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Case number 3:20-cv-01108

National Products Inc. v. Gamber-Johnson LLC > Documents

Date Field Doc. No.Description (Pages)
Nov 8, 2022 N/A Terminate Case pursuant to Rule 41(a)(1) (0)
Docket Text: Pursuant to Fed. R. Civ. P. 41(a)(1), this case is closed without further order of the court. (acd)
Nov 2, 2022 141 Stipulation of Dismissal (3)
Docket Text: STIPULATION of Dismissal by Plaintiff National Products Inc.. (Gregor, Jennifer)
Oct 25, 2022 N/A Set Motion and R&R Deadlines/Hearings (0)
Docket Text: Reset Deadlines as to [134] Motion to Consolidate Cases. Brief in Opposition due 11/10/2022. Brief in Reply due 11/17/2022. (acd)
Oct 25, 2022 139 Motion for Miscellaneous Relief (4)
Docket Text: Joint Motion to Extend Expert Disclosure, Briefing, and Discovery Deadlines by Plaintiff National Products Inc.. (Gregor, Jennifer)
Oct 25, 2022 N/A Order on Motion for Miscellaneous Relief (0)
Docket Text: ** TEXT ONLY ORDER **ORDER granting [139] Joint Motion to Extend Expert Disclosure, Briefing, and Discovery Deadlines Signed by Magistrate Judge Stephen L. Crocker on 10/25/2022. (acd)
Oct 5, 2022 N/A Set Motion and R&R Deadlines/Hearings (0)
Docket Text: Reset Briefing Deadlines re: [134] Motion to Consolidate Cases. Brief in Opposition due 10/27/2022. Brief in Reply due 11/3/2022. (arw)
Oct 4, 2022 137 Motion for Miscellaneous Relief (4)
Docket Text: Joint Motion to Extend Expert Disclosure, Briefing, and Discovery Deadlines by Plaintiff National Products Inc.. (Gregor, Jennifer)
Oct 4, 2022 N/A Order on Motion for Miscellaneous Relief (0)
Docket Text: ** TEXT ONLY ORDER **ORDER granting [137] Joint Motion to Extend Expert Disclosure, Briefing, and Discovery Deadlines. Signed by Magistrate Judge Stephen L. Crocker on 10/4/2022. (acd)
Sep 22, 2022 N/A Set Motion and R&R Deadlines/Hearings (0)
Docket Text: Reset Deadlines as to [134] Motion to Consolidate Cases. Brief in Opposition due 10/6/2022. Brief in Reply due 10/13/2022. (acd/slc)
Sep 21, 2022 134 Motion to Consolidate Cases (2)
Docket Text: Motion to Consolidate Cases by Plaintiff National Products Inc.. Response due 9/28/2022. (Tellekson, David)
Sep 21, 2022 135 Brief in Support (11)
Docket Text: Brief in Support of [134] Motion to Consolidate Cases by Plaintiff National Products Inc. (Tellekson, David)
Sep 21, 2022 136 Declaration (Main Document) (1)
Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products Inc. in Support of re: [134] Motion to Consolidate Cases (Attachments: # (1) Exhibit A - August 15, 2022 Letter from Jonathan Tamami to Marshall Schmitt, # (2) Exhibit B - August 17, 2022 Letter from Marshall Schmitt to Jonathan Tamimi, # (3) Exhibit C - August 25, 2022 Email Correspondence between Jonathan Tamimi and Marshall Schmitt and attachment) (Kaempf, Jessica)
Sep 21, 2022 136 Declaration (Exhibit A - August 15, 2022 Letter from Jonathan Tamami to Marshall Schmitt) (3)
Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products Inc. in Support of re: [134] Motion to Consolidate Cases (Attachments: # (1) Exhibit A - August 15, 2022 Letter from Jonathan Tamami to Marshall Schmitt, # (2) Exhibit B - August 17, 2022 Letter from Marshall Schmitt to Jonathan Tamimi, # (3) Exhibit C - August 25, 2022 Email Correspondence between Jonathan Tamimi and Marshall Schmitt and attachment) (Kaempf, Jessica)
Sep 21, 2022 136 Declaration (Exhibit B - August 17, 2022 Letter from Marshall Schmitt to Jonathan Tamimi) (3)
Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products Inc. in Support of re: [134] Motion to Consolidate Cases (Attachments: # (1) Exhibit A - August 15, 2022 Letter from Jonathan Tamami to Marshall Schmitt, # (2) Exhibit B - August 17, 2022 Letter from Marshall Schmitt to Jonathan Tamimi, # (3) Exhibit C - August 25, 2022 Email Correspondence between Jonathan Tamimi and Marshall Schmitt and attachment) (Kaempf, Jessica)
Sep 21, 2022 136 Declaration (Exhibit C - August 25, 2022 Email Correspondence between Jonathan Tamimi and Mar) (19)
Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products Inc. in Support of re: [134] Motion to Consolidate Cases (Attachments: # (1) Exhibit A - August 15, 2022 Letter from Jonathan Tamami to Marshall Schmitt, # (2) Exhibit B - August 17, 2022 Letter from Marshall Schmitt to Jonathan Tamimi, # (3) Exhibit C - August 25, 2022 Email Correspondence between Jonathan Tamimi and Marshall Schmitt and attachment) (Kaempf, Jessica)
Sep 12, 2022 133 Brief in Reply (13)
Docket Text: Brief in Reply by Plaintiff National Products Inc. in Support of [117] Motion to Strike 113 Declaration of Andrew Moore (Irwin, Michelle)
Sep 6, 2022 132 Brief in Opposition (13)
Docket Text: Brief in Opposition by Defendant Gamber-Johnson LLC re: [117] Motion to Strike filed by National Products Inc. (Hepner, Kyle)
Sep 1, 2022 130 Redacted Document (30)
Docket Text: Redaction to [125] Response to Proposed Findings of Fact by Plaintiff National Products Inc. (Irwin, Michelle)
Sep 1, 2022 131 Redacted Document (30)
Docket Text: Redaction to [126] Brief in Reply by Plaintiff National Products Inc. (Tellekson, David)
Aug 29, 2022 129 Summary Judgment Claims Chart (4)
Docket Text: Joint Summary Judgment Claims Chart by Plaintiff National Products Inc. re: [83] Motion for Partial Summary Judgment, [88] Motion for Partial Summary Judgment. (Irwin, Michelle)
Aug 23, 2022 128 Notice of Appearance (2)
Docket Text: Notice of Appearance filed by Mason A. Higgins for Defendant Gamber-Johnson LLC. (Higgins, Mason)
Aug 22, 2022 117 Motion to Strike (2)
Docket Text: Motion to Strike [113] Declaration of Andrew Moore by Plaintiff National Products Inc.. Brief in Opposition due 9/6/2022. Brief in Reply due 9/12/2022. (McMichael, Jonathan)
Aug 22, 2022 118 Brief in Support (14)
Docket Text: Brief in Support of [117] Motion to Strike Declaration of Andrew Moore by Plaintiff National Products Inc. (McMichael, Jonathan)
Aug 22, 2022 119 Declaration (Main Document) (1)
Docket Text: Declaration of Jonathan T. McMichael filed by Plaintiff National Products Inc. re: [117] Motion to Strike (Attachments: # (1) Exhibit A - 2021-11-05 - NPI's First Supplemental Responses and Objections to Gamber's First Set of Interrogatories) (McMichael, Jonathan) Modified on 8/23/2022. (lak)
Aug 22, 2022 119 Declaration (Exhibit A - 2021-11-05 - NPI's First Supplemental Responses) (26)
Docket Text: Declaration of Jonathan T. McMichael filed by Plaintiff National Products Inc. re: [117] Motion to Strike (Attachments: # (1) Exhibit A - 2021-11-05 - NPI's First Supplemental Responses and Objections to Gamber's First Set of Interrogatories) (McMichael, Jonathan) Modified on 8/23/2022. (lak)
Aug 22, 2022 120 Brief in Reply (25)
Docket Text: Brief in Reply by Defendant Gamber-Johnson LLC in Support of [83] Motion for Partial Summary Judgment, [80] Motion for Miscellaneous Relief (Claim Construction) (Schmitt, Marshall)
Aug 22, 2022 121 Reply in Support of Proposed Findings of Fact (30)
Docket Text: Reply in Support of Proposed Findings of Fact filed by Defendant Gamber-Johnson LLC re: [83] Motion for Partial Summary Judgment (Schmitt, Marshall)
Aug 22, 2022 122 Response to Proposed Findings of Fact (27)
Docket Text: Response to Proposed Findings of Fact filed by Defendant Gamber-Johnson LLC re: [80] Motion for Miscellaneous Relief, [83] Motion for Partial Summary Judgment (Schmitt, Marshall)
Aug 22, 2022 123 Declaration (Main Document) (2)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [80] Motion for Miscellaneous Relief, [83] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A - NPI's Infringement Contentions, # (2) Exhibit B - Installation Instructions, Form INST-706, # (3) Exhibit C - Installation Instructions, Form INST-731, # (4) Exhibit D - Definition of male - Merriam-Webster Dictionary, # (5) Exhibit E - Definition of male - Cambridge English Dictionary, # (6) Exhibit F - Definition of male - Oxford Learner's Dictionaries, # (7) Exhibit G - Definition of male - Macmillan Dictionary) (Schmitt, Marshall)
Aug 22, 2022 123 Declaration (Exhibit A - NPI's Infringement Contentions) (28)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [80] Motion for Miscellaneous Relief, [83] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A - NPI's Infringement Contentions, # (2) Exhibit B - Installation Instructions, Form INST-706, # (3) Exhibit C - Installation Instructions, Form INST-731, # (4) Exhibit D - Definition of male - Merriam-Webster Dictionary, # (5) Exhibit E - Definition of male - Cambridge English Dictionary, # (6) Exhibit F - Definition of male - Oxford Learner's Dictionaries, # (7) Exhibit G - Definition of male - Macmillan Dictionary) (Schmitt, Marshall)
Aug 22, 2022 123 Declaration (Exhibit B - Installation Instructions, Form INST-706) (6)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [80] Motion for Miscellaneous Relief, [83] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A - NPI's Infringement Contentions, # (2) Exhibit B - Installation Instructions, Form INST-706, # (3) Exhibit C - Installation Instructions, Form INST-731, # (4) Exhibit D - Definition of male - Merriam-Webster Dictionary, # (5) Exhibit E - Definition of male - Cambridge English Dictionary, # (6) Exhibit F - Definition of male - Oxford Learner's Dictionaries, # (7) Exhibit G - Definition of male - Macmillan Dictionary) (Schmitt, Marshall)
Aug 22, 2022 123 Declaration (Exhibit C - Installation Instructions, Form INST-731) (6)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [80] Motion for Miscellaneous Relief, [83] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A - NPI's Infringement Contentions, # (2) Exhibit B - Installation Instructions, Form INST-706, # (3) Exhibit C - Installation Instructions, Form INST-731, # (4) Exhibit D - Definition of male - Merriam-Webster Dictionary, # (5) Exhibit E - Definition of male - Cambridge English Dictionary, # (6) Exhibit F - Definition of male - Oxford Learner's Dictionaries, # (7) Exhibit G - Definition of male - Macmillan Dictionary) (Schmitt, Marshall)
Aug 22, 2022 123 Declaration (Exhibit D - Definition of male - Merriam-Webster Dictionary) (9)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [80] Motion for Miscellaneous Relief, [83] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A - NPI's Infringement Contentions, # (2) Exhibit B - Installation Instructions, Form INST-706, # (3) Exhibit C - Installation Instructions, Form INST-731, # (4) Exhibit D - Definition of male - Merriam-Webster Dictionary, # (5) Exhibit E - Definition of male - Cambridge English Dictionary, # (6) Exhibit F - Definition of male - Oxford Learner's Dictionaries, # (7) Exhibit G - Definition of male - Macmillan Dictionary) (Schmitt, Marshall)
Aug 22, 2022 123 Declaration (Exhibit E - Definition of male - Cambridge English Dictionary) (17)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [80] Motion for Miscellaneous Relief, [83] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A - NPI's Infringement Contentions, # (2) Exhibit B - Installation Instructions, Form INST-706, # (3) Exhibit C - Installation Instructions, Form INST-731, # (4) Exhibit D - Definition of male - Merriam-Webster Dictionary, # (5) Exhibit E - Definition of male - Cambridge English Dictionary, # (6) Exhibit F - Definition of male - Oxford Learner's Dictionaries, # (7) Exhibit G - Definition of male - Macmillan Dictionary) (Schmitt, Marshall)
Aug 22, 2022 123 Declaration (Exhibit F - Definition of male - Oxford Learner's Dictionaries) (4)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [80] Motion for Miscellaneous Relief, [83] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A - NPI's Infringement Contentions, # (2) Exhibit B - Installation Instructions, Form INST-706, # (3) Exhibit C - Installation Instructions, Form INST-731, # (4) Exhibit D - Definition of male - Merriam-Webster Dictionary, # (5) Exhibit E - Definition of male - Cambridge English Dictionary, # (6) Exhibit F - Definition of male - Oxford Learner's Dictionaries, # (7) Exhibit G - Definition of male - Macmillan Dictionary) (Schmitt, Marshall)
Aug 22, 2022 123 Declaration (Exhibit G - Definition of male - Macmillan Dictionary) (4)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [80] Motion for Miscellaneous Relief, [83] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A - NPI's Infringement Contentions, # (2) Exhibit B - Installation Instructions, Form INST-706, # (3) Exhibit C - Installation Instructions, Form INST-731, # (4) Exhibit D - Definition of male - Merriam-Webster Dictionary, # (5) Exhibit E - Definition of male - Cambridge English Dictionary, # (6) Exhibit F - Definition of male - Oxford Learner's Dictionaries, # (7) Exhibit G - Definition of male - Macmillan Dictionary) (Schmitt, Marshall)
Aug 22, 2022 124 Reply in Support of Proposed Findings of Fact (30)
Docket Text: Reply in Support of Proposed Findings of Fact filed by Plaintiff National Products Inc. re: [88] Motion for Partial Summary Judgment (Sealed Document) (Irwin, Michelle)
Aug 18, 2022 114 Redacted Document (30)
Docket Text: Redaction to [110] Proposed Findings of Fact Additional Proposed Findings of Fact by Defendant Gamber-Johnson LLC (Schmitt, Marshall)
Aug 18, 2022 115 Redacted Document (Main Document) (3)
Docket Text: Redaction to [112] Declaration of Marshall J. Schmitt by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit A - NPI-GJ_00030008, # (2) Exhibit B - NPI-GJ00037095-37126 (Ex. A to Infringement Contentions), # (3) Exhibit C - PROCLIP_GAMBER0007425-7483 (NPI Infringement Contentions), # (4) Exhibit D- PROCLIP_GAMBER0026157-26175 (Spilling Decl.), # (5) Exhibit E- PROCLIP_GAMBER0026068-26072 (ProClip dkt. 100-1), # (6) Exhibit F - PROCLIP_GAMBER0002722-2725 (Jacobs Decl.), # (7) Exhibit G - PROCLIP_GAMBER0035677-35678 (Fudge Decl.), # (8) Exhibit H - Excerpts of '320 Prosecution History, # (9) Exhibit I - WO2015127376A1, # (10) Exhibit J - Excerpts of the '416 Prosecution History, # (11) Exhibit K - U.S. Patent No. 9529387, # (12) Exhibit L - U.S. Patent No. 9602639, # (13) Exhibit M - Dkt. 34 from NPI v. GPS Lockbox (Amended Answer to Second Amended Complaint)) (Schmitt, Marshall)
Aug 18, 2022 115 Redacted Document (Exhibit A - NPI-GJ_00030008) (2)
Docket Text: Redaction to [112] Declaration of Marshall J. Schmitt by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit A - NPI-GJ_00030008, # (2) Exhibit B - NPI-GJ00037095-37126 (Ex. A to Infringement Contentions), # (3) Exhibit C - PROCLIP_GAMBER0007425-7483 (NPI Infringement Contentions), # (4) Exhibit D- PROCLIP_GAMBER0026157-26175 (Spilling Decl.), # (5) Exhibit E- PROCLIP_GAMBER0026068-26072 (ProClip dkt. 100-1), # (6) Exhibit F - PROCLIP_GAMBER0002722-2725 (Jacobs Decl.), # (7) Exhibit G - PROCLIP_GAMBER0035677-35678 (Fudge Decl.), # (8) Exhibit H - Excerpts of '320 Prosecution History, # (9) Exhibit I - WO2015127376A1, # (10) Exhibit J - Excerpts of the '416 Prosecution History, # (11) Exhibit K - U.S. Patent No. 9529387, # (12) Exhibit L - U.S. Patent No. 9602639, # (13) Exhibit M - Dkt. 34 from NPI v. GPS Lockbox (Amended Answer to Second Amended Complaint)) (Schmitt, Marshall)
Aug 18, 2022 115 Redacted Document (Exhibit B - NPI-GJ00037095-37126 (Ex. A to Infringement Contentions)) (30)
Docket Text: Redaction to [112] Declaration of Marshall J. Schmitt by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit A - NPI-GJ_00030008, # (2) Exhibit B - NPI-GJ00037095-37126 (Ex. A to Infringement Contentions), # (3) Exhibit C - PROCLIP_GAMBER0007425-7483 (NPI Infringement Contentions), # (4) Exhibit D- PROCLIP_GAMBER0026157-26175 (Spilling Decl.), # (5) Exhibit E- PROCLIP_GAMBER0026068-26072 (ProClip dkt. 100-1), # (6) Exhibit F - PROCLIP_GAMBER0002722-2725 (Jacobs Decl.), # (7) Exhibit G - PROCLIP_GAMBER0035677-35678 (Fudge Decl.), # (8) Exhibit H - Excerpts of '320 Prosecution History, # (9) Exhibit I - WO2015127376A1, # (10) Exhibit J - Excerpts of the '416 Prosecution History, # (11) Exhibit K - U.S. Patent No. 9529387, # (12) Exhibit L - U.S. Patent No. 9602639, # (13) Exhibit M - Dkt. 34 from NPI v. GPS Lockbox (Amended Answer to Second Amended Complaint)) (Schmitt, Marshall)
Aug 18, 2022 115 Redacted Document (Exhibit C - PROCLIP_GAMBER0007425-7483 (NPI Infringement Contentions)) (1)
Docket Text: Redaction to [112] Declaration of Marshall J. Schmitt by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit A - NPI-GJ_00030008, # (2) Exhibit B - NPI-GJ00037095-37126 (Ex. A to Infringement Contentions), # (3) Exhibit C - PROCLIP_GAMBER0007425-7483 (NPI Infringement Contentions), # (4) Exhibit D- PROCLIP_GAMBER0026157-26175 (Spilling Decl.), # (5) Exhibit E- PROCLIP_GAMBER0026068-26072 (ProClip dkt. 100-1), # (6) Exhibit F - PROCLIP_GAMBER0002722-2725 (Jacobs Decl.), # (7) Exhibit G - PROCLIP_GAMBER0035677-35678 (Fudge Decl.), # (8) Exhibit H - Excerpts of '320 Prosecution History, # (9) Exhibit I - WO2015127376A1, # (10) Exhibit J - Excerpts of the '416 Prosecution History, # (11) Exhibit K - U.S. Patent No. 9529387, # (12) Exhibit L - U.S. Patent No. 9602639, # (13) Exhibit M - Dkt. 34 from NPI v. GPS Lockbox (Amended Answer to Second Amended Complaint)) (Schmitt, Marshall)
Aug 18, 2022 115 Redacted Document (Exhibit D- PROCLIP_GAMBER0026157-26175 (Spilling Decl.)) (1)
Docket Text: Redaction to [112] Declaration of Marshall J. Schmitt by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit A - NPI-GJ_00030008, # (2) Exhibit B - NPI-GJ00037095-37126 (Ex. A to Infringement Contentions), # (3) Exhibit C - PROCLIP_GAMBER0007425-7483 (NPI Infringement Contentions), # (4) Exhibit D- PROCLIP_GAMBER0026157-26175 (Spilling Decl.), # (5) Exhibit E- PROCLIP_GAMBER0026068-26072 (ProClip dkt. 100-1), # (6) Exhibit F - PROCLIP_GAMBER0002722-2725 (Jacobs Decl.), # (7) Exhibit G - PROCLIP_GAMBER0035677-35678 (Fudge Decl.), # (8) Exhibit H - Excerpts of '320 Prosecution History, # (9) Exhibit I - WO2015127376A1, # (10) Exhibit J - Excerpts of the '416 Prosecution History, # (11) Exhibit K - U.S. Patent No. 9529387, # (12) Exhibit L - U.S. Patent No. 9602639, # (13) Exhibit M - Dkt. 34 from NPI v. GPS Lockbox (Amended Answer to Second Amended Complaint)) (Schmitt, Marshall)
Aug 18, 2022 115 Redacted Document (Exhibit E- PROCLIP_GAMBER0026068-26072 (ProClip dkt. 100-1)) (1)
