National Products, Inc. v. ProClip USA, Inc. et al > Documents
| Date Field | Doc. No. | Description (Pages) |
|---|---|---|
| Apr 19, 2023 | 507 | Report on Filing of Patent or Trademark Action. Copy provided to the US Patent and Trademark Office electronically. (Attachments: # 1 Consent Judgment) (rks) (Entered: 04/19/2023) (0) |
| Mar 2, 2023 | 506 | CONSENT JUDGMENT (WMC / rks) # 1 Exhibit A Product List. Additional attachment added on 3/6/2023 (jls). (Entered: 03/02/2023) (0) |
| Feb 27, 2023 | 505 | Stipulated Motion for Entry of Consent Judgment by Plaintiff National Products, Inc.. (Attachments: # 1 Exhibit 1 - Consent Judgment) (Tellekson, David) (Entered: 02/27/2023) (0) |
| Feb 17, 2023 | 502 | Further Joint Notice Regarding Settlement Discussions and Motion to Remove Current Deadlines from the Court's Calendar re 501 Notice (Other) (Sealed Document) by Plaintiff National Products, Inc.. (Attachments: # 1 Text of Proposed Order) (Tellekson, David) (Entered: 02/17/2023) (0) |
| Feb 17, 2023 | 503 | Redaction to 502 Further Joint Notice Regarding Settlement Discussions and Motion to Remove Current Deadlines from the Court's Calendar re 501 Notice (Other) (Sealed Document) by Plaintiff National Products, Inc. (Attachments: # 1 Text of Proposed Order) (Tellekson, David) (Entered: 02/17/2023) (0) |
| Feb 17, 2023 | 504 | ** TEXT ONLY ORDER ** The parties' motion to remove current deadlines (dkt. # 502 ) is GRANTED, and all remaining pending deadlines, including trial, are removed from the court's calendar. A video status conference will be held at noon on March 10, 2023, unless the Consent Judgment has been filed before then. Signed by District Judge William M. Conley on 2/17/2023. (acd) (Entered: 02/17/2023) (0) |
| Feb 14, 2023 | 501 | Notice by Plaintiff National Products, Inc. Regarding Settlement Discussions. (Tellekson, David) Modified on 2/14/2023. (lak) (Entered: 02/14/2023) (3) |
| Feb 9, 2023 | 498 | Redaction to 476 Brief in Support of Its Omnibus Motions In Limine by Plaintiff National Products, Inc. (Tellekson, David) (Entered: 02/09/2023) (30) |
| Feb 9, 2023 | 499 | Redaction to 479 Brief in Support of Its Daubert Motion to Exclude Expert Testimony of Paul Rodrigues by Plaintiff National Products, Inc. (Tellekson, David) (Entered: 02/09/2023) (30) |
| Feb 9, 2023 | 500 | Redaction to 484 Exhibit List by Plaintiff National Products, Inc. (Attachments: # 1 Exhibit A - Trial Exhibit List) (Tellekson, David) (Entered: 02/09/2023) (0) |
| Feb 8, 2023 | 461 | Proposed Voir Dire by Defendants Brodit AB, ProClip USA, Inc., Bjorn Spilling (Van Camp, Elijah) (Entered: 02/08/2023) (7) |
| Feb 8, 2023 | 462 | Notice by Defendants Brodit AB, ProClip USA, Inc., Bjorn Spilling Expert Narrative Statement - Paul Rodrigues. (Van Camp, Elijah) (Entered: 02/08/2023) (4) |
| Feb 8, 2023 | 463 | Notice by Defendants Brodit AB, ProClip USA, Inc., Bjorn Spilling Expert Narrative Statement - Jason Stigge. (Van Camp, Elijah) (Entered: 02/08/2023) (4) |
| Feb 8, 2023 | 464 | Supplemental Expert Report of Drew E. Voth by Defendants Brodit AB, ProClip USA, Inc., Bjorn Spilling (Sealed Document) (Van Camp, Elijah) Modified on 2/8/2023: Attachments. (lak) (Entered: 02/08/2023) (0) |
| Feb 8, 2023 | 465 | Notice of Withdrawal of Prior Pretrial Filings by Plaintiff National Products, Inc. re: 244 Notice (Other), 267 Rule 26(a)(3) Pretrial Disclosures, 257 Brief in Support, 248 Proposed Voir Dire, 265 Proposed Jury Instructions, 247 Proposed Special Verdict, 249 Motion in Limine (Omnibus) (Sealed Document), 266 Memorandum in Support of Proposed Jury Instructions and Special Verdict, 296 Motion for Leave to File Additional Motions In Limine Related to the Court's June 27, 2022 Summary Judgment Order, 256 Motion to Exclude Expert Testimonyof Defendants' Damages Expert Paul Rodrigues, 245 Notice (Other), 246 Proposed Special Verdict. (Tellekson, David) Modified on 2/9/2023. (lak) (Entered: 02/08/2023) (3) |
| Feb 8, 2023 | 466 | Notice by Plaintiff National Products, Inc. - Narrative Background of Expert James B. Babcock. (Tellekson, David) (Entered: 02/08/2023) (3) |
| Feb 8, 2023 | 467 | Notice by Plaintiff National Products, Inc. - Narrative Background of Expert Drew Voth. (Tellekson, David) (Entered: 02/08/2023) (3) |
| Feb 8, 2023 | 468 | Notice by Defendants Brodit AB, ProClip USA, Inc. Notice of Withdrawal of Prior Pretrial Filings. (Van Camp, Elijah) (Entered: 02/08/2023) (2) |
| Feb 8, 2023 | 469 | Proposed Voir Dire by Plaintiff National Products, Inc. (Tellekson, David) (Entered: 02/08/2023) (7) |
| Feb 8, 2023 | 470 | Unsigned Proposed Special Verdict - Liability by Plaintiff National Products, Inc. (Tellekson, David) Modified on 2/9/2023. (lak) (Entered: 02/08/2023) (3) |
| Feb 8, 2023 | 471 | Unsigned Proposed Special Verdict - Damages by Plaintiff National Products, Inc. (Tellekson, David) Modified on 2/9/2023. (lak) (Entered: 02/08/2023) (3) |
| Feb 8, 2023 | 472 | Proposed Jury Instructions - Liability and Damages by Plaintiff National Products, Inc. (Tellekson, David) (Entered: 02/08/2023) (30) |
| Feb 8, 2023 | 473 | Memorandum in Support of 472 Proposed Jury Instructions by Plaintiff National Products, Inc. (Tellekson, David) (Entered: 02/08/2023) (13) |
| Feb 8, 2023 | 474 | Rule 26(a)(3) Pretrial Disclosures by Plaintiff National Products, Inc. (Tellekson, David) (Entered: 02/08/2023) (4) |
| Feb 8, 2023 | 475 | Motion in Limine (Omnibus) by Plaintiff National Products, Inc.. (Tellekson, David) (Entered: 02/08/2023) (3) |
| Feb 8, 2023 | 476 | Brief in Support of 475 Motion in Limine (Omnibus) by Plaintiff National Products, Inc. (Sealed Document) (Tellekson, David) (Entered: 02/08/2023) (0) |
| Feb 8, 2023 | 477 | Declaration of Jonathan G. Tamimi filed by Plaintiff National Products, Inc. re: 475 Motion in Limine (Attachments: # 1 Exhibit A - Defendant Spilling's Invalidity and Unenforceability Contentions, # 2 Exhibit B - 2021-07-22 Cameron Declaration re: GPs Proposed Claim Constructions, # 3 Exhibit C - 2020 1218 Exhibits for Invalidity Contentions, # 4 Exhibit D - Emails re Motions In Limine, # 5 Exhibit E - 2022-08-08 Spilling's Rule 26(a)(1)(A) Initial Disclosures) (Tamimi, Jonathan) Modified on 2/9/2023. (lak) (Entered: 02/08/2023) (0) |
| Feb 8, 2023 | 478 | Motion to Exclude Expert Testimony of Paul Rodrigues by Plaintiff National Products, Inc.. Brief in Opposition due 2/22/2023. Brief in Reply due 3/1/2023. (Tellekson, David) (Entered: 02/08/2023) (2) |
| Feb 8, 2023 | 479 | Brief in Support of 478 Motion to Exclude Expert Testimony of Paul Rodrigues by Plaintiff National Products, Inc. (Sealed Document) (Tellekson, David) (Entered: 02/08/2023) (0) |
| Feb 8, 2023 | 480 | Proposed Special Verdict - Damages by Defendants Brodit AB, ProClip USA, Inc., Bjorn Spilling (Van Camp, Elijah) (Entered: 02/08/2023) (4) |
| Feb 8, 2023 | 481 | Proposed Special Verdict - Liability Willful Infringement by Defendants Brodit AB, ProClip USA, Inc., Bjorn Spilling (Van Camp, Elijah) (Entered: 02/08/2023) (4) |
| Feb 8, 2023 | 482 | Proposed Special Verdict - Liability by Defendants Brodit AB, ProClip USA, Inc., Bjorn Spilling (Van Camp, Elijah) (Entered: 02/08/2023) (17) |
| Feb 8, 2023 | 483 | Deposition Designations and Written Narrative Summaries of Deposition Testimony by Plaintiff National Products, Inc.. (Tellekson, David) (Entered: 02/08/2023) (30) |
| Feb 8, 2023 | 484 | Exhibit List by Plaintiff National Products, Inc. (Sealed Document) (Attachments: # 1 Exhibit A - Trial Exhibit Spreadsheet) (Tellekson, David) (Entered: 02/08/2023) (0) |
| Feb 8, 2023 | 485 | Proposed Jury Instructions - Liability and Damages by Defendants Brodit AB, ProClip USA, Inc., Bjorn Spilling (Van Camp, Elijah) (Entered: 02/08/2023) (30) |
| Feb 8, 2023 | 486 | Deposition Designations by Defendants Brodit AB, ProClip USA, Inc., Bjorn Spilling. (Van Camp, Elijah) (Entered: 02/08/2023) (14) |
| Feb 8, 2023 | 487 | Motion to Exclude Expert Testimonyand Report of James B. Babcock (Sealed Document) by Defendants Brodit AB, ProClip USA, Inc., Bjorn Spilling. Brief in Opposition due 2/22/2023. Brief in Reply due 3/1/2023. (Van Camp, Elijah) (Entered: 02/08/2023) (0) |
| Feb 8, 2023 | 488 | Brief in Support of 487 Motion to Exclude Expert Testimony and Report of James B. Babcock by Defendants Brodit AB, ProClip USA, Inc., Bjorn Spilling (Sealed Document) (Van Camp, Elijah) (Entered: 02/08/2023) (0) |
| Feb 8, 2023 | 489 | Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc., Bjorn Spilling re: 487 Motion to Exclude Expert Testimony (Sealed Document) (Attachments: # 1 Exhibit 1 - Email thread regarding joint motion, # 2 Exhibit 2 - Email sharing new report, # 3 Exhibit 3 - Email regarding sharing report with client, # 4 Exhibit 4 - Email regarding discovery issues) (Van Camp, Elijah) (Entered: 02/08/2023) (0) |
| Feb 8, 2023 | 490 | Motion in Limine to Exclude Opinions and Testimony of Plaintiff's Damages Expert Drew E. Voth and to Strike Portions of his Second Supplemental Report (Sealed Document) by Defendants Brodit AB, ProClip USA, Inc., Bjorn Spilling. (Davis, Laura) (Entered: 02/08/2023) (0) |
| Feb 8, 2023 | 491 | Brief in Support of 490 Motion in Limine, by Defendants Brodit AB, ProClip USA, Inc., Bjorn Spilling (Sealed Document) (Davis, Laura) (Entered: 02/08/2023) (0) |
| Feb 8, 2023 | 492 | Declaration of Laura M. Davis filed by Defendants Brodit AB, ProClip USA, Inc., Bjorn Spilling re: 490 Motion in Limine, (Sealed Document) (Attachments: # 1 Exhibit 1 - Settlement Agreement, # 2 Exhibit 2 - Voth Gamber Report, # 3 Exhibit 3 - Emails) (Davis, Laura) (Entered: 02/08/2023) (0) |
| Feb 8, 2023 | 493 | Narrative Deposition Summary of Aaron Hersey (Sealed Document) (Van Camp, Elijah) (Entered: 02/08/2023) (0) |
| Feb 8, 2023 | 494 | Motion in Limine Nos. 1-19 (Sealed Document) by Defendants Brodit AB, ProClip USA, Inc., Bjorn Spilling. (Van Camp, Elijah) (Entered: 02/08/2023) (0) |
| Feb 8, 2023 | 495 | Brief in Support of 494 Motion in Limine by Defendants Brodit AB, ProClip USA, Inc., Bjorn Spilling (Sealed Document) (Van Camp, Elijah) (Entered: 02/08/2023) (0) |
| Feb 8, 2023 | 496 | Declaration of C. Kai Hovden filed by Defendants Brodit AB, ProClip USA, Inc., Bjorn Spilling re: 494 Motion in Limine (Sealed Document) (Attachments: # 1 Exhibit 1 - Emails between counsel) (Van Camp, Elijah) (Entered: 02/08/2023) (0) |
| Feb 8, 2023 | 497 | Rule 26(a)(3) Pretrial Disclosures by Defendants Brodit AB, ProClip USA, Inc., Bjorn Spilling (Sealed Document) (Attachments: # 1 Exhibit Defendants' Trial Exhibit List) (Van Camp, Elijah) (Entered: 02/08/2023) (0) |
| Feb 7, 2023 | 459 | Expert Report (Declaration) of Jason D. Stigge, P.E. Regarding Non-Infringement dated 8.8.2022 by Plaintiff National Products, Inc. (Tamimi, Jonathan) Modified on 2/7/2023. (lak) (Entered: 02/07/2023) (30) |
| Feb 7, 2023 | 460 | Expert Report (with exhibits attached) of James B. Babcock Rebutting Spilling Reports dated 12.20.2022 by Plaintiff National Products, Inc. (Sealed Document) (Tamimi, Jonathan) Modified on 2/7/2023. (lak) (Entered: 02/07/2023) (0) |
| Jan 19, 2023 | 458 | Notice of Appearance filed by Jordan Rohlfing for Defendants Brodit AB, ProClip USA, Inc., Bjorn Spilling. (Rohlfing, Jordan) (Entered: 01/19/2023) (1) |
| Dec 5, 2022 | 456 | Joint Motion to Withdraw 369 Motion to Strike , and Request for an Order Setting Deadline for Expert Reports by Plaintiff National Products, Inc.. (Tamimi, Jonathan) (Entered: 12/05/2022) (3) |
| Dec 5, 2022 | 457 | ** TEXT ONLY ORDER **ORDER granting 456 Joint Motion to Withdraw. The court accepts NPI's withdrawal of its motion to strike (dkt. 369 ) and sets December 20, 2022 as NPI's deadline to respond to defendant Spilling's expert reports. Signed by Magistrate Judge Stephen L. Crocker on 12/5/22. (jat) (Entered: 12/05/2022) (0) |
| Oct 20, 2022 | 451 | Redacted Document (9) Docket Text: Redaction to [403] Brief in Support by Defendant Bjorn Spilling (Van Camp, Elijah) |
| Oct 20, 2022 | 452 | Redacted Document (Main Document) (2) Docket Text: Redaction to [404] Declaration, by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal) (Van Camp, Elijah) |
| Oct 20, 2022 | 452 | Redacted Document (Exhibit 1 - Filed under seal) (1) Docket Text: Redaction to [404] Declaration, by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal) (Van Camp, Elijah) |
| Oct 20, 2022 | 452 | Redacted Document (Exhibit 2 - Filed under seal) (1) Docket Text: Redaction to [404] Declaration, by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal) (Van Camp, Elijah) |
| Oct 20, 2022 | 453 | Redacted Document (18) Docket Text: Redaction to [445] Brief in Reply In Support of Its Motion for Partial Summary Judgment by Plaintiff National Products, Inc. (Tellekson, David) |
| Oct 20, 2022 | 454 | Redacted Document (30) Docket Text: Redaction to [446] Reply in Support of Proposed Findings of Fact by Plaintiff National Products, Inc. (Tamimi, Jonathan) |
| Oct 20, 2022 | 455 | Redacted Document (30) Docket Text: Redaction to [447] Response to Proposed Findings of Fact, [Response to Spilling's Additional PFOF In Opposition to NPI's Motion for Partial Summary Judgment] by Plaintiff National Products, Inc. (Tamimi, Jonathan) |
| Oct 18, 2022 | 448 | Redacted Document (30) Docket Text: Redaction to [437] Proposed Findings of Fact by Defendant Bjorn Spilling (Davis, Laura) |
| Oct 18, 2022 | 449 | Redacted Document (9) Docket Text: Redaction to [390] Motion for Clarification re [372] Order on Motion to Dismiss,,,,, Order on Motion to Strike,,,,, Order on Motion for Hearing,,,, (Sealed Document) by Defendant Bjorn Spilling (Van Camp, Elijah) |
| Oct 18, 2022 | 450 | Redacted Document (Main Document) (2) Docket Text: Redaction to [391] Declaration, by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal) (Van Camp, Elijah) |
| Oct 18, 2022 | 450 | Redacted Document (Exhibit 1 - Filed under seal) (1) Docket Text: Redaction to [391] Declaration, by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal) (Van Camp, Elijah) |
| Oct 18, 2022 | 450 | Redacted Document (Exhibit 2 - Filed under seal) (1) Docket Text: Redaction to [391] Declaration, by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal) (Van Camp, Elijah) |
| Oct 13, 2022 | 443 | Redacted Document (30) Docket Text: Redaction to [438] Brief in Opposition by Defendant Bjorn Spilling (Van Camp, Elijah) |
| Oct 13, 2022 | 444 | Redacted Document (30) Docket Text: Redaction to [436] Response to Proposed Findings of Fact by Defendant Bjorn Spilling (Van Camp, Elijah) |
| Oct 5, 2022 | 440 | Notice (Other) (2) Docket Text: Notice by Defendant Bjorn Spilling re [338] MOTION TO DISMISS and Strike . (Van Camp, Elijah) |
| Oct 5, 2022 | 441 | Redacted Document (28) Docket Text: Redaction to [429] Brief in Opposition to Defendant Spilling's Motion for Sanctions [Dkt. 423] by Plaintiff National Products, Inc. (Tamimi, Jonathan) |
| Oct 5, 2022 | 442 | Redacted Document (Main Document) (4) Docket Text: Redaction to [430] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 9-26-2022 Document Production service email, # (2) Exhibit B - 9-26-2022 NPI's Second Supplemental Response to Spilling's First Interrogatories (Nos. 1-20), # (3) Exhibit C - 9-23-2022 Document Production service email, # (4) Exhibit D - 9-13-22 Email from Counsel for NPI, # (5) Exhibit E - 2022-08-29 Spilling's First RFPs to NPI (Nos. 1-18), # (6) Exhibit F - 2021-09-27 ProClip's Subpoena and Acceptance of Service to Hersey, # (7) Exhibit G - NPI-PROCLIP_00078561, # (8) Exhibit H - NPI-PROCLIP_00078574) (Tamimi, Jonathan) |
| Oct 5, 2022 | 442 | Redacted Document (Exhibit A - 9-26-2022 Document Production service email) (2) Docket Text: Redaction to [430] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 9-26-2022 Document Production service email, # (2) Exhibit B - 9-26-2022 NPI's Second Supplemental Response to Spilling's First Interrogatories (Nos. 1-20), # (3) Exhibit C - 9-23-2022 Document Production service email, # (4) Exhibit D - 9-13-22 Email from Counsel for NPI, # (5) Exhibit E - 2022-08-29 Spilling's First RFPs to NPI (Nos. 1-18), # (6) Exhibit F - 2021-09-27 ProClip's Subpoena and Acceptance of Service to Hersey, # (7) Exhibit G - NPI-PROCLIP_00078561, # (8) Exhibit H - NPI-PROCLIP_00078574) (Tamimi, Jonathan) |
| Oct 5, 2022 | 442 | Redacted Document (Exhibit B - 9-26-2022 NPI's) (1) Docket Text: Redaction to [430] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 9-26-2022 Document Production service email, # (2) Exhibit B - 9-26-2022 NPI's Second Supplemental Response to Spilling's First Interrogatories (Nos. 1-20), # (3) Exhibit C - 9-23-2022 Document Production service email, # (4) Exhibit D - 9-13-22 Email from Counsel for NPI, # (5) Exhibit E - 2022-08-29 Spilling's First RFPs to NPI (Nos. 1-18), # (6) Exhibit F - 2021-09-27 ProClip's Subpoena and Acceptance of Service to Hersey, # (7) Exhibit G - NPI-PROCLIP_00078561, # (8) Exhibit H - NPI-PROCLIP_00078574) (Tamimi, Jonathan) |
| Oct 5, 2022 | 442 | Redacted Document (Exhibit C - 9-23-2022 Document Production service email) (2) Docket Text: Redaction to [430] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 9-26-2022 Document Production service email, # (2) Exhibit B - 9-26-2022 NPI's Second Supplemental Response to Spilling's First Interrogatories (Nos. 1-20), # (3) Exhibit C - 9-23-2022 Document Production service email, # (4) Exhibit D - 9-13-22 Email from Counsel for NPI, # (5) Exhibit E - 2022-08-29 Spilling's First RFPs to NPI (Nos. 1-18), # (6) Exhibit F - 2021-09-27 ProClip's Subpoena and Acceptance of Service to Hersey, # (7) Exhibit G - NPI-PROCLIP_00078561, # (8) Exhibit H - NPI-PROCLIP_00078574) (Tamimi, Jonathan) |
| Oct 5, 2022 | 442 | Redacted Document (Exhibit D - 9-13-22 Email from Counsel for NPI) (9) Docket Text: Redaction to [430] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 9-26-2022 Document Production service email, # (2) Exhibit B - 9-26-2022 NPI's Second Supplemental Response to Spilling's First Interrogatories (Nos. 1-20), # (3) Exhibit C - 9-23-2022 Document Production service email, # (4) Exhibit D - 9-13-22 Email from Counsel for NPI, # (5) Exhibit E - 2022-08-29 Spilling's First RFPs to NPI (Nos. 1-18), # (6) Exhibit F - 2021-09-27 ProClip's Subpoena and Acceptance of Service to Hersey, # (7) Exhibit G - NPI-PROCLIP_00078561, # (8) Exhibit H - NPI-PROCLIP_00078574) (Tamimi, Jonathan) |
| Oct 5, 2022 | 442 | Redacted Document (Exhibit E - 2022-08-29 Spilling's First RFPs to NPI (Nos. 1-18)) (10) Docket Text: Redaction to [430] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 9-26-2022 Document Production service email, # (2) Exhibit B - 9-26-2022 NPI's Second Supplemental Response to Spilling's First Interrogatories (Nos. 1-20), # (3) Exhibit C - 9-23-2022 Document Production service email, # (4) Exhibit D - 9-13-22 Email from Counsel for NPI, # (5) Exhibit E - 2022-08-29 Spilling's First RFPs to NPI (Nos. 1-18), # (6) Exhibit F - 2021-09-27 ProClip's Subpoena and Acceptance of Service to Hersey, # (7) Exhibit G - NPI-PROCLIP_00078561, # (8) Exhibit H - NPI-PROCLIP_00078574) (Tamimi, Jonathan) |
| Oct 5, 2022 | 442 | Redacted Document (Exhibit F - 2021-09-27 ProClip's Subpoena and Acceptance of Service to Hers) (5) Docket Text: Redaction to [430] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 9-26-2022 Document Production service email, # (2) Exhibit B - 9-26-2022 NPI's Second Supplemental Response to Spilling's First Interrogatories (Nos. 1-20), # (3) Exhibit C - 9-23-2022 Document Production service email, # (4) Exhibit D - 9-13-22 Email from Counsel for NPI, # (5) Exhibit E - 2022-08-29 Spilling's First RFPs to NPI (Nos. 1-18), # (6) Exhibit F - 2021-09-27 ProClip's Subpoena and Acceptance of Service to Hersey, # (7) Exhibit G - NPI-PROCLIP_00078561, # (8) Exhibit H - NPI-PROCLIP_00078574) (Tamimi, Jonathan) |
| Oct 5, 2022 | 442 | Redacted Document (Exhibit G - NPI-PROCLIP_00078561) (1) Docket Text: Redaction to [430] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 9-26-2022 Document Production service email, # (2) Exhibit B - 9-26-2022 NPI's Second Supplemental Response to Spilling's First Interrogatories (Nos. 1-20), # (3) Exhibit C - 9-23-2022 Document Production service email, # (4) Exhibit D - 9-13-22 Email from Counsel for NPI, # (5) Exhibit E - 2022-08-29 Spilling's First RFPs to NPI (Nos. 1-18), # (6) Exhibit F - 2021-09-27 ProClip's Subpoena and Acceptance of Service to Hersey, # (7) Exhibit G - NPI-PROCLIP_00078561, # (8) Exhibit H - NPI-PROCLIP_00078574) (Tamimi, Jonathan) |
| Oct 5, 2022 | 442 | Redacted Document (Exhibit H - NPI-PROCLIP_00078574) (1) Docket Text: Redaction to [430] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 9-26-2022 Document Production service email, # (2) Exhibit B - 9-26-2022 NPI's Second Supplemental Response to Spilling's First Interrogatories (Nos. 1-20), # (3) Exhibit C - 9-23-2022 Document Production service email, # (4) Exhibit D - 9-13-22 Email from Counsel for NPI, # (5) Exhibit E - 2022-08-29 Spilling's First RFPs to NPI (Nos. 1-18), # (6) Exhibit F - 2021-09-27 ProClip's Subpoena and Acceptance of Service to Hersey, # (7) Exhibit G - NPI-PROCLIP_00078561, # (8) Exhibit H - NPI-PROCLIP_00078574) (Tamimi, Jonathan) |
| Sep 28, 2022 | N/A | Telephone Motion Hearing (0) Docket Text: Minute Entry for proceedings held before District Judge William M. Conley: Telephone Motion Hearing held on 9/28/2022 re [423] Motion for Sanctions (Sealed Document) filed by Bjorn Spilling [:10] (mfh) |
| Sep 28, 2022 | N/A | Order on Motion for Sanctions (0) Docket Text: ** TEXT ONLY ORDER **For the reasons stated during the court's telephonic hearing, defendant Spilling's motion for sanctions (dkt. #[423]) is DENIED with no costs awarded to either side. Signed by District Judge William M. Conley on 9/28/22. (jat) |
| Sep 26, 2022 | N/A | Text Only Order (0) Docket Text: ** TEXT ONLY ORDER ** The court is in receipt of defendant Spilling's motion for sanctions. (Dkt. #[423].) Plaintiff may have until 12:00 pm on Wednesday, September 28, 2022, to respond. The court will then hold a telephonic hearing that same day at 3:30 pm. Counsel for Defendant is responsible for setting up the call to chambers at (608) 264-5718. Signed by District Judge William M. Conley on 9/26/22. (jat) |
| Sep 22, 2022 | 420 | Redacted Document (30) Docket Text: Redaction to [416] Brief in Opposition to Spilling's Motion for Partial Summary Judgment by Plaintiff National Products, Inc. (Tamimi, Jonathan) |
| Sep 22, 2022 | 421 | Redacted Document (30) Docket Text: Redaction to [418] Proposed Findings of Fact by Plaintiff National Products, Inc. (Tamimi, Jonathan) |
| Sep 22, 2022 | 422 | Redacted Document (30) Docket Text: Redaction to [419] Response to Proposed Findings of Fact by Plaintiff National Products, Inc. (Tamimi, Jonathan) |
| Sep 20, 2022 | 417 | Declaration (Main Document) (4) Docket Text: Declaration of Jonathan G. Tamimi filed by Plaintiff National Products, Inc. in Support of NPI's Response in Opposition re: [381] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A - Asetek Exhbit, # (2) Exhibit B - ChadMRemmers30B6_113, # (3) Exhibit C - Continuity-Application-Patent Center, USPTO ) (Tamimi, Jonathan) |
| Sep 20, 2022 | 417 | Declaration (Exhibit A - Asetek Exhbit) (4) Docket Text: Declaration of Jonathan G. Tamimi filed by Plaintiff National Products, Inc. in Support of NPI's Response in Opposition re: [381] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A - Asetek Exhbit, # (2) Exhibit B - ChadMRemmers30B6_113, # (3) Exhibit C - Continuity-Application-Patent Center, USPTO ) (Tamimi, Jonathan) |
| Sep 20, 2022 | 417 | Declaration (Exhibit B - ChadMRemmers30B6) (12) Docket Text: Declaration of Jonathan G. Tamimi filed by Plaintiff National Products, Inc. in Support of NPI's Response in Opposition re: [381] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A - Asetek Exhbit, # (2) Exhibit B - ChadMRemmers30B6_113, # (3) Exhibit C - Continuity-Application-Patent Center, USPTO ) (Tamimi, Jonathan) |
| Sep 20, 2022 | 417 | Declaration (Exhibit C - Continuity-Application) (3) Docket Text: Declaration of Jonathan G. Tamimi filed by Plaintiff National Products, Inc. in Support of NPI's Response in Opposition re: [381] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A - Asetek Exhbit, # (2) Exhibit B - ChadMRemmers30B6_113, # (3) Exhibit C - Continuity-Application-Patent Center, USPTO ) (Tamimi, Jonathan) |
| Sep 19, 2022 | N/A | Order on Motion to Compel (0) Docket Text: ** TEXT ONLY ORDER **For the reasons given during the September 19, 2022, hearing, the court GRANTS defendant Spilling's Motion to Compel. (Dkt. #[402].) In light of this ruling, the following deadlines apply. Plaintiffs' discovery responses are due September 23, 2022, defendants' brief in opposition to summary judgment (dkt. #[383]) is due October 3, 2022, and plaintiffs' brief in reply is due October 13, 2022. All other deadlines remain unchanged. Signed by District Judge William M. Conley on 9/19/22. (jat) |
| Sep 19, 2022 | 412 | Hearing (1) Docket Text: Minute Entry for proceedings held before District Judge William M. Conley: Hearing held on 9/19/2022 [0:14] (Court Reporter JD.) (voc) |
| Sep 19, 2022 | 413 | Brief in Reply (16) Docket Text: Brief in Reply by Counter Defendant Jeffrey Carnevali in Support of [359] Motion to Dismiss (Tellekson, David) |
| Sep 19, 2022 | 414 | Brief in Reply (10) Docket Text: Brief in Reply by Plaintiff National Products, Inc. in Support of [369] Motion to Strike (Kaempf, Jessica) |
| Sep 16, 2022 | 406 | Redacted Document (30) Docket Text: Redaction to [387] Brief in Support by Defendant Bjorn Spilling (Davis, Laura) |
| Sep 16, 2022 | 407 | Redacted Document (Main Document) (6) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 407 | Redacted Document (Exhibit 1 - Filed under seal) (1) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 407 | Redacted Document (Exhibit 2 - Filed under seal) (1) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 407 | Redacted Document (Exhibit 3 - Filed under seal) (1) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 407 | Redacted Document (Exhibit 4 - Filed under seal) (1) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 407 | Redacted Document (Exhibit 5 - Filed under seal) (1) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 407 | Redacted Document (Exhibit 6 - Filed under seal) (1) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 407 | Redacted Document (Exhibit 7 - Internet Archive - Wayback Machine Affidavit) (4) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 407 | Redacted Document (Exhibit 8 - Exhibit A to Internet Archive) (30) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 407 | Redacted Document (Exhibit 9 - Filed under seal) (1) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 407 | Redacted Document (Exhibit 10 - Filed under seal) (1) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 407 | Redacted Document (Exhibit 11 - Filed under seal) (1) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 407 | Redacted Document (Exhibit 12 - Filed under seal) (1) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 407 | Redacted Document (Exhibit 13 - Filed under seal) (1) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 407 | Redacted Document (Exhibit 14 - Filed under seal) (1) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 407 | Redacted Document (Exhibit 15 - Filed under seal) (1) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 407 | Redacted Document (Exhibit 16 - Filed under seal) (1) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 407 | Redacted Document (Exhibit 17 - Filed under seal) (1) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 407 | Redacted Document (Exhibit 18 - Filed under seal) (1) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 407 | Redacted Document (Exhibit 19 - Filed under seal) (1) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 407 | Redacted Document (Exhibit 20 - Filed under seal) (1) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 407 | Redacted Document (Exhibit 21 - Filed under seal) (1) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 407 | Redacted Document (Exhibit 22 - Filed under seal) (1) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 407 | Redacted Document (Exhibit 23 - Filed under seal) (1) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 407 | Redacted Document (Exhibit 24 - Filed under seal) (1) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 407 | Redacted Document (Exhibit 25 - Filed under seal) (1) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 407 | Redacted Document (Exhibit 26 - Filed under seal) (1) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 407 | Redacted Document (Exhibit 27 - NPI-PROCLIP_0007537-74) (30) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 407 | Redacted Document (Exhibit 28 - Filed under seal) (1) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 407 | Redacted Document (Exhibit 29 - 5.9.2019 Internet Archive) (3) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 407 | Redacted Document (Exhibit 30 - Patents and Trademarks Webpage) (2) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 407 | Redacted Document (Exhibit 31 - Internet Archive Landing Page for IP Website) (3) Docket Text: Redaction to [382] Declaration of Laura M. Davis by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - Filed under seal, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Internet Archive - Wayback Machine Affidavit, # (8) Exhibit 8 - Exhibit A to Internet Archive, # (9) Exhibit 9 - Filed under seal, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - Filed under seal, # (12) Exhibit 12 - Filed under seal, # (13) Exhibit 13 - Filed under seal, # (14) Exhibit 14 - Filed under seal, # (15) Exhibit 15 - Filed under seal, # (16) Exhibit 16 - Filed under seal, # (17) Exhibit 17 - Filed under seal, # (18) Exhibit 18 - Filed under seal, # (19) Exhibit 19 - Filed under seal, # (20) Exhibit 20 - Filed under seal, # (21) Exhibit 21 - Filed under seal, # (22) Exhibit 22 - Filed under seal, # (23) Exhibit 23 - Filed under seal, # (24) Exhibit 24 - Filed under seal, # (25) Exhibit 25 - Filed under seal, # (26) Exhibit 26 - Filed under seal, # (27) Exhibit 27 - NPI-PROCLIP_0007537-74, # (28) Exhibit 28 - Filed under seal, # (29) Exhibit 29 - 5.9.2019 Internet Archive, # (30) Exhibit 30 - Patents and Trademarks Webpage, # (31) Exhibit 31 - Internet Archive Landing Page for IP Website) (Davis, Laura) Modified on 9/19/2022 (jat). |
| Sep 16, 2022 | 408 | Redacted Document (30) Docket Text: Redaction to [388] Proposed Findings of Fact by Defendant Bjorn Spilling (Davis, Laura) |
| Sep 16, 2022 | 409 | Brief in Opposition (5) Docket Text: Brief in Opposition by Plaintiff National Products, Inc. re: [402] Motion to Compel, filed by Bjorn Spilling (Tamimi, Jonathan) |
| Sep 16, 2022 | 410 | Declaration (Main Document) (3) Docket Text: Declaration of Jonathan G. Tamimi filed by Plaintiff National Products, Inc. ISO NPI's Response in Opposition re: [402] Motion to Compel, (Attachments: # (1) Exhibit A - 2021 09 13 NPI's Responses and Objs to Brodit's 1st ROGs (22 pp)) (Tamimi, Jonathan) |
| Sep 16, 2022 | 410 | Declaration (Exhibit A - 2021 09 13 NPI's Responses and Objs to Brodit's 1st ROGs () (22) Docket Text: Declaration of Jonathan G. Tamimi filed by Plaintiff National Products, Inc. ISO NPI's Response in Opposition re: [402] Motion to Compel, (Attachments: # (1) Exhibit A - 2021 09 13 NPI's Responses and Objs to Brodit's 1st ROGs (22 pp)) (Tamimi, Jonathan) |
| Sep 14, 2022 | N/A | Text Only Order (0) Docket Text: ** TEXT ONLY ORDER ** Defendant Bjorn Spilling has filed a motion to compel discovery. (Dkt. #[402].) Given the current briefing schedule for summary judgment (dkt. #[383]), plaintiff's response to the motion to compel is now due on September 16, 2022. The court will then hold a motion hearing on September 19, 2022, at 1:00 pm by Zoom video conference. The court will send invitations by email to counsel. All participants are reminded that video or audio recordings of the proceedings are strictly prohibited. A guide to participating in Zoom video hearings can be found here. Signed by District Judge William M. Conley on 9/14/22. (jat) |
| Sep 13, 2022 | 401 | Redacted Document (19) Docket Text: Redaction to [394] Brief in Opposition by Plaintiff National Products, Inc. (Tamimi, Jonathan) |
| Sep 13, 2022 | 402 | Motion to Compel (2) Docket Text: Motion to Compel Discovery and Request to Postpone Summary Judgment Response by Defendant Bjorn Spilling, Counter Claimant Bjorn Spilling. Motions referred to Magistrate Judge Stephen L. Crocker. Response due 9/20/2022. (Van Camp, Elijah) |
| Sep 9, 2022 | 392 | Redacted Document (23) Docket Text: Redaction to [368] Brief in Reply by Defendant Bjorn Spilling (Davis, Laura) |
| Sep 9, 2022 | N/A | Order on Motion for Clarification (0) Docket Text: ** TEXT ONLY ORDER ** The court is in receipt of defendant Spilling's motion for clarification (dkt. #[390]) which is GRANTED. To the extent that the discovery is targeted to new allegations against Spilling personally, the court confirms that the closure of general discovery stated in dkt. #372 is not applicable to Spilling's requests. Signed by District Judge William M. Conley on 9/9/22. (jat) |
| Sep 9, 2022 | 395 | Declaration (Main Document) (2) Docket Text: Declaration of Jonathan G. Tamimi filed by Plaintiff National Products, Inc. In Support of 394 NPI's Response re: [375] Motion to Strike (Attachments: # (1) Exhibit A - NPI's Supplemental Disclosure, # (2) Exhibit B - NPI's Disclosure of Asserted Claims and Infringement Contentions) (Tamimi, Jonathan) |
| Sep 9, 2022 | 395 | Declaration (Exhibit A - NPI's Supplemental Disclosure) (8) Docket Text: Declaration of Jonathan G. Tamimi filed by Plaintiff National Products, Inc. In Support of 394 NPI's Response re: [375] Motion to Strike (Attachments: # (1) Exhibit A - NPI's Supplemental Disclosure, # (2) Exhibit B - NPI's Disclosure of Asserted Claims and Infringement Contentions) (Tamimi, Jonathan) |
| Sep 9, 2022 | 395 | Declaration (Exhibit B - NPI's Disclosure of Asserted Claims and Infringement Contention) (14) Docket Text: Declaration of Jonathan G. Tamimi filed by Plaintiff National Products, Inc. In Support of 394 NPI's Response re: [375] Motion to Strike (Attachments: # (1) Exhibit A - NPI's Supplemental Disclosure, # (2) Exhibit B - NPI's Disclosure of Asserted Claims and Infringement Contentions) (Tamimi, Jonathan) |
| Sep 9, 2022 | 396 | Brief in Opposition (30) Docket Text: Brief in Opposition by Defendant Bjorn Spilling re: [359] Motion to Dismiss filed by Jeffrey Carnevali (Hovden, Christopher) |
| Sep 9, 2022 | 397 | Declaration (Main Document) (2) Docket Text: Declaration of Elijah B. Van Camp filed by Defendant Bjorn Spilling re: [359] Motion to Dismiss (Attachments: # (1) Exhibit 1 - Declaration of Service, # (2) Exhibit 2 - 8.9.2022 email) (Hovden, Christopher) |
| Sep 9, 2022 | 397 | Declaration (Exhibit 1 - Declaration of Service) (3) Docket Text: Declaration of Elijah B. Van Camp filed by Defendant Bjorn Spilling re: [359] Motion to Dismiss (Attachments: # (1) Exhibit 1 - Declaration of Service, # (2) Exhibit 2 - 8.9.2022 email) (Hovden, Christopher) |
| Sep 9, 2022 | 397 | Declaration (Exhibit 2 - 8.9.2022 email) (3) Docket Text: Declaration of Elijah B. Van Camp filed by Defendant Bjorn Spilling re: [359] Motion to Dismiss (Attachments: # (1) Exhibit 1 - Declaration of Service, # (2) Exhibit 2 - 8.9.2022 email) (Hovden, Christopher) |
| Sep 9, 2022 | 398 | Redacted Document (12) Docket Text: Redaction to [376] Brief in Support by Defendants Brodit AB, ProClip USA, Inc. (Davis, Laura) |
| Sep 7, 2022 | N/A | Set Briefing Deadlines (0) Docket Text: Reset Briefing Deadlines as to [383] MOTION FOR PARTIAL SUMMARY JUDGMENT of No Inequitable Conduct, [381] MOTION FOR PARTIAL SUMMARY JUDGMENT. Brief in Opposition due 9/20/2022. Brief in Reply due 9/27/2022. See Text Order, dkt. 322. (jat) |
| Sep 7, 2022 | 389 | Affidavit of Service (1) Docket Text: Affidavit of Service by Plaintiff. Bjorn Spilling served on 8/29/2022, answer due 9/19/2022. (Tamimi, Jonathan) |
| Sep 6, 2022 | N/A | Set Briefing Deadlines (0) Docket Text: Reset Briefing Deadlines as to [375] Motion to Strike. Brief in Opposition due 9/9/2022. See Text Order, dkt. 372. (jat) |
| Sep 6, 2022 | 378 | Expert Report (Main Document) (30) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - 026 Patent Claim Chart 2.24.14 Priority, # (2) Exhibit 2 - 026 Patent Claim Chart 3.21.14 Priority, # (3) Exhibit 3 - 026 Patent Claim Chart 8.21.14 Priority, # (4) Exhibit A - US9706026, # (5) Exhibit B - USP 9706026, # (6) Exhibit C - US Published App No 20150301561, # (7) Exhibit D - WO2017004072A1, # (8) Exhibit E - US Published App No 20170098916, # (9) Exhibit F - US5535274, # (10) Exhibit G - US7480138, # (11) Exhibit H - US20130273752A1, # (12) Exhibit I - CN202565335U, # (13) Exhibit J - English translation, # (14) Exhibit K - KR200265673Y1, # (15) Exhibit L - KR2020010034756, # (16) Exhibit M - 2020 10 23 Exhibit A, # (17) Exhibit N - Woud Patent, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit P - Paper 1 Gamer Pet for IPR, # (20) Exhibit Q - Lewandowski Declaration, # (21) Exhibit R - Male Connector, # (22) Exhibit S - Female Connector) (Davis, Laura) |
| Sep 6, 2022 | 378 | Expert Report (Exhibit 1 - 026 Patent Claim Chart 2.24.14 Priority) (16) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - 026 Patent Claim Chart 2.24.14 Priority, # (2) Exhibit 2 - 026 Patent Claim Chart 3.21.14 Priority, # (3) Exhibit 3 - 026 Patent Claim Chart 8.21.14 Priority, # (4) Exhibit A - US9706026, # (5) Exhibit B - USP 9706026, # (6) Exhibit C - US Published App No 20150301561, # (7) Exhibit D - WO2017004072A1, # (8) Exhibit E - US Published App No 20170098916, # (9) Exhibit F - US5535274, # (10) Exhibit G - US7480138, # (11) Exhibit H - US20130273752A1, # (12) Exhibit I - CN202565335U, # (13) Exhibit J - English translation, # (14) Exhibit K - KR200265673Y1, # (15) Exhibit L - KR2020010034756, # (16) Exhibit M - 2020 10 23 Exhibit A, # (17) Exhibit N - Woud Patent, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit P - Paper 1 Gamer Pet for IPR, # (20) Exhibit Q - Lewandowski Declaration, # (21) Exhibit R - Male Connector, # (22) Exhibit S - Female Connector) (Davis, Laura) |
| Sep 6, 2022 | 378 | Expert Report (Exhibit 2 - 026 Patent Claim Chart 3.21.14 Priority) (15) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - 026 Patent Claim Chart 2.24.14 Priority, # (2) Exhibit 2 - 026 Patent Claim Chart 3.21.14 Priority, # (3) Exhibit 3 - 026 Patent Claim Chart 8.21.14 Priority, # (4) Exhibit A - US9706026, # (5) Exhibit B - USP 9706026, # (6) Exhibit C - US Published App No 20150301561, # (7) Exhibit D - WO2017004072A1, # (8) Exhibit E - US Published App No 20170098916, # (9) Exhibit F - US5535274, # (10) Exhibit G - US7480138, # (11) Exhibit H - US20130273752A1, # (12) Exhibit I - CN202565335U, # (13) Exhibit J - English translation, # (14) Exhibit K - KR200265673Y1, # (15) Exhibit L - KR2020010034756, # (16) Exhibit M - 2020 10 23 Exhibit A, # (17) Exhibit N - Woud Patent, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit P - Paper 1 Gamer Pet for IPR, # (20) Exhibit Q - Lewandowski Declaration, # (21) Exhibit R - Male Connector, # (22) Exhibit S - Female Connector) (Davis, Laura) |
| Sep 6, 2022 | 378 | Expert Report (Exhibit 3 - 026 Patent Claim Chart 8.21.14 Priority) (16) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - 026 Patent Claim Chart 2.24.14 Priority, # (2) Exhibit 2 - 026 Patent Claim Chart 3.21.14 Priority, # (3) Exhibit 3 - 026 Patent Claim Chart 8.21.14 Priority, # (4) Exhibit A - US9706026, # (5) Exhibit B - USP 9706026, # (6) Exhibit C - US Published App No 20150301561, # (7) Exhibit D - WO2017004072A1, # (8) Exhibit E - US Published App No 20170098916, # (9) Exhibit F - US5535274, # (10) Exhibit G - US7480138, # (11) Exhibit H - US20130273752A1, # (12) Exhibit I - CN202565335U, # (13) Exhibit J - English translation, # (14) Exhibit K - KR200265673Y1, # (15) Exhibit L - KR2020010034756, # (16) Exhibit M - 2020 10 23 Exhibit A, # (17) Exhibit N - Woud Patent, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit P - Paper 1 Gamer Pet for IPR, # (20) Exhibit Q - Lewandowski Declaration, # (21) Exhibit R - Male Connector, # (22) Exhibit S - Female Connector) (Davis, Laura) |
| Sep 6, 2022 | 378 | Expert Report (Exhibit A - US9706026) (30) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - 026 Patent Claim Chart 2.24.14 Priority, # (2) Exhibit 2 - 026 Patent Claim Chart 3.21.14 Priority, # (3) Exhibit 3 - 026 Patent Claim Chart 8.21.14 Priority, # (4) Exhibit A - US9706026, # (5) Exhibit B - USP 9706026, # (6) Exhibit C - US Published App No 20150301561, # (7) Exhibit D - WO2017004072A1, # (8) Exhibit E - US Published App No 20170098916, # (9) Exhibit F - US5535274, # (10) Exhibit G - US7480138, # (11) Exhibit H - US20130273752A1, # (12) Exhibit I - CN202565335U, # (13) Exhibit J - English translation, # (14) Exhibit K - KR200265673Y1, # (15) Exhibit L - KR2020010034756, # (16) Exhibit M - 2020 10 23 Exhibit A, # (17) Exhibit N - Woud Patent, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit P - Paper 1 Gamer Pet for IPR, # (20) Exhibit Q - Lewandowski Declaration, # (21) Exhibit R - Male Connector, # (22) Exhibit S - Female Connector) (Davis, Laura) |
| Sep 6, 2022 | 378 | Expert Report (Exhibit B - USP 9706026) (30) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - 026 Patent Claim Chart 2.24.14 Priority, # (2) Exhibit 2 - 026 Patent Claim Chart 3.21.14 Priority, # (3) Exhibit 3 - 026 Patent Claim Chart 8.21.14 Priority, # (4) Exhibit A - US9706026, # (5) Exhibit B - USP 9706026, # (6) Exhibit C - US Published App No 20150301561, # (7) Exhibit D - WO2017004072A1, # (8) Exhibit E - US Published App No 20170098916, # (9) Exhibit F - US5535274, # (10) Exhibit G - US7480138, # (11) Exhibit H - US20130273752A1, # (12) Exhibit I - CN202565335U, # (13) Exhibit J - English translation, # (14) Exhibit K - KR200265673Y1, # (15) Exhibit L - KR2020010034756, # (16) Exhibit M - 2020 10 23 Exhibit A, # (17) Exhibit N - Woud Patent, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit P - Paper 1 Gamer Pet for IPR, # (20) Exhibit Q - Lewandowski Declaration, # (21) Exhibit R - Male Connector, # (22) Exhibit S - Female Connector) (Davis, Laura) |
| Sep 6, 2022 | 378 | Expert Report (Exhibit C - US Published App No 20150301561) (30) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - 026 Patent Claim Chart 2.24.14 Priority, # (2) Exhibit 2 - 026 Patent Claim Chart 3.21.14 Priority, # (3) Exhibit 3 - 026 Patent Claim Chart 8.21.14 Priority, # (4) Exhibit A - US9706026, # (5) Exhibit B - USP 9706026, # (6) Exhibit C - US Published App No 20150301561, # (7) Exhibit D - WO2017004072A1, # (8) Exhibit E - US Published App No 20170098916, # (9) Exhibit F - US5535274, # (10) Exhibit G - US7480138, # (11) Exhibit H - US20130273752A1, # (12) Exhibit I - CN202565335U, # (13) Exhibit J - English translation, # (14) Exhibit K - KR200265673Y1, # (15) Exhibit L - KR2020010034756, # (16) Exhibit M - 2020 10 23 Exhibit A, # (17) Exhibit N - Woud Patent, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit P - Paper 1 Gamer Pet for IPR, # (20) Exhibit Q - Lewandowski Declaration, # (21) Exhibit R - Male Connector, # (22) Exhibit S - Female Connector) (Davis, Laura) |
| Sep 6, 2022 | 378 | Expert Report (Exhibit D - WO2017004072A1) (30) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - 026 Patent Claim Chart 2.24.14 Priority, # (2) Exhibit 2 - 026 Patent Claim Chart 3.21.14 Priority, # (3) Exhibit 3 - 026 Patent Claim Chart 8.21.14 Priority, # (4) Exhibit A - US9706026, # (5) Exhibit B - USP 9706026, # (6) Exhibit C - US Published App No 20150301561, # (7) Exhibit D - WO2017004072A1, # (8) Exhibit E - US Published App No 20170098916, # (9) Exhibit F - US5535274, # (10) Exhibit G - US7480138, # (11) Exhibit H - US20130273752A1, # (12) Exhibit I - CN202565335U, # (13) Exhibit J - English translation, # (14) Exhibit K - KR200265673Y1, # (15) Exhibit L - KR2020010034756, # (16) Exhibit M - 2020 10 23 Exhibit A, # (17) Exhibit N - Woud Patent, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit P - Paper 1 Gamer Pet for IPR, # (20) Exhibit Q - Lewandowski Declaration, # (21) Exhibit R - Male Connector, # (22) Exhibit S - Female Connector) (Davis, Laura) |
| Sep 6, 2022 | 378 | Expert Report (Exhibit E - US Published App No 20170098916) (30) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - 026 Patent Claim Chart 2.24.14 Priority, # (2) Exhibit 2 - 026 Patent Claim Chart 3.21.14 Priority, # (3) Exhibit 3 - 026 Patent Claim Chart 8.21.14 Priority, # (4) Exhibit A - US9706026, # (5) Exhibit B - USP 9706026, # (6) Exhibit C - US Published App No 20150301561, # (7) Exhibit D - WO2017004072A1, # (8) Exhibit E - US Published App No 20170098916, # (9) Exhibit F - US5535274, # (10) Exhibit G - US7480138, # (11) Exhibit H - US20130273752A1, # (12) Exhibit I - CN202565335U, # (13) Exhibit J - English translation, # (14) Exhibit K - KR200265673Y1, # (15) Exhibit L - KR2020010034756, # (16) Exhibit M - 2020 10 23 Exhibit A, # (17) Exhibit N - Woud Patent, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit P - Paper 1 Gamer Pet for IPR, # (20) Exhibit Q - Lewandowski Declaration, # (21) Exhibit R - Male Connector, # (22) Exhibit S - Female Connector) (Davis, Laura) |
| Sep 6, 2022 | 378 | Expert Report (Exhibit F - US5535274) (30) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - 026 Patent Claim Chart 2.24.14 Priority, # (2) Exhibit 2 - 026 Patent Claim Chart 3.21.14 Priority, # (3) Exhibit 3 - 026 Patent Claim Chart 8.21.14 Priority, # (4) Exhibit A - US9706026, # (5) Exhibit B - USP 9706026, # (6) Exhibit C - US Published App No 20150301561, # (7) Exhibit D - WO2017004072A1, # (8) Exhibit E - US Published App No 20170098916, # (9) Exhibit F - US5535274, # (10) Exhibit G - US7480138, # (11) Exhibit H - US20130273752A1, # (12) Exhibit I - CN202565335U, # (13) Exhibit J - English translation, # (14) Exhibit K - KR200265673Y1, # (15) Exhibit L - KR2020010034756, # (16) Exhibit M - 2020 10 23 Exhibit A, # (17) Exhibit N - Woud Patent, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit P - Paper 1 Gamer Pet for IPR, # (20) Exhibit Q - Lewandowski Declaration, # (21) Exhibit R - Male Connector, # (22) Exhibit S - Female Connector) (Davis, Laura) |
| Sep 6, 2022 | 378 | Expert Report (Exhibit G - US7480138) (10) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - 026 Patent Claim Chart 2.24.14 Priority, # (2) Exhibit 2 - 026 Patent Claim Chart 3.21.14 Priority, # (3) Exhibit 3 - 026 Patent Claim Chart 8.21.14 Priority, # (4) Exhibit A - US9706026, # (5) Exhibit B - USP 9706026, # (6) Exhibit C - US Published App No 20150301561, # (7) Exhibit D - WO2017004072A1, # (8) Exhibit E - US Published App No 20170098916, # (9) Exhibit F - US5535274, # (10) Exhibit G - US7480138, # (11) Exhibit H - US20130273752A1, # (12) Exhibit I - CN202565335U, # (13) Exhibit J - English translation, # (14) Exhibit K - KR200265673Y1, # (15) Exhibit L - KR2020010034756, # (16) Exhibit M - 2020 10 23 Exhibit A, # (17) Exhibit N - Woud Patent, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit P - Paper 1 Gamer Pet for IPR, # (20) Exhibit Q - Lewandowski Declaration, # (21) Exhibit R - Male Connector, # (22) Exhibit S - Female Connector) (Davis, Laura) |
| Sep 6, 2022 | 378 | Expert Report (Exhibit H - US20130273752A1) (25) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - 026 Patent Claim Chart 2.24.14 Priority, # (2) Exhibit 2 - 026 Patent Claim Chart 3.21.14 Priority, # (3) Exhibit 3 - 026 Patent Claim Chart 8.21.14 Priority, # (4) Exhibit A - US9706026, # (5) Exhibit B - USP 9706026, # (6) Exhibit C - US Published App No 20150301561, # (7) Exhibit D - WO2017004072A1, # (8) Exhibit E - US Published App No 20170098916, # (9) Exhibit F - US5535274, # (10) Exhibit G - US7480138, # (11) Exhibit H - US20130273752A1, # (12) Exhibit I - CN202565335U, # (13) Exhibit J - English translation, # (14) Exhibit K - KR200265673Y1, # (15) Exhibit L - KR2020010034756, # (16) Exhibit M - 2020 10 23 Exhibit A, # (17) Exhibit N - Woud Patent, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit P - Paper 1 Gamer Pet for IPR, # (20) Exhibit Q - Lewandowski Declaration, # (21) Exhibit R - Male Connector, # (22) Exhibit S - Female Connector) (Davis, Laura) |
| Sep 6, 2022 | 378 | Expert Report (Exhibit I - CN202565335U) (8) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - 026 Patent Claim Chart 2.24.14 Priority, # (2) Exhibit 2 - 026 Patent Claim Chart 3.21.14 Priority, # (3) Exhibit 3 - 026 Patent Claim Chart 8.21.14 Priority, # (4) Exhibit A - US9706026, # (5) Exhibit B - USP 9706026, # (6) Exhibit C - US Published App No 20150301561, # (7) Exhibit D - WO2017004072A1, # (8) Exhibit E - US Published App No 20170098916, # (9) Exhibit F - US5535274, # (10) Exhibit G - US7480138, # (11) Exhibit H - US20130273752A1, # (12) Exhibit I - CN202565335U, # (13) Exhibit J - English translation, # (14) Exhibit K - KR200265673Y1, # (15) Exhibit L - KR2020010034756, # (16) Exhibit M - 2020 10 23 Exhibit A, # (17) Exhibit N - Woud Patent, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit P - Paper 1 Gamer Pet for IPR, # (20) Exhibit Q - Lewandowski Declaration, # (21) Exhibit R - Male Connector, # (22) Exhibit S - Female Connector) (Davis, Laura) |
| Sep 6, 2022 | 378 | Expert Report (Exhibit J - English translation) (10) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - 026 Patent Claim Chart 2.24.14 Priority, # (2) Exhibit 2 - 026 Patent Claim Chart 3.21.14 Priority, # (3) Exhibit 3 - 026 Patent Claim Chart 8.21.14 Priority, # (4) Exhibit A - US9706026, # (5) Exhibit B - USP 9706026, # (6) Exhibit C - US Published App No 20150301561, # (7) Exhibit D - WO2017004072A1, # (8) Exhibit E - US Published App No 20170098916, # (9) Exhibit F - US5535274, # (10) Exhibit G - US7480138, # (11) Exhibit H - US20130273752A1, # (12) Exhibit I - CN202565335U, # (13) Exhibit J - English translation, # (14) Exhibit K - KR200265673Y1, # (15) Exhibit L - KR2020010034756, # (16) Exhibit M - 2020 10 23 Exhibit A, # (17) Exhibit N - Woud Patent, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit P - Paper 1 Gamer Pet for IPR, # (20) Exhibit Q - Lewandowski Declaration, # (21) Exhibit R - Male Connector, # (22) Exhibit S - Female Connector) (Davis, Laura) |
| Sep 6, 2022 | 378 | Expert Report (Exhibit K - KR200265673Y1) (11) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - 026 Patent Claim Chart 2.24.14 Priority, # (2) Exhibit 2 - 026 Patent Claim Chart 3.21.14 Priority, # (3) Exhibit 3 - 026 Patent Claim Chart 8.21.14 Priority, # (4) Exhibit A - US9706026, # (5) Exhibit B - USP 9706026, # (6) Exhibit C - US Published App No 20150301561, # (7) Exhibit D - WO2017004072A1, # (8) Exhibit E - US Published App No 20170098916, # (9) Exhibit F - US5535274, # (10) Exhibit G - US7480138, # (11) Exhibit H - US20130273752A1, # (12) Exhibit I - CN202565335U, # (13) Exhibit J - English translation, # (14) Exhibit K - KR200265673Y1, # (15) Exhibit L - KR2020010034756, # (16) Exhibit M - 2020 10 23 Exhibit A, # (17) Exhibit N - Woud Patent, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit P - Paper 1 Gamer Pet for IPR, # (20) Exhibit Q - Lewandowski Declaration, # (21) Exhibit R - Male Connector, # (22) Exhibit S - Female Connector) (Davis, Laura) |
| Sep 6, 2022 | 378 | Expert Report (Exhibit L - KR2020010034756) (7) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - 026 Patent Claim Chart 2.24.14 Priority, # (2) Exhibit 2 - 026 Patent Claim Chart 3.21.14 Priority, # (3) Exhibit 3 - 026 Patent Claim Chart 8.21.14 Priority, # (4) Exhibit A - US9706026, # (5) Exhibit B - USP 9706026, # (6) Exhibit C - US Published App No 20150301561, # (7) Exhibit D - WO2017004072A1, # (8) Exhibit E - US Published App No 20170098916, # (9) Exhibit F - US5535274, # (10) Exhibit G - US7480138, # (11) Exhibit H - US20130273752A1, # (12) Exhibit I - CN202565335U, # (13) Exhibit J - English translation, # (14) Exhibit K - KR200265673Y1, # (15) Exhibit L - KR2020010034756, # (16) Exhibit M - 2020 10 23 Exhibit A, # (17) Exhibit N - Woud Patent, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit P - Paper 1 Gamer Pet for IPR, # (20) Exhibit Q - Lewandowski Declaration, # (21) Exhibit R - Male Connector, # (22) Exhibit S - Female Connector) (Davis, Laura) |
| Sep 6, 2022 | 378 | Expert Report (Exhibit M - 2020 10 23 Exhibit A) (30) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - 026 Patent Claim Chart 2.24.14 Priority, # (2) Exhibit 2 - 026 Patent Claim Chart 3.21.14 Priority, # (3) Exhibit 3 - 026 Patent Claim Chart 8.21.14 Priority, # (4) Exhibit A - US9706026, # (5) Exhibit B - USP 9706026, # (6) Exhibit C - US Published App No 20150301561, # (7) Exhibit D - WO2017004072A1, # (8) Exhibit E - US Published App No 20170098916, # (9) Exhibit F - US5535274, # (10) Exhibit G - US7480138, # (11) Exhibit H - US20130273752A1, # (12) Exhibit I - CN202565335U, # (13) Exhibit J - English translation, # (14) Exhibit K - KR200265673Y1, # (15) Exhibit L - KR2020010034756, # (16) Exhibit M - 2020 10 23 Exhibit A, # (17) Exhibit N - Woud Patent, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit P - Paper 1 Gamer Pet for IPR, # (20) Exhibit Q - Lewandowski Declaration, # (21) Exhibit R - Male Connector, # (22) Exhibit S - Female Connector) (Davis, Laura) |
| Sep 6, 2022 | 378 | Expert Report (Exhibit N - Woud Patent) (27) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - 026 Patent Claim Chart 2.24.14 Priority, # (2) Exhibit 2 - 026 Patent Claim Chart 3.21.14 Priority, # (3) Exhibit 3 - 026 Patent Claim Chart 8.21.14 Priority, # (4) Exhibit A - US9706026, # (5) Exhibit B - USP 9706026, # (6) Exhibit C - US Published App No 20150301561, # (7) Exhibit D - WO2017004072A1, # (8) Exhibit E - US Published App No 20170098916, # (9) Exhibit F - US5535274, # (10) Exhibit G - US7480138, # (11) Exhibit H - US20130273752A1, # (12) Exhibit I - CN202565335U, # (13) Exhibit J - English translation, # (14) Exhibit K - KR200265673Y1, # (15) Exhibit L - KR2020010034756, # (16) Exhibit M - 2020 10 23 Exhibit A, # (17) Exhibit N - Woud Patent, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit P - Paper 1 Gamer Pet for IPR, # (20) Exhibit Q - Lewandowski Declaration, # (21) Exhibit R - Male Connector, # (22) Exhibit S - Female Connector) (Davis, Laura) |
| Sep 6, 2022 | 378 | Expert Report (Exhibit O - Cameron Declaration) (30) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - 026 Patent Claim Chart 2.24.14 Priority, # (2) Exhibit 2 - 026 Patent Claim Chart 3.21.14 Priority, # (3) Exhibit 3 - 026 Patent Claim Chart 8.21.14 Priority, # (4) Exhibit A - US9706026, # (5) Exhibit B - USP 9706026, # (6) Exhibit C - US Published App No 20150301561, # (7) Exhibit D - WO2017004072A1, # (8) Exhibit E - US Published App No 20170098916, # (9) Exhibit F - US5535274, # (10) Exhibit G - US7480138, # (11) Exhibit H - US20130273752A1, # (12) Exhibit I - CN202565335U, # (13) Exhibit J - English translation, # (14) Exhibit K - KR200265673Y1, # (15) Exhibit L - KR2020010034756, # (16) Exhibit M - 2020 10 23 Exhibit A, # (17) Exhibit N - Woud Patent, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit P - Paper 1 Gamer Pet for IPR, # (20) Exhibit Q - Lewandowski Declaration, # (21) Exhibit R - Male Connector, # (22) Exhibit S - Female Connector) (Davis, Laura) |
| Sep 6, 2022 | 378 | Expert Report (Exhibit P - Paper 1 Gamer Pet for IPR) (30) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - 026 Patent Claim Chart 2.24.14 Priority, # (2) Exhibit 2 - 026 Patent Claim Chart 3.21.14 Priority, # (3) Exhibit 3 - 026 Patent Claim Chart 8.21.14 Priority, # (4) Exhibit A - US9706026, # (5) Exhibit B - USP 9706026, # (6) Exhibit C - US Published App No 20150301561, # (7) Exhibit D - WO2017004072A1, # (8) Exhibit E - US Published App No 20170098916, # (9) Exhibit F - US5535274, # (10) Exhibit G - US7480138, # (11) Exhibit H - US20130273752A1, # (12) Exhibit I - CN202565335U, # (13) Exhibit J - English translation, # (14) Exhibit K - KR200265673Y1, # (15) Exhibit L - KR2020010034756, # (16) Exhibit M - 2020 10 23 Exhibit A, # (17) Exhibit N - Woud Patent, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit P - Paper 1 Gamer Pet for IPR, # (20) Exhibit Q - Lewandowski Declaration, # (21) Exhibit R - Male Connector, # (22) Exhibit S - Female Connector) (Davis, Laura) |
| Sep 6, 2022 | 378 | Expert Report (Exhibit Q - Lewandowski Declaration) (30) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - 026 Patent Claim Chart 2.24.14 Priority, # (2) Exhibit 2 - 026 Patent Claim Chart 3.21.14 Priority, # (3) Exhibit 3 - 026 Patent Claim Chart 8.21.14 Priority, # (4) Exhibit A - US9706026, # (5) Exhibit B - USP 9706026, # (6) Exhibit C - US Published App No 20150301561, # (7) Exhibit D - WO2017004072A1, # (8) Exhibit E - US Published App No 20170098916, # (9) Exhibit F - US5535274, # (10) Exhibit G - US7480138, # (11) Exhibit H - US20130273752A1, # (12) Exhibit I - CN202565335U, # (13) Exhibit J - English translation, # (14) Exhibit K - KR200265673Y1, # (15) Exhibit L - KR2020010034756, # (16) Exhibit M - 2020 10 23 Exhibit A, # (17) Exhibit N - Woud Patent, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit P - Paper 1 Gamer Pet for IPR, # (20) Exhibit Q - Lewandowski Declaration, # (21) Exhibit R - Male Connector, # (22) Exhibit S - Female Connector) (Davis, Laura) |
| Sep 6, 2022 | 378 | Expert Report (Exhibit R - Male Connector) (1) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - 026 Patent Claim Chart 2.24.14 Priority, # (2) Exhibit 2 - 026 Patent Claim Chart 3.21.14 Priority, # (3) Exhibit 3 - 026 Patent Claim Chart 8.21.14 Priority, # (4) Exhibit A - US9706026, # (5) Exhibit B - USP 9706026, # (6) Exhibit C - US Published App No 20150301561, # (7) Exhibit D - WO2017004072A1, # (8) Exhibit E - US Published App No 20170098916, # (9) Exhibit F - US5535274, # (10) Exhibit G - US7480138, # (11) Exhibit H - US20130273752A1, # (12) Exhibit I - CN202565335U, # (13) Exhibit J - English translation, # (14) Exhibit K - KR200265673Y1, # (15) Exhibit L - KR2020010034756, # (16) Exhibit M - 2020 10 23 Exhibit A, # (17) Exhibit N - Woud Patent, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit P - Paper 1 Gamer Pet for IPR, # (20) Exhibit Q - Lewandowski Declaration, # (21) Exhibit R - Male Connector, # (22) Exhibit S - Female Connector) (Davis, Laura) |
| Sep 6, 2022 | 378 | Expert Report (Exhibit S - Female Connector) (1) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit 1 - 026 Patent Claim Chart 2.24.14 Priority, # (2) Exhibit 2 - 026 Patent Claim Chart 3.21.14 Priority, # (3) Exhibit 3 - 026 Patent Claim Chart 8.21.14 Priority, # (4) Exhibit A - US9706026, # (5) Exhibit B - USP 9706026, # (6) Exhibit C - US Published App No 20150301561, # (7) Exhibit D - WO2017004072A1, # (8) Exhibit E - US Published App No 20170098916, # (9) Exhibit F - US5535274, # (10) Exhibit G - US7480138, # (11) Exhibit H - US20130273752A1, # (12) Exhibit I - CN202565335U, # (13) Exhibit J - English translation, # (14) Exhibit K - KR200265673Y1, # (15) Exhibit L - KR2020010034756, # (16) Exhibit M - 2020 10 23 Exhibit A, # (17) Exhibit N - Woud Patent, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit P - Paper 1 Gamer Pet for IPR, # (20) Exhibit Q - Lewandowski Declaration, # (21) Exhibit R - Male Connector, # (22) Exhibit S - Female Connector) (Davis, Laura) |
| Sep 6, 2022 | 379 | Expert Report (Main Document) (30) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit BA - 275 Patent, # (3) Exhibit BB - USP 10778275, # (4) Exhibit BG - US9760116, # (5) Exhibit BH - 2020 10 23 Exhibit C, # (6) Exhibit BP - 275 Patent Claim Chart 2.24.14 Priority, # (7) Exhibit BQ - 275 Patent Claim Chart 3.24.14 Priority, # (8) Exhibit BR - 275 Patent Claim Chart 8.24.14 Priority, # (9) Exhibit BS - US8367235, # (10) Exhibit BT - 2013 Mophie Juice Pack Screen Shots, # (11) Exhibit C - US Published App No 20170098916, # (12) Exhibit D - WO2017004072, # (13) Exhibit E - US Published App No 20170098916, # (14) Exhibit H - US20130273752, # (15) Exhibit V - Rule 26, # (16) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 379 | Expert Report (Exhibit A - US9706026) (30) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit BA - 275 Patent, # (3) Exhibit BB - USP 10778275, # (4) Exhibit BG - US9760116, # (5) Exhibit BH - 2020 10 23 Exhibit C, # (6) Exhibit BP - 275 Patent Claim Chart 2.24.14 Priority, # (7) Exhibit BQ - 275 Patent Claim Chart 3.24.14 Priority, # (8) Exhibit BR - 275 Patent Claim Chart 8.24.14 Priority, # (9) Exhibit BS - US8367235, # (10) Exhibit BT - 2013 Mophie Juice Pack Screen Shots, # (11) Exhibit C - US Published App No 20170098916, # (12) Exhibit D - WO2017004072, # (13) Exhibit E - US Published App No 20170098916, # (14) Exhibit H - US20130273752, # (15) Exhibit V - Rule 26, # (16) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 379 | Expert Report (Exhibit BA - 275 Patent) (30) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit BA - 275 Patent, # (3) Exhibit BB - USP 10778275, # (4) Exhibit BG - US9760116, # (5) Exhibit BH - 2020 10 23 Exhibit C, # (6) Exhibit BP - 275 Patent Claim Chart 2.24.14 Priority, # (7) Exhibit BQ - 275 Patent Claim Chart 3.24.14 Priority, # (8) Exhibit BR - 275 Patent Claim Chart 8.24.14 Priority, # (9) Exhibit BS - US8367235, # (10) Exhibit BT - 2013 Mophie Juice Pack Screen Shots, # (11) Exhibit C - US Published App No 20170098916, # (12) Exhibit D - WO2017004072, # (13) Exhibit E - US Published App No 20170098916, # (14) Exhibit H - US20130273752, # (15) Exhibit V - Rule 26, # (16) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 379 | Expert Report (Exhibit BB - USP 10778275) (30) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit BA - 275 Patent, # (3) Exhibit BB - USP 10778275, # (4) Exhibit BG - US9760116, # (5) Exhibit BH - 2020 10 23 Exhibit C, # (6) Exhibit BP - 275 Patent Claim Chart 2.24.14 Priority, # (7) Exhibit BQ - 275 Patent Claim Chart 3.24.14 Priority, # (8) Exhibit BR - 275 Patent Claim Chart 8.24.14 Priority, # (9) Exhibit BS - US8367235, # (10) Exhibit BT - 2013 Mophie Juice Pack Screen Shots, # (11) Exhibit C - US Published App No 20170098916, # (12) Exhibit D - WO2017004072, # (13) Exhibit E - US Published App No 20170098916, # (14) Exhibit H - US20130273752, # (15) Exhibit V - Rule 26, # (16) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 379 | Expert Report (Exhibit BG - US9760116) (12) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit BA - 275 Patent, # (3) Exhibit BB - USP 10778275, # (4) Exhibit BG - US9760116, # (5) Exhibit BH - 2020 10 23 Exhibit C, # (6) Exhibit BP - 275 Patent Claim Chart 2.24.14 Priority, # (7) Exhibit BQ - 275 Patent Claim Chart 3.24.14 Priority, # (8) Exhibit BR - 275 Patent Claim Chart 8.24.14 Priority, # (9) Exhibit BS - US8367235, # (10) Exhibit BT - 2013 Mophie Juice Pack Screen Shots, # (11) Exhibit C - US Published App No 20170098916, # (12) Exhibit D - WO2017004072, # (13) Exhibit E - US Published App No 20170098916, # (14) Exhibit H - US20130273752, # (15) Exhibit V - Rule 26, # (16) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 379 | Expert Report (Exhibit BH - 2020 10 23 Exhibit C) (30) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit BA - 275 Patent, # (3) Exhibit BB - USP 10778275, # (4) Exhibit BG - US9760116, # (5) Exhibit BH - 2020 10 23 Exhibit C, # (6) Exhibit BP - 275 Patent Claim Chart 2.24.14 Priority, # (7) Exhibit BQ - 275 Patent Claim Chart 3.24.14 Priority, # (8) Exhibit BR - 275 Patent Claim Chart 8.24.14 Priority, # (9) Exhibit BS - US8367235, # (10) Exhibit BT - 2013 Mophie Juice Pack Screen Shots, # (11) Exhibit C - US Published App No 20170098916, # (12) Exhibit D - WO2017004072, # (13) Exhibit E - US Published App No 20170098916, # (14) Exhibit H - US20130273752, # (15) Exhibit V - Rule 26, # (16) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 379 | Expert Report (Exhibit BP - 275 Patent Claim Chart 2.24.14 Priority) (14) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit BA - 275 Patent, # (3) Exhibit BB - USP 10778275, # (4) Exhibit BG - US9760116, # (5) Exhibit BH - 2020 10 23 Exhibit C, # (6) Exhibit BP - 275 Patent Claim Chart 2.24.14 Priority, # (7) Exhibit BQ - 275 Patent Claim Chart 3.24.14 Priority, # (8) Exhibit BR - 275 Patent Claim Chart 8.24.14 Priority, # (9) Exhibit BS - US8367235, # (10) Exhibit BT - 2013 Mophie Juice Pack Screen Shots, # (11) Exhibit C - US Published App No 20170098916, # (12) Exhibit D - WO2017004072, # (13) Exhibit E - US Published App No 20170098916, # (14) Exhibit H - US20130273752, # (15) Exhibit V - Rule 26, # (16) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 379 | Expert Report (Exhibit BQ - 275 Patent Claim Chart 3.24.14 Priority) (14) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit BA - 275 Patent, # (3) Exhibit BB - USP 10778275, # (4) Exhibit BG - US9760116, # (5) Exhibit BH - 2020 10 23 Exhibit C, # (6) Exhibit BP - 275 Patent Claim Chart 2.24.14 Priority, # (7) Exhibit BQ - 275 Patent Claim Chart 3.24.14 Priority, # (8) Exhibit BR - 275 Patent Claim Chart 8.24.14 Priority, # (9) Exhibit BS - US8367235, # (10) Exhibit BT - 2013 Mophie Juice Pack Screen Shots, # (11) Exhibit C - US Published App No 20170098916, # (12) Exhibit D - WO2017004072, # (13) Exhibit E - US Published App No 20170098916, # (14) Exhibit H - US20130273752, # (15) Exhibit V - Rule 26, # (16) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 379 | Expert Report (Exhibit BR - 275 Patent Claim Chart 8.24.14 Priority) (10) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit BA - 275 Patent, # (3) Exhibit BB - USP 10778275, # (4) Exhibit BG - US9760116, # (5) Exhibit BH - 2020 10 23 Exhibit C, # (6) Exhibit BP - 275 Patent Claim Chart 2.24.14 Priority, # (7) Exhibit BQ - 275 Patent Claim Chart 3.24.14 Priority, # (8) Exhibit BR - 275 Patent Claim Chart 8.24.14 Priority, # (9) Exhibit BS - US8367235, # (10) Exhibit BT - 2013 Mophie Juice Pack Screen Shots, # (11) Exhibit C - US Published App No 20170098916, # (12) Exhibit D - WO2017004072, # (13) Exhibit E - US Published App No 20170098916, # (14) Exhibit H - US20130273752, # (15) Exhibit V - Rule 26, # (16) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 379 | Expert Report (Exhibit BS - US8367235) (29) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit BA - 275 Patent, # (3) Exhibit BB - USP 10778275, # (4) Exhibit BG - US9760116, # (5) Exhibit BH - 2020 10 23 Exhibit C, # (6) Exhibit BP - 275 Patent Claim Chart 2.24.14 Priority, # (7) Exhibit BQ - 275 Patent Claim Chart 3.24.14 Priority, # (8) Exhibit BR - 275 Patent Claim Chart 8.24.14 Priority, # (9) Exhibit BS - US8367235, # (10) Exhibit BT - 2013 Mophie Juice Pack Screen Shots, # (11) Exhibit C - US Published App No 20170098916, # (12) Exhibit D - WO2017004072, # (13) Exhibit E - US Published App No 20170098916, # (14) Exhibit H - US20130273752, # (15) Exhibit V - Rule 26, # (16) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 379 | Expert Report (Exhibit BT - 2013 Mophie Juice Pack Screen Shots) (3) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit BA - 275 Patent, # (3) Exhibit BB - USP 10778275, # (4) Exhibit BG - US9760116, # (5) Exhibit BH - 2020 10 23 Exhibit C, # (6) Exhibit BP - 275 Patent Claim Chart 2.24.14 Priority, # (7) Exhibit BQ - 275 Patent Claim Chart 3.24.14 Priority, # (8) Exhibit BR - 275 Patent Claim Chart 8.24.14 Priority, # (9) Exhibit BS - US8367235, # (10) Exhibit BT - 2013 Mophie Juice Pack Screen Shots, # (11) Exhibit C - US Published App No 20170098916, # (12) Exhibit D - WO2017004072, # (13) Exhibit E - US Published App No 20170098916, # (14) Exhibit H - US20130273752, # (15) Exhibit V - Rule 26, # (16) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 379 | Expert Report (Exhibit C - US Published App No 20170098916) (30) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit BA - 275 Patent, # (3) Exhibit BB - USP 10778275, # (4) Exhibit BG - US9760116, # (5) Exhibit BH - 2020 10 23 Exhibit C, # (6) Exhibit BP - 275 Patent Claim Chart 2.24.14 Priority, # (7) Exhibit BQ - 275 Patent Claim Chart 3.24.14 Priority, # (8) Exhibit BR - 275 Patent Claim Chart 8.24.14 Priority, # (9) Exhibit BS - US8367235, # (10) Exhibit BT - 2013 Mophie Juice Pack Screen Shots, # (11) Exhibit C - US Published App No 20170098916, # (12) Exhibit D - WO2017004072, # (13) Exhibit E - US Published App No 20170098916, # (14) Exhibit H - US20130273752, # (15) Exhibit V - Rule 26, # (16) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 379 | Expert Report (Exhibit D - WO2017004072) (30) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit BA - 275 Patent, # (3) Exhibit BB - USP 10778275, # (4) Exhibit BG - US9760116, # (5) Exhibit BH - 2020 10 23 Exhibit C, # (6) Exhibit BP - 275 Patent Claim Chart 2.24.14 Priority, # (7) Exhibit BQ - 275 Patent Claim Chart 3.24.14 Priority, # (8) Exhibit BR - 275 Patent Claim Chart 8.24.14 Priority, # (9) Exhibit BS - US8367235, # (10) Exhibit BT - 2013 Mophie Juice Pack Screen Shots, # (11) Exhibit C - US Published App No 20170098916, # (12) Exhibit D - WO2017004072, # (13) Exhibit E - US Published App No 20170098916, # (14) Exhibit H - US20130273752, # (15) Exhibit V - Rule 26, # (16) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 379 | Expert Report (Exhibit E - US Published App No 20170098916) (30) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit BA - 275 Patent, # (3) Exhibit BB - USP 10778275, # (4) Exhibit BG - US9760116, # (5) Exhibit BH - 2020 10 23 Exhibit C, # (6) Exhibit BP - 275 Patent Claim Chart 2.24.14 Priority, # (7) Exhibit BQ - 275 Patent Claim Chart 3.24.14 Priority, # (8) Exhibit BR - 275 Patent Claim Chart 8.24.14 Priority, # (9) Exhibit BS - US8367235, # (10) Exhibit BT - 2013 Mophie Juice Pack Screen Shots, # (11) Exhibit C - US Published App No 20170098916, # (12) Exhibit D - WO2017004072, # (13) Exhibit E - US Published App No 20170098916, # (14) Exhibit H - US20130273752, # (15) Exhibit V - Rule 26, # (16) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 379 | Expert Report (Exhibit H - US20130273752) (25) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit BA - 275 Patent, # (3) Exhibit BB - USP 10778275, # (4) Exhibit BG - US9760116, # (5) Exhibit BH - 2020 10 23 Exhibit C, # (6) Exhibit BP - 275 Patent Claim Chart 2.24.14 Priority, # (7) Exhibit BQ - 275 Patent Claim Chart 3.24.14 Priority, # (8) Exhibit BR - 275 Patent Claim Chart 8.24.14 Priority, # (9) Exhibit BS - US8367235, # (10) Exhibit BT - 2013 Mophie Juice Pack Screen Shots, # (11) Exhibit C - US Published App No 20170098916, # (12) Exhibit D - WO2017004072, # (13) Exhibit E - US Published App No 20170098916, # (14) Exhibit H - US20130273752, # (15) Exhibit V - Rule 26, # (16) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 379 | Expert Report (Exhibit V - Rule 26) (1) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit BA - 275 Patent, # (3) Exhibit BB - USP 10778275, # (4) Exhibit BG - US9760116, # (5) Exhibit BH - 2020 10 23 Exhibit C, # (6) Exhibit BP - 275 Patent Claim Chart 2.24.14 Priority, # (7) Exhibit BQ - 275 Patent Claim Chart 3.24.14 Priority, # (8) Exhibit BR - 275 Patent Claim Chart 8.24.14 Priority, # (9) Exhibit BS - US8367235, # (10) Exhibit BT - 2013 Mophie Juice Pack Screen Shots, # (11) Exhibit C - US Published App No 20170098916, # (12) Exhibit D - WO2017004072, # (13) Exhibit E - US Published App No 20170098916, # (14) Exhibit H - US20130273752, # (15) Exhibit V - Rule 26, # (16) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 