exhibit N, # (15) Exhibit O, # (16) Exhibit P, # (17) Exhibit Q, # (18) Exhibit R, # (19) Exhibit S, # (20) Exhibit T, # (21) Exhibit U, # (22) Exhibit V, # (23) Exhibit W, # (24) Exhibit X)(Farnan, Brian)
Jun 4, 2020 34 Declaration (Exhibit G) (30)
Docket Text: DECLARATION re [33] Answering Brief in Opposition, of Michael Wueste by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F, # (7) Exhibit G, # (8) Exhibit H, # (9) Exhibit I, # (10) Exhibit J, # (11) Exhibit K, # (12) Exhibit L, # (13) Exhibit M, # (14) Exhibit N, # (15) Exhibit O, # (16) Exhibit P, # (17) Exhibit Q, # (18) Exhibit R, # (19) Exhibit S, # (20) Exhibit T, # (21) Exhibit U, # (22) Exhibit V, # (23) Exhibit W, # (24) Exhibit X)(Farnan, Brian)
Jun 4, 2020 34 Declaration (Exhibit H) (2)
Docket Text: DECLARATION re [33] Answering Brief in Opposition, of Michael Wueste by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F, # (7) Exhibit G, # (8) Exhibit H, # (9) Exhibit I, # (10) Exhibit J, # (11) Exhibit K, # (12) Exhibit L, # (13) Exhibit M, # (14) Exhibit N, # (15) Exhibit O, # (16) Exhibit P, # (17) Exhibit Q, # (18) Exhibit R, # (19) Exhibit S, # (20) Exhibit T, # (21) Exhibit U, # (22) Exhibit V, # (23) Exhibit W, # (24) Exhibit X)(Farnan, Brian)
Jun 4, 2020 34 Declaration (Exhibit I) (2)
Docket Text: DECLARATION re [33] Answering Brief in Opposition, of Michael Wueste by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F, # (7) Exhibit G, # (8) Exhibit H, # (9) Exhibit I, # (10) Exhibit J, # (11) Exhibit K, # (12) Exhibit L, # (13) Exhibit M, # (14) Exhibit N, # (15) Exhibit O, # (16) Exhibit P, # (17) Exhibit Q, # (18) Exhibit R, # (19) Exhibit S, # (20) Exhibit T, # (21) Exhibit U, # (22) Exhibit V, # (23) Exhibit W, # (24) Exhibit X)(Farnan, Brian)
Jun 4, 2020 34 Declaration (Exhibit J) (2)
Docket Text: DECLARATION re [33] Answering Brief in Opposition, of Michael Wueste by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F, # (7) Exhibit G, # (8) Exhibit H, # (9) Exhibit I, # (10) Exhibit J, # (11) Exhibit K, # (12) Exhibit L, # (13) Exhibit M, # (14) Exhibit N, # (15) Exhibit O, # (16) Exhibit P, # (17) Exhibit Q, # (18) Exhibit R, # (19) Exhibit S, # (20) Exhibit T, # (21) Exhibit U, # (22) Exhibit V, # (23) Exhibit W, # (24) Exhibit X)(Farnan, Brian)
Jun 4, 2020 34 Declaration (Exhibit K) (2)
Docket Text: DECLARATION re [33] Answering Brief in Opposition, of Michael Wueste by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F, # (7) Exhibit G, # (8) Exhibit H, # (9) Exhibit I, # (10) Exhibit J, # (11) Exhibit K, # (12) Exhibit L, # (13) Exhibit M, # (14) Exhibit N, # (15) Exhibit O, # (16) Exhibit P, # (17) Exhibit Q, # (18) Exhibit R, # (19) Exhibit S, # (20) Exhibit T, # (21) Exhibit U, # (22) Exhibit V, # (23) Exhibit W, # (24) Exhibit X)(Farnan, Brian)
Jun 4, 2020 34 Declaration (Exhibit L) (2)
Docket Text: DECLARATION re [33] Answering Brief in Opposition, of Michael Wueste by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F, # (7) Exhibit G, # (8) Exhibit H, # (9) Exhibit I, # (10) Exhibit J, # (11) Exhibit K, # (12) Exhibit L, # (13) Exhibit M, # (14) Exhibit N, # (15) Exhibit O, # (16) Exhibit P, # (17) Exhibit Q, # (18) Exhibit R, # (19) Exhibit S, # (20) Exhibit T, # (21) Exhibit U, # (22) Exhibit V, # (23) Exhibit W, # (24) Exhibit X)(Farnan, Brian)