Docket Text: Redaction to [112] Declaration of Marshall J. Schmitt by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit A - NPI-GJ_00030008, # (2) Exhibit B - NPI-GJ00037095-37126 (Ex. A to Infringement Contentions), # (3) Exhibit C - PROCLIP_GAMBER0007425-7483 (NPI Infringement Contentions), # (4) Exhibit D- PROCLIP_GAMBER0026157-26175 (Spilling Decl.), # (5) Exhibit E- PROCLIP_GAMBER0026068-26072 (ProClip dkt. 100-1), # (6) Exhibit F - PROCLIP_GAMBER0002722-2725 (Jacobs Decl.), # (7) Exhibit G - PROCLIP_GAMBER0035677-35678 (Fudge Decl.), # (8) Exhibit H - Excerpts of '320 Prosecution History, # (9) Exhibit I - WO2015127376A1, # (10) Exhibit J - Excerpts of the '416 Prosecution History, # (11) Exhibit K - U.S. Patent No. 9529387, # (12) Exhibit L - U.S. Patent No. 9602639, # (13) Exhibit M - Dkt. 34 from NPI v. GPS Lockbox (Amended Answer to Second Amended Complaint)) (Schmitt, Marshall)
Aug 18, 2022 115 Redacted Document (Exhibit F - PROCLIP_GAMBER0002722-2725 (Jacobs Decl.)) (5)
Docket Text: Redaction to [112] Declaration of Marshall J. Schmitt by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit A - NPI-GJ_00030008, # (2) Exhibit B - NPI-GJ00037095-37126 (Ex. A to Infringement Contentions), # (3) Exhibit C - PROCLIP_GAMBER0007425-7483 (NPI Infringement Contentions), # (4) Exhibit D- PROCLIP_GAMBER0026157-26175 (Spilling Decl.), # (5) Exhibit E- PROCLIP_GAMBER0026068-26072 (ProClip dkt. 100-1), # (6) Exhibit F - PROCLIP_GAMBER0002722-2725 (Jacobs Decl.), # (7) Exhibit G - PROCLIP_GAMBER0035677-35678 (Fudge Decl.), # (8) Exhibit H - Excerpts of '320 Prosecution History, # (9) Exhibit I - WO2015127376A1, # (10) Exhibit J - Excerpts of the '416 Prosecution History, # (11) Exhibit K - U.S. Patent No. 9529387, # (12) Exhibit L - U.S. Patent No. 9602639, # (13) Exhibit M - Dkt. 34 from NPI v. GPS Lockbox (Amended Answer to Second Amended Complaint)) (Schmitt, Marshall)
Aug 18, 2022 115 Redacted Document (Exhibit G - PROCLIP_GAMBER0035677-35678 (Fudge Decl.)) (3)
Docket Text: Redaction to [112] Declaration of Marshall J. Schmitt by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit A - NPI-GJ_00030008, # (2) Exhibit B - NPI-GJ00037095-37126 (Ex. A to Infringement Contentions), # (3) Exhibit C - PROCLIP_GAMBER0007425-7483 (NPI Infringement Contentions), # (4) Exhibit D- PROCLIP_GAMBER0026157-26175 (Spilling Decl.), # (5) Exhibit E- PROCLIP_GAMBER0026068-26072 (ProClip dkt. 100-1), # (6) Exhibit F - PROCLIP_GAMBER0002722-2725 (Jacobs Decl.), # (7) Exhibit G - PROCLIP_GAMBER0035677-35678 (Fudge Decl.), # (8) Exhibit H - Excerpts of '320 Prosecution History, # (9) Exhibit I - WO2015127376A1, # (10) Exhibit J - Excerpts of the '416 Prosecution History, # (11) Exhibit K - U.S. Patent No. 9529387, # (12) Exhibit L - U.S. Patent No. 9602639, # (13) Exhibit M - Dkt. 34 from NPI v. GPS Lockbox (Amended Answer to Second Amended Complaint)) (Schmitt, Marshall)
Aug 18, 2022 115 Redacted Document (Exhibit H - Excerpts of '320 Prosecution History) (30)
Docket Text: Redaction to [112] Declaration of Marshall J. Schmitt by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit A - NPI-GJ_00030008, # (2) Exhibit B - NPI-GJ00037095-37126 (Ex. A to Infringement Contentions), # (3) Exhibit C - PROCLIP_GAMBER0007425-7483 (NPI Infringement Contentions), # (4) Exhibit D- PROCLIP_GAMBER0026157-26175 (Spilling Decl.), # (5) Exhibit E- PROCLIP_GAMBER0026068-26072 (ProClip dkt. 100-1), # (6) Exhibit F - PROCLIP_GAMBER0002722-2725 (Jacobs Decl.), # (7) Exhibit G - PROCLIP_GAMBER0035677-35678 (Fudge Decl.), # (8) Exhibit H - Excerpts of '320 Prosecution History, # (9) Exhibit I - WO2015127376A1, # (10) Exhibit J - Excerpts of the '416 Prosecution History, # (11) Exhibit K - U.S. Patent No. 9529387, # (12) Exhibit L - U.S. Patent No. 9602639, # (13) Exhibit M - Dkt. 34 from NPI v. GPS Lockbox (Amended Answer to Second Amended Complaint)) (Schmitt, Marshall)
Aug 18, 2022 115 Redacted Document (Exhibit I - WO2015127376A1) (30)
Docket Text: Redaction to [112] Declaration of Marshall J. Schmitt by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit A - NPI-GJ_00030008, # (2) Exhibit B - NPI-GJ00037095-37126 (Ex. A to Infringement Contentions), # (3) Exhibit C - PROCLIP_GAMBER0007425-7483 (NPI Infringement Contentions), # (4) Exhibit D- PROCLIP_GAMBER0026157-26175 (Spilling Decl.), # (5) Exhibit E- PROCLIP_GAMBER0026068-26072 (ProClip dkt. 100-1), # (6) Exhibit F - PROCLIP_GAMBER0002722-2725 (Jacobs Decl.), # (7) Exhibit G - PROCLIP_GAMBER0035677-35678 (Fudge Decl.), # (8) Exhibit H - Excerpts of '320 Prosecution History, # (9) Exhibit I - WO2015127376A1, # (10) Exhibit J - Excerpts of the '416 Prosecution History, # (11) Exhibit K - U.S. Patent No. 9529387, # (12) Exhibit L - U.S. Patent No. 9602639, # (13) Exhibit M - Dkt. 34 from NPI v. GPS Lockbox (Amended Answer to Second Amended Complaint)) (Schmitt, Marshall)
Aug 18, 2022 115 Redacted Document (Exhibit J - Excerpts of the '416 Prosecution History) (30)
Docket Text: Redaction to [112] Declaration of Marshall J. Schmitt by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit A - NPI-GJ_00030008, # (2) Exhibit B - NPI-GJ00037095-37126 (Ex. A to Infringement Contentions), # (3) Exhibit C - PROCLIP_GAMBER0007425-7483 (NPI Infringement Contentions), # (4) Exhibit D- PROCLIP_GAMBER0026157-26175 (Spilling Decl.), # (5) Exhibit E- PROCLIP_GAMBER0026068-26072 (ProClip dkt. 100-1), # (6) Exhibit F - PROCLIP_GAMBER0002722-2725 (Jacobs Decl.), # (7) Exhibit G - PROCLIP_GAMBER0035677-35678 (Fudge Decl.), # (8) Exhibit H - Excerpts of '320 Prosecution History, # (9) Exhibit I - WO2015127376A1, # (10) Exhibit J - Excerpts of the '416 Prosecution History, # (11) Exhibit K - U.S. Patent No. 9529387, # (12) Exhibit L - U.S. Patent No. 9602639, # (13) Exhibit M - Dkt. 34 from NPI v. GPS Lockbox (Amended Answer to Second Amended Complaint)) (Schmitt, Marshall)
Aug 18, 2022 115 Redacted Document (Exhibit K - U.S. Patent No. 9529387) (30)
Docket Text: Redaction to [112] Declaration of Marshall J. Schmitt by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit A - NPI-GJ_00030008, # (2) Exhibit B - NPI-GJ00037095-37126 (Ex. A to Infringement Contentions), # (3) Exhibit C - PROCLIP_GAMBER0007425-7483 (NPI Infringement Contentions), # (4) Exhibit D- PROCLIP_GAMBER0026157-26175 (Spilling Decl.), # (5) Exhibit E- PROCLIP_GAMBER0026068-26072 (ProClip dkt. 100-1), # (6) Exhibit F - PROCLIP_GAMBER0002722-2725 (Jacobs Decl.), # (7) Exhibit G - PROCLIP_GAMBER0035677-35678 (Fudge Decl.), # (8) Exhibit H - Excerpts of '320 Prosecution History, # (9) Exhibit I - WO2015127376A1, # (10) Exhibit J - Excerpts of the '416 Prosecution History, # (11) Exhibit K - U.S. Patent No. 9529387, # (12) Exhibit L - U.S. Patent No. 9602639, # (13) Exhibit M - Dkt. 34 from NPI v. GPS Lockbox (Amended Answer to Second Amended Complaint)) (Schmitt, Marshall)
Aug 18, 2022 115 Redacted Document (Exhibit L - U.S. Patent No. 9602639) (30)
Docket Text: Redaction to [112] Declaration of Marshall J. Schmitt by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit A - NPI-GJ_00030008, # (2) Exhibit B - NPI-GJ00037095-37126 (Ex. A to Infringement Contentions), # (3) Exhibit C - PROCLIP_GAMBER0007425-7483 (NPI Infringement Contentions), # (4) Exhibit D- PROCLIP_GAMBER0026157-26175 (Spilling Decl.), # (5) Exhibit E- PROCLIP_GAMBER0026068-26072 (ProClip dkt. 100-1), # (6) Exhibit F - PROCLIP_GAMBER0002722-2725 (Jacobs Decl.), # (7) Exhibit G - PROCLIP_GAMBER0035677-35678 (Fudge Decl.), # (8) Exhibit H - Excerpts of '320 Prosecution History, # (9) Exhibit I - WO2015127376A1, # (10) Exhibit J - Excerpts of the '416 Prosecution History, # (11) Exhibit K - U.S. Patent No. 9529387, # (12) Exhibit L - U.S. Patent No. 9602639, # (13) Exhibit M - Dkt. 34 from NPI v. GPS Lockbox (Amended Answer to Second Amended Complaint)) (Schmitt, Marshall)
Aug 18, 2022 115 Redacted Document (Exhibit M - Dkt. 34 from NPI v. GPS Lockbox (Amended Answer to Second Amended Co) (30)
Docket Text: Redaction to [112] Declaration of Marshall J. Schmitt by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit A - NPI-GJ_00030008, # (2) Exhibit B - NPI-GJ00037095-37126 (Ex. A to Infringement Contentions), # (3) Exhibit C - PROCLIP_GAMBER0007425-7483 (NPI Infringement Contentions), # (4) Exhibit D- PROCLIP_GAMBER0026157-26175 (Spilling Decl.), # (5) Exhibit E- PROCLIP_GAMBER0026068-26072 (ProClip dkt. 100-1), # (6) Exhibit F - PROCLIP_GAMBER0002722-2725 (Jacobs Decl.), # (7) Exhibit G - PROCLIP_GAMBER0035677-35678 (Fudge Decl.), # (8) Exhibit H - Excerpts of '320 Prosecution History, # (9) Exhibit I - WO2015127376A1, # (10) Exhibit J - Excerpts of the '416 Prosecution History, # (11) Exhibit K - U.S. Patent No. 9529387, # (12) Exhibit L - U.S. Patent No. 9602639, # (13) Exhibit M - Dkt. 34 from NPI v. GPS Lockbox (Amended Answer to Second Amended Complaint)) (Schmitt, Marshall)
Aug 12, 2022 101 Deposition (30)
Docket Text: Deposition of Jason Stigge taken on November 17, 2021in NPI v. ProClip USA case. (Tamimi, Jonathan)
Aug 12, 2022 102 Expert Report (30)
Docket Text: Expert Report of Jason Stigge by Plaintiff National Products Inc. (Tamimi, Jonathan)
Aug 12, 2022 103 Expert Report (30)
Docket Text: Expert Report of Jason Stigge, P.E. regarding Non-Infringement by Plaintiff National Products Inc. (Tamimi, Jonathan) Modified on 8/15/2022 (jat).
Aug 12, 2022 104 Brief in Opposition (30)
Docket Text: Brief in Opposition by Plaintiff National Products Inc. re: [83] Motion for Partial Summary Judgment filed by Gamber-Johnson LLC, [80] Motion for Miscellaneous Relief filed by Gamber-Johnson LLC (Tellekson, David)
Aug 12, 2022 105 Declaration (Main Document) (3)
Docket Text: Declaration of Michelle Irwin filed by Plaintiff National Products Inc. in Support of [104] NPI's Response in Opposition re: [80] Motion for Miscellaneous Relief, [83] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A - INST-709, # (2) Exhibit B - Merriam Webster's Collegiate Dictionary, # (3) Exhibit C - Cambridge English Dictionary, # (4) Exhibit D - Oxford Languages, # (5) Exhibit E - MacMillan Dictionary, # (6) Exhibit F - www.proclipusa.com, # (7) Exhibit G - 12-14-16 '026, # (8) Exhibit H - US5535274, # (9) Exhibit I - Correspondence between Counsel) (Irwin, Michelle)
Aug 12, 2022 105 Declaration (Exhibit A - INST-709) (6)
Docket Text: Declaration of Michelle Irwin filed by Plaintiff National Products Inc. in Support of [104] NPI's Response in Opposition re: [80] Motion for Miscellaneous Relief, [83] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A - INST-709, # (2) Exhibit B - Merriam Webster's Collegiate Dictionary, # (3) Exhibit C - Cambridge English Dictionary, # (4) Exhibit D - Oxford Languages, # (5) Exhibit E - MacMillan Dictionary, # (6) Exhibit F - www.proclipusa.com, # (7) Exhibit G - 12-14-16 '026, # (8) Exhibit H - US5535274, # (9) Exhibit I - Correspondence between Counsel) (Irwin, Michelle)
Aug 12, 2022 105 Declaration (Exhibit B - Merriam Webster's Collegiate Dictionary) (5)
Docket Text: Declaration of Michelle Irwin filed by Plaintiff National Products Inc. in Support of [104] NPI's Response in Opposition re: [80] Motion for Miscellaneous Relief, [83] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A - INST-709, # (2) Exhibit B - Merriam Webster's Collegiate Dictionary, # (3) Exhibit C - Cambridge English Dictionary, # (4) Exhibit D - Oxford Languages, # (5) Exhibit E - MacMillan Dictionary, # (6) Exhibit F - www.proclipusa.com, # (7) Exhibit G - 12-14-16 '026, # (8) Exhibit H - US5535274, # (9) Exhibit I - Correspondence between Counsel) (Irwin, Michelle)
Aug 12, 2022 105 Declaration (Exhibit C - Cambridge English Dictionary) (10)
Docket Text: Declaration of Michelle Irwin filed by Plaintiff National Products Inc. in Support of [104] NPI's Response in Opposition re: [80] Motion for Miscellaneous Relief, [83] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A - INST-709, # (2) Exhibit B - Merriam Webster's Collegiate Dictionary, # (3) Exhibit C - Cambridge English Dictionary, # (4) Exhibit D - Oxford Languages, # (5) Exhibit E - MacMillan Dictionary, # (6) Exhibit F - www.proclipusa.com, # (7) Exhibit G - 12-14-16 '026, # (8) Exhibit H - US5535274, # (9) Exhibit I - Correspondence between Counsel) (Irwin, Michelle)
Aug 12, 2022 105 Declaration (Exhibit D - Oxford Languages) (3)
Docket Text: Declaration of Michelle Irwin filed by Plaintiff National Products Inc. in Support of [104] NPI's Response in Opposition re: [80] Motion for Miscellaneous Relief, [83] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A - INST-709, # (2) Exhibit B - Merriam Webster's Collegiate Dictionary, # (3) Exhibit C - Cambridge English Dictionary, # (4) Exhibit D - Oxford Languages, # (5) Exhibit E - MacMillan Dictionary, # (6) Exhibit F - www.proclipusa.com, # (7) Exhibit G - 12-14-16 '026, # (8) Exhibit H - US5535274, # (9) Exhibit I - Correspondence between Counsel) (Irwin, Michelle)
Aug 12, 2022 105 Declaration (Exhibit E - MacMillan Dictionary) (5)
Docket Text: Declaration of Michelle Irwin filed by Plaintiff National Products Inc. in Support of [104] NPI's Response in Opposition re: [80] Motion for Miscellaneous Relief, [83] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A - INST-709, # (2) Exhibit B - Merriam Webster's Collegiate Dictionary, # (3) Exhibit C - Cambridge English Dictionary, # (4) Exhibit D - Oxford Languages, # (5) Exhibit E - MacMillan Dictionary, # (6) Exhibit F - www.proclipusa.com, # (7) Exhibit G - 12-14-16 '026, # (8) Exhibit H - US5535274, # (9) Exhibit I - Correspondence between Counsel) (Irwin, Michelle)
Aug 12, 2022 105 Declaration (Exhibit F - www.proclipusa.com) (6)
Docket Text: Declaration of Michelle Irwin filed by Plaintiff National Products Inc. in Support of [104] NPI's Response in Opposition re: [80] Motion for Miscellaneous Relief, [83] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A - INST-709, # (2) Exhibit B - Merriam Webster's Collegiate Dictionary, # (3) Exhibit C - Cambridge English Dictionary, # (4) Exhibit D - Oxford Languages, # (5) Exhibit E - MacMillan Dictionary, # (6) Exhibit F - www.proclipusa.com, # (7) Exhibit G - 12-14-16 '026, # (8) Exhibit H - US5535274, # (9) Exhibit I - Correspondence between Counsel) (Irwin, Michelle)
Aug 12, 2022 105 Declaration (Exhibit G - 12-14-16 '026) (9)
Docket Text: Declaration of Michelle Irwin filed by Plaintiff National Products Inc. in Support of [104] NPI's Response in Opposition re: [80] Motion for Miscellaneous Relief, [83] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A - INST-709, # (2) Exhibit B - Merriam Webster's Collegiate Dictionary, # (3) Exhibit C - Cambridge English Dictionary, # (4) Exhibit D - Oxford Languages, # (5) Exhibit E - MacMillan Dictionary, # (6) Exhibit F - www.proclipusa.com, # (7) Exhibit G - 12-14-16 '026, # (8) Exhibit H - US5535274, # (9) Exhibit I - Correspondence between Counsel) (Irwin, Michelle)
Aug 12, 2022 105 Declaration (Exhibit H - US5535274) (30)
Docket Text: Declaration of Michelle Irwin filed by Plaintiff National Products Inc. in Support of [104] NPI's Response in Opposition re: [80] Motion for Miscellaneous Relief, [83] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A - INST-709, # (2) Exhibit B - Merriam Webster's Collegiate Dictionary, # (3) Exhibit C - Cambridge English Dictionary, # (4) Exhibit D - Oxford Languages, # (5) Exhibit E - MacMillan Dictionary, # (6) Exhibit F - www.proclipusa.com, # (7) Exhibit G - 12-14-16 '026, # (8) Exhibit H - US5535274, # (9) Exhibit I - Correspondence between Counsel) (Irwin, Michelle)
Aug 12, 2022 105 Declaration (Exhibit I - Correspondence between Counsel) (3)
Docket Text: Declaration of Michelle Irwin filed by Plaintiff National Products Inc. in Support of [104] NPI's Response in Opposition re: [80] Motion for Miscellaneous Relief, [83] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A - INST-709, # (2) Exhibit B - Merriam Webster's Collegiate Dictionary, # (3) Exhibit C - Cambridge English Dictionary, # (4) Exhibit D - Oxford Languages, # (5) Exhibit E - MacMillan Dictionary, # (6) Exhibit F - www.proclipusa.com, # (7) Exhibit G - 12-14-16 '026, # (8) Exhibit H - US5535274, # (9) Exhibit I - Correspondence between Counsel) (Irwin, Michelle)
Aug 12, 2022 106 Response to Proposed Findings of Fact (30)
Docket Text: Response to Proposed Findings of Fact filed by Plaintiff National Products Inc. re: [83] Motion for Partial Summary Judgment (Irwin, Michelle)
Aug 12, 2022 107 Proposed Findings of Fact (14)
Docket Text: Supplemental Proposed Findings of Fact filed by Plaintiff National Products Inc. re: [80] Motion for Miscellaneous Relief, [83] Motion for Partial Summary Judgment (Irwin, Michelle)
Aug 12, 2022 108 Brief in Opposition (30)
Docket Text: Brief in Opposition by Defendant Gamber-Johnson LLC re: [88] Motion for Partial Summary Judgment filed by National Products Inc. (Schmitt, Marshall) Unsealed at the request of counsel for the defendant on 8/18/2022. (arw)
Aug 12, 2022 109 Response to Proposed Findings of Fact (30)
Docket Text: Response to Proposed Findings of Fact filed by Defendant Gamber-Johnson LLC re: [88] Motion for Partial Summary Judgment. (Schmitt, Marshall) Unsealed at the request of counsel for the defendant on 8/18/2022. (arw)
Aug 12, 2022 111 Declaration (Main Document) (11)
Docket Text: Declaration of Jack Dovey filed by Defendant Gamber-Johnson LLC In Opposition to re: [88] Motion for Partial Summary Judgment. (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brouchure 1, # (3) Exhibit C - Magnector Brochure 2, # (4) Exhibit D - UP7 Version 1 Photos, # (5) Exhibit E - UP7 Version 2 Photos, # (6) Exhibit F - January 23, 2014 Email String, # (7) Exhibit G - January 23, 2014 Purchase Order No. 1109, # (8) Exhibit H - January 30, 2014 Invoice No. 26603, # (9) Exhibit I - February 4, 2014 Email String, # (10) Exhibit J - S3/S4 Photos, # (11) Exhibit K - Sprint January 2014 Telephone Records, # (12) Exhibit L - Sprint Trade Show Photos, # (13) Exhibit M - Sprint Trade Show Photos, GPS Products Displayed) (Schmitt, Marshall) Unsealed at the request of counsel for the defendant on 8/18/2022. (arw)
Aug 12, 2022 111 Declaration (Exhibit A - Original UP7 Photos) (11)
Docket Text: Declaration of Jack Dovey filed by Defendant Gamber-Johnson LLC In Opposition to re: [88] Motion for Partial Summary Judgment. (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brouchure 1, # (3) Exhibit C - Magnector Brochure 2, # (4) Exhibit D - UP7 Version 1 Photos, # (5) Exhibit E - UP7 Version 2 Photos, # (6) Exhibit F - January 23, 2014 Email String, # (7) Exhibit G - January 23, 2014 Purchase Order No. 1109, # (8) Exhibit H - January 30, 2014 Invoice No. 26603, # (9) Exhibit I - February 4, 2014 Email String, # (10) Exhibit J - S3/S4 Photos, # (11) Exhibit K - Sprint January 2014 Telephone Records, # (12) Exhibit L - Sprint Trade Show Photos, # (13) Exhibit M - Sprint Trade Show Photos, GPS Products Displayed) (Schmitt, Marshall) Unsealed at the request of counsel for the defendant on 8/18/2022. (arw)