379 | Expert Report (Exhibit W - CV) (2) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit BA - 275 Patent, # (3) Exhibit BB - USP 10778275, # (4) Exhibit BG - US9760116, # (5) Exhibit BH - 2020 10 23 Exhibit C, # (6) Exhibit BP - 275 Patent Claim Chart 2.24.14 Priority, # (7) Exhibit BQ - 275 Patent Claim Chart 3.24.14 Priority, # (8) Exhibit BR - 275 Patent Claim Chart 8.24.14 Priority, # (9) Exhibit BS - US8367235, # (10) Exhibit BT - 2013 Mophie Juice Pack Screen Shots, # (11) Exhibit C - US Published App No 20170098916, # (12) Exhibit D - WO2017004072, # (13) Exhibit E - US Published App No 20170098916, # (14) Exhibit H - US20130273752, # (15) Exhibit V - Rule 26, # (16) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 380 | Expert Report (Main Document) (30) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit AA - US10454515, # (3) Exhibit AB - USP 10454515, # (4) Exhibit AF - JPA2014075327, # (5) Exhibit AG - KR101078214, # (6) Exhibit AH - English Translation, # (7) Exhibit AI - 2020 10 23 Exhibit B, # (8) Exhibit AK - US10666309, # (9) Exhibit AL - Receptacle, # (10) Exhibit B - USP9706026, # (11) Exhibit BM - Patent Claim Chart 2.24.14 Priority, # (12) Exhibit BN - Patent Claim Chart 3.21.14 Priority, # (13) Exhibit BO - Patent Claim Chart 8.24.14 Priority, # (14) Exhibit F - US5535274, # (15) Exhibit G - US7480138, # (16) Exhibit K - KR200265673, # (17) Exhibit L - KR2020010034756, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit R - Male Connector, # (20) Exhibit S - Female Connector, # (21) Exhibit V - Rule 26, # (22) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 380 | Expert Report (Exhibit A - US9706026) (30) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit AA - US10454515, # (3) Exhibit AB - USP 10454515, # (4) Exhibit AF - JPA2014075327, # (5) Exhibit AG - KR101078214, # (6) Exhibit AH - English Translation, # (7) Exhibit AI - 2020 10 23 Exhibit B, # (8) Exhibit AK - US10666309, # (9) Exhibit AL - Receptacle, # (10) Exhibit B - USP9706026, # (11) Exhibit BM - Patent Claim Chart 2.24.14 Priority, # (12) Exhibit BN - Patent Claim Chart 3.21.14 Priority, # (13) Exhibit BO - Patent Claim Chart 8.24.14 Priority, # (14) Exhibit F - US5535274, # (15) Exhibit G - US7480138, # (16) Exhibit K - KR200265673, # (17) Exhibit L - KR2020010034756, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit R - Male Connector, # (20) Exhibit S - Female Connector, # (21) Exhibit V - Rule 26, # (22) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 380 | Expert Report (Exhibit AA - US10454515) (30) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit AA - US10454515, # (3) Exhibit AB - USP 10454515, # (4) Exhibit AF - JPA2014075327, # (5) Exhibit AG - KR101078214, # (6) Exhibit AH - English Translation, # (7) Exhibit AI - 2020 10 23 Exhibit B, # (8) Exhibit AK - US10666309, # (9) Exhibit AL - Receptacle, # (10) Exhibit B - USP9706026, # (11) Exhibit BM - Patent Claim Chart 2.24.14 Priority, # (12) Exhibit BN - Patent Claim Chart 3.21.14 Priority, # (13) Exhibit BO - Patent Claim Chart 8.24.14 Priority, # (14) Exhibit F - US5535274, # (15) Exhibit G - US7480138, # (16) Exhibit K - KR200265673, # (17) Exhibit L - KR2020010034756, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit R - Male Connector, # (20) Exhibit S - Female Connector, # (21) Exhibit V - Rule 26, # (22) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 380 | Expert Report (Exhibit AB - USP 10454515) (30) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit AA - US10454515, # (3) Exhibit AB - USP 10454515, # (4) Exhibit AF - JPA2014075327, # (5) Exhibit AG - KR101078214, # (6) Exhibit AH - English Translation, # (7) Exhibit AI - 2020 10 23 Exhibit B, # (8) Exhibit AK - US10666309, # (9) Exhibit AL - Receptacle, # (10) Exhibit B - USP9706026, # (11) Exhibit BM - Patent Claim Chart 2.24.14 Priority, # (12) Exhibit BN - Patent Claim Chart 3.21.14 Priority, # (13) Exhibit BO - Patent Claim Chart 8.24.14 Priority, # (14) Exhibit F - US5535274, # (15) Exhibit G - US7480138, # (16) Exhibit K - KR200265673, # (17) Exhibit L - KR2020010034756, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit R - Male Connector, # (20) Exhibit S - Female Connector, # (21) Exhibit V - Rule 26, # (22) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 380 | Expert Report (Exhibit AF - JPA2014075327) (18) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit AA - US10454515, # (3) Exhibit AB - USP 10454515, # (4) Exhibit AF - JPA2014075327, # (5) Exhibit AG - KR101078214, # (6) Exhibit AH - English Translation, # (7) Exhibit AI - 2020 10 23 Exhibit B, # (8) Exhibit AK - US10666309, # (9) Exhibit AL - Receptacle, # (10) Exhibit B - USP9706026, # (11) Exhibit BM - Patent Claim Chart 2.24.14 Priority, # (12) Exhibit BN - Patent Claim Chart 3.21.14 Priority, # (13) Exhibit BO - Patent Claim Chart 8.24.14 Priority, # (14) Exhibit F - US5535274, # (15) Exhibit G - US7480138, # (16) Exhibit K - KR200265673, # (17) Exhibit L - KR2020010034756, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit R - Male Connector, # (20) Exhibit S - Female Connector, # (21) Exhibit V - Rule 26, # (22) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 380 | Expert Report (Exhibit AG - KR101078214) (13) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit AA - US10454515, # (3) Exhibit AB - USP 10454515, # (4) Exhibit AF - JPA2014075327, # (5) Exhibit AG - KR101078214, # (6) Exhibit AH - English Translation, # (7) Exhibit AI - 2020 10 23 Exhibit B, # (8) Exhibit AK - US10666309, # (9) Exhibit AL - Receptacle, # (10) Exhibit B - USP9706026, # (11) Exhibit BM - Patent Claim Chart 2.24.14 Priority, # (12) Exhibit BN - Patent Claim Chart 3.21.14 Priority, # (13) Exhibit BO - Patent Claim Chart 8.24.14 Priority, # (14) Exhibit F - US5535274, # (15) Exhibit G - US7480138, # (16) Exhibit K - KR200265673, # (17) Exhibit L - KR2020010034756, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit R - Male Connector, # (20) Exhibit S - Female Connector, # (21) Exhibit V - Rule 26, # (22) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 380 | Expert Report (Exhibit AH - English Translation) (14) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit AA - US10454515, # (3) Exhibit AB - USP 10454515, # (4) Exhibit AF - JPA2014075327, # (5) Exhibit AG - KR101078214, # (6) Exhibit AH - English Translation, # (7) Exhibit AI - 2020 10 23 Exhibit B, # (8) Exhibit AK - US10666309, # (9) Exhibit AL - Receptacle, # (10) Exhibit B - USP9706026, # (11) Exhibit BM - Patent Claim Chart 2.24.14 Priority, # (12) Exhibit BN - Patent Claim Chart 3.21.14 Priority, # (13) Exhibit BO - Patent Claim Chart 8.24.14 Priority, # (14) Exhibit F - US5535274, # (15) Exhibit G - US7480138, # (16) Exhibit K - KR200265673, # (17) Exhibit L - KR2020010034756, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit R - Male Connector, # (20) Exhibit S - Female Connector, # (21) Exhibit V - Rule 26, # (22) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 380 | Expert Report (Exhibit AI - 2020 10 23 Exhibit B) (28) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit AA - US10454515, # (3) Exhibit AB - USP 10454515, # (4) Exhibit AF - JPA2014075327, # (5) Exhibit AG - KR101078214, # (6) Exhibit AH - English Translation, # (7) Exhibit AI - 2020 10 23 Exhibit B, # (8) Exhibit AK - US10666309, # (9) Exhibit AL - Receptacle, # (10) Exhibit B - USP9706026, # (11) Exhibit BM - Patent Claim Chart 2.24.14 Priority, # (12) Exhibit BN - Patent Claim Chart 3.21.14 Priority, # (13) Exhibit BO - Patent Claim Chart 8.24.14 Priority, # (14) Exhibit F - US5535274, # (15) Exhibit G - US7480138, # (16) Exhibit K - KR200265673, # (17) Exhibit L - KR2020010034756, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit R - Male Connector, # (20) Exhibit S - Female Connector, # (21) Exhibit V - Rule 26, # (22) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 380 | Expert Report (Exhibit AK - US10666309) (30) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit AA - US10454515, # (3) Exhibit AB - USP 10454515, # (4) Exhibit AF - JPA2014075327, # (5) Exhibit AG - KR101078214, # (6) Exhibit AH - English Translation, # (7) Exhibit AI - 2020 10 23 Exhibit B, # (8) Exhibit AK - US10666309, # (9) Exhibit AL - Receptacle, # (10) Exhibit B - USP9706026, # (11) Exhibit BM - Patent Claim Chart 2.24.14 Priority, # (12) Exhibit BN - Patent Claim Chart 3.21.14 Priority, # (13) Exhibit BO - Patent Claim Chart 8.24.14 Priority, # (14) Exhibit F - US5535274, # (15) Exhibit G - US7480138, # (16) Exhibit K - KR200265673, # (17) Exhibit L - KR2020010034756, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit R - Male Connector, # (20) Exhibit S - Female Connector, # (21) Exhibit V - Rule 26, # (22) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 380 | Expert Report (Exhibit AL - Receptacle) (1) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit AA - US10454515, # (3) Exhibit AB - USP 10454515, # (4) Exhibit AF - JPA2014075327, # (5) Exhibit AG - KR101078214, # (6) Exhibit AH - English Translation, # (7) Exhibit AI - 2020 10 23 Exhibit B, # (8) Exhibit AK - US10666309, # (9) Exhibit AL - Receptacle, # (10) Exhibit B - USP9706026, # (11) Exhibit BM - Patent Claim Chart 2.24.14 Priority, # (12) Exhibit BN - Patent Claim Chart 3.21.14 Priority, # (13) Exhibit BO - Patent Claim Chart 8.24.14 Priority, # (14) Exhibit F - US5535274, # (15) Exhibit G - US7480138, # (16) Exhibit K - KR200265673, # (17) Exhibit L - KR2020010034756, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit R - Male Connector, # (20) Exhibit S - Female Connector, # (21) Exhibit V - Rule 26, # (22) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 380 | Expert Report (Exhibit B - USP9706026) (30) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit AA - US10454515, # (3) Exhibit AB - USP 10454515, # (4) Exhibit AF - JPA2014075327, # (5) Exhibit AG - KR101078214, # (6) Exhibit AH - English Translation, # (7) Exhibit AI - 2020 10 23 Exhibit B, # (8) Exhibit AK - US10666309, # (9) Exhibit AL - Receptacle, # (10) Exhibit B - USP9706026, # (11) Exhibit BM - Patent Claim Chart 2.24.14 Priority, # (12) Exhibit BN - Patent Claim Chart 3.21.14 Priority, # (13) Exhibit BO - Patent Claim Chart 8.24.14 Priority, # (14) Exhibit F - US5535274, # (15) Exhibit G - US7480138, # (16) Exhibit K - KR200265673, # (17) Exhibit L - KR2020010034756, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit R - Male Connector, # (20) Exhibit S - Female Connector, # (21) Exhibit V - Rule 26, # (22) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 380 | Expert Report (Exhibit BM - Patent Claim Chart 2.24.14 Priority) (10) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit AA - US10454515, # (3) Exhibit AB - USP 10454515, # (4) Exhibit AF - JPA2014075327, # (5) Exhibit AG - KR101078214, # (6) Exhibit AH - English Translation, # (7) Exhibit AI - 2020 10 23 Exhibit B, # (8) Exhibit AK - US10666309, # (9) Exhibit AL - Receptacle, # (10) Exhibit B - USP9706026, # (11) Exhibit BM - Patent Claim Chart 2.24.14 Priority, # (12) Exhibit BN - Patent Claim Chart 3.21.14 Priority, # (13) Exhibit BO - Patent Claim Chart 8.24.14 Priority, # (14) Exhibit F - US5535274, # (15) Exhibit G - US7480138, # (16) Exhibit K - KR200265673, # (17) Exhibit L - KR2020010034756, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit R - Male Connector, # (20) Exhibit S - Female Connector, # (21) Exhibit V - Rule 26, # (22) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 380 | Expert Report (Exhibit BN - Patent Claim Chart 3.21.14 Priority) (10) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit AA - US10454515, # (3) Exhibit AB - USP 10454515, # (4) Exhibit AF - JPA2014075327, # (5) Exhibit AG - KR101078214, # (6) Exhibit AH - English Translation, # (7) Exhibit AI - 2020 10 23 Exhibit B, # (8) Exhibit AK - US10666309, # (9) Exhibit AL - Receptacle, # (10) Exhibit B - USP9706026, # (11) Exhibit BM - Patent Claim Chart 2.24.14 Priority, # (12) Exhibit BN - Patent Claim Chart 3.21.14 Priority, # (13) Exhibit BO - Patent Claim Chart 8.24.14 Priority, # (14) Exhibit F - US5535274, # (15) Exhibit G - US7480138, # (16) Exhibit K - KR200265673, # (17) Exhibit L - KR2020010034756, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit R - Male Connector, # (20) Exhibit S - Female Connector, # (21) Exhibit V - Rule 26, # (22) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 380 | Expert Report (Exhibit BO - Patent Claim Chart 8.24.14 Priority) (8) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit AA - US10454515, # (3) Exhibit AB - USP 10454515, # (4) Exhibit AF - JPA2014075327, # (5) Exhibit AG - KR101078214, # (6) Exhibit AH - English Translation, # (7) Exhibit AI - 2020 10 23 Exhibit B, # (8) Exhibit AK - US10666309, # (9) Exhibit AL - Receptacle, # (10) Exhibit B - USP9706026, # (11) Exhibit BM - Patent Claim Chart 2.24.14 Priority, # (12) Exhibit BN - Patent Claim Chart 3.21.14 Priority, # (13) Exhibit BO - Patent Claim Chart 8.24.14 Priority, # (14) Exhibit F - US5535274, # (15) Exhibit G - US7480138, # (16) Exhibit K - KR200265673, # (17) Exhibit L - KR2020010034756, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit R - Male Connector, # (20) Exhibit S - Female Connector, # (21) Exhibit V - Rule 26, # (22) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 380 | Expert Report (Exhibit F - US5535274) (30) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit AA - US10454515, # (3) Exhibit AB - USP 10454515, # (4) Exhibit AF - JPA2014075327, # (5) Exhibit AG - KR101078214, # (6) Exhibit AH - English Translation, # (7) Exhibit AI - 2020 10 23 Exhibit B, # (8) Exhibit AK - US10666309, # (9) Exhibit AL - Receptacle, # (10) Exhibit B - USP9706026, # (11) Exhibit BM - Patent Claim Chart 2.24.14 Priority, # (12) Exhibit BN - Patent Claim Chart 3.21.14 Priority, # (13) Exhibit BO - Patent Claim Chart 8.24.14 Priority, # (14) Exhibit F - US5535274, # (15) Exhibit G - US7480138, # (16) Exhibit K - KR200265673, # (17) Exhibit L - KR2020010034756, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit R - Male Connector, # (20) Exhibit S - Female Connector, # (21) Exhibit V - Rule 26, # (22) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 380 | Expert Report (Exhibit G - US7480138) (10) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit AA - US10454515, # (3) Exhibit AB - USP 10454515, # (4) Exhibit AF - JPA2014075327, # (5) Exhibit AG - KR101078214, # (6) Exhibit AH - English Translation, # (7) Exhibit AI - 2020 10 23 Exhibit B, # (8) Exhibit AK - US10666309, # (9) Exhibit AL - Receptacle, # (10) Exhibit B - USP9706026, # (11) Exhibit BM - Patent Claim Chart 2.24.14 Priority, # (12) Exhibit BN - Patent Claim Chart 3.21.14 Priority, # (13) Exhibit BO - Patent Claim Chart 8.24.14 Priority, # (14) Exhibit F - US5535274, # (15) Exhibit G - US7480138, # (16) Exhibit K - KR200265673, # (17) Exhibit L - KR2020010034756, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit R - Male Connector, # (20) Exhibit S - Female Connector, # (21) Exhibit V - Rule 26, # (22) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 380 | Expert Report (Exhibit K - KR200265673) (11) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit AA - US10454515, # (3) Exhibit AB - USP 10454515, # (4) Exhibit AF - JPA2014075327, # (5) Exhibit AG - KR101078214, # (6) Exhibit AH - English Translation, # (7) Exhibit AI - 2020 10 23 Exhibit B, # (8) Exhibit AK - US10666309, # (9) Exhibit AL - Receptacle, # (10) Exhibit B - USP9706026, # (11) Exhibit BM - Patent Claim Chart 2.24.14 Priority, # (12) Exhibit BN - Patent Claim Chart 3.21.14 Priority, # (13) Exhibit BO - Patent Claim Chart 8.24.14 Priority, # (14) Exhibit F - US5535274, # (15) Exhibit G - US7480138, # (16) Exhibit K - KR200265673, # (17) Exhibit L - KR2020010034756, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit R - Male Connector, # (20) Exhibit S - Female Connector, # (21) Exhibit V - Rule 26, # (22) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 380 | Expert Report (Exhibit L - KR2020010034756) (7) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit AA - US10454515, # (3) Exhibit AB - USP 10454515, # (4) Exhibit AF - JPA2014075327, # (5) Exhibit AG - KR101078214, # (6) Exhibit AH - English Translation, # (7) Exhibit AI - 2020 10 23 Exhibit B, # (8) Exhibit AK - US10666309, # (9) Exhibit AL - Receptacle, # (10) Exhibit B - USP9706026, # (11) Exhibit BM - Patent Claim Chart 2.24.14 Priority, # (12) Exhibit BN - Patent Claim Chart 3.21.14 Priority, # (13) Exhibit BO - Patent Claim Chart 8.24.14 Priority, # (14) Exhibit F - US5535274, # (15) Exhibit G - US7480138, # (16) Exhibit K - KR200265673, # (17) Exhibit L - KR2020010034756, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit R - Male Connector, # (20) Exhibit S - Female Connector, # (21) Exhibit V - Rule 26, # (22) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 380 | Expert Report (Exhibit O - Cameron Declaration) (30) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit AA - US10454515, # (3) Exhibit AB - USP 10454515, # (4) Exhibit AF - JPA2014075327, # (5) Exhibit AG - KR101078214, # (6) Exhibit AH - English Translation, # (7) Exhibit AI - 2020 10 23 Exhibit B, # (8) Exhibit AK - US10666309, # (9) Exhibit AL - Receptacle, # (10) Exhibit B - USP9706026, # (11) Exhibit BM - Patent Claim Chart 2.24.14 Priority, # (12) Exhibit BN - Patent Claim Chart 3.21.14 Priority, # (13) Exhibit BO - Patent Claim Chart 8.24.14 Priority, # (14) Exhibit F - US5535274, # (15) Exhibit G - US7480138, # (16) Exhibit K - KR200265673, # (17) Exhibit L - KR2020010034756, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit R - Male Connector, # (20) Exhibit S - Female Connector, # (21) Exhibit V - Rule 26, # (22) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 380 | Expert Report (Exhibit R - Male Connector) (1) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit AA - US10454515, # (3) Exhibit AB - USP 10454515, # (4) Exhibit AF - JPA2014075327, # (5) Exhibit AG - KR101078214, # (6) Exhibit AH - English Translation, # (7) Exhibit AI - 2020 10 23 Exhibit B, # (8) Exhibit AK - US10666309, # (9) Exhibit AL - Receptacle, # (10) Exhibit B - USP9706026, # (11) Exhibit BM - Patent Claim Chart 2.24.14 Priority, # (12) Exhibit BN - Patent Claim Chart 3.21.14 Priority, # (13) Exhibit BO - Patent Claim Chart 8.24.14 Priority, # (14) Exhibit F - US5535274, # (15) Exhibit G - US7480138, # (16) Exhibit K - KR200265673, # (17) Exhibit L - KR2020010034756, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit R - Male Connector, # (20) Exhibit S - Female Connector, # (21) Exhibit V - Rule 26, # (22) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 380 | Expert Report (Exhibit S - Female Connector) (1) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit AA - US10454515, # (3) Exhibit AB - USP 10454515, # (4) Exhibit AF - JPA2014075327, # (5) Exhibit AG - KR101078214, # (6) Exhibit AH - English Translation, # (7) Exhibit AI - 2020 10 23 Exhibit B, # (8) Exhibit AK - US10666309, # (9) Exhibit AL - Receptacle, # (10) Exhibit B - USP9706026, # (11) Exhibit BM - Patent Claim Chart 2.24.14 Priority, # (12) Exhibit BN - Patent Claim Chart 3.21.14 Priority, # (13) Exhibit BO - Patent Claim Chart 8.24.14 Priority, # (14) Exhibit F - US5535274, # (15) Exhibit G - US7480138, # (16) Exhibit K - KR200265673, # (17) Exhibit L - KR2020010034756, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit R - Male Connector, # (20) Exhibit S - Female Connector, # (21) Exhibit V - Rule 26, # (22) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 380 | Expert Report (Exhibit V - Rule 26) (1) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit AA - US10454515, # (3) Exhibit AB - USP 10454515, # (4) Exhibit AF - JPA2014075327, # (5) Exhibit AG - KR101078214, # (6) Exhibit AH - English Translation, # (7) Exhibit AI - 2020 10 23 Exhibit B, # (8) Exhibit AK - US10666309, # (9) Exhibit AL - Receptacle, # (10) Exhibit B - USP9706026, # (11) Exhibit BM - Patent Claim Chart 2.24.14 Priority, # (12) Exhibit BN - Patent Claim Chart 3.21.14 Priority, # (13) Exhibit BO - Patent Claim Chart 8.24.14 Priority, # (14) Exhibit F - US5535274, # (15) Exhibit G - US7480138, # (16) Exhibit K - KR200265673, # (17) Exhibit L - KR2020010034756, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit R - Male Connector, # (20) Exhibit S - Female Connector, # (21) Exhibit V - Rule 26, # (22) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 380 | Expert Report (Exhibit W - CV) (2) Docket Text: Expert Report of Jason Stigge by Defendant Bjorn Spilling (Attachments: # (1) Exhibit A - US9706026, # (2) Exhibit AA - US10454515, # (3) Exhibit AB - USP 10454515, # (4) Exhibit AF - JPA2014075327, # (5) Exhibit AG - KR101078214, # (6) Exhibit AH - English Translation, # (7) Exhibit AI - 2020 10 23 Exhibit B, # (8) Exhibit AK - US10666309, # (9) Exhibit AL - Receptacle, # (10) Exhibit B - USP9706026, # (11) Exhibit BM - Patent Claim Chart 2.24.14 Priority, # (12) Exhibit BN - Patent Claim Chart 3.21.14 Priority, # (13) Exhibit BO - Patent Claim Chart 8.24.14 Priority, # (14) Exhibit F - US5535274, # (15) Exhibit G - US7480138, # (16) Exhibit K - KR200265673, # (17) Exhibit L - KR2020010034756, # (18) Exhibit O - Cameron Declaration, # (19) Exhibit R - Male Connector, # (20) Exhibit S - Female Connector, # (21) Exhibit V - Rule 26, # (22) Exhibit W - CV) (Davis, Laura) |
| Sep 6, 2022 | 381 | Motion for Partial Summary Judgment (3) Docket Text: MOTION FOR PARTIAL SUMMARY JUDGMENT . by Defendant Bjorn Spilling. Brief in Opposition due 9/27/2022. Brief in Reply due 10/7/2022. (Davis, Laura) |
| Sep 6, 2022 | 383 | Motion for Partial Summary Judgment (2) Docket Text: MOTION FOR PARTIAL SUMMARY JUDGMENT of No Inequitable Conduct. by Plaintiff National Products, Inc.. Brief in Opposition due 9/27/2022. Brief in Reply due 10/7/2022. (Tamimi, Jonathan) |
| Sep 2, 2022 | N/A | Text Only Order (0) Docket Text: ** TEXT ONLY ORDER **Trial in this matter is moved to March 20, 2023, with the first final pretrial conference to be held March 8, 2023 at 3:00 p.m. and the second conference to be held March 15 at 3:00 p.m.; motions in limine and Rule26(a) disclosures shall be due February 8, 2023 with responses due February 22, 2023. Signed by District Judge William M. Conley on 9/2/22. (jat) |
| Sep 2, 2022 | 374 | Redacted Document (Main Document) (2) Docket Text: Redaction to [370] Declaration, by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - Excerpts of the Invalidity Expert Report, # (2) Exhibit B - Excerpts of the Damages Expert Report of Paul A. Rodrigues, # (3) Exhibit C - Def Spilling's Initial Disclosures) (Kaempf, Jessica) |
| Sep 2, 2022 | 374 | Redacted Document (Exhibit A - Excerpts of the Invalidity Expert Report) (30) Docket Text: Redaction to [370] Declaration, by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - Excerpts of the Invalidity Expert Report, # (2) Exhibit B - Excerpts of the Damages Expert Report of Paul A. Rodrigues, # (3) Exhibit C - Def Spilling's Initial Disclosures) (Kaempf, Jessica) |
| Sep 2, 2022 | 374 | Redacted Document (Exhibit B - Excerpts of the Damages Expert Report of Paul A. Rodrigues) (1) Docket Text: Redaction to [370] Declaration, by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - Excerpts of the Invalidity Expert Report, # (2) Exhibit B - Excerpts of the Damages Expert Report of Paul A. Rodrigues, # (3) Exhibit C - Def Spilling's Initial Disclosures) (Kaempf, Jessica) |
| Sep 2, 2022 | 374 | Redacted Document (Exhibit C - Def Spilling's Initial Disclosures) (8) Docket Text: Redaction to [370] Declaration, by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - Excerpts of the Invalidity Expert Report, # (2) Exhibit B - Excerpts of the Damages Expert Report of Paul A. Rodrigues, # (3) Exhibit C - Def Spilling's Initial Disclosures) (Kaempf, Jessica) |
| Sep 2, 2022 | 375 | Motion to Strike (2) Docket Text: Motion to Strike by Defendants Brodit AB, ProClip USA, Inc.. Brief in Opposition due 9/16/2022. Brief in Reply due 9/23/2022. (Davis, Laura) |
| Aug 30, 2022 | 371 | Motion for Hearing (2) Docket Text: Motion for Hearing (Status Conference) by Plaintiff National Products, Inc. (Kaempf, Jessica) Modified on 8/30/2022: E-mail sent to counsel. (lak) |
| Aug 30, 2022 | N/A | Order on Motion to Dismiss (0) Docket Text: ** TEXT ONLY ORDER ** Before the court are several outstanding motions. As an initial matter, ProClip and Brodit's motion to dismiss (dkt. #[330]) is DENIED in its present form, as the court did not give either defendant permission to seek dismissal on the merits. Instead, defendants ProClip and Brodit may have until September 2, 2022, to file a narrow motion to strike any allegations and claims in the third amended complaint (dkt. #[316]) that were not previously disclosed by plaintiff. Plaintiff may respond by September 9, 2022. In light of that ruling, the court also DENIES NPI's motion to strike (dkt. #[337]) as moot. Finally, pending completion of briefing and rulings on the motions mentioned in NPI's request for a status conference (dkt. #[371]), discovery will remain closed and NPI's request for an immediate conference is DENIED as moot. Of course, if either party believes a status conference is still necessary, they may inform the court. Signed by District Judge William M. Conley on 8/30/22. (jat) |
| Aug 29, 2022 | 369 | Motion to Strike (13) Docket Text: Motion to Strike by Plaintiff National Products, Inc.. Brief in Opposition due 9/12/2022. Brief in Reply due 9/19/2022. (Kaempf, Jessica) |
| Aug 25, 2022 | 367 | Redacted Document (28) Docket Text: Redaction to [363] Brief in Reply by Defendants Brodit AB, ProClip USA, Inc. (Davis, Laura) |
| Aug 23, 2022 | 364 | Redacted Document (30) Docket Text: Redaction to [355] Brief in Opposition by Plaintiff National Products, Inc. (Tamimi, Jonathan) |
| Aug 23, 2022 | 365 | Redacted Document (Main Document) (3) Docket Text: Redaction to [356] Declaration, by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - NPI's Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (2) Exhibit B - BRODIT0088221, # (3) Exhibit C - NPI-ProClip 00075870, # (4) Exhibit D - E-mail thread dated November 21, 2014, # (5) Exhibit E - Internet Archive capture of NPI webpage, # (6) Exhibit F - ProClip's Responses to NPI's Fourth Set of Interrogatories, # (7) Exhibit G - E-mail thread dated July 8, 2022, # (8) Exhibit H - E-mail thread dated August 9, 2022) (Tamimi, Jonathan) |
| Aug 23, 2022 | 365 | Redacted Document (Exhibit A - NPI's Supplemental Disclosure of Asserted Claims and Infringeme) (8) Docket Text: Redaction to [356] Declaration, by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - NPI's Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (2) Exhibit B - BRODIT0088221, # (3) Exhibit C - NPI-ProClip 00075870, # (4) Exhibit D - E-mail thread dated November 21, 2014, # (5) Exhibit E - Internet Archive capture of NPI webpage, # (6) Exhibit F - ProClip's Responses to NPI's Fourth Set of Interrogatories, # (7) Exhibit G - E-mail thread dated July 8, 2022, # (8) Exhibit H - E-mail thread dated August 9, 2022) (Tamimi, Jonathan) |
| Aug 23, 2022 | 365 | Redacted Document (Exhibit B - BRODIT0088221) (1) Docket Text: Redaction to [356] Declaration, by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - NPI's Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (2) Exhibit B - BRODIT0088221, # (3) Exhibit C - NPI-ProClip 00075870, # (4) Exhibit D - E-mail thread dated November 21, 2014, # (5) Exhibit E - Internet Archive capture of NPI webpage, # (6) Exhibit F - ProClip's Responses to NPI's Fourth Set of Interrogatories, # (7) Exhibit G - E-mail thread dated July 8, 2022, # (8) Exhibit H - E-mail thread dated August 9, 2022) (Tamimi, Jonathan) |
| Aug 23, 2022 | 365 | Redacted Document (Exhibit C - NPI-ProClip 00075870) (1) Docket Text: Redaction to [356] Declaration, by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - NPI's Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (2) Exhibit B - BRODIT0088221, # (3) Exhibit C - NPI-ProClip 00075870, # (4) Exhibit D - E-mail thread dated November 21, 2014, # (5) Exhibit E - Internet Archive capture of NPI webpage, # (6) Exhibit F - ProClip's Responses to NPI's Fourth Set of Interrogatories, # (7) Exhibit G - E-mail thread dated July 8, 2022, # (8) Exhibit H - E-mail thread dated August 9, 2022) (Tamimi, Jonathan) |
| Aug 23, 2022 | 365 | Redacted Document (Exhibit D - E-mail thread dated November 21, 2014) (1) Docket Text: Redaction to [356] Declaration, by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - NPI's Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (2) Exhibit B - BRODIT0088221, # (3) Exhibit C - NPI-ProClip 00075870, # (4) Exhibit D - E-mail thread dated November 21, 2014, # (5) Exhibit E - Internet Archive capture of NPI webpage, # (6) Exhibit F - ProClip's Responses to NPI's Fourth Set of Interrogatories, # (7) Exhibit G - E-mail thread dated July 8, 2022, # (8) Exhibit H - E-mail thread dated August 9, 2022) (Tamimi, Jonathan) |
| Aug 23, 2022 | 365 | Redacted Document (Exhibit E - Internet Archive capture of NPI webpage) (1) Docket Text: Redaction to [356] Declaration, by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - NPI's Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (2) Exhibit B - BRODIT0088221, # (3) Exhibit C - NPI-ProClip 00075870, # (4) Exhibit D - E-mail thread dated November 21, 2014, # (5) Exhibit E - Internet Archive capture of NPI webpage, # (6) Exhibit F - ProClip's Responses to NPI's Fourth Set of Interrogatories, # (7) Exhibit G - E-mail thread dated July 8, 2022, # (8) Exhibit H - E-mail thread dated August 9, 2022) (Tamimi, Jonathan) |
| Aug 23, 2022 | 365 | Redacted Document (Exhibit F - ProClip's Responses to NPI's Fourth Set of Interrogatories) (1) Docket Text: Redaction to [356] Declaration, by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - NPI's Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (2) Exhibit B - BRODIT0088221, # (3) Exhibit C - NPI-ProClip 00075870, # (4) Exhibit D - E-mail thread dated November 21, 2014, # (5) Exhibit E - Internet Archive capture of NPI webpage, # (6) Exhibit F - ProClip's Responses to NPI's Fourth Set of Interrogatories, # (7) Exhibit G - E-mail thread dated July 8, 2022, # (8) Exhibit H - E-mail thread dated August 9, 2022) (Tamimi, Jonathan) |
| Aug 23, 2022 | 365 | Redacted Document (Exhibit G - E-mail thread dated July 8, 2022) (3) Docket Text: Redaction to [356] Declaration, by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - NPI's Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (2) Exhibit B - BRODIT0088221, # (3) Exhibit C - NPI-ProClip 00075870, # (4) Exhibit D - E-mail thread dated November 21, 2014, # (5) Exhibit E - Internet Archive capture of NPI webpage, # (6) Exhibit F - ProClip's Responses to NPI's Fourth Set of Interrogatories, # (7) Exhibit G - E-mail thread dated July 8, 2022, # (8) Exhibit H - E-mail thread dated August 9, 2022) (Tamimi, Jonathan) |
| Aug 23, 2022 | 365 | Redacted Document (Exhibit H - E-mail thread dated August 9, 2022) (7) Docket Text: Redaction to [356] Declaration, by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - NPI's Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (2) Exhibit B - BRODIT0088221, # (3) Exhibit C - NPI-ProClip 00075870, # (4) Exhibit D - E-mail thread dated November 21, 2014, # (5) Exhibit E - Internet Archive capture of NPI webpage, # (6) Exhibit F - ProClip's Responses to NPI's Fourth Set of Interrogatories, # (7) Exhibit G - E-mail thread dated July 8, 2022, # (8) Exhibit H - E-mail thread dated August 9, 2022) (Tamimi, Jonathan) |
| Aug 23, 2022 | 366 | Redacted Document (15) Docket Text: Redaction to [360] Brief in Support by Counter Defendant Jeffrey Carnevali. (Tellekson, David) |
| Aug 22, 2022 | 362 | Summons Issued (2) Docket Text: Summons Issued as to Bjorn Spilling. (lak) |
| Aug 19, 2022 | 357 | Request for Issuance of Summons (2) Docket Text: Request for Issuance of Summons by Plaintiff National Products, Inc.. (Tamimi, Jonathan) |
| Aug 19, 2022 | 358 | Answer to Counterclaim (21) Docket Text: Answer to [342] Counterclaim by Plaintiff National Products, Inc.. (Tellekson, David) |
| Aug 19, 2022 | 359 | Motion to Dismiss (2) Docket Text: MOTION TO DISMISS Counterclaim of Defendant Bjorn Spilling by Counter Defendant Jeffrey Carnevali. Brief in Opposition due 9/9/2022. Brief in Reply due 9/19/2022. (Tellekson, David) |
| Aug 19, 2022 | 361 | Declaration (Main Document) (2) Docket Text: Declaration of Jonathan T. McMichael filed by Counter Defendant Jeffrey Carnevali re: [359] Motion to Dismiss (Attachments: # (1) Exhibit 1 - 2021 10 25 [076] Order on NPI's Motion to Dismiss, # (2) Exhibit 2 - 2022 02 25 [087] Order on NPI's Motion to Dismiss Defs' Counterclaims) (McMichael, Jonathan) |
| Aug 19, 2022 | 361 | Declaration (Exhibit 1 - 2021 10 25 [076] Order on NPI's Motion to Dismiss) (23) Docket Text: Declaration of Jonathan T. McMichael filed by Counter Defendant Jeffrey Carnevali re: [359] Motion to Dismiss (Attachments: # (1) Exhibit 1 - 2021 10 25 [076] Order on NPI's Motion to Dismiss, # (2) Exhibit 2 - 2022 02 25 [087] Order on NPI's Motion to Dismiss Defs' Counterclaims) (McMichael, Jonathan) |
| Aug 19, 2022 | 361 | Declaration (Exhibit 2 - 2022 02 25 [087] Order on NPI's Motion to Dismiss Defs' Co) (11) Docket Text: Declaration of Jonathan T. McMichael filed by Counter Defendant Jeffrey Carnevali re: [359] Motion to Dismiss (Attachments: # (1) Exhibit 1 - 2021 10 25 [076] Order on NPI's Motion to Dismiss, # (2) Exhibit 2 - 2022 02 25 [087] Order on NPI's Motion to Dismiss Defs' Counterclaims) (McMichael, Jonathan) |
| Aug 16, 2022 | 353 | Redacted Document (30) Docket Text: Redaction to [350] Brief in Opposition by Plaintiff National Products, Inc. (Tamimi, Jonathan) |
| Aug 16, 2022 | 354 | Redacted Document (Main Document) (3) Docket Text: Redaction to [351] Declaration by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2022-12-14 NPI's Supplemental Infringement Contentions, # (2) Exhibit B - BRODIT0088221, # (3) Exhibit C - NPI-ProClip 00075870, # (4) Exhibit D - Spilling 06, # (5) Exhibit E - Spilling 30(b)(6), # (6) Exhibit F - 2022-04-22 ProClip's Resp, , # (7) Exhibit G - Narrowing Asserted Patent Claims) (Tamimi, Jonathan) Modified on 8/17/2022 (jat). |
| Aug 16, 2022 | 354 | Redacted Document (Exhibit A - 2022-12-14 NPI's Supplemental) (8) Docket Text: Redaction to [351] Declaration by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2022-12-14 NPI's Supplemental Infringement Contentions, # (2) Exhibit B - BRODIT0088221, # (3) Exhibit C - NPI-ProClip 00075870, # (4) Exhibit D - Spilling 06, # (5) Exhibit E - Spilling 30(b)(6), # (6) Exhibit F - 2022-04-22 ProClip's Resp, , # (7) Exhibit G - Narrowing Asserted Patent Claims) (Tamimi, Jonathan) Modified on 8/17/2022 (jat). |
| Aug 16, 2022 | 354 | Redacted Document (Exhibit B - BRODIT0088221) (1) Docket Text: Redaction to [351] Declaration by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2022-12-14 NPI's Supplemental Infringement Contentions, # (2) Exhibit B - BRODIT0088221, # (3) Exhibit C - NPI-ProClip 00075870, # (4) Exhibit D - Spilling 06, # (5) Exhibit E - Spilling 30(b)(6), # (6) Exhibit F - 2022-04-22 ProClip's Resp, , # (7) Exhibit G - Narrowing Asserted Patent Claims) (Tamimi, Jonathan) Modified on 8/17/2022 (jat). |
| Aug 16, 2022 | 354 | Redacted Document (Exhibit C - NPI-ProClip 00075870) (6) Docket Text: Redaction to [351] Declaration by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2022-12-14 NPI's Supplemental Infringement Contentions, # (2) Exhibit B - BRODIT0088221, # (3) Exhibit C - NPI-ProClip 00075870, # (4) Exhibit D - Spilling 06, # (5) Exhibit E - Spilling 30(b)(6), # (6) Exhibit F - 2022-04-22 ProClip's Resp, , # (7) Exhibit G - Narrowing Asserted Patent Claims) (Tamimi, Jonathan) Modified on 8/17/2022 (jat). |
| Aug 16, 2022 | 354 | Redacted Document (Exhibit D - Spilling 06) (1) Docket Text: Redaction to [351] Declaration by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2022-12-14 NPI's Supplemental Infringement Contentions, # (2) Exhibit B - BRODIT0088221, # (3) Exhibit C - NPI-ProClip 00075870, # (4) Exhibit D - Spilling 06, # (5) Exhibit E - Spilling 30(b)(6), # (6) Exhibit F - 2022-04-22 ProClip's Resp, , # (7) Exhibit G - Narrowing Asserted Patent Claims) (Tamimi, Jonathan) Modified on 8/17/2022 (jat). |
| Aug 16, 2022 | 354 | Redacted Document (Exhibit E - Spilling 30(b)(6)) (1) Docket Text: Redaction to [351] Declaration by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2022-12-14 NPI's Supplemental Infringement Contentions, # (2) Exhibit B - BRODIT0088221, # (3) Exhibit C - NPI-ProClip 00075870, # (4) Exhibit D - Spilling 06, # (5) Exhibit E - Spilling 30(b)(6), # (6) Exhibit F - 2022-04-22 ProClip's Resp, , # (7) Exhibit G - Narrowing Asserted Patent Claims) (Tamimi, Jonathan) Modified on 8/17/2022 (jat). |
| Aug 16, 2022 | 354 | Redacted Document (Exhibit F - 2022-04-22 ProClip's Resp) (1) Docket Text: Redaction to [351] Declaration by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2022-12-14 NPI's Supplemental Infringement Contentions, # (2) Exhibit B - BRODIT0088221, # (3) Exhibit C - NPI-ProClip 00075870, # (4) Exhibit D - Spilling 06, # (5) Exhibit E - Spilling 30(b)(6), # (6) Exhibit F - 2022-04-22 ProClip's Resp, , # (7) Exhibit G - Narrowing Asserted Patent Claims) (Tamimi, Jonathan) Modified on 8/17/2022 (jat). |
| Aug 16, 2022 | 354 | Redacted Document (Exhibit G - Narrowing Asserted Patent Claims) (5) Docket Text: Redaction to [351] Declaration by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2022-12-14 NPI's Supplemental Infringement Contentions, # (2) Exhibit B - BRODIT0088221, # (3) Exhibit C - NPI-ProClip 00075870, # (4) Exhibit D - Spilling 06, # (5) Exhibit E - Spilling 30(b)(6), # (6) Exhibit F - 2022-04-22 ProClip's Resp, , # (7) Exhibit G - Narrowing Asserted Patent Claims) (Tamimi, Jonathan) Modified on 8/17/2022 (jat). |
| Aug 15, 2022 | 352 | Brief in Reply (5) Docket Text: Brief in Reply by Plaintiff National Products, Inc. in Support of [337] NPI's Motion to Strike (Tamimi, Jonathan) Modified on 8/16/2022 (jat). |
| Aug 8, 2022 | 349 | Brief in Opposition (6) Docket Text: Brief in Opposition by Defendants Brodit AB, ProClip USA, Inc. re: [337] Motion to Strike filed by National Products, Inc. (Davis, Laura) |
| Aug 5, 2022 | 347 | Answer to Counterclaim (5) Docket Text: Answer to [333] Counterclaim by Plaintiff National Products, Inc.. (Tellekson, David) |
| Aug 5, 2022 | 348 | Answer to Counterclaim (5) Docket Text: Answer to [334] Counterclaim by Plaintiff National Products, Inc.. (Tellekson, David) |
| Aug 1, 2022 | 344 | Summons Issued (2) Docket Text: Summons Issued as to Jeffrey Carnevali. (lak) |
| Aug 1, 2022 | 345 | Redacted Document (30) Docket Text: Redaction to [339] Brief in Support of Motion to Dismiss and Strike by Defendant Bjorn Spilling. (Davis, Laura) Modified on 8/1/2022. (lak) |
| Aug 1, 2022 | 346 | Redacted Document (30) Docket Text: Redaction to [342] Answer to Amended Complaint, Counterclaim, by Defendant Bjorn Spilling. (Van Camp, Elijah) Modified on 8/2/2022. (lak) |
| Jul 29, 2022 | 338 | Motion to Dismiss (3) Docket Text: MOTION TO DISMISS and Strike by Defendant Bjorn Spilling. Brief in Opposition due 8/19/2022. Brief in Reply due 8/29/2022. (Davis, Laura) |
| Jul 29, 2022 | 340 | Declaration (2) Docket Text: Declaration of Bjorn Spilling filed by Defendant Bjorn Spilling re: [338] Motion to Dismiss (Davis, Laura) |
| Jul 29, 2022 | 341 | Declaration (Main Document) (2) Docket Text: Declaration of Elijah B. Van Camp filed by Defendant Bjorn Spilling re: [338] Motion to Dismiss (Attachments: # (1) Exhibit A - Email chain) (Davis, Laura) |
| Jul 29, 2022 | 341 | Declaration (Exhibit A - Email chain) (4) Docket Text: Declaration of Elijah B. Van Camp filed by Defendant Bjorn Spilling re: [338] Motion to Dismiss (Attachments: # (1) Exhibit A - Email chain) (Davis, Laura) |
| Jul 29, 2022 | 343 | Request for Issuance of Summons (2) Docket Text: Request for Issuance of Summons by Defendant Bjorn Spilling. (Van Camp, Elijah) |
| Jul 25, 2022 | 335 | Redacted Document (30) Docket Text: Redaction to [333] Answer to Amended Complaint, Counterclaim by Defendant Brodit AB (Van Camp, Elijah) |
| Jul 25, 2022 | 336 | Redacted Document (30) Docket Text: Redaction to [334] Answer to Amended Complaint, Counterclaim by Defendant ProClip USA, Inc. (Van Camp, Elijah) |
| Jul 25, 2022 | 337 | Motion to Strike (4) Docket Text: Motion to Strike [330] PARTIAL MOTION TO DISMISS by Plaintiff National Products, Inc.. Brief in Opposition due 8/8/2022. Brief in Reply due 8/15/2022. (Tamimi, Jonathan) |
| Jul 22, 2022 | 330 | Motion to Dismiss (3) Docket Text: PARTIAL MOTION TO DISMISS, to Strike, and for a More Definite Statement by Defendants Brodit AB, ProClip USA, Inc. Brief in Opposition due 8/12/2022. Brief in Reply due 8/22/2022. (Davis, Laura) Modified on 7/25/2022. (lak) |
| Jul 22, 2022 | 331 | Brief in Support (23) Docket Text: Brief in Support of [330] Partial Motion to Dismiss, to Strike, and for a More Definite Statement by Defendants Brodit AB, ProClip USA, Inc. (Davis, Laura) Modified on 7/25/2022. (lak) |
| Jul 22, 2022 | 332 | Declaration (Main Document) (2) Docket Text: Declaration of Elijah Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. in Support re: [330] Partial Motion to Dismiss, (Attachments: # (1) Exhibit A - 7.6.22 - 7.8.22 Email Exchange Between Counsel) (Davis, Laura) Modified on 7/25/2022. (lak) |
| Jul 22, 2022 | 332 | Declaration (Exhibit A - 7.6.22 - 7.8.22 Email Exchange Between Counsel) (4) Docket Text: Declaration of Elijah Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. in Support re: [330] Partial Motion to Dismiss, (Attachments: # (1) Exhibit A - 7.6.22 - 7.8.22 Email Exchange Between Counsel) (Davis, Laura) Modified on 7/25/2022. (lak) |
| Jul 19, 2022 | 329 | Notice (Other) (3) Docket Text: Joint Response re: [328] Order on Motion to Continue. (Tamimi, Jonathan) Modified on 7/19/2022. (lak) |
| Jul 15, 2022 | N/A | Order on Motion to Continue (0) Docket Text: ** TEXT ONLY ORDER **Defendants' motion to continue trial (dkt. #[324]) is GRANTED IN PART AND DENIED IN PART. The parties are to confer and advise the court by July 19th which of the following three dates is acceptable to both sides for trial: November 7, December 12 or December 19, 2022. Signed by District Judge William M. Conley on 7/15/2022. (jls) |
| Jul 14, 2022 | 324 | Motion to Continue (3) Docket Text: Motion to Continue Trial due to a Conflicting Lawsuit by Defendants Brodit AB, ProClip USA, Inc., Bjorn Spilling. Response due 7/21/2022. (Van Camp, Elijah) |
| Jul 14, 2022 | 325 | Declaration (Main Document) (2) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc., Bjorn Spilling re: [324] Motion to Continue (Attachments: # (1) Exhibit 1 - Minute entry re: pretrial deadlines, # (2) Exhibit 2 - Minute entry resetting trial date) (Van Camp, Elijah) |
| Jul 14, 2022 | 325 | Declaration (Exhibit 1 - Minute entry re: pretrial deadlines) (2) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc., Bjorn Spilling re: [324] Motion to Continue (Attachments: # (1) Exhibit 1 - Minute entry re: pretrial deadlines, # (2) Exhibit 2 - Minute entry resetting trial date) (Van Camp, Elijah) |
| Jul 14, 2022 | 325 | Declaration (Exhibit 2 - Minute entry resetting trial date) (2) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc., Bjorn Spilling re: [324] Motion to Continue (Attachments: # (1) Exhibit 1 - Minute entry re: pretrial deadlines, # (2) Exhibit 2 - Minute entry resetting trial date) (Van Camp, Elijah) |
| Jul 14, 2022 | 326 | Brief in Opposition (7) Docket Text: Brief in Opposition by Plaintiff National Products, Inc. re: [324] Motion to Continue filed by Bjorn Spilling, Brodit AB, ProClip USA, Inc. (Tamimi, Jonathan) |
| Jul 14, 2022 | 327 | Declaration (Main Document) (2) Docket Text: Declaration of Jonathan G. Tamimi filed by Plaintiff National Products, Inc. In Support of NPI's Opposition to Defendants' re: [324] Motion to Continue (Attachments: # (1) Exhibit A - NPI v. ProClip_Brodit_Spilling (E-mail String), # (2) Exhibit B - Copy of Docket Sheet in Sioux Steel Co. v. Prairie Land Management, # (3) Exhibit C - Rebuttal Expert Report) (Tamimi, Jonathan) Modified on 7/15/2022. (lak) |
| Jul 14, 2022 | 327 | Declaration (Exhibit A - NPI v. ProClip_Brodit_Spilling (E-mail Strintg)) (6) Docket Text: Declaration of Jonathan G. Tamimi filed by Plaintiff National Products, Inc. In Support of NPI's Opposition to Defendants' re: [324] Motion to Continue (Attachments: # (1) Exhibit A - NPI v. ProClip_Brodit_Spilling (E-mail String), # (2) Exhibit B - Copy of Docket Sheet in Sioux Steel Co. v. Prairie Land Management, # (3) Exhibit C - Rebuttal Expert Report) (Tamimi, Jonathan) Modified on 7/15/2022. (lak) |
| Jul 14, 2022 | 327 | Declaration (Exhibit B - Copy of Docket Sheet in Sioux Steel Co. v. Prairie Land Management) (30) Docket Text: Declaration of Jonathan G. Tamimi filed by Plaintiff National Products, Inc. In Support of NPI's Opposition to Defendants' re: [324] Motion to Continue (Attachments: # (1) Exhibit A - NPI v. ProClip_Brodit_Spilling (E-mail String), # (2) Exhibit B - Copy of Docket Sheet in Sioux Steel Co. v. Prairie Land Management, # (3) Exhibit C - Rebuttal Expert Report) (Tamimi, Jonathan) Modified on 7/15/2022. (lak) |
| Jul 14, 2022 | 327 | Declaration (Exhibit C - Rebuttal Expert Report) (30) Docket Text: Declaration of Jonathan G. Tamimi filed by Plaintiff National Products, Inc. In Support of NPI's Opposition to Defendants' re: [324] Motion to Continue (Attachments: # (1) Exhibit A - NPI v. ProClip_Brodit_Spilling (E-mail String), # (2) Exhibit B - Copy of Docket Sheet in Sioux Steel Co. v. Prairie Land Management, # (3) Exhibit C - Rebuttal Expert Report) (Tamimi, Jonathan) Modified on 7/15/2022. (lak) |
| Jul 13, 2022 | 323 | Redacted Document (23) Docket Text: Redaction to [316] Amended Complaint by Plaintiff National Products, Inc. (Tamimi, Jonathan) |
| Jul 11, 2022 | N/A | Set/Reset Deadlines (0) Docket Text: Set/Reset Deadlines: Dispositive Motions due 9/6/2022. Brief in Opposition due 9/20/2022; Brief in Reply due 9/27/2022. (jls) |
| Jul 11, 2022 | 317 | Transcript (21) Docket Text: Transcript of videoconference motion hearing, held 7/8/2022 before Judge William M. Conley. Court Reporter: JLD. Please review the court's new policy regarding electronic transcripts of court proceedings: see Electronic Transcript Instructions. (jls) |
| Jul 11, 2022 | 318 | Motion to Continue (3) Docket Text: Emergency Motion to Continue Pretrial Conference and Trial by Defendant Bjorn Spilling. Response due 7/18/2022. (Van Camp, Elijah) |
| Jul 11, 2022 | 319 | Brief in Support (14) Docket Text: Emergency Brief in Support of [318] Motion to Continue by Defendant Bjorn Spilling (Van Camp, Elijah) |
| Jul 11, 2022 | 320 | Declaration (2) Docket Text: Declaration of Elijah B. Van Camp filed by Defendant Bjorn Spilling re: [318] Motion to Continue (Van Camp, Elijah) |
| Jul 11, 2022 | 321 | Declaration (2) Docket Text: Declaration of Bjorn Spilling filed by Defendant Bjorn Spilling re: [318] Motion to Continue (Van Camp, Elijah) |
| Jul 11, 2022 | N/A | Order on Motion to Continue (0) Docket Text: ** TEXT ONLY ORDER **Defendant Bjorn Spilling's emergency motion to continue (dkt. #[318]) is GRANTED and the remaining deadlines are STRUCK. The following schedule shall apply: dispositive motions, if any, shall be filed by September 6, 2022, responses are due on or before September 20, 2022, and any reply is due on or before September 27, 2022; the final pretrial conference shall be October 26, 2022 at 2:00 p.m. and jury trial shall commence November 7, 2022, at 9:00 a.m. Signed by District Judge William M. Conley on 7/11/2022. (jls) |
| Jul 8, 2022 | N/A | Set Motion and R&R Deadlines/Hearings (0) Docket Text: Set/Reset Deadlines as to [279] Motion to Amend [29] Amended Complaint. (Sealed Document). Motion Hearing set for 7/8/2022 at 12:00 PM by Zoom video conference. (jls) |
| Jul 8, 2022 | N/A | Order Converting Hearing to Video (0) Docket Text: ** TEXT ONLY ORDER ** The court will hold a motion hearing on 7/8/2022 at 12:00 pm by Zoom video conference. The court will send invitations by email to counsel. All participants are reminded that video or audio recordings of the proceedings are strictly prohibited. A guide to participating in Zoom video hearings can be found here. Signed by District Judge William M. Conley on 7/8/2022. (jls) |
| Jul 8, 2022 | 312 | Redacted Document (30) Docket Text: Redaction to [288] Brief in Opposition by Defendants Brodit AB, ProClip USA, Inc. (Van Camp, Elijah) |
| Jul 8, 2022 | 313 | Motion Hearing (1) Docket Text: Minute Entry for proceedings held before District Judge William M. Conley: Motion Hearing held on 7/8/2022 re [279] Motion to Amend Complaint. [:30] (Court Reporter JD.) (jat) |
| Jul 8, 2022 | 314 | Brief in Opposition (4) Docket Text: Brief in Opposition by Defendants Brodit AB, ProClip USA, Inc. re: [296] Motion for Leave to File, filed by National Products, Inc. (Van Camp, Elijah) |
| Jul 8, 2022 | N/A | Order on Motion to Amend Complaint (0) Docket Text: ** TEXT ONLY ORDER **The court held a Zoom hearing today, July 8, 2022, on plaintiff's motion to amend the complaint and add Bjorn Spilling as a defendant (dkt. [279]) which is GRANTED IN PART and DENIED IN PART. NPI may file its amended complaint on Monday, July 11, 2022, excluding any claims of personal liability, alter egos, piercing the veil, or fraud in regard to Spilling. NPI must serve Spilling immediately after filing its amended complaint. Signed by District Judge William M. Conley on 7/8/2022. (arw) |
| Jul 7, 2022 | 306 | Notice of Appearance (1) Docket Text: Notice of Appearance filed by Nicholas Stratton for Defendants Brodit AB, ProClip USA, Inc.. (Stratton, Nicholas) |
| Jul 7, 2022 | 307 | Redacted Document (30) Docket Text: Redaction to [286] Brief in Opposition by Defendants Brodit AB, ProClip USA, Inc. (Van Camp, Elijah) |
| Jul 7, 2022 | 308 | Redacted Document (16) Docket Text: Redaction to [289] Declaration by Defendants Brodit AB, ProClip USA, Inc. (Van Camp, Elijah) |
| Jul 7, 2022 | 309 | Redacted Document (Main Document) (2) Docket Text: Redaction to [290] Declaration,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - 3.24.2022 letter, # (2) Exhibit B - Filed under seal, # (3) Exhibit C - Filed under seal, # (4) Exhibit D - Filed under seal, # (5) Exhibit E - Filed under seal, # (6) Exhibit F - Excerpt re regression analysis, # (7) Exhibit G - US Patent No 6585212, # (8) Exhibit H - NPI's Second Amended Complaint against Arkon, # (9) Exhibit I - US Patent No 7495895, # (10) Exhibit J - NPI's Complaint re 12cv1865) (Van Camp, Elijah) |
| Jul 7, 2022 | 309 | Redacted Document (Exhibit A - 3.24.2022 letter) (2) Docket Text: Redaction to [290] Declaration,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - 3.24.2022 letter, # (2) Exhibit B - Filed under seal, # (3) Exhibit C - Filed under seal, # (4) Exhibit D - Filed under seal, # (5) Exhibit E - Filed under seal, # (6) Exhibit F - Excerpt re regression analysis, # (7) Exhibit G - US Patent No 6585212, # (8) Exhibit H - NPI's Second Amended Complaint against Arkon, # (9) Exhibit I - US Patent No 7495895, # (10) Exhibit J - NPI's Complaint re 12cv1865) (Van Camp, Elijah) |
| Jul 7, 2022 | 309 | Redacted Document (Exhibit B - Filed under seal) (1) Docket Text: Redaction to [290] Declaration,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - 3.24.2022 letter, # (2) Exhibit B - Filed under seal, # (3) Exhibit C - Filed under seal, # (4) Exhibit D - Filed under seal, # (5) Exhibit E - Filed under seal, # (6) Exhibit F - Excerpt re regression analysis, # (7) Exhibit G - US Patent No 6585212, # (8) Exhibit H - NPI's Second Amended Complaint against Arkon, # (9) Exhibit I - US Patent No 7495895, # (10) Exhibit J - NPI's Complaint re 12cv1865) (Van Camp, Elijah) |
| Jul 7, 2022 | 309 | Redacted Document (Exhibit C - Filed under seal) (1) Docket Text: Redaction to [290] Declaration,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - 3.24.2022 letter, # (2) Exhibit B - Filed under seal, # (3) Exhibit C - Filed under seal, # (4) Exhibit D - Filed under seal, # (5) Exhibit E - Filed under seal, # (6) Exhibit F - Excerpt re regression analysis, # (7) Exhibit G - US Patent No 6585212, # (8) Exhibit H - NPI's Second Amended Complaint against Arkon, # (9) Exhibit I - US Patent No 7495895, # (10) Exhibit J - NPI's Complaint re 12cv1865) (Van Camp, Elijah) |
| Jul 7, 2022 | 309 | Redacted Document (Exhibit D - Filed under seal) (1) Docket Text: Redaction to [290] Declaration,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - 3.24.2022 letter, # (2) Exhibit B - Filed under seal, # (3) Exhibit C - Filed under seal, # (4) Exhibit D - Filed under seal, # (5) Exhibit E - Filed under seal, # (6) Exhibit F - Excerpt re regression analysis, # (7) Exhibit G - US Patent No 6585212, # (8) Exhibit H - NPI's Second Amended Complaint against Arkon, # (9) Exhibit I - US Patent No 7495895, # (10) Exhibit J - NPI's Complaint re 12cv1865) (Van Camp, Elijah) |
| Jul 7, 2022 | 309 | Redacted Document (Exhibit E - Filed under seal) (1) Docket Text: Redaction to [290] Declaration,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - 3.24.2022 letter, # (2) Exhibit B - Filed under seal, # (3) Exhibit C - Filed under seal, # (4) Exhibit D - Filed under seal, # (5) Exhibit E - Filed under seal, # (6) Exhibit F - Excerpt re regression analysis, # (7) Exhibit G - US Patent No 6585212, # (8) Exhibit H - NPI's Second Amended Complaint against Arkon, # (9) Exhibit I - US Patent No 7495895, # (10) Exhibit J - NPI's Complaint re 12cv1865) (Van Camp, Elijah) |
| Jul 7, 2022 | 309 | Redacted Document (Exhibit F - Excerpt re regression analysis) (6) Docket Text: Redaction to [290] Declaration,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - 3.24.2022 letter, # (2) Exhibit B - Filed under seal, # (3) Exhibit C - Filed under seal, # (4) Exhibit D - Filed under seal, # (5) Exhibit E - Filed under seal, # (6) Exhibit F - Excerpt re regression analysis, # (7) Exhibit G - US Patent No 6585212, # (8) Exhibit H - NPI's Second Amended Complaint against Arkon, # (9) Exhibit I - US Patent No 7495895, # (10) Exhibit J - NPI's Complaint re 12cv1865) (Van Camp, Elijah) |
| Jul 7, 2022 | 309 | Redacted Document (Exhibit G - US Patent No 6585212) (13) Docket Text: Redaction to [290] Declaration,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - 3.24.2022 letter, # (2) Exhibit B - Filed under seal, # (3) Exhibit C - Filed under seal, # (4) Exhibit D - Filed under seal, # (5) Exhibit E - Filed under seal, # (6) Exhibit F - Excerpt re regression analysis, # (7) Exhibit G - US Patent No 6585212, # (8) Exhibit H - NPI's Second Amended Complaint against Arkon, # (9) Exhibit I - US Patent No 7495895, # (10) Exhibit J - NPI's Complaint re 12cv1865) (Van Camp, Elijah) |
| Jul 7, 2022 | 309 | Redacted Document (Exhibit H - NPI's Second Amended Complaint against Arkon) (12) Docket Text: Redaction to [290] Declaration,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - 3.24.2022 letter, # (2) Exhibit B - Filed under seal, # (3) Exhibit C - Filed under seal, # (4) Exhibit D - Filed under seal, # (5) Exhibit E - Filed under seal, # (6) Exhibit F - Excerpt re regression analysis, # (7) Exhibit G - US Patent No 6585212, # (8) Exhibit H - NPI's Second Amended Complaint against Arkon, # (9) Exhibit I - US Patent No 7495895, # (10) Exhibit J - NPI's Complaint re 12cv1865) (Van Camp, Elijah) |
| Jul 7, 2022 | 309 | Redacted Document (Exhibit I - US Patent No 7495895) (16) Docket Text: Redaction to [290] Declaration,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - 3.24.2022 letter, # (2) Exhibit B - Filed under seal, # (3) Exhibit C - Filed under seal, # (4) Exhibit D - Filed under seal, # (5) Exhibit E - Filed under seal, # (6) Exhibit F - Excerpt re regression analysis, # (7) Exhibit G - US Patent No 6585212, # (8) Exhibit H - NPI's Second Amended Complaint against Arkon, # (9) Exhibit I - US Patent No 7495895, # (10) Exhibit J - NPI's Complaint re 12cv1865) (Van Camp, Elijah) |
| Jul 7, 2022 | 309 | Redacted Document (Exhibit J - NPI's Complaint re 12cv1865) (5) Docket Text: Redaction to [290] Declaration,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - 3.24.2022 letter, # (2) Exhibit B - Filed under seal, # (3) Exhibit C - Filed under seal, # (4) Exhibit D - Filed under seal, # (5) Exhibit E - Filed under seal, # (6) Exhibit F - Excerpt re regression analysis, # (7) Exhibit G - US Patent No 6585212, # (8) Exhibit H - NPI's Second Amended Complaint against Arkon, # (9) Exhibit I - US Patent No 7495895, # (10) Exhibit J - NPI's Complaint re 12cv1865) (Van Camp, Elijah) |
| Jul 7, 2022 | 310 | Redacted Document (Main Document) (2) Docket Text: Redaction to [287] Declaration,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - Discovery Responses, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Defendant ProClip USA, Inc.'s First Set of Interrogatories to Plaintiff National Products Inc., # (8) Exhibit 8 - 6.6.2022 correspondence) (Van Camp, Elijah) |
| Jul 7, 2022 | 310 | Redacted Document (Exhibit 1 - Discovery Responses) (30) Docket Text: Redaction to [287] Declaration,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - Discovery Responses, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Defendant ProClip USA, Inc.'s First Set of Interrogatories to Plaintiff National Products Inc., # (8) Exhibit 8 - 6.6.2022 correspondence) (Van Camp, Elijah) |
| Jul 7, 2022 | 310 | Redacted Document (Exhibit 2 - Filed under seal) (1) Docket Text: Redaction to [287] Declaration,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - Discovery Responses, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Defendant ProClip USA, Inc.'s First Set of Interrogatories to Plaintiff National Products Inc., # (8) Exhibit 8 - 6.6.2022 correspondence) (Van Camp, Elijah) |
| Jul 7, 2022 | 310 | Redacted Document (Exhibit 3 - Filed under seal) (1) Docket Text: Redaction to [287] Declaration,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - Discovery Responses, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Defendant ProClip USA, Inc.'s First Set of Interrogatories to Plaintiff National Products Inc., # (8) Exhibit 8 - 6.6.2022 correspondence) (Van Camp, Elijah) |
| Jul 7, 2022 | 310 | Redacted Document (Exhibit 4 - Filed under seal) (1) Docket Text: Redaction to [287] Declaration,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - Discovery Responses, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Defendant ProClip USA, Inc.'s First Set of Interrogatories to Plaintiff National Products Inc., # (8) Exhibit 8 - 6.6.2022 correspondence) (Van Camp, Elijah) |
| Jul 7, 2022 | 310 | Redacted Document (Exhibit 5 - Filed under seal) (1) Docket Text: Redaction to [287] Declaration,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - Discovery Responses, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Defendant ProClip USA, Inc.'s First Set of Interrogatories to Plaintiff National Products Inc., # (8) Exhibit 8 - 6.6.2022 correspondence) (Van Camp, Elijah) |
| Jul 7, 2022 | 310 | Redacted Document (Exhibit 6 - Filed under seal) (1) Docket Text: Redaction to [287] Declaration,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - Discovery Responses, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Defendant ProClip USA, Inc.'s First Set of Interrogatories to Plaintiff National Products Inc., # (8) Exhibit 8 - 6.6.2022 correspondence) (Van Camp, Elijah) |
| Jul 7, 2022 | 310 | Redacted Document (Exhibit 7 - Defendant ProClip USA, Inc.'s First Set of Interrogatories to P) (11) Docket Text: Redaction to [287] Declaration,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - Discovery Responses, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Defendant ProClip USA, Inc.'s First Set of Interrogatories to Plaintiff National Products Inc., # (8) Exhibit 8 - 6.6.2022 correspondence) (Van Camp, Elijah) |
| Jul 7, 2022 | 310 | Redacted Document (Exhibit 8 - 6.6.2022 correspondence) (27) Docket Text: Redaction to [287] Declaration,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - Discovery Responses, # (2) Exhibit 2 - Filed under seal, # (3) Exhibit 3 - Filed under seal, # (4) Exhibit 4 - Filed under seal, # (5) Exhibit 5 - Filed under seal, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - Defendant ProClip USA, Inc.'s First Set of Interrogatories to Plaintiff National Products Inc., # (8) Exhibit 8 - 6.6.2022 correspondence) (Van Camp, Elijah) |
| Jul 6, 2022 | 302 | Notice of Appearance (1) Docket Text: Notice of Appearance filed by Jacob Abraham Simon for Defendants Brodit AB, ProClip USA, Inc.. (Simon, Jacob) |
| Jul 6, 2022 | 303 | Redacted Document (30) Docket Text: Redaction to [291] Brief in Opposition, by Plaintiff National Products, Inc. (Tellekson, David) |
| Jul 6, 2022 | 304 | Redacted Document (30) Docket Text: Redaction to [297] Brief in Opposition by Plaintiff National Products, Inc. (Tamimi, Jonathan) |
| Jul 6, 2022 | 305 | Redacted Document (Main Document) (3) Docket Text: Redaction to [298] Declaration, by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - Brief of Appellant Remgrit Corp., 1991 WL 11246259, # (2) Exhibit B - PROCLIP0072185 (internet archive webpage), # (3) Exhibit C - SpillingB 9-OCR, # (4) Exhibit D - Bridwell 7, # (5) Exhibit E - RankinD 13-OCR, # (6) Exhibit F - PROCLIP0071460, # (7) Exhibit G - SpillingB 2-OCR, # (8) Exhibit H - SpillingB 3-OCR, # (9) Exhibit I - RankinD 11-OCR, # (10) Exhibit J - 2020/10/20 ProClip's Responses to NPI's First ROGs) (Tamimi, Jonathan) |
| Jul 6, 2022 | 305 | Redacted Document (Exhibit A - Brief of Appellant Remgrit Corp., 1991 WL 11246259) (29) Docket Text: Redaction to [298] Declaration, by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - Brief of Appellant Remgrit Corp., 1991 WL 11246259, # (2) Exhibit B - PROCLIP0072185 (internet archive webpage), # (3) Exhibit C - SpillingB 9-OCR, # (4) Exhibit D - Bridwell 7, # (5) Exhibit E - RankinD 13-OCR, # (6) Exhibit F - PROCLIP0071460, # (7) Exhibit G - SpillingB 2-OCR, # (8) Exhibit H - SpillingB 3-OCR, # (9) Exhibit I - RankinD 11-OCR, # (10) Exhibit J - 2020/10/20 ProClip's Responses to NPI's First ROGs) (Tamimi, Jonathan) |
| Jul 6, 2022 | 305 | Redacted Document (Exhibit B - PROCLIP0072185 (internet archive webpage)) (2) Docket Text: Redaction to [298] Declaration, by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - Brief of Appellant Remgrit Corp., 1991 WL 11246259, # (2) Exhibit B - PROCLIP0072185 (internet archive webpage), # (3) Exhibit C - SpillingB 9-OCR, # (4) Exhibit D - Bridwell 7, # (5) Exhibit E - RankinD 13-OCR, # (6) Exhibit F - PROCLIP0071460, # (7) Exhibit G - SpillingB 2-OCR, # (8) Exhibit H - SpillingB 3-OCR, # (9) Exhibit I - RankinD 11-OCR, # (10) Exhibit J - 2020/10/20 ProClip's Responses to NPI's First ROGs) (Tamimi, Jonathan) |
| Jul 6, 2022 | 305 | Redacted Document (Exhibit C - SpillingB 9-OCR) (1) Docket Text: Redaction to [298] Declaration, by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - Brief of Appellant Remgrit Corp., 1991 WL 11246259, # (2) Exhibit B - PROCLIP0072185 (internet archive webpage), # (3) Exhibit C - SpillingB 9-OCR, # (4) Exhibit D - Bridwell 7, # (5) Exhibit E - RankinD 13-OCR, # (6) Exhibit F - PROCLIP0071460, # (7) Exhibit G - SpillingB 2-OCR, # (8) Exhibit H - SpillingB 3-OCR, # (9) Exhibit I - RankinD 11-OCR, # (10) Exhibit J - 2020/10/20 ProClip's Responses to NPI's First ROGs) (Tamimi, Jonathan) |
| Jul 6, 2022 | 305 | Redacted Document (Exhibit D - Bridwell 7) (1) Docket Text: Redaction to [298] Declaration, by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - Brief of Appellant Remgrit Corp., 1991 WL 11246259, # (2) Exhibit B - PROCLIP0072185 (internet archive webpage), # (3) Exhibit C - SpillingB 9-OCR, # (4) Exhibit D - Bridwell 7, # (5) Exhibit E - RankinD 13-OCR, # (6) Exhibit F - PROCLIP0071460, # (7) Exhibit G - SpillingB 2-OCR, # (8) Exhibit H - SpillingB 3-OCR, # (9) Exhibit I - RankinD 11-OCR, # (10) Exhibit J - 2020/10/20 ProClip's Responses to NPI's First ROGs) (Tamimi, Jonathan) |
| Jul 6, 2022 | 305 | Redacted Document (Exhibit E - RankinD 13-OCR) (15) Docket Text: Redaction to [298] Declaration, by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - Brief of Appellant Remgrit Corp., 1991 WL 11246259, # (2) Exhibit B - PROCLIP0072185 (internet archive webpage), # (3) Exhibit C - SpillingB 9-OCR, # (4) Exhibit D - Bridwell 7, # (5) Exhibit E - RankinD 13-OCR, # (6) Exhibit F - PROCLIP0071460, # (7) Exhibit G - SpillingB 2-OCR, # (8) Exhibit H - SpillingB 3-OCR, # (9) Exhibit I - RankinD 11-OCR, # (10) Exhibit J - 2020/10/20 ProClip's Responses to NPI's First ROGs) (Tamimi, Jonathan) |
| Jul 6, 2022 | 305 | Redacted Document (Exhibit F - PROCLIP0071460) (4) Docket Text: Redaction to [298] Declaration, by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - Brief of Appellant Remgrit Corp., 1991 WL 11246259, # (2) Exhibit B - PROCLIP0072185 (internet archive webpage), # (3) Exhibit C - SpillingB 9-OCR, # (4) Exhibit D - Bridwell 7, # (5) Exhibit E - RankinD 13-OCR, # (6) Exhibit F - PROCLIP0071460, # (7) Exhibit G - SpillingB 2-OCR, # (8) Exhibit H - SpillingB 3-OCR, # (9) Exhibit I - RankinD 11-OCR, # (10) Exhibit J - 2020/10/20 ProClip's Responses to NPI's First ROGs) (Tamimi, Jonathan) |
| Jul 6, 2022 | 305 | Redacted Document (Exhibit G - SpillingB 2-OCR) (3) Docket Text: Redaction to [298] Declaration, by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - Brief of Appellant Remgrit Corp., 1991 WL 11246259, # (2) Exhibit B - PROCLIP0072185 (internet archive webpage), # (3) Exhibit C - SpillingB 9-OCR, # (4) Exhibit D - Bridwell 7, # (5) Exhibit E - RankinD 13-OCR, # (6) Exhibit F - PROCLIP0071460, # (7) Exhibit G - SpillingB 2-OCR, # (8) Exhibit H - SpillingB 3-OCR, # (9) Exhibit I - RankinD 11-OCR, # (10) Exhibit J - 2020/10/20 ProClip's Responses to NPI's First ROGs) (Tamimi, Jonathan) |
| Jul 6, 2022 | 305 | Redacted Document (Exhibit H - SpillingB 3-OCR) (4) Docket Text: Redaction to [298] Declaration, by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - Brief of Appellant Remgrit Corp., 1991 WL 11246259, # (2) Exhibit B - PROCLIP0072185 (internet archive webpage), # (3) Exhibit C - SpillingB 9-OCR, # (4) Exhibit D - Bridwell 7, # (5) Exhibit E - RankinD 13-OCR, # (6) Exhibit F - PROCLIP0071460, # (7) Exhibit G - SpillingB 2-OCR, # (8) Exhibit H - SpillingB 3-OCR, # (9) Exhibit I - RankinD 11-OCR, # (10) Exhibit J - 2020/10/20 ProClip's Responses to NPI's First ROGs) (Tamimi, Jonathan) |
| Jul 6, 2022 | 305 | Redacted Document (Exhibit I - RankinD 11-OCR) (1) Docket Text: Redaction to [298] Declaration, by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - Brief of Appellant Remgrit Corp., 1991 WL 11246259, # (2) Exhibit B - PROCLIP0072185 (internet archive webpage), # (3) Exhibit C - SpillingB 9-OCR, # (4) Exhibit D - Bridwell 7, # (5) Exhibit E - RankinD 13-OCR, # (6) Exhibit F - PROCLIP0071460, # (7) Exhibit G - SpillingB 2-OCR, # (8) Exhibit H - SpillingB 3-OCR, # (9) Exhibit I - RankinD 11-OCR, # (10) Exhibit J - 2020/10/20 ProClip's Responses to NPI's First ROGs) (Tamimi, Jonathan) |
| Jul 6, 2022 | 305 | Redacted Document (Exhibit J - 2020/10/20 ProClip's Responses to NPI's) (17) Docket Text: Redaction to [298] Declaration, by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - Brief of Appellant Remgrit Corp., 1991 WL 11246259, # (2) Exhibit B - PROCLIP0072185 (internet archive webpage), # (3) Exhibit C - SpillingB 9-OCR, # (4) Exhibit D - Bridwell 7, # (5) Exhibit E - RankinD 13-OCR, # (6) Exhibit F - PROCLIP0071460, # (7) Exhibit G - SpillingB 2-OCR, # (8) Exhibit H - SpillingB 3-OCR, # (9) Exhibit I - RankinD 11-OCR, # (10) Exhibit J - 2020/10/20 ProClip's Responses to NPI's First ROGs) (Tamimi, Jonathan) |
| Jul 5, 2022 | N/A | Set/Reset Trial Deadlines/Hearings (0) Docket Text: Reset Trial Hearings: Final Pretrial Conference set for 7/14/2022 changed as to time only to 02:00 PM. (mh/jat) |
| Jul 1, 2022 | 292 | Response to Proposed Voir Dire (11) Docket Text: Response to Proposed Voir Dire by Defendants Brodit AB, ProClip USA, Inc. (Van Camp, Elijah) |
| Jul 1, 2022 | 293 | Notice (Other) (4) Docket Text: Notice by Defendants Brodit AB, ProClip USA, Inc. re [244] Notice (Other), [245] Notice (Other) Defendants' Objections to Narrative Backgrounds of Plaintiff's Expert Witnesses. (Van Camp, Elijah) |
| Jul 1, 2022 | 294 | Response to Proposed Special Verdict (5) Docket Text: Response to Proposed Special Verdict Liability by Defendants Brodit AB, ProClip USA, Inc. (Van Camp, Elijah) |
| Jul 1, 2022 | 295 | Response to Proposed Special Verdict (4) Docket Text: Response to Proposed Special Verdict Damages by Defendants Brodit AB, ProClip USA, Inc. (Van Camp, Elijah) |
| Jul 1, 2022 | 296 | Motion for Leave to File (Main Document) (2) Docket Text: Motion for Leave to File Additional Motions In Limine Related to the Court's June 27, 2022 Summary Judgment Order by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - NPI's Supplemental Motions in Limine) (Tamimi, Jonathan) |
| Jul 1, 2022 | 296 | Motion for Leave to File (Exhibit A - NPI's Supplemental Motions in Limine) (15) Docket Text: Motion for Leave to File Additional Motions In Limine Related to the Court's June 27, 2022 Summary Judgment Order by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - NPI's Supplemental Motions in Limine) (Tamimi, Jonathan) |
| Jul 1, 2022 | 299 | Objections to Proposed Jury Instructions and Special Verdict (25) Docket Text: Objections to [253] Proposed Special Verdict, [264] Proposed Jury Instructions, [255] Proposed Special Verdict , [251] Stigge Expert Narrative and [252] Rodrigues Expert Narrative by Plaintiff National Products, Inc. (Tamimi, Jonathan) Modified on 7/5/2022: Linked to [251] and [252]. (lak) |
| Jul 1, 2022 | 300 | Response to Proposed Jury Instructions (27) Docket Text: Response to Proposed Liability and Damages Jury Instructions by Defendants Brodit AB, ProClip USA, Inc. (Van Camp, Elijah) |
| Jun 29, 2022 | N/A | Text Only Order (0) Docket Text: ** TEXT ONLY ORDER ** The court is in receipt of National Products, Inc.'s motion to amend (dkt. #[279]). Defendants should respond to the motion by July 5, 2022, and plaintiff will not be allowed to file a reply unless specifically requested by the court. Signed by District Judge William M. Conley on 6/29/2022. (jls) |
| Jun 29, 2022 | 283 | Redacted Document (2) Docket Text: Redaction to [279] Motion to Amend [29] Amended Complaint, (Sealed Document) by Plaintiff National Products, Inc. (Tamimi, Jonathan) |
| Jun 29, 2022 | 284 | Redacted Document (30) Docket Text: Redaction to [280] Brief in Support of Motion to Amend or Supplement Its Complaint by Plaintiff National Products, Inc. (Tamimi, Jonathan) |
| Jun 29, 2022 | 285 | Redacted Document (Main Document) (3) Docket Text: Redaction to [281] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - NPI's Third Amended Complaint, # (2) Exhibit B - NPI's Third Amended Complaint, # (3) Exhibit C - 2022-04-12 ProClip's Supplemental Response to NPI's ROG 11, # (4) Exhibit D - BRODIT0088221 (Hermansson 07), # (5) Exhibit E - NPI-PROCLIP_00075870, # (6) Exhibit F - Spilling 06, # (7) Exhibit G - Spilling 30b6 024, # (8) Exhibit H - 2022-04-22 ProClip's Resps to NPI's 4th ROGs (Nos. 20-21), # (9) Exhibit I - Spilling 30b6 018, # (10) Exhibit J - PROCLIP USA LLC - Articles of Organization, # (11) Exhibit K - SPILLCO INC, # (12) Exhibit L - ProClip Holdings, LLC - Prospect Partners) (Tamimi, Jonathan) Modified on 6/30/2022. (lak) |