Jun 4, 2020 34 Declaration (Exhibit M) (2)
Docket Text: DECLARATION re [33] Answering Brief in Opposition, of Michael Wueste by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F, # (7) Exhibit G, # (8) Exhibit H, # (9) Exhibit I, # (10) Exhibit J, # (11) Exhibit K, # (12) Exhibit L, # (13) Exhibit M, # (14) Exhibit N, # (15) Exhibit O, # (16) Exhibit P, # (17) Exhibit Q, # (18) Exhibit R, # (19) Exhibit S, # (20) Exhibit T, # (21) Exhibit U, # (22) Exhibit V, # (23) Exhibit W, # (24) Exhibit X)(Farnan, Brian)
Jun 4, 2020 34 Declaration (Exhibit N) (2)
Docket Text: DECLARATION re [33] Answering Brief in Opposition, of Michael Wueste by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F, # (7) Exhibit G, # (8) Exhibit H, # (9) Exhibit I, # (10) Exhibit J, # (11) Exhibit K, # (12) Exhibit L, # (13) Exhibit M, # (14) Exhibit N, # (15) Exhibit O, # (16) Exhibit P, # (17) Exhibit Q, # (18) Exhibit R, # (19) Exhibit S, # (20) Exhibit T, # (21) Exhibit U, # (22) Exhibit V, # (23) Exhibit W, # (24) Exhibit X)(Farnan, Brian)
Jun 4, 2020 34 Declaration (Exhibit O) (2)
Docket Text: DECLARATION re [33] Answering Brief in Opposition, of Michael Wueste by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F, # (7) Exhibit G, # (8) Exhibit H, # (9) Exhibit I, # (10) Exhibit J, # (11) Exhibit K, # (12) Exhibit L, # (13) Exhibit M, # (14) Exhibit N, # (15) Exhibit O, # (16) Exhibit P, # (17) Exhibit Q, # (18) Exhibit R, # (19) Exhibit S, # (20) Exhibit T, # (21) Exhibit U, # (22) Exhibit V, # (23) Exhibit W, # (24) Exhibit X)(Farnan, Brian)
Jun 4, 2020 34 Declaration (Exhibit P) (2)
Docket Text: DECLARATION re [33] Answering Brief in Opposition, of Michael Wueste by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F, # (7) Exhibit G, # (8) Exhibit H, # (9) Exhibit I, # (10) Exhibit J, # (11) Exhibit K, # (12) Exhibit L, # (13) Exhibit M, # (14) Exhibit N, # (15) Exhibit O, # (16) Exhibit P, # (17) Exhibit Q, # (18) Exhibit R, # (19) Exhibit S, # (20) Exhibit T, # (21) Exhibit U, # (22) Exhibit V, # (23) Exhibit W, # (24) Exhibit X)(Farnan, Brian)
Jun 4, 2020 34 Declaration (Exhibit Q) (2)
Docket Text: DECLARATION re [33] Answering Brief in Opposition, of Michael Wueste by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F, # (7) Exhibit G, # (8) Exhibit H, # (9) Exhibit I, # (10) Exhibit J, # (11) Exhibit K, # (12) Exhibit L, # (13) Exhibit M, # (14) Exhibit N, # (15) Exhibit O, # (16) Exhibit P, # (17) Exhibit Q, # (18) Exhibit R, # (19) Exhibit S, # (20) Exhibit T, # (21) Exhibit U, # (22) Exhibit V, # (23) Exhibit W, # (24) Exhibit X)(Farnan, Brian)
Jun 4, 2020 34 Declaration (Exhibit R) (2)
Docket Text: DECLARATION re [33] Answering Brief in Opposition, of Michael Wueste by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F, # (7) Exhibit G, # (8) Exhibit H, # (9) Exhibit I, # (10) Exhibit J, # (11) Exhibit K, # (12) Exhibit L, # (13) Exhibit M, # (14) Exhibit N, # (15) Exhibit O, # (16) Exhibit P, # (17) Exhibit Q, # (18) Exhibit R, # (19) Exhibit S, # (20) Exhibit T, # (21) Exhibit U, # (22) Exhibit V, # (23) Exhibit W, # (24) Exhibit X)(Farnan, Brian)