Aug 12, 2022 111 Declaration (Exhibit B - Magnector Brouchure 1) (3)
Docket Text: Declaration of Jack Dovey filed by Defendant Gamber-Johnson LLC In Opposition to re: [88] Motion for Partial Summary Judgment. (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brouchure 1, # (3) Exhibit C - Magnector Brochure 2, # (4) Exhibit D - UP7 Version 1 Photos, # (5) Exhibit E - UP7 Version 2 Photos, # (6) Exhibit F - January 23, 2014 Email String, # (7) Exhibit G - January 23, 2014 Purchase Order No. 1109, # (8) Exhibit H - January 30, 2014 Invoice No. 26603, # (9) Exhibit I - February 4, 2014 Email String, # (10) Exhibit J - S3/S4 Photos, # (11) Exhibit K - Sprint January 2014 Telephone Records, # (12) Exhibit L - Sprint Trade Show Photos, # (13) Exhibit M - Sprint Trade Show Photos, GPS Products Displayed) (Schmitt, Marshall) Unsealed at the request of counsel for the defendant on 8/18/2022. (arw)
Aug 12, 2022 111 Declaration (Exhibit C - Magnector Brochure 2) (5)
Docket Text: Declaration of Jack Dovey filed by Defendant Gamber-Johnson LLC In Opposition to re: [88] Motion for Partial Summary Judgment. (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brouchure 1, # (3) Exhibit C - Magnector Brochure 2, # (4) Exhibit D - UP7 Version 1 Photos, # (5) Exhibit E - UP7 Version 2 Photos, # (6) Exhibit F - January 23, 2014 Email String, # (7) Exhibit G - January 23, 2014 Purchase Order No. 1109, # (8) Exhibit H - January 30, 2014 Invoice No. 26603, # (9) Exhibit I - February 4, 2014 Email String, # (10) Exhibit J - S3/S4 Photos, # (11) Exhibit K - Sprint January 2014 Telephone Records, # (12) Exhibit L - Sprint Trade Show Photos, # (13) Exhibit M - Sprint Trade Show Photos, GPS Products Displayed) (Schmitt, Marshall) Unsealed at the request of counsel for the defendant on 8/18/2022. (arw)
Aug 12, 2022 111 Declaration (Exhibit D - UP7 Version 1 Photos) (14)
Docket Text: Declaration of Jack Dovey filed by Defendant Gamber-Johnson LLC In Opposition to re: [88] Motion for Partial Summary Judgment. (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brouchure 1, # (3) Exhibit C - Magnector Brochure 2, # (4) Exhibit D - UP7 Version 1 Photos, # (5) Exhibit E - UP7 Version 2 Photos, # (6) Exhibit F - January 23, 2014 Email String, # (7) Exhibit G - January 23, 2014 Purchase Order No. 1109, # (8) Exhibit H - January 30, 2014 Invoice No. 26603, # (9) Exhibit I - February 4, 2014 Email String, # (10) Exhibit J - S3/S4 Photos, # (11) Exhibit K - Sprint January 2014 Telephone Records, # (12) Exhibit L - Sprint Trade Show Photos, # (13) Exhibit M - Sprint Trade Show Photos, GPS Products Displayed) (Schmitt, Marshall) Unsealed at the request of counsel for the defendant on 8/18/2022. (arw)
Aug 12, 2022 111 Declaration (Exhibit E - UP7 Version 2 Photos) (12)
Docket Text: Declaration of Jack Dovey filed by Defendant Gamber-Johnson LLC In Opposition to re: [88] Motion for Partial Summary Judgment. (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brouchure 1, # (3) Exhibit C - Magnector Brochure 2, # (4) Exhibit D - UP7 Version 1 Photos, # (5) Exhibit E - UP7 Version 2 Photos, # (6) Exhibit F - January 23, 2014 Email String, # (7) Exhibit G - January 23, 2014 Purchase Order No. 1109, # (8) Exhibit H - January 30, 2014 Invoice No. 26603, # (9) Exhibit I - February 4, 2014 Email String, # (10) Exhibit J - S3/S4 Photos, # (11) Exhibit K - Sprint January 2014 Telephone Records, # (12) Exhibit L - Sprint Trade Show Photos, # (13) Exhibit M - Sprint Trade Show Photos, GPS Products Displayed) (Schmitt, Marshall) Unsealed at the request of counsel for the defendant on 8/18/2022. (arw)
Aug 12, 2022 111 Declaration (Exhibit F - January 23, 2014 Email String) (2)
Docket Text: Declaration of Jack Dovey filed by Defendant Gamber-Johnson LLC In Opposition to re: [88] Motion for Partial Summary Judgment. (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brouchure 1, # (3) Exhibit C - Magnector Brochure 2, # (4) Exhibit D - UP7 Version 1 Photos, # (5) Exhibit E - UP7 Version 2 Photos, # (6) Exhibit F - January 23, 2014 Email String, # (7) Exhibit G - January 23, 2014 Purchase Order No. 1109, # (8) Exhibit H - January 30, 2014 Invoice No. 26603, # (9) Exhibit I - February 4, 2014 Email String, # (10) Exhibit J - S3/S4 Photos, # (11) Exhibit K - Sprint January 2014 Telephone Records, # (12) Exhibit L - Sprint Trade Show Photos, # (13) Exhibit M - Sprint Trade Show Photos, GPS Products Displayed) (Schmitt, Marshall) Unsealed at the request of counsel for the defendant on 8/18/2022. (arw)
Aug 12, 2022 111 Declaration (Exhibit G - January 23, 2014 Purchase Order No. 1109) (2)
Docket Text: Declaration of Jack Dovey filed by Defendant Gamber-Johnson LLC In Opposition to re: [88] Motion for Partial Summary Judgment. (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brouchure 1, # (3) Exhibit C - Magnector Brochure 2, # (4) Exhibit D - UP7 Version 1 Photos, # (5) Exhibit E - UP7 Version 2 Photos, # (6) Exhibit F - January 23, 2014 Email String, # (7) Exhibit G - January 23, 2014 Purchase Order No. 1109, # (8) Exhibit H - January 30, 2014 Invoice No. 26603, # (9) Exhibit I - February 4, 2014 Email String, # (10) Exhibit J - S3/S4 Photos, # (11) Exhibit K - Sprint January 2014 Telephone Records, # (12) Exhibit L - Sprint Trade Show Photos, # (13) Exhibit M - Sprint Trade Show Photos, GPS Products Displayed) (Schmitt, Marshall) Unsealed at the request of counsel for the defendant on 8/18/2022. (arw)
Aug 12, 2022 111 Declaration (Exhibit H - January 30, 2014 Invoice No. 26603) (2)
Docket Text: Declaration of Jack Dovey filed by Defendant Gamber-Johnson LLC In Opposition to re: [88] Motion for Partial Summary Judgment. (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brouchure 1, # (3) Exhibit C - Magnector Brochure 2, # (4) Exhibit D - UP7 Version 1 Photos, # (5) Exhibit E - UP7 Version 2 Photos, # (6) Exhibit F - January 23, 2014 Email String, # (7) Exhibit G - January 23, 2014 Purchase Order No. 1109, # (8) Exhibit H - January 30, 2014 Invoice No. 26603, # (9) Exhibit I - February 4, 2014 Email String, # (10) Exhibit J - S3/S4 Photos, # (11) Exhibit K - Sprint January 2014 Telephone Records, # (12) Exhibit L - Sprint Trade Show Photos, # (13) Exhibit M - Sprint Trade Show Photos, GPS Products Displayed) (Schmitt, Marshall) Unsealed at the request of counsel for the defendant on 8/18/2022. (arw)
Aug 12, 2022 111 Declaration (Exhibit I - February 4, 2014 Email String) (3)
Docket Text: Declaration of Jack Dovey filed by Defendant Gamber-Johnson LLC In Opposition to re: [88] Motion for Partial Summary Judgment. (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brouchure 1, # (3) Exhibit C - Magnector Brochure 2, # (4) Exhibit D - UP7 Version 1 Photos, # (5) Exhibit E - UP7 Version 2 Photos, # (6) Exhibit F - January 23, 2014 Email String, # (7) Exhibit G - January 23, 2014 Purchase Order No. 1109, # (8) Exhibit H - January 30, 2014 Invoice No. 26603, # (9) Exhibit I - February 4, 2014 Email String, # (10) Exhibit J - S3/S4 Photos, # (11) Exhibit K - Sprint January 2014 Telephone Records, # (12) Exhibit L - Sprint Trade Show Photos, # (13) Exhibit M - Sprint Trade Show Photos, GPS Products Displayed) (Schmitt, Marshall) Unsealed at the request of counsel for the defendant on 8/18/2022. (arw)
Aug 12, 2022 111 Declaration (Exhibit J - S3/S4 Photos) (16)
Docket Text: Declaration of Jack Dovey filed by Defendant Gamber-Johnson LLC In Opposition to re: [88] Motion for Partial Summary Judgment. (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brouchure 1, # (3) Exhibit C - Magnector Brochure 2, # (4) Exhibit D - UP7 Version 1 Photos, # (5) Exhibit E - UP7 Version 2 Photos, # (6) Exhibit F - January 23, 2014 Email String, # (7) Exhibit G - January 23, 2014 Purchase Order No. 1109, # (8) Exhibit H - January 30, 2014 Invoice No. 26603, # (9) Exhibit I - February 4, 2014 Email String, # (10) Exhibit J - S3/S4 Photos, # (11) Exhibit K - Sprint January 2014 Telephone Records, # (12) Exhibit L - Sprint Trade Show Photos, # (13) Exhibit M - Sprint Trade Show Photos, GPS Products Displayed) (Schmitt, Marshall) Unsealed at the request of counsel for the defendant on 8/18/2022. (arw)
Aug 12, 2022 111 Declaration (Exhibit K - Sprint January 2014 Telephone Records) (30)
Docket Text: Declaration of Jack Dovey filed by Defendant Gamber-Johnson LLC In Opposition to re: [88] Motion for Partial Summary Judgment. (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brouchure 1, # (3) Exhibit C - Magnector Brochure 2, # (4) Exhibit D - UP7 Version 1 Photos, # (5) Exhibit E - UP7 Version 2 Photos, # (6) Exhibit F - January 23, 2014 Email String, # (7) Exhibit G - January 23, 2014 Purchase Order No. 1109, # (8) Exhibit H - January 30, 2014 Invoice No. 26603, # (9) Exhibit I - February 4, 2014 Email String, # (10) Exhibit J - S3/S4 Photos, # (11) Exhibit K - Sprint January 2014 Telephone Records, # (12) Exhibit L - Sprint Trade Show Photos, # (13) Exhibit M - Sprint Trade Show Photos, GPS Products Displayed) (Schmitt, Marshall) Unsealed at the request of counsel for the defendant on 8/18/2022. (arw)
Aug 12, 2022 111 Declaration (Exhibit L - Sprint Trade Show Photos) (5)
Docket Text: Declaration of Jack Dovey filed by Defendant Gamber-Johnson LLC In Opposition to re: [88] Motion for Partial Summary Judgment. (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brouchure 1, # (3) Exhibit C - Magnector Brochure 2, # (4) Exhibit D - UP7 Version 1 Photos, # (5) Exhibit E - UP7 Version 2 Photos, # (6) Exhibit F - January 23, 2014 Email String, # (7) Exhibit G - January 23, 2014 Purchase Order No. 1109, # (8) Exhibit H - January 30, 2014 Invoice No. 26603, # (9) Exhibit I - February 4, 2014 Email String, # (10) Exhibit J - S3/S4 Photos, # (11) Exhibit K - Sprint January 2014 Telephone Records, # (12) Exhibit L - Sprint Trade Show Photos, # (13) Exhibit M - Sprint Trade Show Photos, GPS Products Displayed) (Schmitt, Marshall) Unsealed at the request of counsel for the defendant on 8/18/2022. (arw)
Aug 12, 2022 111 Declaration (Exhibit M - Sprint Trade Show Photos, GPS Products Displayed) (2)
Docket Text: Declaration of Jack Dovey filed by Defendant Gamber-Johnson LLC In Opposition to re: [88] Motion for Partial Summary Judgment. (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brouchure 1, # (3) Exhibit C - Magnector Brochure 2, # (4) Exhibit D - UP7 Version 1 Photos, # (5) Exhibit E - UP7 Version 2 Photos, # (6) Exhibit F - January 23, 2014 Email String, # (7) Exhibit G - January 23, 2014 Purchase Order No. 1109, # (8) Exhibit H - January 30, 2014 Invoice No. 26603, # (9) Exhibit I - February 4, 2014 Email String, # (10) Exhibit J - S3/S4 Photos, # (11) Exhibit K - Sprint January 2014 Telephone Records, # (12) Exhibit L - Sprint Trade Show Photos, # (13) Exhibit M - Sprint Trade Show Photos, GPS Products Displayed) (Schmitt, Marshall) Unsealed at the request of counsel for the defendant on 8/18/2022. (arw)
Aug 12, 2022 113 Declaration (4)
Docket Text: Declaration of Andrew Moore filed by Defendant Gamber-Johnson LLC in Opposition to re: [88] Motion for Partial Summary Judgment (Schmitt, Marshall)
Aug 11, 2022 99 Notice of Change of Address (2)
Docket Text: Notice of Change of Address by Stephen Horace. (Horace, Stephen) Modified on 8/12/2022: E-mail sent to counsel. (lak)
Aug 3, 2022 N/A Text Only Order (0)
Docket Text: ** TEXT ONLY ORDER ** Having prepared for the August 3, 2022 telephonic hearing on the remnant of NPI's motion to compel and reset dates (dkt. [77]), the court has concluded that there is no need to hold a hearing at which the court would simply announce this decision: NPI's motion to compel Gamber to respond to its contention Int. No. 12 is DENIED. The court's position on the disputed issue mirrors that argued by Gamber: a party cannot circumvent the expert disclosure process by asking for this sort of information before expert reports are due. NPI's deadline to disclose its expert reports on damages is extended to August 12, 2022, Gamber's disclosure deadline is extended to October 12, 2022, and the general discovery cutoff is extended to November 14, 2022. From the court's perspective, Gamber has prevailed substantively and equitably on all phases of NPI's discovery motions (dkts. [51] and [77]), but the court is going to hold off on shifting costs at this time, instead directing NPI to approach the remaining discovery with equanimity, lest Rule 37(b) come into play. Signed by Magistrate Judge Stephen L. Crocker on 8/3/2022. (jls)
Jul 29, 2022 N/A Order on Motion to Amend Briefing Schedule (0)
Docket Text: ** TEXT ONLY ORDER **ORDER granting [94] Joint Motion to Amend Briefing Schedule. Brief in Opposition re: Motion for Claim Construction [80] due 8/12/2022. Brief in Reply due 8/22/2022. Signed by Magistrate Judge Stephen L. Crocker on 7/29/22. (jat)
Jul 29, 2022 96 Brief in Opposition (6)
Docket Text: Brief in Opposition by Defendant Gamber-Johnson LLC re: [51] Motion to Compel filed by National Products Inc. and to Extend the Deadline for Opening Expert Reports Regarding Damages (Schmitt, Marshall)
Jul 29, 2022 97 Declaration (Main Document) (3)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [51] Motion to Compel, [77] MOTION for Extension of Time, (Attachments: # (1) Exhibit A - Tellekson Letter of 21 June 2022, # (2) Exhibit B - 7/10/22 Email to Tamimi, # (3) Exhibit C - 7/8/22 Email from Tamimi to Schmitt, # (4) Exhibit D - 7/11/22 Email from Hepner to NPI Counsel, # (5) Exhibit E - 7/18/22 Email from Gray to NPI Counsel, # (6) Exhibit F - 2021 08 25 NPI's 1st Set of ROGs to Gamber (Nos. 1-19)) (Schmitt, Marshall)
Jul 29, 2022 97 Declaration (Exhibit A - Tellekson Letter of 21 June 2022) (2)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [51] Motion to Compel, [77] MOTION for Extension of Time, (Attachments: # (1) Exhibit A - Tellekson Letter of 21 June 2022, # (2) Exhibit B - 7/10/22 Email to Tamimi, # (3) Exhibit C - 7/8/22 Email from Tamimi to Schmitt, # (4) Exhibit D - 7/11/22 Email from Hepner to NPI Counsel, # (5) Exhibit E - 7/18/22 Email from Gray to NPI Counsel, # (6) Exhibit F - 2021 08 25 NPI's 1st Set of ROGs to Gamber (Nos. 1-19)) (Schmitt, Marshall)
Jul 29, 2022 97 Declaration (Exhibit B - 7/10/22 Email to Tamimi) (4)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [51] Motion to Compel, [77] MOTION for Extension of Time, (Attachments: # (1) Exhibit A - Tellekson Letter of 21 June 2022, # (2) Exhibit B - 7/10/22 Email to Tamimi, # (3) Exhibit C - 7/8/22 Email from Tamimi to Schmitt, # (4) Exhibit D - 7/11/22 Email from Hepner to NPI Counsel, # (5) Exhibit E - 7/18/22 Email from Gray to NPI Counsel, # (6) Exhibit F - 2021 08 25 NPI's 1st Set of ROGs to Gamber (Nos. 1-19)) (Schmitt, Marshall)
Jul 29, 2022 97 Declaration (Exhibit C - 7/8/22 Email from Tamimi to Schmitt) (5)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [51] Motion to Compel, [77] MOTION for Extension of Time, (Attachments: # (1) Exhibit A - Tellekson Letter of 21 June 2022, # (2) Exhibit B - 7/10/22 Email to Tamimi, # (3) Exhibit C - 7/8/22 Email from Tamimi to Schmitt, # (4) Exhibit D - 7/11/22 Email from Hepner to NPI Counsel, # (5) Exhibit E - 7/18/22 Email from Gray to NPI Counsel, # (6) Exhibit F - 2021 08 25 NPI's 1st Set of ROGs to Gamber (Nos. 1-19)) (Schmitt, Marshall)
Jul 29, 2022 97 Declaration (Exhibit D - 7/11/22 Email from Hepner to NPI Counsel) (2)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [51] Motion to Compel, [77] MOTION for Extension of Time, (Attachments: # (1) Exhibit A - Tellekson Letter of 21 June 2022, # (2) Exhibit B - 7/10/22 Email to Tamimi, # (3) Exhibit C - 7/8/22 Email from Tamimi to Schmitt, # (4) Exhibit D - 7/11/22 Email from Hepner to NPI Counsel, # (5) Exhibit E - 7/18/22 Email from Gray to NPI Counsel, # (6) Exhibit F - 2021 08 25 NPI's 1st Set of ROGs to Gamber (Nos. 1-19)) (Schmitt, Marshall)
Jul 29, 2022 97 Declaration (Exhibit E - 7/18/22 Email from Gray to NPI Counsel) (2)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [51] Motion to Compel, [77] MOTION for Extension of Time, (Attachments: # (1) Exhibit A - Tellekson Letter of 21 June 2022, # (2) Exhibit B - 7/10/22 Email to Tamimi, # (3) Exhibit C - 7/8/22 Email from Tamimi to Schmitt, # (4) Exhibit D - 7/11/22 Email from Hepner to NPI Counsel, # (5) Exhibit E - 7/18/22 Email from Gray to NPI Counsel, # (6) Exhibit F - 2021 08 25 NPI's 1st Set of ROGs to Gamber (Nos. 1-19)) (Schmitt, Marshall)
Jul 29, 2022 97 Declaration (Exhibit F - 2021 08 25 NPI's 1st Set of ROGs to Gamber (Nos. 1-19)) (12)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [51] Motion to Compel, [77] MOTION for Extension of Time, (Attachments: # (1) Exhibit A - Tellekson Letter of 21 June 2022, # (2) Exhibit B - 7/10/22 Email to Tamimi, # (3) Exhibit C - 7/8/22 Email from Tamimi to Schmitt, # (4) Exhibit D - 7/11/22 Email from Hepner to NPI Counsel, # (5) Exhibit E - 7/18/22 Email from Gray to NPI Counsel, # (6) Exhibit F - 2021 08 25 NPI's 1st Set of ROGs to Gamber (Nos. 1-19)) (Schmitt, Marshall)
Jul 28, 2022 94 MOTION to Amend Briefing Schedule (3)
Docket Text: Joint Motion to Amend Briefing Schedule [to Reset Deadlines Related to Defendant Gamber-Johnson LLC'S Claim Construction Brief] by Plaintiff National Products Inc.. Motions referred to Magistrate Judge Stephen L. Crocker. (Tamimi, Jonathan)
Jul 26, 2022 N/A Set Motion and R&R Deadlines/Hearings (0)
Docket Text: Set Deadlines as to [51] Motion to Compel. Telephone Motion Hearing set for 8/3/2022 at 03:00 PM before Magistrate Judge Stephen L. Crocker. Counsel for Plaintiff responsible for setting up the call to chambers at (608) 264-5153. (jat)
Jul 26, 2022 92 Declaration (Main Document) (4)
Docket Text: Redaction to [87] Declaration of Jason Lewandowski, (Attachments: # (1) Exhibit A - Gamber00021233, # (2) Exhibit B - Gamber00021237) (Schmitt, Marshall) Modified on 7/26/2022. (lak)
Jul 26, 2022 92 Declaration (Exhibit A - Gamber00021233) (1)
Docket Text: Redaction to [87] Declaration of Jason Lewandowski, (Attachments: # (1) Exhibit A - Gamber00021233, # (2) Exhibit B - Gamber00021237) (Schmitt, Marshall) Modified on 7/26/2022. (lak)