| Jun 29, 2022 | 285 | Redacted Document (Exhibit A - NPI's Third Amended Complaint) (1) Docket Text: Redaction to [281] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - NPI's Third Amended Complaint, # (2) Exhibit B - NPI's Third Amended Complaint, # (3) Exhibit C - 2022-04-12 ProClip's Supplemental Response to NPI's ROG 11, # (4) Exhibit D - BRODIT0088221 (Hermansson 07), # (5) Exhibit E - NPI-PROCLIP_00075870, # (6) Exhibit F - Spilling 06, # (7) Exhibit G - Spilling 30b6 024, # (8) Exhibit H - 2022-04-22 ProClip's Resps to NPI's 4th ROGs (Nos. 20-21), # (9) Exhibit I - Spilling 30b6 018, # (10) Exhibit J - PROCLIP USA LLC - Articles of Organization, # (11) Exhibit K - SPILLCO INC, # (12) Exhibit L - ProClip Holdings, LLC - Prospect Partners) (Tamimi, Jonathan) Modified on 6/30/2022. (lak) |
| Jun 29, 2022 | 285 | Redacted Document (Exhibit B - NPI's Third Amended Complaint) (1) Docket Text: Redaction to [281] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - NPI's Third Amended Complaint, # (2) Exhibit B - NPI's Third Amended Complaint, # (3) Exhibit C - 2022-04-12 ProClip's Supplemental Response to NPI's ROG 11, # (4) Exhibit D - BRODIT0088221 (Hermansson 07), # (5) Exhibit E - NPI-PROCLIP_00075870, # (6) Exhibit F - Spilling 06, # (7) Exhibit G - Spilling 30b6 024, # (8) Exhibit H - 2022-04-22 ProClip's Resps to NPI's 4th ROGs (Nos. 20-21), # (9) Exhibit I - Spilling 30b6 018, # (10) Exhibit J - PROCLIP USA LLC - Articles of Organization, # (11) Exhibit K - SPILLCO INC, # (12) Exhibit L - ProClip Holdings, LLC - Prospect Partners) (Tamimi, Jonathan) Modified on 6/30/2022. (lak) |
| Jun 29, 2022 | 285 | Redacted Document (Exhibit C - 2022-04-12 ProClip's Supp Response to NPI's ROG 11) (4) Docket Text: Redaction to [281] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - NPI's Third Amended Complaint, # (2) Exhibit B - NPI's Third Amended Complaint, # (3) Exhibit C - 2022-04-12 ProClip's Supplemental Response to NPI's ROG 11, # (4) Exhibit D - BRODIT0088221 (Hermansson 07), # (5) Exhibit E - NPI-PROCLIP_00075870, # (6) Exhibit F - Spilling 06, # (7) Exhibit G - Spilling 30b6 024, # (8) Exhibit H - 2022-04-22 ProClip's Resps to NPI's 4th ROGs (Nos. 20-21), # (9) Exhibit I - Spilling 30b6 018, # (10) Exhibit J - PROCLIP USA LLC - Articles of Organization, # (11) Exhibit K - SPILLCO INC, # (12) Exhibit L - ProClip Holdings, LLC - Prospect Partners) (Tamimi, Jonathan) Modified on 6/30/2022. (lak) |
| Jun 29, 2022 | 285 | Redacted Document (Exhibit D - BRODIT0088221 (Hermansson 07)) (1) Docket Text: Redaction to [281] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - NPI's Third Amended Complaint, # (2) Exhibit B - NPI's Third Amended Complaint, # (3) Exhibit C - 2022-04-12 ProClip's Supplemental Response to NPI's ROG 11, # (4) Exhibit D - BRODIT0088221 (Hermansson 07), # (5) Exhibit E - NPI-PROCLIP_00075870, # (6) Exhibit F - Spilling 06, # (7) Exhibit G - Spilling 30b6 024, # (8) Exhibit H - 2022-04-22 ProClip's Resps to NPI's 4th ROGs (Nos. 20-21), # (9) Exhibit I - Spilling 30b6 018, # (10) Exhibit J - PROCLIP USA LLC - Articles of Organization, # (11) Exhibit K - SPILLCO INC, # (12) Exhibit L - ProClip Holdings, LLC - Prospect Partners) (Tamimi, Jonathan) Modified on 6/30/2022. (lak) |
| Jun 29, 2022 | 285 | Redacted Document (Exhibit E - NPI-PROCLIP_00075870 (6 pp)) (6) Docket Text: Redaction to [281] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - NPI's Third Amended Complaint, # (2) Exhibit B - NPI's Third Amended Complaint, # (3) Exhibit C - 2022-04-12 ProClip's Supplemental Response to NPI's ROG 11, # (4) Exhibit D - BRODIT0088221 (Hermansson 07), # (5) Exhibit E - NPI-PROCLIP_00075870, # (6) Exhibit F - Spilling 06, # (7) Exhibit G - Spilling 30b6 024, # (8) Exhibit H - 2022-04-22 ProClip's Resps to NPI's 4th ROGs (Nos. 20-21), # (9) Exhibit I - Spilling 30b6 018, # (10) Exhibit J - PROCLIP USA LLC - Articles of Organization, # (11) Exhibit K - SPILLCO INC, # (12) Exhibit L - ProClip Holdings, LLC - Prospect Partners) (Tamimi, Jonathan) Modified on 6/30/2022. (lak) |
| Jun 29, 2022 | 285 | Redacted Document (Exhibit F - Spilling 06) (1) Docket Text: Redaction to [281] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - NPI's Third Amended Complaint, # (2) Exhibit B - NPI's Third Amended Complaint, # (3) Exhibit C - 2022-04-12 ProClip's Supplemental Response to NPI's ROG 11, # (4) Exhibit D - BRODIT0088221 (Hermansson 07), # (5) Exhibit E - NPI-PROCLIP_00075870, # (6) Exhibit F - Spilling 06, # (7) Exhibit G - Spilling 30b6 024, # (8) Exhibit H - 2022-04-22 ProClip's Resps to NPI's 4th ROGs (Nos. 20-21), # (9) Exhibit I - Spilling 30b6 018, # (10) Exhibit J - PROCLIP USA LLC - Articles of Organization, # (11) Exhibit K - SPILLCO INC, # (12) Exhibit L - ProClip Holdings, LLC - Prospect Partners) (Tamimi, Jonathan) Modified on 6/30/2022. (lak) |
| Jun 29, 2022 | 285 | Redacted Document (Exhibit G - Spilling 30b6 024) (4) Docket Text: Redaction to [281] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - NPI's Third Amended Complaint, # (2) Exhibit B - NPI's Third Amended Complaint, # (3) Exhibit C - 2022-04-12 ProClip's Supplemental Response to NPI's ROG 11, # (4) Exhibit D - BRODIT0088221 (Hermansson 07), # (5) Exhibit E - NPI-PROCLIP_00075870, # (6) Exhibit F - Spilling 06, # (7) Exhibit G - Spilling 30b6 024, # (8) Exhibit H - 2022-04-22 ProClip's Resps to NPI's 4th ROGs (Nos. 20-21), # (9) Exhibit I - Spilling 30b6 018, # (10) Exhibit J - PROCLIP USA LLC - Articles of Organization, # (11) Exhibit K - SPILLCO INC, # (12) Exhibit L - ProClip Holdings, LLC - Prospect Partners) (Tamimi, Jonathan) Modified on 6/30/2022. (lak) |
| Jun 29, 2022 | 285 | Redacted Document (Exhibit H - 2022-04-22 ProClip's Resps to NPI's 4th ROGs) (1) Docket Text: Redaction to [281] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - NPI's Third Amended Complaint, # (2) Exhibit B - NPI's Third Amended Complaint, # (3) Exhibit C - 2022-04-12 ProClip's Supplemental Response to NPI's ROG 11, # (4) Exhibit D - BRODIT0088221 (Hermansson 07), # (5) Exhibit E - NPI-PROCLIP_00075870, # (6) Exhibit F - Spilling 06, # (7) Exhibit G - Spilling 30b6 024, # (8) Exhibit H - 2022-04-22 ProClip's Resps to NPI's 4th ROGs (Nos. 20-21), # (9) Exhibit I - Spilling 30b6 018, # (10) Exhibit J - PROCLIP USA LLC - Articles of Organization, # (11) Exhibit K - SPILLCO INC, # (12) Exhibit L - ProClip Holdings, LLC - Prospect Partners) (Tamimi, Jonathan) Modified on 6/30/2022. (lak) |
| Jun 29, 2022 | 285 | Redacted Document (Exhibit I - Spilling 30b6 018) (1) Docket Text: Redaction to [281] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - NPI's Third Amended Complaint, # (2) Exhibit B - NPI's Third Amended Complaint, # (3) Exhibit C - 2022-04-12 ProClip's Supplemental Response to NPI's ROG 11, # (4) Exhibit D - BRODIT0088221 (Hermansson 07), # (5) Exhibit E - NPI-PROCLIP_00075870, # (6) Exhibit F - Spilling 06, # (7) Exhibit G - Spilling 30b6 024, # (8) Exhibit H - 2022-04-22 ProClip's Resps to NPI's 4th ROGs (Nos. 20-21), # (9) Exhibit I - Spilling 30b6 018, # (10) Exhibit J - PROCLIP USA LLC - Articles of Organization, # (11) Exhibit K - SPILLCO INC, # (12) Exhibit L - ProClip Holdings, LLC - Prospect Partners) (Tamimi, Jonathan) Modified on 6/30/2022. (lak) |
| Jun 29, 2022 | 285 | Redacted Document (Exhibit J - PROCLIP USA LLC - Articles of Organization) (14) Docket Text: Redaction to [281] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - NPI's Third Amended Complaint, # (2) Exhibit B - NPI's Third Amended Complaint, # (3) Exhibit C - 2022-04-12 ProClip's Supplemental Response to NPI's ROG 11, # (4) Exhibit D - BRODIT0088221 (Hermansson 07), # (5) Exhibit E - NPI-PROCLIP_00075870, # (6) Exhibit F - Spilling 06, # (7) Exhibit G - Spilling 30b6 024, # (8) Exhibit H - 2022-04-22 ProClip's Resps to NPI's 4th ROGs (Nos. 20-21), # (9) Exhibit I - Spilling 30b6 018, # (10) Exhibit J - PROCLIP USA LLC - Articles of Organization, # (11) Exhibit K - SPILLCO INC, # (12) Exhibit L - ProClip Holdings, LLC - Prospect Partners) (Tamimi, Jonathan) Modified on 6/30/2022. (lak) |
| Jun 29, 2022 | 285 | Redacted Document (Exhibit K - SPILLCO INC) (3) Docket Text: Redaction to [281] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - NPI's Third Amended Complaint, # (2) Exhibit B - NPI's Third Amended Complaint, # (3) Exhibit C - 2022-04-12 ProClip's Supplemental Response to NPI's ROG 11, # (4) Exhibit D - BRODIT0088221 (Hermansson 07), # (5) Exhibit E - NPI-PROCLIP_00075870, # (6) Exhibit F - Spilling 06, # (7) Exhibit G - Spilling 30b6 024, # (8) Exhibit H - 2022-04-22 ProClip's Resps to NPI's 4th ROGs (Nos. 20-21), # (9) Exhibit I - Spilling 30b6 018, # (10) Exhibit J - PROCLIP USA LLC - Articles of Organization, # (11) Exhibit K - SPILLCO INC, # (12) Exhibit L - ProClip Holdings, LLC - Prospect Partners) (Tamimi, Jonathan) Modified on 6/30/2022. (lak) |
| Jun 29, 2022 | 285 | Redacted Document (Exhibit L - ProClip Holdings, LLC - Prospect Partners) (7) Docket Text: Redaction to [281] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - NPI's Third Amended Complaint, # (2) Exhibit B - NPI's Third Amended Complaint, # (3) Exhibit C - 2022-04-12 ProClip's Supplemental Response to NPI's ROG 11, # (4) Exhibit D - BRODIT0088221 (Hermansson 07), # (5) Exhibit E - NPI-PROCLIP_00075870, # (6) Exhibit F - Spilling 06, # (7) Exhibit G - Spilling 30b6 024, # (8) Exhibit H - 2022-04-22 ProClip's Resps to NPI's 4th ROGs (Nos. 20-21), # (9) Exhibit I - Spilling 30b6 018, # (10) Exhibit J - PROCLIP USA LLC - Articles of Organization, # (11) Exhibit K - SPILLCO INC, # (12) Exhibit L - ProClip Holdings, LLC - Prospect Partners) (Tamimi, Jonathan) Modified on 6/30/2022. (lak) |
| Jun 27, 2022 | 278 | Order on Motion for Summary Judgment (32) Docket Text: ORDER granting [152] Motion for Leave to File Plaintiff's Reply in Support of Its Proposed Findings of Fact; denying [118] Motion to Supplement Expert Invalidity Report; granting [137] Motion to Strike [129] Declaration; granting in part and denying in part [92] Motion for Summary Judgment; and granting in part and denying in part [96] Motion for Partial Summary Judgment. Signed by District Judge William M. Conley on 6/27/2022. (jls) |
| Jun 17, 2022 | 275 | Redacted Document (30) Docket Text: Redaction to [257] Brief in Support by Plaintiff National Products, Inc. (Tellekson, David) |
| Jun 17, 2022 | 276 | Redacted Document (4) Docket Text: Redaction to [259] Declaration of Drew Voth by Plaintiff National Products, Inc. (Tellekson, David) |
| Jun 17, 2022 | 277 | Redacted Document (Main Document) (2) Docket Text: Redaction to [261] Declaration of Jessica M. Kaempf by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - Least Squares Method (Linear Regression) - Accountingverse (5 pp), # (2) Exhibit B - NPI-PROCLIP_00076413, # (3) Exhibit C - U.S. Patent No. 7,495,895, # (4) Exhibit D - Arkon Agreement - NPI-PROCLIP_00075954, # (5) Exhibit E - U.S. Patent No. 6,585,212, # (6) Exhibit F - RodriguesP 5-OCR, # (7) Exhibit G - 43472BR) (Tellekson, David) Modified on 6/17/2022. (lak) |
| Jun 17, 2022 | 277 | Redacted Document (Exhibit A - Least Squares Method (Linear Regression) - Accountingverse) (5) Docket Text: Redaction to [261] Declaration of Jessica M. Kaempf by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - Least Squares Method (Linear Regression) - Accountingverse (5 pp), # (2) Exhibit B - NPI-PROCLIP_00076413, # (3) Exhibit C - U.S. Patent No. 7,495,895, # (4) Exhibit D - Arkon Agreement - NPI-PROCLIP_00075954, # (5) Exhibit E - U.S. Patent No. 6,585,212, # (6) Exhibit F - RodriguesP 5-OCR, # (7) Exhibit G - 43472BR) (Tellekson, David) Modified on 6/17/2022. (lak) |
| Jun 17, 2022 | 277 | Redacted Document (Exhibit B - NPI-PROCLIP_00076413) (1) Docket Text: Redaction to [261] Declaration of Jessica M. Kaempf by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - Least Squares Method (Linear Regression) - Accountingverse (5 pp), # (2) Exhibit B - NPI-PROCLIP_00076413, # (3) Exhibit C - U.S. Patent No. 7,495,895, # (4) Exhibit D - Arkon Agreement - NPI-PROCLIP_00075954, # (5) Exhibit E - U.S. Patent No. 6,585,212, # (6) Exhibit F - RodriguesP 5-OCR, # (7) Exhibit G - 43472BR) (Tellekson, David) Modified on 6/17/2022. (lak) |
| Jun 17, 2022 | 277 | Redacted Document (Exhibit C - U.S. Patent No. 7,495,895) (16) Docket Text: Redaction to [261] Declaration of Jessica M. Kaempf by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - Least Squares Method (Linear Regression) - Accountingverse (5 pp), # (2) Exhibit B - NPI-PROCLIP_00076413, # (3) Exhibit C - U.S. Patent No. 7,495,895, # (4) Exhibit D - Arkon Agreement - NPI-PROCLIP_00075954, # (5) Exhibit E - U.S. Patent No. 6,585,212, # (6) Exhibit F - RodriguesP 5-OCR, # (7) Exhibit G - 43472BR) (Tellekson, David) Modified on 6/17/2022. (lak) |
| Jun 17, 2022 | 277 | Redacted Document (Exhibit D - Arkon Agreement - NPI-PROCLIP_00075954 (11 pp)) (11) Docket Text: Redaction to [261] Declaration of Jessica M. Kaempf by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - Least Squares Method (Linear Regression) - Accountingverse (5 pp), # (2) Exhibit B - NPI-PROCLIP_00076413, # (3) Exhibit C - U.S. Patent No. 7,495,895, # (4) Exhibit D - Arkon Agreement - NPI-PROCLIP_00075954, # (5) Exhibit E - U.S. Patent No. 6,585,212, # (6) Exhibit F - RodriguesP 5-OCR, # (7) Exhibit G - 43472BR) (Tellekson, David) Modified on 6/17/2022. (lak) |
| Jun 17, 2022 | 277 | Redacted Document (Exhibit E - U.S. Patent No. 6,585,212) (13) Docket Text: Redaction to [261] Declaration of Jessica M. Kaempf by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - Least Squares Method (Linear Regression) - Accountingverse (5 pp), # (2) Exhibit B - NPI-PROCLIP_00076413, # (3) Exhibit C - U.S. Patent No. 7,495,895, # (4) Exhibit D - Arkon Agreement - NPI-PROCLIP_00075954, # (5) Exhibit E - U.S. Patent No. 6,585,212, # (6) Exhibit F - RodriguesP 5-OCR, # (7) Exhibit G - 43472BR) (Tellekson, David) Modified on 6/17/2022. (lak) |
| Jun 17, 2022 | 277 | Redacted Document (Exhibit F - RodriguesP 5-OCR) (1) Docket Text: Redaction to [261] Declaration of Jessica M. Kaempf by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - Least Squares Method (Linear Regression) - Accountingverse (5 pp), # (2) Exhibit B - NPI-PROCLIP_00076413, # (3) Exhibit C - U.S. Patent No. 7,495,895, # (4) Exhibit D - Arkon Agreement - NPI-PROCLIP_00075954, # (5) Exhibit E - U.S. Patent No. 6,585,212, # (6) Exhibit F - RodriguesP 5-OCR, # (7) Exhibit G - 43472BR) (Tellekson, David) Modified on 6/17/2022. (lak) |
| Jun 17, 2022 | 277 | Redacted Document (Exhibit G - 43472BR) (2) Docket Text: Redaction to [261] Declaration of Jessica M. Kaempf by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - Least Squares Method (Linear Regression) - Accountingverse (5 pp), # (2) Exhibit B - NPI-PROCLIP_00076413, # (3) Exhibit C - U.S. Patent No. 7,495,895, # (4) Exhibit D - Arkon Agreement - NPI-PROCLIP_00075954, # (5) Exhibit E - U.S. Patent No. 6,585,212, # (6) Exhibit F - RodriguesP 5-OCR, # (7) Exhibit G - 43472BR) (Tellekson, David) Modified on 6/17/2022. (lak) |
| Jun 16, 2022 | 273 | Redacted Document (30) Docket Text: Redaction to [249] Motion in Limine (Omnibus) (Sealed Document) by Plaintiff National Products, Inc. (Tellekson, David) |
| Jun 16, 2022 | 274 | Redacted Document (Main Document) (5) Docket Text: Redaction to [250] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020_1218 Defs' Invalidity and Unenforceability Contentions, # (2) Exhibit B - 2021_0721 Defs' Amended Invalidity Contentions, # (3) Exhibit C - PROCLIP0071444, # (4) Exhibit D - PROCLIP0071375, # (5) Exhibit E - PROCLIP0072205, # (6) Exhibit F - AEO, 2022 04 22 ProClip's Responses to NPI's 4th ROGs, # (7) Exhibit G - 2021 03 19 [2021-00622] - Ex 1011 - Cameron Decl, # (8) Exhibit H - 2021 03 19 [2021-00623] - Ex 1006 - Cameron Decl, # (9) Exhibit I - DoveyJ 46-OCR, # (10) Exhibit J - DoveyJ 47-OCR, # (11) Exhibit K - DoveyJ 48-OCR, # (12) Exhibit L - DoveyJ 49-OCR, # (13) Exhibit M - 2020 10 20 ProClip Responses to NPI's 1st ROGS, # (14) Exhibit N - 2021 12 23 ProClip Responses to NPI 3rd RFP, # (15) Exhibit O - 2020 10 09 ProClip Rule 26(a)(1) Initial Disclosures, # (16) Exhibit P - 210907_ProClip's Supp Response to ROGs 1 12 19, # (17) Exhibit Q - Remmers 21, # (18) Exhibit R - Babcock 104, # (19) Exhibit S - 2020 10 20 ProClip Responses to NPI's 1st RFPs (1-76), # (20) Exhibit T - 2022 01 27 Email from N. Klenow, # (21) Exhibit U - PROCLIP0071817, # (22) Exhibit V - PROCLIP0072164, # (23) Exhibit W - 2022 04 26 Email thread from Counsel re ProClip production, # (24) Exhibit X - 2022 06 06 Van Camp Ltr to NPI counsel enc Schedule 6) (Tellekson, David) |
| Jun 16, 2022 | 274 | Redacted Document (Exhibit A - 2020_1218 Defs' Invalidity and Unenforceability Contentions) (12) Docket Text: Redaction to [250] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020_1218 Defs' Invalidity and Unenforceability Contentions, # (2) Exhibit B - 2021_0721 Defs' Amended Invalidity Contentions, # (3) Exhibit C - PROCLIP0071444, # (4) Exhibit D - PROCLIP0071375, # (5) Exhibit E - PROCLIP0072205, # (6) Exhibit F - AEO, 2022 04 22 ProClip's Responses to NPI's 4th ROGs, # (7) Exhibit G - 2021 03 19 [2021-00622] - Ex 1011 - Cameron Decl, # (8) Exhibit H - 2021 03 19 [2021-00623] - Ex 1006 - Cameron Decl, # (9) Exhibit I - DoveyJ 46-OCR, # (10) Exhibit J - DoveyJ 47-OCR, # (11) Exhibit K - DoveyJ 48-OCR, # (12) Exhibit L - DoveyJ 49-OCR, # (13) Exhibit M - 2020 10 20 ProClip Responses to NPI's 1st ROGS, # (14) Exhibit N - 2021 12 23 ProClip Responses to NPI 3rd RFP, # (15) Exhibit O - 2020 10 09 ProClip Rule 26(a)(1) Initial Disclosures, # (16) Exhibit P - 210907_ProClip's Supp Response to ROGs 1 12 19, # (17) Exhibit Q - Remmers 21, # (18) Exhibit R - Babcock 104, # (19) Exhibit S - 2020 10 20 ProClip Responses to NPI's 1st RFPs (1-76), # (20) Exhibit T - 2022 01 27 Email from N. Klenow, # (21) Exhibit U - PROCLIP0071817, # (22) Exhibit V - PROCLIP0072164, # (23) Exhibit W - 2022 04 26 Email thread from Counsel re ProClip production, # (24) Exhibit X - 2022 06 06 Van Camp Ltr to NPI counsel enc Schedule 6) (Tellekson, David) |
| Jun 16, 2022 | 274 | Redacted Document (Exhibit B - 2021_0721 Defs' Amended Invalidity Contentions) (12) Docket Text: Redaction to [250] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020_1218 Defs' Invalidity and Unenforceability Contentions, # (2) Exhibit B - 2021_0721 Defs' Amended Invalidity Contentions, # (3) Exhibit C - PROCLIP0071444, # (4) Exhibit D - PROCLIP0071375, # (5) Exhibit E - PROCLIP0072205, # (6) Exhibit F - AEO, 2022 04 22 ProClip's Responses to NPI's 4th ROGs, # (7) Exhibit G - 2021 03 19 [2021-00622] - Ex 1011 - Cameron Decl, # (8) Exhibit H - 2021 03 19 [2021-00623] - Ex 1006 - Cameron Decl, # (9) Exhibit I - DoveyJ 46-OCR, # (10) Exhibit J - DoveyJ 47-OCR, # (11) Exhibit K - DoveyJ 48-OCR, # (12) Exhibit L - DoveyJ 49-OCR, # (13) Exhibit M - 2020 10 20 ProClip Responses to NPI's 1st ROGS, # (14) Exhibit N - 2021 12 23 ProClip Responses to NPI 3rd RFP, # (15) Exhibit O - 2020 10 09 ProClip Rule 26(a)(1) Initial Disclosures, # (16) Exhibit P - 210907_ProClip's Supp Response to ROGs 1 12 19, # (17) Exhibit Q - Remmers 21, # (18) Exhibit R - Babcock 104, # (19) Exhibit S - 2020 10 20 ProClip Responses to NPI's 1st RFPs (1-76), # (20) Exhibit T - 2022 01 27 Email from N. Klenow, # (21) Exhibit U - PROCLIP0071817, # (22) Exhibit V - PROCLIP0072164, # (23) Exhibit W - 2022 04 26 Email thread from Counsel re ProClip production, # (24) Exhibit X - 2022 06 06 Van Camp Ltr to NPI counsel enc Schedule 6) (Tellekson, David) |
| Jun 16, 2022 | 274 | Redacted Document (Exhibit C - PROCLIP0071444) (2) Docket Text: Redaction to [250] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020_1218 Defs' Invalidity and Unenforceability Contentions, # (2) Exhibit B - 2021_0721 Defs' Amended Invalidity Contentions, # (3) Exhibit C - PROCLIP0071444, # (4) Exhibit D - PROCLIP0071375, # (5) Exhibit E - PROCLIP0072205, # (6) Exhibit F - AEO, 2022 04 22 ProClip's Responses to NPI's 4th ROGs, # (7) Exhibit G - 2021 03 19 [2021-00622] - Ex 1011 - Cameron Decl, # (8) Exhibit H - 2021 03 19 [2021-00623] - Ex 1006 - Cameron Decl, # (9) Exhibit I - DoveyJ 46-OCR, # (10) Exhibit J - DoveyJ 47-OCR, # (11) Exhibit K - DoveyJ 48-OCR, # (12) Exhibit L - DoveyJ 49-OCR, # (13) Exhibit M - 2020 10 20 ProClip Responses to NPI's 1st ROGS, # (14) Exhibit N - 2021 12 23 ProClip Responses to NPI 3rd RFP, # (15) Exhibit O - 2020 10 09 ProClip Rule 26(a)(1) Initial Disclosures, # (16) Exhibit P - 210907_ProClip's Supp Response to ROGs 1 12 19, # (17) Exhibit Q - Remmers 21, # (18) Exhibit R - Babcock 104, # (19) Exhibit S - 2020 10 20 ProClip Responses to NPI's 1st RFPs (1-76), # (20) Exhibit T - 2022 01 27 Email from N. Klenow, # (21) Exhibit U - PROCLIP0071817, # (22) Exhibit V - PROCLIP0072164, # (23) Exhibit W - 2022 04 26 Email thread from Counsel re ProClip production, # (24) Exhibit X - 2022 06 06 Van Camp Ltr to NPI counsel enc Schedule 6) (Tellekson, David) |
| Jun 16, 2022 | 274 | Redacted Document (Exhibit D - PROCLIP0071375) (2) Docket Text: Redaction to [250] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020_1218 Defs' Invalidity and Unenforceability Contentions, # (2) Exhibit B - 2021_0721 Defs' Amended Invalidity Contentions, # (3) Exhibit C - PROCLIP0071444, # (4) Exhibit D - PROCLIP0071375, # (5) Exhibit E - PROCLIP0072205, # (6) Exhibit F - AEO, 2022 04 22 ProClip's Responses to NPI's 4th ROGs, # (7) Exhibit G - 2021 03 19 [2021-00622] - Ex 1011 - Cameron Decl, # (8) Exhibit H - 2021 03 19 [2021-00623] - Ex 1006 - Cameron Decl, # (9) Exhibit I - DoveyJ 46-OCR, # (10) Exhibit J - DoveyJ 47-OCR, # (11) Exhibit K - DoveyJ 48-OCR, # (12) Exhibit L - DoveyJ 49-OCR, # (13) Exhibit M - 2020 10 20 ProClip Responses to NPI's 1st ROGS, # (14) Exhibit N - 2021 12 23 ProClip Responses to NPI 3rd RFP, # (15) Exhibit O - 2020 10 09 ProClip Rule 26(a)(1) Initial Disclosures, # (16) Exhibit P - 210907_ProClip's Supp Response to ROGs 1 12 19, # (17) Exhibit Q - Remmers 21, # (18) Exhibit R - Babcock 104, # (19) Exhibit S - 2020 10 20 ProClip Responses to NPI's 1st RFPs (1-76), # (20) Exhibit T - 2022 01 27 Email from N. Klenow, # (21) Exhibit U - PROCLIP0071817, # (22) Exhibit V - PROCLIP0072164, # (23) Exhibit W - 2022 04 26 Email thread from Counsel re ProClip production, # (24) Exhibit X - 2022 06 06 Van Camp Ltr to NPI counsel enc Schedule 6) (Tellekson, David) |
| Jun 16, 2022 | 274 | Redacted Document (Exhibit E - PROCLIP0072205) (30) Docket Text: Redaction to [250] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020_1218 Defs' Invalidity and Unenforceability Contentions, # (2) Exhibit B - 2021_0721 Defs' Amended Invalidity Contentions, # (3) Exhibit C - PROCLIP0071444, # (4) Exhibit D - PROCLIP0071375, # (5) Exhibit E - PROCLIP0072205, # (6) Exhibit F - AEO, 2022 04 22 ProClip's Responses to NPI's 4th ROGs, # (7) Exhibit G - 2021 03 19 [2021-00622] - Ex 1011 - Cameron Decl, # (8) Exhibit H - 2021 03 19 [2021-00623] - Ex 1006 - Cameron Decl, # (9) Exhibit I - DoveyJ 46-OCR, # (10) Exhibit J - DoveyJ 47-OCR, # (11) Exhibit K - DoveyJ 48-OCR, # (12) Exhibit L - DoveyJ 49-OCR, # (13) Exhibit M - 2020 10 20 ProClip Responses to NPI's 1st ROGS, # (14) Exhibit N - 2021 12 23 ProClip Responses to NPI 3rd RFP, # (15) Exhibit O - 2020 10 09 ProClip Rule 26(a)(1) Initial Disclosures, # (16) Exhibit P - 210907_ProClip's Supp Response to ROGs 1 12 19, # (17) Exhibit Q - Remmers 21, # (18) Exhibit R - Babcock 104, # (19) Exhibit S - 2020 10 20 ProClip Responses to NPI's 1st RFPs (1-76), # (20) Exhibit T - 2022 01 27 Email from N. Klenow, # (21) Exhibit U - PROCLIP0071817, # (22) Exhibit V - PROCLIP0072164, # (23) Exhibit W - 2022 04 26 Email thread from Counsel re ProClip production, # (24) Exhibit X - 2022 06 06 Van Camp Ltr to NPI counsel enc Schedule 6) (Tellekson, David) |
| Jun 16, 2022 | 274 | Redacted Document (Exhibit F - AEO, 2022 04 22 ProClip's Responses to NPI's 4t) (1) Docket Text: Redaction to [250] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020_1218 Defs' Invalidity and Unenforceability Contentions, # (2) Exhibit B - 2021_0721 Defs' Amended Invalidity Contentions, # (3) Exhibit C - PROCLIP0071444, # (4) Exhibit D - PROCLIP0071375, # (5) Exhibit E - PROCLIP0072205, # (6) Exhibit F - AEO, 2022 04 22 ProClip's Responses to NPI's 4th ROGs, # (7) Exhibit G - 2021 03 19 [2021-00622] - Ex 1011 - Cameron Decl, # (8) Exhibit H - 2021 03 19 [2021-00623] - Ex 1006 - Cameron Decl, # (9) Exhibit I - DoveyJ 46-OCR, # (10) Exhibit J - DoveyJ 47-OCR, # (11) Exhibit K - DoveyJ 48-OCR, # (12) Exhibit L - DoveyJ 49-OCR, # (13) Exhibit M - 2020 10 20 ProClip Responses to NPI's 1st ROGS, # (14) Exhibit N - 2021 12 23 ProClip Responses to NPI 3rd RFP, # (15) Exhibit O - 2020 10 09 ProClip Rule 26(a)(1) Initial Disclosures, # (16) Exhibit P - 210907_ProClip's Supp Response to ROGs 1 12 19, # (17) Exhibit Q - Remmers 21, # (18) Exhibit R - Babcock 104, # (19) Exhibit S - 2020 10 20 ProClip Responses to NPI's 1st RFPs (1-76), # (20) Exhibit T - 2022 01 27 Email from N. Klenow, # (21) Exhibit U - PROCLIP0071817, # (22) Exhibit V - PROCLIP0072164, # (23) Exhibit W - 2022 04 26 Email thread from Counsel re ProClip production, # (24) Exhibit X - 2022 06 06 Van Camp Ltr to NPI counsel enc Schedule 6) (Tellekson, David) |
| Jun 16, 2022 | 274 | Redacted Document (Exhibit G - 2021 03 19 [2021-00622] - Ex 1011 - Cameron Decl) (30) Docket Text: Redaction to [250] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020_1218 Defs' Invalidity and Unenforceability Contentions, # (2) Exhibit B - 2021_0721 Defs' Amended Invalidity Contentions, # (3) Exhibit C - PROCLIP0071444, # (4) Exhibit D - PROCLIP0071375, # (5) Exhibit E - PROCLIP0072205, # (6) Exhibit F - AEO, 2022 04 22 ProClip's Responses to NPI's 4th ROGs, # (7) Exhibit G - 2021 03 19 [2021-00622] - Ex 1011 - Cameron Decl, # (8) Exhibit H - 2021 03 19 [2021-00623] - Ex 1006 - Cameron Decl, # (9) Exhibit I - DoveyJ 46-OCR, # (10) Exhibit J - DoveyJ 47-OCR, # (11) Exhibit K - DoveyJ 48-OCR, # (12) Exhibit L - DoveyJ 49-OCR, # (13) Exhibit M - 2020 10 20 ProClip Responses to NPI's 1st ROGS, # (14) Exhibit N - 2021 12 23 ProClip Responses to NPI 3rd RFP, # (15) Exhibit O - 2020 10 09 ProClip Rule 26(a)(1) Initial Disclosures, # (16) Exhibit P - 210907_ProClip's Supp Response to ROGs 1 12 19, # (17) Exhibit Q - Remmers 21, # (18) Exhibit R - Babcock 104, # (19) Exhibit S - 2020 10 20 ProClip Responses to NPI's 1st RFPs (1-76), # (20) Exhibit T - 2022 01 27 Email from N. Klenow, # (21) Exhibit U - PROCLIP0071817, # (22) Exhibit V - PROCLIP0072164, # (23) Exhibit W - 2022 04 26 Email thread from Counsel re ProClip production, # (24) Exhibit X - 2022 06 06 Van Camp Ltr to NPI counsel enc Schedule 6) (Tellekson, David) |
| Jun 16, 2022 | 274 | Redacted Document (Exhibit H - 2021 03 19 [2021-00623] - Ex 1006 - Cameron Decl) (30) Docket Text: Redaction to [250] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020_1218 Defs' Invalidity and Unenforceability Contentions, # (2) Exhibit B - 2021_0721 Defs' Amended Invalidity Contentions, # (3) Exhibit C - PROCLIP0071444, # (4) Exhibit D - PROCLIP0071375, # (5) Exhibit E - PROCLIP0072205, # (6) Exhibit F - AEO, 2022 04 22 ProClip's Responses to NPI's 4th ROGs, # (7) Exhibit G - 2021 03 19 [2021-00622] - Ex 1011 - Cameron Decl, # (8) Exhibit H - 2021 03 19 [2021-00623] - Ex 1006 - Cameron Decl, # (9) Exhibit I - DoveyJ 46-OCR, # (10) Exhibit J - DoveyJ 47-OCR, # (11) Exhibit K - DoveyJ 48-OCR, # (12) Exhibit L - DoveyJ 49-OCR, # (13) Exhibit M - 2020 10 20 ProClip Responses to NPI's 1st ROGS, # (14) Exhibit N - 2021 12 23 ProClip Responses to NPI 3rd RFP, # (15) Exhibit O - 2020 10 09 ProClip Rule 26(a)(1) Initial Disclosures, # (16) Exhibit P - 210907_ProClip's Supp Response to ROGs 1 12 19, # (17) Exhibit Q - Remmers 21, # (18) Exhibit R - Babcock 104, # (19) Exhibit S - 2020 10 20 ProClip Responses to NPI's 1st RFPs (1-76), # (20) Exhibit T - 2022 01 27 Email from N. Klenow, # (21) Exhibit U - PROCLIP0071817, # (22) Exhibit V - PROCLIP0072164, # (23) Exhibit W - 2022 04 26 Email thread from Counsel re ProClip production, # (24) Exhibit X - 2022 06 06 Van Camp Ltr to NPI counsel enc Schedule 6) (Tellekson, David) |
| Jun 16, 2022 | 274 | Redacted Document (Exhibit I - DoveyJ 46-OCR) (1) Docket Text: Redaction to [250] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020_1218 Defs' Invalidity and Unenforceability Contentions, # (2) Exhibit B - 2021_0721 Defs' Amended Invalidity Contentions, # (3) Exhibit C - PROCLIP0071444, # (4) Exhibit D - PROCLIP0071375, # (5) Exhibit E - PROCLIP0072205, # (6) Exhibit F - AEO, 2022 04 22 ProClip's Responses to NPI's 4th ROGs, # (7) Exhibit G - 2021 03 19 [2021-00622] - Ex 1011 - Cameron Decl, # (8) Exhibit H - 2021 03 19 [2021-00623] - Ex 1006 - Cameron Decl, # (9) Exhibit I - DoveyJ 46-OCR, # (10) Exhibit J - DoveyJ 47-OCR, # (11) Exhibit K - DoveyJ 48-OCR, # (12) Exhibit L - DoveyJ 49-OCR, # (13) Exhibit M - 2020 10 20 ProClip Responses to NPI's 1st ROGS, # (14) Exhibit N - 2021 12 23 ProClip Responses to NPI 3rd RFP, # (15) Exhibit O - 2020 10 09 ProClip Rule 26(a)(1) Initial Disclosures, # (16) Exhibit P - 210907_ProClip's Supp Response to ROGs 1 12 19, # (17) Exhibit Q - Remmers 21, # (18) Exhibit R - Babcock 104, # (19) Exhibit S - 2020 10 20 ProClip Responses to NPI's 1st RFPs (1-76), # (20) Exhibit T - 2022 01 27 Email from N. Klenow, # (21) Exhibit U - PROCLIP0071817, # (22) Exhibit V - PROCLIP0072164, # (23) Exhibit W - 2022 04 26 Email thread from Counsel re ProClip production, # (24) Exhibit X - 2022 06 06 Van Camp Ltr to NPI counsel enc Schedule 6) (Tellekson, David) |
| Jun 16, 2022 | 274 | Redacted Document (Exhibit J - DoveyJ 47-OCR) (1) Docket Text: Redaction to [250] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020_1218 Defs' Invalidity and Unenforceability Contentions, # (2) Exhibit B - 2021_0721 Defs' Amended Invalidity Contentions, # (3) Exhibit C - PROCLIP0071444, # (4) Exhibit D - PROCLIP0071375, # (5) Exhibit E - PROCLIP0072205, # (6) Exhibit F - AEO, 2022 04 22 ProClip's Responses to NPI's 4th ROGs, # (7) Exhibit G - 2021 03 19 [2021-00622] - Ex 1011 - Cameron Decl, # (8) Exhibit H - 2021 03 19 [2021-00623] - Ex 1006 - Cameron Decl, # (9) Exhibit I - DoveyJ 46-OCR, # (10) Exhibit J - DoveyJ 47-OCR, # (11) Exhibit K - DoveyJ 48-OCR, # (12) Exhibit L - DoveyJ 49-OCR, # (13) Exhibit M - 2020 10 20 ProClip Responses to NPI's 1st ROGS, # (14) Exhibit N - 2021 12 23 ProClip Responses to NPI 3rd RFP, # (15) Exhibit O - 2020 10 09 ProClip Rule 26(a)(1) Initial Disclosures, # (16) Exhibit P - 210907_ProClip's Supp Response to ROGs 1 12 19, # (17) Exhibit Q - Remmers 21, # (18) Exhibit R - Babcock 104, # (19) Exhibit S - 2020 10 20 ProClip Responses to NPI's 1st RFPs (1-76), # (20) Exhibit T - 2022 01 27 Email from N. Klenow, # (21) Exhibit U - PROCLIP0071817, # (22) Exhibit V - PROCLIP0072164, # (23) Exhibit W - 2022 04 26 Email thread from Counsel re ProClip production, # (24) Exhibit X - 2022 06 06 Van Camp Ltr to NPI counsel enc Schedule 6) (Tellekson, David) |
| Jun 16, 2022 | 274 | Redacted Document (Exhibit K - DoveyJ 48-OCR) (1) Docket Text: Redaction to [250] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020_1218 Defs' Invalidity and Unenforceability Contentions, # (2) Exhibit B - 2021_0721 Defs' Amended Invalidity Contentions, # (3) Exhibit C - PROCLIP0071444, # (4) Exhibit D - PROCLIP0071375, # (5) Exhibit E - PROCLIP0072205, # (6) Exhibit F - AEO, 2022 04 22 ProClip's Responses to NPI's 4th ROGs, # (7) Exhibit G - 2021 03 19 [2021-00622] - Ex 1011 - Cameron Decl, # (8) Exhibit H - 2021 03 19 [2021-00623] - Ex 1006 - Cameron Decl, # (9) Exhibit I - DoveyJ 46-OCR, # (10) Exhibit J - DoveyJ 47-OCR, # (11) Exhibit K - DoveyJ 48-OCR, # (12) Exhibit L - DoveyJ 49-OCR, # (13) Exhibit M - 2020 10 20 ProClip Responses to NPI's 1st ROGS, # (14) Exhibit N - 2021 12 23 ProClip Responses to NPI 3rd RFP, # (15) Exhibit O - 2020 10 09 ProClip Rule 26(a)(1) Initial Disclosures, # (16) Exhibit P - 210907_ProClip's Supp Response to ROGs 1 12 19, # (17) Exhibit Q - Remmers 21, # (18) Exhibit R - Babcock 104, # (19) Exhibit S - 2020 10 20 ProClip Responses to NPI's 1st RFPs (1-76), # (20) Exhibit T - 2022 01 27 Email from N. Klenow, # (21) Exhibit U - PROCLIP0071817, # (22) Exhibit V - PROCLIP0072164, # (23) Exhibit W - 2022 04 26 Email thread from Counsel re ProClip production, # (24) Exhibit X - 2022 06 06 Van Camp Ltr to NPI counsel enc Schedule 6) (Tellekson, David) |
| Jun 16, 2022 | 274 | Redacted Document (Exhibit L - DoveyJ 49-OCR) (1) Docket Text: Redaction to [250] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020_1218 Defs' Invalidity and Unenforceability Contentions, # (2) Exhibit B - 2021_0721 Defs' Amended Invalidity Contentions, # (3) Exhibit C - PROCLIP0071444, # (4) Exhibit D - PROCLIP0071375, # (5) Exhibit E - PROCLIP0072205, # (6) Exhibit F - AEO, 2022 04 22 ProClip's Responses to NPI's 4th ROGs, # (7) Exhibit G - 2021 03 19 [2021-00622] - Ex 1011 - Cameron Decl, # (8) Exhibit H - 2021 03 19 [2021-00623] - Ex 1006 - Cameron Decl, # (9) Exhibit I - DoveyJ 46-OCR, # (10) Exhibit J - DoveyJ 47-OCR, # (11) Exhibit K - DoveyJ 48-OCR, # (12) Exhibit L - DoveyJ 49-OCR, # (13) Exhibit M - 2020 10 20 ProClip Responses to NPI's 1st ROGS, # (14) Exhibit N - 2021 12 23 ProClip Responses to NPI 3rd RFP, # (15) Exhibit O - 2020 10 09 ProClip Rule 26(a)(1) Initial Disclosures, # (16) Exhibit P - 210907_ProClip's Supp Response to ROGs 1 12 19, # (17) Exhibit Q - Remmers 21, # (18) Exhibit R - Babcock 104, # (19) Exhibit S - 2020 10 20 ProClip Responses to NPI's 1st RFPs (1-76), # (20) Exhibit T - 2022 01 27 Email from N. Klenow, # (21) Exhibit U - PROCLIP0071817, # (22) Exhibit V - PROCLIP0072164, # (23) Exhibit W - 2022 04 26 Email thread from Counsel re ProClip production, # (24) Exhibit X - 2022 06 06 Van Camp Ltr to NPI counsel enc Schedule 6) (Tellekson, David) |
| Jun 16, 2022 | 274 | Redacted Document (Exhibit M - 2020 10 20 ProClip Responses to NPI's 1st ROGS) (17) Docket Text: Redaction to [250] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020_1218 Defs' Invalidity and Unenforceability Contentions, # (2) Exhibit B - 2021_0721 Defs' Amended Invalidity Contentions, # (3) Exhibit C - PROCLIP0071444, # (4) Exhibit D - PROCLIP0071375, # (5) Exhibit E - PROCLIP0072205, # (6) Exhibit F - AEO, 2022 04 22 ProClip's Responses to NPI's 4th ROGs, # (7) Exhibit G - 2021 03 19 [2021-00622] - Ex 1011 - Cameron Decl, # (8) Exhibit H - 2021 03 19 [2021-00623] - Ex 1006 - Cameron Decl, # (9) Exhibit I - DoveyJ 46-OCR, # (10) Exhibit J - DoveyJ 47-OCR, # (11) Exhibit K - DoveyJ 48-OCR, # (12) Exhibit L - DoveyJ 49-OCR, # (13) Exhibit M - 2020 10 20 ProClip Responses to NPI's 1st ROGS, # (14) Exhibit N - 2021 12 23 ProClip Responses to NPI 3rd RFP, # (15) Exhibit O - 2020 10 09 ProClip Rule 26(a)(1) Initial Disclosures, # (16) Exhibit P - 210907_ProClip's Supp Response to ROGs 1 12 19, # (17) Exhibit Q - Remmers 21, # (18) Exhibit R - Babcock 104, # (19) Exhibit S - 2020 10 20 ProClip Responses to NPI's 1st RFPs (1-76), # (20) Exhibit T - 2022 01 27 Email from N. Klenow, # (21) Exhibit U - PROCLIP0071817, # (22) Exhibit V - PROCLIP0072164, # (23) Exhibit W - 2022 04 26 Email thread from Counsel re ProClip production, # (24) Exhibit X - 2022 06 06 Van Camp Ltr to NPI counsel enc Schedule 6) (Tellekson, David) |
| Jun 16, 2022 | 274 | Redacted Document (Exhibit N - 2021 12 23 ProClip Responses to NPI 3rd RFP) (12) Docket Text: Redaction to [250] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020_1218 Defs' Invalidity and Unenforceability Contentions, # (2) Exhibit B - 2021_0721 Defs' Amended Invalidity Contentions, # (3) Exhibit C - PROCLIP0071444, # (4) Exhibit D - PROCLIP0071375, # (5) Exhibit E - PROCLIP0072205, # (6) Exhibit F - AEO, 2022 04 22 ProClip's Responses to NPI's 4th ROGs, # (7) Exhibit G - 2021 03 19 [2021-00622] - Ex 1011 - Cameron Decl, # (8) Exhibit H - 2021 03 19 [2021-00623] - Ex 1006 - Cameron Decl, # (9) Exhibit I - DoveyJ 46-OCR, # (10) Exhibit J - DoveyJ 47-OCR, # (11) Exhibit K - DoveyJ 48-OCR, # (12) Exhibit L - DoveyJ 49-OCR, # (13) Exhibit M - 2020 10 20 ProClip Responses to NPI's 1st ROGS, # (14) Exhibit N - 2021 12 23 ProClip Responses to NPI 3rd RFP, # (15) Exhibit O - 2020 10 09 ProClip Rule 26(a)(1) Initial Disclosures, # (16) Exhibit P - 210907_ProClip's Supp Response to ROGs 1 12 19, # (17) Exhibit Q - Remmers 21, # (18) Exhibit R - Babcock 104, # (19) Exhibit S - 2020 10 20 ProClip Responses to NPI's 1st RFPs (1-76), # (20) Exhibit T - 2022 01 27 Email from N. Klenow, # (21) Exhibit U - PROCLIP0071817, # (22) Exhibit V - PROCLIP0072164, # (23) Exhibit W - 2022 04 26 Email thread from Counsel re ProClip production, # (24) Exhibit X - 2022 06 06 Van Camp Ltr to NPI counsel enc Schedule 6) (Tellekson, David) |
| Jun 16, 2022 | 274 | Redacted Document (Exhibit O - 2020 10 09 ProClip Rule 26(a)(1) Initial Disclosures) (5) Docket Text: Redaction to [250] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020_1218 Defs' Invalidity and Unenforceability Contentions, # (2) Exhibit B - 2021_0721 Defs' Amended Invalidity Contentions, # (3) Exhibit C - PROCLIP0071444, # (4) Exhibit D - PROCLIP0071375, # (5) Exhibit E - PROCLIP0072205, # (6) Exhibit F - AEO, 2022 04 22 ProClip's Responses to NPI's 4th ROGs, # (7) Exhibit G - 2021 03 19 [2021-00622] - Ex 1011 - Cameron Decl, # (8) Exhibit H - 2021 03 19 [2021-00623] - Ex 1006 - Cameron Decl, # (9) Exhibit I - DoveyJ 46-OCR, # (10) Exhibit J - DoveyJ 47-OCR, # (11) Exhibit K - DoveyJ 48-OCR, # (12) Exhibit L - DoveyJ 49-OCR, # (13) Exhibit M - 2020 10 20 ProClip Responses to NPI's 1st ROGS, # (14) Exhibit N - 2021 12 23 ProClip Responses to NPI 3rd RFP, # (15) Exhibit O - 2020 10 09 ProClip Rule 26(a)(1) Initial Disclosures, # (16) Exhibit P - 210907_ProClip's Supp Response to ROGs 1 12 19, # (17) Exhibit Q - Remmers 21, # (18) Exhibit R - Babcock 104, # (19) Exhibit S - 2020 10 20 ProClip Responses to NPI's 1st RFPs (1-76), # (20) Exhibit T - 2022 01 27 Email from N. Klenow, # (21) Exhibit U - PROCLIP0071817, # (22) Exhibit V - PROCLIP0072164, # (23) Exhibit W - 2022 04 26 Email thread from Counsel re ProClip production, # (24) Exhibit X - 2022 06 06 Van Camp Ltr to NPI counsel enc Schedule 6) (Tellekson, David) |
| Jun 16, 2022 | 274 | Redacted Document (Exhibit P - 210907_ProClip's Supp Response to ROGs 1 12 19) (7) Docket Text: Redaction to [250] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020_1218 Defs' Invalidity and Unenforceability Contentions, # (2) Exhibit B - 2021_0721 Defs' Amended Invalidity Contentions, # (3) Exhibit C - PROCLIP0071444, # (4) Exhibit D - PROCLIP0071375, # (5) Exhibit E - PROCLIP0072205, # (6) Exhibit F - AEO, 2022 04 22 ProClip's Responses to NPI's 4th ROGs, # (7) Exhibit G - 2021 03 19 [2021-00622] - Ex 1011 - Cameron Decl, # (8) Exhibit H - 2021 03 19 [2021-00623] - Ex 1006 - Cameron Decl, # (9) Exhibit I - DoveyJ 46-OCR, # (10) Exhibit J - DoveyJ 47-OCR, # (11) Exhibit K - DoveyJ 48-OCR, # (12) Exhibit L - DoveyJ 49-OCR, # (13) Exhibit M - 2020 10 20 ProClip Responses to NPI's 1st ROGS, # (14) Exhibit N - 2021 12 23 ProClip Responses to NPI 3rd RFP, # (15) Exhibit O - 2020 10 09 ProClip Rule 26(a)(1) Initial Disclosures, # (16) Exhibit P - 210907_ProClip's Supp Response to ROGs 1 12 19, # (17) Exhibit Q - Remmers 21, # (18) Exhibit R - Babcock 104, # (19) Exhibit S - 2020 10 20 ProClip Responses to NPI's 1st RFPs (1-76), # (20) Exhibit T - 2022 01 27 Email from N. Klenow, # (21) Exhibit U - PROCLIP0071817, # (22) Exhibit V - PROCLIP0072164, # (23) Exhibit W - 2022 04 26 Email thread from Counsel re ProClip production, # (24) Exhibit X - 2022 06 06 Van Camp Ltr to NPI counsel enc Schedule 6) (Tellekson, David) |
| Jun 16, 2022 | 274 | Redacted Document (Exhibit Q - Remmers 21) (28) Docket Text: Redaction to [250] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020_1218 Defs' Invalidity and Unenforceability Contentions, # (2) Exhibit B - 2021_0721 Defs' Amended Invalidity Contentions, # (3) Exhibit C - PROCLIP0071444, # (4) Exhibit D - PROCLIP0071375, # (5) Exhibit E - PROCLIP0072205, # (6) Exhibit F - AEO, 2022 04 22 ProClip's Responses to NPI's 4th ROGs, # (7) Exhibit G - 2021 03 19 [2021-00622] - Ex 1011 - Cameron Decl, # (8) Exhibit H - 2021 03 19 [2021-00623] - Ex 1006 - Cameron Decl, # (9) Exhibit I - DoveyJ 46-OCR, # (10) Exhibit J - DoveyJ 47-OCR, # (11) Exhibit K - DoveyJ 48-OCR, # (12) Exhibit L - DoveyJ 49-OCR, # (13) Exhibit M - 2020 10 20 ProClip Responses to NPI's 1st ROGS, # (14) Exhibit N - 2021 12 23 ProClip Responses to NPI 3rd RFP, # (15) Exhibit O - 2020 10 09 ProClip Rule 26(a)(1) Initial Disclosures, # (16) Exhibit P - 210907_ProClip's Supp Response to ROGs 1 12 19, # (17) Exhibit Q - Remmers 21, # (18) Exhibit R - Babcock 104, # (19) Exhibit S - 2020 10 20 ProClip Responses to NPI's 1st RFPs (1-76), # (20) Exhibit T - 2022 01 27 Email from N. Klenow, # (21) Exhibit U - PROCLIP0071817, # (22) Exhibit V - PROCLIP0072164, # (23) Exhibit W - 2022 04 26 Email thread from Counsel re ProClip production, # (24) Exhibit X - 2022 06 06 Van Camp Ltr to NPI counsel enc Schedule 6) (Tellekson, David) |
| Jun 16, 2022 | 274 | Redacted Document (Exhibit R - Babcock 104) (30) Docket Text: Redaction to [250] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020_1218 Defs' Invalidity and Unenforceability Contentions, # (2) Exhibit B - 2021_0721 Defs' Amended Invalidity Contentions, # (3) Exhibit C - PROCLIP0071444, # (4) Exhibit D - PROCLIP0071375, # (5) Exhibit E - PROCLIP0072205, # (6) Exhibit F - AEO, 2022 04 22 ProClip's Responses to NPI's 4th ROGs, # (7) Exhibit G - 2021 03 19 [2021-00622] - Ex 1011 - Cameron Decl, # (8) Exhibit H - 2021 03 19 [2021-00623] - Ex 1006 - Cameron Decl, # (9) Exhibit I - DoveyJ 46-OCR, # (10) Exhibit J - DoveyJ 47-OCR, # (11) Exhibit K - DoveyJ 48-OCR, # (12) Exhibit L - DoveyJ 49-OCR, # (13) Exhibit M - 2020 10 20 ProClip Responses to NPI's 1st ROGS, # (14) Exhibit N - 2021 12 23 ProClip Responses to NPI 3rd RFP, # (15) Exhibit O - 2020 10 09 ProClip Rule 26(a)(1) Initial Disclosures, # (16) Exhibit P - 210907_ProClip's Supp Response to ROGs 1 12 19, # (17) Exhibit Q - Remmers 21, # (18) Exhibit R - Babcock 104, # (19) Exhibit S - 2020 10 20 ProClip Responses to NPI's 1st RFPs (1-76), # (20) Exhibit T - 2022 01 27 Email from N. Klenow, # (21) Exhibit U - PROCLIP0071817, # (22) Exhibit V - PROCLIP0072164, # (23) Exhibit W - 2022 04 26 Email thread from Counsel re ProClip production, # (24) Exhibit X - 2022 06 06 Van Camp Ltr to NPI counsel enc Schedule 6) (Tellekson, David) |
| Jun 16, 2022 | 274 | Redacted Document (Exhibit S - 2020 10 20 ProClip Responses to NPI's 1st RFPs (1-76)) (30) Docket Text: Redaction to [250] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020_1218 Defs' Invalidity and Unenforceability Contentions, # (2) Exhibit B - 2021_0721 Defs' Amended Invalidity Contentions, # (3) Exhibit C - PROCLIP0071444, # (4) Exhibit D - PROCLIP0071375, # (5) Exhibit E - PROCLIP0072205, # (6) Exhibit F - AEO, 2022 04 22 ProClip's Responses to NPI's 4th ROGs, # (7) Exhibit G - 2021 03 19 [2021-00622] - Ex 1011 - Cameron Decl, # (8) Exhibit H - 2021 03 19 [2021-00623] - Ex 1006 - Cameron Decl, # (9) Exhibit I - DoveyJ 46-OCR, # (10) Exhibit J - DoveyJ 47-OCR, # (11) Exhibit K - DoveyJ 48-OCR, # (12) Exhibit L - DoveyJ 49-OCR, # (13) Exhibit M - 2020 10 20 ProClip Responses to NPI's 1st ROGS, # (14) Exhibit N - 2021 12 23 ProClip Responses to NPI 3rd RFP, # (15) Exhibit O - 2020 10 09 ProClip Rule 26(a)(1) Initial Disclosures, # (16) Exhibit P - 210907_ProClip's Supp Response to ROGs 1 12 19, # (17) Exhibit Q - Remmers 21, # (18) Exhibit R - Babcock 104, # (19) Exhibit S - 2020 10 20 ProClip Responses to NPI's 1st RFPs (1-76), # (20) Exhibit T - 2022 01 27 Email from N. Klenow, # (21) Exhibit U - PROCLIP0071817, # (22) Exhibit V - PROCLIP0072164, # (23) Exhibit W - 2022 04 26 Email thread from Counsel re ProClip production, # (24) Exhibit X - 2022 06 06 Van Camp Ltr to NPI counsel enc Schedule 6) (Tellekson, David) |
| Jun 16, 2022 | 274 | Redacted Document (Exhibit T - 2022 01 27 Email from N. Klenow) (4) Docket Text: Redaction to [250] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020_1218 Defs' Invalidity and Unenforceability Contentions, # (2) Exhibit B - 2021_0721 Defs' Amended Invalidity Contentions, # (3) Exhibit C - PROCLIP0071444, # (4) Exhibit D - PROCLIP0071375, # (5) Exhibit E - PROCLIP0072205, # (6) Exhibit F - AEO, 2022 04 22 ProClip's Responses to NPI's 4th ROGs, # (7) Exhibit G - 2021 03 19 [2021-00622] - Ex 1011 - Cameron Decl, # (8) Exhibit H - 2021 03 19 [2021-00623] - Ex 1006 - Cameron Decl, # (9) Exhibit I - DoveyJ 46-OCR, # (10) Exhibit J - DoveyJ 47-OCR, # (11) Exhibit K - DoveyJ 48-OCR, # (12) Exhibit L - DoveyJ 49-OCR, # (13) Exhibit M - 2020 10 20 ProClip Responses to NPI's 1st ROGS, # (14) Exhibit N - 2021 12 23 ProClip Responses to NPI 3rd RFP, # (15) Exhibit O - 2020 10 09 ProClip Rule 26(a)(1) Initial Disclosures, # (16) Exhibit P - 210907_ProClip's Supp Response to ROGs 1 12 19, # (17) Exhibit Q - Remmers 21, # (18) Exhibit R - Babcock 104, # (19) Exhibit S - 2020 10 20 ProClip Responses to NPI's 1st RFPs (1-76), # (20) Exhibit T - 2022 01 27 Email from N. Klenow, # (21) Exhibit U - PROCLIP0071817, # (22) Exhibit V - PROCLIP0072164, # (23) Exhibit W - 2022 04 26 Email thread from Counsel re ProClip production, # (24) Exhibit X - 2022 06 06 Van Camp Ltr to NPI counsel enc Schedule 6) (Tellekson, David) |
| Jun 16, 2022 | 274 | Redacted Document (Exhibit U - PROCLIP0071817) (3) Docket Text: Redaction to [250] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020_1218 Defs' Invalidity and Unenforceability Contentions, # (2) Exhibit B - 2021_0721 Defs' Amended Invalidity Contentions, # (3) Exhibit C - PROCLIP0071444, # (4) Exhibit D - PROCLIP0071375, # (5) Exhibit E - PROCLIP0072205, # (6) Exhibit F - AEO, 2022 04 22 ProClip's Responses to NPI's 4th ROGs, # (7) Exhibit G - 2021 03 19 [2021-00622] - Ex 1011 - Cameron Decl, # (8) Exhibit H - 2021 03 19 [2021-00623] - Ex 1006 - Cameron Decl, # (9) Exhibit I - DoveyJ 46-OCR, # (10) Exhibit J - DoveyJ 47-OCR, # (11) Exhibit K - DoveyJ 48-OCR, # (12) Exhibit L - DoveyJ 49-OCR, # (13) Exhibit M - 2020 10 20 ProClip Responses to NPI's 1st ROGS, # (14) Exhibit N - 2021 12 23 ProClip Responses to NPI 3rd RFP, # (15) Exhibit O - 2020 10 09 ProClip Rule 26(a)(1) Initial Disclosures, # (16) Exhibit P - 210907_ProClip's Supp Response to ROGs 1 12 19, # (17) Exhibit Q - Remmers 21, # (18) Exhibit R - Babcock 104, # (19) Exhibit S - 2020 10 20 ProClip Responses to NPI's 1st RFPs (1-76), # (20) Exhibit T - 2022 01 27 Email from N. Klenow, # (21) Exhibit U - PROCLIP0071817, # (22) Exhibit V - PROCLIP0072164, # (23) Exhibit W - 2022 04 26 Email thread from Counsel re ProClip production, # (24) Exhibit X - 2022 06 06 Van Camp Ltr to NPI counsel enc Schedule 6) (Tellekson, David) |
| Jun 16, 2022 | 274 | Redacted Document (Exhibit V - PROCLIP0072164) (8) Docket Text: Redaction to [250] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020_1218 Defs' Invalidity and Unenforceability Contentions, # (2) Exhibit B - 2021_0721 Defs' Amended Invalidity Contentions, # (3) Exhibit C - PROCLIP0071444, # (4) Exhibit D - PROCLIP0071375, # (5) Exhibit E - PROCLIP0072205, # (6) Exhibit F - AEO, 2022 04 22 ProClip's Responses to NPI's 4th ROGs, # (7) Exhibit G - 2021 03 19 [2021-00622] - Ex 1011 - Cameron Decl, # (8) Exhibit H - 2021 03 19 [2021-00623] - Ex 1006 - Cameron Decl, # (9) Exhibit I - DoveyJ 46-OCR, # (10) Exhibit J - DoveyJ 47-OCR, # (11) Exhibit K - DoveyJ 48-OCR, # (12) Exhibit L - DoveyJ 49-OCR, # (13) Exhibit M - 2020 10 20 ProClip Responses to NPI's 1st ROGS, # (14) Exhibit N - 2021 12 23 ProClip Responses to NPI 3rd RFP, # (15) Exhibit O - 2020 10 09 ProClip Rule 26(a)(1) Initial Disclosures, # (16) Exhibit P - 210907_ProClip's Supp Response to ROGs 1 12 19, # (17) Exhibit Q - Remmers 21, # (18) Exhibit R - Babcock 104, # (19) Exhibit S - 2020 10 20 ProClip Responses to NPI's 1st RFPs (1-76), # (20) Exhibit T - 2022 01 27 Email from N. Klenow, # (21) Exhibit U - PROCLIP0071817, # (22) Exhibit V - PROCLIP0072164, # (23) Exhibit W - 2022 04 26 Email thread from Counsel re ProClip production, # (24) Exhibit X - 2022 06 06 Van Camp Ltr to NPI counsel enc Schedule 6) (Tellekson, David) |
| Jun 16, 2022 | 274 | Redacted Document (Exhibit W - 2022 04 26 Email thread from Counsel re ProClip production) (3) Docket Text: Redaction to [250] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020_1218 Defs' Invalidity and Unenforceability Contentions, # (2) Exhibit B - 2021_0721 Defs' Amended Invalidity Contentions, # (3) Exhibit C - PROCLIP0071444, # (4) Exhibit D - PROCLIP0071375, # (5) Exhibit E - PROCLIP0072205, # (6) Exhibit F - AEO, 2022 04 22 ProClip's Responses to NPI's 4th ROGs, # (7) Exhibit G - 2021 03 19 [2021-00622] - Ex 1011 - Cameron Decl, # (8) Exhibit H - 2021 03 19 [2021-00623] - Ex 1006 - Cameron Decl, # (9) Exhibit I - DoveyJ 46-OCR, # (10) Exhibit J - DoveyJ 47-OCR, # (11) Exhibit K - DoveyJ 48-OCR, # (12) Exhibit L - DoveyJ 49-OCR, # (13) Exhibit M - 2020 10 20 ProClip Responses to NPI's 1st ROGS, # (14) Exhibit N - 2021 12 23 ProClip Responses to NPI 3rd RFP, # (15) Exhibit O - 2020 10 09 ProClip Rule 26(a)(1) Initial Disclosures, # (16) Exhibit P - 210907_ProClip's Supp Response to ROGs 1 12 19, # (17) Exhibit Q - Remmers 21, # (18) Exhibit R - Babcock 104, # (19) Exhibit S - 2020 10 20 ProClip Responses to NPI's 1st RFPs (1-76), # (20) Exhibit T - 2022 01 27 Email from N. Klenow, # (21) Exhibit U - PROCLIP0071817, # (22) Exhibit V - PROCLIP0072164, # (23) Exhibit W - 2022 04 26 Email thread from Counsel re ProClip production, # (24) Exhibit X - 2022 06 06 Van Camp Ltr to NPI counsel enc Schedule 6) (Tellekson, David) |
| Jun 16, 2022 | 274 | Redacted Document (Exhibit X - 2022 06 06 Van Camp Ltr to NPI counsel enc Schedule 6) (1) Docket Text: Redaction to [250] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020_1218 Defs' Invalidity and Unenforceability Contentions, # (2) Exhibit B - 2021_0721 Defs' Amended Invalidity Contentions, # (3) Exhibit C - PROCLIP0071444, # (4) Exhibit D - PROCLIP0071375, # (5) Exhibit E - PROCLIP0072205, # (6) Exhibit F - AEO, 2022 04 22 ProClip's Responses to NPI's 4th ROGs, # (7) Exhibit G - 2021 03 19 [2021-00622] - Ex 1011 - Cameron Decl, # (8) Exhibit H - 2021 03 19 [2021-00623] - Ex 1006 - Cameron Decl, # (9) Exhibit I - DoveyJ 46-OCR, # (10) Exhibit J - DoveyJ 47-OCR, # (11) Exhibit K - DoveyJ 48-OCR, # (12) Exhibit L - DoveyJ 49-OCR, # (13) Exhibit M - 2020 10 20 ProClip Responses to NPI's 1st ROGS, # (14) Exhibit N - 2021 12 23 ProClip Responses to NPI 3rd RFP, # (15) Exhibit O - 2020 10 09 ProClip Rule 26(a)(1) Initial Disclosures, # (16) Exhibit P - 210907_ProClip's Supp Response to ROGs 1 12 19, # (17) Exhibit Q - Remmers 21, # (18) Exhibit R - Babcock 104, # (19) Exhibit S - 2020 10 20 ProClip Responses to NPI's 1st RFPs (1-76), # (20) Exhibit T - 2022 01 27 Email from N. Klenow, # (21) Exhibit U - PROCLIP0071817, # (22) Exhibit V - PROCLIP0072164, # (23) Exhibit W - 2022 04 26 Email thread from Counsel re ProClip production, # (24) Exhibit X - 2022 06 06 Van Camp Ltr to NPI counsel enc Schedule 6) (Tellekson, David) |
| Jun 15, 2022 | 270 | Redacted Document (Main Document) (6) Docket Text: Redaction to [269] Declaration,,,,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - PROCLIP0072197, # (2) Exhibit 2 - PROCLIP0072204, # (3) Exhibit 3 - PROCLIP0072178, # (4) Exhibit 4 - PROCLIP0072176, # (5) Exhibit 5 - PROCLIP0072177, # (6) Exhibit 6 - PROCLIP0072171, # (7) Exhibit 7 - NPI-PROCLIP_00051824, # (8) Exhibit 8 - NPI-PROCLIP_00079486-91, # (9) Exhibit 9 - NPI-PROCLIP_00007655-69, # (10) Exhibit 10 - NPI-PROCLIP_00007831-89, # (11) Exhibit 11 - NPI-PROCLIP_00007949-8028, # (12) Exhibit 12 - NPI-PROCLIP_00007709, # (13) Exhibit 13 - PROCLIP0072186, # (14) Exhibit 14 - NPI's 4th Suppl Response to ProClip's 1st Rogs, # (15) Exhibit 15 - BRODIT0028638, # (16) Exhibit 16 - PROCLIP0032807-11, # (17) Exhibit 17 - BRODIT0074704-07, # (18) Exhibit 18 - NPI-PROCLIP_00013762-819, # (19) Exhibit 19 - ProClip documents, # (20) Exhibit 20 - Brodit documents, # (21) Exhibit 21 - Jan 21, 2022 email, # (22) Exhibit 22 - Redlined Third Amended Complaint, # (23) Exhibit 23 - Jan 21, 2022 Email, # (24) Exhibit 24 - Email dated June 6-7, 2022, # (25) Exhibit 25 - Letter to Internet Archive Requesting Affidavit, # (26) Exhibit 26 - ProClip documents) (Van Camp, Elijah) |
| Jun 15, 2022 | 270 | Redacted Document (Exhibit 1 - PROCLIP0072197) (2) Docket Text: Redaction to [269] Declaration,,,,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - PROCLIP0072197, # (2) Exhibit 2 - PROCLIP0072204, # (3) Exhibit 3 - PROCLIP0072178, # (4) Exhibit 4 - PROCLIP0072176, # (5) Exhibit 5 - PROCLIP0072177, # (6) Exhibit 6 - PROCLIP0072171, # (7) Exhibit 7 - NPI-PROCLIP_00051824, # (8) Exhibit 8 - NPI-PROCLIP_00079486-91, # (9) Exhibit 9 - NPI-PROCLIP_00007655-69, # (10) Exhibit 10 - NPI-PROCLIP_00007831-89, # (11) Exhibit 11 - NPI-PROCLIP_00007949-8028, # (12) Exhibit 12 - NPI-PROCLIP_00007709, # (13) Exhibit 13 - PROCLIP0072186, # (14) Exhibit 14 - NPI's 4th Suppl Response to ProClip's 1st Rogs, # (15) Exhibit 15 - BRODIT0028638, # (16) Exhibit 16 - PROCLIP0032807-11, # (17) Exhibit 17 - BRODIT0074704-07, # (18) Exhibit 18 - NPI-PROCLIP_00013762-819, # (19) Exhibit 19 - ProClip documents, # (20) Exhibit 20 - Brodit documents, # (21) Exhibit 21 - Jan 21, 2022 email, # (22) Exhibit 22 - Redlined Third Amended Complaint, # (23) Exhibit 23 - Jan 21, 2022 Email, # (24) Exhibit 24 - Email dated June 6-7, 2022, # (25) Exhibit 25 - Letter to Internet Archive Requesting Affidavit, # (26) Exhibit 26 - ProClip documents) (Van Camp, Elijah) |
| Jun 15, 2022 | 270 | Redacted Document (Exhibit 2 - PROCLIP0072204) (2) Docket Text: Redaction to [269] Declaration,,,,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - PROCLIP0072197, # (2) Exhibit 2 - PROCLIP0072204, # (3) Exhibit 3 - PROCLIP0072178, # (4) Exhibit 4 - PROCLIP0072176, # (5) Exhibit 5 - PROCLIP0072177, # (6) Exhibit 6 - PROCLIP0072171, # (7) Exhibit 7 - NPI-PROCLIP_00051824, # (8) Exhibit 8 - NPI-PROCLIP_00079486-91, # (9) Exhibit 9 - NPI-PROCLIP_00007655-69, # (10) Exhibit 10 - NPI-PROCLIP_00007831-89, # (11) Exhibit 11 - NPI-PROCLIP_00007949-8028, # (12) Exhibit 12 - NPI-PROCLIP_00007709, # (13) Exhibit 13 - PROCLIP0072186, # (14) Exhibit 14 - NPI's 4th Suppl Response to ProClip's 1st Rogs, # (15) Exhibit 15 - BRODIT0028638, # (16) Exhibit 16 - PROCLIP0032807-11, # (17) Exhibit 17 - BRODIT0074704-07, # (18) Exhibit 18 - NPI-PROCLIP_00013762-819, # (19) Exhibit 19 - ProClip documents, # (20) Exhibit 20 - Brodit documents, # (21) Exhibit 21 - Jan 21, 2022 email, # (22) Exhibit 22 - Redlined Third Amended Complaint, # (23) Exhibit 23 - Jan 21, 2022 Email, # (24) Exhibit 24 - Email dated June 6-7, 2022, # (25) Exhibit 25 - Letter to Internet Archive Requesting Affidavit, # (26) Exhibit 26 - ProClip documents) (Van Camp, Elijah) |
| Jun 15, 2022 | 270 | Redacted Document (Exhibit 3 - PROCLIP0072178) (2) Docket Text: Redaction to [269] Declaration,,,,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - PROCLIP0072197, # (2) Exhibit 2 - PROCLIP0072204, # (3) Exhibit 3 - PROCLIP0072178, # (4) Exhibit 4 - PROCLIP0072176, # (5) Exhibit 5 - PROCLIP0072177, # (6) Exhibit 6 - PROCLIP0072171, # (7) Exhibit 7 - NPI-PROCLIP_00051824, # (8) Exhibit 8 - NPI-PROCLIP_00079486-91, # (9) Exhibit 9 - NPI-PROCLIP_00007655-69, # (10) Exhibit 10 - NPI-PROCLIP_00007831-89, # (11) Exhibit 11 - NPI-PROCLIP_00007949-8028, # (12) Exhibit 12 - NPI-PROCLIP_00007709, # (13) Exhibit 13 - PROCLIP0072186, # (14) Exhibit 14 - NPI's 4th Suppl Response to ProClip's 1st Rogs, # (15) Exhibit 15 - BRODIT0028638, # (16) Exhibit 16 - PROCLIP0032807-11, # (17) Exhibit 17 - BRODIT0074704-07, # (18) Exhibit 18 - NPI-PROCLIP_00013762-819, # (19) Exhibit 19 - ProClip documents, # (20) Exhibit 20 - Brodit documents, # (21) Exhibit 21 - Jan 21, 2022 email, # (22) Exhibit 22 - Redlined Third Amended Complaint, # (23) Exhibit 23 - Jan 21, 2022 Email, # (24) Exhibit 24 - Email dated June 6-7, 2022, # (25) Exhibit 25 - Letter to Internet Archive Requesting Affidavit, # (26) Exhibit 26 - ProClip documents) (Van Camp, Elijah) |
| Jun 15, 2022 | 270 | Redacted Document (Exhibit 4 - PROCLIP0072176) (2) Docket Text: Redaction to [269] Declaration,,,,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - PROCLIP0072197, # (2) Exhibit 2 - PROCLIP0072204, # (3) Exhibit 3 - PROCLIP0072178, # (4) Exhibit 4 - PROCLIP0072176, # (5) Exhibit 5 - PROCLIP0072177, # (6) Exhibit 6 - PROCLIP0072171, # (7) Exhibit 7 - NPI-PROCLIP_00051824, # (8) Exhibit 8 - NPI-PROCLIP_00079486-91, # (9) Exhibit 9 - NPI-PROCLIP_00007655-69, # (10) Exhibit 10 - NPI-PROCLIP_00007831-89, # (11) Exhibit 11 - NPI-PROCLIP_00007949-8028, # (12) Exhibit 12 - NPI-PROCLIP_00007709, # (13) Exhibit 13 - PROCLIP0072186, # (14) Exhibit 14 - NPI's 4th Suppl Response to ProClip's 1st Rogs, # (15) Exhibit 15 - BRODIT0028638, # (16) Exhibit 16 - PROCLIP0032807-11, # (17) Exhibit 17 - BRODIT0074704-07, # (18) Exhibit 18 - NPI-PROCLIP_00013762-819, # (19) Exhibit 19 - ProClip documents, # (20) Exhibit 20 - Brodit documents, # (21) Exhibit 21 - Jan 21, 2022 email, # (22) Exhibit 22 - Redlined Third Amended Complaint, # (23) Exhibit 23 - Jan 21, 2022 Email, # (24) Exhibit 24 - Email dated June 6-7, 2022, # (25) Exhibit 25 - Letter to Internet Archive Requesting Affidavit, # (26) Exhibit 26 - ProClip documents) (Van Camp, Elijah) |
| Jun 15, 2022 | 270 | Redacted Document (Exhibit 5 - PROCLIP0072177) (2) Docket Text: Redaction to [269] Declaration,,,,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - PROCLIP0072197, # (2) Exhibit 2 - PROCLIP0072204, # (3) Exhibit 3 - PROCLIP0072178, # (4) Exhibit 4 - PROCLIP0072176, # (5) Exhibit 5 - PROCLIP0072177, # (6) Exhibit 6 - PROCLIP0072171, # (7) Exhibit 7 - NPI-PROCLIP_00051824, # (8) Exhibit 8 - NPI-PROCLIP_00079486-91, # (9) Exhibit 9 - NPI-PROCLIP_00007655-69, # (10) Exhibit 10 - NPI-PROCLIP_00007831-89, # (11) Exhibit 11 - NPI-PROCLIP_00007949-8028, # (12) Exhibit 12 - NPI-PROCLIP_00007709, # (13) Exhibit 13 - PROCLIP0072186, # (14) Exhibit 14 - NPI's 4th Suppl Response to ProClip's 1st Rogs, # (15) Exhibit 15 - BRODIT0028638, # (16) Exhibit 16 - PROCLIP0032807-11, # (17) Exhibit 17 - BRODIT0074704-07, # (18) Exhibit 18 - NPI-PROCLIP_00013762-819, # (19) Exhibit 19 - ProClip documents, # (20) Exhibit 20 - Brodit documents, # (21) Exhibit 21 - Jan 21, 2022 email, # (22) Exhibit 22 - Redlined Third Amended Complaint, # (23) Exhibit 23 - Jan 21, 2022 Email, # (24) Exhibit 24 - Email dated June 6-7, 2022, # (25) Exhibit 25 - Letter to Internet Archive Requesting Affidavit, # (26) Exhibit 26 - ProClip documents) (Van Camp, Elijah) |
| Jun 15, 2022 | 270 | Redacted Document (Exhibit 6 - PROCLIP0072171) (2) Docket Text: Redaction to [269] Declaration,,,,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - PROCLIP0072197, # (2) Exhibit 2 - PROCLIP0072204, # (3) Exhibit 3 - PROCLIP0072178, # (4) Exhibit 4 - PROCLIP0072176, # (5) Exhibit 5 - PROCLIP0072177, # (6) Exhibit 6 - PROCLIP0072171, # (7) Exhibit 7 - NPI-PROCLIP_00051824, # (8) Exhibit 8 - NPI-PROCLIP_00079486-91, # (9) Exhibit 9 - NPI-PROCLIP_00007655-69, # (10) Exhibit 10 - NPI-PROCLIP_00007831-89, # (11) Exhibit 11 - NPI-PROCLIP_00007949-8028, # (12) Exhibit 12 - NPI-PROCLIP_00007709, # (13) Exhibit 13 - PROCLIP0072186, # (14) Exhibit 14 - NPI's 4th Suppl Response to ProClip's 1st Rogs, # (15) Exhibit 15 - BRODIT0028638, # (16) Exhibit 16 - PROCLIP0032807-11, # (17) Exhibit 17 - BRODIT0074704-07, # (18) Exhibit 18 - NPI-PROCLIP_00013762-819, # (19) Exhibit 19 - ProClip documents, # (20) Exhibit 20 - Brodit documents, # (21) Exhibit 21 - Jan 21, 2022 email, # (22) Exhibit 22 - Redlined Third Amended Complaint, # (23) Exhibit 23 - Jan 21, 2022 Email, # (24) Exhibit 24 - Email dated June 6-7, 2022, # (25) Exhibit 25 - Letter to Internet Archive Requesting Affidavit, # (26) Exhibit 26 - ProClip documents) (Van Camp, Elijah) |
| Jun 15, 2022 | 270 | Redacted Document (Exhibit 7 - NPI-PROCLIP_00051824) (4) Docket Text: Redaction to [269] Declaration,,,,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - PROCLIP0072197, # (2) Exhibit 2 - PROCLIP0072204, # (3) Exhibit 3 - PROCLIP0072178, # (4) Exhibit 4 - PROCLIP0072176, # (5) Exhibit 5 - PROCLIP0072177, # (6) Exhibit 6 - PROCLIP0072171, # (7) Exhibit 7 - NPI-PROCLIP_00051824, # (8) Exhibit 8 - NPI-PROCLIP_00079486-91, # (9) Exhibit 9 - NPI-PROCLIP_00007655-69, # (10) Exhibit 10 - NPI-PROCLIP_00007831-89, # (11) Exhibit 11 - NPI-PROCLIP_00007949-8028, # (12) Exhibit 12 - NPI-PROCLIP_00007709, # (13) Exhibit 13 - PROCLIP0072186, # (14) Exhibit 14 - NPI's 4th Suppl Response to ProClip's 1st Rogs, # (15) Exhibit 15 - BRODIT0028638, # (16) Exhibit 16 - PROCLIP0032807-11, # (17) Exhibit 17 - BRODIT0074704-07, # (18) Exhibit 18 - NPI-PROCLIP_00013762-819, # (19) Exhibit 19 - ProClip documents, # (20) Exhibit 20 - Brodit documents, # (21) Exhibit 21 - Jan 21, 2022 email, # (22) Exhibit 22 - Redlined Third Amended Complaint, # (23) Exhibit 23 - Jan 21, 2022 Email, # (24) Exhibit 24 - Email dated June 6-7, 2022, # (25) Exhibit 25 - Letter to Internet Archive Requesting Affidavit, # (26) Exhibit 26 - ProClip documents) (Van Camp, Elijah) |
| Jun 15, 2022 | 270 | Redacted Document (Exhibit 8 - NPI-PROCLIP_00079486-91) (7) Docket Text: Redaction to [269] Declaration,,,,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - PROCLIP0072197, # (2) Exhibit 2 - PROCLIP0072204, # (3) Exhibit 3 - PROCLIP0072178, # (4) Exhibit 4 - PROCLIP0072176, # (5) Exhibit 5 - PROCLIP0072177, # (6) Exhibit 6 - PROCLIP0072171, # (7) Exhibit 7 - NPI-PROCLIP_00051824, # (8) Exhibit 8 - NPI-PROCLIP_00079486-91, # (9) Exhibit 9 - NPI-PROCLIP_00007655-69, # (10) Exhibit 10 - NPI-PROCLIP_00007831-89, # (11) Exhibit 11 - NPI-PROCLIP_00007949-8028, # (12) Exhibit 12 - NPI-PROCLIP_00007709, # (13) Exhibit 13 - PROCLIP0072186, # (14) Exhibit 14 - NPI's 4th Suppl Response to ProClip's 1st Rogs, # (15) Exhibit 15 - BRODIT0028638, # (16) Exhibit 16 - PROCLIP0032807-11, # (17) Exhibit 17 - BRODIT0074704-07, # (18) Exhibit 18 - NPI-PROCLIP_00013762-819, # (19) Exhibit 19 - ProClip documents, # (20) Exhibit 20 - Brodit documents, # (21) Exhibit 21 - Jan 21, 2022 email, # (22) Exhibit 22 - Redlined Third Amended Complaint, # (23) Exhibit 23 - Jan 21, 2022 Email, # (24) Exhibit 24 - Email dated June 6-7, 2022, # (25) Exhibit 25 - Letter to Internet Archive Requesting Affidavit, # (26) Exhibit 26 - ProClip documents) (Van Camp, Elijah) |
| Jun 15, 2022 | 270 | Redacted Document (Exhibit 9 - NPI-PROCLIP_00007655-69) (16) Docket Text: Redaction to [269] Declaration,,,,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - PROCLIP0072197, # (2) Exhibit 2 - PROCLIP0072204, # (3) Exhibit 3 - PROCLIP0072178, # (4) Exhibit 4 - PROCLIP0072176, # (5) Exhibit 5 - PROCLIP0072177, # (6) Exhibit 6 - PROCLIP0072171, # (7) Exhibit 7 - NPI-PROCLIP_00051824, # (8) Exhibit 8 - NPI-PROCLIP_00079486-91, # (9) Exhibit 9 - NPI-PROCLIP_00007655-69, # (10) Exhibit 10 - NPI-PROCLIP_00007831-89, # (11) Exhibit 11 - NPI-PROCLIP_00007949-8028, # (12) Exhibit 12 - NPI-PROCLIP_00007709, # (13) Exhibit 13 - PROCLIP0072186, # (14) Exhibit 14 - NPI's 4th Suppl Response to ProClip's 1st Rogs, # (15) Exhibit 15 - BRODIT0028638, # (16) Exhibit 16 - PROCLIP0032807-11, # (17) Exhibit 17 - BRODIT0074704-07, # (18) Exhibit 18 - NPI-PROCLIP_00013762-819, # (19) Exhibit 19 - ProClip documents, # (20) Exhibit 20 - Brodit documents, # (21) Exhibit 21 - Jan 21, 2022 email, # (22) Exhibit 22 - Redlined Third Amended Complaint, # (23) Exhibit 23 - Jan 21, 2022 Email, # (24) Exhibit 24 - Email dated June 6-7, 2022, # (25) Exhibit 25 - Letter to Internet Archive Requesting Affidavit, # (26) Exhibit 26 - ProClip documents) (Van Camp, Elijah) |
| Jun 15, 2022 | 270 | Redacted Document (Exhibit 10 - NPI-PROCLIP_00007831-89) (30) Docket Text: Redaction to [269] Declaration,,,,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - PROCLIP0072197, # (2) Exhibit 2 - PROCLIP0072204, # (3) Exhibit 3 - PROCLIP0072178, # (4) Exhibit 4 - PROCLIP0072176, # (5) Exhibit 5 - PROCLIP0072177, # (6) Exhibit 6 - PROCLIP0072171, # (7) Exhibit 7 - NPI-PROCLIP_00051824, # (8) Exhibit 8 - NPI-PROCLIP_00079486-91, # (9) Exhibit 9 - NPI-PROCLIP_00007655-69, # (10) Exhibit 10 - NPI-PROCLIP_00007831-89, # (11) Exhibit 11 - NPI-PROCLIP_00007949-8028, # (12) Exhibit 12 - NPI-PROCLIP_00007709, # (13) Exhibit 13 - PROCLIP0072186, # (14) Exhibit 14 - NPI's 4th Suppl Response to ProClip's 1st Rogs, # (15) Exhibit 15 - BRODIT0028638, # (16) Exhibit 16 - PROCLIP0032807-11, # (17) Exhibit 17 - BRODIT0074704-07, # (18) Exhibit 18 - NPI-PROCLIP_00013762-819, # (19) Exhibit 19 - ProClip documents, # (20) Exhibit 20 - Brodit documents, # (21) Exhibit 21 - Jan 21, 2022 email, # (22) Exhibit 22 - Redlined Third Amended Complaint, # (23) Exhibit 23 - Jan 21, 2022 Email, # (24) Exhibit 24 - Email dated June 6-7, 2022, # (25) Exhibit 25 - Letter to Internet Archive Requesting Affidavit, # (26) Exhibit 26 - ProClip documents) (Van Camp, Elijah) |
| Jun 15, 2022 | 270 | Redacted Document (Exhibit 11 - NPI-PROCLIP_00007949-8028) (30) Docket Text: Redaction to [269] Declaration,,,,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - PROCLIP0072197, # (2) Exhibit 2 - PROCLIP0072204, # (3) Exhibit 3 - PROCLIP0072178, # (4) Exhibit 4 - PROCLIP0072176, # (5) Exhibit 5 - PROCLIP0072177, # (6) Exhibit 6 - PROCLIP0072171, # (7) Exhibit 7 - NPI-PROCLIP_00051824, # (8) Exhibit 8 - NPI-PROCLIP_00079486-91, # (9) Exhibit 9 - NPI-PROCLIP_00007655-69, # (10) Exhibit 10 - NPI-PROCLIP_00007831-89, # (11) Exhibit 11 - NPI-PROCLIP_00007949-8028, # (12) Exhibit 12 - NPI-PROCLIP_00007709, # (13) Exhibit 13 - PROCLIP0072186, # (14) Exhibit 14 - NPI's 4th Suppl Response to ProClip's 1st Rogs, # (15) Exhibit 15 - BRODIT0028638, # (16) Exhibit 16 - PROCLIP0032807-11, # (17) Exhibit 17 - BRODIT0074704-07, # (18) Exhibit 18 - NPI-PROCLIP_00013762-819, # (19) Exhibit 19 - ProClip documents, # (20) Exhibit 20 - Brodit documents, # (21) Exhibit 21 - Jan 21, 2022 email, # (22) Exhibit 22 - Redlined Third Amended Complaint, # (23) Exhibit 23 - Jan 21, 2022 Email, # (24) Exhibit 24 - Email dated June 6-7, 2022, # (25) Exhibit 25 - Letter to Internet Archive Requesting Affidavit, # (26) Exhibit 26 - ProClip documents) (Van Camp, Elijah) |
| Jun 15, 2022 | 270 | Redacted Document (Exhibit 12 - NPI-PROCLIP_00007709) (2) Docket Text: Redaction to [269] Declaration,,,,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - PROCLIP0072197, # (2) Exhibit 2 - PROCLIP0072204, # (3) Exhibit 3 - PROCLIP0072178, # (4) Exhibit 4 - PROCLIP0072176, # (5) Exhibit 5 - PROCLIP0072177, # (6) Exhibit 6 - PROCLIP0072171, # (7) Exhibit 7 - NPI-PROCLIP_00051824, # (8) Exhibit 8 - NPI-PROCLIP_00079486-91, # (9) Exhibit 9 - NPI-PROCLIP_00007655-69, # (10) Exhibit 10 - NPI-PROCLIP_00007831-89, # (11) Exhibit 11 - NPI-PROCLIP_00007949-8028, # (12) Exhibit 12 - NPI-PROCLIP_00007709, # (13) Exhibit 13 - PROCLIP0072186, # (14) Exhibit 14 - NPI's 4th Suppl Response to ProClip's 1st Rogs, # (15) Exhibit 15 - BRODIT0028638, # (16) Exhibit 16 - PROCLIP0032807-11, # (17) Exhibit 17 - BRODIT0074704-07, # (18) Exhibit 18 - NPI-PROCLIP_00013762-819, # (19) Exhibit 19 - ProClip documents, # (20) Exhibit 20 - Brodit documents, # (21) Exhibit 21 - Jan 21, 2022 email, # (22) Exhibit 22 - Redlined Third Amended Complaint, # (23) Exhibit 23 - Jan 21, 2022 Email, # (24) Exhibit 24 - Email dated June 6-7, 2022, # (25) Exhibit 25 - Letter to Internet Archive Requesting Affidavit, # (26) Exhibit 26 - ProClip documents) (Van Camp, Elijah) |
| Jun 15, 2022 | 270 | Redacted Document (Exhibit 13 - PROCLIP0072186) (2) Docket Text: Redaction to [269] Declaration,,,,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - PROCLIP0072197, # (2) Exhibit 2 - PROCLIP0072204, # (3) Exhibit 3 - PROCLIP0072178, # (4) Exhibit 4 - PROCLIP0072176, # (5) Exhibit 5 - PROCLIP0072177, # (6) Exhibit 6 - PROCLIP0072171, # (7) Exhibit 7 - NPI-PROCLIP_00051824, # (8) Exhibit 8 - NPI-PROCLIP_00079486-91, # (9) Exhibit 9 - NPI-PROCLIP_00007655-69, # (10) Exhibit 10 - NPI-PROCLIP_00007831-89, # (11) Exhibit 11 - NPI-PROCLIP_00007949-8028, # (12) Exhibit 12 - NPI-PROCLIP_00007709, # (13) Exhibit 13 - PROCLIP0072186, # (14) Exhibit 14 - NPI's 4th Suppl Response to ProClip's 1st Rogs, # (15) Exhibit 15 - BRODIT0028638, # (16) Exhibit 16 - PROCLIP0032807-11, # (17) Exhibit 17 - BRODIT0074704-07, # (18) Exhibit 18 - NPI-PROCLIP_00013762-819, # (19) Exhibit 19 - ProClip documents, # (20) Exhibit 20 - Brodit documents, # (21) Exhibit 21 - Jan 21, 2022 email, # (22) Exhibit 22 - Redlined Third Amended Complaint, # (23) Exhibit 23 - Jan 21, 2022 Email, # (24) Exhibit 24 - Email dated June 6-7, 2022, # (25) Exhibit 25 - Letter to Internet Archive Requesting Affidavit, # (26) Exhibit 26 - ProClip documents) (Van Camp, Elijah) |
| Jun 15, 2022 | 270 | Redacted Document (Exhibit 14 - NPI's 4th Suppl Response to ProClip's 1st Rogs) (30) Docket Text: Redaction to [269] Declaration,,,,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - PROCLIP0072197, # (2) Exhibit 2 - PROCLIP0072204, # (3) Exhibit 3 - PROCLIP0072178, # (4) Exhibit 4 - PROCLIP0072176, # (5) Exhibit 5 - PROCLIP0072177, # (6) Exhibit 6 - PROCLIP0072171, # (7) Exhibit 7 - NPI-PROCLIP_00051824, # (8) Exhibit 8 - NPI-PROCLIP_00079486-91, # (9) Exhibit 9 - NPI-PROCLIP_00007655-69, # (10) Exhibit 10 - NPI-PROCLIP_00007831-89, # (11) Exhibit 11 - NPI-PROCLIP_00007949-8028, # (12) Exhibit 12 - NPI-PROCLIP_00007709, # (13) Exhibit 13 - PROCLIP0072186, # (14) Exhibit 14 - NPI's 4th Suppl Response to ProClip's 1st Rogs, # (15) Exhibit 15 - BRODIT0028638, # (16) Exhibit 16 - PROCLIP0032807-11, # (17) Exhibit 17 - BRODIT0074704-07, # (18) Exhibit 18 - NPI-PROCLIP_00013762-819, # (19) Exhibit 19 - ProClip documents, # (20) Exhibit 20 - Brodit documents, # (21) Exhibit 21 - Jan 21, 2022 email, # (22) Exhibit 22 - Redlined Third Amended Complaint, # (23) Exhibit 23 - Jan 21, 2022 Email, # (24) Exhibit 24 - Email dated June 6-7, 2022, # (25) Exhibit 25 - Letter to Internet Archive Requesting Affidavit, # (26) Exhibit 26 - ProClip documents) (Van Camp, Elijah) |
| Jun 15, 2022 | 270 | Redacted Document (Exhibit 15 - BRODIT0028638) (1) Docket Text: Redaction to [269] Declaration,,,,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - PROCLIP0072197, # (2) Exhibit 2 - PROCLIP0072204, # (3) Exhibit 3 - PROCLIP0072178, # (4) Exhibit 4 - PROCLIP0072176, # (5) Exhibit 5 - PROCLIP0072177, # (6) Exhibit 6 - PROCLIP0072171, # (7) Exhibit 7 - NPI-PROCLIP_00051824, # (8) Exhibit 8 - NPI-PROCLIP_00079486-91, # (9) Exhibit 9 - NPI-PROCLIP_00007655-69, # (10) Exhibit 10 - NPI-PROCLIP_00007831-89, # (11) Exhibit 11 - NPI-PROCLIP_00007949-8028, # (12) Exhibit 12 - NPI-PROCLIP_00007709, # (13) Exhibit 13 - PROCLIP0072186, # (14) Exhibit 14 - NPI's 4th Suppl Response to ProClip's 1st Rogs, # (15) Exhibit 15 - BRODIT0028638, # (16) Exhibit 16 - PROCLIP0032807-11, # (17) Exhibit 17 - BRODIT0074704-07, # (18) Exhibit 18 - NPI-PROCLIP_00013762-819, # (19) Exhibit 19 - ProClip documents, # (20) Exhibit 20 - Brodit documents, # (21) Exhibit 21 - Jan 21, 2022 email, # (22) Exhibit 22 - Redlined Third Amended Complaint, # (23) Exhibit 23 - Jan 21, 2022 Email, # (24) Exhibit 24 - Email dated June 6-7, 2022, # (25) Exhibit 25 - Letter to Internet Archive Requesting Affidavit, # (26) Exhibit 26 - ProClip documents) (Van Camp, Elijah) |