Jun 4, 2020 34 Declaration (Exhibit S) (2)
Docket Text: DECLARATION re [33] Answering Brief in Opposition, of Michael Wueste by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F, # (7) Exhibit G, # (8) Exhibit H, # (9) Exhibit I, # (10) Exhibit J, # (11) Exhibit K, # (12) Exhibit L, # (13) Exhibit M, # (14) Exhibit N, # (15) Exhibit O, # (16) Exhibit P, # (17) Exhibit Q, # (18) Exhibit R, # (19) Exhibit S, # (20) Exhibit T, # (21) Exhibit U, # (22) Exhibit V, # (23) Exhibit W, # (24) Exhibit X)(Farnan, Brian)
Jun 4, 2020 34 Declaration (Exhibit T) (3)
Docket Text: DECLARATION re [33] Answering Brief in Opposition, of Michael Wueste by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F, # (7) Exhibit G, # (8) Exhibit H, # (9) Exhibit I, # (10) Exhibit J, # (11) Exhibit K, # (12) Exhibit L, # (13) Exhibit M, # (14) Exhibit N, # (15) Exhibit O, # (16) Exhibit P, # (17) Exhibit Q, # (18) Exhibit R, # (19) Exhibit S, # (20) Exhibit T, # (21) Exhibit U, # (22) Exhibit V, # (23) Exhibit W, # (24) Exhibit X)(Farnan, Brian)
Jun 4, 2020 34 Declaration (Exhibit U) (9)
Docket Text: DECLARATION re [33] Answering Brief in Opposition, of Michael Wueste by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F, # (7) Exhibit G, # (8) Exhibit H, # (9) Exhibit I, # (10) Exhibit J, # (11) Exhibit K, # (12) Exhibit L, # (13) Exhibit M, # (14) Exhibit N, # (15) Exhibit O, # (16) Exhibit P, # (17) Exhibit Q, # (18) Exhibit R, # (19) Exhibit S, # (20) Exhibit T, # (21) Exhibit U, # (22) Exhibit V, # (23) Exhibit W, # (24) Exhibit X)(Farnan, Brian)
Jun 4, 2020 34 Declaration (Exhibit V) (21)
Docket Text: DECLARATION re [33] Answering Brief in Opposition, of Michael Wueste by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F, # (7) Exhibit G, # (8) Exhibit H, # (9) Exhibit I, # (10) Exhibit J, # (11) Exhibit K, # (12) Exhibit L, # (13) Exhibit M, # (14) Exhibit N, # (15) Exhibit O, # (16) Exhibit P, # (17) Exhibit Q, # (18) Exhibit R, # (19) Exhibit S, # (20) Exhibit T, # (21) Exhibit U, # (22) Exhibit V, # (23) Exhibit W, # (24) Exhibit X)(Farnan, Brian)
Jun 4, 2020 34 Declaration (Exhibit W) (10)
Docket Text: DECLARATION re [33] Answering Brief in Opposition, of Michael Wueste by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F, # (7) Exhibit G, # (8) Exhibit H, # (9) Exhibit I, # (10) Exhibit J, # (11) Exhibit K, # (12) Exhibit L, # (13) Exhibit M, # (14) Exhibit N, # (15) Exhibit O, # (16) Exhibit P, # (17) Exhibit Q, # (18) Exhibit R, # (19) Exhibit S, # (20) Exhibit T, # (21) Exhibit U, # (22) Exhibit V, # (23) Exhibit W, # (24) Exhibit X)(Farnan, Brian)
Jun 4, 2020 34 Declaration (Exhibit X) (21)
Docket Text: DECLARATION re [33] Answering Brief in Opposition, of Michael Wueste by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Exhibit F, # (7) Exhibit G, # (8) Exhibit H, # (9) Exhibit I, # (10) Exhibit J, # (11) Exhibit K, # (12) Exhibit L, # (13) Exhibit M, # (14) Exhibit N, # (15) Exhibit O, # (16) Exhibit P, # (17) Exhibit Q, # (18) Exhibit R, # (19) Exhibit S, # (20) Exhibit T, # (21) Exhibit U, # (22) Exhibit V, # (23) Exhibit W, # (24) Exhibit X)(Farnan, Brian)