Jul 26, 2022 92 Declaration (Exhibit B - Gamber00021237) (1)
Docket Text: Redaction to [87] Declaration of Jason Lewandowski, (Attachments: # (1) Exhibit A - Gamber00021233, # (2) Exhibit B - Gamber00021237) (Schmitt, Marshall) Modified on 7/26/2022. (lak)
Jul 26, 2022 N/A Text Only Order (0)
Docket Text: ** TEXT ONLY ORDER ** The court will hold a telephonic hearing on August 3, 2022 at 3:00 to discuss and to rule on the remnant of NPI's motion to compel discovery, and to reset NPI's expert disclosure deadline. Signed by Magistrate Judge Stephen L. Crocker on 7/26/22. (jat)
Jul 22, 2022 77 MOTION for Extension of Time (Main Document) (3)
Docket Text: Motion for Extension of Time for Opening Expert Reports Re Damages and Motion for Hearing on Dkt. 51 by Plaintiff National Products Inc. Motions referred to Magistrate Judge Stephen L. Crocker. Response due 7/29/2022. (Attachments: # (1) Exhibit A - Schmitt E-mails re: Deadlines Financials) (Tamimi, Jonathan) Modified on 7/22/2022. (lak)
Jul 22, 2022 77 MOTION for Extension of Time (Exhibit A - Schmitt E-mails re: Deadlines Financials) (8)
Docket Text: Motion for Extension of Time for Opening Expert Reports Re Damages and Motion for Hearing on Dkt. 51 by Plaintiff National Products Inc. Motions referred to Magistrate Judge Stephen L. Crocker. Response due 7/29/2022. (Attachments: # (1) Exhibit A - Schmitt E-mails re: Deadlines Financials) (Tamimi, Jonathan) Modified on 7/22/2022. (lak)
Jul 22, 2022 78 Deposition (30)
Docket Text: Deposition of Aaron Hersey taken on 10/25/2021 [NPI v. ProClip and Brodit case]. (Tamimi, Jonathan)
Jul 22, 2022 80 Motion for Miscellaneous Relief (2)
Docket Text: Motion for Claim Construction by Defendant Gamber-Johnson LLC. Response due 7/29/2022. (Schmitt, Marshall)
Jul 22, 2022 81 Brief in Support (23)
Docket Text: Brief in Support of [80] Motion for Claim Construction by Defendant Gamber-Johnson LLC. (Schmitt, Marshall) Modified on 7/25/2022. (lak)
Jul 22, 2022 82 Declaration (Main Document) (2)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [80] Motion for Claim Construction, (Attachments: # (1) Exhibit 1 - 14936517 File History, # (2) Exhibit 2 - 14222320 File History, # (3) Exhibit 3 - 14754492 File History, # (4) Exhibit 4 - 14829378 File History, # (5) Exhibit 5 - NPI Preliminary CC, # (6) Exhibit 6 - NPI Response to ProClip's Proposed CC, # (7) Exhibit 7 - NPI v ProClip Joint Claim Chart) (Schmitt, Marshall) Modified on 7/25/2022. (lak)
Jul 22, 2022 82 Declaration (Exhibit 1 - 14936517 File History) (16)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [80] Motion for Claim Construction, (Attachments: # (1) Exhibit 1 - 14936517 File History, # (2) Exhibit 2 - 14222320 File History, # (3) Exhibit 3 - 14754492 File History, # (4) Exhibit 4 - 14829378 File History, # (5) Exhibit 5 - NPI Preliminary CC, # (6) Exhibit 6 - NPI Response to ProClip's Proposed CC, # (7) Exhibit 7 - NPI v ProClip Joint Claim Chart) (Schmitt, Marshall) Modified on 7/25/2022. (lak)
Jul 22, 2022 82 Declaration (Exhibit 2 - 14222320 File History) (15)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [80] Motion for Claim Construction, (Attachments: # (1) Exhibit 1 - 14936517 File History, # (2) Exhibit 2 - 14222320 File History, # (3) Exhibit 3 - 14754492 File History, # (4) Exhibit 4 - 14829378 File History, # (5) Exhibit 5 - NPI Preliminary CC, # (6) Exhibit 6 - NPI Response to ProClip's Proposed CC, # (7) Exhibit 7 - NPI v ProClip Joint Claim Chart) (Schmitt, Marshall) Modified on 7/25/2022. (lak)
Jul 22, 2022 82 Declaration (Exhibit 3 - 14754492 File History) (12)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [80] Motion for Claim Construction, (Attachments: # (1) Exhibit 1 - 14936517 File History, # (2) Exhibit 2 - 14222320 File History, # (3) Exhibit 3 - 14754492 File History, # (4) Exhibit 4 - 14829378 File History, # (5) Exhibit 5 - NPI Preliminary CC, # (6) Exhibit 6 - NPI Response to ProClip's Proposed CC, # (7) Exhibit 7 - NPI v ProClip Joint Claim Chart) (Schmitt, Marshall) Modified on 7/25/2022. (lak)
Jul 22, 2022 82 Declaration (Exhibit 4 - 14829378 File History) (11)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [80] Motion for Claim Construction, (Attachments: # (1) Exhibit 1 - 14936517 File History, # (2) Exhibit 2 - 14222320 File History, # (3) Exhibit 3 - 14754492 File History, # (4) Exhibit 4 - 14829378 File History, # (5) Exhibit 5 - NPI Preliminary CC, # (6) Exhibit 6 - NPI Response to ProClip's Proposed CC, # (7) Exhibit 7 - NPI v ProClip Joint Claim Chart) (Schmitt, Marshall) Modified on 7/25/2022. (lak)
Jul 22, 2022 82 Declaration (Exhibit 5 - NPI Preliminary CC) (8)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [80] Motion for Claim Construction, (Attachments: # (1) Exhibit 1 - 14936517 File History, # (2) Exhibit 2 - 14222320 File History, # (3) Exhibit 3 - 14754492 File History, # (4) Exhibit 4 - 14829378 File History, # (5) Exhibit 5 - NPI Preliminary CC, # (6) Exhibit 6 - NPI Response to ProClip's Proposed CC, # (7) Exhibit 7 - NPI v ProClip Joint Claim Chart) (Schmitt, Marshall) Modified on 7/25/2022. (lak)
Jul 22, 2022 82 Declaration (Exhibit 6 - NPI Response to ProClip's Proposed CC) (30)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [80] Motion for Claim Construction, (Attachments: # (1) Exhibit 1 - 14936517 File History, # (2) Exhibit 2 - 14222320 File History, # (3) Exhibit 3 - 14754492 File History, # (4) Exhibit 4 - 14829378 File History, # (5) Exhibit 5 - NPI Preliminary CC, # (6) Exhibit 6 - NPI Response to ProClip's Proposed CC, # (7) Exhibit 7 - NPI v ProClip Joint Claim Chart) (Schmitt, Marshall) Modified on 7/25/2022. (lak)
Jul 22, 2022 82 Declaration (Exhibit 7 - NPI v ProClip Joint Claim Chart) (30)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [80] Motion for Claim Construction, (Attachments: # (1) Exhibit 1 - 14936517 File History, # (2) Exhibit 2 - 14222320 File History, # (3) Exhibit 3 - 14754492 File History, # (4) Exhibit 4 - 14829378 File History, # (5) Exhibit 5 - NPI Preliminary CC, # (6) Exhibit 6 - NPI Response to ProClip's Proposed CC, # (7) Exhibit 7 - NPI v ProClip Joint Claim Chart) (Schmitt, Marshall) Modified on 7/25/2022. (lak)
Jul 22, 2022 83 Motion for Partial Summary Judgment (2)
Docket Text: MOTION FOR PARTIAL SUMMARY JUDGMENT . by Defendant Gamber-Johnson LLC. Brief in Opposition due 8/12/2022. Brief in Reply due 8/22/2022. (Schmitt, Marshall)
Jul 22, 2022 84 Brief in Support (12)
Docket Text: Brief in Support of [83] Motion for Partial Summary Judgment by Defendant Gamber-Johnson LLC (Schmitt, Marshall)
Jul 22, 2022 85 Proposed Findings of Fact (23)
Docket Text: Proposed Findings of Fact filed by Defendant Gamber-Johnson LLC re: [83] Motion for Partial Summary Judgment (Schmitt, Marshall)
Jul 22, 2022 86 Declaration (3)
Docket Text: Declaration of Andrew Moore filed by Defendant Gamber-Johnson LLC re: [83] Motion for Partial Summary Judgment (Schmitt, Marshall)
Jul 22, 2022 88 Motion for Partial Summary Judgment (2)
Docket Text: MOTION FOR PARTIAL SUMMARY JUDGMENT . by Plaintiff National Products Inc.. Brief in Opposition due 8/12/2022. Brief in Reply due 8/22/2022. (Tellekson, David)
Jul 22, 2022 89 Brief in Support (30)
Docket Text: Brief in Support of [88] Motion for Partial Summary Judgment by Plaintiff National Products Inc. (Tellekson, David)
Jul 22, 2022 91 Proposed Findings of Fact (30)
Docket Text: Proposed Findings of Fact filed by Plaintiff National Products Inc. re: [88] Motion for Partial Summary Judgment (Tellekson, David)
Jul 19, 2022 75 Expert Report (Main Document) (30)
Docket Text: Expert Report of Bryan Bell Regarding Invalidity of United States Patent No. 9,706,026 by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit 01 United States Patent No. 9,706,026, # (2) Exhibit 02 Curriculum Vitae of Bryan J. Bell, # (3) Exhibit 03 United States Patent No. 8,873,233, # (4) Exhibit 04 Prosecution History of United States Patent Application No. 14/936,517, # (5) Exhibit 05 Photographs of UP7 Product, # (6) Exhibit 06 Photographs of Galaxy S3-S4, # (7) Exhibit 07 Photographs of ProClip Galaxy Tab 4 8.0, # (8) Exhibit 08 United States Patent No. 7,859,222 ("Woud"), # (9) Exhibit 09 Chinese Patent No. CN 202565335U ("Li") (with English translation), # (10) Exhibit 10 United States Patent No. 9,760,116 ("Wylie"), # (11) Exhibit 11 United States Patent No. 7,311,526 ("Rohrbach"), # (12) Exhibit 12 United States Patent Publication No. 2014/0363988 ("An '988"), # (13) Exhibit 13 United States Patent No. 9,147,966 ("An '966"), # (14) Exhibit 14 International Patent Application No. WO 2014054426 ("Hayashi") (with English translation)) (Schmitt, Marshall)
Jul 19, 2022 75 Expert Report (Exhibit 01 United States Patent No. 9,706,026) (30)
Docket Text: Expert Report of Bryan Bell Regarding Invalidity of United States Patent No. 9,706,026 by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit 01 United States Patent No. 9,706,026, # (2) Exhibit 02 Curriculum Vitae of Bryan J. Bell, # (3) Exhibit 03 United States Patent No. 8,873,233, # (4) Exhibit 04 Prosecution History of United States Patent Application No. 14/936,517, # (5) Exhibit 05 Photographs of UP7 Product, # (6) Exhibit 06 Photographs of Galaxy S3-S4, # (7) Exhibit 07 Photographs of ProClip Galaxy Tab 4 8.0, # (8) Exhibit 08 United States Patent No. 7,859,222 ("Woud"), # (9) Exhibit 09 Chinese Patent No. CN 202565335U ("Li") (with English translation), # (10) Exhibit 10 United States Patent No. 9,760,116 ("Wylie"), # (11) Exhibit 11 United States Patent No. 7,311,526 ("Rohrbach"), # (12) Exhibit 12 United States Patent Publication No. 2014/0363988 ("An '988"), # (13) Exhibit 13 United States Patent No. 9,147,966 ("An '966"), # (14) Exhibit 14 International Patent Application No. WO 2014054426 ("Hayashi") (with English translation)) (Schmitt, Marshall)
Jul 19, 2022 75 Expert Report (Exhibit 02 Curriculum Vitae of Bryan J. Bell) (4)
Docket Text: Expert Report of Bryan Bell Regarding Invalidity of United States Patent No. 9,706,026 by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit 01 United States Patent No. 9,706,026, # (2) Exhibit 02 Curriculum Vitae of Bryan J. Bell, # (3) Exhibit 03 United States Patent No. 8,873,233, # (4) Exhibit 04 Prosecution History of United States Patent Application No. 14/936,517, # (5) Exhibit 05 Photographs of UP7 Product, # (6) Exhibit 06 Photographs of Galaxy S3-S4, # (7) Exhibit 07 Photographs of ProClip Galaxy Tab 4 8.0, # (8) Exhibit 08 United States Patent No. 7,859,222 ("Woud"), # (9) Exhibit 09 Chinese Patent No. CN 202565335U ("Li") (with English translation), # (10) Exhibit 10 United States Patent No. 9,760,116 ("Wylie"), # (11) Exhibit 11 United States Patent No. 7,311,526 ("Rohrbach"), # (12) Exhibit 12 United States Patent Publication No. 2014/0363988 ("An '988"), # (13) Exhibit 13 United States Patent No. 9,147,966 ("An '966"), # (14) Exhibit 14 International Patent Application No. WO 2014054426 ("Hayashi") (with English translation)) (Schmitt, Marshall)
Jul 19, 2022 75 Expert Report (Exhibit 03 United States Patent No. 8,873,233) (21)
Docket Text: Expert Report of Bryan Bell Regarding Invalidity of United States Patent No. 9,706,026 by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit 01 United States Patent No. 9,706,026, # (2) Exhibit 02 Curriculum Vitae of Bryan J. Bell, # (3) Exhibit 03 United States Patent No. 8,873,233, # (4) Exhibit 04 Prosecution History of United States Patent Application No. 14/936,517, # (5) Exhibit 05 Photographs of UP7 Product, # (6) Exhibit 06 Photographs of Galaxy S3-S4, # (7) Exhibit 07 Photographs of ProClip Galaxy Tab 4 8.0, # (8) Exhibit 08 United States Patent No. 7,859,222 ("Woud"), # (9) Exhibit 09 Chinese Patent No. CN 202565335U ("Li") (with English translation), # (10) Exhibit 10 United States Patent No. 9,760,116 ("Wylie"), # (11) Exhibit 11 United States Patent No. 7,311,526 ("Rohrbach"), # (12) Exhibit 12 United States Patent Publication No. 2014/0363988 ("An '988"), # (13) Exhibit 13 United States Patent No. 9,147,966 ("An '966"), # (14) Exhibit 14 International Patent Application No. WO 2014054426 ("Hayashi") (with English translation)) (Schmitt, Marshall)
Jul 19, 2022 75 Expert Report (Exhibit 04 Prosecution History of United States Patent Application No. 14/936,51) (30)
Docket Text: Expert Report of Bryan Bell Regarding Invalidity of United States Patent No. 9,706,026 by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit 01 United States Patent No. 9,706,026, # (2) Exhibit 02 Curriculum Vitae of Bryan J. Bell, # (3) Exhibit 03 United States Patent No. 8,873,233, # (4) Exhibit 04 Prosecution History of United States Patent Application No. 14/936,517, # (5) Exhibit 05 Photographs of UP7 Product, # (6) Exhibit 06 Photographs of Galaxy S3-S4, # (7) Exhibit 07 Photographs of ProClip Galaxy Tab 4 8.0, # (8) Exhibit 08 United States Patent No. 7,859,222 ("Woud"), # (9) Exhibit 09 Chinese Patent No. CN 202565335U ("Li") (with English translation), # (10) Exhibit 10 United States Patent No. 9,760,116 ("Wylie"), # (11) Exhibit 11 United States Patent No. 7,311,526 ("Rohrbach"), # (12) Exhibit 12 United States Patent Publication No. 2014/0363988 ("An '988"), # (13) Exhibit 13 United States Patent No. 9,147,966 ("An '966"), # (14) Exhibit 14 International Patent Application No. WO 2014054426 ("Hayashi") (with English translation)) (Schmitt, Marshall)
Jul 19, 2022 75 Expert Report (Exhibit 05 Photographs of UP7 Product) (30)
Docket Text: Expert Report of Bryan Bell Regarding Invalidity of United States Patent No. 9,706,026 by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit 01 United States Patent No. 9,706,026, # (2) Exhibit 02 Curriculum Vitae of Bryan J. Bell, # (3) Exhibit 03 United States Patent No. 8,873,233, # (4) Exhibit 04 Prosecution History of United States Patent Application No. 14/936,517, # (5) Exhibit 05 Photographs of UP7 Product, # (6) Exhibit 06 Photographs of Galaxy S3-S4, # (7) Exhibit 07 Photographs of ProClip Galaxy Tab 4 8.0, # (8) Exhibit 08 United States Patent No. 7,859,222 ("Woud"), # (9) Exhibit 09 Chinese Patent No. CN 202565335U ("Li") (with English translation), # (10) Exhibit 10 United States Patent No. 9,760,116 ("Wylie"), # (11) Exhibit 11 United States Patent No. 7,311,526 ("Rohrbach"), # (12) Exhibit 12 United States Patent Publication No. 2014/0363988 ("An '988"), # (13) Exhibit 13 United States Patent No. 9,147,966 ("An '966"), # (14) Exhibit 14 International Patent Application No. WO 2014054426 ("Hayashi") (with English translation)) (Schmitt, Marshall)
Jul 19, 2022 75 Expert Report (Exhibit 06 Photographs of Galaxy S3-S4) (30)
Docket Text: Expert Report of Bryan Bell Regarding Invalidity of United States Patent No. 9,706,026 by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit 01 United States Patent No. 9,706,026, # (2) Exhibit 02 Curriculum Vitae of Bryan J. Bell, # (3) Exhibit 03 United States Patent No. 8,873,233, # (4) Exhibit 04 Prosecution History of United States Patent Application No. 14/936,517, # (5) Exhibit 05 Photographs of UP7 Product, # (6) Exhibit 06 Photographs of Galaxy S3-S4, # (7) Exhibit 07 Photographs of ProClip Galaxy Tab 4 8.0, # (8) Exhibit 08 United States Patent No. 7,859,222 ("Woud"), # (9) Exhibit 09 Chinese Patent No. CN 202565335U ("Li") (with English translation), # (10) Exhibit 10 United States Patent No. 9,760,116 ("Wylie"), # (11) Exhibit 11 United States Patent No. 7,311,526 ("Rohrbach"), # (12) Exhibit 12 United States Patent Publication No. 2014/0363988 ("An '988"), # (13) Exhibit 13 United States Patent No. 9,147,966 ("An '966"), # (14) Exhibit 14 International Patent Application No. WO 2014054426 ("Hayashi") (with English translation)) (Schmitt, Marshall)
Jul 19, 2022 75 Expert Report (Exhibit 07 Photographs of ProClip Galaxy Tab 4 8.0) (10)
Docket Text: Expert Report of Bryan Bell Regarding Invalidity of United States Patent No. 9,706,026 by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit 01 United States Patent No. 9,706,026, # (2) Exhibit 02 Curriculum Vitae of Bryan J. Bell, # (3) Exhibit 03 United States Patent No. 8,873,233, # (4) Exhibit 04 Prosecution History of United States Patent Application No. 14/936,517, # (5) Exhibit 05 Photographs of UP7 Product, # (6) Exhibit 06 Photographs of Galaxy S3-S4, # (7) Exhibit 07 Photographs of ProClip Galaxy Tab 4 8.0, # (8) Exhibit 08 United States Patent No. 7,859,222 ("Woud"), # (9) Exhibit 09 Chinese Patent No. CN 202565335U ("Li") (with English translation), # (10) Exhibit 10 United States Patent No. 9,760,116 ("Wylie"), # (11) Exhibit 11 United States Patent No. 7,311,526 ("Rohrbach"), # (12) Exhibit 12 United States Patent Publication No. 2014/0363988 ("An '988"), # (13) Exhibit 13 United States Patent No. 9,147,966 ("An '966"), # (14) Exhibit 14 International Patent Application No. WO 2014054426 ("Hayashi") (with English translation)) (Schmitt, Marshall)
Jul 19, 2022 75 Expert Report (Exhibit 08 United States Patent No. 7,859,222 ("Woud")) (28)
Docket Text: Expert Report of Bryan Bell Regarding Invalidity of United States Patent No. 9,706,026 by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit 01 United States Patent No. 9,706,026, # (2) Exhibit 02 Curriculum Vitae of Bryan J. Bell, # (3) Exhibit 03 United States Patent No. 8,873,233, # (4) Exhibit 04 Prosecution History of United States Patent Application No. 14/936,517, # (5) Exhibit 05 Photographs of UP7 Product, # (6) Exhibit 06 Photographs of Galaxy S3-S4, # (7) Exhibit 07 Photographs of ProClip Galaxy Tab 4 8.0, # (8) Exhibit 08 United States Patent No. 7,859,222 ("Woud"), # (9) Exhibit 09 Chinese Patent No. CN 202565335U ("Li") (with English translation), # (10) Exhibit 10 United States Patent No. 9,760,116 ("Wylie"), # (11) Exhibit 11 United States Patent No. 7,311,526 ("Rohrbach"), # (12) Exhibit 12 United States Patent Publication No. 2014/0363988 ("An '988"), # (13) Exhibit 13 United States Patent No. 9,147,966 ("An '966"), # (14) Exhibit 14 International Patent Application No. WO 2014054426 ("Hayashi") (with English translation)) (Schmitt, Marshall)
Jul 19, 2022 75 Expert Report (Exhibit 09 Chinese Patent No. CN 202565335U ("Li") (with English trans) (17)