| Jun 15, 2022 | 270 | Redacted Document (Exhibit 16 - PROCLIP0032807-11) (1) Docket Text: Redaction to [269] Declaration,,,,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - PROCLIP0072197, # (2) Exhibit 2 - PROCLIP0072204, # (3) Exhibit 3 - PROCLIP0072178, # (4) Exhibit 4 - PROCLIP0072176, # (5) Exhibit 5 - PROCLIP0072177, # (6) Exhibit 6 - PROCLIP0072171, # (7) Exhibit 7 - NPI-PROCLIP_00051824, # (8) Exhibit 8 - NPI-PROCLIP_00079486-91, # (9) Exhibit 9 - NPI-PROCLIP_00007655-69, # (10) Exhibit 10 - NPI-PROCLIP_00007831-89, # (11) Exhibit 11 - NPI-PROCLIP_00007949-8028, # (12) Exhibit 12 - NPI-PROCLIP_00007709, # (13) Exhibit 13 - PROCLIP0072186, # (14) Exhibit 14 - NPI's 4th Suppl Response to ProClip's 1st Rogs, # (15) Exhibit 15 - BRODIT0028638, # (16) Exhibit 16 - PROCLIP0032807-11, # (17) Exhibit 17 - BRODIT0074704-07, # (18) Exhibit 18 - NPI-PROCLIP_00013762-819, # (19) Exhibit 19 - ProClip documents, # (20) Exhibit 20 - Brodit documents, # (21) Exhibit 21 - Jan 21, 2022 email, # (22) Exhibit 22 - Redlined Third Amended Complaint, # (23) Exhibit 23 - Jan 21, 2022 Email, # (24) Exhibit 24 - Email dated June 6-7, 2022, # (25) Exhibit 25 - Letter to Internet Archive Requesting Affidavit, # (26) Exhibit 26 - ProClip documents) (Van Camp, Elijah) |
| Jun 15, 2022 | 270 | Redacted Document (Exhibit 17 - BRODIT0074704-07) (1) Docket Text: Redaction to [269] Declaration,,,,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - PROCLIP0072197, # (2) Exhibit 2 - PROCLIP0072204, # (3) Exhibit 3 - PROCLIP0072178, # (4) Exhibit 4 - PROCLIP0072176, # (5) Exhibit 5 - PROCLIP0072177, # (6) Exhibit 6 - PROCLIP0072171, # (7) Exhibit 7 - NPI-PROCLIP_00051824, # (8) Exhibit 8 - NPI-PROCLIP_00079486-91, # (9) Exhibit 9 - NPI-PROCLIP_00007655-69, # (10) Exhibit 10 - NPI-PROCLIP_00007831-89, # (11) Exhibit 11 - NPI-PROCLIP_00007949-8028, # (12) Exhibit 12 - NPI-PROCLIP_00007709, # (13) Exhibit 13 - PROCLIP0072186, # (14) Exhibit 14 - NPI's 4th Suppl Response to ProClip's 1st Rogs, # (15) Exhibit 15 - BRODIT0028638, # (16) Exhibit 16 - PROCLIP0032807-11, # (17) Exhibit 17 - BRODIT0074704-07, # (18) Exhibit 18 - NPI-PROCLIP_00013762-819, # (19) Exhibit 19 - ProClip documents, # (20) Exhibit 20 - Brodit documents, # (21) Exhibit 21 - Jan 21, 2022 email, # (22) Exhibit 22 - Redlined Third Amended Complaint, # (23) Exhibit 23 - Jan 21, 2022 Email, # (24) Exhibit 24 - Email dated June 6-7, 2022, # (25) Exhibit 25 - Letter to Internet Archive Requesting Affidavit, # (26) Exhibit 26 - ProClip documents) (Van Camp, Elijah) |
| Jun 15, 2022 | 270 | Redacted Document (Exhibit 18 - NPI-PROCLIP_00013762-819) (30) Docket Text: Redaction to [269] Declaration,,,,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - PROCLIP0072197, # (2) Exhibit 2 - PROCLIP0072204, # (3) Exhibit 3 - PROCLIP0072178, # (4) Exhibit 4 - PROCLIP0072176, # (5) Exhibit 5 - PROCLIP0072177, # (6) Exhibit 6 - PROCLIP0072171, # (7) Exhibit 7 - NPI-PROCLIP_00051824, # (8) Exhibit 8 - NPI-PROCLIP_00079486-91, # (9) Exhibit 9 - NPI-PROCLIP_00007655-69, # (10) Exhibit 10 - NPI-PROCLIP_00007831-89, # (11) Exhibit 11 - NPI-PROCLIP_00007949-8028, # (12) Exhibit 12 - NPI-PROCLIP_00007709, # (13) Exhibit 13 - PROCLIP0072186, # (14) Exhibit 14 - NPI's 4th Suppl Response to ProClip's 1st Rogs, # (15) Exhibit 15 - BRODIT0028638, # (16) Exhibit 16 - PROCLIP0032807-11, # (17) Exhibit 17 - BRODIT0074704-07, # (18) Exhibit 18 - NPI-PROCLIP_00013762-819, # (19) Exhibit 19 - ProClip documents, # (20) Exhibit 20 - Brodit documents, # (21) Exhibit 21 - Jan 21, 2022 email, # (22) Exhibit 22 - Redlined Third Amended Complaint, # (23) Exhibit 23 - Jan 21, 2022 Email, # (24) Exhibit 24 - Email dated June 6-7, 2022, # (25) Exhibit 25 - Letter to Internet Archive Requesting Affidavit, # (26) Exhibit 26 - ProClip documents) (Van Camp, Elijah) |
| Jun 15, 2022 | 270 | Redacted Document (Exhibit 19 - ProClip documents) (1) Docket Text: Redaction to [269] Declaration,,,,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - PROCLIP0072197, # (2) Exhibit 2 - PROCLIP0072204, # (3) Exhibit 3 - PROCLIP0072178, # (4) Exhibit 4 - PROCLIP0072176, # (5) Exhibit 5 - PROCLIP0072177, # (6) Exhibit 6 - PROCLIP0072171, # (7) Exhibit 7 - NPI-PROCLIP_00051824, # (8) Exhibit 8 - NPI-PROCLIP_00079486-91, # (9) Exhibit 9 - NPI-PROCLIP_00007655-69, # (10) Exhibit 10 - NPI-PROCLIP_00007831-89, # (11) Exhibit 11 - NPI-PROCLIP_00007949-8028, # (12) Exhibit 12 - NPI-PROCLIP_00007709, # (13) Exhibit 13 - PROCLIP0072186, # (14) Exhibit 14 - NPI's 4th Suppl Response to ProClip's 1st Rogs, # (15) Exhibit 15 - BRODIT0028638, # (16) Exhibit 16 - PROCLIP0032807-11, # (17) Exhibit 17 - BRODIT0074704-07, # (18) Exhibit 18 - NPI-PROCLIP_00013762-819, # (19) Exhibit 19 - ProClip documents, # (20) Exhibit 20 - Brodit documents, # (21) Exhibit 21 - Jan 21, 2022 email, # (22) Exhibit 22 - Redlined Third Amended Complaint, # (23) Exhibit 23 - Jan 21, 2022 Email, # (24) Exhibit 24 - Email dated June 6-7, 2022, # (25) Exhibit 25 - Letter to Internet Archive Requesting Affidavit, # (26) Exhibit 26 - ProClip documents) (Van Camp, Elijah) |
| Jun 15, 2022 | 270 | Redacted Document (Exhibit 20 - Brodit documents) (1) Docket Text: Redaction to [269] Declaration,,,,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - PROCLIP0072197, # (2) Exhibit 2 - PROCLIP0072204, # (3) Exhibit 3 - PROCLIP0072178, # (4) Exhibit 4 - PROCLIP0072176, # (5) Exhibit 5 - PROCLIP0072177, # (6) Exhibit 6 - PROCLIP0072171, # (7) Exhibit 7 - NPI-PROCLIP_00051824, # (8) Exhibit 8 - NPI-PROCLIP_00079486-91, # (9) Exhibit 9 - NPI-PROCLIP_00007655-69, # (10) Exhibit 10 - NPI-PROCLIP_00007831-89, # (11) Exhibit 11 - NPI-PROCLIP_00007949-8028, # (12) Exhibit 12 - NPI-PROCLIP_00007709, # (13) Exhibit 13 - PROCLIP0072186, # (14) Exhibit 14 - NPI's 4th Suppl Response to ProClip's 1st Rogs, # (15) Exhibit 15 - BRODIT0028638, # (16) Exhibit 16 - PROCLIP0032807-11, # (17) Exhibit 17 - BRODIT0074704-07, # (18) Exhibit 18 - NPI-PROCLIP_00013762-819, # (19) Exhibit 19 - ProClip documents, # (20) Exhibit 20 - Brodit documents, # (21) Exhibit 21 - Jan 21, 2022 email, # (22) Exhibit 22 - Redlined Third Amended Complaint, # (23) Exhibit 23 - Jan 21, 2022 Email, # (24) Exhibit 24 - Email dated June 6-7, 2022, # (25) Exhibit 25 - Letter to Internet Archive Requesting Affidavit, # (26) Exhibit 26 - ProClip documents) (Van Camp, Elijah) |
| Jun 15, 2022 | 270 | Redacted Document (Exhibit 21 - Jan 21, 2022 email) (5) Docket Text: Redaction to [269] Declaration,,,,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - PROCLIP0072197, # (2) Exhibit 2 - PROCLIP0072204, # (3) Exhibit 3 - PROCLIP0072178, # (4) Exhibit 4 - PROCLIP0072176, # (5) Exhibit 5 - PROCLIP0072177, # (6) Exhibit 6 - PROCLIP0072171, # (7) Exhibit 7 - NPI-PROCLIP_00051824, # (8) Exhibit 8 - NPI-PROCLIP_00079486-91, # (9) Exhibit 9 - NPI-PROCLIP_00007655-69, # (10) Exhibit 10 - NPI-PROCLIP_00007831-89, # (11) Exhibit 11 - NPI-PROCLIP_00007949-8028, # (12) Exhibit 12 - NPI-PROCLIP_00007709, # (13) Exhibit 13 - PROCLIP0072186, # (14) Exhibit 14 - NPI's 4th Suppl Response to ProClip's 1st Rogs, # (15) Exhibit 15 - BRODIT0028638, # (16) Exhibit 16 - PROCLIP0032807-11, # (17) Exhibit 17 - BRODIT0074704-07, # (18) Exhibit 18 - NPI-PROCLIP_00013762-819, # (19) Exhibit 19 - ProClip documents, # (20) Exhibit 20 - Brodit documents, # (21) Exhibit 21 - Jan 21, 2022 email, # (22) Exhibit 22 - Redlined Third Amended Complaint, # (23) Exhibit 23 - Jan 21, 2022 Email, # (24) Exhibit 24 - Email dated June 6-7, 2022, # (25) Exhibit 25 - Letter to Internet Archive Requesting Affidavit, # (26) Exhibit 26 - ProClip documents) (Van Camp, Elijah) |
| Jun 15, 2022 | 270 | Redacted Document (Exhibit 22 - Redlined Third Amended Complaint) (19) Docket Text: Redaction to [269] Declaration,,,,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - PROCLIP0072197, # (2) Exhibit 2 - PROCLIP0072204, # (3) Exhibit 3 - PROCLIP0072178, # (4) Exhibit 4 - PROCLIP0072176, # (5) Exhibit 5 - PROCLIP0072177, # (6) Exhibit 6 - PROCLIP0072171, # (7) Exhibit 7 - NPI-PROCLIP_00051824, # (8) Exhibit 8 - NPI-PROCLIP_00079486-91, # (9) Exhibit 9 - NPI-PROCLIP_00007655-69, # (10) Exhibit 10 - NPI-PROCLIP_00007831-89, # (11) Exhibit 11 - NPI-PROCLIP_00007949-8028, # (12) Exhibit 12 - NPI-PROCLIP_00007709, # (13) Exhibit 13 - PROCLIP0072186, # (14) Exhibit 14 - NPI's 4th Suppl Response to ProClip's 1st Rogs, # (15) Exhibit 15 - BRODIT0028638, # (16) Exhibit 16 - PROCLIP0032807-11, # (17) Exhibit 17 - BRODIT0074704-07, # (18) Exhibit 18 - NPI-PROCLIP_00013762-819, # (19) Exhibit 19 - ProClip documents, # (20) Exhibit 20 - Brodit documents, # (21) Exhibit 21 - Jan 21, 2022 email, # (22) Exhibit 22 - Redlined Third Amended Complaint, # (23) Exhibit 23 - Jan 21, 2022 Email, # (24) Exhibit 24 - Email dated June 6-7, 2022, # (25) Exhibit 25 - Letter to Internet Archive Requesting Affidavit, # (26) Exhibit 26 - ProClip documents) (Van Camp, Elijah) |
| Jun 15, 2022 | 270 | Redacted Document (Exhibit 23 - Jan 21, 2022 Email) (7) Docket Text: Redaction to [269] Declaration,,,,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - PROCLIP0072197, # (2) Exhibit 2 - PROCLIP0072204, # (3) Exhibit 3 - PROCLIP0072178, # (4) Exhibit 4 - PROCLIP0072176, # (5) Exhibit 5 - PROCLIP0072177, # (6) Exhibit 6 - PROCLIP0072171, # (7) Exhibit 7 - NPI-PROCLIP_00051824, # (8) Exhibit 8 - NPI-PROCLIP_00079486-91, # (9) Exhibit 9 - NPI-PROCLIP_00007655-69, # (10) Exhibit 10 - NPI-PROCLIP_00007831-89, # (11) Exhibit 11 - NPI-PROCLIP_00007949-8028, # (12) Exhibit 12 - NPI-PROCLIP_00007709, # (13) Exhibit 13 - PROCLIP0072186, # (14) Exhibit 14 - NPI's 4th Suppl Response to ProClip's 1st Rogs, # (15) Exhibit 15 - BRODIT0028638, # (16) Exhibit 16 - PROCLIP0032807-11, # (17) Exhibit 17 - BRODIT0074704-07, # (18) Exhibit 18 - NPI-PROCLIP_00013762-819, # (19) Exhibit 19 - ProClip documents, # (20) Exhibit 20 - Brodit documents, # (21) Exhibit 21 - Jan 21, 2022 email, # (22) Exhibit 22 - Redlined Third Amended Complaint, # (23) Exhibit 23 - Jan 21, 2022 Email, # (24) Exhibit 24 - Email dated June 6-7, 2022, # (25) Exhibit 25 - Letter to Internet Archive Requesting Affidavit, # (26) Exhibit 26 - ProClip documents) (Van Camp, Elijah) |
| Jun 15, 2022 | 270 | Redacted Document (Exhibit 24 - Email dated June 6-7, 2022) (5) Docket Text: Redaction to [269] Declaration,,,,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - PROCLIP0072197, # (2) Exhibit 2 - PROCLIP0072204, # (3) Exhibit 3 - PROCLIP0072178, # (4) Exhibit 4 - PROCLIP0072176, # (5) Exhibit 5 - PROCLIP0072177, # (6) Exhibit 6 - PROCLIP0072171, # (7) Exhibit 7 - NPI-PROCLIP_00051824, # (8) Exhibit 8 - NPI-PROCLIP_00079486-91, # (9) Exhibit 9 - NPI-PROCLIP_00007655-69, # (10) Exhibit 10 - NPI-PROCLIP_00007831-89, # (11) Exhibit 11 - NPI-PROCLIP_00007949-8028, # (12) Exhibit 12 - NPI-PROCLIP_00007709, # (13) Exhibit 13 - PROCLIP0072186, # (14) Exhibit 14 - NPI's 4th Suppl Response to ProClip's 1st Rogs, # (15) Exhibit 15 - BRODIT0028638, # (16) Exhibit 16 - PROCLIP0032807-11, # (17) Exhibit 17 - BRODIT0074704-07, # (18) Exhibit 18 - NPI-PROCLIP_00013762-819, # (19) Exhibit 19 - ProClip documents, # (20) Exhibit 20 - Brodit documents, # (21) Exhibit 21 - Jan 21, 2022 email, # (22) Exhibit 22 - Redlined Third Amended Complaint, # (23) Exhibit 23 - Jan 21, 2022 Email, # (24) Exhibit 24 - Email dated June 6-7, 2022, # (25) Exhibit 25 - Letter to Internet Archive Requesting Affidavit, # (26) Exhibit 26 - ProClip documents) (Van Camp, Elijah) |
| Jun 15, 2022 | 270 | Redacted Document (Exhibit 25 - Letter to Internet Archive Requesting Affidavit) (4) Docket Text: Redaction to [269] Declaration,,,,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - PROCLIP0072197, # (2) Exhibit 2 - PROCLIP0072204, # (3) Exhibit 3 - PROCLIP0072178, # (4) Exhibit 4 - PROCLIP0072176, # (5) Exhibit 5 - PROCLIP0072177, # (6) Exhibit 6 - PROCLIP0072171, # (7) Exhibit 7 - NPI-PROCLIP_00051824, # (8) Exhibit 8 - NPI-PROCLIP_00079486-91, # (9) Exhibit 9 - NPI-PROCLIP_00007655-69, # (10) Exhibit 10 - NPI-PROCLIP_00007831-89, # (11) Exhibit 11 - NPI-PROCLIP_00007949-8028, # (12) Exhibit 12 - NPI-PROCLIP_00007709, # (13) Exhibit 13 - PROCLIP0072186, # (14) Exhibit 14 - NPI's 4th Suppl Response to ProClip's 1st Rogs, # (15) Exhibit 15 - BRODIT0028638, # (16) Exhibit 16 - PROCLIP0032807-11, # (17) Exhibit 17 - BRODIT0074704-07, # (18) Exhibit 18 - NPI-PROCLIP_00013762-819, # (19) Exhibit 19 - ProClip documents, # (20) Exhibit 20 - Brodit documents, # (21) Exhibit 21 - Jan 21, 2022 email, # (22) Exhibit 22 - Redlined Third Amended Complaint, # (23) Exhibit 23 - Jan 21, 2022 Email, # (24) Exhibit 24 - Email dated June 6-7, 2022, # (25) Exhibit 25 - Letter to Internet Archive Requesting Affidavit, # (26) Exhibit 26 - ProClip documents) (Van Camp, Elijah) |
| Jun 15, 2022 | 270 | Redacted Document (Exhibit 26 - ProClip documents) (30) Docket Text: Redaction to [269] Declaration,,,,, by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - PROCLIP0072197, # (2) Exhibit 2 - PROCLIP0072204, # (3) Exhibit 3 - PROCLIP0072178, # (4) Exhibit 4 - PROCLIP0072176, # (5) Exhibit 5 - PROCLIP0072177, # (6) Exhibit 6 - PROCLIP0072171, # (7) Exhibit 7 - NPI-PROCLIP_00051824, # (8) Exhibit 8 - NPI-PROCLIP_00079486-91, # (9) Exhibit 9 - NPI-PROCLIP_00007655-69, # (10) Exhibit 10 - NPI-PROCLIP_00007831-89, # (11) Exhibit 11 - NPI-PROCLIP_00007949-8028, # (12) Exhibit 12 - NPI-PROCLIP_00007709, # (13) Exhibit 13 - PROCLIP0072186, # (14) Exhibit 14 - NPI's 4th Suppl Response to ProClip's 1st Rogs, # (15) Exhibit 15 - BRODIT0028638, # (16) Exhibit 16 - PROCLIP0032807-11, # (17) Exhibit 17 - BRODIT0074704-07, # (18) Exhibit 18 - NPI-PROCLIP_00013762-819, # (19) Exhibit 19 - ProClip documents, # (20) Exhibit 20 - Brodit documents, # (21) Exhibit 21 - Jan 21, 2022 email, # (22) Exhibit 22 - Redlined Third Amended Complaint, # (23) Exhibit 23 - Jan 21, 2022 Email, # (24) Exhibit 24 - Email dated June 6-7, 2022, # (25) Exhibit 25 - Letter to Internet Archive Requesting Affidavit, # (26) Exhibit 26 - ProClip documents) (Van Camp, Elijah) |
| Jun 15, 2022 | 271 | Redacted Document (30) Docket Text: Redaction to [263] Brief in Support by Defendants Brodit AB, ProClip USA, Inc. (Van Camp, Elijah) |
| Jun 15, 2022 | 272 | Redacted Document (22) Docket Text: Redaction to [260] Brief in Support by Defendants Brodit AB, ProClip USA, Inc. (Van Camp, Elijah) |
| Jun 13, 2022 | 244 | Notice (Other) (3) Docket Text: Notice by Plaintiff National Products, Inc. - Narrative Background of Expert James B. Babcock. (Tellekson, David) |
| Jun 13, 2022 | 245 | Notice (Other) (3) Docket Text: Notice by Plaintiff National Products, Inc. - Narrative Background of Expert Drew Voth. (Tellekson, David) |
| Jun 13, 2022 | 246 | Proposed Special Verdict (6) Docket Text: Proposed Special Verdict - Liability by Plaintiff National Products, Inc. (Tellekson, David) |
| Jun 13, 2022 | 247 | Proposed Special Verdict (3) Docket Text: Proposed Special Verdict - Damages by Plaintiff National Products, Inc. (Tellekson, David) |
| Jun 13, 2022 | 248 | Proposed Voir Dire (7) Docket Text: Proposed Voir Dire by Plaintiff National Products, Inc. (Tellekson, David) |
| Jun 13, 2022 | 251 | Notice (Other) (4) Docket Text: Notice by Defendants Brodit AB, ProClip USA, Inc. Expert Narrative Statement - Jason Stigge. (Van Camp, Elijah) |
| Jun 13, 2022 | 252 | Notice (Other) (6) Docket Text: Notice by Defendants Brodit AB, ProClip USA, Inc. Expert Narrative Statement - Paul Rodrigues. (Van Camp, Elijah) |
| Jun 13, 2022 | 253 | Proposed Special Verdict (4) Docket Text: Proposed Special Verdict - Damages by Defendants Brodit AB, ProClip USA, Inc. (Van Camp, Elijah) |
| Jun 13, 2022 | 254 | Proposed Voir Dire (7) Docket Text: Proposed Voir Dire by Defendants Brodit AB, ProClip USA, Inc. (Van Camp, Elijah) |
| Jun 13, 2022 | 255 | Proposed Special Verdict (30) Docket Text: Proposed Special Verdict - Liability by Defendants Brodit AB, ProClip USA, Inc. (Van Camp, Elijah) |
| Jun 13, 2022 | 256 | Motion to Exclude Expert Testimony (2) Docket Text: Motion to Exclude Expert Testimonyof Defendants' Damages Expert Paul Rodrigues by Plaintiff National Products, Inc.. Brief in Opposition due 6/27/2022. Brief in Reply due 7/5/2022. (Tellekson, David) |
| Jun 13, 2022 | 258 | Motion in Limine (2) Docket Text: Motion in Limine to Exclude Opinions and Testimony of Plaintiff's Expert Drew E. Voth by Defendants Brodit AB, ProClip USA, Inc.. (Van Camp, Elijah) |
| Jun 13, 2022 | 262 | Motion in Limine (5) Docket Text: Motion in Limine Nos. 1-15 by Defendants Brodit AB, ProClip USA, Inc.. (Van Camp, Elijah) |
| Jun 13, 2022 | 264 | Proposed Jury Instructions (Main Document) (30) Docket Text: Proposed Jury Instructions - Liability and Damages by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Remgrit Corp. v. Remington) (Van Camp, Elijah) |
| Jun 13, 2022 | 264 | Proposed Jury Instructions (Remgrit Corp. v. Remington) (2) Docket Text: Proposed Jury Instructions - Liability and Damages by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Remgrit Corp. v. Remington) (Van Camp, Elijah) |
| Jun 13, 2022 | 265 | Proposed Jury Instructions (30) Docket Text: Proposed Jury Instructions - Liability and Damages by Plaintiff National Products, Inc. (Tellekson, David) |
| Jun 13, 2022 | 266 | Memorandum in Support of Proposed Jury Instructions and Special Verdict (12) Docket Text: Memorandum in Support of [265] Proposed Jury Instructions by Plaintiff National Products, Inc. (Tellekson, David) |
| Jun 13, 2022 | 267 | Rule 26(a)(3) Pretrial Disclosures (6) Docket Text: Rule 26(a)(3) Pretrial Disclosures by Plaintiff National Products, Inc. (Tellekson, David) |
| Jun 13, 2022 | 268 | Rule 26(a)(3) Pretrial Disclosures (30) Docket Text: Rule 26(a)(3) Pretrial Disclosures by Defendants Brodit AB, ProClip USA, Inc. (Van Camp, Elijah) |
| Jun 10, 2022 | 219 | Deposition (30) Docket Text: Deposition of Jason Stigge taken on 11/17/2021. (Kaempf, Jessica) |
| Jun 10, 2022 | 237 | Deposition (30) Docket Text: Deposition of Aaron Hersey taken on 10/25/2021. (Van Camp, Elijah) |
| Jun 10, 2022 | 239 | Deposition (30) Docket Text: Deposition of James Bennett Babcock taken on 1/4/2022. (Van Camp, Elijah) |
| Jun 10, 2022 | 240 | Deposition (8) Docket Text: Deposition of Caramie Huntington taken on 4/21/2022. (Van Camp, Elijah) |
| Jun 9, 2022 | 218 | Transcript (21) Docket Text: Transcript of Discovery Hearing, held 5/20/2022 before District Judge William M. Conley. Court Reporter: PH. Please review the court's new policy regarding electronic transcripts of court proceedings: see Electronic Transcript Instructions. (kwf) |
| May 20, 2022 | 213 | Order (2) Docket Text: ORDER reconsidering, granting in part and denying in part, and reserving in part [197] Motion to Compel filed by National Products, Inc. Signed by District Judge William M. Conley on 5/20/2022. (kwf) |
| May 20, 2022 | 214 | Discovery Hearing (1) Docket Text: Minute Entry for proceedings held before District Judge William M. Conley: Discovery Hearing held on 5/20/2022 by Zoom video conference. [:30] (Court Reporter PH.) (kwf) |
| May 16, 2022 | N/A | Set/Reset Hearings (0) Docket Text: Set/Reset Hearings: Hearing set for 5/20/2022 at 11:00 AM. (voc/mh) |
| May 16, 2022 | N/A | Text Only Order (0) Docket Text: ** TEXT ONLY ORDER ** Consistent with the parties' joint report (dkt. #[205]) on the court's previous order (dkt. #[201]), defendant ProClip USA, Inc. is directed to immediately turn over under seal all proposed documentation offered to the court for its in camera review by noon on Wednesday, May 18, 2022. The court will then hold a videoconference with the parties on Friday, May 20, 2022, at 11:00 a.m. Defendants should also notify counsel for ProClip Holdings, LLC, ProClip SPV and Prospect Partners of the hearing, so that they have the opportunity to appear specially for their clients to the extent any additional relief may impact their interests, including release of the materials filed in camera to plaintiff's counsel; defendants are responsible for providing email addresses to the clerk's office for any of those counsel who may wish to participate. Signed by District Judge William M. Conley on 5/16/2022. (voc) |
| May 16, 2022 | 208 | Redacted Document (30) Docket Text: Redaction to [205] Status Report - Joint Statement Pursuant to Dkt. 201 by Plaintiff National Products, Inc. (McMichael, Jonathan) |
| May 13, 2022 | 206 | Declaration (Main Document) (3) Docket Text: Declaration of Jonathan G. Tamimi re [205] Status Report - Joint Statement Pursuant to Dkt. 201 (Attachments: # (1) Exhibit A - 2022 04 22 Email, # (2) Exhibit B - 2022 04 26 Tamimi Ltr to Van Camp re discovery and meet-and-confer, # (3) Exhibit C - Ltr to NPI re conferral) (Tamimi, Jonathan) |
| May 13, 2022 | 206 | Declaration (Exhibit A - 2022 04 22 Email) (5) Docket Text: Declaration of Jonathan G. Tamimi re [205] Status Report - Joint Statement Pursuant to Dkt. 201 (Attachments: # (1) Exhibit A - 2022 04 22 Email, # (2) Exhibit B - 2022 04 26 Tamimi Ltr to Van Camp re discovery and meet-and-confer, # (3) Exhibit C - Ltr to NPI re conferral) (Tamimi, Jonathan) |
| May 13, 2022 | 206 | Declaration (Exhibit B - 2022 04 26 Tamimi Ltr to Van Camp re discovery and meet-and-confer) (2) Docket Text: Declaration of Jonathan G. Tamimi re [205] Status Report - Joint Statement Pursuant to Dkt. 201 (Attachments: # (1) Exhibit A - 2022 04 22 Email, # (2) Exhibit B - 2022 04 26 Tamimi Ltr to Van Camp re discovery and meet-and-confer, # (3) Exhibit C - Ltr to NPI re conferral) (Tamimi, Jonathan) |
| May 13, 2022 | 206 | Declaration (Exhibit C - Ltr to NPI re conferral) (8) Docket Text: Declaration of Jonathan G. Tamimi re [205] Status Report - Joint Statement Pursuant to Dkt. 201 (Attachments: # (1) Exhibit A - 2022 04 22 Email, # (2) Exhibit B - 2022 04 26 Tamimi Ltr to Van Camp re discovery and meet-and-confer, # (3) Exhibit C - Ltr to NPI re conferral) (Tamimi, Jonathan) |
| May 3, 2022 | 204 | Redacted Document (13) Docket Text: Redaction to [193] Brief in Opposition by Defendants Brodit AB, ProClip USA, Inc. (Van Camp, Elijah) |
| May 2, 2022 | 202 | Redacted Document (15) Docket Text: Redaction to [197] Motion to Compel (Sealed Document) by Plaintiff National Products, Inc. (Tamimi, Jonathan) |
| May 2, 2022 | 203 | Redacted Document (Main Document) (6) Docket Text: Redaction to [198] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - PROCLIP0032820-21, # (2) Exhibit B - PROCLIP0033018-19, # (3) Exhibit C - Division of Corporations - Filing - ProClip Holdings, # (4) Exhibit D - Division of Corporations - Filing - ProClip SPV, # (5) Exhibit E - Trademark Electronic Search System (TESS), # (6) Exhibit F - 2020 09 21 NPI's 1st RFPs to ProClip USA (Nos. 1-76), # (7) Exhibit G - 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (8) Exhibit H - 2020-10-20 ProClip's Responses to NPI's First Interrogatories (1-14), # (9) Exhibit I - 2020-10-20 ProClip's Responses to NPI's First RFPs (1-76), # (10) Exhibit J - ProClip Holdings, LLC - Prospect Partners, # (11) Exhibit K - ProClip Holdings, LLC - Prospect Partners, # (12) Exhibit L - PROCLIP USA LLC - Articles of Organization, # (13) Exhibit M - 2021-11-23 NPI's Third RFPs to ProClip USA (Nos. 92-98), # (14) Exhibit N - ProClip Responses to NPI Third Request for Production, # (15) Exhibit O - RE NPI v. ProClip & Brodit - Interrogatory Supplement, # (16) Exhibit P - RE NPI v. ProClip_Brodit, # (17) Exhibit Q - Re NPI v. ProClip_Brodit_2, # (18) Exhibit R - RE NPI v. ProClip_Brodit, # (19) Exhibit S - 2022 04 12 ProClip's Supplemental Response to NPI's Interrogatory 11, # (20) Exhibit T - RE NPI v. Proclip_Brodit - Defendants' Financial information, # (21) Exhibit U - 2020 - PROCLIP0071031, # (22) Exhibit V - PROCLIP0001197, # (23) Exhibit W - Subpoenas on Prospect Partners, # (24) Exhibit X - 2022-04-12 Email re Subpoena to Prospect Partners, # (25) Exhibit Y - 2020 Email ProClip Supplemental Production) (Tamimi, Jonathan) Modified on 5/3/2022. (lak) |
| May 2, 2022 | 203 | Redacted Document (Exhibit A - PROCLIP0032820-21) (1) Docket Text: Redaction to [198] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - PROCLIP0032820-21, # (2) Exhibit B - PROCLIP0033018-19, # (3) Exhibit C - Division of Corporations - Filing - ProClip Holdings, # (4) Exhibit D - Division of Corporations - Filing - ProClip SPV, # (5) Exhibit E - Trademark Electronic Search System (TESS), # (6) Exhibit F - 2020 09 21 NPI's 1st RFPs to ProClip USA (Nos. 1-76), # (7) Exhibit G - 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (8) Exhibit H - 2020-10-20 ProClip's Responses to NPI's First Interrogatories (1-14), # (9) Exhibit I - 2020-10-20 ProClip's Responses to NPI's First RFPs (1-76), # (10) Exhibit J - ProClip Holdings, LLC - Prospect Partners, # (11) Exhibit K - ProClip Holdings, LLC - Prospect Partners, # (12) Exhibit L - PROCLIP USA LLC - Articles of Organization, # (13) Exhibit M - 2021-11-23 NPI's Third RFPs to ProClip USA (Nos. 92-98), # (14) Exhibit N - ProClip Responses to NPI Third Request for Production, # (15) Exhibit O - RE NPI v. ProClip & Brodit - Interrogatory Supplement, # (16) Exhibit P - RE NPI v. ProClip_Brodit, # (17) Exhibit Q - Re NPI v. ProClip_Brodit_2, # (18) Exhibit R - RE NPI v. ProClip_Brodit, # (19) Exhibit S - 2022 04 12 ProClip's Supplemental Response to NPI's Interrogatory 11, # (20) Exhibit T - RE NPI v. Proclip_Brodit - Defendants' Financial information, # (21) Exhibit U - 2020 - PROCLIP0071031, # (22) Exhibit V - PROCLIP0001197, # (23) Exhibit W - Subpoenas on Prospect Partners, # (24) Exhibit X - 2022-04-12 Email re Subpoena to Prospect Partners, # (25) Exhibit Y - 2020 Email ProClip Supplemental Production) (Tamimi, Jonathan) Modified on 5/3/2022. (lak) |
| May 2, 2022 | 203 | Redacted Document (Exhibit B - PROCLIP0033018-19) (1) Docket Text: Redaction to [198] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - PROCLIP0032820-21, # (2) Exhibit B - PROCLIP0033018-19, # (3) Exhibit C - Division of Corporations - Filing - ProClip Holdings, # (4) Exhibit D - Division of Corporations - Filing - ProClip SPV, # (5) Exhibit E - Trademark Electronic Search System (TESS), # (6) Exhibit F - 2020 09 21 NPI's 1st RFPs to ProClip USA (Nos. 1-76), # (7) Exhibit G - 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (8) Exhibit H - 2020-10-20 ProClip's Responses to NPI's First Interrogatories (1-14), # (9) Exhibit I - 2020-10-20 ProClip's Responses to NPI's First RFPs (1-76), # (10) Exhibit J - ProClip Holdings, LLC - Prospect Partners, # (11) Exhibit K - ProClip Holdings, LLC - Prospect Partners, # (12) Exhibit L - PROCLIP USA LLC - Articles of Organization, # (13) Exhibit M - 2021-11-23 NPI's Third RFPs to ProClip USA (Nos. 92-98), # (14) Exhibit N - ProClip Responses to NPI Third Request for Production, # (15) Exhibit O - RE NPI v. ProClip & Brodit - Interrogatory Supplement, # (16) Exhibit P - RE NPI v. ProClip_Brodit, # (17) Exhibit Q - Re NPI v. ProClip_Brodit_2, # (18) Exhibit R - RE NPI v. ProClip_Brodit, # (19) Exhibit S - 2022 04 12 ProClip's Supplemental Response to NPI's Interrogatory 11, # (20) Exhibit T - RE NPI v. Proclip_Brodit - Defendants' Financial information, # (21) Exhibit U - 2020 - PROCLIP0071031, # (22) Exhibit V - PROCLIP0001197, # (23) Exhibit W - Subpoenas on Prospect Partners, # (24) Exhibit X - 2022-04-12 Email re Subpoena to Prospect Partners, # (25) Exhibit Y - 2020 Email ProClip Supplemental Production) (Tamimi, Jonathan) Modified on 5/3/2022. (lak) |
| May 2, 2022 | 203 | Redacted Document (Exhibit C - Division of Corporations - Filing - ProClip Holdings) (3) Docket Text: Redaction to [198] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - PROCLIP0032820-21, # (2) Exhibit B - PROCLIP0033018-19, # (3) Exhibit C - Division of Corporations - Filing - ProClip Holdings, # (4) Exhibit D - Division of Corporations - Filing - ProClip SPV, # (5) Exhibit E - Trademark Electronic Search System (TESS), # (6) Exhibit F - 2020 09 21 NPI's 1st RFPs to ProClip USA (Nos. 1-76), # (7) Exhibit G - 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (8) Exhibit H - 2020-10-20 ProClip's Responses to NPI's First Interrogatories (1-14), # (9) Exhibit I - 2020-10-20 ProClip's Responses to NPI's First RFPs (1-76), # (10) Exhibit J - ProClip Holdings, LLC - Prospect Partners, # (11) Exhibit K - ProClip Holdings, LLC - Prospect Partners, # (12) Exhibit L - PROCLIP USA LLC - Articles of Organization, # (13) Exhibit M - 2021-11-23 NPI's Third RFPs to ProClip USA (Nos. 92-98), # (14) Exhibit N - ProClip Responses to NPI Third Request for Production, # (15) Exhibit O - RE NPI v. ProClip & Brodit - Interrogatory Supplement, # (16) Exhibit P - RE NPI v. ProClip_Brodit, # (17) Exhibit Q - Re NPI v. ProClip_Brodit_2, # (18) Exhibit R - RE NPI v. ProClip_Brodit, # (19) Exhibit S - 2022 04 12 ProClip's Supplemental Response to NPI's Interrogatory 11, # (20) Exhibit T - RE NPI v. Proclip_Brodit - Defendants' Financial information, # (21) Exhibit U - 2020 - PROCLIP0071031, # (22) Exhibit V - PROCLIP0001197, # (23) Exhibit W - Subpoenas on Prospect Partners, # (24) Exhibit X - 2022-04-12 Email re Subpoena to Prospect Partners, # (25) Exhibit Y - 2020 Email ProClip Supplemental Production) (Tamimi, Jonathan) Modified on 5/3/2022. (lak) |
| May 2, 2022 | 203 | Redacted Document (Exhibit D - Division of Corporations - Filing - ProClip SPV) (3) Docket Text: Redaction to [198] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - PROCLIP0032820-21, # (2) Exhibit B - PROCLIP0033018-19, # (3) Exhibit C - Division of Corporations - Filing - ProClip Holdings, # (4) Exhibit D - Division of Corporations - Filing - ProClip SPV, # (5) Exhibit E - Trademark Electronic Search System (TESS), # (6) Exhibit F - 2020 09 21 NPI's 1st RFPs to ProClip USA (Nos. 1-76), # (7) Exhibit G - 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (8) Exhibit H - 2020-10-20 ProClip's Responses to NPI's First Interrogatories (1-14), # (9) Exhibit I - 2020-10-20 ProClip's Responses to NPI's First RFPs (1-76), # (10) Exhibit J - ProClip Holdings, LLC - Prospect Partners, # (11) Exhibit K - ProClip Holdings, LLC - Prospect Partners, # (12) Exhibit L - PROCLIP USA LLC - Articles of Organization, # (13) Exhibit M - 2021-11-23 NPI's Third RFPs to ProClip USA (Nos. 92-98), # (14) Exhibit N - ProClip Responses to NPI Third Request for Production, # (15) Exhibit O - RE NPI v. ProClip & Brodit - Interrogatory Supplement, # (16) Exhibit P - RE NPI v. ProClip_Brodit, # (17) Exhibit Q - Re NPI v. ProClip_Brodit_2, # (18) Exhibit R - RE NPI v. ProClip_Brodit, # (19) Exhibit S - 2022 04 12 ProClip's Supplemental Response to NPI's Interrogatory 11, # (20) Exhibit T - RE NPI v. Proclip_Brodit - Defendants' Financial information, # (21) Exhibit U - 2020 - PROCLIP0071031, # (22) Exhibit V - PROCLIP0001197, # (23) Exhibit W - Subpoenas on Prospect Partners, # (24) Exhibit X - 2022-04-12 Email re Subpoena to Prospect Partners, # (25) Exhibit Y - 2020 Email ProClip Supplemental Production) (Tamimi, Jonathan) Modified on 5/3/2022. (lak) |
| May 2, 2022 | 203 | Redacted Document (Exhibit E - Trademark Electronic Search System (TESS)) (3) Docket Text: Redaction to [198] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - PROCLIP0032820-21, # (2) Exhibit B - PROCLIP0033018-19, # (3) Exhibit C - Division of Corporations - Filing - ProClip Holdings, # (4) Exhibit D - Division of Corporations - Filing - ProClip SPV, # (5) Exhibit E - Trademark Electronic Search System (TESS), # (6) Exhibit F - 2020 09 21 NPI's 1st RFPs to ProClip USA (Nos. 1-76), # (7) Exhibit G - 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (8) Exhibit H - 2020-10-20 ProClip's Responses to NPI's First Interrogatories (1-14), # (9) Exhibit I - 2020-10-20 ProClip's Responses to NPI's First RFPs (1-76), # (10) Exhibit J - ProClip Holdings, LLC - Prospect Partners, # (11) Exhibit K - ProClip Holdings, LLC - Prospect Partners, # (12) Exhibit L - PROCLIP USA LLC - Articles of Organization, # (13) Exhibit M - 2021-11-23 NPI's Third RFPs to ProClip USA (Nos. 92-98), # (14) Exhibit N - ProClip Responses to NPI Third Request for Production, # (15) Exhibit O - RE NPI v. ProClip & Brodit - Interrogatory Supplement, # (16) Exhibit P - RE NPI v. ProClip_Brodit, # (17) Exhibit Q - Re NPI v. ProClip_Brodit_2, # (18) Exhibit R - RE NPI v. ProClip_Brodit, # (19) Exhibit S - 2022 04 12 ProClip's Supplemental Response to NPI's Interrogatory 11, # (20) Exhibit T - RE NPI v. Proclip_Brodit - Defendants' Financial information, # (21) Exhibit U - 2020 - PROCLIP0071031, # (22) Exhibit V - PROCLIP0001197, # (23) Exhibit W - Subpoenas on Prospect Partners, # (24) Exhibit X - 2022-04-12 Email re Subpoena to Prospect Partners, # (25) Exhibit Y - 2020 Email ProClip Supplemental Production) (Tamimi, Jonathan) Modified on 5/3/2022. (lak) |
| May 2, 2022 | 203 | Redacted Document (Exhibit F - 2020 09 21 NPI's 1st RFPs to ProClip USA (Nos. 1-76)) (20) Docket Text: Redaction to [198] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - PROCLIP0032820-21, # (2) Exhibit B - PROCLIP0033018-19, # (3) Exhibit C - Division of Corporations - Filing - ProClip Holdings, # (4) Exhibit D - Division of Corporations - Filing - ProClip SPV, # (5) Exhibit E - Trademark Electronic Search System (TESS), # (6) Exhibit F - 2020 09 21 NPI's 1st RFPs to ProClip USA (Nos. 1-76), # (7) Exhibit G - 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (8) Exhibit H - 2020-10-20 ProClip's Responses to NPI's First Interrogatories (1-14), # (9) Exhibit I - 2020-10-20 ProClip's Responses to NPI's First RFPs (1-76), # (10) Exhibit J - ProClip Holdings, LLC - Prospect Partners, # (11) Exhibit K - ProClip Holdings, LLC - Prospect Partners, # (12) Exhibit L - PROCLIP USA LLC - Articles of Organization, # (13) Exhibit M - 2021-11-23 NPI's Third RFPs to ProClip USA (Nos. 92-98), # (14) Exhibit N - ProClip Responses to NPI Third Request for Production, # (15) Exhibit O - RE NPI v. ProClip & Brodit - Interrogatory Supplement, # (16) Exhibit P - RE NPI v. ProClip_Brodit, # (17) Exhibit Q - Re NPI v. ProClip_Brodit_2, # (18) Exhibit R - RE NPI v. ProClip_Brodit, # (19) Exhibit S - 2022 04 12 ProClip's Supplemental Response to NPI's Interrogatory 11, # (20) Exhibit T - RE NPI v. Proclip_Brodit - Defendants' Financial information, # (21) Exhibit U - 2020 - PROCLIP0071031, # (22) Exhibit V - PROCLIP0001197, # (23) Exhibit W - Subpoenas on Prospect Partners, # (24) Exhibit X - 2022-04-12 Email re Subpoena to Prospect Partners, # (25) Exhibit Y - 2020 Email ProClip Supplemental Production) (Tamimi, Jonathan) Modified on 5/3/2022. (lak) |
| May 2, 2022 | 203 | Redacted Document (Exhibit G - 2020-09-21 NPI's First) (11) Docket Text: Redaction to [198] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - PROCLIP0032820-21, # (2) Exhibit B - PROCLIP0033018-19, # (3) Exhibit C - Division of Corporations - Filing - ProClip Holdings, # (4) Exhibit D - Division of Corporations - Filing - ProClip SPV, # (5) Exhibit E - Trademark Electronic Search System (TESS), # (6) Exhibit F - 2020 09 21 NPI's 1st RFPs to ProClip USA (Nos. 1-76), # (7) Exhibit G - 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (8) Exhibit H - 2020-10-20 ProClip's Responses to NPI's First Interrogatories (1-14), # (9) Exhibit I - 2020-10-20 ProClip's Responses to NPI's First RFPs (1-76), # (10) Exhibit J - ProClip Holdings, LLC - Prospect Partners, # (11) Exhibit K - ProClip Holdings, LLC - Prospect Partners, # (12) Exhibit L - PROCLIP USA LLC - Articles of Organization, # (13) Exhibit M - 2021-11-23 NPI's Third RFPs to ProClip USA (Nos. 92-98), # (14) Exhibit N - ProClip Responses to NPI Third Request for Production, # (15) Exhibit O - RE NPI v. ProClip & Brodit - Interrogatory Supplement, # (16) Exhibit P - RE NPI v. ProClip_Brodit, # (17) Exhibit Q - Re NPI v. ProClip_Brodit_2, # (18) Exhibit R - RE NPI v. ProClip_Brodit, # (19) Exhibit S - 2022 04 12 ProClip's Supplemental Response to NPI's Interrogatory 11, # (20) Exhibit T - RE NPI v. Proclip_Brodit - Defendants' Financial information, # (21) Exhibit U - 2020 - PROCLIP0071031, # (22) Exhibit V - PROCLIP0001197, # (23) Exhibit W - Subpoenas on Prospect Partners, # (24) Exhibit X - 2022-04-12 Email re Subpoena to Prospect Partners, # (25) Exhibit Y - 2020 Email ProClip Supplemental Production) (Tamimi, Jonathan) Modified on 5/3/2022. (lak) |
| May 2, 2022 | 203 | Redacted Document (Exhibit H - 2020-10-20 ProClip's Responses to NPI's First Interrogator) (17) Docket Text: Redaction to [198] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - PROCLIP0032820-21, # (2) Exhibit B - PROCLIP0033018-19, # (3) Exhibit C - Division of Corporations - Filing - ProClip Holdings, # (4) Exhibit D - Division of Corporations - Filing - ProClip SPV, # (5) Exhibit E - Trademark Electronic Search System (TESS), # (6) Exhibit F - 2020 09 21 NPI's 1st RFPs to ProClip USA (Nos. 1-76), # (7) Exhibit G - 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (8) Exhibit H - 2020-10-20 ProClip's Responses to NPI's First Interrogatories (1-14), # (9) Exhibit I - 2020-10-20 ProClip's Responses to NPI's First RFPs (1-76), # (10) Exhibit J - ProClip Holdings, LLC - Prospect Partners, # (11) Exhibit K - ProClip Holdings, LLC - Prospect Partners, # (12) Exhibit L - PROCLIP USA LLC - Articles of Organization, # (13) Exhibit M - 2021-11-23 NPI's Third RFPs to ProClip USA (Nos. 92-98), # (14) Exhibit N - ProClip Responses to NPI Third Request for Production, # (15) Exhibit O - RE NPI v. ProClip & Brodit - Interrogatory Supplement, # (16) Exhibit P - RE NPI v. ProClip_Brodit, # (17) Exhibit Q - Re NPI v. ProClip_Brodit_2, # (18) Exhibit R - RE NPI v. ProClip_Brodit, # (19) Exhibit S - 2022 04 12 ProClip's Supplemental Response to NPI's Interrogatory 11, # (20) Exhibit T - RE NPI v. Proclip_Brodit - Defendants' Financial information, # (21) Exhibit U - 2020 - PROCLIP0071031, # (22) Exhibit V - PROCLIP0001197, # (23) Exhibit W - Subpoenas on Prospect Partners, # (24) Exhibit X - 2022-04-12 Email re Subpoena to Prospect Partners, # (25) Exhibit Y - 2020 Email ProClip Supplemental Production) (Tamimi, Jonathan) Modified on 5/3/2022. (lak) |
| May 2, 2022 | 203 | Redacted Document (Exhibit I - 2020-10-20 ProClip's Responses to NPI's First RFPs (1-76)) (30) Docket Text: Redaction to [198] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - PROCLIP0032820-21, # (2) Exhibit B - PROCLIP0033018-19, # (3) Exhibit C - Division of Corporations - Filing - ProClip Holdings, # (4) Exhibit D - Division of Corporations - Filing - ProClip SPV, # (5) Exhibit E - Trademark Electronic Search System (TESS), # (6) Exhibit F - 2020 09 21 NPI's 1st RFPs to ProClip USA (Nos. 1-76), # (7) Exhibit G - 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (8) Exhibit H - 2020-10-20 ProClip's Responses to NPI's First Interrogatories (1-14), # (9) Exhibit I - 2020-10-20 ProClip's Responses to NPI's First RFPs (1-76), # (10) Exhibit J - ProClip Holdings, LLC - Prospect Partners, # (11) Exhibit K - ProClip Holdings, LLC - Prospect Partners, # (12) Exhibit L - PROCLIP USA LLC - Articles of Organization, # (13) Exhibit M - 2021-11-23 NPI's Third RFPs to ProClip USA (Nos. 92-98), # (14) Exhibit N - ProClip Responses to NPI Third Request for Production, # (15) Exhibit O - RE NPI v. ProClip & Brodit - Interrogatory Supplement, # (16) Exhibit P - RE NPI v. ProClip_Brodit, # (17) Exhibit Q - Re NPI v. ProClip_Brodit_2, # (18) Exhibit R - RE NPI v. ProClip_Brodit, # (19) Exhibit S - 2022 04 12 ProClip's Supplemental Response to NPI's Interrogatory 11, # (20) Exhibit T - RE NPI v. Proclip_Brodit - Defendants' Financial information, # (21) Exhibit U - 2020 - PROCLIP0071031, # (22) Exhibit V - PROCLIP0001197, # (23) Exhibit W - Subpoenas on Prospect Partners, # (24) Exhibit X - 2022-04-12 Email re Subpoena to Prospect Partners, # (25) Exhibit Y - 2020 Email ProClip Supplemental Production) (Tamimi, Jonathan) Modified on 5/3/2022. (lak) |
| May 2, 2022 | 203 | Redacted Document (Exhibit J - ProClip Holdings, LLC - Prospect Partners) (4) Docket Text: Redaction to [198] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - PROCLIP0032820-21, # (2) Exhibit B - PROCLIP0033018-19, # (3) Exhibit C - Division of Corporations - Filing - ProClip Holdings, # (4) Exhibit D - Division of Corporations - Filing - ProClip SPV, # (5) Exhibit E - Trademark Electronic Search System (TESS), # (6) Exhibit F - 2020 09 21 NPI's 1st RFPs to ProClip USA (Nos. 1-76), # (7) Exhibit G - 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (8) Exhibit H - 2020-10-20 ProClip's Responses to NPI's First Interrogatories (1-14), # (9) Exhibit I - 2020-10-20 ProClip's Responses to NPI's First RFPs (1-76), # (10) Exhibit J - ProClip Holdings, LLC - Prospect Partners, # (11) Exhibit K - ProClip Holdings, LLC - Prospect Partners, # (12) Exhibit L - PROCLIP USA LLC - Articles of Organization, # (13) Exhibit M - 2021-11-23 NPI's Third RFPs to ProClip USA (Nos. 92-98), # (14) Exhibit N - ProClip Responses to NPI Third Request for Production, # (15) Exhibit O - RE NPI v. ProClip & Brodit - Interrogatory Supplement, # (16) Exhibit P - RE NPI v. ProClip_Brodit, # (17) Exhibit Q - Re NPI v. ProClip_Brodit_2, # (18) Exhibit R - RE NPI v. ProClip_Brodit, # (19) Exhibit S - 2022 04 12 ProClip's Supplemental Response to NPI's Interrogatory 11, # (20) Exhibit T - RE NPI v. Proclip_Brodit - Defendants' Financial information, # (21) Exhibit U - 2020 - PROCLIP0071031, # (22) Exhibit V - PROCLIP0001197, # (23) Exhibit W - Subpoenas on Prospect Partners, # (24) Exhibit X - 2022-04-12 Email re Subpoena to Prospect Partners, # (25) Exhibit Y - 2020 Email ProClip Supplemental Production) (Tamimi, Jonathan) Modified on 5/3/2022. (lak) |
| May 2, 2022 | 203 | Redacted Document (Exhibit K - ProClip Holdings, LLC - Prospect Partners) (7) Docket Text: Redaction to [198] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - PROCLIP0032820-21, # (2) Exhibit B - PROCLIP0033018-19, # (3) Exhibit C - Division of Corporations - Filing - ProClip Holdings, # (4) Exhibit D - Division of Corporations - Filing - ProClip SPV, # (5) Exhibit E - Trademark Electronic Search System (TESS), # (6) Exhibit F - 2020 09 21 NPI's 1st RFPs to ProClip USA (Nos. 1-76), # (7) Exhibit G - 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (8) Exhibit H - 2020-10-20 ProClip's Responses to NPI's First Interrogatories (1-14), # (9) Exhibit I - 2020-10-20 ProClip's Responses to NPI's First RFPs (1-76), # (10) Exhibit J - ProClip Holdings, LLC - Prospect Partners, # (11) Exhibit K - ProClip Holdings, LLC - Prospect Partners, # (12) Exhibit L - PROCLIP USA LLC - Articles of Organization, # (13) Exhibit M - 2021-11-23 NPI's Third RFPs to ProClip USA (Nos. 92-98), # (14) Exhibit N - ProClip Responses to NPI Third Request for Production, # (15) Exhibit O - RE NPI v. ProClip & Brodit - Interrogatory Supplement, # (16) Exhibit P - RE NPI v. ProClip_Brodit, # (17) Exhibit Q - Re NPI v. ProClip_Brodit_2, # (18) Exhibit R - RE NPI v. ProClip_Brodit, # (19) Exhibit S - 2022 04 12 ProClip's Supplemental Response to NPI's Interrogatory 11, # (20) Exhibit T - RE NPI v. Proclip_Brodit - Defendants' Financial information, # (21) Exhibit U - 2020 - PROCLIP0071031, # (22) Exhibit V - PROCLIP0001197, # (23) Exhibit W - Subpoenas on Prospect Partners, # (24) Exhibit X - 2022-04-12 Email re Subpoena to Prospect Partners, # (25) Exhibit Y - 2020 Email ProClip Supplemental Production) (Tamimi, Jonathan) Modified on 5/3/2022. (lak) |
| May 2, 2022 | 203 | Redacted Document (Exhibit L - PROCLIP USA LLC - Articles of Organization) (14) Docket Text: Redaction to [198] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - PROCLIP0032820-21, # (2) Exhibit B - PROCLIP0033018-19, # (3) Exhibit C - Division of Corporations - Filing - ProClip Holdings, # (4) Exhibit D - Division of Corporations - Filing - ProClip SPV, # (5) Exhibit E - Trademark Electronic Search System (TESS), # (6) Exhibit F - 2020 09 21 NPI's 1st RFPs to ProClip USA (Nos. 1-76), # (7) Exhibit G - 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (8) Exhibit H - 2020-10-20 ProClip's Responses to NPI's First Interrogatories (1-14), # (9) Exhibit I - 2020-10-20 ProClip's Responses to NPI's First RFPs (1-76), # (10) Exhibit J - ProClip Holdings, LLC - Prospect Partners, # (11) Exhibit K - ProClip Holdings, LLC - Prospect Partners, # (12) Exhibit L - PROCLIP USA LLC - Articles of Organization, # (13) Exhibit M - 2021-11-23 NPI's Third RFPs to ProClip USA (Nos. 92-98), # (14) Exhibit N - ProClip Responses to NPI Third Request for Production, # (15) Exhibit O - RE NPI v. ProClip & Brodit - Interrogatory Supplement, # (16) Exhibit P - RE NPI v. ProClip_Brodit, # (17) Exhibit Q - Re NPI v. ProClip_Brodit_2, # (18) Exhibit R - RE NPI v. ProClip_Brodit, # (19) Exhibit S - 2022 04 12 ProClip's Supplemental Response to NPI's Interrogatory 11, # (20) Exhibit T - RE NPI v. Proclip_Brodit - Defendants' Financial information, # (21) Exhibit U - 2020 - PROCLIP0071031, # (22) Exhibit V - PROCLIP0001197, # (23) Exhibit W - Subpoenas on Prospect Partners, # (24) Exhibit X - 2022-04-12 Email re Subpoena to Prospect Partners, # (25) Exhibit Y - 2020 Email ProClip Supplemental Production) (Tamimi, Jonathan) Modified on 5/3/2022. (lak) |
| May 2, 2022 | 203 | Redacted Document (Exhibit M - 2021-11-23 NPI's 3rd RFPs to ProClip USA (Nos. 92-98)) (11) Docket Text: Redaction to [198] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - PROCLIP0032820-21, # (2) Exhibit B - PROCLIP0033018-19, # (3) Exhibit C - Division of Corporations - Filing - ProClip Holdings, # (4) Exhibit D - Division of Corporations - Filing - ProClip SPV, # (5) Exhibit E - Trademark Electronic Search System (TESS), # (6) Exhibit F - 2020 09 21 NPI's 1st RFPs to ProClip USA (Nos. 1-76), # (7) Exhibit G - 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (8) Exhibit H - 2020-10-20 ProClip's Responses to NPI's First Interrogatories (1-14), # (9) Exhibit I - 2020-10-20 ProClip's Responses to NPI's First RFPs (1-76), # (10) Exhibit J - ProClip Holdings, LLC - Prospect Partners, # (11) Exhibit K - ProClip Holdings, LLC - Prospect Partners, # (12) Exhibit L - PROCLIP USA LLC - Articles of Organization, # (13) Exhibit M - 2021-11-23 NPI's Third RFPs to ProClip USA (Nos. 92-98), # (14) Exhibit N - ProClip Responses to NPI Third Request for Production, # (15) Exhibit O - RE NPI v. ProClip & Brodit - Interrogatory Supplement, # (16) Exhibit P - RE NPI v. ProClip_Brodit, # (17) Exhibit Q - Re NPI v. ProClip_Brodit_2, # (18) Exhibit R - RE NPI v. ProClip_Brodit, # (19) Exhibit S - 2022 04 12 ProClip's Supplemental Response to NPI's Interrogatory 11, # (20) Exhibit T - RE NPI v. Proclip_Brodit - Defendants' Financial information, # (21) Exhibit U - 2020 - PROCLIP0071031, # (22) Exhibit V - PROCLIP0001197, # (23) Exhibit W - Subpoenas on Prospect Partners, # (24) Exhibit X - 2022-04-12 Email re Subpoena to Prospect Partners, # (25) Exhibit Y - 2020 Email ProClip Supplemental Production) (Tamimi, Jonathan) Modified on 5/3/2022. (lak) |
| May 2, 2022 | 203 | Redacted Document (Exhibit N - ProClip Responses to NPI Third Request for Production) (12) Docket Text: Redaction to [198] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - PROCLIP0032820-21, # (2) Exhibit B - PROCLIP0033018-19, # (3) Exhibit C - Division of Corporations - Filing - ProClip Holdings, # (4) Exhibit D - Division of Corporations - Filing - ProClip SPV, # (5) Exhibit E - Trademark Electronic Search System (TESS), # (6) Exhibit F - 2020 09 21 NPI's 1st RFPs to ProClip USA (Nos. 1-76), # (7) Exhibit G - 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (8) Exhibit H - 2020-10-20 ProClip's Responses to NPI's First Interrogatories (1-14), # (9) Exhibit I - 2020-10-20 ProClip's Responses to NPI's First RFPs (1-76), # (10) Exhibit J - ProClip Holdings, LLC - Prospect Partners, # (11) Exhibit K - ProClip Holdings, LLC - Prospect Partners, # (12) Exhibit L - PROCLIP USA LLC - Articles of Organization, # (13) Exhibit M - 2021-11-23 NPI's Third RFPs to ProClip USA (Nos. 92-98), # (14) Exhibit N - ProClip Responses to NPI Third Request for Production, # (15) Exhibit O - RE NPI v. ProClip & Brodit - Interrogatory Supplement, # (16) Exhibit P - RE NPI v. ProClip_Brodit, # (17) Exhibit Q - Re NPI v. ProClip_Brodit_2, # (18) Exhibit R - RE NPI v. ProClip_Brodit, # (19) Exhibit S - 2022 04 12 ProClip's Supplemental Response to NPI's Interrogatory 11, # (20) Exhibit T - RE NPI v. Proclip_Brodit - Defendants' Financial information, # (21) Exhibit U - 2020 - PROCLIP0071031, # (22) Exhibit V - PROCLIP0001197, # (23) Exhibit W - Subpoenas on Prospect Partners, # (24) Exhibit X - 2022-04-12 Email re Subpoena to Prospect Partners, # (25) Exhibit Y - 2020 Email ProClip Supplemental Production) (Tamimi, Jonathan) Modified on 5/3/2022. (lak) |
| May 2, 2022 | 203 | Redacted Document (Exhibit O - RE NPI v. ProClip & Brodit - Interrogatory Supplement) (4) Docket Text: Redaction to [198] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - PROCLIP0032820-21, # (2) Exhibit B - PROCLIP0033018-19, # (3) Exhibit C - Division of Corporations - Filing - ProClip Holdings, # (4) Exhibit D - Division of Corporations - Filing - ProClip SPV, # (5) Exhibit E - Trademark Electronic Search System (TESS), # (6) Exhibit F - 2020 09 21 NPI's 1st RFPs to ProClip USA (Nos. 1-76), # (7) Exhibit G - 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (8) Exhibit H - 2020-10-20 ProClip's Responses to NPI's First Interrogatories (1-14), # (9) Exhibit I - 2020-10-20 ProClip's Responses to NPI's First RFPs (1-76), # (10) Exhibit J - ProClip Holdings, LLC - Prospect Partners, # (11) Exhibit K - ProClip Holdings, LLC - Prospect Partners, # (12) Exhibit L - PROCLIP USA LLC - Articles of Organization, # (13) Exhibit M - 2021-11-23 NPI's Third RFPs to ProClip USA (Nos. 92-98), # (14) Exhibit N - ProClip Responses to NPI Third Request for Production, # (15) Exhibit O - RE NPI v. ProClip & Brodit - Interrogatory Supplement, # (16) Exhibit P - RE NPI v. ProClip_Brodit, # (17) Exhibit Q - Re NPI v. ProClip_Brodit_2, # (18) Exhibit R - RE NPI v. ProClip_Brodit, # (19) Exhibit S - 2022 04 12 ProClip's Supplemental Response to NPI's Interrogatory 11, # (20) Exhibit T - RE NPI v. Proclip_Brodit - Defendants' Financial information, # (21) Exhibit U - 2020 - PROCLIP0071031, # (22) Exhibit V - PROCLIP0001197, # (23) Exhibit W - Subpoenas on Prospect Partners, # (24) Exhibit X - 2022-04-12 Email re Subpoena to Prospect Partners, # (25) Exhibit Y - 2020 Email ProClip Supplemental Production) (Tamimi, Jonathan) Modified on 5/3/2022. (lak) |
| May 2, 2022 | 203 | Redacted Document (Exhibit P - RE NPI v. ProClip_Brodit) (1) Docket Text: Redaction to [198] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - PROCLIP0032820-21, # (2) Exhibit B - PROCLIP0033018-19, # (3) Exhibit C - Division of Corporations - Filing - ProClip Holdings, # (4) Exhibit D - Division of Corporations - Filing - ProClip SPV, # (5) Exhibit E - Trademark Electronic Search System (TESS), # (6) Exhibit F - 2020 09 21 NPI's 1st RFPs to ProClip USA (Nos. 1-76), # (7) Exhibit G - 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (8) Exhibit H - 2020-10-20 ProClip's Responses to NPI's First Interrogatories (1-14), # (9) Exhibit I - 2020-10-20 ProClip's Responses to NPI's First RFPs (1-76), # (10) Exhibit J - ProClip Holdings, LLC - Prospect Partners, # (11) Exhibit K - ProClip Holdings, LLC - Prospect Partners, # (12) Exhibit L - PROCLIP USA LLC - Articles of Organization, # (13) Exhibit M - 2021-11-23 NPI's Third RFPs to ProClip USA (Nos. 92-98), # (14) Exhibit N - ProClip Responses to NPI Third Request for Production, # (15) Exhibit O - RE NPI v. ProClip & Brodit - Interrogatory Supplement, # (16) Exhibit P - RE NPI v. ProClip_Brodit, # (17) Exhibit Q - Re NPI v. ProClip_Brodit_2, # (18) Exhibit R - RE NPI v. ProClip_Brodit, # (19) Exhibit S - 2022 04 12 ProClip's Supplemental Response to NPI's Interrogatory 11, # (20) Exhibit T - RE NPI v. Proclip_Brodit - Defendants' Financial information, # (21) Exhibit U - 2020 - PROCLIP0071031, # (22) Exhibit V - PROCLIP0001197, # (23) Exhibit W - Subpoenas on Prospect Partners, # (24) Exhibit X - 2022-04-12 Email re Subpoena to Prospect Partners, # (25) Exhibit Y - 2020 Email ProClip Supplemental Production) (Tamimi, Jonathan) Modified on 5/3/2022. (lak) |
| May 2, 2022 | 203 | Redacted Document (Exhibit Q - Re NPI v. ProClip_Brodit_2) (5) Docket Text: Redaction to [198] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - PROCLIP0032820-21, # (2) Exhibit B - PROCLIP0033018-19, # (3) Exhibit C - Division of Corporations - Filing - ProClip Holdings, # (4) Exhibit D - Division of Corporations - Filing - ProClip SPV, # (5) Exhibit E - Trademark Electronic Search System (TESS), # (6) Exhibit F - 2020 09 21 NPI's 1st RFPs to ProClip USA (Nos. 1-76), # (7) Exhibit G - 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (8) Exhibit H - 2020-10-20 ProClip's Responses to NPI's First Interrogatories (1-14), # (9) Exhibit I - 2020-10-20 ProClip's Responses to NPI's First RFPs (1-76), # (10) Exhibit J - ProClip Holdings, LLC - Prospect Partners, # (11) Exhibit K - ProClip Holdings, LLC - Prospect Partners, # (12) Exhibit L - PROCLIP USA LLC - Articles of Organization, # (13) Exhibit M - 2021-11-23 NPI's Third RFPs to ProClip USA (Nos. 92-98), # (14) Exhibit N - ProClip Responses to NPI Third Request for Production, # (15) Exhibit O - RE NPI v. ProClip & Brodit - Interrogatory Supplement, # (16) Exhibit P - RE NPI v. ProClip_Brodit, # (17) Exhibit Q - Re NPI v. ProClip_Brodit_2, # (18) Exhibit R - RE NPI v. ProClip_Brodit, # (19) Exhibit S - 2022 04 12 ProClip's Supplemental Response to NPI's Interrogatory 11, # (20) Exhibit T - RE NPI v. Proclip_Brodit - Defendants' Financial information, # (21) Exhibit U - 2020 - PROCLIP0071031, # (22) Exhibit V - PROCLIP0001197, # (23) Exhibit W - Subpoenas on Prospect Partners, # (24) Exhibit X - 2022-04-12 Email re Subpoena to Prospect Partners, # (25) Exhibit Y - 2020 Email ProClip Supplemental Production) (Tamimi, Jonathan) Modified on 5/3/2022. (lak) |
| May 2, 2022 | 203 | Redacted Document (Exhibit R - RE NPI v. ProClip_Brodit) (1) Docket Text: Redaction to [198] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - PROCLIP0032820-21, # (2) Exhibit B - PROCLIP0033018-19, # (3) Exhibit C - Division of Corporations - Filing - ProClip Holdings, # (4) Exhibit D - Division of Corporations - Filing - ProClip SPV, # (5) Exhibit E - Trademark Electronic Search System (TESS), # (6) Exhibit F - 2020 09 21 NPI's 1st RFPs to ProClip USA (Nos. 1-76), # (7) Exhibit G - 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (8) Exhibit H - 2020-10-20 ProClip's Responses to NPI's First Interrogatories (1-14), # (9) Exhibit I - 2020-10-20 ProClip's Responses to NPI's First RFPs (1-76), # (10) Exhibit J - ProClip Holdings, LLC - Prospect Partners, # (11) Exhibit K - ProClip Holdings, LLC - Prospect Partners, # (12) Exhibit L - PROCLIP USA LLC - Articles of Organization, # (13) Exhibit M - 2021-11-23 NPI's Third RFPs to ProClip USA (Nos. 92-98), # (14) Exhibit N - ProClip Responses to NPI Third Request for Production, # (15) Exhibit O - RE NPI v. ProClip & Brodit - Interrogatory Supplement, # (16) Exhibit P - RE NPI v. ProClip_Brodit, # (17) Exhibit Q - Re NPI v. ProClip_Brodit_2, # (18) Exhibit R - RE NPI v. ProClip_Brodit, # (19) Exhibit S - 2022 04 12 ProClip's Supplemental Response to NPI's Interrogatory 11, # (20) Exhibit T - RE NPI v. Proclip_Brodit - Defendants' Financial information, # (21) Exhibit U - 2020 - PROCLIP0071031, # (22) Exhibit V - PROCLIP0001197, # (23) Exhibit W - Subpoenas on Prospect Partners, # (24) Exhibit X - 2022-04-12 Email re Subpoena to Prospect Partners, # (25) Exhibit Y - 2020 Email ProClip Supplemental Production) (Tamimi, Jonathan) Modified on 5/3/2022. (lak) |
| May 2, 2022 | 203 | Redacted Document (Exhibit S - 2022-04-12 ProClip's Suppl Response to NPI's Interrogatory) (4) Docket Text: Redaction to [198] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - PROCLIP0032820-21, # (2) Exhibit B - PROCLIP0033018-19, # (3) Exhibit C - Division of Corporations - Filing - ProClip Holdings, # (4) Exhibit D - Division of Corporations - Filing - ProClip SPV, # (5) Exhibit E - Trademark Electronic Search System (TESS), # (6) Exhibit F - 2020 09 21 NPI's 1st RFPs to ProClip USA (Nos. 1-76), # (7) Exhibit G - 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (8) Exhibit H - 2020-10-20 ProClip's Responses to NPI's First Interrogatories (1-14), # (9) Exhibit I - 2020-10-20 ProClip's Responses to NPI's First RFPs (1-76), # (10) Exhibit J - ProClip Holdings, LLC - Prospect Partners, # (11) Exhibit K - ProClip Holdings, LLC - Prospect Partners, # (12) Exhibit L - PROCLIP USA LLC - Articles of Organization, # (13) Exhibit M - 2021-11-23 NPI's Third RFPs to ProClip USA (Nos. 92-98), # (14) Exhibit N - ProClip Responses to NPI Third Request for Production, # (15) Exhibit O - RE NPI v. ProClip & Brodit - Interrogatory Supplement, # (16) Exhibit P - RE NPI v. ProClip_Brodit, # (17) Exhibit Q - Re NPI v. ProClip_Brodit_2, # (18) Exhibit R - RE NPI v. ProClip_Brodit, # (19) Exhibit S - 2022 04 12 ProClip's Supplemental Response to NPI's Interrogatory 11, # (20) Exhibit T - RE NPI v. Proclip_Brodit - Defendants' Financial information, # (21) Exhibit U - 2020 - PROCLIP0071031, # (22) Exhibit V - PROCLIP0001197, # (23) Exhibit W - Subpoenas on Prospect Partners, # (24) Exhibit X - 2022-04-12 Email re Subpoena to Prospect Partners, # (25) Exhibit Y - 2020 Email ProClip Supplemental Production) (Tamimi, Jonathan) Modified on 5/3/2022. (lak) |
| May 2, 2022 | 203 | Redacted Document (Exhibit T - RE NPI v. Proclip_Brodit - Defendants' Financial information) (4) Docket Text: Redaction to [198] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - PROCLIP0032820-21, # (2) Exhibit B - PROCLIP0033018-19, # (3) Exhibit C - Division of Corporations - Filing - ProClip Holdings, # (4) Exhibit D - Division of Corporations - Filing - ProClip SPV, # (5) Exhibit E - Trademark Electronic Search System (TESS), # (6) Exhibit F - 2020 09 21 NPI's 1st RFPs to ProClip USA (Nos. 1-76), # (7) Exhibit G - 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (8) Exhibit H - 2020-10-20 ProClip's Responses to NPI's First Interrogatories (1-14), # (9) Exhibit I - 2020-10-20 ProClip's Responses to NPI's First RFPs (1-76), # (10) Exhibit J - ProClip Holdings, LLC - Prospect Partners, # (11) Exhibit K - ProClip Holdings, LLC - Prospect Partners, # (12) Exhibit L - PROCLIP USA LLC - Articles of Organization, # (13) Exhibit M - 2021-11-23 NPI's Third RFPs to ProClip USA (Nos. 92-98), # (14) Exhibit N - ProClip Responses to NPI Third Request for Production, # (15) Exhibit O - RE NPI v. ProClip & Brodit - Interrogatory Supplement, # (16) Exhibit P - RE NPI v. ProClip_Brodit, # (17) Exhibit Q - Re NPI v. ProClip_Brodit_2, # (18) Exhibit R - RE NPI v. ProClip_Brodit, # (19) Exhibit S - 2022 04 12 ProClip's Supplemental Response to NPI's Interrogatory 11, # (20) Exhibit T - RE NPI v. Proclip_Brodit - Defendants' Financial information, # (21) Exhibit U - 2020 - PROCLIP0071031, # (22) Exhibit V - PROCLIP0001197, # (23) Exhibit W - Subpoenas on Prospect Partners, # (24) Exhibit X - 2022-04-12 Email re Subpoena to Prospect Partners, # (25) Exhibit Y - 2020 Email ProClip Supplemental Production) (Tamimi, Jonathan) Modified on 5/3/2022. (lak) |
| May 2, 2022 | 203 | Redacted Document (Exhibit U - 2020 - PROCLIP0071031) (1) Docket Text: Redaction to [198] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - PROCLIP0032820-21, # (2) Exhibit B - PROCLIP0033018-19, # (3) Exhibit C - Division of Corporations - Filing - ProClip Holdings, # (4) Exhibit D - Division of Corporations - Filing - ProClip SPV, # (5) Exhibit E - Trademark Electronic Search System (TESS), # (6) Exhibit F - 2020 09 21 NPI's 1st RFPs to ProClip USA (Nos. 1-76), # (7) Exhibit G - 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (8) Exhibit H - 2020-10-20 ProClip's Responses to NPI's First Interrogatories (1-14), # (9) Exhibit I - 2020-10-20 ProClip's Responses to NPI's First RFPs (1-76), # (10) Exhibit J - ProClip Holdings, LLC - Prospect Partners, # (11) Exhibit K - ProClip Holdings, LLC - Prospect Partners, # (12) Exhibit L - PROCLIP USA LLC - Articles of Organization, # (13) Exhibit M - 2021-11-23 NPI's Third RFPs to ProClip USA (Nos. 92-98), # (14) Exhibit N - ProClip Responses to NPI Third Request for Production, # (15) Exhibit O - RE NPI v. ProClip & Brodit - Interrogatory Supplement, # (16) Exhibit P - RE NPI v. ProClip_Brodit, # (17) Exhibit Q - Re NPI v. ProClip_Brodit_2, # (18) Exhibit R - RE NPI v. ProClip_Brodit, # (19) Exhibit S - 2022 04 12 ProClip's Supplemental Response to NPI's Interrogatory 11, # (20) Exhibit T - RE NPI v. Proclip_Brodit - Defendants' Financial information, # (21) Exhibit U - 2020 - PROCLIP0071031, # (22) Exhibit V - PROCLIP0001197, # (23) Exhibit W - Subpoenas on Prospect Partners, # (24) Exhibit X - 2022-04-12 Email re Subpoena to Prospect Partners, # (25) Exhibit Y - 2020 Email ProClip Supplemental Production) (Tamimi, Jonathan) Modified on 5/3/2022. (lak) |
| May 2, 2022 | 203 | Redacted Document (Exhibit V - PROCLIP0001197) (1) Docket Text: Redaction to [198] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - PROCLIP0032820-21, # (2) Exhibit B - PROCLIP0033018-19, # (3) Exhibit C - Division of Corporations - Filing - ProClip Holdings, # (4) Exhibit D - Division of Corporations - Filing - ProClip SPV, # (5) Exhibit E - Trademark Electronic Search System (TESS), # (6) Exhibit F - 2020 09 21 NPI's 1st RFPs to ProClip USA (Nos. 1-76), # (7) Exhibit G - 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (8) Exhibit H - 2020-10-20 ProClip's Responses to NPI's First Interrogatories (1-14), # (9) Exhibit I - 2020-10-20 ProClip's Responses to NPI's First RFPs (1-76), # (10) Exhibit J - ProClip Holdings, LLC - Prospect Partners, # (11) Exhibit K - ProClip Holdings, LLC - Prospect Partners, # (12) Exhibit L - PROCLIP USA LLC - Articles of Organization, # (13) Exhibit M - 2021-11-23 NPI's Third RFPs to ProClip USA (Nos. 92-98), # (14) Exhibit N - ProClip Responses to NPI Third Request for Production, # (15) Exhibit O - RE NPI v. ProClip & Brodit - Interrogatory Supplement, # (16) Exhibit P - RE NPI v. ProClip_Brodit, # (17) Exhibit Q - Re NPI v. ProClip_Brodit_2, # (18) Exhibit R - RE NPI v. ProClip_Brodit, # (19) Exhibit S - 2022 04 12 ProClip's Supplemental Response to NPI's Interrogatory 11, # (20) Exhibit T - RE NPI v. Proclip_Brodit - Defendants' Financial information, # (21) Exhibit U - 2020 - PROCLIP0071031, # (22) Exhibit V - PROCLIP0001197, # (23) Exhibit W - Subpoenas on Prospect Partners, # (24) Exhibit X - 2022-04-12 Email re Subpoena to Prospect Partners, # (25) Exhibit Y - 2020 Email ProClip Supplemental Production) (Tamimi, Jonathan) Modified on 5/3/2022. (lak) |
| May 2, 2022 | 203 | Redacted Document (Exhibit W - Subpoenas on Prospect Partners) (30) Docket Text: Redaction to [198] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - PROCLIP0032820-21, # (2) Exhibit B - PROCLIP0033018-19, # (3) Exhibit C - Division of Corporations - Filing - ProClip Holdings, # (4) Exhibit D - Division of Corporations - Filing - ProClip SPV, # (5) Exhibit E - Trademark Electronic Search System (TESS), # (6) Exhibit F - 2020 09 21 NPI's 1st RFPs to ProClip USA (Nos. 1-76), # (7) Exhibit G - 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (8) Exhibit H - 2020-10-20 ProClip's Responses to NPI's First Interrogatories (1-14), # (9) Exhibit I - 2020-10-20 ProClip's Responses to NPI's First RFPs (1-76), # (10) Exhibit J - ProClip Holdings, LLC - Prospect Partners, # (11) Exhibit K - ProClip Holdings, LLC - Prospect Partners, # (12) Exhibit L - PROCLIP USA LLC - Articles of Organization, # (13) Exhibit M - 2021-11-23 NPI's Third RFPs to ProClip USA (Nos. 92-98), # (14) Exhibit N - ProClip Responses to NPI Third Request for Production, # (15) Exhibit O - RE NPI v. ProClip & Brodit - Interrogatory Supplement, # (16) Exhibit P - RE NPI v. ProClip_Brodit, # (17) Exhibit Q - Re NPI v. ProClip_Brodit_2, # (18) Exhibit R - RE NPI v. ProClip_Brodit, # (19) Exhibit S - 2022 04 12 ProClip's Supplemental Response to NPI's Interrogatory 11, # (20) Exhibit T - RE NPI v. Proclip_Brodit - Defendants' Financial information, # (21) Exhibit U - 2020 - PROCLIP0071031, # (22) Exhibit V - PROCLIP0001197, # (23) Exhibit W - Subpoenas on Prospect Partners, # (24) Exhibit X - 2022-04-12 Email re Subpoena to Prospect Partners, # (25) Exhibit Y - 2020 Email ProClip Supplemental Production) (Tamimi, Jonathan) Modified on 5/3/2022. (lak) |
| May 2, 2022 | 203 | Redacted Document (Exhibit X - 2022-04-12 Email re Subpoena to Prospect Partners) (2) Docket Text: Redaction to [198] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - PROCLIP0032820-21, # (2) Exhibit B - PROCLIP0033018-19, # (3) Exhibit C - Division of Corporations - Filing - ProClip Holdings, # (4) Exhibit D - Division of Corporations - Filing - ProClip SPV, # (5) Exhibit E - Trademark Electronic Search System (TESS), # (6) Exhibit F - 2020 09 21 NPI's 1st RFPs to ProClip USA (Nos. 1-76), # (7) Exhibit G - 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (8) Exhibit H - 2020-10-20 ProClip's Responses to NPI's First Interrogatories (1-14), # (9) Exhibit I - 2020-10-20 ProClip's Responses to NPI's First RFPs (1-76), # (10) Exhibit J - ProClip Holdings, LLC - Prospect Partners, # (11) Exhibit K - ProClip Holdings, LLC - Prospect Partners, # (12) Exhibit L - PROCLIP USA LLC - Articles of Organization, # (13) Exhibit M - 2021-11-23 NPI's Third RFPs to ProClip USA (Nos. 92-98), # (14) Exhibit N - ProClip Responses to NPI Third Request for Production, # (15) Exhibit O - RE NPI v. ProClip & Brodit - Interrogatory Supplement, # (16) Exhibit P - RE NPI v. ProClip_Brodit, # (17) Exhibit Q - Re NPI v. ProClip_Brodit_2, # (18) Exhibit R - RE NPI v. ProClip_Brodit, # (19) Exhibit S - 2022 04 12 ProClip's Supplemental Response to NPI's Interrogatory 11, # (20) Exhibit T - RE NPI v. Proclip_Brodit - Defendants' Financial information, # (21) Exhibit U - 2020 - PROCLIP0071031, # (22) Exhibit V - PROCLIP0001197, # (23) Exhibit W - Subpoenas on Prospect Partners, # (24) Exhibit X - 2022-04-12 Email re Subpoena to Prospect Partners, # (25) Exhibit Y - 2020 Email ProClip Supplemental Production) (Tamimi, Jonathan) Modified on 5/3/2022. (lak) |
| May 2, 2022 | 203 | Redacted Document (Exhibit Y - 2020 Email ProClip Supplemental Production) (5) Docket Text: Redaction to [198] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - PROCLIP0032820-21, # (2) Exhibit B - PROCLIP0033018-19, # (3) Exhibit C - Division of Corporations - Filing - ProClip Holdings, # (4) Exhibit D - Division of Corporations - Filing - ProClip SPV, # (5) Exhibit E - Trademark Electronic Search System (TESS), # (6) Exhibit F - 2020 09 21 NPI's 1st RFPs to ProClip USA (Nos. 1-76), # (7) Exhibit G - 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (8) Exhibit H - 2020-10-20 ProClip's Responses to NPI's First Interrogatories (1-14), # (9) Exhibit I - 2020-10-20 ProClip's Responses to NPI's First RFPs (1-76), # (10) Exhibit J - ProClip Holdings, LLC - Prospect Partners, # (11) Exhibit K - ProClip Holdings, LLC - Prospect Partners, # (12) Exhibit L - PROCLIP USA LLC - Articles of Organization, # (13) Exhibit M - 2021-11-23 NPI's Third RFPs to ProClip USA (Nos. 92-98), # (14) Exhibit N - ProClip Responses to NPI Third Request for Production, # (15) Exhibit O - RE NPI v. ProClip & Brodit - Interrogatory Supplement, # (16) Exhibit P - RE NPI v. ProClip_Brodit, # (17) Exhibit Q - Re NPI v. ProClip_Brodit_2, # (18) Exhibit R - RE NPI v. ProClip_Brodit, # (19) Exhibit S - 2022 04 12 ProClip's Supplemental Response to NPI's Interrogatory 11, # (20) Exhibit T - RE NPI v. Proclip_Brodit - Defendants' Financial information, # (21) Exhibit U - 2020 - PROCLIP0071031, # (22) Exhibit V - PROCLIP0001197, # (23) Exhibit W - Subpoenas on Prospect Partners, # (24) Exhibit X - 2022-04-12 Email re Subpoena to Prospect Partners, # (25) Exhibit Y - 2020 Email ProClip Supplemental Production) (Tamimi, Jonathan) Modified on 5/3/2022. (lak) |
| Apr 22, 2022 | 199 | Transcript (20) Docket Text: Transcript of Telephonic Motion Hearing, held 4/19/2022 before Magistrate Judge Stephen L. Crocker. Court Reporter: LS. Please review the court's new policy regarding electronic transcripts of court proceedings: see Electronic Transcript Instructions. (kwf) |
| Apr 22, 2022 | N/A | Order on Motion to Compel (0) Docket Text: ** TEXT ONLY ORDER **Discovery in this case closes today, April 22, 2022, a fact that the parties confirmed at our April 19, 2022 telephonic motion hearing, see Transcript, dkt. [199], at 11. On April 20, 2022, plaintiff filed a motion to compel discovery (dkt. [197]), the response to which is not due until April 27, 2022, after discovery ends. Defendants filed an objection on this basis (dkt. [200]), also pointing out that plaintiff did not flag this issue for the court at the April 19 hearing, see dkt. [199] at 18-19. Defendants are correct. Plaintiff's motion is a nullity. That said, the court is not going to glorify form over substance when the concerns raised by plaintiff likely will affect the efficacy and finality of any resolution of this lawsuit as it currently is framed, and when there still is time for the parties to at least attempt to sort out defendants' current family tree. So, plaintiff's motion to compel is denied without prejudice. The court will keep discovery open until May 13, 2022 on the issues raised in plaintiff's motion, and the court directs the parties promptly to meet and confer on how quickly defendants can provide the requested information, which on its surface appears to be extraordinarily relevant to which path this lawsuit takes and how quickly that path gets traveled. Not later than May 13, 2022, the parties must jointly submit a report on this dispute that presents their respective positions on where we find ourselves at that juncture and what needs to happen next. The court's response will depend on what the parties report. But unless and until the court orders otherwise, the existing schedule remains in place and the parties must hew to it. Signed by Magistrate Judge Stephen L. Crocker on 4/22/2022. (kwf) |
| Apr 21, 2022 | N/A | Telephone Motion Hearing (0) Docket Text: Minute Entry for proceedings held before Magistrate Judge Stephen L. Crocker: Telephone Motion Hearing held on 4/19/2022 [:30] (cak) |
| Apr 19, 2022 | N/A | Text Only Order (0) Docket Text: ** TEXT ONLY ORDER ** On April 19, 2022, the court held a telephonic hearing on defendants' motion to compel discovery (dkt. [176]) and on plaintiff's motion challenging defendants' AEO designations (dkt. [187]). The court started by denying plaintiff's AEO motion, finding that defendants' designations were appropriate. As for defendants' motion to compel, the court denied part of it outright, agreed with the parties that some of it now is moot, then directed the parties to meet and confer about their misunderstanding/disagreement about whether plaintiff was obliged to perform an ESI search on the topics raised in defendants' motion. As the court emphasized at the hearing, it expects both sides to be realistic about what happens next so that this matter is resolved quickly and efficiently. If the parties cannot agree on the scope and speed of ESI production, they may ask the court to intervene again, but the court will do so with a meat cleaver, not a scalpel. The April 22, 2022 discovery cutoff is extended for this limited continuation of discovery. Each side will bear its own costs on both motions. The parties had no other matters to bring to the court's attention. Signed by Magistrate Judge Stephen L. Crocker on 4/19/2022. (voc) |