Jun 3, 2020 30 Notice of Service (2)
Docket Text: NOTICE OF SERVICE of Monterey's First Set of Requests for Production to Marvell Technology Group Ltd., Marvell International Ltd., Marvell Asia PTE Ltd., and Marvell Semiconductor, Inc. (Nos. 1-96) filed by Monterey Research, LLC.(Farnan, Brian)
May 21, 2020 26 Motion to Dismiss/Improper Venue (4)
Docket Text: MOTION to Dismiss for Improper Venue , MOTION to Dismiss for Lack of Jurisdiction Over the Person , MOTION to Transfer Case to Northern District of California - filed by Marvell Asia Pte Ltd., Marvell International Ltd., Marvell Semiconductor, Inc., Marvell Technology Group Ltd.. (Blumenfeld, Jack)
May 21, 2020 27 Opening Brief in Support (Main Document) (15)
Docket Text: OPENING BRIEF in Support re [26] MOTION to Dismiss for Improper Venue MOTION to Dismiss for Lack of Jurisdiction Over the Person MOTION to Transfer Case to Northern District of California filed by Marvell Asia Pte Ltd., Marvell International Ltd., Marvell Semiconductor, Inc., Marvell Technology Group Ltd..Answering Brief/Response due date per Local Rules is 6/4/2020. (Attachments: # (1) Exhibits A-B)(Blumenfeld, Jack)
May 21, 2020 27 Opening Brief in Support (Exhibits A-B) (19)
Docket Text: OPENING BRIEF in Support re [26] MOTION to Dismiss for Improper Venue MOTION to Dismiss for Lack of Jurisdiction Over the Person MOTION to Transfer Case to Northern District of California filed by Marvell Asia Pte Ltd., Marvell International Ltd., Marvell Semiconductor, Inc., Marvell Technology Group Ltd..Answering Brief/Response due date per Local Rules is 6/4/2020. (Attachments: # (1) Exhibits A-B)(Blumenfeld, Jack)
May 21, 2020 28 Declaration (5)
Docket Text: DECLARATION re [26] MOTION to Dismiss for Improper Venue MOTION to Dismiss for Lack of Jurisdiction Over the Person MOTION to Transfer Case to Northern District of California -- Declaration of Rita Patel -- by Marvell Asia Pte Ltd., Marvell International Ltd., Marvell Semiconductor, Inc., Marvell Technology Group Ltd.. (Blumenfeld, Jack)
May 21, 2020 29 Disclosure Statement (3)
Docket Text: Disclosure Statement pursuant to Rule 7.1: identifying Corporate Parent Marvell Technology, Inc., Corporate Parent Marvell Israel (M.I.S.L.) Ltd., Other Affiliate Marvell Technology Group, Ltd. for Marvell Semiconductor, Inc.; Corporate Parent Marvell Technology Group, Inc. for Marvell International Ltd.; Corporate Parent Cavium International, Other Affiliate Marvell Technology Group, Ltd. for Marvell Asia Pte Ltd. filed by Marvell Asia Pte Ltd., Marvell International Ltd., Marvell Semiconductor, Inc., Marvell Technology Group Ltd.. (Blumenfeld, Jack)
May 20, 2020 25 Stipulation and Order (3)
Docket Text: STIPULATION AND ORDER, The Parties, subject to the Courts approval, hereby agree that the deadline for submitting a Rule 26(f) Report and Proposed Scheduling Order is extended to May 19, 2020 to provide the parties with additional time to reach agreement and/or narrow their disputes on various issues in the proposed Scheduling Order. Signed by Judge Nitza I. Quinones Alejandro on 5/18/2020. Associated Cases: 1:19-cv-02083-NIQA-LAS, 1:19-cv-02090-NIQA-LAS, 1:19-cv-02149-NIQA-LAS, 1:20-cv-00089-NIQA-LAS, 1:20-cv-00158-NIQA-LAS(lak)