Docket Text: Expert Report of Bryan Bell Regarding Invalidity of United States Patent No. 9,706,026 by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit 01 United States Patent No. 9,706,026, # (2) Exhibit 02 Curriculum Vitae of Bryan J. Bell, # (3) Exhibit 03 United States Patent No. 8,873,233, # (4) Exhibit 04 Prosecution History of United States Patent Application No. 14/936,517, # (5) Exhibit 05 Photographs of UP7 Product, # (6) Exhibit 06 Photographs of Galaxy S3-S4, # (7) Exhibit 07 Photographs of ProClip Galaxy Tab 4 8.0, # (8) Exhibit 08 United States Patent No. 7,859,222 ("Woud"), # (9) Exhibit 09 Chinese Patent No. CN 202565335U ("Li") (with English translation), # (10) Exhibit 10 United States Patent No. 9,760,116 ("Wylie"), # (11) Exhibit 11 United States Patent No. 7,311,526 ("Rohrbach"), # (12) Exhibit 12 United States Patent Publication No. 2014/0363988 ("An '988"), # (13) Exhibit 13 United States Patent No. 9,147,966 ("An '966"), # (14) Exhibit 14 International Patent Application No. WO 2014054426 ("Hayashi") (with English translation)) (Schmitt, Marshall)
Jul 19, 2022 75 Expert Report (Exhibit 10 United States Patent No. 9,760,116 ("Wylie")) (13)
Docket Text: Expert Report of Bryan Bell Regarding Invalidity of United States Patent No. 9,706,026 by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit 01 United States Patent No. 9,706,026, # (2) Exhibit 02 Curriculum Vitae of Bryan J. Bell, # (3) Exhibit 03 United States Patent No. 8,873,233, # (4) Exhibit 04 Prosecution History of United States Patent Application No. 14/936,517, # (5) Exhibit 05 Photographs of UP7 Product, # (6) Exhibit 06 Photographs of Galaxy S3-S4, # (7) Exhibit 07 Photographs of ProClip Galaxy Tab 4 8.0, # (8) Exhibit 08 United States Patent No. 7,859,222 ("Woud"), # (9) Exhibit 09 Chinese Patent No. CN 202565335U ("Li") (with English translation), # (10) Exhibit 10 United States Patent No. 9,760,116 ("Wylie"), # (11) Exhibit 11 United States Patent No. 7,311,526 ("Rohrbach"), # (12) Exhibit 12 United States Patent Publication No. 2014/0363988 ("An '988"), # (13) Exhibit 13 United States Patent No. 9,147,966 ("An '966"), # (14) Exhibit 14 International Patent Application No. WO 2014054426 ("Hayashi") (with English translation)) (Schmitt, Marshall)
Jul 19, 2022 75 Expert Report (Exhibit 11 United States Patent No. 7,311,526 ("Rohrbach")) (22)
Docket Text: Expert Report of Bryan Bell Regarding Invalidity of United States Patent No. 9,706,026 by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit 01 United States Patent No. 9,706,026, # (2) Exhibit 02 Curriculum Vitae of Bryan J. Bell, # (3) Exhibit 03 United States Patent No. 8,873,233, # (4) Exhibit 04 Prosecution History of United States Patent Application No. 14/936,517, # (5) Exhibit 05 Photographs of UP7 Product, # (6) Exhibit 06 Photographs of Galaxy S3-S4, # (7) Exhibit 07 Photographs of ProClip Galaxy Tab 4 8.0, # (8) Exhibit 08 United States Patent No. 7,859,222 ("Woud"), # (9) Exhibit 09 Chinese Patent No. CN 202565335U ("Li") (with English translation), # (10) Exhibit 10 United States Patent No. 9,760,116 ("Wylie"), # (11) Exhibit 11 United States Patent No. 7,311,526 ("Rohrbach"), # (12) Exhibit 12 United States Patent Publication No. 2014/0363988 ("An '988"), # (13) Exhibit 13 United States Patent No. 9,147,966 ("An '966"), # (14) Exhibit 14 International Patent Application No. WO 2014054426 ("Hayashi") (with English translation)) (Schmitt, Marshall)
Jul 19, 2022 75 Expert Report (Exhibit 12 United States Patent Publication No. 2014/0363988 ("An '988) (16)
Docket Text: Expert Report of Bryan Bell Regarding Invalidity of United States Patent No. 9,706,026 by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit 01 United States Patent No. 9,706,026, # (2) Exhibit 02 Curriculum Vitae of Bryan J. Bell, # (3) Exhibit 03 United States Patent No. 8,873,233, # (4) Exhibit 04 Prosecution History of United States Patent Application No. 14/936,517, # (5) Exhibit 05 Photographs of UP7 Product, # (6) Exhibit 06 Photographs of Galaxy S3-S4, # (7) Exhibit 07 Photographs of ProClip Galaxy Tab 4 8.0, # (8) Exhibit 08 United States Patent No. 7,859,222 ("Woud"), # (9) Exhibit 09 Chinese Patent No. CN 202565335U ("Li") (with English translation), # (10) Exhibit 10 United States Patent No. 9,760,116 ("Wylie"), # (11) Exhibit 11 United States Patent No. 7,311,526 ("Rohrbach"), # (12) Exhibit 12 United States Patent Publication No. 2014/0363988 ("An '988"), # (13) Exhibit 13 United States Patent No. 9,147,966 ("An '966"), # (14) Exhibit 14 International Patent Application No. WO 2014054426 ("Hayashi") (with English translation)) (Schmitt, Marshall)
Jul 19, 2022 75 Expert Report (Exhibit 13 United States Patent No. 9,147,966 ("An '966")) (14)
Docket Text: Expert Report of Bryan Bell Regarding Invalidity of United States Patent No. 9,706,026 by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit 01 United States Patent No. 9,706,026, # (2) Exhibit 02 Curriculum Vitae of Bryan J. Bell, # (3) Exhibit 03 United States Patent No. 8,873,233, # (4) Exhibit 04 Prosecution History of United States Patent Application No. 14/936,517, # (5) Exhibit 05 Photographs of UP7 Product, # (6) Exhibit 06 Photographs of Galaxy S3-S4, # (7) Exhibit 07 Photographs of ProClip Galaxy Tab 4 8.0, # (8) Exhibit 08 United States Patent No. 7,859,222 ("Woud"), # (9) Exhibit 09 Chinese Patent No. CN 202565335U ("Li") (with English translation), # (10) Exhibit 10 United States Patent No. 9,760,116 ("Wylie"), # (11) Exhibit 11 United States Patent No. 7,311,526 ("Rohrbach"), # (12) Exhibit 12 United States Patent Publication No. 2014/0363988 ("An '988"), # (13) Exhibit 13 United States Patent No. 9,147,966 ("An '966"), # (14) Exhibit 14 International Patent Application No. WO 2014054426 ("Hayashi") (with English translation)) (Schmitt, Marshall)
Jul 19, 2022 75 Expert Report (Exhibit 14 International Patent Application No. WO 2014054426 ("Hayashi&quo) (30)
Docket Text: Expert Report of Bryan Bell Regarding Invalidity of United States Patent No. 9,706,026 by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit 01 United States Patent No. 9,706,026, # (2) Exhibit 02 Curriculum Vitae of Bryan J. Bell, # (3) Exhibit 03 United States Patent No. 8,873,233, # (4) Exhibit 04 Prosecution History of United States Patent Application No. 14/936,517, # (5) Exhibit 05 Photographs of UP7 Product, # (6) Exhibit 06 Photographs of Galaxy S3-S4, # (7) Exhibit 07 Photographs of ProClip Galaxy Tab 4 8.0, # (8) Exhibit 08 United States Patent No. 7,859,222 ("Woud"), # (9) Exhibit 09 Chinese Patent No. CN 202565335U ("Li") (with English translation), # (10) Exhibit 10 United States Patent No. 9,760,116 ("Wylie"), # (11) Exhibit 11 United States Patent No. 7,311,526 ("Rohrbach"), # (12) Exhibit 12 United States Patent Publication No. 2014/0363988 ("An '988"), # (13) Exhibit 13 United States Patent No. 9,147,966 ("An '966"), # (14) Exhibit 14 International Patent Application No. WO 2014054426 ("Hayashi") (with English translation)) (Schmitt, Marshall)
Jul 19, 2022 76 Expert Report (Main Document) (30)
Docket Text: Expert Report of James B. Babcock Regarding Patent Infringement by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit A - Babcock Curriculum Vitae, # (2) Exhibit B - Index of Documents Considered, # (3) Exhibit C - Infringement Analysis) (Schmitt, Marshall)
Jul 19, 2022 76 Expert Report (Exhibit A - Babcock Curriculum Vitae) (13)
Docket Text: Expert Report of James B. Babcock Regarding Patent Infringement by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit A - Babcock Curriculum Vitae, # (2) Exhibit B - Index of Documents Considered, # (3) Exhibit C - Infringement Analysis) (Schmitt, Marshall)
Jul 19, 2022 76 Expert Report (Exhibit B - Index of Documents Considered) (4)
Docket Text: Expert Report of James B. Babcock Regarding Patent Infringement by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit A - Babcock Curriculum Vitae, # (2) Exhibit B - Index of Documents Considered, # (3) Exhibit C - Infringement Analysis) (Schmitt, Marshall)
Jul 19, 2022 76 Expert Report (Exhibit C - Infringement Analysis) (24)
Docket Text: Expert Report of James B. Babcock Regarding Patent Infringement by Defendant Gamber-Johnson LLC (Attachments: # (1) Exhibit A - Babcock Curriculum Vitae, # (2) Exhibit B - Index of Documents Considered, # (3) Exhibit C - Infringement Analysis) (Schmitt, Marshall)
Jul 14, 2022 74 Order on Motion to Amend/Correct (2)
Docket Text: ORDER granting [55] Motion to Amend/Correct Invalidity Contentions. Signed by District Judge William M. Conley on 7/13/2022. (rks)
Jul 8, 2022 72 Motion to Amend/Correct (3)
Docket Text: Joint Motion to Amend/Correct Schedule by Plaintiff National Products Inc. (McMichael, Jonathan)
Jul 8, 2022 N/A Order on Motion to Amend/Correct (0)
Docket Text: ** TEXT ONLY ORDER **ORDER granting [72] Motion to Amend/Correct [Joint Motion to Amend Schedule]. Signed by Magistrate Judge Stephen L. Crocker on 7/8/2022. (rks)
Jul 6, 2022 71 Motion for Leave to File (4)
Docket Text: Motion for Leave to File Reply in Support of Defendant's Motion for Leave to Amend Its Invalidity Contentions by Defendant Gamber-Johnson LLC. (Schmitt, Marshall)
Jul 1, 2022 70 Claims Construction Table (6)
Docket Text: Joint Claims Construction Table by Counter Defendant National Products Inc., Plaintiff National Products Inc. (Irwin, Michelle)
Jun 30, 2022 69 Reply to Counterclaim (9)
Docket Text: Reply to Counterclaim by Counter Defendant National Products Inc., Plaintiff National Products Inc.. (Tellekson, David)
Jun 29, 2022 N/A Order on Motion to Admit Pro Hac Vice (0)
Docket Text: ** TEXT ONLY ORDER **ORDER granting [63] Motion to Admit Kyle Glendon Hepner Pro Hac Vice. Signed by Magistrate Judge Stephen L. Crocker on 6/29/2022. (lak)
Jun 29, 2022 65 Expert Report (Main Document) (30)
Docket Text: Expert Report of of James B. Babcock Regarding Invalidity of U.S. Patent No. 9,706,026 (Rebuttal Expert Report) by Counter Defendant National Products Inc., Plaintiff National Products Inc. (Attachments: # (1) Exhibit A (Index to Documents Considered)) (Irwin, Michelle)
Jun 29, 2022 65 Expert Report (Exhibit A (Index to Documents Considered)) (5)
Docket Text: Expert Report of of James B. Babcock Regarding Invalidity of U.S. Patent No. 9,706,026 (Rebuttal Expert Report) by Counter Defendant National Products Inc., Plaintiff National Products Inc. (Attachments: # (1) Exhibit A (Index to Documents Considered)) (Irwin, Michelle)
Jun 29, 2022 66 Expert Report (Main Document) (30)
Docket Text: Expert Report of Andrew Moore Regarding Non-Infringement of United States Patent No. 9,706,026 by Counter Defendant National Products Inc., Plaintiff National Products Inc. (Attachments: # (1) Exhibit 1 (U.S. Patent No. 9,706,026), # (2) Exhibit 2 (Curriculum Vitae of Andrew W. Moore), # (3) Exhibit 3 (Yokowo Spring Loaded Connector Product Guide Line)) (Irwin, Michelle)
Jun 29, 2022 66 Expert Report (Exhibit 1 (U.S. Patent No. 9,706,026)) (30)
Docket Text: Expert Report of Andrew Moore Regarding Non-Infringement of United States Patent No. 9,706,026 by Counter Defendant National Products Inc., Plaintiff National Products Inc. (Attachments: # (1) Exhibit 1 (U.S. Patent No. 9,706,026), # (2) Exhibit 2 (Curriculum Vitae of Andrew W. Moore), # (3) Exhibit 3 (Yokowo Spring Loaded Connector Product Guide Line)) (Irwin, Michelle)
Jun 29, 2022 66 Expert Report (Exhibit 2 (Curriculum Vitae of Andrew W. Moore)) (3)
Docket Text: Expert Report of Andrew Moore Regarding Non-Infringement of United States Patent No. 9,706,026 by Counter Defendant National Products Inc., Plaintiff National Products Inc. (Attachments: # (1) Exhibit 1 (U.S. Patent No. 9,706,026), # (2) Exhibit 2 (Curriculum Vitae of Andrew W. Moore), # (3) Exhibit 3 (Yokowo Spring Loaded Connector Product Guide Line)) (Irwin, Michelle)
Jun 29, 2022 66 Expert Report (Exhibit 3 (Yokowo Spring Loaded Connector Product Guide Line)) (6)
Docket Text: Expert Report of Andrew Moore Regarding Non-Infringement of United States Patent No. 9,706,026 by Counter Defendant National Products Inc., Plaintiff National Products Inc. (Attachments: # (1) Exhibit 1 (U.S. Patent No. 9,706,026), # (2) Exhibit 2 (Curriculum Vitae of Andrew W. Moore), # (3) Exhibit 3 (Yokowo Spring Loaded Connector Product Guide Line)) (Irwin, Michelle)
Jun 29, 2022 67 Brief in Opposition (28)
Docket Text: Brief in Opposition by Plaintiff National Products Inc. re: [55] Motion to Amend/Correct filed by Gamber-Johnson LLC (Irwin, Michelle)
Jun 29, 2022 68 Declaration (Main Document) (2)
Docket Text: Declaration of Michelle E. Irwin filed by Plaintiff National Products Inc. In Support of Opposition to Gamber-Johnson LLC's Motion for Leave to Amend Its Invalidity Contentions re: [55] Motion to Amend/Correct (Attachments: # (1) Exhibit A - 2022-05-18 Hepner correspondence, # (2) Exhibit B - Schmitt emails with Irwin, # (3) Exhibit C - Tamimi emails with Horace, # (4) Exhibit D - Tamimi emails with Schmitt) (Irwin, Michelle)
Jun 29, 2022 68 Declaration (Exhibit A - 2022-05-18 Hepner correspondence) (3)
Docket Text: Declaration of Michelle E. Irwin filed by Plaintiff National Products Inc. In Support of Opposition to Gamber-Johnson LLC's Motion for Leave to Amend Its Invalidity Contentions re: [55] Motion to Amend/Correct (Attachments: # (1) Exhibit A - 2022-05-18 Hepner correspondence, # (2) Exhibit B - Schmitt emails with Irwin, # (3) Exhibit C - Tamimi emails with Horace, # (4) Exhibit D - Tamimi emails with Schmitt) (Irwin, Michelle)
Jun 29, 2022 68 Declaration (Exhibit B - Schmitt emails with Irwin) (17)
Docket Text: Declaration of Michelle E. Irwin filed by Plaintiff National Products Inc. In Support of Opposition to Gamber-Johnson LLC's Motion for Leave to Amend Its Invalidity Contentions re: [55] Motion to Amend/Correct (Attachments: # (1) Exhibit A - 2022-05-18 Hepner correspondence, # (2) Exhibit B - Schmitt emails with Irwin, # (3) Exhibit C - Tamimi emails with Horace, # (4) Exhibit D - Tamimi emails with Schmitt) (Irwin, Michelle)
Jun 29, 2022 68 Declaration (Exhibit C - Tamimi emails with Horace) (5)
Docket Text: Declaration of Michelle E. Irwin filed by Plaintiff National Products Inc. In Support of Opposition to Gamber-Johnson LLC's Motion for Leave to Amend Its Invalidity Contentions re: [55] Motion to Amend/Correct (Attachments: # (1) Exhibit A - 2022-05-18 Hepner correspondence, # (2) Exhibit B - Schmitt emails with Irwin, # (3) Exhibit C - Tamimi emails with Horace, # (4) Exhibit D - Tamimi emails with Schmitt) (Irwin, Michelle)
Jun 29, 2022 68 Declaration (Exhibit D - Tamimi emails with Schmitt) (5)
Docket Text: Declaration of Michelle E. Irwin filed by Plaintiff National Products Inc. In Support of Opposition to Gamber-Johnson LLC's Motion for Leave to Amend Its Invalidity Contentions re: [55] Motion to Amend/Correct (Attachments: # (1) Exhibit A - 2022-05-18 Hepner correspondence, # (2) Exhibit B - Schmitt emails with Irwin, # (3) Exhibit C - Tamimi emails with Horace, # (4) Exhibit D - Tamimi emails with Schmitt) (Irwin, Michelle)
Jun 28, 2022 63 Motion to Admit Pro Hac Vice (1)
Docket Text: Motion to Admit Kyle Glendon Hepner Pro Hac Vice. ( Pro Hac Vice fee $ 100 receipt number AWIWDC-3083261.) by Counter Claimant Gamber-Johnson LLC, Defendant Gamber-Johnson LLC. Motions referred to Magistrate Judge Stephen L. Crocker. (Hepner, Kyle)
Jun 24, 2022 62 Notice of Appearance (2)
Docket Text: Notice of Appearance filed by Chelsea Therese Zielke for Counter Claimant Gamber-Johnson LLC, Defendant Gamber-Johnson LLC. (Zielke, Chelsea)
Jun 22, 2022 55 Motion to Amend/Correct (2)
Docket Text: Motion to Amend/Correct Invalidity Contentions by Defendant Gamber-Johnson LLC. Response due 6/29/2022. (Schmitt, Marshall) Modified on 6/23/2022. (lak)
Jun 22, 2022 56 Brief in Support (21)
Docket Text: Brief in Support of [55] Motion to Amend/Correct Invalidity Contentions by Defendant Gamber-Johnson LLC (Schmitt, Marshall)
Jun 22, 2022 57 Declaration (Main Document) (3)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [55] Motion to Amend/Correct (Attachments: # (1) Exhibit A - Defendant's First Amended and Restated Invalidity Contentions, # (2) Exhibit B. -Defendant's Initial Invalidity Contentions, # (3) Exhibit C - Expert Report of Bryan Bell Regarding Invalidity of U.S. Patent No. 9,706,026, # (4) Exhibit D - 05/02/22 Communication, # (5) Exhibit E - 05/18/22 Communication, # (6) Exhibit F - 05/25/22 Communcation, # (7) Exhibit G - 06/08/22 Communication, # (8) Exhibit H - 06/10/22 Communication, # (9) Exhibit I - Patent Owner's Preliminary Response, # (10) Exhibit J - Rebuttal Expert Report of James B. Babcock Regarding Invalidity) (Schmitt, Marshall)
Jun 22, 2022 57 Declaration (Exhibit A - Defendant's First Amended and Restated Invalidity Contentions) (30)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [55] Motion to Amend/Correct (Attachments: # (1) Exhibit A - Defendant's First Amended and Restated Invalidity Contentions, # (2) Exhibit B. -Defendant's Initial Invalidity Contentions, # (3) Exhibit C - Expert Report of Bryan Bell Regarding Invalidity of U.S. Patent No. 9,706,026, # (4) Exhibit D - 05/02/22 Communication, # (5) Exhibit E - 05/18/22 Communication, # (6) Exhibit F - 05/25/22 Communcation, # (7) Exhibit G - 06/08/22 Communication, # (8) Exhibit H - 06/10/22 Communication, # (9) Exhibit I - Patent Owner's Preliminary Response, # (10) Exhibit J - Rebuttal Expert Report of James B. Babcock Regarding Invalidity) (Schmitt, Marshall)
Jun 22, 2022 57 Declaration (Exhibit B. -Defendant's Initial Invalidity Contentions) (30)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [55] Motion to Amend/Correct (Attachments: # (1) Exhibit A - Defendant's First Amended and Restated Invalidity Contentions, # (2) Exhibit B. -Defendant's Initial Invalidity Contentions, # (3) Exhibit C - Expert Report of Bryan Bell Regarding Invalidity of U.S. Patent No. 9,706,026, # (4) Exhibit D - 05/02/22 Communication, # (5) Exhibit E - 05/18/22 Communication, # (6) Exhibit F - 05/25/22 Communcation, # (7) Exhibit G - 06/08/22 Communication, # (8) Exhibit H - 06/10/22 Communication, # (9) Exhibit I - Patent Owner's Preliminary Response, # (10) Exhibit J - Rebuttal Expert Report of James B. Babcock Regarding Invalidity) (Schmitt, Marshall)