| Apr 14, 2022 | 191 | Redacted Document (10) Docket Text: Redaction to [188] Brief in Support of Plaintiff's Motion Challenging Defendants' Designations Under the Protective Order by Plaintiff National Products, Inc. (Tamimi, Jonathan) |
| Apr 14, 2022 | 192 | Redacted Document (Main Document) (3) Docket Text: Redaction to [189] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - How to Improve Driver Retention Free Webinar (ProClip), # (2) Exhibit B - ProClip Device Mounts for Business, # (3) Exhibit C - Wholesale Phone Cases, # (4) Exhibit D - TabA8, # (5) Exhibit E - ProClip, # (6) Exhibit F - 2022-02-15 ProClip's Third Amended Notice to Take 30(b)(6) Dep of NPI, # (7) Exhibit G - 2020-10-09 ProClip Rule 26(a)(1) Initial Disclosures, # (8) Exhibit H - Interviews of Paul Rodrigues, # (9) Exhibit I - Re NPI v. ProClip_Brodit, # (10) Exhibit J - RE NPI v. ProClip_Brodit) (Tamimi, Jonathan) Modified on 4/14/2022. (lak) |
| Apr 14, 2022 | 192 | Redacted Document (Exhibit A - How to Improve Driver Retention Free Webinar (ProClip)) (1) Docket Text: Redaction to [189] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - How to Improve Driver Retention Free Webinar (ProClip), # (2) Exhibit B - ProClip Device Mounts for Business, # (3) Exhibit C - Wholesale Phone Cases, # (4) Exhibit D - TabA8, # (5) Exhibit E - ProClip, # (6) Exhibit F - 2022-02-15 ProClip's Third Amended Notice to Take 30(b)(6) Dep of NPI, # (7) Exhibit G - 2020-10-09 ProClip Rule 26(a)(1) Initial Disclosures, # (8) Exhibit H - Interviews of Paul Rodrigues, # (9) Exhibit I - Re NPI v. ProClip_Brodit, # (10) Exhibit J - RE NPI v. ProClip_Brodit) (Tamimi, Jonathan) Modified on 4/14/2022. (lak) |
| Apr 14, 2022 | 192 | Redacted Document (Exhibit B - ProClip Device Mounts for Business) (1) Docket Text: Redaction to [189] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - How to Improve Driver Retention Free Webinar (ProClip), # (2) Exhibit B - ProClip Device Mounts for Business, # (3) Exhibit C - Wholesale Phone Cases, # (4) Exhibit D - TabA8, # (5) Exhibit E - ProClip, # (6) Exhibit F - 2022-02-15 ProClip's Third Amended Notice to Take 30(b)(6) Dep of NPI, # (7) Exhibit G - 2020-10-09 ProClip Rule 26(a)(1) Initial Disclosures, # (8) Exhibit H - Interviews of Paul Rodrigues, # (9) Exhibit I - Re NPI v. ProClip_Brodit, # (10) Exhibit J - RE NPI v. ProClip_Brodit) (Tamimi, Jonathan) Modified on 4/14/2022. (lak) |
| Apr 14, 2022 | 192 | Redacted Document (Exhibit C - Wholesale Phone Cases) (1) Docket Text: Redaction to [189] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - How to Improve Driver Retention Free Webinar (ProClip), # (2) Exhibit B - ProClip Device Mounts for Business, # (3) Exhibit C - Wholesale Phone Cases, # (4) Exhibit D - TabA8, # (5) Exhibit E - ProClip, # (6) Exhibit F - 2022-02-15 ProClip's Third Amended Notice to Take 30(b)(6) Dep of NPI, # (7) Exhibit G - 2020-10-09 ProClip Rule 26(a)(1) Initial Disclosures, # (8) Exhibit H - Interviews of Paul Rodrigues, # (9) Exhibit I - Re NPI v. ProClip_Brodit, # (10) Exhibit J - RE NPI v. ProClip_Brodit) (Tamimi, Jonathan) Modified on 4/14/2022. (lak) |
| Apr 14, 2022 | 192 | Redacted Document (Exhibit D - TabA8) (1) Docket Text: Redaction to [189] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - How to Improve Driver Retention Free Webinar (ProClip), # (2) Exhibit B - ProClip Device Mounts for Business, # (3) Exhibit C - Wholesale Phone Cases, # (4) Exhibit D - TabA8, # (5) Exhibit E - ProClip, # (6) Exhibit F - 2022-02-15 ProClip's Third Amended Notice to Take 30(b)(6) Dep of NPI, # (7) Exhibit G - 2020-10-09 ProClip Rule 26(a)(1) Initial Disclosures, # (8) Exhibit H - Interviews of Paul Rodrigues, # (9) Exhibit I - Re NPI v. ProClip_Brodit, # (10) Exhibit J - RE NPI v. ProClip_Brodit) (Tamimi, Jonathan) Modified on 4/14/2022. (lak) |
| Apr 14, 2022 | 192 | Redacted Document (Exhibit E - ProClip) (1) Docket Text: Redaction to [189] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - How to Improve Driver Retention Free Webinar (ProClip), # (2) Exhibit B - ProClip Device Mounts for Business, # (3) Exhibit C - Wholesale Phone Cases, # (4) Exhibit D - TabA8, # (5) Exhibit E - ProClip, # (6) Exhibit F - 2022-02-15 ProClip's Third Amended Notice to Take 30(b)(6) Dep of NPI, # (7) Exhibit G - 2020-10-09 ProClip Rule 26(a)(1) Initial Disclosures, # (8) Exhibit H - Interviews of Paul Rodrigues, # (9) Exhibit I - Re NPI v. ProClip_Brodit, # (10) Exhibit J - RE NPI v. ProClip_Brodit) (Tamimi, Jonathan) Modified on 4/14/2022. (lak) |
| Apr 14, 2022 | 192 | Redacted Document (Exhibit F - 2022-02-15 ProClip's Third Amended Notice to Take 30(b)(6) Dep) (12) Docket Text: Redaction to [189] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - How to Improve Driver Retention Free Webinar (ProClip), # (2) Exhibit B - ProClip Device Mounts for Business, # (3) Exhibit C - Wholesale Phone Cases, # (4) Exhibit D - TabA8, # (5) Exhibit E - ProClip, # (6) Exhibit F - 2022-02-15 ProClip's Third Amended Notice to Take 30(b)(6) Dep of NPI, # (7) Exhibit G - 2020-10-09 ProClip Rule 26(a)(1) Initial Disclosures, # (8) Exhibit H - Interviews of Paul Rodrigues, # (9) Exhibit I - Re NPI v. ProClip_Brodit, # (10) Exhibit J - RE NPI v. ProClip_Brodit) (Tamimi, Jonathan) Modified on 4/14/2022. (lak) |
| Apr 14, 2022 | 192 | Redacted Document (Exhibit G - 2020-10-09 ProClip Rule 26(a)(1) Initial Disclosures) (5) Docket Text: Redaction to [189] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - How to Improve Driver Retention Free Webinar (ProClip), # (2) Exhibit B - ProClip Device Mounts for Business, # (3) Exhibit C - Wholesale Phone Cases, # (4) Exhibit D - TabA8, # (5) Exhibit E - ProClip, # (6) Exhibit F - 2022-02-15 ProClip's Third Amended Notice to Take 30(b)(6) Dep of NPI, # (7) Exhibit G - 2020-10-09 ProClip Rule 26(a)(1) Initial Disclosures, # (8) Exhibit H - Interviews of Paul Rodrigues, # (9) Exhibit I - Re NPI v. ProClip_Brodit, # (10) Exhibit J - RE NPI v. ProClip_Brodit) (Tamimi, Jonathan) Modified on 4/14/2022. (lak) |
| Apr 14, 2022 | 192 | Redacted Document (Exhibit H - Interviews of Paul Rodrigues) (1) Docket Text: Redaction to [189] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - How to Improve Driver Retention Free Webinar (ProClip), # (2) Exhibit B - ProClip Device Mounts for Business, # (3) Exhibit C - Wholesale Phone Cases, # (4) Exhibit D - TabA8, # (5) Exhibit E - ProClip, # (6) Exhibit F - 2022-02-15 ProClip's Third Amended Notice to Take 30(b)(6) Dep of NPI, # (7) Exhibit G - 2020-10-09 ProClip Rule 26(a)(1) Initial Disclosures, # (8) Exhibit H - Interviews of Paul Rodrigues, # (9) Exhibit I - Re NPI v. ProClip_Brodit, # (10) Exhibit J - RE NPI v. ProClip_Brodit) (Tamimi, Jonathan) Modified on 4/14/2022. (lak) |
| Apr 14, 2022 | 192 | Redacted Document (Exhibit I - Re NPI v. ProClip_Brodit) (1) Docket Text: Redaction to [189] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - How to Improve Driver Retention Free Webinar (ProClip), # (2) Exhibit B - ProClip Device Mounts for Business, # (3) Exhibit C - Wholesale Phone Cases, # (4) Exhibit D - TabA8, # (5) Exhibit E - ProClip, # (6) Exhibit F - 2022-02-15 ProClip's Third Amended Notice to Take 30(b)(6) Dep of NPI, # (7) Exhibit G - 2020-10-09 ProClip Rule 26(a)(1) Initial Disclosures, # (8) Exhibit H - Interviews of Paul Rodrigues, # (9) Exhibit I - Re NPI v. ProClip_Brodit, # (10) Exhibit J - RE NPI v. ProClip_Brodit) (Tamimi, Jonathan) Modified on 4/14/2022. (lak) |
| Apr 14, 2022 | 192 | Redacted Document (Exhibit J - RE NPI v. ProClip_Brodit) (1) Docket Text: Redaction to [189] Declaration of Jonathan G. Tamimi by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - How to Improve Driver Retention Free Webinar (ProClip), # (2) Exhibit B - ProClip Device Mounts for Business, # (3) Exhibit C - Wholesale Phone Cases, # (4) Exhibit D - TabA8, # (5) Exhibit E - ProClip, # (6) Exhibit F - 2022-02-15 ProClip's Third Amended Notice to Take 30(b)(6) Dep of NPI, # (7) Exhibit G - 2020-10-09 ProClip Rule 26(a)(1) Initial Disclosures, # (8) Exhibit H - Interviews of Paul Rodrigues, # (9) Exhibit I - Re NPI v. ProClip_Brodit, # (10) Exhibit J - RE NPI v. ProClip_Brodit) (Tamimi, Jonathan) Modified on 4/14/2022. (lak) |
| Apr 13, 2022 | N/A | Text Only Order (0) Docket Text: ** TEXT ONLY ORDER ** Defendant's response deadline to plaintiff's challenge to its confidentiality designations (dkt. [187]) is moved to noon on April 18, 2022, and this motion is added to the agenda for the April 19 telephonic motion hearing. Signed by Magistrate Judge Stephen L. Crocker on 4/13/2022. (kwf) |
| Apr 12, 2022 | N/A | Set Motion and R&R Deadlines/Hearings (0) Docket Text: Set Deadlines and Hearings re: [176] Motion to Compel Production. Telephone Motion Hearing set for 4/19/2022 at 3:30 PM before Magistrate Judge Stephen L. Crocker. Counsel for Defendant responsible for setting up the call to chambers at (608) 264-5153. (kwf) |
| Apr 12, 2022 | 187 | Motion for Miscellaneous Relief (3) Docket Text: Motion to Challenge Defendants' Designations Under the Protective Order by Plaintiff National Products, Inc.. Response due 4/19/2022. (Tamimi, Jonathan) |
| Apr 11, 2022 | 183 | Expert Report (30) Docket Text: Expert Report of Jason D. Stigge, P.E. by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. (Kaempf, Jessica) |
| Apr 11, 2022 | 184 | Brief in Opposition (15) Docket Text: Brief in Opposition by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. re: [176] Motion to Compel filed by Brodit AB, ProClip USA, Inc. (Tellekson, David) |
| Apr 11, 2022 | 185 | Declaration (Main Document) (2) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. re: [176] Motion to Compel (Attachments: # (1) Exhibit A - Email dated April 4, 2022, # (2) Exhibit B - Email dated April 23, 2022) (Kaempf, Jessica) |
| Apr 11, 2022 | 185 | Declaration (Exhibit A - Email dated April 4, 2022) (3) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. re: [176] Motion to Compel (Attachments: # (1) Exhibit A - Email dated April 4, 2022, # (2) Exhibit B - Email dated April 23, 2022) (Kaempf, Jessica) |
| Apr 11, 2022 | 185 | Declaration (Exhibit B - Email dated April 23, 2022) (3) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. re: [176] Motion to Compel (Attachments: # (1) Exhibit A - Email dated April 4, 2022, # (2) Exhibit B - Email dated April 23, 2022) (Kaempf, Jessica) |
| Apr 6, 2022 | 180 | Redacted Document (25) Docket Text: Redaction to [177] Brief in Support of Motion to Compel Production by Defendants Brodit AB, ProClip USA, Inc. (Van Camp, Elijah) |
| Apr 6, 2022 | 181 | Redacted Document (Main Document) (3) Docket Text: Redaction to [178] Declaration,, of Elijah B. Van Camp by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - 10.4.21 email, # (2) Exhibit 2 - 10.28.21 email, # (3) Exhibit 3 - 3.24.22 email, # (4) Exhibit 4 - 2.21.21 email, # (5) Exhibit 5 - NPI Responses and Objections to Brodit First RFP, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - NPI Responses and Objections to Brodit 2nd RFP, # (8) Exhibit 8 - Filed under seal, # (9) Exhibit 9 - 1.3.22 email, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - NPI Responses and Objections to 30(b)(6) Notice, # (12) Exhibit 12 - Filed under seal) (Van Camp, Elijah) |
| Apr 6, 2022 | 181 | Redacted Document (Exhibit 1 - 10.4.21 email) (3) Docket Text: Redaction to [178] Declaration,, of Elijah B. Van Camp by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - 10.4.21 email, # (2) Exhibit 2 - 10.28.21 email, # (3) Exhibit 3 - 3.24.22 email, # (4) Exhibit 4 - 2.21.21 email, # (5) Exhibit 5 - NPI Responses and Objections to Brodit First RFP, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - NPI Responses and Objections to Brodit 2nd RFP, # (8) Exhibit 8 - Filed under seal, # (9) Exhibit 9 - 1.3.22 email, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - NPI Responses and Objections to 30(b)(6) Notice, # (12) Exhibit 12 - Filed under seal) (Van Camp, Elijah) |
| Apr 6, 2022 | 181 | Redacted Document (Exhibit 2 - 10.28.21 email) (3) Docket Text: Redaction to [178] Declaration,, of Elijah B. Van Camp by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - 10.4.21 email, # (2) Exhibit 2 - 10.28.21 email, # (3) Exhibit 3 - 3.24.22 email, # (4) Exhibit 4 - 2.21.21 email, # (5) Exhibit 5 - NPI Responses and Objections to Brodit First RFP, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - NPI Responses and Objections to Brodit 2nd RFP, # (8) Exhibit 8 - Filed under seal, # (9) Exhibit 9 - 1.3.22 email, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - NPI Responses and Objections to 30(b)(6) Notice, # (12) Exhibit 12 - Filed under seal) (Van Camp, Elijah) |
| Apr 6, 2022 | 181 | Redacted Document (Exhibit 3 - 3.24.22 email) (3) Docket Text: Redaction to [178] Declaration,, of Elijah B. Van Camp by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - 10.4.21 email, # (2) Exhibit 2 - 10.28.21 email, # (3) Exhibit 3 - 3.24.22 email, # (4) Exhibit 4 - 2.21.21 email, # (5) Exhibit 5 - NPI Responses and Objections to Brodit First RFP, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - NPI Responses and Objections to Brodit 2nd RFP, # (8) Exhibit 8 - Filed under seal, # (9) Exhibit 9 - 1.3.22 email, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - NPI Responses and Objections to 30(b)(6) Notice, # (12) Exhibit 12 - Filed under seal) (Van Camp, Elijah) |
| Apr 6, 2022 | 181 | Redacted Document (Exhibit 4 - 2.21.21 email) (2) Docket Text: Redaction to [178] Declaration,, of Elijah B. Van Camp by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - 10.4.21 email, # (2) Exhibit 2 - 10.28.21 email, # (3) Exhibit 3 - 3.24.22 email, # (4) Exhibit 4 - 2.21.21 email, # (5) Exhibit 5 - NPI Responses and Objections to Brodit First RFP, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - NPI Responses and Objections to Brodit 2nd RFP, # (8) Exhibit 8 - Filed under seal, # (9) Exhibit 9 - 1.3.22 email, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - NPI Responses and Objections to 30(b)(6) Notice, # (12) Exhibit 12 - Filed under seal) (Van Camp, Elijah) |
| Apr 6, 2022 | 181 | Redacted Document (Exhibit 5 - NPI Responses and Objections to Brodit First RFP) (29) Docket Text: Redaction to [178] Declaration,, of Elijah B. Van Camp by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - 10.4.21 email, # (2) Exhibit 2 - 10.28.21 email, # (3) Exhibit 3 - 3.24.22 email, # (4) Exhibit 4 - 2.21.21 email, # (5) Exhibit 5 - NPI Responses and Objections to Brodit First RFP, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - NPI Responses and Objections to Brodit 2nd RFP, # (8) Exhibit 8 - Filed under seal, # (9) Exhibit 9 - 1.3.22 email, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - NPI Responses and Objections to 30(b)(6) Notice, # (12) Exhibit 12 - Filed under seal) (Van Camp, Elijah) |
| Apr 6, 2022 | 181 | Redacted Document (Exhibit 6 - Filed under seal) (1) Docket Text: Redaction to [178] Declaration,, of Elijah B. Van Camp by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - 10.4.21 email, # (2) Exhibit 2 - 10.28.21 email, # (3) Exhibit 3 - 3.24.22 email, # (4) Exhibit 4 - 2.21.21 email, # (5) Exhibit 5 - NPI Responses and Objections to Brodit First RFP, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - NPI Responses and Objections to Brodit 2nd RFP, # (8) Exhibit 8 - Filed under seal, # (9) Exhibit 9 - 1.3.22 email, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - NPI Responses and Objections to 30(b)(6) Notice, # (12) Exhibit 12 - Filed under seal) (Van Camp, Elijah) |
| Apr 6, 2022 | 181 | Redacted Document (Exhibit 7 - NPI Responses and Objections to Brodit 2nd RFP) (19) Docket Text: Redaction to [178] Declaration,, of Elijah B. Van Camp by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - 10.4.21 email, # (2) Exhibit 2 - 10.28.21 email, # (3) Exhibit 3 - 3.24.22 email, # (4) Exhibit 4 - 2.21.21 email, # (5) Exhibit 5 - NPI Responses and Objections to Brodit First RFP, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - NPI Responses and Objections to Brodit 2nd RFP, # (8) Exhibit 8 - Filed under seal, # (9) Exhibit 9 - 1.3.22 email, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - NPI Responses and Objections to 30(b)(6) Notice, # (12) Exhibit 12 - Filed under seal) (Van Camp, Elijah) |
| Apr 6, 2022 | 181 | Redacted Document (Exhibit 8 - Filed under seal) (1) Docket Text: Redaction to [178] Declaration,, of Elijah B. Van Camp by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - 10.4.21 email, # (2) Exhibit 2 - 10.28.21 email, # (3) Exhibit 3 - 3.24.22 email, # (4) Exhibit 4 - 2.21.21 email, # (5) Exhibit 5 - NPI Responses and Objections to Brodit First RFP, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - NPI Responses and Objections to Brodit 2nd RFP, # (8) Exhibit 8 - Filed under seal, # (9) Exhibit 9 - 1.3.22 email, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - NPI Responses and Objections to 30(b)(6) Notice, # (12) Exhibit 12 - Filed under seal) (Van Camp, Elijah) |
| Apr 6, 2022 | 181 | Redacted Document (Exhibit 9 - 1.3.22 email) (8) Docket Text: Redaction to [178] Declaration,, of Elijah B. Van Camp by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - 10.4.21 email, # (2) Exhibit 2 - 10.28.21 email, # (3) Exhibit 3 - 3.24.22 email, # (4) Exhibit 4 - 2.21.21 email, # (5) Exhibit 5 - NPI Responses and Objections to Brodit First RFP, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - NPI Responses and Objections to Brodit 2nd RFP, # (8) Exhibit 8 - Filed under seal, # (9) Exhibit 9 - 1.3.22 email, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - NPI Responses and Objections to 30(b)(6) Notice, # (12) Exhibit 12 - Filed under seal) (Van Camp, Elijah) |
| Apr 6, 2022 | 181 | Redacted Document (Exhibit 10 - Filed under seal) (1) Docket Text: Redaction to [178] Declaration,, of Elijah B. Van Camp by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - 10.4.21 email, # (2) Exhibit 2 - 10.28.21 email, # (3) Exhibit 3 - 3.24.22 email, # (4) Exhibit 4 - 2.21.21 email, # (5) Exhibit 5 - NPI Responses and Objections to Brodit First RFP, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - NPI Responses and Objections to Brodit 2nd RFP, # (8) Exhibit 8 - Filed under seal, # (9) Exhibit 9 - 1.3.22 email, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - NPI Responses and Objections to 30(b)(6) Notice, # (12) Exhibit 12 - Filed under seal) (Van Camp, Elijah) |
| Apr 6, 2022 | 181 | Redacted Document (Exhibit 11 - NPI Responses and Objections to 30(b)(6) Notice) (30) Docket Text: Redaction to [178] Declaration,, of Elijah B. Van Camp by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - 10.4.21 email, # (2) Exhibit 2 - 10.28.21 email, # (3) Exhibit 3 - 3.24.22 email, # (4) Exhibit 4 - 2.21.21 email, # (5) Exhibit 5 - NPI Responses and Objections to Brodit First RFP, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - NPI Responses and Objections to Brodit 2nd RFP, # (8) Exhibit 8 - Filed under seal, # (9) Exhibit 9 - 1.3.22 email, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - NPI Responses and Objections to 30(b)(6) Notice, # (12) Exhibit 12 - Filed under seal) (Van Camp, Elijah) |
| Apr 6, 2022 | 181 | Redacted Document (Exhibit 12 - Filed under seal) (1) Docket Text: Redaction to [178] Declaration,, of Elijah B. Van Camp by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit 1 - 10.4.21 email, # (2) Exhibit 2 - 10.28.21 email, # (3) Exhibit 3 - 3.24.22 email, # (4) Exhibit 4 - 2.21.21 email, # (5) Exhibit 5 - NPI Responses and Objections to Brodit First RFP, # (6) Exhibit 6 - Filed under seal, # (7) Exhibit 7 - NPI Responses and Objections to Brodit 2nd RFP, # (8) Exhibit 8 - Filed under seal, # (9) Exhibit 9 - 1.3.22 email, # (10) Exhibit 10 - Filed under seal, # (11) Exhibit 11 - NPI Responses and Objections to 30(b)(6) Notice, # (12) Exhibit 12 - Filed under seal) (Van Camp, Elijah) |
| Apr 5, 2022 | N/A | Order on Motion to Admit Pro Hac Vice (0) Docket Text: ** TEXT ONLY ORDER **ORDER granting [175] Motion to Admit Jonathan Gordon Tamimi Pro Hac Vice. Signed by Magistrate Judge Peter A. Oppeneer on 4/5/2022. (lak) |
| Apr 4, 2022 | 175 | 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 0758-3031649.) by Plaintiff National Products, Inc., Counter Defendants National Products, Inc., National Products, Inc.. Motions referred to Magistrate Judge Stephen L. Crocker. (Tamimi, Jonathan) |
| Apr 4, 2022 | 176 | Motion to Compel (2) Docket Text: Motion to Compel Production by Defendants Brodit AB, ProClip USA, Inc.. Motions referred to Magistrate Judge Stephen L. Crocker. Response due 4/11/2022. (Van Camp, Elijah) |
| Mar 1, 2022 | 173 | MOTION for Extension of Time (3) Docket Text: Stipulated Motion for Extension of Time for Defendants' Damage Expert Disclosure by Defendants Brodit AB, ProClip USA, Inc.. Motions referred to Magistrate Judge Stephen L. Crocker. (Van Camp, Elijah) |
| Mar 1, 2022 | N/A | Order on Motion for Extension of Time (0) Docket Text: ** TEXT ONLY ORDER **ORDER accepting and granting [173] Stipulated Motion for Extension of Time for Defendants' Damage Expert Disclosure. Signed by Magistrate Judge Stephen L. Crocker on 3/1/2022. (kwf) |
| Jan 21, 2022 | N/A | Order on Motion for Miscellaneous Relief (0) Docket Text: ** TEXT ONLY ORDER **In light of the parties' agreement (dkt. [169]), plaintiff's pending discovery motion (dkt. [160]) is denied as moot. Signed by Magistrate Judge Stephen L. Crocker on 1/21/2022. (jls) |
| Jan 21, 2022 | N/A | Text Only Order (0) Docket Text: ** TEXT ONLY ORDER **In response to this court's January 12, 2022 order (dkt. [168]), the parties have chosen August 8, 2022 as their trial date, so jury selection and trial will begin that morning at 9:00 a.m. Submissions for the final pretrial conference are due June 13, 2022, responses by July 1, 2022 and the final pretrial conference will be held July 14, 2022 at 4:00 p.m. Signed by Magistrate Judge Stephen L. Crocker on 1/21/2022. (jls) |
| Jan 20, 2022 | 170 | Notice (Other) (3) Docket Text: Notice by Plaintiff National Products, Inc., Counter Defendants National Products, Inc., National Products, Inc. Joint Notice Regarding Trial Date. (Tellekson, David) |
| Jan 18, 2022 | 169 | Brief in Opposition (1) Docket Text: Brief in Opposition by Defendants Brodit AB, ProClip USA, Inc. re: [160] Motion for Miscellaneous Relief filed by National Products, Inc. (Van Camp, Elijah) |
| Jan 13, 2022 | N/A | Text Only Order (0) Docket Text: ** TEXT ONLY ORDER **Good cause having been shown, the parties' joint motion to amend the schedule is GRANTED and the remainder of the existing schedule is STRUCK. Defendants must disclose their damages experts by March 7, 2022. Discovery ends on April 22, 2022, the same day that ex parte settlement letters must be filed. The court cannot try this case on July 11, 2022. The court can try this case on July 25, August 1 or August 8, 2022. Not later than January 20, 2022 the parties must jointly report which of these dates they have chose and the court will reset the remainder of the schedule accordingly. Signed by Magistrate Judge Stephen L. Crocker on 1/13/2022. (kwf) |
| Jan 12, 2022 | 165 | MOTION for Extension of Time (2) Docket Text: Consent Motion for Extension of Time for Defendants to File Response to Dkt. 160 by Plaintiff National Products, Inc.. Motions referred to Magistrate Judge Stephen L. Crocker. (Gregor, Jennifer) |
| Jan 12, 2022 | N/A | Order on Motion for Extension of Time (0) Docket Text: ** TEXT ONLY ORDER **ORDER granting [165] Consent Motion for Extension of Time. Signed by Magistrate Judge Stephen L. Crocker on 1/12/2022. (lak) |
| Jan 12, 2022 | 167 | Motion to Amend/Correct (5) Docket Text: Joint Motion to Amend/Correct [Joint Motion to Amend Schedule] by Plaintiff National Products, Inc., Counter Defendant National Products, Inc.. (Tellekson, David) |
| Jan 7, 2022 | N/A | Text Only Order (0) Docket Text: ** TEXT ONLY ORDER **Plaintiff has filed a discovery motion to which defendants have not yet responded. The court will wait to rule until it has heard from both sides, but it offers some preliminary observations: This court's longstanding view regarding discovery in all of its civil cases is that the limits set by the rules are a helpful starting point, but that in any given case, the parties may obtain as much discovery as they genuinely need, subject to the constraints of proportionality and fairness. As a result, this court has not yet held the parties in a patent lawsuit to the discovery limits set forth in the rules. Indeed, although it was not done here, see dkt. [33], patent lawsuit parties often agree in advance to higher limits, acknowledging the breadth and complexity of the issues that need to be developed. Further, in any case where a deposition witness is using an interpreter, common sense and fairness both militate toward raising the presumptive seven hour time limit to account for the translation time. Then of course there's this court's courtesy, consideration, and reasonable accommodation order already entered in this case, see September 30, 2020 Preliminary Pretrial Conference Order, dkt. [35] at 1. Maybe this patent lawsuit is different from all the rest. If not, then there will be consequences. Praemonitus praemunitus. Signed by Magistrate Judge Stephen L. Crocker on 1/7/2022. (kwf) |
| Jan 5, 2022 | 160 | Motion for Miscellaneous Relief (2) Docket Text: Motion for Leave to Take Depositions and to Exceed Default Time Limit by Plaintiff National Products, Inc.. Response due 1/12/2022. (Klenow, Nicholas) |
| Jan 5, 2022 | 161 | Brief in Support (11) Docket Text: Brief in Support of [160] Motion for Miscellaneous Relief [For Leave to Take Depositions and to Exceed Default Time Limit] by Plaintiff National Products, Inc. (Klenow, Nicholas) |
| Jan 5, 2022 | 163 | Redacted Document (Main Document) (2) Docket Text: Redaction to [162] Declaration of Nicholas J. Klenow by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020/10/09 ProClip Rule 26(a)(1) Initial Disclosures, # (2) Exhibit B - 2020/10/09 Brodit Rule 26(a)(1) Initial Disclosures, # (3) Exhibit C - 2020/10/20 ProClip's Responses to NPI's First Interrogatories, # (4) Exhibit D - 2020/10/20 Brodit's Responses to NPI's First Interrogatories, # (5) Exhibit E - 2021 12 22 Email from Van Camp to Kaempf, # (6) Exhibit F - 2014/11/20 Email from van Mierlo-PROCLIP0016475, # (7) Exhibit G - 2015/07/10 Email from Rankin-PROCLIP0003901, # (8) Exhibit H - 2021/12/29 Email from Van Camp to Klenow) (Klenow, Nicholas) |
| Jan 5, 2022 | 163 | Redacted Document (Exhibit A - 2020/10/09 ProClip Rule 26(a)(1) Initial Disclosures) (5) Docket Text: Redaction to [162] Declaration of Nicholas J. Klenow by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020/10/09 ProClip Rule 26(a)(1) Initial Disclosures, # (2) Exhibit B - 2020/10/09 Brodit Rule 26(a)(1) Initial Disclosures, # (3) Exhibit C - 2020/10/20 ProClip's Responses to NPI's First Interrogatories, # (4) Exhibit D - 2020/10/20 Brodit's Responses to NPI's First Interrogatories, # (5) Exhibit E - 2021 12 22 Email from Van Camp to Kaempf, # (6) Exhibit F - 2014/11/20 Email from van Mierlo-PROCLIP0016475, # (7) Exhibit G - 2015/07/10 Email from Rankin-PROCLIP0003901, # (8) Exhibit H - 2021/12/29 Email from Van Camp to Klenow) (Klenow, Nicholas) |
| Jan 5, 2022 | 163 | Redacted Document (Exhibit B - 2020/10/09 Brodit Rule 26(a)(1) Initial Disclosures) (4) Docket Text: Redaction to [162] Declaration of Nicholas J. Klenow by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020/10/09 ProClip Rule 26(a)(1) Initial Disclosures, # (2) Exhibit B - 2020/10/09 Brodit Rule 26(a)(1) Initial Disclosures, # (3) Exhibit C - 2020/10/20 ProClip's Responses to NPI's First Interrogatories, # (4) Exhibit D - 2020/10/20 Brodit's Responses to NPI's First Interrogatories, # (5) Exhibit E - 2021 12 22 Email from Van Camp to Kaempf, # (6) Exhibit F - 2014/11/20 Email from van Mierlo-PROCLIP0016475, # (7) Exhibit G - 2015/07/10 Email from Rankin-PROCLIP0003901, # (8) Exhibit H - 2021/12/29 Email from Van Camp to Klenow) (Klenow, Nicholas) |
| Jan 5, 2022 | 163 | Redacted Document (Exhibit C - 2020/10/20 ProClip's Responses to NPI's First Interrogator) (17) Docket Text: Redaction to [162] Declaration of Nicholas J. Klenow by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020/10/09 ProClip Rule 26(a)(1) Initial Disclosures, # (2) Exhibit B - 2020/10/09 Brodit Rule 26(a)(1) Initial Disclosures, # (3) Exhibit C - 2020/10/20 ProClip's Responses to NPI's First Interrogatories, # (4) Exhibit D - 2020/10/20 Brodit's Responses to NPI's First Interrogatories, # (5) Exhibit E - 2021 12 22 Email from Van Camp to Kaempf, # (6) Exhibit F - 2014/11/20 Email from van Mierlo-PROCLIP0016475, # (7) Exhibit G - 2015/07/10 Email from Rankin-PROCLIP0003901, # (8) Exhibit H - 2021/12/29 Email from Van Camp to Klenow) (Klenow, Nicholas) |
| Jan 5, 2022 | 163 | Redacted Document (Exhibit D - 2020/10/20 Brodit's Responses to NPI's First Interrogatori) (16) Docket Text: Redaction to [162] Declaration of Nicholas J. Klenow by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020/10/09 ProClip Rule 26(a)(1) Initial Disclosures, # (2) Exhibit B - 2020/10/09 Brodit Rule 26(a)(1) Initial Disclosures, # (3) Exhibit C - 2020/10/20 ProClip's Responses to NPI's First Interrogatories, # (4) Exhibit D - 2020/10/20 Brodit's Responses to NPI's First Interrogatories, # (5) Exhibit E - 2021 12 22 Email from Van Camp to Kaempf, # (6) Exhibit F - 2014/11/20 Email from van Mierlo-PROCLIP0016475, # (7) Exhibit G - 2015/07/10 Email from Rankin-PROCLIP0003901, # (8) Exhibit H - 2021/12/29 Email from Van Camp to Klenow) (Klenow, Nicholas) |
| Jan 5, 2022 | 163 | Redacted Document (Exhibit E - 2021/12/22 Email from Van Camp to Kaempf) (12) Docket Text: Redaction to [162] Declaration of Nicholas J. Klenow by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020/10/09 ProClip Rule 26(a)(1) Initial Disclosures, # (2) Exhibit B - 2020/10/09 Brodit Rule 26(a)(1) Initial Disclosures, # (3) Exhibit C - 2020/10/20 ProClip's Responses to NPI's First Interrogatories, # (4) Exhibit D - 2020/10/20 Brodit's Responses to NPI's First Interrogatories, # (5) Exhibit E - 2021 12 22 Email from Van Camp to Kaempf, # (6) Exhibit F - 2014/11/20 Email from van Mierlo-PROCLIP0016475, # (7) Exhibit G - 2015/07/10 Email from Rankin-PROCLIP0003901, # (8) Exhibit H - 2021/12/29 Email from Van Camp to Klenow) (Klenow, Nicholas) |
| Jan 5, 2022 | 163 | Redacted Document (Exhibit F - 2014/11/20 Email from van Mierlo-PROCLIP0016475) (1) Docket Text: Redaction to [162] Declaration of Nicholas J. Klenow by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020/10/09 ProClip Rule 26(a)(1) Initial Disclosures, # (2) Exhibit B - 2020/10/09 Brodit Rule 26(a)(1) Initial Disclosures, # (3) Exhibit C - 2020/10/20 ProClip's Responses to NPI's First Interrogatories, # (4) Exhibit D - 2020/10/20 Brodit's Responses to NPI's First Interrogatories, # (5) Exhibit E - 2021 12 22 Email from Van Camp to Kaempf, # (6) Exhibit F - 2014/11/20 Email from van Mierlo-PROCLIP0016475, # (7) Exhibit G - 2015/07/10 Email from Rankin-PROCLIP0003901, # (8) Exhibit H - 2021/12/29 Email from Van Camp to Klenow) (Klenow, Nicholas) |
| Jan 5, 2022 | 163 | Redacted Document (Exhibit G - 2015/07/10 Email from Rankin-PROCLIP0003901) (1) Docket Text: Redaction to [162] Declaration of Nicholas J. Klenow by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020/10/09 ProClip Rule 26(a)(1) Initial Disclosures, # (2) Exhibit B - 2020/10/09 Brodit Rule 26(a)(1) Initial Disclosures, # (3) Exhibit C - 2020/10/20 ProClip's Responses to NPI's First Interrogatories, # (4) Exhibit D - 2020/10/20 Brodit's Responses to NPI's First Interrogatories, # (5) Exhibit E - 2021 12 22 Email from Van Camp to Kaempf, # (6) Exhibit F - 2014/11/20 Email from van Mierlo-PROCLIP0016475, # (7) Exhibit G - 2015/07/10 Email from Rankin-PROCLIP0003901, # (8) Exhibit H - 2021/12/29 Email from Van Camp to Klenow) (Klenow, Nicholas) |
| Jan 5, 2022 | 163 | Redacted Document (Exhibit H - 2021/12/29 Email from Van Camp to Klenow) (10) Docket Text: Redaction to [162] Declaration of Nicholas J. Klenow by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - 2020/10/09 ProClip Rule 26(a)(1) Initial Disclosures, # (2) Exhibit B - 2020/10/09 Brodit Rule 26(a)(1) Initial Disclosures, # (3) Exhibit C - 2020/10/20 ProClip's Responses to NPI's First Interrogatories, # (4) Exhibit D - 2020/10/20 Brodit's Responses to NPI's First Interrogatories, # (5) Exhibit E - 2021 12 22 Email from Van Camp to Kaempf, # (6) Exhibit F - 2014/11/20 Email from van Mierlo-PROCLIP0016475, # (7) Exhibit G - 2015/07/10 Email from Rankin-PROCLIP0003901, # (8) Exhibit H - 2021/12/29 Email from Van Camp to Klenow) (Klenow, Nicholas) |
| Dec 21, 2021 | N/A | Order on Motion to Admit Pro Hac Vice (0) Docket Text: ** TEXT ONLY ORDER **ORDER granting [158] Motion to Admit Nicholas Joseph Klenow Pro Hac Vice. Signed by Magistrate Judge Peter A. Oppeneer on 12/21/2021. (lak) |
| Dec 20, 2021 | 158 | Motion to Admit Pro Hac Vice (1) Docket Text: Motion to Admit Nicholas Joseph Klenow Pro Hac Vice. ( Pro Hac Vice fee $ 100 receipt number 0758-2981928.) by Plaintiff National Products, Inc.. Motions referred to Magistrate Judge Stephen L. Crocker. (Klenow, Nicholas) |
| Dec 13, 2021 | 157 | Brief in Reply (4) Docket Text: Brief in Reply by Defendants Brodit AB, ProClip USA, Inc. in Support of [137] Motion to Strike (Van Camp, Elijah) |
| Dec 10, 2021 | 156 | Summary Judgment Claims Chart (30) Docket Text: Joint Summary Judgment Claims Chart by Plaintiff National Products, Inc. re: [96] Motion for Partial Summary Judgment, [92] Motion for Summary Judgment. (Kaempf, Jessica) |
| Dec 7, 2021 | 154 | Brief in Opposition (3) Docket Text: Brief in Opposition by Defendants Brodit AB, ProClip USA, Inc. re: [152] Motion for Leave to File filed by National Products, Inc. (Van Camp, Elijah) |
| Dec 7, 2021 | 155 | Declaration (Main Document) (1) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [152] Motion for Leave to File (Attachments: # (1) Exhibit A - email thread) (Van Camp, Elijah) |
| Dec 7, 2021 | 155 | Declaration (Exhibit A - email thread) (5) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [152] Motion for Leave to File (Attachments: # (1) Exhibit A - email thread) (Van Camp, Elijah) |
| Dec 6, 2021 | 150 | Brief in Opposition (7) Docket Text: Brief in Opposition by Plaintiff National Products, Inc. re: [137] Motion to Strike filed by Brodit AB, ProClip USA, Inc. (Tellekson, David) |
| Dec 6, 2021 | 151 | Declaration (Main Document) (3) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc. In Support of Plaintiff's Opposition re: [137] Motion to Strike (Attachments: # (1) Exhibit A - 2021/08/04 Tellekson Letter to Counsel re: Invalidity Contention Deficiencies, # (2) Exhibit B - 2020/10/09 ProClip Rule 26(a)(1) Initial Disclosures, # (3) Exhibit C - 2020/10/09 Brodit Rule 26(a)(1) Initial Disclosures) (Tellekson, David) |
| Dec 6, 2021 | 151 | Declaration (Exhibit A - 2021/08/04 Tellekson Ltr to Counsel re Invalidity Contention) (3) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc. In Support of Plaintiff's Opposition re: [137] Motion to Strike (Attachments: # (1) Exhibit A - 2021/08/04 Tellekson Letter to Counsel re: Invalidity Contention Deficiencies, # (2) Exhibit B - 2020/10/09 ProClip Rule 26(a)(1) Initial Disclosures, # (3) Exhibit C - 2020/10/09 Brodit Rule 26(a)(1) Initial Disclosures) (Tellekson, David) |
| Dec 6, 2021 | 151 | Declaration (Exhibit B - 2020/10/09 ProClip Rule 26(a)(1) Initial Disclosures) (5) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc. In Support of Plaintiff's Opposition re: [137] Motion to Strike (Attachments: # (1) Exhibit A - 2021/08/04 Tellekson Letter to Counsel re: Invalidity Contention Deficiencies, # (2) Exhibit B - 2020/10/09 ProClip Rule 26(a)(1) Initial Disclosures, # (3) Exhibit C - 2020/10/09 Brodit Rule 26(a)(1) Initial Disclosures) (Tellekson, David) |
| Dec 6, 2021 | 151 | Declaration (Exhibit C - 2020/10/09 Brodit Rule 26(a)(1) Initial Disclosures) (4) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc. In Support of Plaintiff's Opposition re: [137] Motion to Strike (Attachments: # (1) Exhibit A - 2021/08/04 Tellekson Letter to Counsel re: Invalidity Contention Deficiencies, # (2) Exhibit B - 2020/10/09 ProClip Rule 26(a)(1) Initial Disclosures, # (3) Exhibit C - 2020/10/09 Brodit Rule 26(a)(1) Initial Disclosures) (Tellekson, David) |
| Dec 6, 2021 | 152 | Motion for Leave to File (2) Docket Text: Motion for Leave to File Plaintiff's Reply in Support of Its Proposed Findings of Fact by Plaintiff National Products, Inc.. (Kaempf, Jessica) |
| Dec 6, 2021 | 153 | 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: [96] Motion for Partial Summary Judgment (Kaempf, Jessica) |
| Dec 3, 2021 | N/A | Order on Motion to Compel (0) Docket Text: ** TEXT ONLY ORDER **Plaintiff National Products Inc. has moved to compel production (dkt. #[115]), which defendant ProClip USA, Inc. now opposes as a veiled attempt by National to supplement its infringement contentions, having ignored until now National's far less subtle step of actually serving supplemental infringement contentions some months before. Of course, as ProClip points out, Natioal did so without ever seeking leave of the court, conveniently ignoring that ProClip itself sat on its rights and did not move to strike the contentions until confronted with the current motion to compel. (Dkt. #[115].) Curiously enough, National has still not actually moved to supplement its infringement contentions separately from motion to compel. However, the court, having tired of this cat and mouse game, shall deem plaintiff National Products Inc.'s motion to compel (dkt. #[115]) a purely inartful form of a motion to supplement infringement contentions, which is reluctantly GRANTED. While the matter of compelling discovery will be taken up by the magistrate, the court is hopeful that the parties can work out their differences in light of this ruling. Signed by District Judge William M. Conley on 12/3/2021. (kwf) |
| Dec 3, 2021 | 145 | Response to Proposed Findings of Fact (30) Docket Text: Response to Proposed Findings of Fact filed by Defendants Brodit AB, ProClip USA, Inc. re: [96] Motion for Partial Summary Judgment (Van Camp, Elijah) |
| Dec 3, 2021 | 146 | Reply in Support of Proposed Findings of Fact (30) Docket Text: Reply in Support of Proposed Findings of Fact filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Van Camp, Elijah) |
| Dec 3, 2021 | 147 | Response to Proposed Findings of Fact (30) Docket Text: Response to Proposed Findings of Fact filed by Plaintiff National Products, Inc., Counter Defendants National Products, Inc., National Products, Inc. re: [92] Motion for Summary Judgment (Kaempf, Jessica) |
| Dec 3, 2021 | 148 | Brief in Reply (30) Docket Text: Brief in Reply by Plaintiff National Products, Inc., Counter Defendants National Products, Inc., National Products, Inc. in Support of [96] Motion for Partial Summary Judgment (Tellekson, David) |
| Dec 3, 2021 | 149 | Brief in Reply (30) Docket Text: Brief in Reply by Defendants Brodit AB, ProClip USA, Inc. in Support of [92] Motion for Summary Judgment (Van Camp, Elijah) |
| Nov 30, 2021 | 143 | Brief in Support (3) Docket Text: Supplemental Brief in Support of [115] Motion to Compel Financial Information Regarding Accused Products by Plaintiff National Products, Inc., Counter Defendants National Products, Inc., National Products, Inc. (Tellekson, David) |
| Nov 23, 2021 | 139 | Redacted Document (21) Docket Text: Redaction to [121] Brief in Opposition by Defendants Brodit AB, ProClip USA, Inc. (Van Camp, Elijah) |
| Nov 23, 2021 | 140 | Redacted Document (Main Document) (2) Docket Text: Redaction to [128] Declaration of Jessica M. Kaempf by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - Spilling Dep Ex. 41, # (2) Exhibit B - PCT-US2015-017131, # (3) Exhibit C - ProClip USA - ELD Tough Sleeve, # (4) Exhibit D - 2021/11/05 NPI's Fourth Supplemental Responses to ProClip's First Interrogatories [Excerpted]) (Kaempf, Jessica) |
| Nov 23, 2021 | 140 | Redacted Document (Exhibit A - Spilling Dep Ex. 41) (1) Docket Text: Redaction to [128] Declaration of Jessica M. Kaempf by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - Spilling Dep Ex. 41, # (2) Exhibit B - PCT-US2015-017131, # (3) Exhibit C - ProClip USA - ELD Tough Sleeve, # (4) Exhibit D - 2021/11/05 NPI's Fourth Supplemental Responses to ProClip's First Interrogatories [Excerpted]) (Kaempf, Jessica) |
| Nov 23, 2021 | 140 | Redacted Document (Exhibit B - PCT-US2015-017131) (30) Docket Text: Redaction to [128] Declaration of Jessica M. Kaempf by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - Spilling Dep Ex. 41, # (2) Exhibit B - PCT-US2015-017131, # (3) Exhibit C - ProClip USA - ELD Tough Sleeve, # (4) Exhibit D - 2021/11/05 NPI's Fourth Supplemental Responses to ProClip's First Interrogatories [Excerpted]) (Kaempf, Jessica) |
| Nov 23, 2021 | 140 | Redacted Document (Exhibit C - ProClip USA - ELD Tough Sleeve) (4) Docket Text: Redaction to [128] Declaration of Jessica M. Kaempf by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - Spilling Dep Ex. 41, # (2) Exhibit B - PCT-US2015-017131, # (3) Exhibit C - ProClip USA - ELD Tough Sleeve, # (4) Exhibit D - 2021/11/05 NPI's Fourth Supplemental Responses to ProClip's First Interrogatories [Excerpted]) (Kaempf, Jessica) |
| Nov 23, 2021 | 140 | Redacted Document (Exhibit D - 2021/11/05 NPI's Fourth) (10) Docket Text: Redaction to [128] Declaration of Jessica M. Kaempf by Plaintiff National Products, Inc. (Attachments: # (1) Exhibit A - Spilling Dep Ex. 41, # (2) Exhibit B - PCT-US2015-017131, # (3) Exhibit C - ProClip USA - ELD Tough Sleeve, # (4) Exhibit D - 2021/11/05 NPI's Fourth Supplemental Responses to ProClip's First Interrogatories [Excerpted]) (Kaempf, Jessica) |
| Nov 23, 2021 | 141 | Redacted Document (30) Docket Text: Redaction to [134] Proposed Findings of Fact, by Plaintiff National Products, Inc. (Kaempf, Jessica) |
| Nov 23, 2021 | 142 | Redacted Document (30) Docket Text: Redaction to [135] Response to Proposed Findings of Fact by Plaintiff National Products, Inc. (Kaempf, Jessica) |
| Nov 22, 2021 | 137 | Motion to Strike (2) Docket Text: Motion to Strike [129] Declaration, by Defendants Brodit AB, ProClip USA, Inc.. Brief in Opposition due 12/6/2021. Brief in Reply due 12/13/2021. (Van Camp, Elijah) |
| Nov 22, 2021 | 138 | Brief in Support (10) Docket Text: Brief in Support of [137] Motion to Strike by Defendants Brodit AB, ProClip USA, Inc. (Van Camp, Elijah) Modified on 12/2/2021: Document unsealed per phone call from counsel. Does not need to be sealed. (lak) |
| Nov 19, 2021 | N/A | Text Only Order (0) Docket Text: ** TEXT ONLY ORDER ** In their response to plaintiff's motion to compel evidence, defendants allege that plaintiff is attempting to amend its infringement contentions without leave of court. Plaintiff may have until November 30, 2021 to file a response to this assertion. Signed by Magistrate Judge Stephen L. Crocker on 11/19/2021. (kwf) |
| Nov 19, 2021 | 126 | Deposition (30) Docket Text: Deposition of Jason Stigge taken on 11/17/2021Rough Draft. (Van Camp, Elijah) |
| Nov 19, 2021 | 127 | Brief in Opposition (8) Docket Text: Brief in Opposition by Plaintiff National Products, Inc. re: [118] Motion to Supplement filed by Brodit AB, ProClip USA, Inc. (Tellekson, David) |
| Nov 19, 2021 | 129 | Declaration (30) Docket Text: Declaration of James B. Babcock filed by Plaintiff National Products, Inc. Regarding Rebuttal to Defendants' Attorney Invalidity Contentions and In Support of Plaintiff's Opposition to Defendants' re: [92] Motion for Summary Judgment (Kaempf, Jessica) |
| Nov 19, 2021 | 130 | Brief in Opposition (30) Docket Text: Brief in Opposition by Defendants Brodit AB, ProClip USA, Inc. re: [96] Motion for Partial Summary Judgment filed by National Products, Inc. (Van Camp, Elijah) |
| Nov 19, 2021 | 133 | Declaration (Main Document) (2) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [96] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A - GPS Fourth Amended Answer, # (2) Exhibit B - GPS Motion for Leave to Amend, # (3) Exhibit C - GPS Responsive Claim Construction Brief, # (4) Exhibit D - 026 IPR, # (5) Exhibit E - 515 IPR) (Van Camp, Elijah) |
| Nov 19, 2021 | 133 | Declaration (Exhibit A - GPS Fourth Amended Answer) (30) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [96] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A - GPS Fourth Amended Answer, # (2) Exhibit B - GPS Motion for Leave to Amend, # (3) Exhibit C - GPS Responsive Claim Construction Brief, # (4) Exhibit D - 026 IPR, # (5) Exhibit E - 515 IPR) (Van Camp, Elijah) |
| Nov 19, 2021 | 133 | Declaration (Exhibit B - GPS Motion for Leave to Amend) (15) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [96] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A - GPS Fourth Amended Answer, # (2) Exhibit B - GPS Motion for Leave to Amend, # (3) Exhibit C - GPS Responsive Claim Construction Brief, # (4) Exhibit D - 026 IPR, # (5) Exhibit E - 515 IPR) (Van Camp, Elijah) |
| Nov 19, 2021 | 133 | Declaration (Exhibit C - GPS Responsive Claim Construction Brief) (15) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [96] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A - GPS Fourth Amended Answer, # (2) Exhibit B - GPS Motion for Leave to Amend, # (3) Exhibit C - GPS Responsive Claim Construction Brief, # (4) Exhibit D - 026 IPR, # (5) Exhibit E - 515 IPR) (Van Camp, Elijah) |
| Nov 19, 2021 | 133 | Declaration (Exhibit D - 026 IPR) (30) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [96] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A - GPS Fourth Amended Answer, # (2) Exhibit B - GPS Motion for Leave to Amend, # (3) Exhibit C - GPS Responsive Claim Construction Brief, # (4) Exhibit D - 026 IPR, # (5) Exhibit E - 515 IPR) (Van Camp, Elijah) |
| Nov 19, 2021 | 133 | Declaration (Exhibit E - 515 IPR) (30) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [96] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A - GPS Fourth Amended Answer, # (2) Exhibit B - GPS Motion for Leave to Amend, # (3) Exhibit C - GPS Responsive Claim Construction Brief, # (4) Exhibit D - 026 IPR, # (5) Exhibit E - 515 IPR) (Van Camp, Elijah) |
| Nov 19, 2021 | 136 | Brief in Opposition (30) Docket Text: Brief in Opposition by Plaintiff National Products, Inc. re: [92] Motion for Summary Judgment filed by Brodit AB, ProClip USA, Inc. (Tellekson, David) |
| Nov 12, 2021 | 118 | Motion to Supplement (1) Docket Text: Motion to Supplement Expert Invalidity Report by Defendants Brodit AB, ProClip USA, Inc.. Motions referred to Magistrate Judge Stephen L. Crocker. (Van Camp, Elijah) |
| Nov 12, 2021 | 119 | Brief in Support (7) Docket Text: Brief in Support of [118] Motion to Supplement Expert Invalidity Report by Defendants Brodit AB, ProClip USA, Inc. (Van Camp, Elijah) |
| Nov 12, 2021 | 120 | Declaration (Main Document) (1) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [118] Motion to Supplement (Attachments: # (1) Exhibit 1 - Proposed Supplement, # (2) Exhibit 2 - 10.27.2021 letter) (Van Camp, Elijah) |
| Nov 12, 2021 | 120 | Declaration (Exhibit 1 - Proposed Supplement) (4) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [118] Motion to Supplement (Attachments: # (1) Exhibit 1 - Proposed Supplement, # (2) Exhibit 2 - 10.27.2021 letter) (Van Camp, Elijah) |
| Nov 12, 2021 | 120 | Declaration (Exhibit 2 - 10.27.2021 letter) (3) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [118] Motion to Supplement (Attachments: # (1) Exhibit 1 - Proposed Supplement, # (2) Exhibit 2 - 10.27.2021 letter) (Van Camp, Elijah) |
| Nov 11, 2021 | 115 | Motion to Compel (3) Docket Text: Motion to Compel Financial Information Regarding Accused Products (Renewed Motion) by Plaintiff National Products, Inc.. Motions referred to Magistrate Judge Stephen L. Crocker. Response due 11/18/2021. (McMichael, Jonathan) |
| Nov 11, 2021 | 116 | Brief in Support (16) Docket Text: Brief in Support of [115] Motion to Compel Financial Information Regarding Accused Products (Renewed Motion) by Plaintiff National Products, Inc. (McMichael, Jonathan) |
| Nov 11, 2021 | 117 | Declaration (Main Document) (4) Docket Text: Declaration of Jonathan T. McMichael filed by Plaintiff National Products, Inc. re: [115] Motion to Compel (Attachments: # (1) Exhibit A - [Excerpts] 2020/09/21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (2) Exhibit B - [Excerpts] 2020/10/20 ProClip's Responses to NPI's First Interrogatories, # (3) Exhibit C - 2020/10/23 NPI's Disclosure of Asserted Claims and Infringement Contentions, # (4) Exhibit D - 2020/12/14 NPI's Supplemental Infringement Contentions, # (5) Exhibit E - [Excerpts] 2021/08/06 Babcock Infringement Report (with Appx), # (6) Exhibit F - [Excerpts] Noninfringement Expert Rebuttal Report - Jason Stigge, # (7) Exhibit G - [Excerpts] 2020/09/21 NPI's First Request for Production to ProClip USA, # (8) Exhibit H - 2021/10/04 email thread between counsel, # (9) Exhibit I - 2021/10/14 Kaempf email to Van Camp, # (10) Exhibit J - [Excerpts] 2020/10/20 ProClip's Responses to NPI's First Request for Production, # (11) Exhibit K - 2021/10/25 email thread between counsel, # (12) Exhibit L - 2021/05/28 email correspondence between counsel re: search terms) (McMichael, Jonathan) Modified on 11/12/2021. (lak) |
| Nov 11, 2021 | 117 | Declaration (Exhibit A - [Excerpts] 2020 09 21 NPI's 1st ROGs to ProClip USA (Nos. 1-14)) (5) Docket Text: Declaration of Jonathan T. McMichael filed by Plaintiff National Products, Inc. re: [115] Motion to Compel (Attachments: # (1) Exhibit A - [Excerpts] 2020/09/21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (2) Exhibit B - [Excerpts] 2020/10/20 ProClip's Responses to NPI's First Interrogatories, # (3) Exhibit C - 2020/10/23 NPI's Disclosure of Asserted Claims and Infringement Contentions, # (4) Exhibit D - 2020/12/14 NPI's Supplemental Infringement Contentions, # (5) Exhibit E - [Excerpts] 2021/08/06 Babcock Infringement Report (with Appx), # (6) Exhibit F - [Excerpts] Noninfringement Expert Rebuttal Report - Jason Stigge, # (7) Exhibit G - [Excerpts] 2020/09/21 NPI's First Request for Production to ProClip USA, # (8) Exhibit H - 2021/10/04 email thread between counsel, # (9) Exhibit I - 2021/10/14 Kaempf email to Van Camp, # (10) Exhibit J - [Excerpts] 2020/10/20 ProClip's Responses to NPI's First Request for Production, # (11) Exhibit K - 2021/10/25 email thread between counsel, # (12) Exhibit L - 2021/05/28 email correspondence between counsel re: search terms) (McMichael, Jonathan) Modified on 11/12/2021. (lak) |
| Nov 11, 2021 | 117 | Declaration (Exhibit B - [Excerpts] 2020 10 20 ProClip's Responses to NPI's First R) (6) Docket Text: Declaration of Jonathan T. McMichael filed by Plaintiff National Products, Inc. re: [115] Motion to Compel (Attachments: # (1) Exhibit A - [Excerpts] 2020/09/21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (2) Exhibit B - [Excerpts] 2020/10/20 ProClip's Responses to NPI's First Interrogatories, # (3) Exhibit C - 2020/10/23 NPI's Disclosure of Asserted Claims and Infringement Contentions, # (4) Exhibit D - 2020/12/14 NPI's Supplemental Infringement Contentions, # (5) Exhibit E - [Excerpts] 2021/08/06 Babcock Infringement Report (with Appx), # (6) Exhibit F - [Excerpts] Noninfringement Expert Rebuttal Report - Jason Stigge, # (7) Exhibit G - [Excerpts] 2020/09/21 NPI's First Request for Production to ProClip USA, # (8) Exhibit H - 2021/10/04 email thread between counsel, # (9) Exhibit I - 2021/10/14 Kaempf email to Van Camp, # (10) Exhibit J - [Excerpts] 2020/10/20 ProClip's Responses to NPI's First Request for Production, # (11) Exhibit K - 2021/10/25 email thread between counsel, # (12) Exhibit L - 2021/05/28 email correspondence between counsel re: search terms) (McMichael, Jonathan) Modified on 11/12/2021. (lak) |
| Nov 11, 2021 | 117 | Declaration (Exhibit C - 2020/10/23 NPI's Disclosure of Asserted Claims and Infrgmt Cont) (14) Docket Text: Declaration of Jonathan T. McMichael filed by Plaintiff National Products, Inc. re: [115] Motion to Compel (Attachments: # (1) Exhibit A - [Excerpts] 2020/09/21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (2) Exhibit B - [Excerpts] 2020/10/20 ProClip's Responses to NPI's First Interrogatories, # (3) Exhibit C - 2020/10/23 NPI's Disclosure of Asserted Claims and Infringement Contentions, # (4) Exhibit D - 2020/12/14 NPI's Supplemental Infringement Contentions, # (5) Exhibit E - [Excerpts] 2021/08/06 Babcock Infringement Report (with Appx), # (6) Exhibit F - [Excerpts] Noninfringement Expert Rebuttal Report - Jason Stigge, # (7) Exhibit G - [Excerpts] 2020/09/21 NPI's First Request for Production to ProClip USA, # (8) Exhibit H - 2021/10/04 email thread between counsel, # (9) Exhibit I - 2021/10/14 Kaempf email to Van Camp, # (10) Exhibit J - [Excerpts] 2020/10/20 ProClip's Responses to NPI's First Request for Production, # (11) Exhibit K - 2021/10/25 email thread between counsel, # (12) Exhibit L - 2021/05/28 email correspondence between counsel re: search terms) (McMichael, Jonathan) Modified on 11/12/2021. (lak) |
| Nov 11, 2021 | 117 | Declaration (Exhibit D - 2020/12/14 NPI's Supplemental Infringement Contentions) (30) Docket Text: Declaration of Jonathan T. McMichael filed by Plaintiff National Products, Inc. re: [115] Motion to Compel (Attachments: # (1) Exhibit A - [Excerpts] 2020/09/21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (2) Exhibit B - [Excerpts] 2020/10/20 ProClip's Responses to NPI's First Interrogatories, # (3) Exhibit C - 2020/10/23 NPI's Disclosure of Asserted Claims and Infringement Contentions, # (4) Exhibit D - 2020/12/14 NPI's Supplemental Infringement Contentions, # (5) Exhibit E - [Excerpts] 2021/08/06 Babcock Infringement Report (with Appx), # (6) Exhibit F - [Excerpts] Noninfringement Expert Rebuttal Report - Jason Stigge, # (7) Exhibit G - [Excerpts] 2020/09/21 NPI's First Request for Production to ProClip USA, # (8) Exhibit H - 2021/10/04 email thread between counsel, # (9) Exhibit I - 2021/10/14 Kaempf email to Van Camp, # (10) Exhibit J - [Excerpts] 2020/10/20 ProClip's Responses to NPI's First Request for Production, # (11) Exhibit K - 2021/10/25 email thread between counsel, # (12) Exhibit L - 2021/05/28 email correspondence between counsel re: search terms) (McMichael, Jonathan) Modified on 11/12/2021. (lak) |
| Nov 11, 2021 | 117 | Declaration (Exhibit E - [Excerpts] 2021 08 06 Babcock Infringement Report (with Appx)) (30) Docket Text: Declaration of Jonathan T. McMichael filed by Plaintiff National Products, Inc. re: [115] Motion to Compel (Attachments: # (1) Exhibit A - [Excerpts] 2020/09/21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (2) Exhibit B - [Excerpts] 2020/10/20 ProClip's Responses to NPI's First Interrogatories, # (3) Exhibit C - 2020/10/23 NPI's Disclosure of Asserted Claims and Infringement Contentions, # (4) Exhibit D - 2020/12/14 NPI's Supplemental Infringement Contentions, # (5) Exhibit E - [Excerpts] 2021/08/06 Babcock Infringement Report (with Appx), # (6) Exhibit F - [Excerpts] Noninfringement Expert Rebuttal Report - Jason Stigge, # (7) Exhibit G - [Excerpts] 2020/09/21 NPI's First Request for Production to ProClip USA, # (8) Exhibit H - 2021/10/04 email thread between counsel, # (9) Exhibit I - 2021/10/14 Kaempf email to Van Camp, # (10) Exhibit J - [Excerpts] 2020/10/20 ProClip's Responses to NPI's First Request for Production, # (11) Exhibit K - 2021/10/25 email thread between counsel, # (12) Exhibit L - 2021/05/28 email correspondence between counsel re: search terms) (McMichael, Jonathan) Modified on 11/12/2021. (lak) |
| Nov 11, 2021 | 117 | Declaration (Exhibit F - [Excerpts] Noninfringement Expert Rebuttal Report - Jason Stigge) (19) Docket Text: Declaration of Jonathan T. McMichael filed by Plaintiff National Products, Inc. re: [115] Motion to Compel (Attachments: # (1) Exhibit A - [Excerpts] 2020/09/21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (2) Exhibit B - [Excerpts] 2020/10/20 ProClip's Responses to NPI's First Interrogatories, # (3) Exhibit C - 2020/10/23 NPI's Disclosure of Asserted Claims and Infringement Contentions, # (4) Exhibit D - 2020/12/14 NPI's Supplemental Infringement Contentions, # (5) Exhibit E - [Excerpts] 2021/08/06 Babcock Infringement Report (with Appx), # (6) Exhibit F - [Excerpts] Noninfringement Expert Rebuttal Report - Jason Stigge, # (7) Exhibit G - [Excerpts] 2020/09/21 NPI's First Request for Production to ProClip USA, # (8) Exhibit H - 2021/10/04 email thread between counsel, # (9) Exhibit I - 2021/10/14 Kaempf email to Van Camp, # (10) Exhibit J - [Excerpts] 2020/10/20 ProClip's Responses to NPI's First Request for Production, # (11) Exhibit K - 2021/10/25 email thread between counsel, # (12) Exhibit L - 2021/05/28 email correspondence between counsel re: search terms) (McMichael, Jonathan) Modified on 11/12/2021. (lak) |
| Nov 11, 2021 | 117 | Declaration (Exhibit G - [Excerpts] 2020 09 21 NPI's First) (6) Docket Text: Declaration of Jonathan T. McMichael filed by Plaintiff National Products, Inc. re: [115] Motion to Compel (Attachments: # (1) Exhibit A - [Excerpts] 2020/09/21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (2) Exhibit B - [Excerpts] 2020/10/20 ProClip's Responses to NPI's First Interrogatories, # (3) Exhibit C - 2020/10/23 NPI's Disclosure of Asserted Claims and Infringement Contentions, # (4) Exhibit D - 2020/12/14 NPI's Supplemental Infringement Contentions, # (5) Exhibit E - [Excerpts] 2021/08/06 Babcock Infringement Report (with Appx), # (6) Exhibit F - [Excerpts] Noninfringement Expert Rebuttal Report - Jason Stigge, # (7) Exhibit G - [Excerpts] 2020/09/21 NPI's First Request for Production to ProClip USA, # (8) Exhibit H - 2021/10/04 email thread between counsel, # (9) Exhibit I - 2021/10/14 Kaempf email to Van Camp, # (10) Exhibit J - [Excerpts] 2020/10/20 ProClip's Responses to NPI's First Request for Production, # (11) Exhibit K - 2021/10/25 email thread between counsel, # (12) Exhibit L - 2021/05/28 email correspondence between counsel re: search terms) (McMichael, Jonathan) Modified on 11/12/2021. (lak) |
| Nov 11, 2021 | 117 | Declaration (Exhibit H - 2021/10/04 email thread between counsel) (3) Docket Text: Declaration of Jonathan T. McMichael filed by Plaintiff National Products, Inc. re: [115] Motion to Compel (Attachments: # (1) Exhibit A - [Excerpts] 2020/09/21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (2) Exhibit B - [Excerpts] 2020/10/20 ProClip's Responses to NPI's First Interrogatories, # (3) Exhibit C - 2020/10/23 NPI's Disclosure of Asserted Claims and Infringement Contentions, # (4) Exhibit D - 2020/12/14 NPI's Supplemental Infringement Contentions, # (5) Exhibit E - [Excerpts] 2021/08/06 Babcock Infringement Report (with Appx), # (6) Exhibit F - [Excerpts] Noninfringement Expert Rebuttal Report - Jason Stigge, # (7) Exhibit G - [Excerpts] 2020/09/21 NPI's First Request for Production to ProClip USA, # (8) Exhibit H - 2021/10/04 email thread between counsel, # (9) Exhibit I - 2021/10/14 Kaempf email to Van Camp, # (10) Exhibit J - [Excerpts] 2020/10/20 ProClip's Responses to NPI's First Request for Production, # (11) Exhibit K - 2021/10/25 email thread between counsel, # (12) Exhibit L - 2021/05/28 email correspondence between counsel re: search terms) (McMichael, Jonathan) Modified on 11/12/2021. (lak) |
| Nov 11, 2021 | 117 | Declaration (Exhibit I - 2021/10/14 Kaempf email to Van Camp) (2) Docket Text: Declaration of Jonathan T. McMichael filed by Plaintiff National Products, Inc. re: [115] Motion to Compel (Attachments: # (1) Exhibit A - [Excerpts] 2020/09/21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (2) Exhibit B - [Excerpts] 2020/10/20 ProClip's Responses to NPI's First Interrogatories, # (3) Exhibit C - 2020/10/23 NPI's Disclosure of Asserted Claims and Infringement Contentions, # (4) Exhibit D - 2020/12/14 NPI's Supplemental Infringement Contentions, # (5) Exhibit E - [Excerpts] 2021/08/06 Babcock Infringement Report (with Appx), # (6) Exhibit F - [Excerpts] Noninfringement Expert Rebuttal Report - Jason Stigge, # (7) Exhibit G - [Excerpts] 2020/09/21 NPI's First Request for Production to ProClip USA, # (8) Exhibit H - 2021/10/04 email thread between counsel, # (9) Exhibit I - 2021/10/14 Kaempf email to Van Camp, # (10) Exhibit J - [Excerpts] 2020/10/20 ProClip's Responses to NPI's First Request for Production, # (11) Exhibit K - 2021/10/25 email thread between counsel, # (12) Exhibit L - 2021/05/28 email correspondence between counsel re: search terms) (McMichael, Jonathan) Modified on 11/12/2021. (lak) |
| Nov 11, 2021 | 117 | Declaration (Exhibit J - [Excerpts] 2020/10/20 ProClip's Responses to NPI's First R) (8) Docket Text: Declaration of Jonathan T. McMichael filed by Plaintiff National Products, Inc. re: [115] Motion to Compel (Attachments: # (1) Exhibit A - [Excerpts] 2020/09/21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (2) Exhibit B - [Excerpts] 2020/10/20 ProClip's Responses to NPI's First Interrogatories, # (3) Exhibit C - 2020/10/23 NPI's Disclosure of Asserted Claims and Infringement Contentions, # (4) Exhibit D - 2020/12/14 NPI's Supplemental Infringement Contentions, # (5) Exhibit E - [Excerpts] 2021/08/06 Babcock Infringement Report (with Appx), # (6) Exhibit F - [Excerpts] Noninfringement Expert Rebuttal Report - Jason Stigge, # (7) Exhibit G - [Excerpts] 2020/09/21 NPI's First Request for Production to ProClip USA, # (8) Exhibit H - 2021/10/04 email thread between counsel, # (9) Exhibit I - 2021/10/14 Kaempf email to Van Camp, # (10) Exhibit J - [Excerpts] 2020/10/20 ProClip's Responses to NPI's First Request for Production, # (11) Exhibit K - 2021/10/25 email thread between counsel, # (12) Exhibit L - 2021/05/28 email correspondence between counsel re: search terms) (McMichael, Jonathan) Modified on 11/12/2021. (lak) |
| Nov 11, 2021 | 117 | Declaration (Exhibit K - 2021/10/25 email thread between counsel) (10) Docket Text: Declaration of Jonathan T. McMichael filed by Plaintiff National Products, Inc. re: [115] Motion to Compel (Attachments: # (1) Exhibit A - [Excerpts] 2020/09/21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (2) Exhibit B - [Excerpts] 2020/10/20 ProClip's Responses to NPI's First Interrogatories, # (3) Exhibit C - 2020/10/23 NPI's Disclosure of Asserted Claims and Infringement Contentions, # (4) Exhibit D - 2020/12/14 NPI's Supplemental Infringement Contentions, # (5) Exhibit E - [Excerpts] 2021/08/06 Babcock Infringement Report (with Appx), # (6) Exhibit F - [Excerpts] Noninfringement Expert Rebuttal Report - Jason Stigge, # (7) Exhibit G - [Excerpts] 2020/09/21 NPI's First Request for Production to ProClip USA, # (8) Exhibit H - 2021/10/04 email thread between counsel, # (9) Exhibit I - 2021/10/14 Kaempf email to Van Camp, # (10) Exhibit J - [Excerpts] 2020/10/20 ProClip's Responses to NPI's First Request for Production, # (11) Exhibit K - 2021/10/25 email thread between counsel, # (12) Exhibit L - 2021/05/28 email correspondence between counsel re: search terms) (McMichael, Jonathan) Modified on 11/12/2021. (lak) |
| Nov 11, 2021 | 117 | Declaration (Exhibit L - 2021/05/28 email correspondence between counsel re: search terms) (5) Docket Text: Declaration of Jonathan T. McMichael filed by Plaintiff National Products, Inc. re: [115] Motion to Compel (Attachments: # (1) Exhibit A - [Excerpts] 2020/09/21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (2) Exhibit B - [Excerpts] 2020/10/20 ProClip's Responses to NPI's First Interrogatories, # (3) Exhibit C - 2020/10/23 NPI's Disclosure of Asserted Claims and Infringement Contentions, # (4) Exhibit D - 2020/12/14 NPI's Supplemental Infringement Contentions, # (5) Exhibit E - [Excerpts] 2021/08/06 Babcock Infringement Report (with Appx), # (6) Exhibit F - [Excerpts] Noninfringement Expert Rebuttal Report - Jason Stigge, # (7) Exhibit G - [Excerpts] 2020/09/21 NPI's First Request for Production to ProClip USA, # (8) Exhibit H - 2021/10/04 email thread between counsel, # (9) Exhibit I - 2021/10/14 Kaempf email to Van Camp, # (10) Exhibit J - [Excerpts] 2020/10/20 ProClip's Responses to NPI's First Request for Production, # (11) Exhibit K - 2021/10/25 email thread between counsel, # (12) Exhibit L - 2021/05/28 email correspondence between counsel re: search terms) (McMichael, Jonathan) Modified on 11/12/2021. (lak) |
| Nov 8, 2021 | 113 | Motion for Clarification (5) Docket Text: Motion for Clarification re [112] Order on Motion for Extension of Time, by Defendants Brodit AB, ProClip USA, Inc.. Response due 11/15/2021. (Van Camp, Elijah) |
| Nov 8, 2021 | N/A | Order on Motion for Clarification (0) Docket Text: ** TEXT ONLY ORDER **In response to defendant's request for clarification, defendant's expert disclosure deadline is extended commensurately, to January 31, 2022. Signed by Magistrate Judge Stephen L. Crocker on 11/8/2021. (kwf) |
| Nov 5, 2021 | 111 | MOTION for Extension of Time (3) Docket Text: Motion for Extension of Time to Extend the Deadline for Opening Damages Expert Report by Plaintiff National Products, Inc., Counter Defendants National Products, Inc., National Products, Inc.. Motions referred to Magistrate Judge Stephen L. Crocker. Response due 11/12/2021. (Kaempf, Jessica) |
| Nov 5, 2021 | N/A | Order on Motion for Extension of Time (0) Docket Text: ** TEXT ONLY ORDER **Plaintiff's motion to extend the damages expert disclosure deadline to December 13, 2021 is granted without the need for a response. Further, since plaintiff reports that the parties quickly reached an impasse on plaintiff's financial discovery requests, see dkt. [111] at n.1, plaintiff may file its renewed motion to compel any time after noon on Monday, November 8, 2021. Signed by Magistrate Judge Stephen L. Crocker on 11/5/2021. (kwf) |
| Nov 4, 2021 | 108 | Declaration (Main Document) (16) Docket Text: Redaction to [93] Declaration of Jack Dovey filed by Defendants Brodit AB, ProClip USA, Inc., (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brochure # 1, # (3) Exhibit C - Magnector Brochure # 2, # (4) Exhibit D - Mega Version 2 Drawings, # (5) Exhibit E - Email String, # (6) Exhibit F - GPS PO, # (7) Exhibit G - Souers Invoice, # (8) Exhibit H - Email String, # (9) Exhibit I - GPS PO, # (10) Exhibit J - UP7 Version 1 Photos, # (11) Exhibit K - UP7 Version 2 Photos, # (12) Exhibit L - Mega Version 1 Photos, # (13) Exhibit M - Mega Version 2 Photos, # (14) Exhibit N - S3S4 Photos, # (15) Exhibit O - Sprint February 2014, # (16) Exhibit P - Sprint Trade Show Photos, # (17) Exhibit Q - GPS Products Displayed) (Van Camp, Elijah) Modified on 11/5/2021. (lak) |
| Nov 4, 2021 | 108 | Declaration (Exhibit A - Original UP7 Photos) (10) Docket Text: Redaction to [93] Declaration of Jack Dovey filed by Defendants Brodit AB, ProClip USA, Inc., (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brochure # 1, # (3) Exhibit C - Magnector Brochure # 2, # (4) Exhibit D - Mega Version 2 Drawings, # (5) Exhibit E - Email String, # (6) Exhibit F - GPS PO, # (7) Exhibit G - Souers Invoice, # (8) Exhibit H - Email String, # (9) Exhibit I - GPS PO, # (10) Exhibit J - UP7 Version 1 Photos, # (11) Exhibit K - UP7 Version 2 Photos, # (12) Exhibit L - Mega Version 1 Photos, # (13) Exhibit M - Mega Version 2 Photos, # (14) Exhibit N - S3S4 Photos, # (15) Exhibit O - Sprint February 2014, # (16) Exhibit P - Sprint Trade Show Photos, # (17) Exhibit Q - GPS Products Displayed) (Van Camp, Elijah) Modified on 11/5/2021. (lak) |
| Nov 4, 2021 | 108 | Declaration (Exhibit B - Magnector Brochure # 1) (2) Docket Text: Redaction to [93] Declaration of Jack Dovey filed by Defendants Brodit AB, ProClip USA, Inc., (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brochure # 1, # (3) Exhibit C - Magnector Brochure # 2, # (4) Exhibit D - Mega Version 2 Drawings, # (5) Exhibit E - Email String, # (6) Exhibit F - GPS PO, # (7) Exhibit G - Souers Invoice, # (8) Exhibit H - Email String, # (9) Exhibit I - GPS PO, # (10) Exhibit J - UP7 Version 1 Photos, # (11) Exhibit K - UP7 Version 2 Photos, # (12) Exhibit L - Mega Version 1 Photos, # (13) Exhibit M - Mega Version 2 Photos, # (14) Exhibit N - S3S4 Photos, # (15) Exhibit O - Sprint February 2014, # (16) Exhibit P - Sprint Trade Show Photos, # (17) Exhibit Q - GPS Products Displayed) (Van Camp, Elijah) Modified on 11/5/2021. (lak) |
| Nov 4, 2021 | 108 | Declaration (Exhibit C - Magnector Brochure # 2) (4) Docket Text: Redaction to [93] Declaration of Jack Dovey filed by Defendants Brodit AB, ProClip USA, Inc., (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brochure # 1, # (3) Exhibit C - Magnector Brochure # 2, # (4) Exhibit D - Mega Version 2 Drawings, # (5) Exhibit E - Email String, # (6) Exhibit F - GPS PO, # (7) Exhibit G - Souers Invoice, # (8) Exhibit H - Email String, # (9) Exhibit I - GPS PO, # (10) Exhibit J - UP7 Version 1 Photos, # (11) Exhibit K - UP7 Version 2 Photos, # (12) Exhibit L - Mega Version 1 Photos, # (13) Exhibit M - Mega Version 2 Photos, # (14) Exhibit N - S3S4 Photos, # (15) Exhibit O - Sprint February 2014, # (16) Exhibit P - Sprint Trade Show Photos, # (17) Exhibit Q - GPS Products Displayed) (Van Camp, Elijah) Modified on 11/5/2021. (lak) |
| Nov 4, 2021 | 108 | Declaration (Exhibit D - Mega Version 2 Drawings) (4) Docket Text: Redaction to [93] Declaration of Jack Dovey filed by Defendants Brodit AB, ProClip USA, Inc., (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brochure # 1, # (3) Exhibit C - Magnector Brochure # 2, # (4) Exhibit D - Mega Version 2 Drawings, # (5) Exhibit E - Email String, # (6) Exhibit F - GPS PO, # (7) Exhibit G - Souers Invoice, # (8) Exhibit H - Email String, # (9) Exhibit I - GPS PO, # (10) Exhibit J - UP7 Version 1 Photos, # (11) Exhibit K - UP7 Version 2 Photos, # (12) Exhibit L - Mega Version 1 Photos, # (13) Exhibit M - Mega Version 2 Photos, # (14) Exhibit N - S3S4 Photos, # (15) Exhibit O - Sprint February 2014, # (16) Exhibit P - Sprint Trade Show Photos, # (17) Exhibit Q - GPS Products Displayed) (Van Camp, Elijah) Modified on 11/5/2021. (lak) |
| Nov 4, 2021 | 108 | Declaration (Exhibit E - Email String) (1) Docket Text: Redaction to [93] Declaration of Jack Dovey filed by Defendants Brodit AB, ProClip USA, Inc., (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brochure # 1, # (3) Exhibit C - Magnector Brochure # 2, # (4) Exhibit D - Mega Version 2 Drawings, # (5) Exhibit E - Email String, # (6) Exhibit F - GPS PO, # (7) Exhibit G - Souers Invoice, # (8) Exhibit H - Email String, # (9) Exhibit I - GPS PO, # (10) Exhibit J - UP7 Version 1 Photos, # (11) Exhibit K - UP7 Version 2 Photos, # (12) Exhibit L - Mega Version 1 Photos, # (13) Exhibit M - Mega Version 2 Photos, # (14) Exhibit N - S3S4 Photos, # (15) Exhibit O - Sprint February 2014, # (16) Exhibit P - Sprint Trade Show Photos, # (17) Exhibit Q - GPS Products Displayed) (Van Camp, Elijah) Modified on 11/5/2021. (lak) |
| Nov 4, 2021 | 108 | Declaration (Exhibit F - GPS PO) (1) Docket Text: Redaction to [93] Declaration of Jack Dovey filed by Defendants Brodit AB, ProClip USA, Inc., (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brochure # 1, # (3) Exhibit C - Magnector Brochure # 2, # (4) Exhibit D - Mega Version 2 Drawings, # (5) Exhibit E - Email String, # (6) Exhibit F - GPS PO, # (7) Exhibit G - Souers Invoice, # (8) Exhibit H - Email String, # (9) Exhibit I - GPS PO, # (10) Exhibit J - UP7 Version 1 Photos, # (11) Exhibit K - UP7 Version 2 Photos, # (12) Exhibit L - Mega Version 1 Photos, # (13) Exhibit M - Mega Version 2 Photos, # (14) Exhibit N - S3S4 Photos, # (15) Exhibit O - Sprint February 2014, # (16) Exhibit P - Sprint Trade Show Photos, # (17) Exhibit Q - GPS Products Displayed) (Van Camp, Elijah) Modified on 11/5/2021. (lak) |