May 19, 2020 24 Letter (Main Document) (1)
Docket Text: Letter to The Honorable Nitza I. Quinones Alejandro from Brian E. Farnan regarding Proposed Scheduling Order and Rule 26(f) Report - re (21 in 1:19-cv-02090-NIQA-LAS, 26 in 1:19-cv-02083-NIQA-LAS, 35 in 1:19-cv-02149-NIQA-LAS, 28 in 1:20-cv-00089-NIQA-LAS, 18 in 1:20-cv-00158-NIQA-LAS) Order,,,. (Attachments: # (1) Proposed Scheduling Order, # (2) Rule 26(f) Report)(Farnan, Brian)
May 19, 2020 24 Letter (Proposed Scheduling Order) (26)
Docket Text: Letter to The Honorable Nitza I. Quinones Alejandro from Brian E. Farnan regarding Proposed Scheduling Order and Rule 26(f) Report - re (21 in 1:19-cv-02090-NIQA-LAS, 26 in 1:19-cv-02083-NIQA-LAS, 35 in 1:19-cv-02149-NIQA-LAS, 28 in 1:20-cv-00089-NIQA-LAS, 18 in 1:20-cv-00158-NIQA-LAS) Order,,,. (Attachments: # (1) Proposed Scheduling Order, # (2) Rule 26(f) Report)(Farnan, Brian)
May 19, 2020 24 Letter (Rule 26(f) Report) (22)
Docket Text: Letter to The Honorable Nitza I. Quinones Alejandro from Brian E. Farnan regarding Proposed Scheduling Order and Rule 26(f) Report - re (21 in 1:19-cv-02090-NIQA-LAS, 26 in 1:19-cv-02083-NIQA-LAS, 35 in 1:19-cv-02149-NIQA-LAS, 28 in 1:20-cv-00089-NIQA-LAS, 18 in 1:20-cv-00158-NIQA-LAS) Order,,,. (Attachments: # (1) Proposed Scheduling Order, # (2) Rule 26(f) Report)(Farnan, Brian)
May 15, 2020 23 Stipulation to EXTEND Time (3)
Docket Text: STIPULATION TO EXTEND TIME to submit a Rule 26(f) Report and Proposed Scheduling Order to 5/19/2020 - filed by Monterey Research, LLC. (Farnan, Brian)
May 12, 2020 21 Stipulation to EXTEND Time (3)
Docket Text: STIPULATION TO EXTEND TIME to submit a Rule 26(f) Report and Proposed Scheduling Order to 5/15/2020 - filed by Monterey Research, LLC. (Farnan, Brian)
May 12, 2020 22 Stipulation and Order (3)
Docket Text: STIPULATION, the deadline for submitting a Rule 26(f) Report and Proposed Scheduling Order is extended from May 12, 2020 to May 15, 2020 to provide the parties with additional time to reach agreement and/or narrow their disputeson various issues in the proposed Scheduling Order. Signed by Judge Nitza I. Quinones Alejandro on 5/12/2020. Associated Cases: 1:19-cv-02083-NIQA-LAS, 1:19-cv-02090-NIQA-LAS, 1:19-cv-02149-NIQA-LAS, 1:20-cv-00089-NIQA-LAS, 1:20-cv-00158-NIQA-LAS(lak)
May 4, 2020 20 Stipulation and Order (1)
Docket Text: STIPULATION AND ORDER re [19] STIPULATION TO EXTEND TIME for defendants to respond to the Complaint to May 21, 2020. Signed by Judge Nitza I. Quinones Alejandro on 5/1/2020. (nmg)
Apr 30, 2020 19 Stipulation to EXTEND Time (2)
Docket Text: STIPULATION TO EXTEND TIME for defendants to respond to the Complaint to May 21, 2020 - filed by Marvell Asia Pte Ltd., Marvell International Ltd., Marvell Semiconductor, Inc., Marvell Technology Group Ltd.. (Blumenfeld, Jack)
Apr 17, 2020 18 Order (2)