Jun 22, 2022 57 Declaration (Exhibit C - Expert Report of Bryan Bell Regarding Invalidity of U.S. Patent No.) (30)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [55] Motion to Amend/Correct (Attachments: # (1) Exhibit A - Defendant's First Amended and Restated Invalidity Contentions, # (2) Exhibit B. -Defendant's Initial Invalidity Contentions, # (3) Exhibit C - Expert Report of Bryan Bell Regarding Invalidity of U.S. Patent No. 9,706,026, # (4) Exhibit D - 05/02/22 Communication, # (5) Exhibit E - 05/18/22 Communication, # (6) Exhibit F - 05/25/22 Communcation, # (7) Exhibit G - 06/08/22 Communication, # (8) Exhibit H - 06/10/22 Communication, # (9) Exhibit I - Patent Owner's Preliminary Response, # (10) Exhibit J - Rebuttal Expert Report of James B. Babcock Regarding Invalidity) (Schmitt, Marshall)
Jun 22, 2022 57 Declaration (Exhibit D - 05/02/22 Communication) (2)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [55] Motion to Amend/Correct (Attachments: # (1) Exhibit A - Defendant's First Amended and Restated Invalidity Contentions, # (2) Exhibit B. -Defendant's Initial Invalidity Contentions, # (3) Exhibit C - Expert Report of Bryan Bell Regarding Invalidity of U.S. Patent No. 9,706,026, # (4) Exhibit D - 05/02/22 Communication, # (5) Exhibit E - 05/18/22 Communication, # (6) Exhibit F - 05/25/22 Communcation, # (7) Exhibit G - 06/08/22 Communication, # (8) Exhibit H - 06/10/22 Communication, # (9) Exhibit I - Patent Owner's Preliminary Response, # (10) Exhibit J - Rebuttal Expert Report of James B. Babcock Regarding Invalidity) (Schmitt, Marshall)
Jun 22, 2022 57 Declaration (Exhibit E - 05/18/22 Communication) (3)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [55] Motion to Amend/Correct (Attachments: # (1) Exhibit A - Defendant's First Amended and Restated Invalidity Contentions, # (2) Exhibit B. -Defendant's Initial Invalidity Contentions, # (3) Exhibit C - Expert Report of Bryan Bell Regarding Invalidity of U.S. Patent No. 9,706,026, # (4) Exhibit D - 05/02/22 Communication, # (5) Exhibit E - 05/18/22 Communication, # (6) Exhibit F - 05/25/22 Communcation, # (7) Exhibit G - 06/08/22 Communication, # (8) Exhibit H - 06/10/22 Communication, # (9) Exhibit I - Patent Owner's Preliminary Response, # (10) Exhibit J - Rebuttal Expert Report of James B. Babcock Regarding Invalidity) (Schmitt, Marshall)
Jun 22, 2022 57 Declaration (Exhibit F - 05/25/22 Communcation) (4)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [55] Motion to Amend/Correct (Attachments: # (1) Exhibit A - Defendant's First Amended and Restated Invalidity Contentions, # (2) Exhibit B. -Defendant's Initial Invalidity Contentions, # (3) Exhibit C - Expert Report of Bryan Bell Regarding Invalidity of U.S. Patent No. 9,706,026, # (4) Exhibit D - 05/02/22 Communication, # (5) Exhibit E - 05/18/22 Communication, # (6) Exhibit F - 05/25/22 Communcation, # (7) Exhibit G - 06/08/22 Communication, # (8) Exhibit H - 06/10/22 Communication, # (9) Exhibit I - Patent Owner's Preliminary Response, # (10) Exhibit J - Rebuttal Expert Report of James B. Babcock Regarding Invalidity) (Schmitt, Marshall)
Jun 22, 2022 57 Declaration (Exhibit G - 06/08/22 Communication) (5)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [55] Motion to Amend/Correct (Attachments: # (1) Exhibit A - Defendant's First Amended and Restated Invalidity Contentions, # (2) Exhibit B. -Defendant's Initial Invalidity Contentions, # (3) Exhibit C - Expert Report of Bryan Bell Regarding Invalidity of U.S. Patent No. 9,706,026, # (4) Exhibit D - 05/02/22 Communication, # (5) Exhibit E - 05/18/22 Communication, # (6) Exhibit F - 05/25/22 Communcation, # (7) Exhibit G - 06/08/22 Communication, # (8) Exhibit H - 06/10/22 Communication, # (9) Exhibit I - Patent Owner's Preliminary Response, # (10) Exhibit J - Rebuttal Expert Report of James B. Babcock Regarding Invalidity) (Schmitt, Marshall)
Jun 22, 2022 57 Declaration (Exhibit H - 06/10/22 Communication) (10)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [55] Motion to Amend/Correct (Attachments: # (1) Exhibit A - Defendant's First Amended and Restated Invalidity Contentions, # (2) Exhibit B. -Defendant's Initial Invalidity Contentions, # (3) Exhibit C - Expert Report of Bryan Bell Regarding Invalidity of U.S. Patent No. 9,706,026, # (4) Exhibit D - 05/02/22 Communication, # (5) Exhibit E - 05/18/22 Communication, # (6) Exhibit F - 05/25/22 Communcation, # (7) Exhibit G - 06/08/22 Communication, # (8) Exhibit H - 06/10/22 Communication, # (9) Exhibit I - Patent Owner's Preliminary Response, # (10) Exhibit J - Rebuttal Expert Report of James B. Babcock Regarding Invalidity) (Schmitt, Marshall)
Jun 22, 2022 57 Declaration (Exhibit I - Patent Owner's Preliminary Response) (30)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [55] Motion to Amend/Correct (Attachments: # (1) Exhibit A - Defendant's First Amended and Restated Invalidity Contentions, # (2) Exhibit B. -Defendant's Initial Invalidity Contentions, # (3) Exhibit C - Expert Report of Bryan Bell Regarding Invalidity of U.S. Patent No. 9,706,026, # (4) Exhibit D - 05/02/22 Communication, # (5) Exhibit E - 05/18/22 Communication, # (6) Exhibit F - 05/25/22 Communcation, # (7) Exhibit G - 06/08/22 Communication, # (8) Exhibit H - 06/10/22 Communication, # (9) Exhibit I - Patent Owner's Preliminary Response, # (10) Exhibit J - Rebuttal Expert Report of James B. Babcock Regarding Invalidity) (Schmitt, Marshall)
Jun 22, 2022 57 Declaration (Exhibit J - Rebuttal Expert Report of James B. Babcock Regarding Invalidity) (30)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [55] Motion to Amend/Correct (Attachments: # (1) Exhibit A - Defendant's First Amended and Restated Invalidity Contentions, # (2) Exhibit B. -Defendant's Initial Invalidity Contentions, # (3) Exhibit C - Expert Report of Bryan Bell Regarding Invalidity of U.S. Patent No. 9,706,026, # (4) Exhibit D - 05/02/22 Communication, # (5) Exhibit E - 05/18/22 Communication, # (6) Exhibit F - 05/25/22 Communcation, # (7) Exhibit G - 06/08/22 Communication, # (8) Exhibit H - 06/10/22 Communication, # (9) Exhibit I - Patent Owner's Preliminary Response, # (10) Exhibit J - Rebuttal Expert Report of James B. Babcock Regarding Invalidity) (Schmitt, Marshall)
Jun 22, 2022 58 Declaration (Main Document) (2)
Docket Text: Declaration of Stephen J. Horace filed by Defendant Gamber-Johnson LLC re: [55] Motion to Amend/Correct (Attachments: # (1) Exhibit A - Jan 11-20 email communications, # (2) Exhibit B - Feb 1-24 email communications - Redacted) (Schmitt, Marshall)
Jun 22, 2022 58 Declaration (Exhibit A - Jan 11-20 email communications) (4)
Docket Text: Declaration of Stephen J. Horace filed by Defendant Gamber-Johnson LLC re: [55] Motion to Amend/Correct (Attachments: # (1) Exhibit A - Jan 11-20 email communications, # (2) Exhibit B - Feb 1-24 email communications - Redacted) (Schmitt, Marshall)
Jun 22, 2022 58 Declaration (Exhibit B - Feb 1-24 email communications - Redacted) (4)
Docket Text: Declaration of Stephen J. Horace filed by Defendant Gamber-Johnson LLC re: [55] Motion to Amend/Correct (Attachments: # (1) Exhibit A - Jan 11-20 email communications, # (2) Exhibit B - Feb 1-24 email communications - Redacted) (Schmitt, Marshall)
Jun 22, 2022 59 Brief in Opposition (10)
Docket Text: Brief in Opposition by Defendant Gamber-Johnson LLC re: [51] Motion to Compel filed by National Products Inc. (Schmitt, Marshall)
Jun 22, 2022 60 Declaration (Main Document) (3)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [51] Motion to Compel (Attachments: # (1) Exhibit A - 09/28-10/29/21 Email Communication, # (2) Exhibit B - 03/08-23/22 Email Communication, # (3) Exhibit C - 02/01-29/22 Email Communications, # (4) Exhibit D - 04/28-05/05/22 Email Communications, # (5) Exhibit E - 12/14-20/21 Email Communications, # (6) Exhibit F - 06/07-11/22 Email Communications, # (7) Exhibit G - 06/14-16/22 Email Communications re Agenda for meet and confer, # (8) Exhibit H - 06/21/22 Letter, # (9) Exhibit I - 2021 08 25 NPIs 1st Set of RFPs to Gamber (Nos. 1-82)) (Schmitt, Marshall)
Jun 22, 2022 60 Declaration (Exhibit A - 09/28-10/29/21 Email Communication) (6)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [51] Motion to Compel (Attachments: # (1) Exhibit A - 09/28-10/29/21 Email Communication, # (2) Exhibit B - 03/08-23/22 Email Communication, # (3) Exhibit C - 02/01-29/22 Email Communications, # (4) Exhibit D - 04/28-05/05/22 Email Communications, # (5) Exhibit E - 12/14-20/21 Email Communications, # (6) Exhibit F - 06/07-11/22 Email Communications, # (7) Exhibit G - 06/14-16/22 Email Communications re Agenda for meet and confer, # (8) Exhibit H - 06/21/22 Letter, # (9) Exhibit I - 2021 08 25 NPIs 1st Set of RFPs to Gamber (Nos. 1-82)) (Schmitt, Marshall)
Jun 22, 2022 60 Declaration (Exhibit B - 03/08-23/22 Email Communication) (4)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [51] Motion to Compel (Attachments: # (1) Exhibit A - 09/28-10/29/21 Email Communication, # (2) Exhibit B - 03/08-23/22 Email Communication, # (3) Exhibit C - 02/01-29/22 Email Communications, # (4) Exhibit D - 04/28-05/05/22 Email Communications, # (5) Exhibit E - 12/14-20/21 Email Communications, # (6) Exhibit F - 06/07-11/22 Email Communications, # (7) Exhibit G - 06/14-16/22 Email Communications re Agenda for meet and confer, # (8) Exhibit H - 06/21/22 Letter, # (9) Exhibit I - 2021 08 25 NPIs 1st Set of RFPs to Gamber (Nos. 1-82)) (Schmitt, Marshall)
Jun 22, 2022 60 Declaration (Exhibit C - 02/01-29/22 Email Communications) (3)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [51] Motion to Compel (Attachments: # (1) Exhibit A - 09/28-10/29/21 Email Communication, # (2) Exhibit B - 03/08-23/22 Email Communication, # (3) Exhibit C - 02/01-29/22 Email Communications, # (4) Exhibit D - 04/28-05/05/22 Email Communications, # (5) Exhibit E - 12/14-20/21 Email Communications, # (6) Exhibit F - 06/07-11/22 Email Communications, # (7) Exhibit G - 06/14-16/22 Email Communications re Agenda for meet and confer, # (8) Exhibit H - 06/21/22 Letter, # (9) Exhibit I - 2021 08 25 NPIs 1st Set of RFPs to Gamber (Nos. 1-82)) (Schmitt, Marshall)
Jun 22, 2022 60 Declaration (Exhibit D - 04/28-05/05/22 Email Communications) (5)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [51] Motion to Compel (Attachments: # (1) Exhibit A - 09/28-10/29/21 Email Communication, # (2) Exhibit B - 03/08-23/22 Email Communication, # (3) Exhibit C - 02/01-29/22 Email Communications, # (4) Exhibit D - 04/28-05/05/22 Email Communications, # (5) Exhibit E - 12/14-20/21 Email Communications, # (6) Exhibit F - 06/07-11/22 Email Communications, # (7) Exhibit G - 06/14-16/22 Email Communications re Agenda for meet and confer, # (8) Exhibit H - 06/21/22 Letter, # (9) Exhibit I - 2021 08 25 NPIs 1st Set of RFPs to Gamber (Nos. 1-82)) (Schmitt, Marshall)
Jun 22, 2022 60 Declaration (Exhibit E - 12/14-20/21 Email Communications) (4)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [51] Motion to Compel (Attachments: # (1) Exhibit A - 09/28-10/29/21 Email Communication, # (2) Exhibit B - 03/08-23/22 Email Communication, # (3) Exhibit C - 02/01-29/22 Email Communications, # (4) Exhibit D - 04/28-05/05/22 Email Communications, # (5) Exhibit E - 12/14-20/21 Email Communications, # (6) Exhibit F - 06/07-11/22 Email Communications, # (7) Exhibit G - 06/14-16/22 Email Communications re Agenda for meet and confer, # (8) Exhibit H - 06/21/22 Letter, # (9) Exhibit I - 2021 08 25 NPIs 1st Set of RFPs to Gamber (Nos. 1-82)) (Schmitt, Marshall)
Jun 22, 2022 60 Declaration (Exhibit F - 06/07-11/22 Email Communications) (6)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [51] Motion to Compel (Attachments: # (1) Exhibit A - 09/28-10/29/21 Email Communication, # (2) Exhibit B - 03/08-23/22 Email Communication, # (3) Exhibit C - 02/01-29/22 Email Communications, # (4) Exhibit D - 04/28-05/05/22 Email Communications, # (5) Exhibit E - 12/14-20/21 Email Communications, # (6) Exhibit F - 06/07-11/22 Email Communications, # (7) Exhibit G - 06/14-16/22 Email Communications re Agenda for meet and confer, # (8) Exhibit H - 06/21/22 Letter, # (9) Exhibit I - 2021 08 25 NPIs 1st Set of RFPs to Gamber (Nos. 1-82)) (Schmitt, Marshall)
Jun 22, 2022 60 Declaration (Exhibit G - 06/14-16/22 Email Communications re Agenda for meet and confer) (5)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [51] Motion to Compel (Attachments: # (1) Exhibit A - 09/28-10/29/21 Email Communication, # (2) Exhibit B - 03/08-23/22 Email Communication, # (3) Exhibit C - 02/01-29/22 Email Communications, # (4) Exhibit D - 04/28-05/05/22 Email Communications, # (5) Exhibit E - 12/14-20/21 Email Communications, # (6) Exhibit F - 06/07-11/22 Email Communications, # (7) Exhibit G - 06/14-16/22 Email Communications re Agenda for meet and confer, # (8) Exhibit H - 06/21/22 Letter, # (9) Exhibit I - 2021 08 25 NPIs 1st Set of RFPs to Gamber (Nos. 1-82)) (Schmitt, Marshall)
Jun 22, 2022 60 Declaration (Exhibit H - 06/21/22 Letter) (2)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [51] Motion to Compel (Attachments: # (1) Exhibit A - 09/28-10/29/21 Email Communication, # (2) Exhibit B - 03/08-23/22 Email Communication, # (3) Exhibit C - 02/01-29/22 Email Communications, # (4) Exhibit D - 04/28-05/05/22 Email Communications, # (5) Exhibit E - 12/14-20/21 Email Communications, # (6) Exhibit F - 06/07-11/22 Email Communications, # (7) Exhibit G - 06/14-16/22 Email Communications re Agenda for meet and confer, # (8) Exhibit H - 06/21/22 Letter, # (9) Exhibit I - 2021 08 25 NPIs 1st Set of RFPs to Gamber (Nos. 1-82)) (Schmitt, Marshall)
Jun 22, 2022 60 Declaration (Exhibit I - 2021 08 25 NPIs 1st Set of RFPs to Gamber (Nos. 1-82)) (21)
Docket Text: Declaration of Marshall J. Schmitt filed by Defendant Gamber-Johnson LLC re: [51] Motion to Compel (Attachments: # (1) Exhibit A - 09/28-10/29/21 Email Communication, # (2) Exhibit B - 03/08-23/22 Email Communication, # (3) Exhibit C - 02/01-29/22 Email Communications, # (4) Exhibit D - 04/28-05/05/22 Email Communications, # (5) Exhibit E - 12/14-20/21 Email Communications, # (6) Exhibit F - 06/07-11/22 Email Communications, # (7) Exhibit G - 06/14-16/22 Email Communications re Agenda for meet and confer, # (8) Exhibit H - 06/21/22 Letter, # (9) Exhibit I - 2021 08 25 NPIs 1st Set of RFPs to Gamber (Nos. 1-82)) (Schmitt, Marshall)
Jun 22, 2022 61 Declaration (Main Document) (5)
Docket Text: Declaration of Stephen J. Horace filed by Defendant Gamber-Johnson LLC re: [51] Motion to Compel (Attachments: # (1) Exhibit A - Jan 11-20 email communications, # (2) Exhibit Ex. B - Feb 1-24 email communications - Redacted, # (3) Exhibit C - 9.28.21 Ltr to D. Tellekson re_ discovery deficiencies, # (4) Exhibit D (Oct 11 2021 email to opposing counsel), # (5) Exhibit E (Oct 27 email communications with opposing counsel), # (6) Exhibit F (3_8_22 Ltr to D. Tellekson re_ discovery deficiencies), # (7) Exhibit G (March 2022 communications with opposing counsel), # (8) Exhibit H (Dec 2021 email communications), # (9) Exhibit I (April 2022 email communications)) (Schmitt, Marshall)
Jun 22, 2022 61 Declaration (Exhibit A - Jan 11-20 email communications) (4)
Docket Text: Declaration of Stephen J. Horace filed by Defendant Gamber-Johnson LLC re: [51] Motion to Compel (Attachments: # (1) Exhibit A - Jan 11-20 email communications, # (2) Exhibit Ex. B - Feb 1-24 email communications - Redacted, # (3) Exhibit C - 9.28.21 Ltr to D. Tellekson re_ discovery deficiencies, # (4) Exhibit D (Oct 11 2021 email to opposing counsel), # (5) Exhibit E (Oct 27 email communications with opposing counsel), # (6) Exhibit F (3_8_22 Ltr to D. Tellekson re_ discovery deficiencies), # (7) Exhibit G (March 2022 communications with opposing counsel), # (8) Exhibit H (Dec 2021 email communications), # (9) Exhibit I (April 2022 email communications)) (Schmitt, Marshall)
Jun 22, 2022 61 Declaration (Exhibit Ex. B - Feb 1-24 email communications - Redacted) (4)
Docket Text: Declaration of Stephen J. Horace filed by Defendant Gamber-Johnson LLC re: [51] Motion to Compel (Attachments: # (1) Exhibit A - Jan 11-20 email communications, # (2) Exhibit Ex. B - Feb 1-24 email communications - Redacted, # (3) Exhibit C - 9.28.21 Ltr to D. Tellekson re_ discovery deficiencies, # (4) Exhibit D (Oct 11 2021 email to opposing counsel), # (5) Exhibit E (Oct 27 email communications with opposing counsel), # (6) Exhibit F (3_8_22 Ltr to D. Tellekson re_ discovery deficiencies), # (7) Exhibit G (March 2022 communications with opposing counsel), # (8) Exhibit H (Dec 2021 email communications), # (9) Exhibit I (April 2022 email communications)) (Schmitt, Marshall)
Jun 22, 2022 61 Declaration (Exhibit C - 9.28.21 Ltr to D. Tellekson re_ discovery deficiencies) (5)
Docket Text: Declaration of Stephen J. Horace filed by Defendant Gamber-Johnson LLC re: [51] Motion to Compel (Attachments: # (1) Exhibit A - Jan 11-20 email communications, # (2) Exhibit Ex. B - Feb 1-24 email communications - Redacted, # (3) Exhibit C - 9.28.21 Ltr to D. Tellekson re_ discovery deficiencies, # (4) Exhibit D (Oct 11 2021 email to opposing counsel), # (5) Exhibit E (Oct 27 email communications with opposing counsel), # (6) Exhibit F (3_8_22 Ltr to D. Tellekson re_ discovery deficiencies), # (7) Exhibit G (March 2022 communications with opposing counsel), # (8) Exhibit H (Dec 2021 email communications), # (9) Exhibit I (April 2022 email communications)) (Schmitt, Marshall)
Jun 22, 2022 61 Declaration (Exhibit D (Oct 11 2021 email to opposing counsel)) (3)
Docket Text: Declaration of Stephen J. Horace filed by Defendant Gamber-Johnson LLC re: [51] Motion to Compel (Attachments: # (1) Exhibit A - Jan 11-20 email communications, # (2) Exhibit Ex. B - Feb 1-24 email communications - Redacted, # (3) Exhibit C - 9.28.21 Ltr to D. Tellekson re_ discovery deficiencies, # (4) Exhibit D (Oct 11 2021 email to opposing counsel), # (5) Exhibit E (Oct 27 email communications with opposing counsel), # (6) Exhibit F (3_8_22 Ltr to D. Tellekson re_ discovery deficiencies), # (7) Exhibit G (March 2022 communications with opposing counsel), # (8) Exhibit H (Dec 2021 email communications), # (9) Exhibit I (April 2022 email communications)) (Schmitt, Marshall)
Jun 22, 2022 61 Declaration (Exhibit E (Oct 27 email communications with opposing counsel)) (5)
Docket Text: Declaration of Stephen J. Horace filed by Defendant Gamber-Johnson LLC re: [51] Motion to Compel (Attachments: # (1) Exhibit A - Jan 11-20 email communications, # (2) Exhibit Ex. B - Feb 1-24 email communications - Redacted, # (3) Exhibit C - 9.28.21 Ltr to D. Tellekson re_ discovery deficiencies, # (4) Exhibit D (Oct 11 2021 email to opposing counsel), # (5) Exhibit E (Oct 27 email communications with opposing counsel), # (6) Exhibit F (3_8_22 Ltr to D. Tellekson re_ discovery deficiencies), # (7) Exhibit G (March 2022 communications with opposing counsel), # (8) Exhibit H (Dec 2021 email communications), # (9) Exhibit I (April 2022 email communications)) (Schmitt, Marshall)