| Nov 4, 2021 | 108 | Declaration (Exhibit G - Souers Invoice) (1) Docket Text: Redaction to [93] Declaration of Jack Dovey filed by Defendants Brodit AB, ProClip USA, Inc., (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brochure # 1, # (3) Exhibit C - Magnector Brochure # 2, # (4) Exhibit D - Mega Version 2 Drawings, # (5) Exhibit E - Email String, # (6) Exhibit F - GPS PO, # (7) Exhibit G - Souers Invoice, # (8) Exhibit H - Email String, # (9) Exhibit I - GPS PO, # (10) Exhibit J - UP7 Version 1 Photos, # (11) Exhibit K - UP7 Version 2 Photos, # (12) Exhibit L - Mega Version 1 Photos, # (13) Exhibit M - Mega Version 2 Photos, # (14) Exhibit N - S3S4 Photos, # (15) Exhibit O - Sprint February 2014, # (16) Exhibit P - Sprint Trade Show Photos, # (17) Exhibit Q - GPS Products Displayed) (Van Camp, Elijah) Modified on 11/5/2021. (lak) |
| Nov 4, 2021 | 108 | Declaration (Exhibit H - Email String) (2) Docket Text: Redaction to [93] Declaration of Jack Dovey filed by Defendants Brodit AB, ProClip USA, Inc., (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brochure # 1, # (3) Exhibit C - Magnector Brochure # 2, # (4) Exhibit D - Mega Version 2 Drawings, # (5) Exhibit E - Email String, # (6) Exhibit F - GPS PO, # (7) Exhibit G - Souers Invoice, # (8) Exhibit H - Email String, # (9) Exhibit I - GPS PO, # (10) Exhibit J - UP7 Version 1 Photos, # (11) Exhibit K - UP7 Version 2 Photos, # (12) Exhibit L - Mega Version 1 Photos, # (13) Exhibit M - Mega Version 2 Photos, # (14) Exhibit N - S3S4 Photos, # (15) Exhibit O - Sprint February 2014, # (16) Exhibit P - Sprint Trade Show Photos, # (17) Exhibit Q - GPS Products Displayed) (Van Camp, Elijah) Modified on 11/5/2021. (lak) |
| Nov 4, 2021 | 108 | Declaration (Exhibit I - GPS PO) (1) Docket Text: Redaction to [93] Declaration of Jack Dovey filed by Defendants Brodit AB, ProClip USA, Inc., (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brochure # 1, # (3) Exhibit C - Magnector Brochure # 2, # (4) Exhibit D - Mega Version 2 Drawings, # (5) Exhibit E - Email String, # (6) Exhibit F - GPS PO, # (7) Exhibit G - Souers Invoice, # (8) Exhibit H - Email String, # (9) Exhibit I - GPS PO, # (10) Exhibit J - UP7 Version 1 Photos, # (11) Exhibit K - UP7 Version 2 Photos, # (12) Exhibit L - Mega Version 1 Photos, # (13) Exhibit M - Mega Version 2 Photos, # (14) Exhibit N - S3S4 Photos, # (15) Exhibit O - Sprint February 2014, # (16) Exhibit P - Sprint Trade Show Photos, # (17) Exhibit Q - GPS Products Displayed) (Van Camp, Elijah) Modified on 11/5/2021. (lak) |
| Nov 4, 2021 | 108 | Declaration (Exhibit J - UP7 Version 1 Photos) (13) Docket Text: Redaction to [93] Declaration of Jack Dovey filed by Defendants Brodit AB, ProClip USA, Inc., (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brochure # 1, # (3) Exhibit C - Magnector Brochure # 2, # (4) Exhibit D - Mega Version 2 Drawings, # (5) Exhibit E - Email String, # (6) Exhibit F - GPS PO, # (7) Exhibit G - Souers Invoice, # (8) Exhibit H - Email String, # (9) Exhibit I - GPS PO, # (10) Exhibit J - UP7 Version 1 Photos, # (11) Exhibit K - UP7 Version 2 Photos, # (12) Exhibit L - Mega Version 1 Photos, # (13) Exhibit M - Mega Version 2 Photos, # (14) Exhibit N - S3S4 Photos, # (15) Exhibit O - Sprint February 2014, # (16) Exhibit P - Sprint Trade Show Photos, # (17) Exhibit Q - GPS Products Displayed) (Van Camp, Elijah) Modified on 11/5/2021. (lak) |
| Nov 4, 2021 | 108 | Declaration (Exhibit K - UP7 Version 2 Photos) (11) Docket Text: Redaction to [93] Declaration of Jack Dovey filed by Defendants Brodit AB, ProClip USA, Inc., (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brochure # 1, # (3) Exhibit C - Magnector Brochure # 2, # (4) Exhibit D - Mega Version 2 Drawings, # (5) Exhibit E - Email String, # (6) Exhibit F - GPS PO, # (7) Exhibit G - Souers Invoice, # (8) Exhibit H - Email String, # (9) Exhibit I - GPS PO, # (10) Exhibit J - UP7 Version 1 Photos, # (11) Exhibit K - UP7 Version 2 Photos, # (12) Exhibit L - Mega Version 1 Photos, # (13) Exhibit M - Mega Version 2 Photos, # (14) Exhibit N - S3S4 Photos, # (15) Exhibit O - Sprint February 2014, # (16) Exhibit P - Sprint Trade Show Photos, # (17) Exhibit Q - GPS Products Displayed) (Van Camp, Elijah) Modified on 11/5/2021. (lak) |
| Nov 4, 2021 | 108 | Declaration (Exhibit L - Mega Version 1 Photos) (14) Docket Text: Redaction to [93] Declaration of Jack Dovey filed by Defendants Brodit AB, ProClip USA, Inc., (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brochure # 1, # (3) Exhibit C - Magnector Brochure # 2, # (4) Exhibit D - Mega Version 2 Drawings, # (5) Exhibit E - Email String, # (6) Exhibit F - GPS PO, # (7) Exhibit G - Souers Invoice, # (8) Exhibit H - Email String, # (9) Exhibit I - GPS PO, # (10) Exhibit J - UP7 Version 1 Photos, # (11) Exhibit K - UP7 Version 2 Photos, # (12) Exhibit L - Mega Version 1 Photos, # (13) Exhibit M - Mega Version 2 Photos, # (14) Exhibit N - S3S4 Photos, # (15) Exhibit O - Sprint February 2014, # (16) Exhibit P - Sprint Trade Show Photos, # (17) Exhibit Q - GPS Products Displayed) (Van Camp, Elijah) Modified on 11/5/2021. (lak) |
| Nov 4, 2021 | 108 | Declaration (Exhibit M - Mega Version 2 Photos) (11) Docket Text: Redaction to [93] Declaration of Jack Dovey filed by Defendants Brodit AB, ProClip USA, Inc., (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brochure # 1, # (3) Exhibit C - Magnector Brochure # 2, # (4) Exhibit D - Mega Version 2 Drawings, # (5) Exhibit E - Email String, # (6) Exhibit F - GPS PO, # (7) Exhibit G - Souers Invoice, # (8) Exhibit H - Email String, # (9) Exhibit I - GPS PO, # (10) Exhibit J - UP7 Version 1 Photos, # (11) Exhibit K - UP7 Version 2 Photos, # (12) Exhibit L - Mega Version 1 Photos, # (13) Exhibit M - Mega Version 2 Photos, # (14) Exhibit N - S3S4 Photos, # (15) Exhibit O - Sprint February 2014, # (16) Exhibit P - Sprint Trade Show Photos, # (17) Exhibit Q - GPS Products Displayed) (Van Camp, Elijah) Modified on 11/5/2021. (lak) |
| Nov 4, 2021 | 108 | Declaration (Exhibit N - S3S4 Photos) (15) Docket Text: Redaction to [93] Declaration of Jack Dovey filed by Defendants Brodit AB, ProClip USA, Inc., (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brochure # 1, # (3) Exhibit C - Magnector Brochure # 2, # (4) Exhibit D - Mega Version 2 Drawings, # (5) Exhibit E - Email String, # (6) Exhibit F - GPS PO, # (7) Exhibit G - Souers Invoice, # (8) Exhibit H - Email String, # (9) Exhibit I - GPS PO, # (10) Exhibit J - UP7 Version 1 Photos, # (11) Exhibit K - UP7 Version 2 Photos, # (12) Exhibit L - Mega Version 1 Photos, # (13) Exhibit M - Mega Version 2 Photos, # (14) Exhibit N - S3S4 Photos, # (15) Exhibit O - Sprint February 2014, # (16) Exhibit P - Sprint Trade Show Photos, # (17) Exhibit Q - GPS Products Displayed) (Van Camp, Elijah) Modified on 11/5/2021. (lak) |
| Nov 4, 2021 | 108 | Declaration (Exhibit O - Sprint February 2014) (30) Docket Text: Redaction to [93] Declaration of Jack Dovey filed by Defendants Brodit AB, ProClip USA, Inc., (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brochure # 1, # (3) Exhibit C - Magnector Brochure # 2, # (4) Exhibit D - Mega Version 2 Drawings, # (5) Exhibit E - Email String, # (6) Exhibit F - GPS PO, # (7) Exhibit G - Souers Invoice, # (8) Exhibit H - Email String, # (9) Exhibit I - GPS PO, # (10) Exhibit J - UP7 Version 1 Photos, # (11) Exhibit K - UP7 Version 2 Photos, # (12) Exhibit L - Mega Version 1 Photos, # (13) Exhibit M - Mega Version 2 Photos, # (14) Exhibit N - S3S4 Photos, # (15) Exhibit O - Sprint February 2014, # (16) Exhibit P - Sprint Trade Show Photos, # (17) Exhibit Q - GPS Products Displayed) (Van Camp, Elijah) Modified on 11/5/2021. (lak) |
| Nov 4, 2021 | 108 | Declaration (Exhibit P - Sprint Trade Show Photos) (4) Docket Text: Redaction to [93] Declaration of Jack Dovey filed by Defendants Brodit AB, ProClip USA, Inc., (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brochure # 1, # (3) Exhibit C - Magnector Brochure # 2, # (4) Exhibit D - Mega Version 2 Drawings, # (5) Exhibit E - Email String, # (6) Exhibit F - GPS PO, # (7) Exhibit G - Souers Invoice, # (8) Exhibit H - Email String, # (9) Exhibit I - GPS PO, # (10) Exhibit J - UP7 Version 1 Photos, # (11) Exhibit K - UP7 Version 2 Photos, # (12) Exhibit L - Mega Version 1 Photos, # (13) Exhibit M - Mega Version 2 Photos, # (14) Exhibit N - S3S4 Photos, # (15) Exhibit O - Sprint February 2014, # (16) Exhibit P - Sprint Trade Show Photos, # (17) Exhibit Q - GPS Products Displayed) (Van Camp, Elijah) Modified on 11/5/2021. (lak) |
| Nov 4, 2021 | 108 | Declaration (Exhibit Q - GPS Products Displayed) (1) Docket Text: Redaction to [93] Declaration of Jack Dovey filed by Defendants Brodit AB, ProClip USA, Inc., (Attachments: # (1) Exhibit A - Original UP7 Photos, # (2) Exhibit B - Magnector Brochure # 1, # (3) Exhibit C - Magnector Brochure # 2, # (4) Exhibit D - Mega Version 2 Drawings, # (5) Exhibit E - Email String, # (6) Exhibit F - GPS PO, # (7) Exhibit G - Souers Invoice, # (8) Exhibit H - Email String, # (9) Exhibit I - GPS PO, # (10) Exhibit J - UP7 Version 1 Photos, # (11) Exhibit K - UP7 Version 2 Photos, # (12) Exhibit L - Mega Version 1 Photos, # (13) Exhibit M - Mega Version 2 Photos, # (14) Exhibit N - S3S4 Photos, # (15) Exhibit O - Sprint February 2014, # (16) Exhibit P - Sprint Trade Show Photos, # (17) Exhibit Q - GPS Products Displayed) (Van Camp, Elijah) Modified on 11/5/2021. (lak) |
| Nov 4, 2021 | 109 | Declaration (Main Document) (2) Docket Text: Redaction to [94] Declaration of Michael Fudge filed by Defendants Brodit AB, ProClip USA, Inc., (Attachments: # (1) Exhibit A - UP7 Photos) (Van Camp, Elijah) Modified on 11/5/2021. (lak) |
| Nov 4, 2021 | 109 | Declaration (Exhibit A - UP7 Photos) (11) Docket Text: Redaction to [94] Declaration of Michael Fudge filed by Defendants Brodit AB, ProClip USA, Inc., (Attachments: # (1) Exhibit A - UP7 Photos) (Van Camp, Elijah) Modified on 11/5/2021. (lak) |
| Nov 4, 2021 | 110 | Declaration (Main Document) (4) Docket Text: Redaction to [95] Declaration of Steven Jacobs filed by Defendants Brodit AB, ProClip USA, Inc., (Attachments: # (1) Exhibit A - UP7 Photos, # (2) Exhibit B - GPS products on table) (Van Camp, Elijah) Modified on 11/5/2021. (lak) |
| Nov 4, 2021 | 110 | Declaration (Exhibit A - UP7 Photos) (11) Docket Text: Redaction to [95] Declaration of Steven Jacobs filed by Defendants Brodit AB, ProClip USA, Inc., (Attachments: # (1) Exhibit A - UP7 Photos, # (2) Exhibit B - GPS products on table) (Van Camp, Elijah) Modified on 11/5/2021. (lak) |
| Nov 4, 2021 | 110 | Declaration (Exhibit B - GPS products on table) (1) Docket Text: Redaction to [95] Declaration of Steven Jacobs filed by Defendants Brodit AB, ProClip USA, Inc., (Attachments: # (1) Exhibit A - UP7 Photos, # (2) Exhibit B - GPS products on table) (Van Camp, Elijah) Modified on 11/5/2021. (lak) |
| Nov 2, 2021 | N/A | Order on Motion to Compel (0) Docket Text: ** TEXT ONLY ORDER **While the court understands that there are two sides to every story, in light of defendants' response (dkt. [106]) to plaintiff's motion to compel (dkt. [77]), the court is denying the motion to compel without prejudice. Not earlier than November 15, 2021, plaintiff may renew its motion to compel if it still believes that court intervention is necessary. The court will shift costs under Rule 37(a)(5) on any renewed motion covering any of these same discovery demands. Signed by Magistrate Judge Stephen L. Crocker on 11/2/2021. (kwf) |
| Nov 1, 2021 | N/A | Set Briefing Deadlines (0) Docket Text: Set/Reset Briefing Deadlines as to [92] MOTION FOR SUMMARY JUDGMENT and Request for Claim Construction Ruling, [96] MOTION FOR PARTIAL SUMMARY JUDGMENT. Brief in Opposition due 11/19/2021. Brief in Reply due 12/3/2021. (kwf) |
| Nov 1, 2021 | 106 | Brief in Opposition (14) Docket Text: Brief in Opposition by Defendants Brodit AB, ProClip USA, Inc. re: [77] Motion to Compel filed by National Products, Inc. (Van Camp, Elijah) |
| Oct 30, 2021 | 105 | Brief in Support (30) Docket Text: Brief in Support of [92] Motion for Summary Judgment by Defendants Brodit AB, ProClip USA, Inc. (Van Camp, Elijah) |
| Oct 29, 2021 | 92 | Motion for Summary Judgment (2) Docket Text: MOTION FOR SUMMARY JUDGMENT and Request for Claim Construction Ruling by Defendants Brodit AB, ProClip USA, Inc.. Brief in Opposition due 11/19/2021. Brief in Reply due 11/29/2021. (Van Camp, Elijah) |
| Oct 29, 2021 | 96 | Motion for Partial Summary Judgment (2) Docket Text: MOTION FOR PARTIAL SUMMARY JUDGMENT . by Plaintiff National Products, Inc., Counter Defendant National Products, Inc.. Brief in Opposition due 11/19/2021. Brief in Reply due 11/29/2021. (Kaempf, Jessica) |
| Oct 29, 2021 | 98 | Declaration (Main Document) (4) Docket Text: Declaration of Johan Van Mierlo filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 2015.04.27 Email, # (2) Exhibit 2 - 2015.05.13-14 Email, # (3) Exhibit 3 - 2015.06.22-25 Caesars Receipt, # (4) Exhibit 4 - ProClip's Booth Photos, # (5) Exhibit 5 - ProClip's Booth Photos Metadata, # (6) Exhibit 6 - Product 559743 Photos, # (7) Exhibit 7 - Product 559743 Photos Metadata, # (8) Exhibit 8 - Email re Product 559743 Photos) (Van Camp, Elijah) |
| Oct 29, 2021 | 98 | Declaration (Exhibit 1 - 2015.04.27 Email) (1) Docket Text: Declaration of Johan Van Mierlo filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 2015.04.27 Email, # (2) Exhibit 2 - 2015.05.13-14 Email, # (3) Exhibit 3 - 2015.06.22-25 Caesars Receipt, # (4) Exhibit 4 - ProClip's Booth Photos, # (5) Exhibit 5 - ProClip's Booth Photos Metadata, # (6) Exhibit 6 - Product 559743 Photos, # (7) Exhibit 7 - Product 559743 Photos Metadata, # (8) Exhibit 8 - Email re Product 559743 Photos) (Van Camp, Elijah) |
| Oct 29, 2021 | 98 | Declaration (Exhibit 2 - 2015.05.13-14 Email) (2) Docket Text: Declaration of Johan Van Mierlo filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 2015.04.27 Email, # (2) Exhibit 2 - 2015.05.13-14 Email, # (3) Exhibit 3 - 2015.06.22-25 Caesars Receipt, # (4) Exhibit 4 - ProClip's Booth Photos, # (5) Exhibit 5 - ProClip's Booth Photos Metadata, # (6) Exhibit 6 - Product 559743 Photos, # (7) Exhibit 7 - Product 559743 Photos Metadata, # (8) Exhibit 8 - Email re Product 559743 Photos) (Van Camp, Elijah) |
| Oct 29, 2021 | 98 | Declaration (Exhibit 3 - 2015.06.22-25 Caesars Receipt) (2) Docket Text: Declaration of Johan Van Mierlo filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 2015.04.27 Email, # (2) Exhibit 2 - 2015.05.13-14 Email, # (3) Exhibit 3 - 2015.06.22-25 Caesars Receipt, # (4) Exhibit 4 - ProClip's Booth Photos, # (5) Exhibit 5 - ProClip's Booth Photos Metadata, # (6) Exhibit 6 - Product 559743 Photos, # (7) Exhibit 7 - Product 559743 Photos Metadata, # (8) Exhibit 8 - Email re Product 559743 Photos) (Van Camp, Elijah) |
| Oct 29, 2021 | 98 | Declaration (Exhibit 4 - ProClip's Booth Photos) (2) Docket Text: Declaration of Johan Van Mierlo filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 2015.04.27 Email, # (2) Exhibit 2 - 2015.05.13-14 Email, # (3) Exhibit 3 - 2015.06.22-25 Caesars Receipt, # (4) Exhibit 4 - ProClip's Booth Photos, # (5) Exhibit 5 - ProClip's Booth Photos Metadata, # (6) Exhibit 6 - Product 559743 Photos, # (7) Exhibit 7 - Product 559743 Photos Metadata, # (8) Exhibit 8 - Email re Product 559743 Photos) (Van Camp, Elijah) |
| Oct 29, 2021 | 98 | Declaration (Exhibit 5 - ProClip's Booth Photos Metadata) (8) Docket Text: Declaration of Johan Van Mierlo filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 2015.04.27 Email, # (2) Exhibit 2 - 2015.05.13-14 Email, # (3) Exhibit 3 - 2015.06.22-25 Caesars Receipt, # (4) Exhibit 4 - ProClip's Booth Photos, # (5) Exhibit 5 - ProClip's Booth Photos Metadata, # (6) Exhibit 6 - Product 559743 Photos, # (7) Exhibit 7 - Product 559743 Photos Metadata, # (8) Exhibit 8 - Email re Product 559743 Photos) (Van Camp, Elijah) |
| Oct 29, 2021 | 98 | Declaration (Exhibit 6 - Product 559743 Photos) (2) Docket Text: Declaration of Johan Van Mierlo filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 2015.04.27 Email, # (2) Exhibit 2 - 2015.05.13-14 Email, # (3) Exhibit 3 - 2015.06.22-25 Caesars Receipt, # (4) Exhibit 4 - ProClip's Booth Photos, # (5) Exhibit 5 - ProClip's Booth Photos Metadata, # (6) Exhibit 6 - Product 559743 Photos, # (7) Exhibit 7 - Product 559743 Photos Metadata, # (8) Exhibit 8 - Email re Product 559743 Photos) (Van Camp, Elijah) |
| Oct 29, 2021 | 98 | Declaration (Exhibit 7 - Product 559743 Photos Metadata) (8) Docket Text: Declaration of Johan Van Mierlo filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 2015.04.27 Email, # (2) Exhibit 2 - 2015.05.13-14 Email, # (3) Exhibit 3 - 2015.06.22-25 Caesars Receipt, # (4) Exhibit 4 - ProClip's Booth Photos, # (5) Exhibit 5 - ProClip's Booth Photos Metadata, # (6) Exhibit 6 - Product 559743 Photos, # (7) Exhibit 7 - Product 559743 Photos Metadata, # (8) Exhibit 8 - Email re Product 559743 Photos) (Van Camp, Elijah) |
| Oct 29, 2021 | 98 | Declaration (Exhibit 8 - Email re Product 559743 Photos) (6) Docket Text: Declaration of Johan Van Mierlo filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 2015.04.27 Email, # (2) Exhibit 2 - 2015.05.13-14 Email, # (3) Exhibit 3 - 2015.06.22-25 Caesars Receipt, # (4) Exhibit 4 - ProClip's Booth Photos, # (5) Exhibit 5 - ProClip's Booth Photos Metadata, # (6) Exhibit 6 - Product 559743 Photos, # (7) Exhibit 7 - Product 559743 Photos Metadata, # (8) Exhibit 8 - Email re Product 559743 Photos) (Van Camp, Elijah) |
| Oct 29, 2021 | 99 | Declaration (Main Document) (4) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. re: [96] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A: U.S. Provisional Patent Appl. No. 61/943,986, # (2) Exhibit B: July 12, 2016 Response to a Restriction Requirement re Application No. 14/936,517, # (3) Exhibit C: Exhibit 1 to Defendants' Invalidity Contentions, # (4) Exhibit D: Exhibit 4 to Defendants' Invalidity Contentions, # (5) Exhibit E: Defendants' Amended Invalidity and Unenforceability Contentions, # (6) Exhibit F: Defendants' Patent Claim/Terms Definition Chart for the '026 Patent, # (7) Exhibit G: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,454,515, # (8) Exhibit H: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,778,275, # (9) Exhibit I: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 9,706,026 (Filed in Case IPR2021-00622), # (10) Exhibit J: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 10,454,515 (Filed in Case IPR2021-00623), # (11) Exhibit K: Excerpts of the Petition for Inter Partes Review (Case IPR2021-01159) (P.T.A.B. June 21, 2021), # (12) Exhibit L: Supplement to the Expert Report of Jason Stigge Regarding Invalidity of U.S. Patent Nos 9,706,026; 10,454,515; and 10,778,275, # (13) Exhibit M: Technopedia Definition of "male connector", # (14) Exhibit N: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "male connector", # (15) Exhibit O: Technopedia Definition of "female connector", # (16) Exhibit P: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "female connector") (Kaempf, Jessica) |
| Oct 29, 2021 | 99 | Declaration (Exhibit A: U.S. Provisional Patent Appl. No. 61/943,986) (30) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. re: [96] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A: U.S. Provisional Patent Appl. No. 61/943,986, # (2) Exhibit B: July 12, 2016 Response to a Restriction Requirement re Application No. 14/936,517, # (3) Exhibit C: Exhibit 1 to Defendants' Invalidity Contentions, # (4) Exhibit D: Exhibit 4 to Defendants' Invalidity Contentions, # (5) Exhibit E: Defendants' Amended Invalidity and Unenforceability Contentions, # (6) Exhibit F: Defendants' Patent Claim/Terms Definition Chart for the '026 Patent, # (7) Exhibit G: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,454,515, # (8) Exhibit H: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,778,275, # (9) Exhibit I: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 9,706,026 (Filed in Case IPR2021-00622), # (10) Exhibit J: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 10,454,515 (Filed in Case IPR2021-00623), # (11) Exhibit K: Excerpts of the Petition for Inter Partes Review (Case IPR2021-01159) (P.T.A.B. June 21, 2021), # (12) Exhibit L: Supplement to the Expert Report of Jason Stigge Regarding Invalidity of U.S. Patent Nos 9,706,026; 10,454,515; and 10,778,275, # (13) Exhibit M: Technopedia Definition of "male connector", # (14) Exhibit N: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "male connector", # (15) Exhibit O: Technopedia Definition of "female connector", # (16) Exhibit P: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "female connector") (Kaempf, Jessica) |
| Oct 29, 2021 | 99 | Declaration (Exhibit B: July 12, 2016 Response to a Restriction Requirement re Application N) (3) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. re: [96] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A: U.S. Provisional Patent Appl. No. 61/943,986, # (2) Exhibit B: July 12, 2016 Response to a Restriction Requirement re Application No. 14/936,517, # (3) Exhibit C: Exhibit 1 to Defendants' Invalidity Contentions, # (4) Exhibit D: Exhibit 4 to Defendants' Invalidity Contentions, # (5) Exhibit E: Defendants' Amended Invalidity and Unenforceability Contentions, # (6) Exhibit F: Defendants' Patent Claim/Terms Definition Chart for the '026 Patent, # (7) Exhibit G: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,454,515, # (8) Exhibit H: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,778,275, # (9) Exhibit I: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 9,706,026 (Filed in Case IPR2021-00622), # (10) Exhibit J: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 10,454,515 (Filed in Case IPR2021-00623), # (11) Exhibit K: Excerpts of the Petition for Inter Partes Review (Case IPR2021-01159) (P.T.A.B. June 21, 2021), # (12) Exhibit L: Supplement to the Expert Report of Jason Stigge Regarding Invalidity of U.S. Patent Nos 9,706,026; 10,454,515; and 10,778,275, # (13) Exhibit M: Technopedia Definition of "male connector", # (14) Exhibit N: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "male connector", # (15) Exhibit O: Technopedia Definition of "female connector", # (16) Exhibit P: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "female connector") (Kaempf, Jessica) |
| Oct 29, 2021 | 99 | Declaration (Exhibit C: Exhibit 1 to Defendants' Invalidity Contentions) (17) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. re: [96] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A: U.S. Provisional Patent Appl. No. 61/943,986, # (2) Exhibit B: July 12, 2016 Response to a Restriction Requirement re Application No. 14/936,517, # (3) Exhibit C: Exhibit 1 to Defendants' Invalidity Contentions, # (4) Exhibit D: Exhibit 4 to Defendants' Invalidity Contentions, # (5) Exhibit E: Defendants' Amended Invalidity and Unenforceability Contentions, # (6) Exhibit F: Defendants' Patent Claim/Terms Definition Chart for the '026 Patent, # (7) Exhibit G: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,454,515, # (8) Exhibit H: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,778,275, # (9) Exhibit I: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 9,706,026 (Filed in Case IPR2021-00622), # (10) Exhibit J: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 10,454,515 (Filed in Case IPR2021-00623), # (11) Exhibit K: Excerpts of the Petition for Inter Partes Review (Case IPR2021-01159) (P.T.A.B. June 21, 2021), # (12) Exhibit L: Supplement to the Expert Report of Jason Stigge Regarding Invalidity of U.S. Patent Nos 9,706,026; 10,454,515; and 10,778,275, # (13) Exhibit M: Technopedia Definition of "male connector", # (14) Exhibit N: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "male connector", # (15) Exhibit O: Technopedia Definition of "female connector", # (16) Exhibit P: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "female connector") (Kaempf, Jessica) |
| Oct 29, 2021 | 99 | Declaration (Exhibit D: Exhibit 4 to Defendants' Invalidity Contentions) (11) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. re: [96] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A: U.S. Provisional Patent Appl. No. 61/943,986, # (2) Exhibit B: July 12, 2016 Response to a Restriction Requirement re Application No. 14/936,517, # (3) Exhibit C: Exhibit 1 to Defendants' Invalidity Contentions, # (4) Exhibit D: Exhibit 4 to Defendants' Invalidity Contentions, # (5) Exhibit E: Defendants' Amended Invalidity and Unenforceability Contentions, # (6) Exhibit F: Defendants' Patent Claim/Terms Definition Chart for the '026 Patent, # (7) Exhibit G: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,454,515, # (8) Exhibit H: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,778,275, # (9) Exhibit I: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 9,706,026 (Filed in Case IPR2021-00622), # (10) Exhibit J: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 10,454,515 (Filed in Case IPR2021-00623), # (11) Exhibit K: Excerpts of the Petition for Inter Partes Review (Case IPR2021-01159) (P.T.A.B. June 21, 2021), # (12) Exhibit L: Supplement to the Expert Report of Jason Stigge Regarding Invalidity of U.S. Patent Nos 9,706,026; 10,454,515; and 10,778,275, # (13) Exhibit M: Technopedia Definition of "male connector", # (14) Exhibit N: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "male connector", # (15) Exhibit O: Technopedia Definition of "female connector", # (16) Exhibit P: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "female connector") (Kaempf, Jessica) |
| Oct 29, 2021 | 99 | Declaration (Exhibit E: Defendants' Amended Invalidity and Unenforceability Contentions) (12) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. re: [96] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A: U.S. Provisional Patent Appl. No. 61/943,986, # (2) Exhibit B: July 12, 2016 Response to a Restriction Requirement re Application No. 14/936,517, # (3) Exhibit C: Exhibit 1 to Defendants' Invalidity Contentions, # (4) Exhibit D: Exhibit 4 to Defendants' Invalidity Contentions, # (5) Exhibit E: Defendants' Amended Invalidity and Unenforceability Contentions, # (6) Exhibit F: Defendants' Patent Claim/Terms Definition Chart for the '026 Patent, # (7) Exhibit G: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,454,515, # (8) Exhibit H: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,778,275, # (9) Exhibit I: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 9,706,026 (Filed in Case IPR2021-00622), # (10) Exhibit J: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 10,454,515 (Filed in Case IPR2021-00623), # (11) Exhibit K: Excerpts of the Petition for Inter Partes Review (Case IPR2021-01159) (P.T.A.B. June 21, 2021), # (12) Exhibit L: Supplement to the Expert Report of Jason Stigge Regarding Invalidity of U.S. Patent Nos 9,706,026; 10,454,515; and 10,778,275, # (13) Exhibit M: Technopedia Definition of "male connector", # (14) Exhibit N: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "male connector", # (15) Exhibit O: Technopedia Definition of "female connector", # (16) Exhibit P: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "female connector") (Kaempf, Jessica) |
| Oct 29, 2021 | 99 | Declaration (Exhibit F: Defendants' Patent Claim/Terms Definition Chart for the '0) (13) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. re: [96] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A: U.S. Provisional Patent Appl. No. 61/943,986, # (2) Exhibit B: July 12, 2016 Response to a Restriction Requirement re Application No. 14/936,517, # (3) Exhibit C: Exhibit 1 to Defendants' Invalidity Contentions, # (4) Exhibit D: Exhibit 4 to Defendants' Invalidity Contentions, # (5) Exhibit E: Defendants' Amended Invalidity and Unenforceability Contentions, # (6) Exhibit F: Defendants' Patent Claim/Terms Definition Chart for the '026 Patent, # (7) Exhibit G: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,454,515, # (8) Exhibit H: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,778,275, # (9) Exhibit I: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 9,706,026 (Filed in Case IPR2021-00622), # (10) Exhibit J: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 10,454,515 (Filed in Case IPR2021-00623), # (11) Exhibit K: Excerpts of the Petition for Inter Partes Review (Case IPR2021-01159) (P.T.A.B. June 21, 2021), # (12) Exhibit L: Supplement to the Expert Report of Jason Stigge Regarding Invalidity of U.S. Patent Nos 9,706,026; 10,454,515; and 10,778,275, # (13) Exhibit M: Technopedia Definition of "male connector", # (14) Exhibit N: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "male connector", # (15) Exhibit O: Technopedia Definition of "female connector", # (16) Exhibit P: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "female connector") (Kaempf, Jessica) |
| Oct 29, 2021 | 99 | Declaration (Exhibit G: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent) (16) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. re: [96] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A: U.S. Provisional Patent Appl. No. 61/943,986, # (2) Exhibit B: July 12, 2016 Response to a Restriction Requirement re Application No. 14/936,517, # (3) Exhibit C: Exhibit 1 to Defendants' Invalidity Contentions, # (4) Exhibit D: Exhibit 4 to Defendants' Invalidity Contentions, # (5) Exhibit E: Defendants' Amended Invalidity and Unenforceability Contentions, # (6) Exhibit F: Defendants' Patent Claim/Terms Definition Chart for the '026 Patent, # (7) Exhibit G: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,454,515, # (8) Exhibit H: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,778,275, # (9) Exhibit I: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 9,706,026 (Filed in Case IPR2021-00622), # (10) Exhibit J: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 10,454,515 (Filed in Case IPR2021-00623), # (11) Exhibit K: Excerpts of the Petition for Inter Partes Review (Case IPR2021-01159) (P.T.A.B. June 21, 2021), # (12) Exhibit L: Supplement to the Expert Report of Jason Stigge Regarding Invalidity of U.S. Patent Nos 9,706,026; 10,454,515; and 10,778,275, # (13) Exhibit M: Technopedia Definition of "male connector", # (14) Exhibit N: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "male connector", # (15) Exhibit O: Technopedia Definition of "female connector", # (16) Exhibit P: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "female connector") (Kaempf, Jessica) |
| Oct 29, 2021 | 99 | Declaration (Exhibit H: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent) (18) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. re: [96] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A: U.S. Provisional Patent Appl. No. 61/943,986, # (2) Exhibit B: July 12, 2016 Response to a Restriction Requirement re Application No. 14/936,517, # (3) Exhibit C: Exhibit 1 to Defendants' Invalidity Contentions, # (4) Exhibit D: Exhibit 4 to Defendants' Invalidity Contentions, # (5) Exhibit E: Defendants' Amended Invalidity and Unenforceability Contentions, # (6) Exhibit F: Defendants' Patent Claim/Terms Definition Chart for the '026 Patent, # (7) Exhibit G: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,454,515, # (8) Exhibit H: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,778,275, # (9) Exhibit I: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 9,706,026 (Filed in Case IPR2021-00622), # (10) Exhibit J: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 10,454,515 (Filed in Case IPR2021-00623), # (11) Exhibit K: Excerpts of the Petition for Inter Partes Review (Case IPR2021-01159) (P.T.A.B. June 21, 2021), # (12) Exhibit L: Supplement to the Expert Report of Jason Stigge Regarding Invalidity of U.S. Patent Nos 9,706,026; 10,454,515; and 10,778,275, # (13) Exhibit M: Technopedia Definition of "male connector", # (14) Exhibit N: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "male connector", # (15) Exhibit O: Technopedia Definition of "female connector", # (16) Exhibit P: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "female connector") (Kaempf, Jessica) |
| Oct 29, 2021 | 99 | Declaration (Exhibit I: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Paten) (30) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. re: [96] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A: U.S. Provisional Patent Appl. No. 61/943,986, # (2) Exhibit B: July 12, 2016 Response to a Restriction Requirement re Application No. 14/936,517, # (3) Exhibit C: Exhibit 1 to Defendants' Invalidity Contentions, # (4) Exhibit D: Exhibit 4 to Defendants' Invalidity Contentions, # (5) Exhibit E: Defendants' Amended Invalidity and Unenforceability Contentions, # (6) Exhibit F: Defendants' Patent Claim/Terms Definition Chart for the '026 Patent, # (7) Exhibit G: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,454,515, # (8) Exhibit H: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,778,275, # (9) Exhibit I: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 9,706,026 (Filed in Case IPR2021-00622), # (10) Exhibit J: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 10,454,515 (Filed in Case IPR2021-00623), # (11) Exhibit K: Excerpts of the Petition for Inter Partes Review (Case IPR2021-01159) (P.T.A.B. June 21, 2021), # (12) Exhibit L: Supplement to the Expert Report of Jason Stigge Regarding Invalidity of U.S. Patent Nos 9,706,026; 10,454,515; and 10,778,275, # (13) Exhibit M: Technopedia Definition of "male connector", # (14) Exhibit N: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "male connector", # (15) Exhibit O: Technopedia Definition of "female connector", # (16) Exhibit P: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "female connector") (Kaempf, Jessica) |
| Oct 29, 2021 | 99 | Declaration (Exhibit J: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Paten) (30) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. re: [96] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A: U.S. Provisional Patent Appl. No. 61/943,986, # (2) Exhibit B: July 12, 2016 Response to a Restriction Requirement re Application No. 14/936,517, # (3) Exhibit C: Exhibit 1 to Defendants' Invalidity Contentions, # (4) Exhibit D: Exhibit 4 to Defendants' Invalidity Contentions, # (5) Exhibit E: Defendants' Amended Invalidity and Unenforceability Contentions, # (6) Exhibit F: Defendants' Patent Claim/Terms Definition Chart for the '026 Patent, # (7) Exhibit G: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,454,515, # (8) Exhibit H: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,778,275, # (9) Exhibit I: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 9,706,026 (Filed in Case IPR2021-00622), # (10) Exhibit J: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 10,454,515 (Filed in Case IPR2021-00623), # (11) Exhibit K: Excerpts of the Petition for Inter Partes Review (Case IPR2021-01159) (P.T.A.B. June 21, 2021), # (12) Exhibit L: Supplement to the Expert Report of Jason Stigge Regarding Invalidity of U.S. Patent Nos 9,706,026; 10,454,515; and 10,778,275, # (13) Exhibit M: Technopedia Definition of "male connector", # (14) Exhibit N: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "male connector", # (15) Exhibit O: Technopedia Definition of "female connector", # (16) Exhibit P: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "female connector") (Kaempf, Jessica) |
| Oct 29, 2021 | 99 | Declaration (Exhibit K: Excerpts of the Petition for Inter Partes Review (Case IPR2021-01159) (7) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. re: [96] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A: U.S. Provisional Patent Appl. No. 61/943,986, # (2) Exhibit B: July 12, 2016 Response to a Restriction Requirement re Application No. 14/936,517, # (3) Exhibit C: Exhibit 1 to Defendants' Invalidity Contentions, # (4) Exhibit D: Exhibit 4 to Defendants' Invalidity Contentions, # (5) Exhibit E: Defendants' Amended Invalidity and Unenforceability Contentions, # (6) Exhibit F: Defendants' Patent Claim/Terms Definition Chart for the '026 Patent, # (7) Exhibit G: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,454,515, # (8) Exhibit H: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,778,275, # (9) Exhibit I: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 9,706,026 (Filed in Case IPR2021-00622), # (10) Exhibit J: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 10,454,515 (Filed in Case IPR2021-00623), # (11) Exhibit K: Excerpts of the Petition for Inter Partes Review (Case IPR2021-01159) (P.T.A.B. June 21, 2021), # (12) Exhibit L: Supplement to the Expert Report of Jason Stigge Regarding Invalidity of U.S. Patent Nos 9,706,026; 10,454,515; and 10,778,275, # (13) Exhibit M: Technopedia Definition of "male connector", # (14) Exhibit N: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "male connector", # (15) Exhibit O: Technopedia Definition of "female connector", # (16) Exhibit P: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "female connector") (Kaempf, Jessica) |
| Oct 29, 2021 | 99 | Declaration (Exhibit L: Supplement to the Expert Report of Jason Stigge Regarding Invalidity) (4) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. re: [96] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A: U.S. Provisional Patent Appl. No. 61/943,986, # (2) Exhibit B: July 12, 2016 Response to a Restriction Requirement re Application No. 14/936,517, # (3) Exhibit C: Exhibit 1 to Defendants' Invalidity Contentions, # (4) Exhibit D: Exhibit 4 to Defendants' Invalidity Contentions, # (5) Exhibit E: Defendants' Amended Invalidity and Unenforceability Contentions, # (6) Exhibit F: Defendants' Patent Claim/Terms Definition Chart for the '026 Patent, # (7) Exhibit G: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,454,515, # (8) Exhibit H: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,778,275, # (9) Exhibit I: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 9,706,026 (Filed in Case IPR2021-00622), # (10) Exhibit J: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 10,454,515 (Filed in Case IPR2021-00623), # (11) Exhibit K: Excerpts of the Petition for Inter Partes Review (Case IPR2021-01159) (P.T.A.B. June 21, 2021), # (12) Exhibit L: Supplement to the Expert Report of Jason Stigge Regarding Invalidity of U.S. Patent Nos 9,706,026; 10,454,515; and 10,778,275, # (13) Exhibit M: Technopedia Definition of "male connector", # (14) Exhibit N: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "male connector", # (15) Exhibit O: Technopedia Definition of "female connector", # (16) Exhibit P: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "female connector") (Kaempf, Jessica) |
| Oct 29, 2021 | 99 | Declaration (Exhibit M: Technopedia Definition of "male connector") (8) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. re: [96] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A: U.S. Provisional Patent Appl. No. 61/943,986, # (2) Exhibit B: July 12, 2016 Response to a Restriction Requirement re Application No. 14/936,517, # (3) Exhibit C: Exhibit 1 to Defendants' Invalidity Contentions, # (4) Exhibit D: Exhibit 4 to Defendants' Invalidity Contentions, # (5) Exhibit E: Defendants' Amended Invalidity and Unenforceability Contentions, # (6) Exhibit F: Defendants' Patent Claim/Terms Definition Chart for the '026 Patent, # (7) Exhibit G: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,454,515, # (8) Exhibit H: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,778,275, # (9) Exhibit I: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 9,706,026 (Filed in Case IPR2021-00622), # (10) Exhibit J: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 10,454,515 (Filed in Case IPR2021-00623), # (11) Exhibit K: Excerpts of the Petition for Inter Partes Review (Case IPR2021-01159) (P.T.A.B. June 21, 2021), # (12) Exhibit L: Supplement to the Expert Report of Jason Stigge Regarding Invalidity of U.S. Patent Nos 9,706,026; 10,454,515; and 10,778,275, # (13) Exhibit M: Technopedia Definition of "male connector", # (14) Exhibit N: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "male connector", # (15) Exhibit O: Technopedia Definition of "female connector", # (16) Exhibit P: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "female connector") (Kaempf, Jessica) |
| Oct 29, 2021 | 99 | Declaration (Exhibit N: McGraw Hill Dictionary of Scientific and Technical Terms, Definition) (2) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. re: [96] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A: U.S. Provisional Patent Appl. No. 61/943,986, # (2) Exhibit B: July 12, 2016 Response to a Restriction Requirement re Application No. 14/936,517, # (3) Exhibit C: Exhibit 1 to Defendants' Invalidity Contentions, # (4) Exhibit D: Exhibit 4 to Defendants' Invalidity Contentions, # (5) Exhibit E: Defendants' Amended Invalidity and Unenforceability Contentions, # (6) Exhibit F: Defendants' Patent Claim/Terms Definition Chart for the '026 Patent, # (7) Exhibit G: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,454,515, # (8) Exhibit H: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,778,275, # (9) Exhibit I: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 9,706,026 (Filed in Case IPR2021-00622), # (10) Exhibit J: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 10,454,515 (Filed in Case IPR2021-00623), # (11) Exhibit K: Excerpts of the Petition for Inter Partes Review (Case IPR2021-01159) (P.T.A.B. June 21, 2021), # (12) Exhibit L: Supplement to the Expert Report of Jason Stigge Regarding Invalidity of U.S. Patent Nos 9,706,026; 10,454,515; and 10,778,275, # (13) Exhibit M: Technopedia Definition of "male connector", # (14) Exhibit N: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "male connector", # (15) Exhibit O: Technopedia Definition of "female connector", # (16) Exhibit P: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "female connector") (Kaempf, Jessica) |
| Oct 29, 2021 | 99 | Declaration (Exhibit O: Technopedia Definition of "female connector") (7) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. re: [96] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A: U.S. Provisional Patent Appl. No. 61/943,986, # (2) Exhibit B: July 12, 2016 Response to a Restriction Requirement re Application No. 14/936,517, # (3) Exhibit C: Exhibit 1 to Defendants' Invalidity Contentions, # (4) Exhibit D: Exhibit 4 to Defendants' Invalidity Contentions, # (5) Exhibit E: Defendants' Amended Invalidity and Unenforceability Contentions, # (6) Exhibit F: Defendants' Patent Claim/Terms Definition Chart for the '026 Patent, # (7) Exhibit G: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,454,515, # (8) Exhibit H: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,778,275, # (9) Exhibit I: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 9,706,026 (Filed in Case IPR2021-00622), # (10) Exhibit J: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 10,454,515 (Filed in Case IPR2021-00623), # (11) Exhibit K: Excerpts of the Petition for Inter Partes Review (Case IPR2021-01159) (P.T.A.B. June 21, 2021), # (12) Exhibit L: Supplement to the Expert Report of Jason Stigge Regarding Invalidity of U.S. Patent Nos 9,706,026; 10,454,515; and 10,778,275, # (13) Exhibit M: Technopedia Definition of "male connector", # (14) Exhibit N: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "male connector", # (15) Exhibit O: Technopedia Definition of "female connector", # (16) Exhibit P: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "female connector") (Kaempf, Jessica) |
| Oct 29, 2021 | 99 | Declaration (Exhibit P: McGraw Hill Dictionary of Scientific and Technical Terms, Definition) (2) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. re: [96] Motion for Partial Summary Judgment (Attachments: # (1) Exhibit A: U.S. Provisional Patent Appl. No. 61/943,986, # (2) Exhibit B: July 12, 2016 Response to a Restriction Requirement re Application No. 14/936,517, # (3) Exhibit C: Exhibit 1 to Defendants' Invalidity Contentions, # (4) Exhibit D: Exhibit 4 to Defendants' Invalidity Contentions, # (5) Exhibit E: Defendants' Amended Invalidity and Unenforceability Contentions, # (6) Exhibit F: Defendants' Patent Claim/Terms Definition Chart for the '026 Patent, # (7) Exhibit G: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,454,515, # (8) Exhibit H: Defendants' Patent Claim/Terms Definition Chart for U.S. Patent No. 10,778,275, # (9) Exhibit I: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 9,706,026 (Filed in Case IPR2021-00622), # (10) Exhibit J: Declaration of Kimberly K. Cameron, Ph.D., P.E. Regarding U.S. Patent No. 10,454,515 (Filed in Case IPR2021-00623), # (11) Exhibit K: Excerpts of the Petition for Inter Partes Review (Case IPR2021-01159) (P.T.A.B. June 21, 2021), # (12) Exhibit L: Supplement to the Expert Report of Jason Stigge Regarding Invalidity of U.S. Patent Nos 9,706,026; 10,454,515; and 10,778,275, # (13) Exhibit M: Technopedia Definition of "male connector", # (14) Exhibit N: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "male connector", # (15) Exhibit O: Technopedia Definition of "female connector", # (16) Exhibit P: McGraw Hill Dictionary of Scientific and Technical Terms, Definition of "female connector") (Kaempf, Jessica) |
| Oct 29, 2021 | 101 | Declaration (Main Document) (4) Docket Text: Declaration of Attorney Joseph T. Leone filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 10454515 File Wrapper, # (2) Exhibit 2 - US20160065702A1, # (3) Exhibit 3 - US20150358439A1, # (4) Exhibit 4 - US20150301561A1, # (5) Exhibit 5 - WO-2015-127376, # (6) Exhibit 6 - US20150244126A1, # (7) Exhibit 7 - 444 Patent, # (8) Exhibit 8 - 62040037, # (9) Exhibit 9 - 61943986, # (10) Exhibit 10 - US20190132018A1, # (11) Exhibit 11 - US20180241429A1, # (12) Exhibit 12 - US20160309010A1, # (13) Exhibit 13 - US20200252097A1, # (14) Exhibit 14 - US20200266846A1, # (15) Exhibit 15 - US20190132019A1, # (16) Exhibit 16 - NPI Disclosure of Asserted Claims and Infringement Contentions, # (17) Exhibit 17 - NPI Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (18) Exhibit 18 - Defs' Invalidity and Unenforceability Contentions, # (19) Exhibit 19 - Defs' Amended Invalidity and Unenforceability Contentions, # (20) Exhibit 20 - Unitary, # (21) Exhibit 21 - Perimeter, # (22) Exhibit 22 - 9706026 File Wrapper) (Van Camp, Elijah) |
| Oct 29, 2021 | 101 | Declaration (Exhibit 1 - 10454515 File Wrapper) (30) Docket Text: Declaration of Attorney Joseph T. Leone filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 10454515 File Wrapper, # (2) Exhibit 2 - US20160065702A1, # (3) Exhibit 3 - US20150358439A1, # (4) Exhibit 4 - US20150301561A1, # (5) Exhibit 5 - WO-2015-127376, # (6) Exhibit 6 - US20150244126A1, # (7) Exhibit 7 - 444 Patent, # (8) Exhibit 8 - 62040037, # (9) Exhibit 9 - 61943986, # (10) Exhibit 10 - US20190132018A1, # (11) Exhibit 11 - US20180241429A1, # (12) Exhibit 12 - US20160309010A1, # (13) Exhibit 13 - US20200252097A1, # (14) Exhibit 14 - US20200266846A1, # (15) Exhibit 15 - US20190132019A1, # (16) Exhibit 16 - NPI Disclosure of Asserted Claims and Infringement Contentions, # (17) Exhibit 17 - NPI Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (18) Exhibit 18 - Defs' Invalidity and Unenforceability Contentions, # (19) Exhibit 19 - Defs' Amended Invalidity and Unenforceability Contentions, # (20) Exhibit 20 - Unitary, # (21) Exhibit 21 - Perimeter, # (22) Exhibit 22 - 9706026 File Wrapper) (Van Camp, Elijah) |
| Oct 29, 2021 | 101 | Declaration (Exhibit 2 - US20160065702A1) (30) Docket Text: Declaration of Attorney Joseph T. Leone filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 10454515 File Wrapper, # (2) Exhibit 2 - US20160065702A1, # (3) Exhibit 3 - US20150358439A1, # (4) Exhibit 4 - US20150301561A1, # (5) Exhibit 5 - WO-2015-127376, # (6) Exhibit 6 - US20150244126A1, # (7) Exhibit 7 - 444 Patent, # (8) Exhibit 8 - 62040037, # (9) Exhibit 9 - 61943986, # (10) Exhibit 10 - US20190132018A1, # (11) Exhibit 11 - US20180241429A1, # (12) Exhibit 12 - US20160309010A1, # (13) Exhibit 13 - US20200252097A1, # (14) Exhibit 14 - US20200266846A1, # (15) Exhibit 15 - US20190132019A1, # (16) Exhibit 16 - NPI Disclosure of Asserted Claims and Infringement Contentions, # (17) Exhibit 17 - NPI Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (18) Exhibit 18 - Defs' Invalidity and Unenforceability Contentions, # (19) Exhibit 19 - Defs' Amended Invalidity and Unenforceability Contentions, # (20) Exhibit 20 - Unitary, # (21) Exhibit 21 - Perimeter, # (22) Exhibit 22 - 9706026 File Wrapper) (Van Camp, Elijah) |
| Oct 29, 2021 | 101 | Declaration (Exhibit 3 - US20150358439A1) (30) Docket Text: Declaration of Attorney Joseph T. Leone filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 10454515 File Wrapper, # (2) Exhibit 2 - US20160065702A1, # (3) Exhibit 3 - US20150358439A1, # (4) Exhibit 4 - US20150301561A1, # (5) Exhibit 5 - WO-2015-127376, # (6) Exhibit 6 - US20150244126A1, # (7) Exhibit 7 - 444 Patent, # (8) Exhibit 8 - 62040037, # (9) Exhibit 9 - 61943986, # (10) Exhibit 10 - US20190132018A1, # (11) Exhibit 11 - US20180241429A1, # (12) Exhibit 12 - US20160309010A1, # (13) Exhibit 13 - US20200252097A1, # (14) Exhibit 14 - US20200266846A1, # (15) Exhibit 15 - US20190132019A1, # (16) Exhibit 16 - NPI Disclosure of Asserted Claims and Infringement Contentions, # (17) Exhibit 17 - NPI Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (18) Exhibit 18 - Defs' Invalidity and Unenforceability Contentions, # (19) Exhibit 19 - Defs' Amended Invalidity and Unenforceability Contentions, # (20) Exhibit 20 - Unitary, # (21) Exhibit 21 - Perimeter, # (22) Exhibit 22 - 9706026 File Wrapper) (Van Camp, Elijah) |
| Oct 29, 2021 | 101 | Declaration (Exhibit 4 - US20150301561A1) (30) Docket Text: Declaration of Attorney Joseph T. Leone filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 10454515 File Wrapper, # (2) Exhibit 2 - US20160065702A1, # (3) Exhibit 3 - US20150358439A1, # (4) Exhibit 4 - US20150301561A1, # (5) Exhibit 5 - WO-2015-127376, # (6) Exhibit 6 - US20150244126A1, # (7) Exhibit 7 - 444 Patent, # (8) Exhibit 8 - 62040037, # (9) Exhibit 9 - 61943986, # (10) Exhibit 10 - US20190132018A1, # (11) Exhibit 11 - US20180241429A1, # (12) Exhibit 12 - US20160309010A1, # (13) Exhibit 13 - US20200252097A1, # (14) Exhibit 14 - US20200266846A1, # (15) Exhibit 15 - US20190132019A1, # (16) Exhibit 16 - NPI Disclosure of Asserted Claims and Infringement Contentions, # (17) Exhibit 17 - NPI Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (18) Exhibit 18 - Defs' Invalidity and Unenforceability Contentions, # (19) Exhibit 19 - Defs' Amended Invalidity and Unenforceability Contentions, # (20) Exhibit 20 - Unitary, # (21) Exhibit 21 - Perimeter, # (22) Exhibit 22 - 9706026 File Wrapper) (Van Camp, Elijah) |
| Oct 29, 2021 | 101 | Declaration (Exhibit 5 - WO-2015-127376) (30) Docket Text: Declaration of Attorney Joseph T. Leone filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 10454515 File Wrapper, # (2) Exhibit 2 - US20160065702A1, # (3) Exhibit 3 - US20150358439A1, # (4) Exhibit 4 - US20150301561A1, # (5) Exhibit 5 - WO-2015-127376, # (6) Exhibit 6 - US20150244126A1, # (7) Exhibit 7 - 444 Patent, # (8) Exhibit 8 - 62040037, # (9) Exhibit 9 - 61943986, # (10) Exhibit 10 - US20190132018A1, # (11) Exhibit 11 - US20180241429A1, # (12) Exhibit 12 - US20160309010A1, # (13) Exhibit 13 - US20200252097A1, # (14) Exhibit 14 - US20200266846A1, # (15) Exhibit 15 - US20190132019A1, # (16) Exhibit 16 - NPI Disclosure of Asserted Claims and Infringement Contentions, # (17) Exhibit 17 - NPI Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (18) Exhibit 18 - Defs' Invalidity and Unenforceability Contentions, # (19) Exhibit 19 - Defs' Amended Invalidity and Unenforceability Contentions, # (20) Exhibit 20 - Unitary, # (21) Exhibit 21 - Perimeter, # (22) Exhibit 22 - 9706026 File Wrapper) (Van Camp, Elijah) |
| Oct 29, 2021 | 101 | Declaration (Exhibit 6 - US20150244126A1) (18) Docket Text: Declaration of Attorney Joseph T. Leone filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 10454515 File Wrapper, # (2) Exhibit 2 - US20160065702A1, # (3) Exhibit 3 - US20150358439A1, # (4) Exhibit 4 - US20150301561A1, # (5) Exhibit 5 - WO-2015-127376, # (6) Exhibit 6 - US20150244126A1, # (7) Exhibit 7 - 444 Patent, # (8) Exhibit 8 - 62040037, # (9) Exhibit 9 - 61943986, # (10) Exhibit 10 - US20190132018A1, # (11) Exhibit 11 - US20180241429A1, # (12) Exhibit 12 - US20160309010A1, # (13) Exhibit 13 - US20200252097A1, # (14) Exhibit 14 - US20200266846A1, # (15) Exhibit 15 - US20190132019A1, # (16) Exhibit 16 - NPI Disclosure of Asserted Claims and Infringement Contentions, # (17) Exhibit 17 - NPI Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (18) Exhibit 18 - Defs' Invalidity and Unenforceability Contentions, # (19) Exhibit 19 - Defs' Amended Invalidity and Unenforceability Contentions, # (20) Exhibit 20 - Unitary, # (21) Exhibit 21 - Perimeter, # (22) Exhibit 22 - 9706026 File Wrapper) (Van Camp, Elijah) |
| Oct 29, 2021 | 101 | Declaration (Exhibit 7 - 444 Patent) (19) Docket Text: Declaration of Attorney Joseph T. Leone filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 10454515 File Wrapper, # (2) Exhibit 2 - US20160065702A1, # (3) Exhibit 3 - US20150358439A1, # (4) Exhibit 4 - US20150301561A1, # (5) Exhibit 5 - WO-2015-127376, # (6) Exhibit 6 - US20150244126A1, # (7) Exhibit 7 - 444 Patent, # (8) Exhibit 8 - 62040037, # (9) Exhibit 9 - 61943986, # (10) Exhibit 10 - US20190132018A1, # (11) Exhibit 11 - US20180241429A1, # (12) Exhibit 12 - US20160309010A1, # (13) Exhibit 13 - US20200252097A1, # (14) Exhibit 14 - US20200266846A1, # (15) Exhibit 15 - US20190132019A1, # (16) Exhibit 16 - NPI Disclosure of Asserted Claims and Infringement Contentions, # (17) Exhibit 17 - NPI Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (18) Exhibit 18 - Defs' Invalidity and Unenforceability Contentions, # (19) Exhibit 19 - Defs' Amended Invalidity and Unenforceability Contentions, # (20) Exhibit 20 - Unitary, # (21) Exhibit 21 - Perimeter, # (22) Exhibit 22 - 9706026 File Wrapper) (Van Camp, Elijah) |
| Oct 29, 2021 | 101 | Declaration (Exhibit 8 - 62040037) (30) Docket Text: Declaration of Attorney Joseph T. Leone filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 10454515 File Wrapper, # (2) Exhibit 2 - US20160065702A1, # (3) Exhibit 3 - US20150358439A1, # (4) Exhibit 4 - US20150301561A1, # (5) Exhibit 5 - WO-2015-127376, # (6) Exhibit 6 - US20150244126A1, # (7) Exhibit 7 - 444 Patent, # (8) Exhibit 8 - 62040037, # (9) Exhibit 9 - 61943986, # (10) Exhibit 10 - US20190132018A1, # (11) Exhibit 11 - US20180241429A1, # (12) Exhibit 12 - US20160309010A1, # (13) Exhibit 13 - US20200252097A1, # (14) Exhibit 14 - US20200266846A1, # (15) Exhibit 15 - US20190132019A1, # (16) Exhibit 16 - NPI Disclosure of Asserted Claims and Infringement Contentions, # (17) Exhibit 17 - NPI Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (18) Exhibit 18 - Defs' Invalidity and Unenforceability Contentions, # (19) Exhibit 19 - Defs' Amended Invalidity and Unenforceability Contentions, # (20) Exhibit 20 - Unitary, # (21) Exhibit 21 - Perimeter, # (22) Exhibit 22 - 9706026 File Wrapper) (Van Camp, Elijah) |
| Oct 29, 2021 | 101 | Declaration (Exhibit 9 - 61943986) (30) Docket Text: Declaration of Attorney Joseph T. Leone filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 10454515 File Wrapper, # (2) Exhibit 2 - US20160065702A1, # (3) Exhibit 3 - US20150358439A1, # (4) Exhibit 4 - US20150301561A1, # (5) Exhibit 5 - WO-2015-127376, # (6) Exhibit 6 - US20150244126A1, # (7) Exhibit 7 - 444 Patent, # (8) Exhibit 8 - 62040037, # (9) Exhibit 9 - 61943986, # (10) Exhibit 10 - US20190132018A1, # (11) Exhibit 11 - US20180241429A1, # (12) Exhibit 12 - US20160309010A1, # (13) Exhibit 13 - US20200252097A1, # (14) Exhibit 14 - US20200266846A1, # (15) Exhibit 15 - US20190132019A1, # (16) Exhibit 16 - NPI Disclosure of Asserted Claims and Infringement Contentions, # (17) Exhibit 17 - NPI Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (18) Exhibit 18 - Defs' Invalidity and Unenforceability Contentions, # (19) Exhibit 19 - Defs' Amended Invalidity and Unenforceability Contentions, # (20) Exhibit 20 - Unitary, # (21) Exhibit 21 - Perimeter, # (22) Exhibit 22 - 9706026 File Wrapper) (Van Camp, Elijah) |
| Oct 29, 2021 | 101 | Declaration (Exhibit 10 - US20190132018A1) (30) Docket Text: Declaration of Attorney Joseph T. Leone filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 10454515 File Wrapper, # (2) Exhibit 2 - US20160065702A1, # (3) Exhibit 3 - US20150358439A1, # (4) Exhibit 4 - US20150301561A1, # (5) Exhibit 5 - WO-2015-127376, # (6) Exhibit 6 - US20150244126A1, # (7) Exhibit 7 - 444 Patent, # (8) Exhibit 8 - 62040037, # (9) Exhibit 9 - 61943986, # (10) Exhibit 10 - US20190132018A1, # (11) Exhibit 11 - US20180241429A1, # (12) Exhibit 12 - US20160309010A1, # (13) Exhibit 13 - US20200252097A1, # (14) Exhibit 14 - US20200266846A1, # (15) Exhibit 15 - US20190132019A1, # (16) Exhibit 16 - NPI Disclosure of Asserted Claims and Infringement Contentions, # (17) Exhibit 17 - NPI Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (18) Exhibit 18 - Defs' Invalidity and Unenforceability Contentions, # (19) Exhibit 19 - Defs' Amended Invalidity and Unenforceability Contentions, # (20) Exhibit 20 - Unitary, # (21) Exhibit 21 - Perimeter, # (22) Exhibit 22 - 9706026 File Wrapper) (Van Camp, Elijah) |
| Oct 29, 2021 | 101 | Declaration (Exhibit 11 - US20180241429A1) (30) Docket Text: Declaration of Attorney Joseph T. Leone filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 10454515 File Wrapper, # (2) Exhibit 2 - US20160065702A1, # (3) Exhibit 3 - US20150358439A1, # (4) Exhibit 4 - US20150301561A1, # (5) Exhibit 5 - WO-2015-127376, # (6) Exhibit 6 - US20150244126A1, # (7) Exhibit 7 - 444 Patent, # (8) Exhibit 8 - 62040037, # (9) Exhibit 9 - 61943986, # (10) Exhibit 10 - US20190132018A1, # (11) Exhibit 11 - US20180241429A1, # (12) Exhibit 12 - US20160309010A1, # (13) Exhibit 13 - US20200252097A1, # (14) Exhibit 14 - US20200266846A1, # (15) Exhibit 15 - US20190132019A1, # (16) Exhibit 16 - NPI Disclosure of Asserted Claims and Infringement Contentions, # (17) Exhibit 17 - NPI Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (18) Exhibit 18 - Defs' Invalidity and Unenforceability Contentions, # (19) Exhibit 19 - Defs' Amended Invalidity and Unenforceability Contentions, # (20) Exhibit 20 - Unitary, # (21) Exhibit 21 - Perimeter, # (22) Exhibit 22 - 9706026 File Wrapper) (Van Camp, Elijah) |
| Oct 29, 2021 | 101 | Declaration (Exhibit 12 - US20160309010A1) (30) Docket Text: Declaration of Attorney Joseph T. Leone filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 10454515 File Wrapper, # (2) Exhibit 2 - US20160065702A1, # (3) Exhibit 3 - US20150358439A1, # (4) Exhibit 4 - US20150301561A1, # (5) Exhibit 5 - WO-2015-127376, # (6) Exhibit 6 - US20150244126A1, # (7) Exhibit 7 - 444 Patent, # (8) Exhibit 8 - 62040037, # (9) Exhibit 9 - 61943986, # (10) Exhibit 10 - US20190132018A1, # (11) Exhibit 11 - US20180241429A1, # (12) Exhibit 12 - US20160309010A1, # (13) Exhibit 13 - US20200252097A1, # (14) Exhibit 14 - US20200266846A1, # (15) Exhibit 15 - US20190132019A1, # (16) Exhibit 16 - NPI Disclosure of Asserted Claims and Infringement Contentions, # (17) Exhibit 17 - NPI Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (18) Exhibit 18 - Defs' Invalidity and Unenforceability Contentions, # (19) Exhibit 19 - Defs' Amended Invalidity and Unenforceability Contentions, # (20) Exhibit 20 - Unitary, # (21) Exhibit 21 - Perimeter, # (22) Exhibit 22 - 9706026 File Wrapper) (Van Camp, Elijah) |
| Oct 29, 2021 | 101 | Declaration (Exhibit 13 - US20200252097A1) (30) Docket Text: Declaration of Attorney Joseph T. Leone filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 10454515 File Wrapper, # (2) Exhibit 2 - US20160065702A1, # (3) Exhibit 3 - US20150358439A1, # (4) Exhibit 4 - US20150301561A1, # (5) Exhibit 5 - WO-2015-127376, # (6) Exhibit 6 - US20150244126A1, # (7) Exhibit 7 - 444 Patent, # (8) Exhibit 8 - 62040037, # (9) Exhibit 9 - 61943986, # (10) Exhibit 10 - US20190132018A1, # (11) Exhibit 11 - US20180241429A1, # (12) Exhibit 12 - US20160309010A1, # (13) Exhibit 13 - US20200252097A1, # (14) Exhibit 14 - US20200266846A1, # (15) Exhibit 15 - US20190132019A1, # (16) Exhibit 16 - NPI Disclosure of Asserted Claims and Infringement Contentions, # (17) Exhibit 17 - NPI Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (18) Exhibit 18 - Defs' Invalidity and Unenforceability Contentions, # (19) Exhibit 19 - Defs' Amended Invalidity and Unenforceability Contentions, # (20) Exhibit 20 - Unitary, # (21) Exhibit 21 - Perimeter, # (22) Exhibit 22 - 9706026 File Wrapper) (Van Camp, Elijah) |
| Oct 29, 2021 | 101 | Declaration (Exhibit 14 - US20200266846A1) (30) Docket Text: Declaration of Attorney Joseph T. Leone filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 10454515 File Wrapper, # (2) Exhibit 2 - US20160065702A1, # (3) Exhibit 3 - US20150358439A1, # (4) Exhibit 4 - US20150301561A1, # (5) Exhibit 5 - WO-2015-127376, # (6) Exhibit 6 - US20150244126A1, # (7) Exhibit 7 - 444 Patent, # (8) Exhibit 8 - 62040037, # (9) Exhibit 9 - 61943986, # (10) Exhibit 10 - US20190132018A1, # (11) Exhibit 11 - US20180241429A1, # (12) Exhibit 12 - US20160309010A1, # (13) Exhibit 13 - US20200252097A1, # (14) Exhibit 14 - US20200266846A1, # (15) Exhibit 15 - US20190132019A1, # (16) Exhibit 16 - NPI Disclosure of Asserted Claims and Infringement Contentions, # (17) Exhibit 17 - NPI Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (18) Exhibit 18 - Defs' Invalidity and Unenforceability Contentions, # (19) Exhibit 19 - Defs' Amended Invalidity and Unenforceability Contentions, # (20) Exhibit 20 - Unitary, # (21) Exhibit 21 - Perimeter, # (22) Exhibit 22 - 9706026 File Wrapper) (Van Camp, Elijah) |
| Oct 29, 2021 | 101 | Declaration (Exhibit 15 - US20190132019A1) (30) Docket Text: Declaration of Attorney Joseph T. Leone filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 10454515 File Wrapper, # (2) Exhibit 2 - US20160065702A1, # (3) Exhibit 3 - US20150358439A1, # (4) Exhibit 4 - US20150301561A1, # (5) Exhibit 5 - WO-2015-127376, # (6) Exhibit 6 - US20150244126A1, # (7) Exhibit 7 - 444 Patent, # (8) Exhibit 8 - 62040037, # (9) Exhibit 9 - 61943986, # (10) Exhibit 10 - US20190132018A1, # (11) Exhibit 11 - US20180241429A1, # (12) Exhibit 12 - US20160309010A1, # (13) Exhibit 13 - US20200252097A1, # (14) Exhibit 14 - US20200266846A1, # (15) Exhibit 15 - US20190132019A1, # (16) Exhibit 16 - NPI Disclosure of Asserted Claims and Infringement Contentions, # (17) Exhibit 17 - NPI Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (18) Exhibit 18 - Defs' Invalidity and Unenforceability Contentions, # (19) Exhibit 19 - Defs' Amended Invalidity and Unenforceability Contentions, # (20) Exhibit 20 - Unitary, # (21) Exhibit 21 - Perimeter, # (22) Exhibit 22 - 9706026 File Wrapper) (Van Camp, Elijah) |
| Oct 29, 2021 | 101 | Declaration (Exhibit 16 - NPI Disclosure of Asserted Claims and Infringement Contentions) (30) Docket Text: Declaration of Attorney Joseph T. Leone filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 10454515 File Wrapper, # (2) Exhibit 2 - US20160065702A1, # (3) Exhibit 3 - US20150358439A1, # (4) Exhibit 4 - US20150301561A1, # (5) Exhibit 5 - WO-2015-127376, # (6) Exhibit 6 - US20150244126A1, # (7) Exhibit 7 - 444 Patent, # (8) Exhibit 8 - 62040037, # (9) Exhibit 9 - 61943986, # (10) Exhibit 10 - US20190132018A1, # (11) Exhibit 11 - US20180241429A1, # (12) Exhibit 12 - US20160309010A1, # (13) Exhibit 13 - US20200252097A1, # (14) Exhibit 14 - US20200266846A1, # (15) Exhibit 15 - US20190132019A1, # (16) Exhibit 16 - NPI Disclosure of Asserted Claims and Infringement Contentions, # (17) Exhibit 17 - NPI Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (18) Exhibit 18 - Defs' Invalidity and Unenforceability Contentions, # (19) Exhibit 19 - Defs' Amended Invalidity and Unenforceability Contentions, # (20) Exhibit 20 - Unitary, # (21) Exhibit 21 - Perimeter, # (22) Exhibit 22 - 9706026 File Wrapper) (Van Camp, Elijah) |
| Oct 29, 2021 | 101 | Declaration (Exhibit 17 - NPI Supplemental Disclosure of Asserted Claims and Infringement Con) (29) Docket Text: Declaration of Attorney Joseph T. Leone filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 10454515 File Wrapper, # (2) Exhibit 2 - US20160065702A1, # (3) Exhibit 3 - US20150358439A1, # (4) Exhibit 4 - US20150301561A1, # (5) Exhibit 5 - WO-2015-127376, # (6) Exhibit 6 - US20150244126A1, # (7) Exhibit 7 - 444 Patent, # (8) Exhibit 8 - 62040037, # (9) Exhibit 9 - 61943986, # (10) Exhibit 10 - US20190132018A1, # (11) Exhibit 11 - US20180241429A1, # (12) Exhibit 12 - US20160309010A1, # (13) Exhibit 13 - US20200252097A1, # (14) Exhibit 14 - US20200266846A1, # (15) Exhibit 15 - US20190132019A1, # (16) Exhibit 16 - NPI Disclosure of Asserted Claims and Infringement Contentions, # (17) Exhibit 17 - NPI Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (18) Exhibit 18 - Defs' Invalidity and Unenforceability Contentions, # (19) Exhibit 19 - Defs' Amended Invalidity and Unenforceability Contentions, # (20) Exhibit 20 - Unitary, # (21) Exhibit 21 - Perimeter, # (22) Exhibit 22 - 9706026 File Wrapper) (Van Camp, Elijah) |
| Oct 29, 2021 | 101 | Declaration (Exhibit 18 - Defs' Invalidity and Unenforceability Contentions) (30) Docket Text: Declaration of Attorney Joseph T. Leone filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 10454515 File Wrapper, # (2) Exhibit 2 - US20160065702A1, # (3) Exhibit 3 - US20150358439A1, # (4) Exhibit 4 - US20150301561A1, # (5) Exhibit 5 - WO-2015-127376, # (6) Exhibit 6 - US20150244126A1, # (7) Exhibit 7 - 444 Patent, # (8) Exhibit 8 - 62040037, # (9) Exhibit 9 - 61943986, # (10) Exhibit 10 - US20190132018A1, # (11) Exhibit 11 - US20180241429A1, # (12) Exhibit 12 - US20160309010A1, # (13) Exhibit 13 - US20200252097A1, # (14) Exhibit 14 - US20200266846A1, # (15) Exhibit 15 - US20190132019A1, # (16) Exhibit 16 - NPI Disclosure of Asserted Claims and Infringement Contentions, # (17) Exhibit 17 - NPI Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (18) Exhibit 18 - Defs' Invalidity and Unenforceability Contentions, # (19) Exhibit 19 - Defs' Amended Invalidity and Unenforceability Contentions, # (20) Exhibit 20 - Unitary, # (21) Exhibit 21 - Perimeter, # (22) Exhibit 22 - 9706026 File Wrapper) (Van Camp, Elijah) |
| Oct 29, 2021 | 101 | Declaration (Exhibit 19 - Defs' Amended Invalidity and Unenforceability Contentions) (30) Docket Text: Declaration of Attorney Joseph T. Leone filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 10454515 File Wrapper, # (2) Exhibit 2 - US20160065702A1, # (3) Exhibit 3 - US20150358439A1, # (4) Exhibit 4 - US20150301561A1, # (5) Exhibit 5 - WO-2015-127376, # (6) Exhibit 6 - US20150244126A1, # (7) Exhibit 7 - 444 Patent, # (8) Exhibit 8 - 62040037, # (9) Exhibit 9 - 61943986, # (10) Exhibit 10 - US20190132018A1, # (11) Exhibit 11 - US20180241429A1, # (12) Exhibit 12 - US20160309010A1, # (13) Exhibit 13 - US20200252097A1, # (14) Exhibit 14 - US20200266846A1, # (15) Exhibit 15 - US20190132019A1, # (16) Exhibit 16 - NPI Disclosure of Asserted Claims and Infringement Contentions, # (17) Exhibit 17 - NPI Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (18) Exhibit 18 - Defs' Invalidity and Unenforceability Contentions, # (19) Exhibit 19 - Defs' Amended Invalidity and Unenforceability Contentions, # (20) Exhibit 20 - Unitary, # (21) Exhibit 21 - Perimeter, # (22) Exhibit 22 - 9706026 File Wrapper) (Van Camp, Elijah) |
| Oct 29, 2021 | 101 | Declaration (Exhibit 20 - Unitary) (11) Docket Text: Declaration of Attorney Joseph T. Leone filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 10454515 File Wrapper, # (2) Exhibit 2 - US20160065702A1, # (3) Exhibit 3 - US20150358439A1, # (4) Exhibit 4 - US20150301561A1, # (5) Exhibit 5 - WO-2015-127376, # (6) Exhibit 6 - US20150244126A1, # (7) Exhibit 7 - 444 Patent, # (8) Exhibit 8 - 62040037, # (9) Exhibit 9 - 61943986, # (10) Exhibit 10 - US20190132018A1, # (11) Exhibit 11 - US20180241429A1, # (12) Exhibit 12 - US20160309010A1, # (13) Exhibit 13 - US20200252097A1, # (14) Exhibit 14 - US20200266846A1, # (15) Exhibit 15 - US20190132019A1, # (16) Exhibit 16 - NPI Disclosure of Asserted Claims and Infringement Contentions, # (17) Exhibit 17 - NPI Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (18) Exhibit 18 - Defs' Invalidity and Unenforceability Contentions, # (19) Exhibit 19 - Defs' Amended Invalidity and Unenforceability Contentions, # (20) Exhibit 20 - Unitary, # (21) Exhibit 21 - Perimeter, # (22) Exhibit 22 - 9706026 File Wrapper) (Van Camp, Elijah) |
| Oct 29, 2021 | 101 | Declaration (Exhibit 21 - Perimeter) (12) Docket Text: Declaration of Attorney Joseph T. Leone filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 10454515 File Wrapper, # (2) Exhibit 2 - US20160065702A1, # (3) Exhibit 3 - US20150358439A1, # (4) Exhibit 4 - US20150301561A1, # (5) Exhibit 5 - WO-2015-127376, # (6) Exhibit 6 - US20150244126A1, # (7) Exhibit 7 - 444 Patent, # (8) Exhibit 8 - 62040037, # (9) Exhibit 9 - 61943986, # (10) Exhibit 10 - US20190132018A1, # (11) Exhibit 11 - US20180241429A1, # (12) Exhibit 12 - US20160309010A1, # (13) Exhibit 13 - US20200252097A1, # (14) Exhibit 14 - US20200266846A1, # (15) Exhibit 15 - US20190132019A1, # (16) Exhibit 16 - NPI Disclosure of Asserted Claims and Infringement Contentions, # (17) Exhibit 17 - NPI Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (18) Exhibit 18 - Defs' Invalidity and Unenforceability Contentions, # (19) Exhibit 19 - Defs' Amended Invalidity and Unenforceability Contentions, # (20) Exhibit 20 - Unitary, # (21) Exhibit 21 - Perimeter, # (22) Exhibit 22 - 9706026 File Wrapper) (Van Camp, Elijah) |
| Oct 29, 2021 | 101 | Declaration (Exhibit 22 - 9706026 File Wrapper) (30) Docket Text: Declaration of Attorney Joseph T. Leone filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Attachments: # (1) Exhibit 1 - 10454515 File Wrapper, # (2) Exhibit 2 - US20160065702A1, # (3) Exhibit 3 - US20150358439A1, # (4) Exhibit 4 - US20150301561A1, # (5) Exhibit 5 - WO-2015-127376, # (6) Exhibit 6 - US20150244126A1, # (7) Exhibit 7 - 444 Patent, # (8) Exhibit 8 - 62040037, # (9) Exhibit 9 - 61943986, # (10) Exhibit 10 - US20190132018A1, # (11) Exhibit 11 - US20180241429A1, # (12) Exhibit 12 - US20160309010A1, # (13) Exhibit 13 - US20200252097A1, # (14) Exhibit 14 - US20200266846A1, # (15) Exhibit 15 - US20190132019A1, # (16) Exhibit 16 - NPI Disclosure of Asserted Claims and Infringement Contentions, # (17) Exhibit 17 - NPI Supplemental Disclosure of Asserted Claims and Infringement Contentions, # (18) Exhibit 18 - Defs' Invalidity and Unenforceability Contentions, # (19) Exhibit 19 - Defs' Amended Invalidity and Unenforceability Contentions, # (20) Exhibit 20 - Unitary, # (21) Exhibit 21 - Perimeter, # (22) Exhibit 22 - 9706026 File Wrapper) (Van Camp, Elijah) |
| Oct 29, 2021 | 102 | Proposed Findings of Fact (30) Docket Text: Proposed Findings of Fact filed by Defendants Brodit AB, ProClip USA, Inc. re: [92] Motion for Summary Judgment (Hovden, Christopher) |
| Oct 29, 2021 | 103 | Brief in Support (30) Docket Text: Brief in Support of [96] Motion for Partial Summary Judgment by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. (Kaempf, Jessica) |