Docket Text: ORDER - The preliminary pretrial conference previously scheduled to be held on May 12, 2020, is CONTINUED until further Order of this Court. It is FURTHER ORDERED that pursuant to Federal Rules of Civil Procedure 16 and 26, the parties shall confer about scheduling and discovery limitations and attempt to reach agreement. As a basis for discussion, the parties shall use Judge Colm F. Connolly's Rule 16 Scheduling Order for Patent Cases (revised on March 2, 2020), available on the District of Delaware's website. No later than May 12, 2020, the parties shall file a written joint report of their Rule 26(f) meeting and a proposed scheduling order using the Rule 16 Scheduling Order for Patent Cases form. Signed by Judge Nitza I. Quinones Alejandro on 4/17/2020. Associated Cases: 1:19-cv-02083-NIQA-LAS, 1:19-cv-02090-NIQA-LAS, 1:19-cv-02149-NIQA-LAS, 1:20-cv-00089-NIQA-LAS, 1:20-cv-00158-NIQA-LAS(nmg)
Mar 26, 2020 17 Order Referring Case to Magistrate Judge (1)
Docket Text: ORDER REFERRING CASE to Magistrate Judge Lynne A. Sitarski. The Honorable Lynne A. Sitarski, a United States Magistrate from the Eastern District of Pennsylvania, is hereby designated to hold court and perform any and all judicial duties designated under 28 U.S.C. § 636, subsections (a), (b), and(c), on an as needed basis, in the District of Delaware for a period from March 5, 2020 to March 5, 2021, or during the pendency of this case. *See Order for further details. Signed by Judge Leonard P. Stark on 3/26/2020. (lak)
Mar 5, 2020 N/A Case Assigned/Reassigned (0)
Docket Text: Case Reassigned to Judge Nitza I. Quinones Alejandro of the U.S. District Court for the Eastern District of Pennsylvania. Please include the initials of the Judge (NIQA) after the case number on all documents filed. Associated Cases: 1:19-cv-02083-NIQA, 1:19-cv-02090-NIQA, 1:19-cv-02149-NIQA, 1:20-cv-00089-NIQA, 1:20-cv-00158-NIQA (rjb)
Mar 5, 2020 16 Order (1)
Docket Text: ORDER: DESIGNATION OF DISTRICT JUDGE, designating and assigning the Honorable Nitza I. Quinones Alejandro of the U.S. District Court for the Eastern District of Pennsylvania. Signed by Judge D. Brooks Smith on 3/5/2020. (rjb)
Feb 21, 2020 15 Order Setting Scheduling Conference (3)
Docket Text: Order Setting Scheduling Conference: A Scheduling Conference is set for 5/12/2020 at 03:00 PM in Courtroom 4B before Judge Colm F. Connolly. Signed by Judge Colm F. Connolly on 2/21/2020. Associated Cases: 1:19-cv-02083-CFC, 1:19-cv-02090-CFC, 1:19-cv-02149-CFC, 1:20-cv-00089-CFC, 1:20-cv-00158-CFC(nmf)
Feb 14, 2020 N/A Summons Issued (0)
Docket Text: Summons Issued with Magistrate Consent Notice attached as to Marvell Semiconductor, Inc. on 2/14/2020. (mal)
Feb 13, 2020 N/A Add Attorneys Pro Hac Vice (0)
Docket Text: Pro Hac Vice Attorney Jordan N. Malz, Michael Wueste, Jonas R. McDavit, and Edward B. Geist for Monterey Research, LLC added for electronic noticing. Pursuant to Local Rule 83.5 (d)., Delaware counsel shall be the registered users of CM/ECF and shall be required to file all papers. (mal)
Feb 13, 2020 N/A Add Attorneys Pro Hac Vice (0)
Docket Text: Pro Hac Vice Attorney Ryan G. Thorne for Monterey Research, LLC added for electronic noticing. Pursuant to Local Rule 83.5 (d)., Delaware counsel shall be the registered users of CM/ECF and shall be required to file all papers. (kmd)