Jun 22, 2022 61 Declaration (Exhibit F (3_8_22 Ltr to D. Tellekson re_ discovery deficiencies)) (8)
Docket Text: Declaration of Stephen J. Horace filed by Defendant Gamber-Johnson LLC re: [51] Motion to Compel (Attachments: # (1) Exhibit A - Jan 11-20 email communications, # (2) Exhibit Ex. B - Feb 1-24 email communications - Redacted, # (3) Exhibit C - 9.28.21 Ltr to D. Tellekson re_ discovery deficiencies, # (4) Exhibit D (Oct 11 2021 email to opposing counsel), # (5) Exhibit E (Oct 27 email communications with opposing counsel), # (6) Exhibit F (3_8_22 Ltr to D. Tellekson re_ discovery deficiencies), # (7) Exhibit G (March 2022 communications with opposing counsel), # (8) Exhibit H (Dec 2021 email communications), # (9) Exhibit I (April 2022 email communications)) (Schmitt, Marshall)
Jun 22, 2022 61 Declaration (Exhibit G (March 2022 communications with opposing counsel)) (4)
Docket Text: Declaration of Stephen J. Horace filed by Defendant Gamber-Johnson LLC re: [51] Motion to Compel (Attachments: # (1) Exhibit A - Jan 11-20 email communications, # (2) Exhibit Ex. B - Feb 1-24 email communications - Redacted, # (3) Exhibit C - 9.28.21 Ltr to D. Tellekson re_ discovery deficiencies, # (4) Exhibit D (Oct 11 2021 email to opposing counsel), # (5) Exhibit E (Oct 27 email communications with opposing counsel), # (6) Exhibit F (3_8_22 Ltr to D. Tellekson re_ discovery deficiencies), # (7) Exhibit G (March 2022 communications with opposing counsel), # (8) Exhibit H (Dec 2021 email communications), # (9) Exhibit I (April 2022 email communications)) (Schmitt, Marshall)
Jun 22, 2022 61 Declaration (Exhibit H (Dec 2021 email communications)) (4)
Docket Text: Declaration of Stephen J. Horace filed by Defendant Gamber-Johnson LLC re: [51] Motion to Compel (Attachments: # (1) Exhibit A - Jan 11-20 email communications, # (2) Exhibit Ex. B - Feb 1-24 email communications - Redacted, # (3) Exhibit C - 9.28.21 Ltr to D. Tellekson re_ discovery deficiencies, # (4) Exhibit D (Oct 11 2021 email to opposing counsel), # (5) Exhibit E (Oct 27 email communications with opposing counsel), # (6) Exhibit F (3_8_22 Ltr to D. Tellekson re_ discovery deficiencies), # (7) Exhibit G (March 2022 communications with opposing counsel), # (8) Exhibit H (Dec 2021 email communications), # (9) Exhibit I (April 2022 email communications)) (Schmitt, Marshall)
Jun 22, 2022 61 Declaration (Exhibit I (April 2022 email communications)) (3)
Docket Text: Declaration of Stephen J. Horace filed by Defendant Gamber-Johnson LLC re: [51] Motion to Compel (Attachments: # (1) Exhibit A - Jan 11-20 email communications, # (2) Exhibit Ex. B - Feb 1-24 email communications - Redacted, # (3) Exhibit C - 9.28.21 Ltr to D. Tellekson re_ discovery deficiencies, # (4) Exhibit D (Oct 11 2021 email to opposing counsel), # (5) Exhibit E (Oct 27 email communications with opposing counsel), # (6) Exhibit F (3_8_22 Ltr to D. Tellekson re_ discovery deficiencies), # (7) Exhibit G (March 2022 communications with opposing counsel), # (8) Exhibit H (Dec 2021 email communications), # (9) Exhibit I (April 2022 email communications)) (Schmitt, Marshall)
Jun 16, 2022 54 Order on Motion to Dismiss (10)
Docket Text: ORDER denying [19] Motion to Dismiss Defendant's Counterclaim of Unenforceability for Inequitable Conduct. Signed by District Judge William M. Conley on 6/16/2022. (rks)
Jun 15, 2022 51 Motion to Compel (2)
Docket Text: Motion to Compel by Plaintiff National Products Inc.. Motions referred to Magistrate Judge Stephen L. Crocker. Response due 6/22/2022. (Tamimi, Jonathan)
Jun 15, 2022 52 Brief in Support (9)
Docket Text: Brief in Support of [51] Motion to Compel by Plaintiff National Products Inc. (Tamimi, Jonathan)
Jun 15, 2022 53 Declaration (Main Document) (2)
Docket Text: Declaration of Jonathan G. Tamimi filed by Plaintiff National Products Inc. re: [51] Motion to Compel (Attachments: # (1) Exhibit A - Parks email serving NPI's 1st RFPs and ROGs, # (2) Exhibit B - Gamber's Response to NPI's 1st RFPs, # (3) Exhibit C - Gamber's Response to NPI's 1st ROGs, # (4) Exhibit D - Ltr to Horace Re Response to 9.28.21 letter, # (5) Exhibit E - Irwin email to Horace re 11.1.21 M&C followup, # (6) Exhibit F - Email string btwn counsel re M&C to discuss financial docs) (Tamimi, Jonathan)
Jun 15, 2022 53 Declaration (Exhibit A - Parks email serving NPI's 1st RFPs and ROGs) (2)
Docket Text: Declaration of Jonathan G. Tamimi filed by Plaintiff National Products Inc. re: [51] Motion to Compel (Attachments: # (1) Exhibit A - Parks email serving NPI's 1st RFPs and ROGs, # (2) Exhibit B - Gamber's Response to NPI's 1st RFPs, # (3) Exhibit C - Gamber's Response to NPI's 1st ROGs, # (4) Exhibit D - Ltr to Horace Re Response to 9.28.21 letter, # (5) Exhibit E - Irwin email to Horace re 11.1.21 M&C followup, # (6) Exhibit F - Email string btwn counsel re M&C to discuss financial docs) (Tamimi, Jonathan)
Jun 15, 2022 53 Declaration (Exhibit B - Gamber's Response to NPI's 1st RFPs) (30)
Docket Text: Declaration of Jonathan G. Tamimi filed by Plaintiff National Products Inc. re: [51] Motion to Compel (Attachments: # (1) Exhibit A - Parks email serving NPI's 1st RFPs and ROGs, # (2) Exhibit B - Gamber's Response to NPI's 1st RFPs, # (3) Exhibit C - Gamber's Response to NPI's 1st ROGs, # (4) Exhibit D - Ltr to Horace Re Response to 9.28.21 letter, # (5) Exhibit E - Irwin email to Horace re 11.1.21 M&C followup, # (6) Exhibit F - Email string btwn counsel re M&C to discuss financial docs) (Tamimi, Jonathan)
Jun 15, 2022 53 Declaration (Exhibit C - Gamber's Response to NPI's 1st ROGs) (19)
Docket Text: Declaration of Jonathan G. Tamimi filed by Plaintiff National Products Inc. re: [51] Motion to Compel (Attachments: # (1) Exhibit A - Parks email serving NPI's 1st RFPs and ROGs, # (2) Exhibit B - Gamber's Response to NPI's 1st RFPs, # (3) Exhibit C - Gamber's Response to NPI's 1st ROGs, # (4) Exhibit D - Ltr to Horace Re Response to 9.28.21 letter, # (5) Exhibit E - Irwin email to Horace re 11.1.21 M&C followup, # (6) Exhibit F - Email string btwn counsel re M&C to discuss financial docs) (Tamimi, Jonathan)
Jun 15, 2022 53 Declaration (Exhibit D - Ltr to Horace Re Response to 9.28.21 letter) (6)
Docket Text: Declaration of Jonathan G. Tamimi filed by Plaintiff National Products Inc. re: [51] Motion to Compel (Attachments: # (1) Exhibit A - Parks email serving NPI's 1st RFPs and ROGs, # (2) Exhibit B - Gamber's Response to NPI's 1st RFPs, # (3) Exhibit C - Gamber's Response to NPI's 1st ROGs, # (4) Exhibit D - Ltr to Horace Re Response to 9.28.21 letter, # (5) Exhibit E - Irwin email to Horace re 11.1.21 M&C followup, # (6) Exhibit F - Email string btwn counsel re M&C to discuss financial docs) (Tamimi, Jonathan)
Jun 15, 2022 53 Declaration (Exhibit E - Irwin email to Horace re 11.1.21 M&C followup) (4)
Docket Text: Declaration of Jonathan G. Tamimi filed by Plaintiff National Products Inc. re: [51] Motion to Compel (Attachments: # (1) Exhibit A - Parks email serving NPI's 1st RFPs and ROGs, # (2) Exhibit B - Gamber's Response to NPI's 1st RFPs, # (3) Exhibit C - Gamber's Response to NPI's 1st ROGs, # (4) Exhibit D - Ltr to Horace Re Response to 9.28.21 letter, # (5) Exhibit E - Irwin email to Horace re 11.1.21 M&C followup, # (6) Exhibit F - Email string btwn counsel re M&C to discuss financial docs) (Tamimi, Jonathan)
Jun 15, 2022 53 Declaration (Exhibit F - Email string btwn counsel re M&C to discuss financial docs) (6)
Docket Text: Declaration of Jonathan G. Tamimi filed by Plaintiff National Products Inc. re: [51] Motion to Compel (Attachments: # (1) Exhibit A - Parks email serving NPI's 1st RFPs and ROGs, # (2) Exhibit B - Gamber's Response to NPI's 1st RFPs, # (3) Exhibit C - Gamber's Response to NPI's 1st ROGs, # (4) Exhibit D - Ltr to Horace Re Response to 9.28.21 letter, # (5) Exhibit E - Irwin email to Horace re 11.1.21 M&C followup, # (6) Exhibit F - Email string btwn counsel re M&C to discuss financial docs) (Tamimi, Jonathan)
Jun 3, 2022 N/A Order on Motion to Admit Pro Hac Vice (0)
Docket Text: ** TEXT ONLY ORDER **ORDER granting [49] Motion to Admit Jonathan Gordon Tamimi Pro Hac Vice. Signed by Magistrate Judge Stephen L. Crocker on 6/3/2022. (lak)
Jun 2, 2022 49 Motion to Admit Pro Hac Vice (1)
Docket Text: Motion to Admit Jonathan Gordon Tamimi Pro Hac Vice. ( Pro Hac Vice fee $ 100 receipt number AWIWDC-3068097.) by Counter Defendant National Products Inc., Plaintiff National Products Inc.. Motions referred to Magistrate Judge Stephen L. Crocker. (Tamimi, Jonathan)
May 13, 2022 47 Motion for Discovery (Main Document) (2)
Docket Text: Joint Motion for Discovery for Entry of ESI Protocol by Plaintiff National Products Inc.. Motions referred to Magistrate Judge Stephen L. Crocker. (Attachments: # (1) Proposed Agreed Order Re E-Discovery) (Tellekson, David)
May 13, 2022 47 Motion for Discovery (Proposed Agreed Order Re E-Discovery) (10)
Docket Text: Joint Motion for Discovery for Entry of ESI Protocol by Plaintiff National Products Inc.. Motions referred to Magistrate Judge Stephen L. Crocker. (Attachments: # (1) Proposed Agreed Order Re E-Discovery) (Tellekson, David)
May 13, 2022 N/A Order on Motion for Discovery (0)
Docket Text: ** TEXT ONLY ORDER **ORDER granting [47] Joint Motion for Discovery for Entry of ESI Protocol. The parties' proposed agreed order regarding E-discovery is accepted and entered as the court's order. Signed by Magistrate Judge Stephen L. Crocker on 5/13/2022. (kwf)
Mar 31, 2022 45 Stipulation (3)
Docket Text: Joint Stipulation to Extend Case Deadlines by Counter Defendant National Products Inc., Plaintiff National Products Inc.. (Kaempf, Jessica)
Mar 31, 2022 N/A Order on Stipulation (0)
Docket Text: ** TEXT ONLY ORDER **ORDER granting [45] Joint Stipulation to Extend Case Deadlines. The specified deadlines are extended as requested. All other dates and deadlines remain in place. Signed by Magistrate Judge Stephen L. Crocker on 3/31/2022. (arw)
Sep 30, 2021 44 Notice of Withdrawal of Counsel (2)
Docket Text: Notice of Withdrawal of Counsel by Winnie Wong re: Counter Defendant National Products Inc., Plaintiff National Products Inc. (Wong, Winnie)
Aug 24, 2021 N/A Order on Motion for Protective Order (0)
Docket Text: ** TEXT ONLY ORDER **The parties' stipulated protective order [42] is accepted and entered as the court's order. Signed by Magistrate Judge Stephen L. Crocker on 8/24/2021. (kwf)
Aug 20, 2021 42 Motion for Protective Order (15)
Docket Text: Stipulated Motion for Protective Order by Plaintiff National Products Inc.. (Tellekson, David)
Aug 4, 2021 41 Order on Motion to Stay (3)
Docket Text: ORDER denying without prejudice [28] Expedited Motion to Stay Litigation Pending Inter Partes Reviews. Signed by District Judge William M. Conley on 8/4/2021. (kwf)
Jul 23, 2021 40 Brief in Reply (6)
Docket Text: Brief in Reply by Defendant Gamber-Johnson LLC in Support of [28] Motion to Stay Pending Inter Partes Reviews (Schmitt, Marshall)
Jul 22, 2021 37 Proof of Standing to Sue on Claimed Patents (2)
Docket Text: Proof of Standing to Sue on Claimed Patents by Plaintiff National Products Inc. (Gregor, Jennifer)
Jul 22, 2021 38 Declaration (Main Document) (1)
Docket Text: Declaration of Jessica M. Kaempf re [37] Proof of Standing to Sue on Claimed Patents (Attachments: # (1) Exhibit A - Assignment record for U.S. Patent No. 9,706,026) (Gregor, Jennifer)
Jul 22, 2021 38 Declaration (Exhibit A - Assignment record for U.S. Patent No. 9,706,026) (4)
Docket Text: Declaration of Jessica M. Kaempf re [37] Proof of Standing to Sue on Claimed Patents (Attachments: # (1) Exhibit A - Assignment record for U.S. Patent No. 9,706,026) (Gregor, Jennifer)
Jul 22, 2021 39 Proof of Standing to Sue on Claimed Patents (2)
Docket Text: Response to [37] Proof of Standing to Sue on Claimed Patents by Defendant Gamber-Johnson LLC (Schmitt, Marshall)
Jul 20, 2021 N/A Order on Motion to Admit Pro Hac Vice (0)
Docket Text: ** TEXT ONLY ORDER **ORDER granting [35] Motion to Admit Michelle E. Irwin Pro Hac Vice. Signed by Magistrate Judge Peter A. Oppeneer on 7/20/2021. (lak)
Jul 19, 2021 35 Motion to Admit Pro Hac Vice (1)
Docket Text: Motion to Admit Michelle Erica Irwin Pro Hac Vice. ( Pro Hac Vice fee $ 100 receipt number 0758-2906940.) by Plaintiff National Products Inc.. Motions referred to Magistrate Judge Stephen L. Crocker. (Irwin, Michelle)
Jul 16, 2021 33 Brief in Opposition (15)
Docket Text: Brief in Opposition by Plaintiff National Products Inc. re: [28] Motion to Stay filed by Gamber-Johnson LLC - Pending Inter Parties Review (Gregor, Jennifer)
Jul 16, 2021 34 Declaration (Main Document) (3)
Docket Text: Declaration of Michelle E. Irwin filed by Plaintiff National Products Inc. In Support of National Products Inc.'s Response in Opposition re: [28] Motion to Stay (Attachments: # (1) Exhibit A - NPI v. GPS LB, Dkt. 66, # (2) Exhibit B - PTAB Trial Statistics FY20 End of Year Outcome Roundup) (Gregor, Jennifer)
Jul 16, 2021 34 Declaration (Exhibit A - NPI v. GPS LB, Dkt. 66) (6)
Docket Text: Declaration of Michelle E. Irwin filed by Plaintiff National Products Inc. In Support of National Products Inc.'s Response in Opposition re: [28] Motion to Stay (Attachments: # (1) Exhibit A - NPI v. GPS LB, Dkt. 66, # (2) Exhibit B - PTAB Trial Statistics FY20 End of Year Outcome Roundup) (Gregor, Jennifer)
Jul 16, 2021 34 Declaration (Exhibit B - PTAB Trial Statistics FY20 End of Year Outcome Roundup) (22)
Docket Text: Declaration of Michelle E. Irwin filed by Plaintiff National Products Inc. In Support of National Products Inc.'s Response in Opposition re: [28] Motion to Stay (Attachments: # (1) Exhibit A - NPI v. GPS LB, Dkt. 66, # (2) Exhibit B - PTAB Trial Statistics FY20 End of Year Outcome Roundup) (Gregor, Jennifer)
Jul 8, 2021 N/A Order on Motion for Extension of Time (0)
Docket Text: ** TEXT ONLY ORDER **Plaintiff's motion for a three day extension of its response deadline on defendant's motion to stay [30] is granted over defendant's objection. Defendant's attorneys are advised to take a step back, take a deep breath and lighten up. Brief in Opposition due 7/16/2021. Brief in Reply due 7/23/2021. Signed by Magistrate Judge Stephen L. Crocker on 7/8/2021. (kwf)
Jul 7, 2021 30 MOTION for Extension of Time (2)
Docket Text: Motion for Extension of Time - Motion for a 3-Day Extension of Time to Respond to Defendant's Motion to Stay by Plaintiff National Products Inc.. Motions referred to Magistrate Judge Stephen L. Crocker. Response due 7/14/2021. (Gregor, Jennifer)
Jul 7, 2021 31 Brief in Opposition (3)
Docket Text: Brief in Opposition by Defendant Gamber-Johnson LLC re: [30] MOTION for Extension of Time, filed by National Products Inc. (Schmitt, Marshall)
Jul 6, 2021 N/A Set Briefing Deadlines (0)
Docket Text: Set/Reset Briefing Deadlines as to [28] Motion to Stay Litigation Pending Inter Partes Reviews [Expedited]. Brief in Opposition due 7/13/2021. Brief in Reply due 7/19/2021. (kwf)
Jul 2, 2021 28 Motion to Stay (18)
Docket Text: Motion to Stay Litigation Pending Inter Partes Reviews [Expedited] by Defendant Gamber-Johnson LLC. Response due 7/9/2021. (Schmitt, Marshall)
Jul 2, 2021 29 Declaration (Main Document) (3)
Docket Text: Declaration of Stephen J. Horace filed by Defendant Gamber-Johnson LLC re: [28] Motion to Stay (Attachments: # (1) Exhibit 1 - GPS IPR, # (2) Exhibit 2 - Gamber IPR, # (3) Exhibit 3 - Patent & Trademark Office Trial Statistics, # (4) Exhibit 4 - Patent & Trademark Office Trial Statistics) (Schmitt, Marshall) Modified on 7/2/2021: Added exhibit descriptions. Detailed e-mail sent to counsel. (lak)
Jul 2, 2021 29 Declaration (Exhibit 1 - GPS IPR) (30)
Docket Text: Declaration of Stephen J. Horace filed by Defendant Gamber-Johnson LLC re: [28] Motion to Stay (Attachments: # (1) Exhibit 1 - GPS IPR, # (2) Exhibit 2 - Gamber IPR, # (3) Exhibit 3 - Patent & Trademark Office Trial Statistics, # (4) Exhibit 4 - Patent & Trademark Office Trial Statistics) (Schmitt, Marshall) Modified on 7/2/2021: Added exhibit descriptions. Detailed e-mail sent to counsel. (lak)
Jul 2, 2021 29 Declaration (Exhibit 2 - Gamber IPR) (30)
Docket Text: Declaration of Stephen J. Horace filed by Defendant Gamber-Johnson LLC re: [28] Motion to Stay (Attachments: # (1) Exhibit 1 - GPS IPR, # (2) Exhibit 2 - Gamber IPR, # (3) Exhibit 3 - Patent & Trademark Office Trial Statistics, # (4) Exhibit 4 - Patent & Trademark Office Trial Statistics) (Schmitt, Marshall) Modified on 7/2/2021: Added exhibit descriptions. Detailed e-mail sent to counsel. (lak)
Jul 2, 2021 29 Declaration (Exhibit 3 - Patent & Trademark Office Trial Statistics) (16)
Docket Text: Declaration of Stephen J. Horace filed by Defendant Gamber-Johnson LLC re: [28] Motion to Stay (Attachments: # (1) Exhibit 1 - GPS IPR, # (2) Exhibit 2 - Gamber IPR, # (3) Exhibit 3 - Patent & Trademark Office Trial Statistics, # (4) Exhibit 4 - Patent & Trademark Office Trial Statistics) (Schmitt, Marshall) Modified on 7/2/2021: Added exhibit descriptions. Detailed e-mail sent to counsel. (lak)
Jul 2, 2021 29 Declaration (Exhibit 4 - Patent & Trademark Office Trial Statistics) (13)
Docket Text: Declaration of Stephen J. Horace filed by Defendant Gamber-Johnson LLC re: [28] Motion to Stay (Attachments: # (1) Exhibit 1 - GPS IPR, # (2) Exhibit 2 - Gamber IPR, # (3) Exhibit 3 - Patent & Trademark Office Trial Statistics, # (4) Exhibit 4 - Patent & Trademark Office Trial Statistics) (Schmitt, Marshall) Modified on 7/2/2021: Added exhibit descriptions. Detailed e-mail sent to counsel. (lak)
May 5, 2021 N/A Order on Motion to Admit Pro Hac Vice (0)
Docket Text: ** TEXT ONLY ORDER **ORDER granting [26] Motion to Admit Winnie Wong Pro Hac Vice. Signed by Magistrate Judge Peter A. Oppeneer on 5/5/2021. (lak)
May 4, 2021 26 Motion to Admit Pro Hac Vice (1)
Docket Text: Motion to Admit Winnie Wong Pro Hac Vice. ( Pro Hac Vice fee $ 100 receipt number 0758-2869875.) by Counter Defendant National Products Inc., Plaintiff National Products Inc.. Motions referred to Magistrate Judge Stephen L. Crocker. (Wong, Winnie)
Apr 13, 2021 25 Notice of Withdrawal of Counsel (2)