| Oct 29, 2021 | 104 | Proposed Findings of Fact (30) Docket Text: Proposed Findings of Fact filed by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. re: [96] Motion for Partial Summary Judgment (Kaempf, Jessica) |
| Oct 28, 2021 | 81 | Expert Report (Main Document) (30) Docket Text: Expert Report of Jason D. Stigge regarding '026 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit B - File history of US Pat App No 14/936,517, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 A1, # (6) Exhibit F - US Pat No 5,535,274, # (7) Exhibit G - US Pat No 7,480,138, # (8) Exhibit H - US Pat Pub No 2013/0273752 A1, # (9) Exhibit I - Chinese Patent No CN 202565335 U, # (10) Exhibit J - English Translation of Chinese Patent No CN 202565335 U, # (11) Exhibit K - Korean Patent No KR20-0265673, # (12) Exhibit M - PO Asserted Claims and Infringement Contentions, # (13) Exhibit N - US Pat No 7,859,222, # (14) Exhibit O - Declaration of Kimberly K. Cameron, # (15) Exhibit P - Gamber-Johnson LLC v. NPI IPR2020-01159 Petition for IPR, # (16) Exhibit Q - Declaration of Jason Lewandowski re Case IPR2021-01159, # (17) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (18) Exhibit W - Jason Stigge CV, # (19) Exhibit BI - Claim Chart Not Entitled to 2-24-2014 Priority, # (20) Exhibit BJ - Claim Chart Not Entitled to 3-21-2014 Priority, # (21) Exhibit BK - Claim Chart Not Entitled to 8-21-2014 Priority, # (22) Exhibit BL - Claim Chart Not Entitled to 2-23-2015 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 81 | Expert Report (Exhibit A - US Patent No. 9,706,026) (30) Docket Text: Expert Report of Jason D. Stigge regarding '026 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit B - File history of US Pat App No 14/936,517, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 A1, # (6) Exhibit F - US Pat No 5,535,274, # (7) Exhibit G - US Pat No 7,480,138, # (8) Exhibit H - US Pat Pub No 2013/0273752 A1, # (9) Exhibit I - Chinese Patent No CN 202565335 U, # (10) Exhibit J - English Translation of Chinese Patent No CN 202565335 U, # (11) Exhibit K - Korean Patent No KR20-0265673, # (12) Exhibit M - PO Asserted Claims and Infringement Contentions, # (13) Exhibit N - US Pat No 7,859,222, # (14) Exhibit O - Declaration of Kimberly K. Cameron, # (15) Exhibit P - Gamber-Johnson LLC v. NPI IPR2020-01159 Petition for IPR, # (16) Exhibit Q - Declaration of Jason Lewandowski re Case IPR2021-01159, # (17) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (18) Exhibit W - Jason Stigge CV, # (19) Exhibit BI - Claim Chart Not Entitled to 2-24-2014 Priority, # (20) Exhibit BJ - Claim Chart Not Entitled to 3-21-2014 Priority, # (21) Exhibit BK - Claim Chart Not Entitled to 8-21-2014 Priority, # (22) Exhibit BL - Claim Chart Not Entitled to 2-23-2015 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 81 | Expert Report (Exhibit B - File history of US Pat App No 14/936,517) (30) Docket Text: Expert Report of Jason D. Stigge regarding '026 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit B - File history of US Pat App No 14/936,517, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 A1, # (6) Exhibit F - US Pat No 5,535,274, # (7) Exhibit G - US Pat No 7,480,138, # (8) Exhibit H - US Pat Pub No 2013/0273752 A1, # (9) Exhibit I - Chinese Patent No CN 202565335 U, # (10) Exhibit J - English Translation of Chinese Patent No CN 202565335 U, # (11) Exhibit K - Korean Patent No KR20-0265673, # (12) Exhibit M - PO Asserted Claims and Infringement Contentions, # (13) Exhibit N - US Pat No 7,859,222, # (14) Exhibit O - Declaration of Kimberly K. Cameron, # (15) Exhibit P - Gamber-Johnson LLC v. NPI IPR2020-01159 Petition for IPR, # (16) Exhibit Q - Declaration of Jason Lewandowski re Case IPR2021-01159, # (17) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (18) Exhibit W - Jason Stigge CV, # (19) Exhibit BI - Claim Chart Not Entitled to 2-24-2014 Priority, # (20) Exhibit BJ - Claim Chart Not Entitled to 3-21-2014 Priority, # (21) Exhibit BK - Claim Chart Not Entitled to 8-21-2014 Priority, # (22) Exhibit BL - Claim Chart Not Entitled to 2-23-2015 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 81 | Expert Report (Exhibit C - US Pat Pub No 2015/0244126 A1) (30) Docket Text: Expert Report of Jason D. Stigge regarding '026 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit B - File history of US Pat App No 14/936,517, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 A1, # (6) Exhibit F - US Pat No 5,535,274, # (7) Exhibit G - US Pat No 7,480,138, # (8) Exhibit H - US Pat Pub No 2013/0273752 A1, # (9) Exhibit I - Chinese Patent No CN 202565335 U, # (10) Exhibit J - English Translation of Chinese Patent No CN 202565335 U, # (11) Exhibit K - Korean Patent No KR20-0265673, # (12) Exhibit M - PO Asserted Claims and Infringement Contentions, # (13) Exhibit N - US Pat No 7,859,222, # (14) Exhibit O - Declaration of Kimberly K. Cameron, # (15) Exhibit P - Gamber-Johnson LLC v. NPI IPR2020-01159 Petition for IPR, # (16) Exhibit Q - Declaration of Jason Lewandowski re Case IPR2021-01159, # (17) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (18) Exhibit W - Jason Stigge CV, # (19) Exhibit BI - Claim Chart Not Entitled to 2-24-2014 Priority, # (20) Exhibit BJ - Claim Chart Not Entitled to 3-21-2014 Priority, # (21) Exhibit BK - Claim Chart Not Entitled to 8-21-2014 Priority, # (22) Exhibit BL - Claim Chart Not Entitled to 2-23-2015 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 81 | Expert Report (Exhibit D - WO 2015/127376 A1) (30) Docket Text: Expert Report of Jason D. Stigge regarding '026 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit B - File history of US Pat App No 14/936,517, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 A1, # (6) Exhibit F - US Pat No 5,535,274, # (7) Exhibit G - US Pat No 7,480,138, # (8) Exhibit H - US Pat Pub No 2013/0273752 A1, # (9) Exhibit I - Chinese Patent No CN 202565335 U, # (10) Exhibit J - English Translation of Chinese Patent No CN 202565335 U, # (11) Exhibit K - Korean Patent No KR20-0265673, # (12) Exhibit M - PO Asserted Claims and Infringement Contentions, # (13) Exhibit N - US Pat No 7,859,222, # (14) Exhibit O - Declaration of Kimberly K. Cameron, # (15) Exhibit P - Gamber-Johnson LLC v. NPI IPR2020-01159 Petition for IPR, # (16) Exhibit Q - Declaration of Jason Lewandowski re Case IPR2021-01159, # (17) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (18) Exhibit W - Jason Stigge CV, # (19) Exhibit BI - Claim Chart Not Entitled to 2-24-2014 Priority, # (20) Exhibit BJ - Claim Chart Not Entitled to 3-21-2014 Priority, # (21) Exhibit BK - Claim Chart Not Entitled to 8-21-2014 Priority, # (22) Exhibit BL - Claim Chart Not Entitled to 2-23-2015 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 81 | Expert Report (Exhibit E - US Pat Pub No 2015/0241931 A1) (30) Docket Text: Expert Report of Jason D. Stigge regarding '026 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit B - File history of US Pat App No 14/936,517, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 A1, # (6) Exhibit F - US Pat No 5,535,274, # (7) Exhibit G - US Pat No 7,480,138, # (8) Exhibit H - US Pat Pub No 2013/0273752 A1, # (9) Exhibit I - Chinese Patent No CN 202565335 U, # (10) Exhibit J - English Translation of Chinese Patent No CN 202565335 U, # (11) Exhibit K - Korean Patent No KR20-0265673, # (12) Exhibit M - PO Asserted Claims and Infringement Contentions, # (13) Exhibit N - US Pat No 7,859,222, # (14) Exhibit O - Declaration of Kimberly K. Cameron, # (15) Exhibit P - Gamber-Johnson LLC v. NPI IPR2020-01159 Petition for IPR, # (16) Exhibit Q - Declaration of Jason Lewandowski re Case IPR2021-01159, # (17) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (18) Exhibit W - Jason Stigge CV, # (19) Exhibit BI - Claim Chart Not Entitled to 2-24-2014 Priority, # (20) Exhibit BJ - Claim Chart Not Entitled to 3-21-2014 Priority, # (21) Exhibit BK - Claim Chart Not Entitled to 8-21-2014 Priority, # (22) Exhibit BL - Claim Chart Not Entitled to 2-23-2015 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 81 | Expert Report (Exhibit F - US Pat No 5,535,274) (30) Docket Text: Expert Report of Jason D. Stigge regarding '026 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit B - File history of US Pat App No 14/936,517, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 A1, # (6) Exhibit F - US Pat No 5,535,274, # (7) Exhibit G - US Pat No 7,480,138, # (8) Exhibit H - US Pat Pub No 2013/0273752 A1, # (9) Exhibit I - Chinese Patent No CN 202565335 U, # (10) Exhibit J - English Translation of Chinese Patent No CN 202565335 U, # (11) Exhibit K - Korean Patent No KR20-0265673, # (12) Exhibit M - PO Asserted Claims and Infringement Contentions, # (13) Exhibit N - US Pat No 7,859,222, # (14) Exhibit O - Declaration of Kimberly K. Cameron, # (15) Exhibit P - Gamber-Johnson LLC v. NPI IPR2020-01159 Petition for IPR, # (16) Exhibit Q - Declaration of Jason Lewandowski re Case IPR2021-01159, # (17) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (18) Exhibit W - Jason Stigge CV, # (19) Exhibit BI - Claim Chart Not Entitled to 2-24-2014 Priority, # (20) Exhibit BJ - Claim Chart Not Entitled to 3-21-2014 Priority, # (21) Exhibit BK - Claim Chart Not Entitled to 8-21-2014 Priority, # (22) Exhibit BL - Claim Chart Not Entitled to 2-23-2015 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 81 | Expert Report (Exhibit G - US Pat No 7,480,138) (10) Docket Text: Expert Report of Jason D. Stigge regarding '026 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit B - File history of US Pat App No 14/936,517, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 A1, # (6) Exhibit F - US Pat No 5,535,274, # (7) Exhibit G - US Pat No 7,480,138, # (8) Exhibit H - US Pat Pub No 2013/0273752 A1, # (9) Exhibit I - Chinese Patent No CN 202565335 U, # (10) Exhibit J - English Translation of Chinese Patent No CN 202565335 U, # (11) Exhibit K - Korean Patent No KR20-0265673, # (12) Exhibit M - PO Asserted Claims and Infringement Contentions, # (13) Exhibit N - US Pat No 7,859,222, # (14) Exhibit O - Declaration of Kimberly K. Cameron, # (15) Exhibit P - Gamber-Johnson LLC v. NPI IPR2020-01159 Petition for IPR, # (16) Exhibit Q - Declaration of Jason Lewandowski re Case IPR2021-01159, # (17) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (18) Exhibit W - Jason Stigge CV, # (19) Exhibit BI - Claim Chart Not Entitled to 2-24-2014 Priority, # (20) Exhibit BJ - Claim Chart Not Entitled to 3-21-2014 Priority, # (21) Exhibit BK - Claim Chart Not Entitled to 8-21-2014 Priority, # (22) Exhibit BL - Claim Chart Not Entitled to 2-23-2015 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 81 | Expert Report (Exhibit H - US Pat Pub No 2013/0273752 A1) (25) Docket Text: Expert Report of Jason D. Stigge regarding '026 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit B - File history of US Pat App No 14/936,517, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 A1, # (6) Exhibit F - US Pat No 5,535,274, # (7) Exhibit G - US Pat No 7,480,138, # (8) Exhibit H - US Pat Pub No 2013/0273752 A1, # (9) Exhibit I - Chinese Patent No CN 202565335 U, # (10) Exhibit J - English Translation of Chinese Patent No CN 202565335 U, # (11) Exhibit K - Korean Patent No KR20-0265673, # (12) Exhibit M - PO Asserted Claims and Infringement Contentions, # (13) Exhibit N - US Pat No 7,859,222, # (14) Exhibit O - Declaration of Kimberly K. Cameron, # (15) Exhibit P - Gamber-Johnson LLC v. NPI IPR2020-01159 Petition for IPR, # (16) Exhibit Q - Declaration of Jason Lewandowski re Case IPR2021-01159, # (17) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (18) Exhibit W - Jason Stigge CV, # (19) Exhibit BI - Claim Chart Not Entitled to 2-24-2014 Priority, # (20) Exhibit BJ - Claim Chart Not Entitled to 3-21-2014 Priority, # (21) Exhibit BK - Claim Chart Not Entitled to 8-21-2014 Priority, # (22) Exhibit BL - Claim Chart Not Entitled to 2-23-2015 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 81 | Expert Report (Exhibit I - Chinese Patent No CN 202565335 U) (8) Docket Text: Expert Report of Jason D. Stigge regarding '026 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit B - File history of US Pat App No 14/936,517, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 A1, # (6) Exhibit F - US Pat No 5,535,274, # (7) Exhibit G - US Pat No 7,480,138, # (8) Exhibit H - US Pat Pub No 2013/0273752 A1, # (9) Exhibit I - Chinese Patent No CN 202565335 U, # (10) Exhibit J - English Translation of Chinese Patent No CN 202565335 U, # (11) Exhibit K - Korean Patent No KR20-0265673, # (12) Exhibit M - PO Asserted Claims and Infringement Contentions, # (13) Exhibit N - US Pat No 7,859,222, # (14) Exhibit O - Declaration of Kimberly K. Cameron, # (15) Exhibit P - Gamber-Johnson LLC v. NPI IPR2020-01159 Petition for IPR, # (16) Exhibit Q - Declaration of Jason Lewandowski re Case IPR2021-01159, # (17) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (18) Exhibit W - Jason Stigge CV, # (19) Exhibit BI - Claim Chart Not Entitled to 2-24-2014 Priority, # (20) Exhibit BJ - Claim Chart Not Entitled to 3-21-2014 Priority, # (21) Exhibit BK - Claim Chart Not Entitled to 8-21-2014 Priority, # (22) Exhibit BL - Claim Chart Not Entitled to 2-23-2015 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 81 | Expert Report (Exhibit J - English Translation of Chinese Patent No CN 202565335 U) (10) Docket Text: Expert Report of Jason D. Stigge regarding '026 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit B - File history of US Pat App No 14/936,517, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 A1, # (6) Exhibit F - US Pat No 5,535,274, # (7) Exhibit G - US Pat No 7,480,138, # (8) Exhibit H - US Pat Pub No 2013/0273752 A1, # (9) Exhibit I - Chinese Patent No CN 202565335 U, # (10) Exhibit J - English Translation of Chinese Patent No CN 202565335 U, # (11) Exhibit K - Korean Patent No KR20-0265673, # (12) Exhibit M - PO Asserted Claims and Infringement Contentions, # (13) Exhibit N - US Pat No 7,859,222, # (14) Exhibit O - Declaration of Kimberly K. Cameron, # (15) Exhibit P - Gamber-Johnson LLC v. NPI IPR2020-01159 Petition for IPR, # (16) Exhibit Q - Declaration of Jason Lewandowski re Case IPR2021-01159, # (17) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (18) Exhibit W - Jason Stigge CV, # (19) Exhibit BI - Claim Chart Not Entitled to 2-24-2014 Priority, # (20) Exhibit BJ - Claim Chart Not Entitled to 3-21-2014 Priority, # (21) Exhibit BK - Claim Chart Not Entitled to 8-21-2014 Priority, # (22) Exhibit BL - Claim Chart Not Entitled to 2-23-2015 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 81 | Expert Report (Exhibit K - Korean Patent No KR20-0265673) (11) Docket Text: Expert Report of Jason D. Stigge regarding '026 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit B - File history of US Pat App No 14/936,517, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 A1, # (6) Exhibit F - US Pat No 5,535,274, # (7) Exhibit G - US Pat No 7,480,138, # (8) Exhibit H - US Pat Pub No 2013/0273752 A1, # (9) Exhibit I - Chinese Patent No CN 202565335 U, # (10) Exhibit J - English Translation of Chinese Patent No CN 202565335 U, # (11) Exhibit K - Korean Patent No KR20-0265673, # (12) Exhibit M - PO Asserted Claims and Infringement Contentions, # (13) Exhibit N - US Pat No 7,859,222, # (14) Exhibit O - Declaration of Kimberly K. Cameron, # (15) Exhibit P - Gamber-Johnson LLC v. NPI IPR2020-01159 Petition for IPR, # (16) Exhibit Q - Declaration of Jason Lewandowski re Case IPR2021-01159, # (17) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (18) Exhibit W - Jason Stigge CV, # (19) Exhibit BI - Claim Chart Not Entitled to 2-24-2014 Priority, # (20) Exhibit BJ - Claim Chart Not Entitled to 3-21-2014 Priority, # (21) Exhibit BK - Claim Chart Not Entitled to 8-21-2014 Priority, # (22) Exhibit BL - Claim Chart Not Entitled to 2-23-2015 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 81 | Expert Report (Exhibit M - PO Asserted Claims and Infringement Contentions) (30) Docket Text: Expert Report of Jason D. Stigge regarding '026 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit B - File history of US Pat App No 14/936,517, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 A1, # (6) Exhibit F - US Pat No 5,535,274, # (7) Exhibit G - US Pat No 7,480,138, # (8) Exhibit H - US Pat Pub No 2013/0273752 A1, # (9) Exhibit I - Chinese Patent No CN 202565335 U, # (10) Exhibit J - English Translation of Chinese Patent No CN 202565335 U, # (11) Exhibit K - Korean Patent No KR20-0265673, # (12) Exhibit M - PO Asserted Claims and Infringement Contentions, # (13) Exhibit N - US Pat No 7,859,222, # (14) Exhibit O - Declaration of Kimberly K. Cameron, # (15) Exhibit P - Gamber-Johnson LLC v. NPI IPR2020-01159 Petition for IPR, # (16) Exhibit Q - Declaration of Jason Lewandowski re Case IPR2021-01159, # (17) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (18) Exhibit W - Jason Stigge CV, # (19) Exhibit BI - Claim Chart Not Entitled to 2-24-2014 Priority, # (20) Exhibit BJ - Claim Chart Not Entitled to 3-21-2014 Priority, # (21) Exhibit BK - Claim Chart Not Entitled to 8-21-2014 Priority, # (22) Exhibit BL - Claim Chart Not Entitled to 2-23-2015 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 81 | Expert Report (Exhibit N - US Pat No 7,859,222) (27) Docket Text: Expert Report of Jason D. Stigge regarding '026 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit B - File history of US Pat App No 14/936,517, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 A1, # (6) Exhibit F - US Pat No 5,535,274, # (7) Exhibit G - US Pat No 7,480,138, # (8) Exhibit H - US Pat Pub No 2013/0273752 A1, # (9) Exhibit I - Chinese Patent No CN 202565335 U, # (10) Exhibit J - English Translation of Chinese Patent No CN 202565335 U, # (11) Exhibit K - Korean Patent No KR20-0265673, # (12) Exhibit M - PO Asserted Claims and Infringement Contentions, # (13) Exhibit N - US Pat No 7,859,222, # (14) Exhibit O - Declaration of Kimberly K. Cameron, # (15) Exhibit P - Gamber-Johnson LLC v. NPI IPR2020-01159 Petition for IPR, # (16) Exhibit Q - Declaration of Jason Lewandowski re Case IPR2021-01159, # (17) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (18) Exhibit W - Jason Stigge CV, # (19) Exhibit BI - Claim Chart Not Entitled to 2-24-2014 Priority, # (20) Exhibit BJ - Claim Chart Not Entitled to 3-21-2014 Priority, # (21) Exhibit BK - Claim Chart Not Entitled to 8-21-2014 Priority, # (22) Exhibit BL - Claim Chart Not Entitled to 2-23-2015 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 81 | Expert Report (Exhibit O - Declaration of Kimberly K. Cameron) (30) Docket Text: Expert Report of Jason D. Stigge regarding '026 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit B - File history of US Pat App No 14/936,517, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 A1, # (6) Exhibit F - US Pat No 5,535,274, # (7) Exhibit G - US Pat No 7,480,138, # (8) Exhibit H - US Pat Pub No 2013/0273752 A1, # (9) Exhibit I - Chinese Patent No CN 202565335 U, # (10) Exhibit J - English Translation of Chinese Patent No CN 202565335 U, # (11) Exhibit K - Korean Patent No KR20-0265673, # (12) Exhibit M - PO Asserted Claims and Infringement Contentions, # (13) Exhibit N - US Pat No 7,859,222, # (14) Exhibit O - Declaration of Kimberly K. Cameron, # (15) Exhibit P - Gamber-Johnson LLC v. NPI IPR2020-01159 Petition for IPR, # (16) Exhibit Q - Declaration of Jason Lewandowski re Case IPR2021-01159, # (17) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (18) Exhibit W - Jason Stigge CV, # (19) Exhibit BI - Claim Chart Not Entitled to 2-24-2014 Priority, # (20) Exhibit BJ - Claim Chart Not Entitled to 3-21-2014 Priority, # (21) Exhibit BK - Claim Chart Not Entitled to 8-21-2014 Priority, # (22) Exhibit BL - Claim Chart Not Entitled to 2-23-2015 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 81 | Expert Report (Exhibit P - Gamber-Johnson LLC v. NPI IPR2020-01159 Petition for IPR) (30) Docket Text: Expert Report of Jason D. Stigge regarding '026 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit B - File history of US Pat App No 14/936,517, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 A1, # (6) Exhibit F - US Pat No 5,535,274, # (7) Exhibit G - US Pat No 7,480,138, # (8) Exhibit H - US Pat Pub No 2013/0273752 A1, # (9) Exhibit I - Chinese Patent No CN 202565335 U, # (10) Exhibit J - English Translation of Chinese Patent No CN 202565335 U, # (11) Exhibit K - Korean Patent No KR20-0265673, # (12) Exhibit M - PO Asserted Claims and Infringement Contentions, # (13) Exhibit N - US Pat No 7,859,222, # (14) Exhibit O - Declaration of Kimberly K. Cameron, # (15) Exhibit P - Gamber-Johnson LLC v. NPI IPR2020-01159 Petition for IPR, # (16) Exhibit Q - Declaration of Jason Lewandowski re Case IPR2021-01159, # (17) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (18) Exhibit W - Jason Stigge CV, # (19) Exhibit BI - Claim Chart Not Entitled to 2-24-2014 Priority, # (20) Exhibit BJ - Claim Chart Not Entitled to 3-21-2014 Priority, # (21) Exhibit BK - Claim Chart Not Entitled to 8-21-2014 Priority, # (22) Exhibit BL - Claim Chart Not Entitled to 2-23-2015 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 81 | Expert Report (Exhibit Q - Declaration of Jason Lewandowski re Case IPR2021-01159) (30) Docket Text: Expert Report of Jason D. Stigge regarding '026 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit B - File history of US Pat App No 14/936,517, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 A1, # (6) Exhibit F - US Pat No 5,535,274, # (7) Exhibit G - US Pat No 7,480,138, # (8) Exhibit H - US Pat Pub No 2013/0273752 A1, # (9) Exhibit I - Chinese Patent No CN 202565335 U, # (10) Exhibit J - English Translation of Chinese Patent No CN 202565335 U, # (11) Exhibit K - Korean Patent No KR20-0265673, # (12) Exhibit M - PO Asserted Claims and Infringement Contentions, # (13) Exhibit N - US Pat No 7,859,222, # (14) Exhibit O - Declaration of Kimberly K. Cameron, # (15) Exhibit P - Gamber-Johnson LLC v. NPI IPR2020-01159 Petition for IPR, # (16) Exhibit Q - Declaration of Jason Lewandowski re Case IPR2021-01159, # (17) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (18) Exhibit W - Jason Stigge CV, # (19) Exhibit BI - Claim Chart Not Entitled to 2-24-2014 Priority, # (20) Exhibit BJ - Claim Chart Not Entitled to 3-21-2014 Priority, # (21) Exhibit BK - Claim Chart Not Entitled to 8-21-2014 Priority, # (22) Exhibit BL - Claim Chart Not Entitled to 2-23-2015 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 81 | Expert Report (Exhibit V - Jason Stigge Rule 26 Deposition Testimony) (1) Docket Text: Expert Report of Jason D. Stigge regarding '026 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit B - File history of US Pat App No 14/936,517, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 A1, # (6) Exhibit F - US Pat No 5,535,274, # (7) Exhibit G - US Pat No 7,480,138, # (8) Exhibit H - US Pat Pub No 2013/0273752 A1, # (9) Exhibit I - Chinese Patent No CN 202565335 U, # (10) Exhibit J - English Translation of Chinese Patent No CN 202565335 U, # (11) Exhibit K - Korean Patent No KR20-0265673, # (12) Exhibit M - PO Asserted Claims and Infringement Contentions, # (13) Exhibit N - US Pat No 7,859,222, # (14) Exhibit O - Declaration of Kimberly K. Cameron, # (15) Exhibit P - Gamber-Johnson LLC v. NPI IPR2020-01159 Petition for IPR, # (16) Exhibit Q - Declaration of Jason Lewandowski re Case IPR2021-01159, # (17) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (18) Exhibit W - Jason Stigge CV, # (19) Exhibit BI - Claim Chart Not Entitled to 2-24-2014 Priority, # (20) Exhibit BJ - Claim Chart Not Entitled to 3-21-2014 Priority, # (21) Exhibit BK - Claim Chart Not Entitled to 8-21-2014 Priority, # (22) Exhibit BL - Claim Chart Not Entitled to 2-23-2015 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 81 | Expert Report (Exhibit W - Jason Stigge CV) (2) Docket Text: Expert Report of Jason D. Stigge regarding '026 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit B - File history of US Pat App No 14/936,517, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 A1, # (6) Exhibit F - US Pat No 5,535,274, # (7) Exhibit G - US Pat No 7,480,138, # (8) Exhibit H - US Pat Pub No 2013/0273752 A1, # (9) Exhibit I - Chinese Patent No CN 202565335 U, # (10) Exhibit J - English Translation of Chinese Patent No CN 202565335 U, # (11) Exhibit K - Korean Patent No KR20-0265673, # (12) Exhibit M - PO Asserted Claims and Infringement Contentions, # (13) Exhibit N - US Pat No 7,859,222, # (14) Exhibit O - Declaration of Kimberly K. Cameron, # (15) Exhibit P - Gamber-Johnson LLC v. NPI IPR2020-01159 Petition for IPR, # (16) Exhibit Q - Declaration of Jason Lewandowski re Case IPR2021-01159, # (17) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (18) Exhibit W - Jason Stigge CV, # (19) Exhibit BI - Claim Chart Not Entitled to 2-24-2014 Priority, # (20) Exhibit BJ - Claim Chart Not Entitled to 3-21-2014 Priority, # (21) Exhibit BK - Claim Chart Not Entitled to 8-21-2014 Priority, # (22) Exhibit BL - Claim Chart Not Entitled to 2-23-2015 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 81 | Expert Report (Exhibit BI - Claim Chart Not Entitled to 2-24-2014 Priority) (16) Docket Text: Expert Report of Jason D. Stigge regarding '026 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit B - File history of US Pat App No 14/936,517, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 A1, # (6) Exhibit F - US Pat No 5,535,274, # (7) Exhibit G - US Pat No 7,480,138, # (8) Exhibit H - US Pat Pub No 2013/0273752 A1, # (9) Exhibit I - Chinese Patent No CN 202565335 U, # (10) Exhibit J - English Translation of Chinese Patent No CN 202565335 U, # (11) Exhibit K - Korean Patent No KR20-0265673, # (12) Exhibit M - PO Asserted Claims and Infringement Contentions, # (13) Exhibit N - US Pat No 7,859,222, # (14) Exhibit O - Declaration of Kimberly K. Cameron, # (15) Exhibit P - Gamber-Johnson LLC v. NPI IPR2020-01159 Petition for IPR, # (16) Exhibit Q - Declaration of Jason Lewandowski re Case IPR2021-01159, # (17) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (18) Exhibit W - Jason Stigge CV, # (19) Exhibit BI - Claim Chart Not Entitled to 2-24-2014 Priority, # (20) Exhibit BJ - Claim Chart Not Entitled to 3-21-2014 Priority, # (21) Exhibit BK - Claim Chart Not Entitled to 8-21-2014 Priority, # (22) Exhibit BL - Claim Chart Not Entitled to 2-23-2015 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 81 | Expert Report (Exhibit BJ - Claim Chart Not Entitled to 3-21-2014 Priority) (15) Docket Text: Expert Report of Jason D. Stigge regarding '026 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit B - File history of US Pat App No 14/936,517, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 A1, # (6) Exhibit F - US Pat No 5,535,274, # (7) Exhibit G - US Pat No 7,480,138, # (8) Exhibit H - US Pat Pub No 2013/0273752 A1, # (9) Exhibit I - Chinese Patent No CN 202565335 U, # (10) Exhibit J - English Translation of Chinese Patent No CN 202565335 U, # (11) Exhibit K - Korean Patent No KR20-0265673, # (12) Exhibit M - PO Asserted Claims and Infringement Contentions, # (13) Exhibit N - US Pat No 7,859,222, # (14) Exhibit O - Declaration of Kimberly K. Cameron, # (15) Exhibit P - Gamber-Johnson LLC v. NPI IPR2020-01159 Petition for IPR, # (16) Exhibit Q - Declaration of Jason Lewandowski re Case IPR2021-01159, # (17) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (18) Exhibit W - Jason Stigge CV, # (19) Exhibit BI - Claim Chart Not Entitled to 2-24-2014 Priority, # (20) Exhibit BJ - Claim Chart Not Entitled to 3-21-2014 Priority, # (21) Exhibit BK - Claim Chart Not Entitled to 8-21-2014 Priority, # (22) Exhibit BL - Claim Chart Not Entitled to 2-23-2015 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 81 | Expert Report (Exhibit BK - Claim Chart Not Entitled to 8-21-2014 Priority) (16) Docket Text: Expert Report of Jason D. Stigge regarding '026 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit B - File history of US Pat App No 14/936,517, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 A1, # (6) Exhibit F - US Pat No 5,535,274, # (7) Exhibit G - US Pat No 7,480,138, # (8) Exhibit H - US Pat Pub No 2013/0273752 A1, # (9) Exhibit I - Chinese Patent No CN 202565335 U, # (10) Exhibit J - English Translation of Chinese Patent No CN 202565335 U, # (11) Exhibit K - Korean Patent No KR20-0265673, # (12) Exhibit M - PO Asserted Claims and Infringement Contentions, # (13) Exhibit N - US Pat No 7,859,222, # (14) Exhibit O - Declaration of Kimberly K. Cameron, # (15) Exhibit P - Gamber-Johnson LLC v. NPI IPR2020-01159 Petition for IPR, # (16) Exhibit Q - Declaration of Jason Lewandowski re Case IPR2021-01159, # (17) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (18) Exhibit W - Jason Stigge CV, # (19) Exhibit BI - Claim Chart Not Entitled to 2-24-2014 Priority, # (20) Exhibit BJ - Claim Chart Not Entitled to 3-21-2014 Priority, # (21) Exhibit BK - Claim Chart Not Entitled to 8-21-2014 Priority, # (22) Exhibit BL - Claim Chart Not Entitled to 2-23-2015 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 81 | Expert Report (Exhibit BL - Claim Chart Not Entitled to 2-23-2015 Priority) (16) Docket Text: Expert Report of Jason D. Stigge regarding '026 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit B - File history of US Pat App No 14/936,517, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 A1, # (6) Exhibit F - US Pat No 5,535,274, # (7) Exhibit G - US Pat No 7,480,138, # (8) Exhibit H - US Pat Pub No 2013/0273752 A1, # (9) Exhibit I - Chinese Patent No CN 202565335 U, # (10) Exhibit J - English Translation of Chinese Patent No CN 202565335 U, # (11) Exhibit K - Korean Patent No KR20-0265673, # (12) Exhibit M - PO Asserted Claims and Infringement Contentions, # (13) Exhibit N - US Pat No 7,859,222, # (14) Exhibit O - Declaration of Kimberly K. Cameron, # (15) Exhibit P - Gamber-Johnson LLC v. NPI IPR2020-01159 Petition for IPR, # (16) Exhibit Q - Declaration of Jason Lewandowski re Case IPR2021-01159, # (17) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (18) Exhibit W - Jason Stigge CV, # (19) Exhibit BI - Claim Chart Not Entitled to 2-24-2014 Priority, # (20) Exhibit BJ - Claim Chart Not Entitled to 3-21-2014 Priority, # (21) Exhibit BK - Claim Chart Not Entitled to 8-21-2014 Priority, # (22) Exhibit BL - Claim Chart Not Entitled to 2-23-2015 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 82 | Expert Report (Main Document) (30) Docket Text: Expert Report of Jason D. Stigge regarding '275 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit BA - US Patent No 10,778,275, # (2) Exhibit BB - File History of US Pat App No 16/233,635, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 AI, # (6) Exhibit H - US Pat Pub No 2013/0273752 A1, # (7) Exhibit BG - US Patent No 9,760,116, # (8) Exhibit BH - PO Asserted Claims and Infringement Contentions, # (9) Exhibit A - US Patent No 9,706,026, # (10) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (11) Exhibit W - Jason Stigge CV, # (12) Exhibit BP - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (13) Exhibit BQ - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (14) Exhibit BR - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 82 | Expert Report (Exhibit BA - US Patent No 10,778,275) (30) Docket Text: Expert Report of Jason D. Stigge regarding '275 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit BA - US Patent No 10,778,275, # (2) Exhibit BB - File History of US Pat App No 16/233,635, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 AI, # (6) Exhibit H - US Pat Pub No 2013/0273752 A1, # (7) Exhibit BG - US Patent No 9,760,116, # (8) Exhibit BH - PO Asserted Claims and Infringement Contentions, # (9) Exhibit A - US Patent No 9,706,026, # (10) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (11) Exhibit W - Jason Stigge CV, # (12) Exhibit BP - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (13) Exhibit BQ - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (14) Exhibit BR - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 82 | Expert Report (Exhibit BB - File History of US Pat App No 16/233,635) (30) Docket Text: Expert Report of Jason D. Stigge regarding '275 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit BA - US Patent No 10,778,275, # (2) Exhibit BB - File History of US Pat App No 16/233,635, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 AI, # (6) Exhibit H - US Pat Pub No 2013/0273752 A1, # (7) Exhibit BG - US Patent No 9,760,116, # (8) Exhibit BH - PO Asserted Claims and Infringement Contentions, # (9) Exhibit A - US Patent No 9,706,026, # (10) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (11) Exhibit W - Jason Stigge CV, # (12) Exhibit BP - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (13) Exhibit BQ - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (14) Exhibit BR - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 82 | Expert Report (Exhibit C - US Pat Pub No 2015/0244126 A1) (30) Docket Text: Expert Report of Jason D. Stigge regarding '275 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit BA - US Patent No 10,778,275, # (2) Exhibit BB - File History of US Pat App No 16/233,635, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 AI, # (6) Exhibit H - US Pat Pub No 2013/0273752 A1, # (7) Exhibit BG - US Patent No 9,760,116, # (8) Exhibit BH - PO Asserted Claims and Infringement Contentions, # (9) Exhibit A - US Patent No 9,706,026, # (10) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (11) Exhibit W - Jason Stigge CV, # (12) Exhibit BP - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (13) Exhibit BQ - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (14) Exhibit BR - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 82 | Expert Report (Exhibit D - WO 2015/127376 A1) (30) Docket Text: Expert Report of Jason D. Stigge regarding '275 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit BA - US Patent No 10,778,275, # (2) Exhibit BB - File History of US Pat App No 16/233,635, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 AI, # (6) Exhibit H - US Pat Pub No 2013/0273752 A1, # (7) Exhibit BG - US Patent No 9,760,116, # (8) Exhibit BH - PO Asserted Claims and Infringement Contentions, # (9) Exhibit A - US Patent No 9,706,026, # (10) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (11) Exhibit W - Jason Stigge CV, # (12) Exhibit BP - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (13) Exhibit BQ - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (14) Exhibit BR - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 82 | Expert Report (Exhibit E - US Pat Pub No 2015/0241931 AI) (30) Docket Text: Expert Report of Jason D. Stigge regarding '275 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit BA - US Patent No 10,778,275, # (2) Exhibit BB - File History of US Pat App No 16/233,635, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 AI, # (6) Exhibit H - US Pat Pub No 2013/0273752 A1, # (7) Exhibit BG - US Patent No 9,760,116, # (8) Exhibit BH - PO Asserted Claims and Infringement Contentions, # (9) Exhibit A - US Patent No 9,706,026, # (10) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (11) Exhibit W - Jason Stigge CV, # (12) Exhibit BP - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (13) Exhibit BQ - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (14) Exhibit BR - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 82 | Expert Report (Exhibit H - US Pat Pub No 2013/0273752 A1) (25) Docket Text: Expert Report of Jason D. Stigge regarding '275 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit BA - US Patent No 10,778,275, # (2) Exhibit BB - File History of US Pat App No 16/233,635, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 AI, # (6) Exhibit H - US Pat Pub No 2013/0273752 A1, # (7) Exhibit BG - US Patent No 9,760,116, # (8) Exhibit BH - PO Asserted Claims and Infringement Contentions, # (9) Exhibit A - US Patent No 9,706,026, # (10) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (11) Exhibit W - Jason Stigge CV, # (12) Exhibit BP - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (13) Exhibit BQ - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (14) Exhibit BR - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 82 | Expert Report (Exhibit BG - US Patent No 9,760,116) (12) Docket Text: Expert Report of Jason D. Stigge regarding '275 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit BA - US Patent No 10,778,275, # (2) Exhibit BB - File History of US Pat App No 16/233,635, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 AI, # (6) Exhibit H - US Pat Pub No 2013/0273752 A1, # (7) Exhibit BG - US Patent No 9,760,116, # (8) Exhibit BH - PO Asserted Claims and Infringement Contentions, # (9) Exhibit A - US Patent No 9,706,026, # (10) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (11) Exhibit W - Jason Stigge CV, # (12) Exhibit BP - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (13) Exhibit BQ - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (14) Exhibit BR - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 82 | Expert Report (Exhibit BH - PO Asserted Claims and Infringement Contentions) (30) Docket Text: Expert Report of Jason D. Stigge regarding '275 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit BA - US Patent No 10,778,275, # (2) Exhibit BB - File History of US Pat App No 16/233,635, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 AI, # (6) Exhibit H - US Pat Pub No 2013/0273752 A1, # (7) Exhibit BG - US Patent No 9,760,116, # (8) Exhibit BH - PO Asserted Claims and Infringement Contentions, # (9) Exhibit A - US Patent No 9,706,026, # (10) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (11) Exhibit W - Jason Stigge CV, # (12) Exhibit BP - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (13) Exhibit BQ - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (14) Exhibit BR - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 82 | Expert Report (Exhibit A - US Patent No 9,706,026) (30) Docket Text: Expert Report of Jason D. Stigge regarding '275 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit BA - US Patent No 10,778,275, # (2) Exhibit BB - File History of US Pat App No 16/233,635, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 AI, # (6) Exhibit H - US Pat Pub No 2013/0273752 A1, # (7) Exhibit BG - US Patent No 9,760,116, # (8) Exhibit BH - PO Asserted Claims and Infringement Contentions, # (9) Exhibit A - US Patent No 9,706,026, # (10) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (11) Exhibit W - Jason Stigge CV, # (12) Exhibit BP - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (13) Exhibit BQ - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (14) Exhibit BR - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 82 | Expert Report (Exhibit V - Jason Stigge Rule 26 Deposition Testimony) (1) Docket Text: Expert Report of Jason D. Stigge regarding '275 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit BA - US Patent No 10,778,275, # (2) Exhibit BB - File History of US Pat App No 16/233,635, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 AI, # (6) Exhibit H - US Pat Pub No 2013/0273752 A1, # (7) Exhibit BG - US Patent No 9,760,116, # (8) Exhibit BH - PO Asserted Claims and Infringement Contentions, # (9) Exhibit A - US Patent No 9,706,026, # (10) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (11) Exhibit W - Jason Stigge CV, # (12) Exhibit BP - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (13) Exhibit BQ - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (14) Exhibit BR - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 82 | Expert Report (Exhibit W - Jason Stigge CV) (2) Docket Text: Expert Report of Jason D. Stigge regarding '275 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit BA - US Patent No 10,778,275, # (2) Exhibit BB - File History of US Pat App No 16/233,635, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 AI, # (6) Exhibit H - US Pat Pub No 2013/0273752 A1, # (7) Exhibit BG - US Patent No 9,760,116, # (8) Exhibit BH - PO Asserted Claims and Infringement Contentions, # (9) Exhibit A - US Patent No 9,706,026, # (10) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (11) Exhibit W - Jason Stigge CV, # (12) Exhibit BP - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (13) Exhibit BQ - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (14) Exhibit BR - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 82 | Expert Report (Exhibit BP - Patent Claim Chart Not Entitled to 2-24-2014 Priority) (14) Docket Text: Expert Report of Jason D. Stigge regarding '275 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit BA - US Patent No 10,778,275, # (2) Exhibit BB - File History of US Pat App No 16/233,635, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 AI, # (6) Exhibit H - US Pat Pub No 2013/0273752 A1, # (7) Exhibit BG - US Patent No 9,760,116, # (8) Exhibit BH - PO Asserted Claims and Infringement Contentions, # (9) Exhibit A - US Patent No 9,706,026, # (10) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (11) Exhibit W - Jason Stigge CV, # (12) Exhibit BP - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (13) Exhibit BQ - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (14) Exhibit BR - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 82 | Expert Report (Exhibit BQ - Patent Claim Chart Not Entitled to 3-21-2014 Priority) (14) Docket Text: Expert Report of Jason D. Stigge regarding '275 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit BA - US Patent No 10,778,275, # (2) Exhibit BB - File History of US Pat App No 16/233,635, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 AI, # (6) Exhibit H - US Pat Pub No 2013/0273752 A1, # (7) Exhibit BG - US Patent No 9,760,116, # (8) Exhibit BH - PO Asserted Claims and Infringement Contentions, # (9) Exhibit A - US Patent No 9,706,026, # (10) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (11) Exhibit W - Jason Stigge CV, # (12) Exhibit BP - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (13) Exhibit BQ - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (14) Exhibit BR - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 82 | Expert Report (Exhibit BR - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (10) Docket Text: Expert Report of Jason D. Stigge regarding '275 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit BA - US Patent No 10,778,275, # (2) Exhibit BB - File History of US Pat App No 16/233,635, # (3) Exhibit C - US Pat Pub No 2015/0244126 A1, # (4) Exhibit D - WO 2015/127376 A1, # (5) Exhibit E - US Pat Pub No 2015/0241931 AI, # (6) Exhibit H - US Pat Pub No 2013/0273752 A1, # (7) Exhibit BG - US Patent No 9,760,116, # (8) Exhibit BH - PO Asserted Claims and Infringement Contentions, # (9) Exhibit A - US Patent No 9,706,026, # (10) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (11) Exhibit W - Jason Stigge CV, # (12) Exhibit BP - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (13) Exhibit BQ - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (14) Exhibit BR - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 83 | Expert Report (Main Document) (30) Docket Text: Expert Report of Jason D. Stigge regarding '515 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit AA - US Patent No 10,454,515, # (2) Exhibit AB - File History of US Pat App No 16/233,635, # (3) Exhibit K - Korean Patent No KR20-0265673, # (4) Exhibit AE - Japanese Published Unexamined Patent Application No JP 2014-75327A, # (5) Exhibit AG - Korean Registered Patent No 10-1078214, # (6) Exhibit AH - Certified English Translation of Korean Registered Patent No. 10-1078214, # (7) Exhibit AI - PO Asserted Claims and Infringement Contentions, # (8) Exhibit O - Declaration of Kimberly K. Cameron, # (9) Exhibit AK - File History of US Patent No 10,666,309, # (10) Exhibit A - US Patent No 9,706,026, # (11) Exhibit B - File History of US Pat App No 14/936,515, # (12) Exhibit F - US Patent No 5,535,274, # (13) Exhibit G - US Pat No 7,480,138, # (14) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (15) Exhibit W - Jason Stigge CV, # (16) Exhibit BM - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (17) Exhibit BN - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (18) Exhibit BO - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 83 | Expert Report (Exhibit AA - US Patent No 10,454,515) (30) Docket Text: Expert Report of Jason D. Stigge regarding '515 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit AA - US Patent No 10,454,515, # (2) Exhibit AB - File History of US Pat App No 16/233,635, # (3) Exhibit K - Korean Patent No KR20-0265673, # (4) Exhibit AE - Japanese Published Unexamined Patent Application No JP 2014-75327A, # (5) Exhibit AG - Korean Registered Patent No 10-1078214, # (6) Exhibit AH - Certified English Translation of Korean Registered Patent No. 10-1078214, # (7) Exhibit AI - PO Asserted Claims and Infringement Contentions, # (8) Exhibit O - Declaration of Kimberly K. Cameron, # (9) Exhibit AK - File History of US Patent No 10,666,309, # (10) Exhibit A - US Patent No 9,706,026, # (11) Exhibit B - File History of US Pat App No 14/936,515, # (12) Exhibit F - US Patent No 5,535,274, # (13) Exhibit G - US Pat No 7,480,138, # (14) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (15) Exhibit W - Jason Stigge CV, # (16) Exhibit BM - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (17) Exhibit BN - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (18) Exhibit BO - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 83 | Expert Report (Exhibit AB - File History of US Pat App No 16/233,635) (30) Docket Text: Expert Report of Jason D. Stigge regarding '515 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit AA - US Patent No 10,454,515, # (2) Exhibit AB - File History of US Pat App No 16/233,635, # (3) Exhibit K - Korean Patent No KR20-0265673, # (4) Exhibit AE - Japanese Published Unexamined Patent Application No JP 2014-75327A, # (5) Exhibit AG - Korean Registered Patent No 10-1078214, # (6) Exhibit AH - Certified English Translation of Korean Registered Patent No. 10-1078214, # (7) Exhibit AI - PO Asserted Claims and Infringement Contentions, # (8) Exhibit O - Declaration of Kimberly K. Cameron, # (9) Exhibit AK - File History of US Patent No 10,666,309, # (10) Exhibit A - US Patent No 9,706,026, # (11) Exhibit B - File History of US Pat App No 14/936,515, # (12) Exhibit F - US Patent No 5,535,274, # (13) Exhibit G - US Pat No 7,480,138, # (14) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (15) Exhibit W - Jason Stigge CV, # (16) Exhibit BM - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (17) Exhibit BN - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (18) Exhibit BO - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 83 | Expert Report (Exhibit K - Korean Patent No KR20-0265673) (11) Docket Text: Expert Report of Jason D. Stigge regarding '515 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit AA - US Patent No 10,454,515, # (2) Exhibit AB - File History of US Pat App No 16/233,635, # (3) Exhibit K - Korean Patent No KR20-0265673, # (4) Exhibit AE - Japanese Published Unexamined Patent Application No JP 2014-75327A, # (5) Exhibit AG - Korean Registered Patent No 10-1078214, # (6) Exhibit AH - Certified English Translation of Korean Registered Patent No. 10-1078214, # (7) Exhibit AI - PO Asserted Claims and Infringement Contentions, # (8) Exhibit O - Declaration of Kimberly K. Cameron, # (9) Exhibit AK - File History of US Patent No 10,666,309, # (10) Exhibit A - US Patent No 9,706,026, # (11) Exhibit B - File History of US Pat App No 14/936,515, # (12) Exhibit F - US Patent No 5,535,274, # (13) Exhibit G - US Pat No 7,480,138, # (14) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (15) Exhibit W - Jason Stigge CV, # (16) Exhibit BM - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (17) Exhibit BN - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (18) Exhibit BO - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 83 | Expert Report (Exhibit AE - Japanese Published Unexamined Patent Application No JP 2014-75327A) (18) Docket Text: Expert Report of Jason D. Stigge regarding '515 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit AA - US Patent No 10,454,515, # (2) Exhibit AB - File History of US Pat App No 16/233,635, # (3) Exhibit K - Korean Patent No KR20-0265673, # (4) Exhibit AE - Japanese Published Unexamined Patent Application No JP 2014-75327A, # (5) Exhibit AG - Korean Registered Patent No 10-1078214, # (6) Exhibit AH - Certified English Translation of Korean Registered Patent No. 10-1078214, # (7) Exhibit AI - PO Asserted Claims and Infringement Contentions, # (8) Exhibit O - Declaration of Kimberly K. Cameron, # (9) Exhibit AK - File History of US Patent No 10,666,309, # (10) Exhibit A - US Patent No 9,706,026, # (11) Exhibit B - File History of US Pat App No 14/936,515, # (12) Exhibit F - US Patent No 5,535,274, # (13) Exhibit G - US Pat No 7,480,138, # (14) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (15) Exhibit W - Jason Stigge CV, # (16) Exhibit BM - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (17) Exhibit BN - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (18) Exhibit BO - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 83 | Expert Report (Exhibit AG - Korean Registered Patent No 10-1078214) (13) Docket Text: Expert Report of Jason D. Stigge regarding '515 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit AA - US Patent No 10,454,515, # (2) Exhibit AB - File History of US Pat App No 16/233,635, # (3) Exhibit K - Korean Patent No KR20-0265673, # (4) Exhibit AE - Japanese Published Unexamined Patent Application No JP 2014-75327A, # (5) Exhibit AG - Korean Registered Patent No 10-1078214, # (6) Exhibit AH - Certified English Translation of Korean Registered Patent No. 10-1078214, # (7) Exhibit AI - PO Asserted Claims and Infringement Contentions, # (8) Exhibit O - Declaration of Kimberly K. Cameron, # (9) Exhibit AK - File History of US Patent No 10,666,309, # (10) Exhibit A - US Patent No 9,706,026, # (11) Exhibit B - File History of US Pat App No 14/936,515, # (12) Exhibit F - US Patent No 5,535,274, # (13) Exhibit G - US Pat No 7,480,138, # (14) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (15) Exhibit W - Jason Stigge CV, # (16) Exhibit BM - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (17) Exhibit BN - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (18) Exhibit BO - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 83 | Expert Report (Exhibit AH - Certified English Translation of Korean Registered Patent No. 10-10) (14) Docket Text: Expert Report of Jason D. Stigge regarding '515 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit AA - US Patent No 10,454,515, # (2) Exhibit AB - File History of US Pat App No 16/233,635, # (3) Exhibit K - Korean Patent No KR20-0265673, # (4) Exhibit AE - Japanese Published Unexamined Patent Application No JP 2014-75327A, # (5) Exhibit AG - Korean Registered Patent No 10-1078214, # (6) Exhibit AH - Certified English Translation of Korean Registered Patent No. 10-1078214, # (7) Exhibit AI - PO Asserted Claims and Infringement Contentions, # (8) Exhibit O - Declaration of Kimberly K. Cameron, # (9) Exhibit AK - File History of US Patent No 10,666,309, # (10) Exhibit A - US Patent No 9,706,026, # (11) Exhibit B - File History of US Pat App No 14/936,515, # (12) Exhibit F - US Patent No 5,535,274, # (13) Exhibit G - US Pat No 7,480,138, # (14) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (15) Exhibit W - Jason Stigge CV, # (16) Exhibit BM - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (17) Exhibit BN - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (18) Exhibit BO - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 83 | Expert Report (Exhibit AI - PO Asserted Claims and Infringement Contentions) (28) Docket Text: Expert Report of Jason D. Stigge regarding '515 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit AA - US Patent No 10,454,515, # (2) Exhibit AB - File History of US Pat App No 16/233,635, # (3) Exhibit K - Korean Patent No KR20-0265673, # (4) Exhibit AE - Japanese Published Unexamined Patent Application No JP 2014-75327A, # (5) Exhibit AG - Korean Registered Patent No 10-1078214, # (6) Exhibit AH - Certified English Translation of Korean Registered Patent No. 10-1078214, # (7) Exhibit AI - PO Asserted Claims and Infringement Contentions, # (8) Exhibit O - Declaration of Kimberly K. Cameron, # (9) Exhibit AK - File History of US Patent No 10,666,309, # (10) Exhibit A - US Patent No 9,706,026, # (11) Exhibit B - File History of US Pat App No 14/936,515, # (12) Exhibit F - US Patent No 5,535,274, # (13) Exhibit G - US Pat No 7,480,138, # (14) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (15) Exhibit W - Jason Stigge CV, # (16) Exhibit BM - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (17) Exhibit BN - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (18) Exhibit BO - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 83 | Expert Report (Exhibit O - Declaration of Kimberly K. Cameron) (30) Docket Text: Expert Report of Jason D. Stigge regarding '515 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit AA - US Patent No 10,454,515, # (2) Exhibit AB - File History of US Pat App No 16/233,635, # (3) Exhibit K - Korean Patent No KR20-0265673, # (4) Exhibit AE - Japanese Published Unexamined Patent Application No JP 2014-75327A, # (5) Exhibit AG - Korean Registered Patent No 10-1078214, # (6) Exhibit AH - Certified English Translation of Korean Registered Patent No. 10-1078214, # (7) Exhibit AI - PO Asserted Claims and Infringement Contentions, # (8) Exhibit O - Declaration of Kimberly K. Cameron, # (9) Exhibit AK - File History of US Patent No 10,666,309, # (10) Exhibit A - US Patent No 9,706,026, # (11) Exhibit B - File History of US Pat App No 14/936,515, # (12) Exhibit F - US Patent No 5,535,274, # (13) Exhibit G - US Pat No 7,480,138, # (14) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (15) Exhibit W - Jason Stigge CV, # (16) Exhibit BM - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (17) Exhibit BN - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (18) Exhibit BO - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 83 | Expert Report (Exhibit AK - File History of US Patent No 10,666,309) (30) Docket Text: Expert Report of Jason D. Stigge regarding '515 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit AA - US Patent No 10,454,515, # (2) Exhibit AB - File History of US Pat App No 16/233,635, # (3) Exhibit K - Korean Patent No KR20-0265673, # (4) Exhibit AE - Japanese Published Unexamined Patent Application No JP 2014-75327A, # (5) Exhibit AG - Korean Registered Patent No 10-1078214, # (6) Exhibit AH - Certified English Translation of Korean Registered Patent No. 10-1078214, # (7) Exhibit AI - PO Asserted Claims and Infringement Contentions, # (8) Exhibit O - Declaration of Kimberly K. Cameron, # (9) Exhibit AK - File History of US Patent No 10,666,309, # (10) Exhibit A - US Patent No 9,706,026, # (11) Exhibit B - File History of US Pat App No 14/936,515, # (12) Exhibit F - US Patent No 5,535,274, # (13) Exhibit G - US Pat No 7,480,138, # (14) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (15) Exhibit W - Jason Stigge CV, # (16) Exhibit BM - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (17) Exhibit BN - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (18) Exhibit BO - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 83 | Expert Report (Exhibit A - US Patent No 9,706,026) (30) Docket Text: Expert Report of Jason D. Stigge regarding '515 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit AA - US Patent No 10,454,515, # (2) Exhibit AB - File History of US Pat App No 16/233,635, # (3) Exhibit K - Korean Patent No KR20-0265673, # (4) Exhibit AE - Japanese Published Unexamined Patent Application No JP 2014-75327A, # (5) Exhibit AG - Korean Registered Patent No 10-1078214, # (6) Exhibit AH - Certified English Translation of Korean Registered Patent No. 10-1078214, # (7) Exhibit AI - PO Asserted Claims and Infringement Contentions, # (8) Exhibit O - Declaration of Kimberly K. Cameron, # (9) Exhibit AK - File History of US Patent No 10,666,309, # (10) Exhibit A - US Patent No 9,706,026, # (11) Exhibit B - File History of US Pat App No 14/936,515, # (12) Exhibit F - US Patent No 5,535,274, # (13) Exhibit G - US Pat No 7,480,138, # (14) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (15) Exhibit W - Jason Stigge CV, # (16) Exhibit BM - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (17) Exhibit BN - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (18) Exhibit BO - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 83 | Expert Report (Exhibit B - File History of US Pat App No 14/936,515) (30) Docket Text: Expert Report of Jason D. Stigge regarding '515 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit AA - US Patent No 10,454,515, # (2) Exhibit AB - File History of US Pat App No 16/233,635, # (3) Exhibit K - Korean Patent No KR20-0265673, # (4) Exhibit AE - Japanese Published Unexamined Patent Application No JP 2014-75327A, # (5) Exhibit AG - Korean Registered Patent No 10-1078214, # (6) Exhibit AH - Certified English Translation of Korean Registered Patent No. 10-1078214, # (7) Exhibit AI - PO Asserted Claims and Infringement Contentions, # (8) Exhibit O - Declaration of Kimberly K. Cameron, # (9) Exhibit AK - File History of US Patent No 10,666,309, # (10) Exhibit A - US Patent No 9,706,026, # (11) Exhibit B - File History of US Pat App No 14/936,515, # (12) Exhibit F - US Patent No 5,535,274, # (13) Exhibit G - US Pat No 7,480,138, # (14) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (15) Exhibit W - Jason Stigge CV, # (16) Exhibit BM - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (17) Exhibit BN - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (18) Exhibit BO - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 83 | Expert Report (Exhibit F - US Patent No 5,535,274) (30) Docket Text: Expert Report of Jason D. Stigge regarding '515 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit AA - US Patent No 10,454,515, # (2) Exhibit AB - File History of US Pat App No 16/233,635, # (3) Exhibit K - Korean Patent No KR20-0265673, # (4) Exhibit AE - Japanese Published Unexamined Patent Application No JP 2014-75327A, # (5) Exhibit AG - Korean Registered Patent No 10-1078214, # (6) Exhibit AH - Certified English Translation of Korean Registered Patent No. 10-1078214, # (7) Exhibit AI - PO Asserted Claims and Infringement Contentions, # (8) Exhibit O - Declaration of Kimberly K. Cameron, # (9) Exhibit AK - File History of US Patent No 10,666,309, # (10) Exhibit A - US Patent No 9,706,026, # (11) Exhibit B - File History of US Pat App No 14/936,515, # (12) Exhibit F - US Patent No 5,535,274, # (13) Exhibit G - US Pat No 7,480,138, # (14) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (15) Exhibit W - Jason Stigge CV, # (16) Exhibit BM - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (17) Exhibit BN - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (18) Exhibit BO - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 83 | Expert Report (Exhibit G - US Pat No 7,480,138) (10) Docket Text: Expert Report of Jason D. Stigge regarding '515 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit AA - US Patent No 10,454,515, # (2) Exhibit AB - File History of US Pat App No 16/233,635, # (3) Exhibit K - Korean Patent No KR20-0265673, # (4) Exhibit AE - Japanese Published Unexamined Patent Application No JP 2014-75327A, # (5) Exhibit AG - Korean Registered Patent No 10-1078214, # (6) Exhibit AH - Certified English Translation of Korean Registered Patent No. 10-1078214, # (7) Exhibit AI - PO Asserted Claims and Infringement Contentions, # (8) Exhibit O - Declaration of Kimberly K. Cameron, # (9) Exhibit AK - File History of US Patent No 10,666,309, # (10) Exhibit A - US Patent No 9,706,026, # (11) Exhibit B - File History of US Pat App No 14/936,515, # (12) Exhibit F - US Patent No 5,535,274, # (13) Exhibit G - US Pat No 7,480,138, # (14) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (15) Exhibit W - Jason Stigge CV, # (16) Exhibit BM - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (17) Exhibit BN - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (18) Exhibit BO - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 83 | Expert Report (Exhibit V - Jason Stigge Rule 26 Deposition Testimony) (1) Docket Text: Expert Report of Jason D. Stigge regarding '515 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit AA - US Patent No 10,454,515, # (2) Exhibit AB - File History of US Pat App No 16/233,635, # (3) Exhibit K - Korean Patent No KR20-0265673, # (4) Exhibit AE - Japanese Published Unexamined Patent Application No JP 2014-75327A, # (5) Exhibit AG - Korean Registered Patent No 10-1078214, # (6) Exhibit AH - Certified English Translation of Korean Registered Patent No. 10-1078214, # (7) Exhibit AI - PO Asserted Claims and Infringement Contentions, # (8) Exhibit O - Declaration of Kimberly K. Cameron, # (9) Exhibit AK - File History of US Patent No 10,666,309, # (10) Exhibit A - US Patent No 9,706,026, # (11) Exhibit B - File History of US Pat App No 14/936,515, # (12) Exhibit F - US Patent No 5,535,274, # (13) Exhibit G - US Pat No 7,480,138, # (14) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (15) Exhibit W - Jason Stigge CV, # (16) Exhibit BM - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (17) Exhibit BN - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (18) Exhibit BO - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 83 | Expert Report (Exhibit W - Jason Stigge CV) (2) Docket Text: Expert Report of Jason D. Stigge regarding '515 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit AA - US Patent No 10,454,515, # (2) Exhibit AB - File History of US Pat App No 16/233,635, # (3) Exhibit K - Korean Patent No KR20-0265673, # (4) Exhibit AE - Japanese Published Unexamined Patent Application No JP 2014-75327A, # (5) Exhibit AG - Korean Registered Patent No 10-1078214, # (6) Exhibit AH - Certified English Translation of Korean Registered Patent No. 10-1078214, # (7) Exhibit AI - PO Asserted Claims and Infringement Contentions, # (8) Exhibit O - Declaration of Kimberly K. Cameron, # (9) Exhibit AK - File History of US Patent No 10,666,309, # (10) Exhibit A - US Patent No 9,706,026, # (11) Exhibit B - File History of US Pat App No 14/936,515, # (12) Exhibit F - US Patent No 5,535,274, # (13) Exhibit G - US Pat No 7,480,138, # (14) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (15) Exhibit W - Jason Stigge CV, # (16) Exhibit BM - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (17) Exhibit BN - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (18) Exhibit BO - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 83 | Expert Report (Exhibit BM - Patent Claim Chart Not Entitled to 2-24-2014 Priority) (10) Docket Text: Expert Report of Jason D. Stigge regarding '515 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit AA - US Patent No 10,454,515, # (2) Exhibit AB - File History of US Pat App No 16/233,635, # (3) Exhibit K - Korean Patent No KR20-0265673, # (4) Exhibit AE - Japanese Published Unexamined Patent Application No JP 2014-75327A, # (5) Exhibit AG - Korean Registered Patent No 10-1078214, # (6) Exhibit AH - Certified English Translation of Korean Registered Patent No. 10-1078214, # (7) Exhibit AI - PO Asserted Claims and Infringement Contentions, # (8) Exhibit O - Declaration of Kimberly K. Cameron, # (9) Exhibit AK - File History of US Patent No 10,666,309, # (10) Exhibit A - US Patent No 9,706,026, # (11) Exhibit B - File History of US Pat App No 14/936,515, # (12) Exhibit F - US Patent No 5,535,274, # (13) Exhibit G - US Pat No 7,480,138, # (14) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (15) Exhibit W - Jason Stigge CV, # (16) Exhibit BM - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (17) Exhibit BN - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (18) Exhibit BO - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 83 | Expert Report (Exhibit BN - Patent Claim Chart Not Entitled to 3-21-2014 Priority) (10) Docket Text: Expert Report of Jason D. Stigge regarding '515 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit AA - US Patent No 10,454,515, # (2) Exhibit AB - File History of US Pat App No 16/233,635, # (3) Exhibit K - Korean Patent No KR20-0265673, # (4) Exhibit AE - Japanese Published Unexamined Patent Application No JP 2014-75327A, # (5) Exhibit AG - Korean Registered Patent No 10-1078214, # (6) Exhibit AH - Certified English Translation of Korean Registered Patent No. 10-1078214, # (7) Exhibit AI - PO Asserted Claims and Infringement Contentions, # (8) Exhibit O - Declaration of Kimberly K. Cameron, # (9) Exhibit AK - File History of US Patent No 10,666,309, # (10) Exhibit A - US Patent No 9,706,026, # (11) Exhibit B - File History of US Pat App No 14/936,515, # (12) Exhibit F - US Patent No 5,535,274, # (13) Exhibit G - US Pat No 7,480,138, # (14) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (15) Exhibit W - Jason Stigge CV, # (16) Exhibit BM - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (17) Exhibit BN - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (18) Exhibit BO - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 83 | Expert Report (Exhibit BO - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (8) Docket Text: Expert Report of Jason D. Stigge regarding '515 Patent by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit AA - US Patent No 10,454,515, # (2) Exhibit AB - File History of US Pat App No 16/233,635, # (3) Exhibit K - Korean Patent No KR20-0265673, # (4) Exhibit AE - Japanese Published Unexamined Patent Application No JP 2014-75327A, # (5) Exhibit AG - Korean Registered Patent No 10-1078214, # (6) Exhibit AH - Certified English Translation of Korean Registered Patent No. 10-1078214, # (7) Exhibit AI - PO Asserted Claims and Infringement Contentions, # (8) Exhibit O - Declaration of Kimberly K. Cameron, # (9) Exhibit AK - File History of US Patent No 10,666,309, # (10) Exhibit A - US Patent No 9,706,026, # (11) Exhibit B - File History of US Pat App No 14/936,515, # (12) Exhibit F - US Patent No 5,535,274, # (13) Exhibit G - US Pat No 7,480,138, # (14) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (15) Exhibit W - Jason Stigge CV, # (16) Exhibit BM - Patent Claim Chart Not Entitled to 2-24-2014 Priority, # (17) Exhibit BN - Patent Claim Chart Not Entitled to 3-21-2014 Priority, # (18) Exhibit BO - Patent Claim Chart Not Entitled to 8-21-2014 Priority) (Van Camp, Elijah) |
| Oct 28, 2021 | 84 | Expert Report (Main Document) (30) Docket Text: Expert Report of James B. Babcock Regarding Patent Infringement by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. (Attachments: # (1) Exhibit A: Curriculum Vitae of James Bennett Babcock, # (2) Exhibit B: Index to Documents Considered, # (3) Exhibit C: Infringement Chart of U.S. Patent 9,706,026, # (4) Exhibit D: Infringement Chart of U.S. Patent 10,454,515, # (5) Exhibit E: Infringement Chart of U.S. Patent 10,778,275) (Kaempf, Jessica) |
| Oct 28, 2021 | 84 | Expert Report (Exhibit A: Curriculum Vitae of James Bennett Babcock) (12) Docket Text: Expert Report of James B. Babcock Regarding Patent Infringement by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. (Attachments: # (1) Exhibit A: Curriculum Vitae of James Bennett Babcock, # (2) Exhibit B: Index to Documents Considered, # (3) Exhibit C: Infringement Chart of U.S. Patent 9,706,026, # (4) Exhibit D: Infringement Chart of U.S. Patent 10,454,515, # (5) Exhibit E: Infringement Chart of U.S. Patent 10,778,275) (Kaempf, Jessica) |
| Oct 28, 2021 | 84 | Expert Report (Exhibit B: Index to Documents Considered) (5) Docket Text: Expert Report of James B. Babcock Regarding Patent Infringement by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. (Attachments: # (1) Exhibit A: Curriculum Vitae of James Bennett Babcock, # (2) Exhibit B: Index to Documents Considered, # (3) Exhibit C: Infringement Chart of U.S. Patent 9,706,026, # (4) Exhibit D: Infringement Chart of U.S. Patent 10,454,515, # (5) Exhibit E: Infringement Chart of U.S. Patent 10,778,275) (Kaempf, Jessica) |
| Oct 28, 2021 | 84 | Expert Report (Exhibit C: Infringement Chart of U.S. Patent 9,706,026) (30) Docket Text: Expert Report of James B. Babcock Regarding Patent Infringement by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. (Attachments: # (1) Exhibit A: Curriculum Vitae of James Bennett Babcock, # (2) Exhibit B: Index to Documents Considered, # (3) Exhibit C: Infringement Chart of U.S. Patent 9,706,026, # (4) Exhibit D: Infringement Chart of U.S. Patent 10,454,515, # (5) Exhibit E: Infringement Chart of U.S. Patent 10,778,275) (Kaempf, Jessica) |
| Oct 28, 2021 | 84 | Expert Report (Exhibit D: Infringement Chart of U.S. Patent 10,454,515) (30) Docket Text: Expert Report of James B. Babcock Regarding Patent Infringement by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. (Attachments: # (1) Exhibit A: Curriculum Vitae of James Bennett Babcock, # (2) Exhibit B: Index to Documents Considered, # (3) Exhibit C: Infringement Chart of U.S. Patent 9,706,026, # (4) Exhibit D: Infringement Chart of U.S. Patent 10,454,515, # (5) Exhibit E: Infringement Chart of U.S. Patent 10,778,275) (Kaempf, Jessica) |
| Oct 28, 2021 | 84 | Expert Report (Exhibit E: Infringement Chart of U.S. Patent 10,778,275) (30) Docket Text: Expert Report of James B. Babcock Regarding Patent Infringement by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. (Attachments: # (1) Exhibit A: Curriculum Vitae of James Bennett Babcock, # (2) Exhibit B: Index to Documents Considered, # (3) Exhibit C: Infringement Chart of U.S. Patent 9,706,026, # (4) Exhibit D: Infringement Chart of U.S. Patent 10,454,515, # (5) Exhibit E: Infringement Chart of U.S. Patent 10,778,275) (Kaempf, Jessica) |
| Oct 28, 2021 | 85 | Expert Report (Main Document) (30) Docket Text: Counter Expert Report of Jason D. Stigge by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit AA - US Patent No 10,454,515, # (3) Exhibit BA - US Patent No 10,778,275, # (4) Exhibit 1 - Comparison of Asserted Claims of the '026 Patent to the Galaxy Tab 4 8.0 Device, # (5) Exhibit 2 - Comparison of Asserted Claims of the '515 Patent to the Galaxy Tab 4 8.0 Device, # (6) Exhibit 3 - Comparison of Asserted Claims of the '275 Patent to the Galaxy Tab 4 8.0 Device, # (7) Exhibit 4 - Comparison of Asserted Claims of the '026 Patent to the GPS Lockbox UP7 Device, # (8) Exhibit 5 - Comparison of Asserted Claims of the '515 Patent to the GPS Lockbox UP7 device, # (9) Exhibit 6 - Comparison of Asserted Claims of the '275 Patent to the GPS Lockbox UP7 device, # (10) Exhibit 7 - Comparison of Asserted Claims of the '026 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (11) Exhibit 8 - Comparison of Asserted Claims of the '515 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (12) Exhibit 9 - Comparison of Asserted Claims of the '275 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (13) Exhibit 10 - '026 Patent Claim Terms, # (14) Exhibit 11 - '515 Patent Claim Terms, # (15) Exhibit 12 - '275 Patent Claim Terms, # (16) Exhibit 13 - 2021 08 06 Expert Report Regarding Infringement of James Babcock, # (17) Exhibit 14 - Defendants' Invalidity Contentions, # (18) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (19) Exhibit W - Jason Stigge CV) (Van Camp, Elijah) |