Feb 10, 2020 N/A SO ORDERED (0)
Docket Text: SO ORDERED, re (14 in 1:20-cv-00158-CFC, 10 in 1:20-cv-00089-CFC) MOTION for Pro Hac Vice Appearance of Attorney Jonas R. McDavit, Jordan N. Malz, Edward Geist, Michael Wueste, and Ryan G. Thorne filed by Monterey Research, LLC. Signed by Judge Colm F. Connolly on 2/10/2020. Associated Cases: 1:20-cv-00089-CFC, 1:20-cv-00158-CFC(fms)
Feb 6, 2020 14 Motion for Leave to Appear Pro Hac Vice (7)
Docket Text: MOTION for Pro Hac Vice Appearance of Attorney Jonas R. McDavit, Jordan N. Malz, Edward Geist, Michael Wueste, and Ryan G. Thorne - filed by Monterey Research, LLC. (Farnan, Michael)
Feb 5, 2020 N/A Case Assigned/Reassigned (0)
Docket Text: Case Assigned to Judge Colm F. Connolly. Please include the initials of the Judge (CFC) after the case number on all documents filed. (rjb)
Feb 5, 2020 11 Proof of Mailing (3)
Docket Text: Affidavit for the mailing of process to Marvell Asia Pte Ltd. (lak)
Feb 5, 2020 12 Proof of Mailing (3)
Docket Text: Affidavit for the mailing of process to Marvell International Ltd. (lak)
Feb 5, 2020 13 Proof of Mailing (3)
Docket Text: Affidavit for the mailing of process to Marvell Technology Group Ltd. (lak)
Feb 4, 2020 N/A Summons Issued (0)
Docket Text: Summons Issued with Magistrate Consent Notice attached as to Marvell Asia Pte Ltd. on 2/4/2020; Marvell International Ltd. on 2/4/2020; Marvell Technology Group Ltd. on 2/4/2020. (apk)
Feb 4, 2020 5 Praecipe (1)
Docket Text: PRAECIPE filed by Rosemary Jean Piergiovanni on behalf of Monterey Research, LLC requesting Clerk to issue Rule 4(f)(2)(C)(ii) service on Marvell Technology Group Ltd. (Piergiovanni, Rosemary)
Feb 4, 2020 6 Affidavit (2)
Docket Text: AFFIDAVIT of Rosemary J. Piergiovanni re [5] Praecipe filed by Monterey Research, LLC. (Piergiovanni, Rosemary)
Feb 4, 2020 7 Praecipe (1)
Docket Text: PRAECIPE filed by Rosemary Jean Piergiovanni on behalf of Monterey Research, LLC requesting Clerk to issue Rule 4(f)(2)(C)(ii) service on Marvell International Ltd. (Piergiovanni, Rosemary)
Feb 4, 2020 8 Affidavit (2)
Docket Text: AFFIDAVIT of Rosemary J. Piergiovanni re [7] Praecipe filed by Monterey Research, LLC. (Piergiovanni, Rosemary)
Feb 4, 2020 9 Praecipe (1)
Docket Text: PRAECIPE filed by Rosemary Jean Piergiovanni on behalf of Monterey Research, LLC requesting Clerk to issue Rule 4(f)(2)(C)(ii) service on Marvell Asia Pte Ltd. (Piergiovanni, Rosemary)
Feb 4, 2020 10 Affidavit (2)
Docket Text: AFFIDAVIT of Rosemary J. Piergiovanni re [9] Praecipe filed by Monterey Research, LLC. (Piergiovanni, Rosemary)
Jan 31, 2020 1 Complaint* (1)
Jan 31, 2020 N/A No Summons Issued (0)
Docket Text: No Summons Issued. (kmd)
Jan 31, 2020 1 Complaint (Main Document) (30)
Docket Text: COMPLAINT for Patent Infringement filed with Jury Demand against Marvell Asia Pte Ltd., Marvell International Ltd., Marvell Semiconductor, Inc., Marvell Technology Group Ltd. - Magistrate Consent Notice to Pltf. (Filing fee $ 400, receipt number 0311-2841329.) - filed by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Civil Cover Sheet)(kmd)