Docket Text: Notice of Withdrawal of Counsel by Scott David Baker re: Plaintiff National Products Inc. (Baker, Scott)
Mar 29, 2021 24 Brief in Reply (7)
Docket Text: Brief in Reply by Plaintiff National Products Inc. in Support of [19] Motion to Dismiss, (Gregor, Jennifer)
Mar 19, 2021 23 Brief in Opposition (14)
Docket Text: Brief in Opposition by Counter Claimant Gamber-Johnson LLC, Defendant Gamber-Johnson LLC re: [19] Motion to Dismiss Defendant's Counterclaim of Unenforceability for Inequitable Conduct, filed by National Products Inc. (Schmitt, Marshall) Modified on 3/22/2021. (lak)
Mar 16, 2021 21 Pretrial Conference Order (9)
Docket Text: Pretrial Conference Order - Preliminary Pretrial Packet in cases assigned to District Judge William M. Conley attached. Amendments to Pleadings due 4/8/2021. Proof of Standing to sue on claimed patents due 7/22/2021. Preliminary Disclosure of Infringement Contentions due 7/29/2021. Preliminary Disclosure of Invalidity and Unenforceability Contentions due 8/27/2021. Dispositive Motions and Motions Requesting Claims Construction due 7/22/2022. Settlement Letters due 12/2/2022. Motions in Limine due 12/9/2022. Responses due 1/6/2023. Final Pretrial Conference set for 1/24/2023 at 4:00 PM. Jury Selection and Trial set for 2/13/2023 at 9:00 AM. Signed by Magistrate Judge Stephen L. Crocker on 3/16/2021. (kwf)
Mar 16, 2021 22 Standing Order on Discovery of Electronically Stored Information (8)
Docket Text: Standing Order Relating to the Discovery of Electronically Stored Information in a Complex Civil Lawsuit. Signed by Magistrate Judge Stephen L. Crocker on 3/16/2021. (kwf)
Mar 11, 2021 N/A Telephone Preliminary Pretrial Conference (0)
Docket Text: Minute Entry for proceedings held before Magistrate Judge Stephen L. Crocker: Telephone Preliminary Pretrial Conference held on 3/11/2021 [:15] (cak)
Mar 8, 2021 20 Preliminary Pretrial Conference Report (7)
Docket Text: Joint Preliminary Pretrial Conference Report by Plaintiff National Products Inc. (Gregor, Jennifer)
Feb 26, 2021 19 Motion to Dismiss (Main Document) (10)
Docket Text: MOTION TO DISMISS Defendant's Counterclaim of Unenforceability for Inequitable Conduct by Counter Defendant National Products Inc., Plaintiff National Products Inc.. Brief in Opposition due 3/19/2021. Brief in Reply due 3/29/2021. (Attachments: # (1) Exhibit A - GPS Lockbox Third Amended Answer) (Gregor, Jennifer)
Feb 26, 2021 19 Motion to Dismiss (Exhibit A - GPS Lockbox Third Amended Answer) (30)
Docket Text: MOTION TO DISMISS Defendant's Counterclaim of Unenforceability for Inequitable Conduct by Counter Defendant National Products Inc., Plaintiff National Products Inc.. Brief in Opposition due 3/19/2021. Brief in Reply due 3/29/2021. (Attachments: # (1) Exhibit A - GPS Lockbox Third Amended Answer) (Gregor, Jennifer)
Feb 8, 2021 N/A Set Pretrial or Status Conference (0)
Docket Text: Set Telephone Pretrial Conference: Telephone Pretrial Conference set for 3/11/2021 at 1:00 PM before Magistrate Judge Stephen L. Crocker. Counsel for Plaintiff responsible for setting up the call to chambers at (608) 264-5153. [Standing Order Governing Preliminary Pretrial Conference attached] (kwf)
Feb 5, 2021 18 Answer (Main Document) (25)
Docket Text: ANSWER with Jury Demand, COUNTERCLAIM against National Products Inc., by Defendant Gamber-Johnson LLC, (Attachments: # (1) Index to Exhibits, # (2) Exhibit 1 - U.S. Patent No. 9,706,026, # (3) Exhibit 2 - U.S. Patent No. 9,147,966, # (4) Exhibit 3 - U.S. Patent Application No. 61/943,986, # (5) Exhibit 4 - U.S. Patent Application No. 14/222,320, # (6) Exhibit 5 - U.S. Patent Application No. 62/040,037, # (7) Exhibit 6 - PCT Patent Application No. PCT/US2015/017131, # (8) Exhibit 7 - U.S. Patent Application No. 14/754,492, # (9) Exhibit 8 - U.S. Patent Application No. 14/829,378, # (10) Exhibit 9 - U.S. Patent Application No. 14/936,517) (Schmitt, Marshall) Modified on 2/8/2021. (lak)
Feb 5, 2021 18 Answer (Index to Exhibits) (1)
Docket Text: ANSWER with Jury Demand, COUNTERCLAIM against National Products Inc., by Defendant Gamber-Johnson LLC, (Attachments: # (1) Index to Exhibits, # (2) Exhibit 1 - U.S. Patent No. 9,706,026, # (3) Exhibit 2 - U.S. Patent No. 9,147,966, # (4) Exhibit 3 - U.S. Patent Application No. 61/943,986, # (5) Exhibit 4 - U.S. Patent Application No. 14/222,320, # (6) Exhibit 5 - U.S. Patent Application No. 62/040,037, # (7) Exhibit 6 - PCT Patent Application No. PCT/US2015/017131, # (8) Exhibit 7 - U.S. Patent Application No. 14/754,492, # (9) Exhibit 8 - U.S. Patent Application No. 14/829,378, # (10) Exhibit 9 - U.S. Patent Application No. 14/936,517) (Schmitt, Marshall) Modified on 2/8/2021. (lak)
Feb 5, 2021 18 Answer (Exhibit 1 - U.S. Patent No. 9,706,026) (30)
Docket Text: ANSWER with Jury Demand, COUNTERCLAIM against National Products Inc., by Defendant Gamber-Johnson LLC, (Attachments: # (1) Index to Exhibits, # (2) Exhibit 1 - U.S. Patent No. 9,706,026, # (3) Exhibit 2 - U.S. Patent No. 9,147,966, # (4) Exhibit 3 - U.S. Patent Application No. 61/943,986, # (5) Exhibit 4 - U.S. Patent Application No. 14/222,320, # (6) Exhibit 5 - U.S. Patent Application No. 62/040,037, # (7) Exhibit 6 - PCT Patent Application No. PCT/US2015/017131, # (8) Exhibit 7 - U.S. Patent Application No. 14/754,492, # (9) Exhibit 8 - U.S. Patent Application No. 14/829,378, # (10) Exhibit 9 - U.S. Patent Application No. 14/936,517) (Schmitt, Marshall) Modified on 2/8/2021. (lak)
Feb 5, 2021 18 Answer (Exhibit 2 - U.S. Patent No. 9,147,966) (14)
Docket Text: ANSWER with Jury Demand, COUNTERCLAIM against National Products Inc., by Defendant Gamber-Johnson LLC, (Attachments: # (1) Index to Exhibits, # (2) Exhibit 1 - U.S. Patent No. 9,706,026, # (3) Exhibit 2 - U.S. Patent No. 9,147,966, # (4) Exhibit 3 - U.S. Patent Application No. 61/943,986, # (5) Exhibit 4 - U.S. Patent Application No. 14/222,320, # (6) Exhibit 5 - U.S. Patent Application No. 62/040,037, # (7) Exhibit 6 - PCT Patent Application No. PCT/US2015/017131, # (8) Exhibit 7 - U.S. Patent Application No. 14/754,492, # (9) Exhibit 8 - U.S. Patent Application No. 14/829,378, # (10) Exhibit 9 - U.S. Patent Application No. 14/936,517) (Schmitt, Marshall) Modified on 2/8/2021. (lak)
Feb 5, 2021 18 Answer (Exhibit 3 - U.S. Patent Application No. 61/943,986) (20)
Docket Text: ANSWER with Jury Demand, COUNTERCLAIM against National Products Inc., by Defendant Gamber-Johnson LLC, (Attachments: # (1) Index to Exhibits, # (2) Exhibit 1 - U.S. Patent No. 9,706,026, # (3) Exhibit 2 - U.S. Patent No. 9,147,966, # (4) Exhibit 3 - U.S. Patent Application No. 61/943,986, # (5) Exhibit 4 - U.S. Patent Application No. 14/222,320, # (6) Exhibit 5 - U.S. Patent Application No. 62/040,037, # (7) Exhibit 6 - PCT Patent Application No. PCT/US2015/017131, # (8) Exhibit 7 - U.S. Patent Application No. 14/754,492, # (9) Exhibit 8 - U.S. Patent Application No. 14/829,378, # (10) Exhibit 9 - U.S. Patent Application No. 14/936,517) (Schmitt, Marshall) Modified on 2/8/2021. (lak)
Feb 5, 2021 18 Answer (Exhibit 4 - U.S. Patent Application No. 14/222,320) (30)
Docket Text: ANSWER with Jury Demand, COUNTERCLAIM against National Products Inc., by Defendant Gamber-Johnson LLC, (Attachments: # (1) Index to Exhibits, # (2) Exhibit 1 - U.S. Patent No. 9,706,026, # (3) Exhibit 2 - U.S. Patent No. 9,147,966, # (4) Exhibit 3 - U.S. Patent Application No. 61/943,986, # (5) Exhibit 4 - U.S. Patent Application No. 14/222,320, # (6) Exhibit 5 - U.S. Patent Application No. 62/040,037, # (7) Exhibit 6 - PCT Patent Application No. PCT/US2015/017131, # (8) Exhibit 7 - U.S. Patent Application No. 14/754,492, # (9) Exhibit 8 - U.S. Patent Application No. 14/829,378, # (10) Exhibit 9 - U.S. Patent Application No. 14/936,517) (Schmitt, Marshall) Modified on 2/8/2021. (lak)
Feb 5, 2021 18 Answer (Exhibit 5 - U.S. Patent Application No. 62/040,037) (30)
Docket Text: ANSWER with Jury Demand, COUNTERCLAIM against National Products Inc., by Defendant Gamber-Johnson LLC, (Attachments: # (1) Index to Exhibits, # (2) Exhibit 1 - U.S. Patent No. 9,706,026, # (3) Exhibit 2 - U.S. Patent No. 9,147,966, # (4) Exhibit 3 - U.S. Patent Application No. 61/943,986, # (5) Exhibit 4 - U.S. Patent Application No. 14/222,320, # (6) Exhibit 5 - U.S. Patent Application No. 62/040,037, # (7) Exhibit 6 - PCT Patent Application No. PCT/US2015/017131, # (8) Exhibit 7 - U.S. Patent Application No. 14/754,492, # (9) Exhibit 8 - U.S. Patent Application No. 14/829,378, # (10) Exhibit 9 - U.S. Patent Application No. 14/936,517) (Schmitt, Marshall) Modified on 2/8/2021. (lak)
Feb 5, 2021 18 Answer (Exhibit 6 - PCT Patent Application No. PCT/US2015/017131) (30)
Docket Text: ANSWER with Jury Demand, COUNTERCLAIM against National Products Inc., by Defendant Gamber-Johnson LLC, (Attachments: # (1) Index to Exhibits, # (2) Exhibit 1 - U.S. Patent No. 9,706,026, # (3) Exhibit 2 - U.S. Patent No. 9,147,966, # (4) Exhibit 3 - U.S. Patent Application No. 61/943,986, # (5) Exhibit 4 - U.S. Patent Application No. 14/222,320, # (6) Exhibit 5 - U.S. Patent Application No. 62/040,037, # (7) Exhibit 6 - PCT Patent Application No. PCT/US2015/017131, # (8) Exhibit 7 - U.S. Patent Application No. 14/754,492, # (9) Exhibit 8 - U.S. Patent Application No. 14/829,378, # (10) Exhibit 9 - U.S. Patent Application No. 14/936,517) (Schmitt, Marshall) Modified on 2/8/2021. (lak)
Feb 5, 2021 18 Answer (Exhibit 7 - U.S. Patent Application No. 14/754,492) (30)
Docket Text: ANSWER with Jury Demand, COUNTERCLAIM against National Products Inc., by Defendant Gamber-Johnson LLC, (Attachments: # (1) Index to Exhibits, # (2) Exhibit 1 - U.S. Patent No. 9,706,026, # (3) Exhibit 2 - U.S. Patent No. 9,147,966, # (4) Exhibit 3 - U.S. Patent Application No. 61/943,986, # (5) Exhibit 4 - U.S. Patent Application No. 14/222,320, # (6) Exhibit 5 - U.S. Patent Application No. 62/040,037, # (7) Exhibit 6 - PCT Patent Application No. PCT/US2015/017131, # (8) Exhibit 7 - U.S. Patent Application No. 14/754,492, # (9) Exhibit 8 - U.S. Patent Application No. 14/829,378, # (10) Exhibit 9 - U.S. Patent Application No. 14/936,517) (Schmitt, Marshall) Modified on 2/8/2021. (lak)
Feb 5, 2021 18 Answer (Exhibit 8 - U.S. Patent Application No. 14/829,378) (30)
Docket Text: ANSWER with Jury Demand, COUNTERCLAIM against National Products Inc., by Defendant Gamber-Johnson LLC, (Attachments: # (1) Index to Exhibits, # (2) Exhibit 1 - U.S. Patent No. 9,706,026, # (3) Exhibit 2 - U.S. Patent No. 9,147,966, # (4) Exhibit 3 - U.S. Patent Application No. 61/943,986, # (5) Exhibit 4 - U.S. Patent Application No. 14/222,320, # (6) Exhibit 5 - U.S. Patent Application No. 62/040,037, # (7) Exhibit 6 - PCT Patent Application No. PCT/US2015/017131, # (8) Exhibit 7 - U.S. Patent Application No. 14/754,492, # (9) Exhibit 8 - U.S. Patent Application No. 14/829,378, # (10) Exhibit 9 - U.S. Patent Application No. 14/936,517) (Schmitt, Marshall) Modified on 2/8/2021. (lak)
Feb 5, 2021 18 Answer (Exhibit 9 - U.S. Patent Application No. 14/936,517) (30)
Docket Text: ANSWER with Jury Demand, COUNTERCLAIM against National Products Inc., by Defendant Gamber-Johnson LLC, (Attachments: # (1) Index to Exhibits, # (2) Exhibit 1 - U.S. Patent No. 9,706,026, # (3) Exhibit 2 - U.S. Patent No. 9,147,966, # (4) Exhibit 3 - U.S. Patent Application No. 61/943,986, # (5) Exhibit 4 - U.S. Patent Application No. 14/222,320, # (6) Exhibit 5 - U.S. Patent Application No. 62/040,037, # (7) Exhibit 6 - PCT Patent Application No. PCT/US2015/017131, # (8) Exhibit 7 - U.S. Patent Application No. 14/754,492, # (9) Exhibit 8 - U.S. Patent Application No. 14/829,378, # (10) Exhibit 9 - U.S. Patent Application No. 14/936,517) (Schmitt, Marshall) Modified on 2/8/2021. (lak)
Jan 13, 2021 N/A Order on Motion to Admit Pro Hac Vice (0)
Docket Text: ** TEXT ONLY ORDER **ORDER granting [12] Motion to Admit David K. Tellekson Pro Hac Vice; granting [13] Motion to Admit Jonathan T. McMichael Pro Hac Vice. Signed by Magistrate Judge Peter A. Oppeneer on 1/13/2021. (lak)
Jan 13, 2021 15 Motion to Admit Pro Hac Vice (1)
Docket Text: Motion to Admit Jessica M. Kaempf Pro Hac Vice. ( Pro Hac Vice fee $ 100 receipt number 0758-2810876.) by Plaintiff National Products Inc.. Motions referred to Magistrate Judge Stephen L. Crocker. (Kaempf, Jessica)
Jan 13, 2021 16 Motion to Admit Pro Hac Vice (1)
Docket Text: Motion to Admit Scott David Baker Pro Hac Vice. ( Pro Hac Vice fee $ 100 receipt number 0758-2810885.) by Plaintiff National Products Inc.. Motions referred to Magistrate Judge Stephen L. Crocker. (Baker, Scott)
Jan 13, 2021 N/A Order on Motion to Admit Pro Hac Vice (0)
Docket Text: ** TEXT ONLY ORDER **ORDER granting [15] Motion to Admit Jessica M. Kaempf Pro Hac Vice; granting [16] Motion to Admit Scott D. Baker Pro Hac Vice. Signed by Magistrate Judge Peter A. Oppeneer on 1/13/2021. (lak)
Jan 12, 2021 12 Motion to Admit Pro Hac Vice (1)
Docket Text: Motion to Admit David K. Tellekson Pro Hac Vice. ( Pro Hac Vice fee $ 100 receipt number 0758-2810502.) by Plaintiff National Products Inc.. Motions referred to Magistrate Judge Stephen L. Crocker. (Tellekson, David)
Jan 12, 2021 13 Motion to Admit Pro Hac Vice (1)
Docket Text: Motion to Admit Jonathan T. McMichael Pro Hac Vice. ( Pro Hac Vice fee $ 100 receipt number 0758-2810503.) by Plaintiff National Products Inc.. Motions referred to Magistrate Judge Stephen L. Crocker. (McMichael, Jonathan)
Jan 7, 2021 N/A Set/Reset Deadlines (0)
Docket Text: Set/Reset Deadlines: Gamber-Johnson LLC answer due 2/5/2021. (kwf)
Jan 7, 2021 N/A Order on Motion for Extension of Time (0)
Docket Text: ** TEXT ONLY ORDER **ORDER granting [8] Motion for Extension of Time to Respond to Complaint. Signed by Magistrate Judge Stephen L. Crocker on 1/7/2021. (kwf)
Jan 6, 2021 6 Notice of Appearance (1)
Docket Text: Notice of Appearance Marshall J. Schmitt filed by Marshall John Schmitt for Defendant Gamber-Johnson LLC. (Schmitt, Marshall)
Jan 6, 2021 7 Corporate Disclosure Statement (1)
Docket Text: Corporate Disclosure Statement by Defendant Gamber-Johnson LLC. (Schmitt, Marshall)
Jan 6, 2021 8 MOTION for Extension of Time (2)
Docket Text: Stipulated Motion for Extension of Time to respond to Complaint by Defendant Gamber-Johnson LLC. Motions referred to Magistrate Judge Stephen L. Crocker. (Schmitt, Marshall)
Jan 6, 2021 9 Notice of Appearance (1)
Docket Text: Notice of Appearance filed by Stephen Horace for Defendant Gamber-Johnson LLC. (Horace, Stephen)
Jan 6, 2021 10 Notice of Appearance (1)
Docket Text: Notice of Appearance filed by Joshua Ryan Gray for Defendant Gamber-Johnson LLC. (Gray, Joshua)
Jan 5, 2021 5 Summons Returned Executed (Main Document) (1)
Docket Text: Summons Returned Executed. Gamber-Johnson LLC served on 12/16/2020, answer due 1/6/2021. (Attachments: # (1) Certificate of Service) (Gregor, Jennifer)
Jan 5, 2021 5 Summons Returned Executed (Certificate of Service) (2)
Docket Text: Summons Returned Executed. Gamber-Johnson LLC served on 12/16/2020, answer due 1/6/2021. (Attachments: # (1) Certificate of Service) (Gregor, Jennifer)
Dec 16, 2020 N/A Add Judge for Shell Case Opening (0)
Docket Text: Case non-randomly assigned to District Judge William M. Conley and Magistrate Judge Stephen L. Crocker. See related case 20-cv-439-wmc. (kwf)
Dec 16, 2020 N/A Standard Attachments Sent (0)
Docket Text: Standard attachments for District Judge William M. Conley required to be served on all parties with summons or waiver of service: NORTC, Corporate Disclosure Statement. (kwf)
Dec 16, 2020 3 Summons Issued (2)
Docket Text: Summons Issued as to Gamber-Johnson LLC. (kwf)
Dec 16, 2020 4 Report on Filing of Patent or Trademark Action (1)
Docket Text: Report on Filing of Patent or Trademark Action. Copy provided to the US Patent and Trademark Office electronically. (kwf)
Dec 15, 2020 1 Complaint* (1)
Dec 15, 2020 1 Complaint (Main Document) (8)
Docket Text: PATENT COMPLAINT - Complaint for Patent Infringement against Gamber-Johnson LLC ( Filing fee $ 402 receipt number 0758-2798633.) PATENTS AT ISSUE: Patent # 9,706,026, issued 7/11/2017, held by National Products Inc. ;, filed by National Products Inc.. (Attachments: # (1) Exhibit A - U.S. Patent No. 9,706,026, # (2) JS-44 Civil Cover Sheet, # (3) Summons, # (4) Report on Filing Patent/Trademark Action) (Gregor, Jennifer)
Dec 15, 2020 1 Complaint (Exhibit A - U.S. Patent No. 9,706,026) (30)
Docket Text: PATENT COMPLAINT - Complaint for Patent Infringement against Gamber-Johnson LLC ( Filing fee $ 402 receipt number 0758-2798633.) PATENTS AT ISSUE: Patent # 9,706,026, issued 7/11/2017, held by National Products Inc. ;, filed by National Products Inc.. (Attachments: # (1) Exhibit A - U.S. Patent No. 9,706,026, # (2) JS-44 Civil Cover Sheet, # (3) Summons, # (4) Report on Filing Patent/Trademark Action) (Gregor, Jennifer)
Dec 15, 2020 1 Complaint (JS-44 Civil Cover Sheet) (1)
Docket Text: PATENT COMPLAINT - Complaint for Patent Infringement against Gamber-Johnson LLC ( Filing fee $ 402 receipt number 0758-2798633.) PATENTS AT ISSUE: Patent # 9,706,026, issued 7/11/2017, held by National Products Inc. ;, filed by National Products Inc.. (Attachments: # (1) Exhibit A - U.S. Patent No. 9,706,026, # (2) JS-44 Civil Cover Sheet, # (3) Summons, # (4) Report on Filing Patent/Trademark Action) (Gregor, Jennifer)
Dec 15, 2020 1 Complaint (Summons) (2)
Docket Text: PATENT COMPLAINT - Complaint for Patent Infringement against Gamber-Johnson LLC ( Filing fee $ 402 receipt number 0758-2798633.) PATENTS AT ISSUE: Patent # 9,706,026, issued 7/11/2017, held by National Products Inc. ;, filed by National Products Inc.. (Attachments: # (1) Exhibit A - U.S. Patent No. 9,706,026, # (2) JS-44 Civil Cover Sheet, # (3) Summons, # (4) Report on Filing Patent/Trademark Action) (Gregor, Jennifer)
Dec 15, 2020 1 Complaint (Report on Filing Patent/Trademark Action) (1)
Docket Text: PATENT COMPLAINT - Complaint for Patent Infringement against Gamber-Johnson LLC ( Filing fee $ 402 receipt number 0758-2798633.) PATENTS AT ISSUE: Patent # 9,706,026, issued 7/11/2017, held by National Products Inc. ;, filed by National Products Inc.. (Attachments: # (1) Exhibit A - U.S. Patent No. 9,706,026, # (2) JS-44 Civil Cover Sheet, # (3) Summons, # (4) Report on Filing Patent/Trademark Action) (Gregor, Jennifer)
Dec 15, 2020 2 Corporate Disclosure Statement (1)
Docket Text: Corporate Disclosure Statement by Plaintiff National Products Inc.. (Gregor, Jennifer)
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