Jan 31, 2020 1 Complaint (Exhibit A) (11)
Docket Text: COMPLAINT for Patent Infringement filed with Jury Demand against Marvell Asia Pte Ltd., Marvell International Ltd., Marvell Semiconductor, Inc., Marvell Technology Group Ltd. - Magistrate Consent Notice to Pltf. (Filing fee $ 400, receipt number 0311-2841329.) - filed by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Civil Cover Sheet)(kmd)
Jan 31, 2020 1 Complaint (Exhibit B) (16)
Docket Text: COMPLAINT for Patent Infringement filed with Jury Demand against Marvell Asia Pte Ltd., Marvell International Ltd., Marvell Semiconductor, Inc., Marvell Technology Group Ltd. - Magistrate Consent Notice to Pltf. (Filing fee $ 400, receipt number 0311-2841329.) - filed by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Civil Cover Sheet)(kmd)
Jan 31, 2020 1 Complaint (Exhibit C) (11)
Docket Text: COMPLAINT for Patent Infringement filed with Jury Demand against Marvell Asia Pte Ltd., Marvell International Ltd., Marvell Semiconductor, Inc., Marvell Technology Group Ltd. - Magistrate Consent Notice to Pltf. (Filing fee $ 400, receipt number 0311-2841329.) - filed by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Civil Cover Sheet)(kmd)
Jan 31, 2020 1 Complaint (Exhibit D) (8)
Docket Text: COMPLAINT for Patent Infringement filed with Jury Demand against Marvell Asia Pte Ltd., Marvell International Ltd., Marvell Semiconductor, Inc., Marvell Technology Group Ltd. - Magistrate Consent Notice to Pltf. (Filing fee $ 400, receipt number 0311-2841329.) - filed by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Civil Cover Sheet)(kmd)
Jan 31, 2020 1 Complaint (Exhibit E) (16)
Docket Text: COMPLAINT for Patent Infringement filed with Jury Demand against Marvell Asia Pte Ltd., Marvell International Ltd., Marvell Semiconductor, Inc., Marvell Technology Group Ltd. - Magistrate Consent Notice to Pltf. (Filing fee $ 400, receipt number 0311-2841329.) - filed by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Civil Cover Sheet)(kmd)
Jan 31, 2020 1 Complaint (Civil Cover Sheet) (1)
Docket Text: COMPLAINT for Patent Infringement filed with Jury Demand against Marvell Asia Pte Ltd., Marvell International Ltd., Marvell Semiconductor, Inc., Marvell Technology Group Ltd. - Magistrate Consent Notice to Pltf. (Filing fee $ 400, receipt number 0311-2841329.) - filed by Monterey Research, LLC. (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E, # (6) Civil Cover Sheet)(kmd)
Jan 31, 2020 2 Magistrate Consent Forms (3)
Docket Text: Notice, Consent and Referral forms re: U.S. Magistrate Judge jurisdiction. (kmd)
Jan 31, 2020 3 Patent/Trademark Report to Commissioner (1)
Docket Text: Report to the Commissioner of Patents and Trademarks for Patent/Trademark Number(s) US 6,459,625 B1; US 6,534,805 B1; US 6,629,226 B1; US 6,651,134 B1; US 6,765,407 B1. (kmd)
Jan 31, 2020 4 Disclosure Statement (1)
Docket Text: Disclosure Statement pursuant to Rule 7.1: identifying Corporate Parent IPValue Management, Inc. for Monterey Research, LLC - filed by Monterey Research, LLC. (kmd)
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