| Oct 28, 2021 | 85 | Expert Report (Exhibit A - US Patent No. 9,706,026) (30) Docket Text: Counter Expert Report of Jason D. Stigge by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit AA - US Patent No 10,454,515, # (3) Exhibit BA - US Patent No 10,778,275, # (4) Exhibit 1 - Comparison of Asserted Claims of the '026 Patent to the Galaxy Tab 4 8.0 Device, # (5) Exhibit 2 - Comparison of Asserted Claims of the '515 Patent to the Galaxy Tab 4 8.0 Device, # (6) Exhibit 3 - Comparison of Asserted Claims of the '275 Patent to the Galaxy Tab 4 8.0 Device, # (7) Exhibit 4 - Comparison of Asserted Claims of the '026 Patent to the GPS Lockbox UP7 Device, # (8) Exhibit 5 - Comparison of Asserted Claims of the '515 Patent to the GPS Lockbox UP7 device, # (9) Exhibit 6 - Comparison of Asserted Claims of the '275 Patent to the GPS Lockbox UP7 device, # (10) Exhibit 7 - Comparison of Asserted Claims of the '026 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (11) Exhibit 8 - Comparison of Asserted Claims of the '515 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (12) Exhibit 9 - Comparison of Asserted Claims of the '275 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (13) Exhibit 10 - '026 Patent Claim Terms, # (14) Exhibit 11 - '515 Patent Claim Terms, # (15) Exhibit 12 - '275 Patent Claim Terms, # (16) Exhibit 13 - 2021 08 06 Expert Report Regarding Infringement of James Babcock, # (17) Exhibit 14 - Defendants' Invalidity Contentions, # (18) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (19) Exhibit W - Jason Stigge CV) (Van Camp, Elijah) |
| Oct 28, 2021 | 85 | Expert Report (Exhibit AA - US Patent No 10,454,515) (30) Docket Text: Counter Expert Report of Jason D. Stigge by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit AA - US Patent No 10,454,515, # (3) Exhibit BA - US Patent No 10,778,275, # (4) Exhibit 1 - Comparison of Asserted Claims of the '026 Patent to the Galaxy Tab 4 8.0 Device, # (5) Exhibit 2 - Comparison of Asserted Claims of the '515 Patent to the Galaxy Tab 4 8.0 Device, # (6) Exhibit 3 - Comparison of Asserted Claims of the '275 Patent to the Galaxy Tab 4 8.0 Device, # (7) Exhibit 4 - Comparison of Asserted Claims of the '026 Patent to the GPS Lockbox UP7 Device, # (8) Exhibit 5 - Comparison of Asserted Claims of the '515 Patent to the GPS Lockbox UP7 device, # (9) Exhibit 6 - Comparison of Asserted Claims of the '275 Patent to the GPS Lockbox UP7 device, # (10) Exhibit 7 - Comparison of Asserted Claims of the '026 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (11) Exhibit 8 - Comparison of Asserted Claims of the '515 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (12) Exhibit 9 - Comparison of Asserted Claims of the '275 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (13) Exhibit 10 - '026 Patent Claim Terms, # (14) Exhibit 11 - '515 Patent Claim Terms, # (15) Exhibit 12 - '275 Patent Claim Terms, # (16) Exhibit 13 - 2021 08 06 Expert Report Regarding Infringement of James Babcock, # (17) Exhibit 14 - Defendants' Invalidity Contentions, # (18) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (19) Exhibit W - Jason Stigge CV) (Van Camp, Elijah) |
| Oct 28, 2021 | 85 | Expert Report (Exhibit BA - US Patent No 10,778,275) (30) Docket Text: Counter Expert Report of Jason D. Stigge by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit AA - US Patent No 10,454,515, # (3) Exhibit BA - US Patent No 10,778,275, # (4) Exhibit 1 - Comparison of Asserted Claims of the '026 Patent to the Galaxy Tab 4 8.0 Device, # (5) Exhibit 2 - Comparison of Asserted Claims of the '515 Patent to the Galaxy Tab 4 8.0 Device, # (6) Exhibit 3 - Comparison of Asserted Claims of the '275 Patent to the Galaxy Tab 4 8.0 Device, # (7) Exhibit 4 - Comparison of Asserted Claims of the '026 Patent to the GPS Lockbox UP7 Device, # (8) Exhibit 5 - Comparison of Asserted Claims of the '515 Patent to the GPS Lockbox UP7 device, # (9) Exhibit 6 - Comparison of Asserted Claims of the '275 Patent to the GPS Lockbox UP7 device, # (10) Exhibit 7 - Comparison of Asserted Claims of the '026 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (11) Exhibit 8 - Comparison of Asserted Claims of the '515 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (12) Exhibit 9 - Comparison of Asserted Claims of the '275 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (13) Exhibit 10 - '026 Patent Claim Terms, # (14) Exhibit 11 - '515 Patent Claim Terms, # (15) Exhibit 12 - '275 Patent Claim Terms, # (16) Exhibit 13 - 2021 08 06 Expert Report Regarding Infringement of James Babcock, # (17) Exhibit 14 - Defendants' Invalidity Contentions, # (18) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (19) Exhibit W - Jason Stigge CV) (Van Camp, Elijah) |
| Oct 28, 2021 | 85 | Expert Report (Exhibit 1 - Comparison of Asserted Claims of the '026 Patent to the Galaxy) (14) Docket Text: Counter Expert Report of Jason D. Stigge by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit AA - US Patent No 10,454,515, # (3) Exhibit BA - US Patent No 10,778,275, # (4) Exhibit 1 - Comparison of Asserted Claims of the '026 Patent to the Galaxy Tab 4 8.0 Device, # (5) Exhibit 2 - Comparison of Asserted Claims of the '515 Patent to the Galaxy Tab 4 8.0 Device, # (6) Exhibit 3 - Comparison of Asserted Claims of the '275 Patent to the Galaxy Tab 4 8.0 Device, # (7) Exhibit 4 - Comparison of Asserted Claims of the '026 Patent to the GPS Lockbox UP7 Device, # (8) Exhibit 5 - Comparison of Asserted Claims of the '515 Patent to the GPS Lockbox UP7 device, # (9) Exhibit 6 - Comparison of Asserted Claims of the '275 Patent to the GPS Lockbox UP7 device, # (10) Exhibit 7 - Comparison of Asserted Claims of the '026 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (11) Exhibit 8 - Comparison of Asserted Claims of the '515 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (12) Exhibit 9 - Comparison of Asserted Claims of the '275 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (13) Exhibit 10 - '026 Patent Claim Terms, # (14) Exhibit 11 - '515 Patent Claim Terms, # (15) Exhibit 12 - '275 Patent Claim Terms, # (16) Exhibit 13 - 2021 08 06 Expert Report Regarding Infringement of James Babcock, # (17) Exhibit 14 - Defendants' Invalidity Contentions, # (18) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (19) Exhibit W - Jason Stigge CV) (Van Camp, Elijah) |
| Oct 28, 2021 | 85 | Expert Report (Exhibit 2 - Comparison of Asserted Claims of the '515 Patent to the Galaxy) (13) Docket Text: Counter Expert Report of Jason D. Stigge by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit AA - US Patent No 10,454,515, # (3) Exhibit BA - US Patent No 10,778,275, # (4) Exhibit 1 - Comparison of Asserted Claims of the '026 Patent to the Galaxy Tab 4 8.0 Device, # (5) Exhibit 2 - Comparison of Asserted Claims of the '515 Patent to the Galaxy Tab 4 8.0 Device, # (6) Exhibit 3 - Comparison of Asserted Claims of the '275 Patent to the Galaxy Tab 4 8.0 Device, # (7) Exhibit 4 - Comparison of Asserted Claims of the '026 Patent to the GPS Lockbox UP7 Device, # (8) Exhibit 5 - Comparison of Asserted Claims of the '515 Patent to the GPS Lockbox UP7 device, # (9) Exhibit 6 - Comparison of Asserted Claims of the '275 Patent to the GPS Lockbox UP7 device, # (10) Exhibit 7 - Comparison of Asserted Claims of the '026 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (11) Exhibit 8 - Comparison of Asserted Claims of the '515 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (12) Exhibit 9 - Comparison of Asserted Claims of the '275 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (13) Exhibit 10 - '026 Patent Claim Terms, # (14) Exhibit 11 - '515 Patent Claim Terms, # (15) Exhibit 12 - '275 Patent Claim Terms, # (16) Exhibit 13 - 2021 08 06 Expert Report Regarding Infringement of James Babcock, # (17) Exhibit 14 - Defendants' Invalidity Contentions, # (18) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (19) Exhibit W - Jason Stigge CV) (Van Camp, Elijah) |
| Oct 28, 2021 | 85 | Expert Report (Exhibit 3 - Comparison of Asserted Claims of the '275 Patent to the Galaxy) (20) Docket Text: Counter Expert Report of Jason D. Stigge by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit AA - US Patent No 10,454,515, # (3) Exhibit BA - US Patent No 10,778,275, # (4) Exhibit 1 - Comparison of Asserted Claims of the '026 Patent to the Galaxy Tab 4 8.0 Device, # (5) Exhibit 2 - Comparison of Asserted Claims of the '515 Patent to the Galaxy Tab 4 8.0 Device, # (6) Exhibit 3 - Comparison of Asserted Claims of the '275 Patent to the Galaxy Tab 4 8.0 Device, # (7) Exhibit 4 - Comparison of Asserted Claims of the '026 Patent to the GPS Lockbox UP7 Device, # (8) Exhibit 5 - Comparison of Asserted Claims of the '515 Patent to the GPS Lockbox UP7 device, # (9) Exhibit 6 - Comparison of Asserted Claims of the '275 Patent to the GPS Lockbox UP7 device, # (10) Exhibit 7 - Comparison of Asserted Claims of the '026 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (11) Exhibit 8 - Comparison of Asserted Claims of the '515 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (12) Exhibit 9 - Comparison of Asserted Claims of the '275 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (13) Exhibit 10 - '026 Patent Claim Terms, # (14) Exhibit 11 - '515 Patent Claim Terms, # (15) Exhibit 12 - '275 Patent Claim Terms, # (16) Exhibit 13 - 2021 08 06 Expert Report Regarding Infringement of James Babcock, # (17) Exhibit 14 - Defendants' Invalidity Contentions, # (18) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (19) Exhibit W - Jason Stigge CV) (Van Camp, Elijah) |
| Oct 28, 2021 | 85 | Expert Report (Exhibit 4 - Comparison of Asserted Claims of the '026 Patent to the GPS Loc) (11) Docket Text: Counter Expert Report of Jason D. Stigge by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit AA - US Patent No 10,454,515, # (3) Exhibit BA - US Patent No 10,778,275, # (4) Exhibit 1 - Comparison of Asserted Claims of the '026 Patent to the Galaxy Tab 4 8.0 Device, # (5) Exhibit 2 - Comparison of Asserted Claims of the '515 Patent to the Galaxy Tab 4 8.0 Device, # (6) Exhibit 3 - Comparison of Asserted Claims of the '275 Patent to the Galaxy Tab 4 8.0 Device, # (7) Exhibit 4 - Comparison of Asserted Claims of the '026 Patent to the GPS Lockbox UP7 Device, # (8) Exhibit 5 - Comparison of Asserted Claims of the '515 Patent to the GPS Lockbox UP7 device, # (9) Exhibit 6 - Comparison of Asserted Claims of the '275 Patent to the GPS Lockbox UP7 device, # (10) Exhibit 7 - Comparison of Asserted Claims of the '026 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (11) Exhibit 8 - Comparison of Asserted Claims of the '515 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (12) Exhibit 9 - Comparison of Asserted Claims of the '275 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (13) Exhibit 10 - '026 Patent Claim Terms, # (14) Exhibit 11 - '515 Patent Claim Terms, # (15) Exhibit 12 - '275 Patent Claim Terms, # (16) Exhibit 13 - 2021 08 06 Expert Report Regarding Infringement of James Babcock, # (17) Exhibit 14 - Defendants' Invalidity Contentions, # (18) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (19) Exhibit W - Jason Stigge CV) (Van Camp, Elijah) |
| Oct 28, 2021 | 85 | Expert Report (Exhibit 5 - Comparison of Asserted Claims of the '515 Patent to the GPS Loc) (12) Docket Text: Counter Expert Report of Jason D. Stigge by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit AA - US Patent No 10,454,515, # (3) Exhibit BA - US Patent No 10,778,275, # (4) Exhibit 1 - Comparison of Asserted Claims of the '026 Patent to the Galaxy Tab 4 8.0 Device, # (5) Exhibit 2 - Comparison of Asserted Claims of the '515 Patent to the Galaxy Tab 4 8.0 Device, # (6) Exhibit 3 - Comparison of Asserted Claims of the '275 Patent to the Galaxy Tab 4 8.0 Device, # (7) Exhibit 4 - Comparison of Asserted Claims of the '026 Patent to the GPS Lockbox UP7 Device, # (8) Exhibit 5 - Comparison of Asserted Claims of the '515 Patent to the GPS Lockbox UP7 device, # (9) Exhibit 6 - Comparison of Asserted Claims of the '275 Patent to the GPS Lockbox UP7 device, # (10) Exhibit 7 - Comparison of Asserted Claims of the '026 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (11) Exhibit 8 - Comparison of Asserted Claims of the '515 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (12) Exhibit 9 - Comparison of Asserted Claims of the '275 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (13) Exhibit 10 - '026 Patent Claim Terms, # (14) Exhibit 11 - '515 Patent Claim Terms, # (15) Exhibit 12 - '275 Patent Claim Terms, # (16) Exhibit 13 - 2021 08 06 Expert Report Regarding Infringement of James Babcock, # (17) Exhibit 14 - Defendants' Invalidity Contentions, # (18) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (19) Exhibit W - Jason Stigge CV) (Van Camp, Elijah) |
| Oct 28, 2021 | 85 | Expert Report (Exhibit 6 - Comparison of Asserted Claims of the '275 Patent to the GPS Loc) (13) Docket Text: Counter Expert Report of Jason D. Stigge by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit AA - US Patent No 10,454,515, # (3) Exhibit BA - US Patent No 10,778,275, # (4) Exhibit 1 - Comparison of Asserted Claims of the '026 Patent to the Galaxy Tab 4 8.0 Device, # (5) Exhibit 2 - Comparison of Asserted Claims of the '515 Patent to the Galaxy Tab 4 8.0 Device, # (6) Exhibit 3 - Comparison of Asserted Claims of the '275 Patent to the Galaxy Tab 4 8.0 Device, # (7) Exhibit 4 - Comparison of Asserted Claims of the '026 Patent to the GPS Lockbox UP7 Device, # (8) Exhibit 5 - Comparison of Asserted Claims of the '515 Patent to the GPS Lockbox UP7 device, # (9) Exhibit 6 - Comparison of Asserted Claims of the '275 Patent to the GPS Lockbox UP7 device, # (10) Exhibit 7 - Comparison of Asserted Claims of the '026 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (11) Exhibit 8 - Comparison of Asserted Claims of the '515 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (12) Exhibit 9 - Comparison of Asserted Claims of the '275 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (13) Exhibit 10 - '026 Patent Claim Terms, # (14) Exhibit 11 - '515 Patent Claim Terms, # (15) Exhibit 12 - '275 Patent Claim Terms, # (16) Exhibit 13 - 2021 08 06 Expert Report Regarding Infringement of James Babcock, # (17) Exhibit 14 - Defendants' Invalidity Contentions, # (18) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (19) Exhibit W - Jason Stigge CV) (Van Camp, Elijah) |
| Oct 28, 2021 | 85 | Expert Report (Exhibit 7 - Comparison of Asserted Claims of the '026 Patent to Mophie') (30) Docket Text: Counter Expert Report of Jason D. Stigge by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit AA - US Patent No 10,454,515, # (3) Exhibit BA - US Patent No 10,778,275, # (4) Exhibit 1 - Comparison of Asserted Claims of the '026 Patent to the Galaxy Tab 4 8.0 Device, # (5) Exhibit 2 - Comparison of Asserted Claims of the '515 Patent to the Galaxy Tab 4 8.0 Device, # (6) Exhibit 3 - Comparison of Asserted Claims of the '275 Patent to the Galaxy Tab 4 8.0 Device, # (7) Exhibit 4 - Comparison of Asserted Claims of the '026 Patent to the GPS Lockbox UP7 Device, # (8) Exhibit 5 - Comparison of Asserted Claims of the '515 Patent to the GPS Lockbox UP7 device, # (9) Exhibit 6 - Comparison of Asserted Claims of the '275 Patent to the GPS Lockbox UP7 device, # (10) Exhibit 7 - Comparison of Asserted Claims of the '026 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (11) Exhibit 8 - Comparison of Asserted Claims of the '515 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (12) Exhibit 9 - Comparison of Asserted Claims of the '275 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (13) Exhibit 10 - '026 Patent Claim Terms, # (14) Exhibit 11 - '515 Patent Claim Terms, # (15) Exhibit 12 - '275 Patent Claim Terms, # (16) Exhibit 13 - 2021 08 06 Expert Report Regarding Infringement of James Babcock, # (17) Exhibit 14 - Defendants' Invalidity Contentions, # (18) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (19) Exhibit W - Jason Stigge CV) (Van Camp, Elijah) |
| Oct 28, 2021 | 85 | Expert Report (Exhibit 8 - Comparison of Asserted Claims of the '515 Patent to Mophie') (30) Docket Text: Counter Expert Report of Jason D. Stigge by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit AA - US Patent No 10,454,515, # (3) Exhibit BA - US Patent No 10,778,275, # (4) Exhibit 1 - Comparison of Asserted Claims of the '026 Patent to the Galaxy Tab 4 8.0 Device, # (5) Exhibit 2 - Comparison of Asserted Claims of the '515 Patent to the Galaxy Tab 4 8.0 Device, # (6) Exhibit 3 - Comparison of Asserted Claims of the '275 Patent to the Galaxy Tab 4 8.0 Device, # (7) Exhibit 4 - Comparison of Asserted Claims of the '026 Patent to the GPS Lockbox UP7 Device, # (8) Exhibit 5 - Comparison of Asserted Claims of the '515 Patent to the GPS Lockbox UP7 device, # (9) Exhibit 6 - Comparison of Asserted Claims of the '275 Patent to the GPS Lockbox UP7 device, # (10) Exhibit 7 - Comparison of Asserted Claims of the '026 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (11) Exhibit 8 - Comparison of Asserted Claims of the '515 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (12) Exhibit 9 - Comparison of Asserted Claims of the '275 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (13) Exhibit 10 - '026 Patent Claim Terms, # (14) Exhibit 11 - '515 Patent Claim Terms, # (15) Exhibit 12 - '275 Patent Claim Terms, # (16) Exhibit 13 - 2021 08 06 Expert Report Regarding Infringement of James Babcock, # (17) Exhibit 14 - Defendants' Invalidity Contentions, # (18) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (19) Exhibit W - Jason Stigge CV) (Van Camp, Elijah) |
| Oct 28, 2021 | 85 | Expert Report (Exhibit 9 - Comparison of Asserted Claims of the '275 Patent to Mophie') (30) Docket Text: Counter Expert Report of Jason D. Stigge by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit AA - US Patent No 10,454,515, # (3) Exhibit BA - US Patent No 10,778,275, # (4) Exhibit 1 - Comparison of Asserted Claims of the '026 Patent to the Galaxy Tab 4 8.0 Device, # (5) Exhibit 2 - Comparison of Asserted Claims of the '515 Patent to the Galaxy Tab 4 8.0 Device, # (6) Exhibit 3 - Comparison of Asserted Claims of the '275 Patent to the Galaxy Tab 4 8.0 Device, # (7) Exhibit 4 - Comparison of Asserted Claims of the '026 Patent to the GPS Lockbox UP7 Device, # (8) Exhibit 5 - Comparison of Asserted Claims of the '515 Patent to the GPS Lockbox UP7 device, # (9) Exhibit 6 - Comparison of Asserted Claims of the '275 Patent to the GPS Lockbox UP7 device, # (10) Exhibit 7 - Comparison of Asserted Claims of the '026 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (11) Exhibit 8 - Comparison of Asserted Claims of the '515 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (12) Exhibit 9 - Comparison of Asserted Claims of the '275 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (13) Exhibit 10 - '026 Patent Claim Terms, # (14) Exhibit 11 - '515 Patent Claim Terms, # (15) Exhibit 12 - '275 Patent Claim Terms, # (16) Exhibit 13 - 2021 08 06 Expert Report Regarding Infringement of James Babcock, # (17) Exhibit 14 - Defendants' Invalidity Contentions, # (18) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (19) Exhibit W - Jason Stigge CV) (Van Camp, Elijah) |
| Oct 28, 2021 | 85 | Expert Report (Exhibit 10 - '026 Patent Claim Terms) (12) Docket Text: Counter Expert Report of Jason D. Stigge by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit AA - US Patent No 10,454,515, # (3) Exhibit BA - US Patent No 10,778,275, # (4) Exhibit 1 - Comparison of Asserted Claims of the '026 Patent to the Galaxy Tab 4 8.0 Device, # (5) Exhibit 2 - Comparison of Asserted Claims of the '515 Patent to the Galaxy Tab 4 8.0 Device, # (6) Exhibit 3 - Comparison of Asserted Claims of the '275 Patent to the Galaxy Tab 4 8.0 Device, # (7) Exhibit 4 - Comparison of Asserted Claims of the '026 Patent to the GPS Lockbox UP7 Device, # (8) Exhibit 5 - Comparison of Asserted Claims of the '515 Patent to the GPS Lockbox UP7 device, # (9) Exhibit 6 - Comparison of Asserted Claims of the '275 Patent to the GPS Lockbox UP7 device, # (10) Exhibit 7 - Comparison of Asserted Claims of the '026 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (11) Exhibit 8 - Comparison of Asserted Claims of the '515 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (12) Exhibit 9 - Comparison of Asserted Claims of the '275 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (13) Exhibit 10 - '026 Patent Claim Terms, # (14) Exhibit 11 - '515 Patent Claim Terms, # (15) Exhibit 12 - '275 Patent Claim Terms, # (16) Exhibit 13 - 2021 08 06 Expert Report Regarding Infringement of James Babcock, # (17) Exhibit 14 - Defendants' Invalidity Contentions, # (18) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (19) Exhibit W - Jason Stigge CV) (Van Camp, Elijah) |
| Oct 28, 2021 | 85 | Expert Report (Exhibit 11 - '515 Patent Claim Terms) (15) Docket Text: Counter Expert Report of Jason D. Stigge by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit AA - US Patent No 10,454,515, # (3) Exhibit BA - US Patent No 10,778,275, # (4) Exhibit 1 - Comparison of Asserted Claims of the '026 Patent to the Galaxy Tab 4 8.0 Device, # (5) Exhibit 2 - Comparison of Asserted Claims of the '515 Patent to the Galaxy Tab 4 8.0 Device, # (6) Exhibit 3 - Comparison of Asserted Claims of the '275 Patent to the Galaxy Tab 4 8.0 Device, # (7) Exhibit 4 - Comparison of Asserted Claims of the '026 Patent to the GPS Lockbox UP7 Device, # (8) Exhibit 5 - Comparison of Asserted Claims of the '515 Patent to the GPS Lockbox UP7 device, # (9) Exhibit 6 - Comparison of Asserted Claims of the '275 Patent to the GPS Lockbox UP7 device, # (10) Exhibit 7 - Comparison of Asserted Claims of the '026 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (11) Exhibit 8 - Comparison of Asserted Claims of the '515 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (12) Exhibit 9 - Comparison of Asserted Claims of the '275 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (13) Exhibit 10 - '026 Patent Claim Terms, # (14) Exhibit 11 - '515 Patent Claim Terms, # (15) Exhibit 12 - '275 Patent Claim Terms, # (16) Exhibit 13 - 2021 08 06 Expert Report Regarding Infringement of James Babcock, # (17) Exhibit 14 - Defendants' Invalidity Contentions, # (18) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (19) Exhibit W - Jason Stigge CV) (Van Camp, Elijah) |
| Oct 28, 2021 | 85 | Expert Report (Exhibit 12 - '275 Patent Claim Terms) (17) Docket Text: Counter Expert Report of Jason D. Stigge by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit AA - US Patent No 10,454,515, # (3) Exhibit BA - US Patent No 10,778,275, # (4) Exhibit 1 - Comparison of Asserted Claims of the '026 Patent to the Galaxy Tab 4 8.0 Device, # (5) Exhibit 2 - Comparison of Asserted Claims of the '515 Patent to the Galaxy Tab 4 8.0 Device, # (6) Exhibit 3 - Comparison of Asserted Claims of the '275 Patent to the Galaxy Tab 4 8.0 Device, # (7) Exhibit 4 - Comparison of Asserted Claims of the '026 Patent to the GPS Lockbox UP7 Device, # (8) Exhibit 5 - Comparison of Asserted Claims of the '515 Patent to the GPS Lockbox UP7 device, # (9) Exhibit 6 - Comparison of Asserted Claims of the '275 Patent to the GPS Lockbox UP7 device, # (10) Exhibit 7 - Comparison of Asserted Claims of the '026 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (11) Exhibit 8 - Comparison of Asserted Claims of the '515 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (12) Exhibit 9 - Comparison of Asserted Claims of the '275 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (13) Exhibit 10 - '026 Patent Claim Terms, # (14) Exhibit 11 - '515 Patent Claim Terms, # (15) Exhibit 12 - '275 Patent Claim Terms, # (16) Exhibit 13 - 2021 08 06 Expert Report Regarding Infringement of James Babcock, # (17) Exhibit 14 - Defendants' Invalidity Contentions, # (18) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (19) Exhibit W - Jason Stigge CV) (Van Camp, Elijah) |
| Oct 28, 2021 | 85 | Expert Report (Exhibit 13 - 2021 08 06 Expert Report Regarding Infringement of James Babcock) (30) Docket Text: Counter Expert Report of Jason D. Stigge by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit AA - US Patent No 10,454,515, # (3) Exhibit BA - US Patent No 10,778,275, # (4) Exhibit 1 - Comparison of Asserted Claims of the '026 Patent to the Galaxy Tab 4 8.0 Device, # (5) Exhibit 2 - Comparison of Asserted Claims of the '515 Patent to the Galaxy Tab 4 8.0 Device, # (6) Exhibit 3 - Comparison of Asserted Claims of the '275 Patent to the Galaxy Tab 4 8.0 Device, # (7) Exhibit 4 - Comparison of Asserted Claims of the '026 Patent to the GPS Lockbox UP7 Device, # (8) Exhibit 5 - Comparison of Asserted Claims of the '515 Patent to the GPS Lockbox UP7 device, # (9) Exhibit 6 - Comparison of Asserted Claims of the '275 Patent to the GPS Lockbox UP7 device, # (10) Exhibit 7 - Comparison of Asserted Claims of the '026 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (11) Exhibit 8 - Comparison of Asserted Claims of the '515 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (12) Exhibit 9 - Comparison of Asserted Claims of the '275 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (13) Exhibit 10 - '026 Patent Claim Terms, # (14) Exhibit 11 - '515 Patent Claim Terms, # (15) Exhibit 12 - '275 Patent Claim Terms, # (16) Exhibit 13 - 2021 08 06 Expert Report Regarding Infringement of James Babcock, # (17) Exhibit 14 - Defendants' Invalidity Contentions, # (18) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (19) Exhibit W - Jason Stigge CV) (Van Camp, Elijah) |
| Oct 28, 2021 | 85 | Expert Report (Exhibit 14 - Defendants' Invalidity Contentions) (11) Docket Text: Counter Expert Report of Jason D. Stigge by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit AA - US Patent No 10,454,515, # (3) Exhibit BA - US Patent No 10,778,275, # (4) Exhibit 1 - Comparison of Asserted Claims of the '026 Patent to the Galaxy Tab 4 8.0 Device, # (5) Exhibit 2 - Comparison of Asserted Claims of the '515 Patent to the Galaxy Tab 4 8.0 Device, # (6) Exhibit 3 - Comparison of Asserted Claims of the '275 Patent to the Galaxy Tab 4 8.0 Device, # (7) Exhibit 4 - Comparison of Asserted Claims of the '026 Patent to the GPS Lockbox UP7 Device, # (8) Exhibit 5 - Comparison of Asserted Claims of the '515 Patent to the GPS Lockbox UP7 device, # (9) Exhibit 6 - Comparison of Asserted Claims of the '275 Patent to the GPS Lockbox UP7 device, # (10) Exhibit 7 - Comparison of Asserted Claims of the '026 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (11) Exhibit 8 - Comparison of Asserted Claims of the '515 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (12) Exhibit 9 - Comparison of Asserted Claims of the '275 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (13) Exhibit 10 - '026 Patent Claim Terms, # (14) Exhibit 11 - '515 Patent Claim Terms, # (15) Exhibit 12 - '275 Patent Claim Terms, # (16) Exhibit 13 - 2021 08 06 Expert Report Regarding Infringement of James Babcock, # (17) Exhibit 14 - Defendants' Invalidity Contentions, # (18) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (19) Exhibit W - Jason Stigge CV) (Van Camp, Elijah) |
| Oct 28, 2021 | 85 | Expert Report (Exhibit V - Jason Stigge Rule 26 Deposition Testimony) (1) Docket Text: Counter Expert Report of Jason D. Stigge by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit AA - US Patent No 10,454,515, # (3) Exhibit BA - US Patent No 10,778,275, # (4) Exhibit 1 - Comparison of Asserted Claims of the '026 Patent to the Galaxy Tab 4 8.0 Device, # (5) Exhibit 2 - Comparison of Asserted Claims of the '515 Patent to the Galaxy Tab 4 8.0 Device, # (6) Exhibit 3 - Comparison of Asserted Claims of the '275 Patent to the Galaxy Tab 4 8.0 Device, # (7) Exhibit 4 - Comparison of Asserted Claims of the '026 Patent to the GPS Lockbox UP7 Device, # (8) Exhibit 5 - Comparison of Asserted Claims of the '515 Patent to the GPS Lockbox UP7 device, # (9) Exhibit 6 - Comparison of Asserted Claims of the '275 Patent to the GPS Lockbox UP7 device, # (10) Exhibit 7 - Comparison of Asserted Claims of the '026 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (11) Exhibit 8 - Comparison of Asserted Claims of the '515 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (12) Exhibit 9 - Comparison of Asserted Claims of the '275 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (13) Exhibit 10 - '026 Patent Claim Terms, # (14) Exhibit 11 - '515 Patent Claim Terms, # (15) Exhibit 12 - '275 Patent Claim Terms, # (16) Exhibit 13 - 2021 08 06 Expert Report Regarding Infringement of James Babcock, # (17) Exhibit 14 - Defendants' Invalidity Contentions, # (18) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (19) Exhibit W - Jason Stigge CV) (Van Camp, Elijah) |
| Oct 28, 2021 | 85 | Expert Report (Exhibit W - Jason Stigge CV) (2) Docket Text: Counter Expert Report of Jason D. Stigge by Defendants Brodit AB, ProClip USA, Inc. (Attachments: # (1) Exhibit A - US Patent No. 9,706,026, # (2) Exhibit AA - US Patent No 10,454,515, # (3) Exhibit BA - US Patent No 10,778,275, # (4) Exhibit 1 - Comparison of Asserted Claims of the '026 Patent to the Galaxy Tab 4 8.0 Device, # (5) Exhibit 2 - Comparison of Asserted Claims of the '515 Patent to the Galaxy Tab 4 8.0 Device, # (6) Exhibit 3 - Comparison of Asserted Claims of the '275 Patent to the Galaxy Tab 4 8.0 Device, # (7) Exhibit 4 - Comparison of Asserted Claims of the '026 Patent to the GPS Lockbox UP7 Device, # (8) Exhibit 5 - Comparison of Asserted Claims of the '515 Patent to the GPS Lockbox UP7 device, # (9) Exhibit 6 - Comparison of Asserted Claims of the '275 Patent to the GPS Lockbox UP7 device, # (10) Exhibit 7 - Comparison of Asserted Claims of the '026 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (11) Exhibit 8 - Comparison of Asserted Claims of the '515 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (12) Exhibit 9 - Comparison of Asserted Claims of the '275 Patent to Mophie's Juice Pack-branded phone covers/chargers, # (13) Exhibit 10 - '026 Patent Claim Terms, # (14) Exhibit 11 - '515 Patent Claim Terms, # (15) Exhibit 12 - '275 Patent Claim Terms, # (16) Exhibit 13 - 2021 08 06 Expert Report Regarding Infringement of James Babcock, # (17) Exhibit 14 - Defendants' Invalidity Contentions, # (18) Exhibit V - Jason Stigge Rule 26 Deposition Testimony, # (19) Exhibit W - Jason Stigge CV) (Van Camp, Elijah) |
| Oct 28, 2021 | 87 | Redacted Document (Main Document) (30) Docket Text: Redaction to [86] Expert Report, (Rebuttal Expert Report of James B. Babcock Regarding U.S. Patent No. 9,706,026) by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. (Attachments: # (1) Exhibit A: Materials Considered) (Kaempf, Jessica) |
| Oct 28, 2021 | 87 | Redacted Document (Exhibit A: Materials Considered) (6) Docket Text: Redaction to [86] Expert Report, (Rebuttal Expert Report of James B. Babcock Regarding U.S. Patent No. 9,706,026) by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. (Attachments: # (1) Exhibit A: Materials Considered) (Kaempf, Jessica) |
| Oct 28, 2021 | 89 | Redacted Document (Main Document) (30) Docket Text: Redaction to [88] Expert Report, (Rebuttal Expert Report of James B. Babcock Regarding U.S. Patent No. 10,454,515) by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. (Attachments: # (1) Exhibit A: Materials Considered) (Kaempf, Jessica) |
| Oct 28, 2021 | 89 | Redacted Document (Exhibit A: Materials Considered) (6) Docket Text: Redaction to [88] Expert Report, (Rebuttal Expert Report of James B. Babcock Regarding U.S. Patent No. 10,454,515) by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. (Attachments: # (1) Exhibit A: Materials Considered) (Kaempf, Jessica) |
| Oct 28, 2021 | 91 | Redacted Document (Main Document) (30) Docket Text: Redaction to [90] Expert Report, (Rebuttal Expert Report of James B. Babcock Regarding U.S. Patent No. 10,778,275) by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. (Attachments: # (1) Exhibit A: Materials Considered) (Kaempf, Jessica) |
| Oct 28, 2021 | 91 | Redacted Document (Exhibit A: Materials Considered) (6) Docket Text: Redaction to [90] Expert Report, (Rebuttal Expert Report of James B. Babcock Regarding U.S. Patent No. 10,778,275) by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. (Attachments: # (1) Exhibit A: Materials Considered) (Kaempf, Jessica) |
| Oct 27, 2021 | 80 | Transcript (13) Docket Text: Transcript of Telephonic Motion Hearing, held 10/22/2021 before Magistrate Judge Stephen L. Crocker. Court Reporter: LS. Please review the court's new policy regarding electronic transcripts of court proceedings: see Electronic Transcript Instructions. (kwf) |
| Oct 25, 2021 | 77 | Motion to Compel (3) Docket Text: Motion to Compel Financial Information Regarding Accused Products by Plaintiff National Products, Inc.. Motions referred to Magistrate Judge Stephen L. Crocker. Response due 11/1/2021. (McMichael, Jonathan) |
| Oct 25, 2021 | 78 | Brief in Support (15) Docket Text: Brief in Support of [77] Motion to Compel Financial Information Regarding Accused Products by Plaintiff National Products, Inc. (McMichael, Jonathan) |
| Oct 25, 2021 | 79 | Declaration (Main Document) (4) Docket Text: Declaration of Jonathan T. McMichael filed by Plaintiff National Products, Inc. re: [77] Motion to Compel (Attachments: # (1) Exhibit A - [Excerpts] 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (2) Exhibit B - [Excerpts] 2020-10-20 ProClip's Responses to NPI's First Interrogatories , # (3) Exhibit C - 2020-10-23 NPI's Disclosure of Asserted Claims and Infringement Contentions, # (4) Exhibit D - 2020-12-14 NPI's Supplemental Infringement Contentions, # (5) Exhibit E - [Excerpts] 2021-08-06 Babcock Infringement Report (with Appx), # (6) Exhibit F - [Excerpts] Noninfringement Expert Rebuttal Report Jason Stigge, # (7) Exhibit G - [Excerpts] 2020-09-21 NPI's First Request for Production to ProClip USA, # (8) Exhibit H - 2021-10-04 email thread between counsel, # (9) Exhibit I - 2021-10-14 Kaempf email to Van Camp, # (10) Exhibit J - [Excerpts] 2020-10-20 ProClip's Responses to NPI's First Request for Production # (11) Exhibit K - 2020-10-25 email thread between counsel) (McMichael, Jonathan) Modified on 11/2/2021. (lak) |
| Oct 25, 2021 | 79 | Declaration (Exhibit A - [Excerpts] 2020-09-21 NPI's First Interrogatories) (5) Docket Text: Declaration of Jonathan T. McMichael filed by Plaintiff National Products, Inc. re: [77] Motion to Compel (Attachments: # (1) Exhibit A - [Excerpts] 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (2) Exhibit B - [Excerpts] 2020-10-20 ProClip's Responses to NPI's First Interrogatories , # (3) Exhibit C - 2020-10-23 NPI's Disclosure of Asserted Claims and Infringement Contentions, # (4) Exhibit D - 2020-12-14 NPI's Supplemental Infringement Contentions, # (5) Exhibit E - [Excerpts] 2021-08-06 Babcock Infringement Report (with Appx), # (6) Exhibit F - [Excerpts] Noninfringement Expert Rebuttal Report Jason Stigge, # (7) Exhibit G - [Excerpts] 2020-09-21 NPI's First Request for Production to ProClip USA, # (8) Exhibit H - 2021-10-04 email thread between counsel, # (9) Exhibit I - 2021-10-14 Kaempf email to Van Camp, # (10) Exhibit J - [Excerpts] 2020-10-20 ProClip's Responses to NPI's First Request for Production # (11) Exhibit K - 2020-10-25 email thread between counsel) (McMichael, Jonathan) Modified on 11/2/2021. (lak) |
| Oct 25, 2021 | 79 | Declaration (Exhibit B - [Excerpts] 2020-10-20 ProClip's Responses to NPI's First) (6) Docket Text: Declaration of Jonathan T. McMichael filed by Plaintiff National Products, Inc. re: [77] Motion to Compel (Attachments: # (1) Exhibit A - [Excerpts] 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (2) Exhibit B - [Excerpts] 2020-10-20 ProClip's Responses to NPI's First Interrogatories , # (3) Exhibit C - 2020-10-23 NPI's Disclosure of Asserted Claims and Infringement Contentions, # (4) Exhibit D - 2020-12-14 NPI's Supplemental Infringement Contentions, # (5) Exhibit E - [Excerpts] 2021-08-06 Babcock Infringement Report (with Appx), # (6) Exhibit F - [Excerpts] Noninfringement Expert Rebuttal Report Jason Stigge, # (7) Exhibit G - [Excerpts] 2020-09-21 NPI's First Request for Production to ProClip USA, # (8) Exhibit H - 2021-10-04 email thread between counsel, # (9) Exhibit I - 2021-10-14 Kaempf email to Van Camp, # (10) Exhibit J - [Excerpts] 2020-10-20 ProClip's Responses to NPI's First Request for Production # (11) Exhibit K - 2020-10-25 email thread between counsel) (McMichael, Jonathan) Modified on 11/2/2021. (lak) |
| Oct 25, 2021 | 79 | Declaration (Exhibit C - 2020-10-23 NPI's Disclosure of Asserted Claims and Infringement) (14) Docket Text: Declaration of Jonathan T. McMichael filed by Plaintiff National Products, Inc. re: [77] Motion to Compel (Attachments: # (1) Exhibit A - [Excerpts] 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (2) Exhibit B - [Excerpts] 2020-10-20 ProClip's Responses to NPI's First Interrogatories , # (3) Exhibit C - 2020-10-23 NPI's Disclosure of Asserted Claims and Infringement Contentions, # (4) Exhibit D - 2020-12-14 NPI's Supplemental Infringement Contentions, # (5) Exhibit E - [Excerpts] 2021-08-06 Babcock Infringement Report (with Appx), # (6) Exhibit F - [Excerpts] Noninfringement Expert Rebuttal Report Jason Stigge, # (7) Exhibit G - [Excerpts] 2020-09-21 NPI's First Request for Production to ProClip USA, # (8) Exhibit H - 2021-10-04 email thread between counsel, # (9) Exhibit I - 2021-10-14 Kaempf email to Van Camp, # (10) Exhibit J - [Excerpts] 2020-10-20 ProClip's Responses to NPI's First Request for Production # (11) Exhibit K - 2020-10-25 email thread between counsel) (McMichael, Jonathan) Modified on 11/2/2021. (lak) |
| Oct 25, 2021 | 79 | Declaration (Exhibit D - 2020-12-14 NPI's Supplemental Infringement Contentions) (30) Docket Text: Declaration of Jonathan T. McMichael filed by Plaintiff National Products, Inc. re: [77] Motion to Compel (Attachments: # (1) Exhibit A - [Excerpts] 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (2) Exhibit B - [Excerpts] 2020-10-20 ProClip's Responses to NPI's First Interrogatories , # (3) Exhibit C - 2020-10-23 NPI's Disclosure of Asserted Claims and Infringement Contentions, # (4) Exhibit D - 2020-12-14 NPI's Supplemental Infringement Contentions, # (5) Exhibit E - [Excerpts] 2021-08-06 Babcock Infringement Report (with Appx), # (6) Exhibit F - [Excerpts] Noninfringement Expert Rebuttal Report Jason Stigge, # (7) Exhibit G - [Excerpts] 2020-09-21 NPI's First Request for Production to ProClip USA, # (8) Exhibit H - 2021-10-04 email thread between counsel, # (9) Exhibit I - 2021-10-14 Kaempf email to Van Camp, # (10) Exhibit J - [Excerpts] 2020-10-20 ProClip's Responses to NPI's First Request for Production # (11) Exhibit K - 2020-10-25 email thread between counsel) (McMichael, Jonathan) Modified on 11/2/2021. (lak) |
| Oct 25, 2021 | 79 | Declaration (Exhibit E - [Excerpts] 2021-08-06 Babcock Infringement Report (with Appx)) (30) Docket Text: Declaration of Jonathan T. McMichael filed by Plaintiff National Products, Inc. re: [77] Motion to Compel (Attachments: # (1) Exhibit A - [Excerpts] 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (2) Exhibit B - [Excerpts] 2020-10-20 ProClip's Responses to NPI's First Interrogatories , # (3) Exhibit C - 2020-10-23 NPI's Disclosure of Asserted Claims and Infringement Contentions, # (4) Exhibit D - 2020-12-14 NPI's Supplemental Infringement Contentions, # (5) Exhibit E - [Excerpts] 2021-08-06 Babcock Infringement Report (with Appx), # (6) Exhibit F - [Excerpts] Noninfringement Expert Rebuttal Report Jason Stigge, # (7) Exhibit G - [Excerpts] 2020-09-21 NPI's First Request for Production to ProClip USA, # (8) Exhibit H - 2021-10-04 email thread between counsel, # (9) Exhibit I - 2021-10-14 Kaempf email to Van Camp, # (10) Exhibit J - [Excerpts] 2020-10-20 ProClip's Responses to NPI's First Request for Production # (11) Exhibit K - 2020-10-25 email thread between counsel) (McMichael, Jonathan) Modified on 11/2/2021. (lak) |
| Oct 25, 2021 | 79 | Declaration (Exhibit F - [Excerpts] Noninfringement Expert Rebuttal Report Jason Stigge) (19) Docket Text: Declaration of Jonathan T. McMichael filed by Plaintiff National Products, Inc. re: [77] Motion to Compel (Attachments: # (1) Exhibit A - [Excerpts] 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (2) Exhibit B - [Excerpts] 2020-10-20 ProClip's Responses to NPI's First Interrogatories , # (3) Exhibit C - 2020-10-23 NPI's Disclosure of Asserted Claims and Infringement Contentions, # (4) Exhibit D - 2020-12-14 NPI's Supplemental Infringement Contentions, # (5) Exhibit E - [Excerpts] 2021-08-06 Babcock Infringement Report (with Appx), # (6) Exhibit F - [Excerpts] Noninfringement Expert Rebuttal Report Jason Stigge, # (7) Exhibit G - [Excerpts] 2020-09-21 NPI's First Request for Production to ProClip USA, # (8) Exhibit H - 2021-10-04 email thread between counsel, # (9) Exhibit I - 2021-10-14 Kaempf email to Van Camp, # (10) Exhibit J - [Excerpts] 2020-10-20 ProClip's Responses to NPI's First Request for Production # (11) Exhibit K - 2020-10-25 email thread between counsel) (McMichael, Jonathan) Modified on 11/2/2021. (lak) |
| Oct 25, 2021 | 79 | Declaration (Exhibit G - [Excerpts] 2020-09-21 NPI's First Requests) (6) Docket Text: Declaration of Jonathan T. McMichael filed by Plaintiff National Products, Inc. re: [77] Motion to Compel (Attachments: # (1) Exhibit A - [Excerpts] 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (2) Exhibit B - [Excerpts] 2020-10-20 ProClip's Responses to NPI's First Interrogatories , # (3) Exhibit C - 2020-10-23 NPI's Disclosure of Asserted Claims and Infringement Contentions, # (4) Exhibit D - 2020-12-14 NPI's Supplemental Infringement Contentions, # (5) Exhibit E - [Excerpts] 2021-08-06 Babcock Infringement Report (with Appx), # (6) Exhibit F - [Excerpts] Noninfringement Expert Rebuttal Report Jason Stigge, # (7) Exhibit G - [Excerpts] 2020-09-21 NPI's First Request for Production to ProClip USA, # (8) Exhibit H - 2021-10-04 email thread between counsel, # (9) Exhibit I - 2021-10-14 Kaempf email to Van Camp, # (10) Exhibit J - [Excerpts] 2020-10-20 ProClip's Responses to NPI's First Request for Production # (11) Exhibit K - 2020-10-25 email thread between counsel) (McMichael, Jonathan) Modified on 11/2/2021. (lak) |
| Oct 25, 2021 | 79 | Declaration (Exhibit H - 2021-10-04 email thread between counsel) (3) Docket Text: Declaration of Jonathan T. McMichael filed by Plaintiff National Products, Inc. re: [77] Motion to Compel (Attachments: # (1) Exhibit A - [Excerpts] 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (2) Exhibit B - [Excerpts] 2020-10-20 ProClip's Responses to NPI's First Interrogatories , # (3) Exhibit C - 2020-10-23 NPI's Disclosure of Asserted Claims and Infringement Contentions, # (4) Exhibit D - 2020-12-14 NPI's Supplemental Infringement Contentions, # (5) Exhibit E - [Excerpts] 2021-08-06 Babcock Infringement Report (with Appx), # (6) Exhibit F - [Excerpts] Noninfringement Expert Rebuttal Report Jason Stigge, # (7) Exhibit G - [Excerpts] 2020-09-21 NPI's First Request for Production to ProClip USA, # (8) Exhibit H - 2021-10-04 email thread between counsel, # (9) Exhibit I - 2021-10-14 Kaempf email to Van Camp, # (10) Exhibit J - [Excerpts] 2020-10-20 ProClip's Responses to NPI's First Request for Production # (11) Exhibit K - 2020-10-25 email thread between counsel) (McMichael, Jonathan) Modified on 11/2/2021. (lak) |
| Oct 25, 2021 | 79 | Declaration (Exhibit I - 2021-10-14 Kaempf email to Van Camp) (2) Docket Text: Declaration of Jonathan T. McMichael filed by Plaintiff National Products, Inc. re: [77] Motion to Compel (Attachments: # (1) Exhibit A - [Excerpts] 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (2) Exhibit B - [Excerpts] 2020-10-20 ProClip's Responses to NPI's First Interrogatories , # (3) Exhibit C - 2020-10-23 NPI's Disclosure of Asserted Claims and Infringement Contentions, # (4) Exhibit D - 2020-12-14 NPI's Supplemental Infringement Contentions, # (5) Exhibit E - [Excerpts] 2021-08-06 Babcock Infringement Report (with Appx), # (6) Exhibit F - [Excerpts] Noninfringement Expert Rebuttal Report Jason Stigge, # (7) Exhibit G - [Excerpts] 2020-09-21 NPI's First Request for Production to ProClip USA, # (8) Exhibit H - 2021-10-04 email thread between counsel, # (9) Exhibit I - 2021-10-14 Kaempf email to Van Camp, # (10) Exhibit J - [Excerpts] 2020-10-20 ProClip's Responses to NPI's First Request for Production # (11) Exhibit K - 2020-10-25 email thread between counsel) (McMichael, Jonathan) Modified on 11/2/2021. (lak) |
| Oct 25, 2021 | 79 | Declaration (Exhibit J - [Excerpts] 2020-10-20 ProClip's Responses to NPI's First R) (8) Docket Text: Declaration of Jonathan T. McMichael filed by Plaintiff National Products, Inc. re: [77] Motion to Compel (Attachments: # (1) Exhibit A - [Excerpts] 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (2) Exhibit B - [Excerpts] 2020-10-20 ProClip's Responses to NPI's First Interrogatories , # (3) Exhibit C - 2020-10-23 NPI's Disclosure of Asserted Claims and Infringement Contentions, # (4) Exhibit D - 2020-12-14 NPI's Supplemental Infringement Contentions, # (5) Exhibit E - [Excerpts] 2021-08-06 Babcock Infringement Report (with Appx), # (6) Exhibit F - [Excerpts] Noninfringement Expert Rebuttal Report Jason Stigge, # (7) Exhibit G - [Excerpts] 2020-09-21 NPI's First Request for Production to ProClip USA, # (8) Exhibit H - 2021-10-04 email thread between counsel, # (9) Exhibit I - 2021-10-14 Kaempf email to Van Camp, # (10) Exhibit J - [Excerpts] 2020-10-20 ProClip's Responses to NPI's First Request for Production # (11) Exhibit K - 2020-10-25 email thread between counsel) (McMichael, Jonathan) Modified on 11/2/2021. (lak) |
| Oct 25, 2021 | 79 | Declaration (Exhibit K - 2020-10-25 email thread between counsel) (10) Docket Text: Declaration of Jonathan T. McMichael filed by Plaintiff National Products, Inc. re: [77] Motion to Compel (Attachments: # (1) Exhibit A - [Excerpts] 2020-09-21 NPI's First Interrogatories to ProClip USA (Nos. 1-14), # (2) Exhibit B - [Excerpts] 2020-10-20 ProClip's Responses to NPI's First Interrogatories , # (3) Exhibit C - 2020-10-23 NPI's Disclosure of Asserted Claims and Infringement Contentions, # (4) Exhibit D - 2020-12-14 NPI's Supplemental Infringement Contentions, # (5) Exhibit E - [Excerpts] 2021-08-06 Babcock Infringement Report (with Appx), # (6) Exhibit F - [Excerpts] Noninfringement Expert Rebuttal Report Jason Stigge, # (7) Exhibit G - [Excerpts] 2020-09-21 NPI's First Request for Production to ProClip USA, # (8) Exhibit H - 2021-10-04 email thread between counsel, # (9) Exhibit I - 2021-10-14 Kaempf email to Van Camp, # (10) Exhibit J - [Excerpts] 2020-10-20 ProClip's Responses to NPI's First Request for Production # (11) Exhibit K - 2020-10-25 email thread between counsel) (McMichael, Jonathan) Modified on 11/2/2021. (lak) |
| Oct 22, 2021 | N/A | Telephone Motion Hearing (0) Docket Text: Minute Entry for proceedings held before Magistrate Judge Stephen L. Crocker: Telephone Motion Hearing held on 10/22/2021 re [54] Motion to Compel Discovery filed by Brodit AB, ProClip USA, Inc. [:15] (skv) |
| Oct 22, 2021 | N/A | Order on Motion to Compel (0) Docket Text: ** TEXT ONLY ORDER **On October 22, 2021, the court held a telephonic hearing on defendant's motion to compel discovery (dkt. [54]). In discussion with the parties, the court denied it as moot with one exception: the court is allowing discovery on the topic of inequitable conduct in the manner discussed at the hearing. Each side will bear its own costs on this motion. Signed by Magistrate Judge Stephen L. Crocker on 10/22/2021. (kwf) |
| Oct 19, 2021 | 72 | Brief in Opposition (4) Docket Text: Supplemental Brief in Opposition by Plaintiff National Products, Inc., Counter Defendants National Products, Inc., National Products, Inc. re: [54] Motion to Compel filed by Brodit AB, ProClip USA, Inc. (Kaempf, Jessica) |
| Oct 19, 2021 | 73 | Declaration (Main Document) (2) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendants National Products, Inc., National Products, Inc. In Support of Plaintiff's Supplemental Response in Opposition to Defendant's Motion to Compel re: [54] Motion to Compel (Attachments: # (1) Exhibit A - Email NPI v ProClip - Motion to Compel follow up, # (2) Exhibit B - Service email re Third Supp Interrogatories, # (3) Exhibit C - 2021 08 27 NPI's Third Supp Response to ProClip's First Set of Interrogatories (corrected), # (4) Exhibit D - 2021 10 08 (REDACTED) (Confidential) NPI's Supp Responses to First Set of Interrogatories (1 - 12) (excerpted)) (Kaempf, Jessica) |
| Oct 19, 2021 | 73 | Declaration (Exhibit A - Email NPI v ProClip - Motion to Compel follow up) (6) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendants National Products, Inc., National Products, Inc. In Support of Plaintiff's Supplemental Response in Opposition to Defendant's Motion to Compel re: [54] Motion to Compel (Attachments: # (1) Exhibit A - Email NPI v ProClip - Motion to Compel follow up, # (2) Exhibit B - Service email re Third Supp Interrogatories, # (3) Exhibit C - 2021 08 27 NPI's Third Supp Response to ProClip's First Set of Interrogatories (corrected), # (4) Exhibit D - 2021 10 08 (REDACTED) (Confidential) NPI's Supp Responses to First Set of Interrogatories (1 - 12) (excerpted)) (Kaempf, Jessica) |
| Oct 19, 2021 | 73 | Declaration (Exhibit B - Service email re Third Supp Interrogatories) (3) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendants National Products, Inc., National Products, Inc. In Support of Plaintiff's Supplemental Response in Opposition to Defendant's Motion to Compel re: [54] Motion to Compel (Attachments: # (1) Exhibit A - Email NPI v ProClip - Motion to Compel follow up, # (2) Exhibit B - Service email re Third Supp Interrogatories, # (3) Exhibit C - 2021 08 27 NPI's Third Supp Response to ProClip's First Set of Interrogatories (corrected), # (4) Exhibit D - 2021 10 08 (REDACTED) (Confidential) NPI's Supp Responses to First Set of Interrogatories (1 - 12) (excerpted)) (Kaempf, Jessica) |
| Oct 19, 2021 | 73 | Declaration (Exhibit C - 2021 08 27 NPI's Third Supp Response to ProClip's First Se) (29) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendants National Products, Inc., National Products, Inc. In Support of Plaintiff's Supplemental Response in Opposition to Defendant's Motion to Compel re: [54] Motion to Compel (Attachments: # (1) Exhibit A - Email NPI v ProClip - Motion to Compel follow up, # (2) Exhibit B - Service email re Third Supp Interrogatories, # (3) Exhibit C - 2021 08 27 NPI's Third Supp Response to ProClip's First Set of Interrogatories (corrected), # (4) Exhibit D - 2021 10 08 (REDACTED) (Confidential) NPI's Supp Responses to First Set of Interrogatories (1 - 12) (excerpted)) (Kaempf, Jessica) |
| Oct 19, 2021 | 73 | Declaration (Exhibit D - 2021 10 08 (REDACTED) (Confidential) NPI's Supp Responses to Fi) (20) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendants National Products, Inc., National Products, Inc. In Support of Plaintiff's Supplemental Response in Opposition to Defendant's Motion to Compel re: [54] Motion to Compel (Attachments: # (1) Exhibit A - Email NPI v ProClip - Motion to Compel follow up, # (2) Exhibit B - Service email re Third Supp Interrogatories, # (3) Exhibit C - 2021 08 27 NPI's Third Supp Response to ProClip's First Set of Interrogatories (corrected), # (4) Exhibit D - 2021 10 08 (REDACTED) (Confidential) NPI's Supp Responses to First Set of Interrogatories (1 - 12) (excerpted)) (Kaempf, Jessica) |
| Oct 14, 2021 | N/A | Text Only Order (0) Docket Text: ** TEXT ONLY ORDER **The court will hold a telephonic hearing on defendant's motion to compel (dkt. [54]) on October 22, 2021 at 1:30 p.m. The parties may update their submissions on this dispute by October 19, 2021. Counsel for Defendant responsible for setting up the call to chambers at (608) 264-5153. Signed by Magistrate Judge Stephen L. Crocker on 10/14/2021. (kwf) |
| Oct 8, 2021 | 70 | Claims Construction Table (14) Docket Text: Joint Claims Construction Table by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. (Kaempf, Jessica) |
| Oct 4, 2021 | 69 | Transcript (9) Docket Text: Transcript of Telephonic Motion for Protection Hearing, held September 29, 2021 before Magistrate Judge Stephen L. Crocker. Court Reporter: LS. Please review the court's new policy regarding electronic transcripts of court proceedings: see Electronic Transcript Instructions. (rks) |
| Sep 30, 2021 | 68 | Notice of Withdrawal of Counsel (2) Docket Text: Notice of Withdrawal of Counsel by Winnie Wong re: Plaintiff National Products, Inc., Counter Defendants National Products, Inc., National Products, Inc. (Wong, Winnie) |
| Sep 29, 2021 | N/A | Telephone Motion Hearing (0) Docket Text: Minute Entry for proceedings held before Magistrate Judge Stephen L. Crocker: Telephone Motion Hearing held on 9/29/2021 re [63] Motion for Protective Order filed by Brodit AB, ProClip USA, Inc. [:30] (skv) |
| Sep 29, 2021 | N/A | Order on Motion for Protective Order (0) Docket Text: ** TEXT ONLY ORDER ** At a September 29, 2021 telephonic hearing, the court granted in part and denied in part defendants' motion for protection (dkt. [64]) in the manner and for the reasons stated during the hearing. Briefly, the court will not forbid in-person depositions on or after November 1, 2021 when a witness or an attorney deems it necessary to manipulate a physical object during the deposition, so long as appropriate COVID safety protocols are in place. Each side will bear its own costs on this motion. Signed by Magistrate Judge Stephen L. Crocker on 9/29/2021. (voc) |
| Sep 28, 2021 | 66 | Brief in Opposition (8) Docket Text: Brief in Opposition by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. re: [63] Motion for Protective Order filed by Brodit AB, ProClip USA, Inc. (Kaempf, Jessica) |
| Sep 23, 2021 | N/A | Set Motion and R&R Deadlines/Hearings (0) Docket Text: Set/Reset Deadlines and Hearings re: [63] Motion for Protective Order. Brief in Opposition due 9/28/2021. Telephone Motion Hearing set for 9/29/2021 at 3:30 PM before Magistrate Judge Stephen L. Crocker. Counsel for Defendant responsible for setting up the call to chambers at (608) 264-5153. (kwf) |
| Sep 23, 2021 | 63 | Motion for Protective Order (2) Docket Text: Motion for Protective Order by Defendants Brodit AB, ProClip USA, Inc.. (Van Camp, Elijah) |
| Sep 23, 2021 | 64 | Brief in Support (19) Docket Text: Brief in Support of [63] Motion for Protective Order by Defendants Brodit AB, ProClip USA, Inc. (Van Camp, Elijah) |
| Sep 23, 2021 | 65 | Declaration (Main Document) (6) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [63] Motion for Protective Order (Attachments: # (1) Exhibit 1 - 8.9.2021 email chain, # (2) Exhibit 2 - 30(b)(6) Deposition Notice to ProClip, # (3) Exhibit 3 - Notice of Deposition of Bjorn Spilling, # (4) Exhibit 4 - Notice of Deposition of Jason Stigge, # (5) Exhibit 5 - 9.9.2021 email chain, # (6) Exhibit 6 - 9.21.2021 email chain) (Van Camp, Elijah) |
| Sep 23, 2021 | 65 | Declaration (Exhibit 1 - 8.9.2021 email chain) (16) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [63] Motion for Protective Order (Attachments: # (1) Exhibit 1 - 8.9.2021 email chain, # (2) Exhibit 2 - 30(b)(6) Deposition Notice to ProClip, # (3) Exhibit 3 - Notice of Deposition of Bjorn Spilling, # (4) Exhibit 4 - Notice of Deposition of Jason Stigge, # (5) Exhibit 5 - 9.9.2021 email chain, # (6) Exhibit 6 - 9.21.2021 email chain) (Van Camp, Elijah) |
| Sep 23, 2021 | 65 | Declaration (Exhibit 2 - 30(b)(6) Deposition Notice to ProClip) (16) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [63] Motion for Protective Order (Attachments: # (1) Exhibit 1 - 8.9.2021 email chain, # (2) Exhibit 2 - 30(b)(6) Deposition Notice to ProClip, # (3) Exhibit 3 - Notice of Deposition of Bjorn Spilling, # (4) Exhibit 4 - Notice of Deposition of Jason Stigge, # (5) Exhibit 5 - 9.9.2021 email chain, # (6) Exhibit 6 - 9.21.2021 email chain) (Van Camp, Elijah) |
| Sep 23, 2021 | 65 | Declaration (Exhibit 3 - Notice of Deposition of Bjorn Spilling) (4) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [63] Motion for Protective Order (Attachments: # (1) Exhibit 1 - 8.9.2021 email chain, # (2) Exhibit 2 - 30(b)(6) Deposition Notice to ProClip, # (3) Exhibit 3 - Notice of Deposition of Bjorn Spilling, # (4) Exhibit 4 - Notice of Deposition of Jason Stigge, # (5) Exhibit 5 - 9.9.2021 email chain, # (6) Exhibit 6 - 9.21.2021 email chain) (Van Camp, Elijah) |
| Sep 23, 2021 | 65 | Declaration (Exhibit 4 - Notice of Deposition of Jason Stigge) (4) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [63] Motion for Protective Order (Attachments: # (1) Exhibit 1 - 8.9.2021 email chain, # (2) Exhibit 2 - 30(b)(6) Deposition Notice to ProClip, # (3) Exhibit 3 - Notice of Deposition of Bjorn Spilling, # (4) Exhibit 4 - Notice of Deposition of Jason Stigge, # (5) Exhibit 5 - 9.9.2021 email chain, # (6) Exhibit 6 - 9.21.2021 email chain) (Van Camp, Elijah) |
| Sep 23, 2021 | 65 | Declaration (Exhibit 5 - 9.9.2021 email chain) (7) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [63] Motion for Protective Order (Attachments: # (1) Exhibit 1 - 8.9.2021 email chain, # (2) Exhibit 2 - 30(b)(6) Deposition Notice to ProClip, # (3) Exhibit 3 - Notice of Deposition of Bjorn Spilling, # (4) Exhibit 4 - Notice of Deposition of Jason Stigge, # (5) Exhibit 5 - 9.9.2021 email chain, # (6) Exhibit 6 - 9.21.2021 email chain) (Van Camp, Elijah) |
| Sep 23, 2021 | 65 | Declaration (Exhibit 6 - 9.21.2021 email chain) (21) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [63] Motion for Protective Order (Attachments: # (1) Exhibit 1 - 8.9.2021 email chain, # (2) Exhibit 2 - 30(b)(6) Deposition Notice to ProClip, # (3) Exhibit 3 - Notice of Deposition of Bjorn Spilling, # (4) Exhibit 4 - Notice of Deposition of Jason Stigge, # (5) Exhibit 5 - 9.9.2021 email chain, # (6) Exhibit 6 - 9.21.2021 email chain) (Van Camp, Elijah) |
| Sep 7, 2021 | N/A | Set/Reset Deadlines (0) Docket Text: Set/Reset Deadlines: Dispositive Motions and Motions Requesting Claims Construction due 10/29/2021. (kwf) |
| Sep 7, 2021 | N/A | Order on Motion for Miscellaneous Relief (0) Docket Text: ** TEXT ONLY ORDER **ORDER granting [61] Joint Motion to Extend Case Deadlines. Signed by Magistrate Judge Stephen L. Crocker on 9/7/2021. (kwf) |
| Sep 3, 2021 | 61 | Motion for Miscellaneous Relief (3) Docket Text: Joint Motion to Extend Case Deadlines by Plaintiff National Products, Inc.. (Kaempf, Jessica) |
| Aug 16, 2021 | 60 | Notice (Other) (2) Docket Text: Notice by Defendants Brodit AB, ProClip USA, Inc. regarding pending motion to compel. (Van Camp, Elijah) Modified on 8/17/2021: Linked to the pending motion. (lak) |
| Aug 13, 2021 | 59 | Notice of Appearance (1) Docket Text: Notice of Appearance filed by Laura Marie Davis for Defendants Brodit AB, ProClip USA, Inc.. (Davis, Laura) |
| Aug 12, 2021 | 57 | Brief in Opposition (18) Docket Text: Brief in Opposition by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. re: [54] Motion to Compel filed by Brodit AB, ProClip USA, Inc. (Tellekson, David) |
| Aug 12, 2021 | 58 | Declaration (Main Document) (4) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. in Support of Plaintiff's Opposition re: [54] Motion to Compel, (Attachments: # (1) Exhibit A - NPI's Responses to Proclip's First Set of Interrogatories, # (2) Exhibit B - NPI's Supplemental Responses to Proclip's First Set of Interrogatories, # (3) Exhibit C - NPI's Responses to Proclip's First Set of Requests for Production, # (4) Exhibit D - NPI's August 4, 2021 Letter to Proclip, # (5) Exhibit E - Email communications between the parties dated July 1, 2021, # (6) Exhibit F - Proclip's Responses to NPI's First Set of Interrogatories, # (7) Exhibit G - Proclip's Responses to NPI's Third Set of Interrogatories, # (8) Exhibit H - NPI's Second Supplemental Responses to Proclip's First Set of Interrogatories) (Kaempf, Jessica) Modified on 8/13/2021. (lak) |
| Aug 12, 2021 | 58 | Declaration (Exhibit A - NPI's Responses to Proclip's First Set of Interrogatories) (18) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. in Support of Plaintiff's Opposition re: [54] Motion to Compel, (Attachments: # (1) Exhibit A - NPI's Responses to Proclip's First Set of Interrogatories, # (2) Exhibit B - NPI's Supplemental Responses to Proclip's First Set of Interrogatories, # (3) Exhibit C - NPI's Responses to Proclip's First Set of Requests for Production, # (4) Exhibit D - NPI's August 4, 2021 Letter to Proclip, # (5) Exhibit E - Email communications between the parties dated July 1, 2021, # (6) Exhibit F - Proclip's Responses to NPI's First Set of Interrogatories, # (7) Exhibit G - Proclip's Responses to NPI's Third Set of Interrogatories, # (8) Exhibit H - NPI's Second Supplemental Responses to Proclip's First Set of Interrogatories) (Kaempf, Jessica) Modified on 8/13/2021. (lak) |
| Aug 12, 2021 | 58 | Declaration (Exhibit B - NPI's Supplemental Responses to Proclip's First Set of Int) (19) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. in Support of Plaintiff's Opposition re: [54] Motion to Compel, (Attachments: # (1) Exhibit A - NPI's Responses to Proclip's First Set of Interrogatories, # (2) Exhibit B - NPI's Supplemental Responses to Proclip's First Set of Interrogatories, # (3) Exhibit C - NPI's Responses to Proclip's First Set of Requests for Production, # (4) Exhibit D - NPI's August 4, 2021 Letter to Proclip, # (5) Exhibit E - Email communications between the parties dated July 1, 2021, # (6) Exhibit F - Proclip's Responses to NPI's First Set of Interrogatories, # (7) Exhibit G - Proclip's Responses to NPI's Third Set of Interrogatories, # (8) Exhibit H - NPI's Second Supplemental Responses to Proclip's First Set of Interrogatories) (Kaempf, Jessica) Modified on 8/13/2021. (lak) |
| Aug 12, 2021 | 58 | Declaration (Exhibit C - NPI's Responses to Proclip's First Set of Requests for Pro) (24) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. in Support of Plaintiff's Opposition re: [54] Motion to Compel, (Attachments: # (1) Exhibit A - NPI's Responses to Proclip's First Set of Interrogatories, # (2) Exhibit B - NPI's Supplemental Responses to Proclip's First Set of Interrogatories, # (3) Exhibit C - NPI's Responses to Proclip's First Set of Requests for Production, # (4) Exhibit D - NPI's August 4, 2021 Letter to Proclip, # (5) Exhibit E - Email communications between the parties dated July 1, 2021, # (6) Exhibit F - Proclip's Responses to NPI's First Set of Interrogatories, # (7) Exhibit G - Proclip's Responses to NPI's Third Set of Interrogatories, # (8) Exhibit H - NPI's Second Supplemental Responses to Proclip's First Set of Interrogatories) (Kaempf, Jessica) Modified on 8/13/2021. (lak) |
| Aug 12, 2021 | 58 | Declaration (Exhibit D - NPI's August 4, 2021 Letter to Proclip) (3) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. in Support of Plaintiff's Opposition re: [54] Motion to Compel, (Attachments: # (1) Exhibit A - NPI's Responses to Proclip's First Set of Interrogatories, # (2) Exhibit B - NPI's Supplemental Responses to Proclip's First Set of Interrogatories, # (3) Exhibit C - NPI's Responses to Proclip's First Set of Requests for Production, # (4) Exhibit D - NPI's August 4, 2021 Letter to Proclip, # (5) Exhibit E - Email communications between the parties dated July 1, 2021, # (6) Exhibit F - Proclip's Responses to NPI's First Set of Interrogatories, # (7) Exhibit G - Proclip's Responses to NPI's Third Set of Interrogatories, # (8) Exhibit H - NPI's Second Supplemental Responses to Proclip's First Set of Interrogatories) (Kaempf, Jessica) Modified on 8/13/2021. (lak) |
| Aug 12, 2021 | 58 | Declaration (Exhibit E - Email communications between the parties dated July 1, 2021) (10) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. in Support of Plaintiff's Opposition re: [54] Motion to Compel, (Attachments: # (1) Exhibit A - NPI's Responses to Proclip's First Set of Interrogatories, # (2) Exhibit B - NPI's Supplemental Responses to Proclip's First Set of Interrogatories, # (3) Exhibit C - NPI's Responses to Proclip's First Set of Requests for Production, # (4) Exhibit D - NPI's August 4, 2021 Letter to Proclip, # (5) Exhibit E - Email communications between the parties dated July 1, 2021, # (6) Exhibit F - Proclip's Responses to NPI's First Set of Interrogatories, # (7) Exhibit G - Proclip's Responses to NPI's Third Set of Interrogatories, # (8) Exhibit H - NPI's Second Supplemental Responses to Proclip's First Set of Interrogatories) (Kaempf, Jessica) Modified on 8/13/2021. (lak) |
| Aug 12, 2021 | 58 | Declaration (Exhibit F - Proclip's Responses to NPI's First Set of Interrogatories) (17) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. in Support of Plaintiff's Opposition re: [54] Motion to Compel, (Attachments: # (1) Exhibit A - NPI's Responses to Proclip's First Set of Interrogatories, # (2) Exhibit B - NPI's Supplemental Responses to Proclip's First Set of Interrogatories, # (3) Exhibit C - NPI's Responses to Proclip's First Set of Requests for Production, # (4) Exhibit D - NPI's August 4, 2021 Letter to Proclip, # (5) Exhibit E - Email communications between the parties dated July 1, 2021, # (6) Exhibit F - Proclip's Responses to NPI's First Set of Interrogatories, # (7) Exhibit G - Proclip's Responses to NPI's Third Set of Interrogatories, # (8) Exhibit H - NPI's Second Supplemental Responses to Proclip's First Set of Interrogatories) (Kaempf, Jessica) Modified on 8/13/2021. (lak) |
| Aug 12, 2021 | 58 | Declaration (Exhibit G - Proclip's Responses to NPI's Third Set of Interrogatories) (6) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. in Support of Plaintiff's Opposition re: [54] Motion to Compel, (Attachments: # (1) Exhibit A - NPI's Responses to Proclip's First Set of Interrogatories, # (2) Exhibit B - NPI's Supplemental Responses to Proclip's First Set of Interrogatories, # (3) Exhibit C - NPI's Responses to Proclip's First Set of Requests for Production, # (4) Exhibit D - NPI's August 4, 2021 Letter to Proclip, # (5) Exhibit E - Email communications between the parties dated July 1, 2021, # (6) Exhibit F - Proclip's Responses to NPI's First Set of Interrogatories, # (7) Exhibit G - Proclip's Responses to NPI's Third Set of Interrogatories, # (8) Exhibit H - NPI's Second Supplemental Responses to Proclip's First Set of Interrogatories) (Kaempf, Jessica) Modified on 8/13/2021. (lak) |
| Aug 12, 2021 | 58 | Declaration (Exhibit H - NPI's Second Supplemental Responses to Proclip's First Set) (23) Docket Text: Declaration of Jessica M. Kaempf filed by Plaintiff National Products, Inc., Counter Defendant National Products, Inc. in Support of Plaintiff's Opposition re: [54] Motion to Compel, (Attachments: # (1) Exhibit A - NPI's Responses to Proclip's First Set of Interrogatories, # (2) Exhibit B - NPI's Supplemental Responses to Proclip's First Set of Interrogatories, # (3) Exhibit C - NPI's Responses to Proclip's First Set of Requests for Production, # (4) Exhibit D - NPI's August 4, 2021 Letter to Proclip, # (5) Exhibit E - Email communications between the parties dated July 1, 2021, # (6) Exhibit F - Proclip's Responses to NPI's First Set of Interrogatories, # (7) Exhibit G - Proclip's Responses to NPI's Third Set of Interrogatories, # (8) Exhibit H - NPI's Second Supplemental Responses to Proclip's First Set of Interrogatories) (Kaempf, Jessica) Modified on 8/13/2021. (lak) |
| Aug 5, 2021 | 54 | Motion to Compel (3) Docket Text: Motion to Compel Discovery by Defendants Brodit AB, ProClip USA, Inc.. Motions referred to Magistrate Judge Stephen L. Crocker. Response due 8/12/2021. (Van Camp, Elijah) |
| Aug 5, 2021 | 55 | Brief in Support (20) Docket Text: Brief in Support of [54] Motion to Compel by Defendants Brodit AB, ProClip USA, Inc. (Van Camp, Elijah) |
| Aug 5, 2021 | 56 | Declaration (Main Document) (2) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [54] Motion to Compel (Attachments: # (1) Exhibit 1 - ProClip's First Set of Interrogatories to NPI, # (2) Exhibit 2 - ProClip's First Set of RFPs to NPI, # (3) Exhibit 3 - NPI's Responses to ProClips First Interrogatories, # (4) Exhibit 4 - NPI's Responses to ProClip's First RFPs, # (5) Exhibit 5 - NPI's supplemental response to ProClip's first interrogatories, # (6) Exhibit 6 - NPI's supplemental response to RFP, # (7) Exhibit 7 - Defs' Invalidity and Unenforceability Contentions, # (8) Exhibit 8 - Amended Invalidity Contentions, # (9) Exhibit 9 - Consent to amended contentions, # (10) Exhibit 10 - 3.16.2021 email chain, # (11) Exhibit 11 - 4.2.2021 email chain, # (12) Exhibit 12 - 4.5.2021 email chain, # (13) Exhibit 13 - 5.14.2021 email chain, # (14) Exhibit 14 - 5.14.2021 email chain, # (15) Exhibit 15 - 5.21.2021 email chain, # (16) Exhibit 16 - 7.1.2021 email chain, # (17) Exhibit 17 - 7.13.2021 letter, # (18) Exhibit 18 - 7.16.2021 email) (Van Camp, Elijah) |
| Aug 5, 2021 | 56 | Declaration (Exhibit 1 - ProClip's First Set of Interrogatories to NPI) (11) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [54] Motion to Compel (Attachments: # (1) Exhibit 1 - ProClip's First Set of Interrogatories to NPI, # (2) Exhibit 2 - ProClip's First Set of RFPs to NPI, # (3) Exhibit 3 - NPI's Responses to ProClips First Interrogatories, # (4) Exhibit 4 - NPI's Responses to ProClip's First RFPs, # (5) Exhibit 5 - NPI's supplemental response to ProClip's first interrogatories, # (6) Exhibit 6 - NPI's supplemental response to RFP, # (7) Exhibit 7 - Defs' Invalidity and Unenforceability Contentions, # (8) Exhibit 8 - Amended Invalidity Contentions, # (9) Exhibit 9 - Consent to amended contentions, # (10) Exhibit 10 - 3.16.2021 email chain, # (11) Exhibit 11 - 4.2.2021 email chain, # (12) Exhibit 12 - 4.5.2021 email chain, # (13) Exhibit 13 - 5.14.2021 email chain, # (14) Exhibit 14 - 5.14.2021 email chain, # (15) Exhibit 15 - 5.21.2021 email chain, # (16) Exhibit 16 - 7.1.2021 email chain, # (17) Exhibit 17 - 7.13.2021 letter, # (18) Exhibit 18 - 7.16.2021 email) (Van Camp, Elijah) |
| Aug 5, 2021 | 56 | Declaration (Exhibit 2 - ProClip's First Set of RFPs to NPI) (12) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [54] Motion to Compel (Attachments: # (1) Exhibit 1 - ProClip's First Set of Interrogatories to NPI, # (2) Exhibit 2 - ProClip's First Set of RFPs to NPI, # (3) Exhibit 3 - NPI's Responses to ProClips First Interrogatories, # (4) Exhibit 4 - NPI's Responses to ProClip's First RFPs, # (5) Exhibit 5 - NPI's supplemental response to ProClip's first interrogatories, # (6) Exhibit 6 - NPI's supplemental response to RFP, # (7) Exhibit 7 - Defs' Invalidity and Unenforceability Contentions, # (8) Exhibit 8 - Amended Invalidity Contentions, # (9) Exhibit 9 - Consent to amended contentions, # (10) Exhibit 10 - 3.16.2021 email chain, # (11) Exhibit 11 - 4.2.2021 email chain, # (12) Exhibit 12 - 4.5.2021 email chain, # (13) Exhibit 13 - 5.14.2021 email chain, # (14) Exhibit 14 - 5.14.2021 email chain, # (15) Exhibit 15 - 5.21.2021 email chain, # (16) Exhibit 16 - 7.1.2021 email chain, # (17) Exhibit 17 - 7.13.2021 letter, # (18) Exhibit 18 - 7.16.2021 email) (Van Camp, Elijah) |
| Aug 5, 2021 | 56 | Declaration (Exhibit 3 - NPI's Responses to ProClips First Interrogatories) (18) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [54] Motion to Compel (Attachments: # (1) Exhibit 1 - ProClip's First Set of Interrogatories to NPI, # (2) Exhibit 2 - ProClip's First Set of RFPs to NPI, # (3) Exhibit 3 - NPI's Responses to ProClips First Interrogatories, # (4) Exhibit 4 - NPI's Responses to ProClip's First RFPs, # (5) Exhibit 5 - NPI's supplemental response to ProClip's first interrogatories, # (6) Exhibit 6 - NPI's supplemental response to RFP, # (7) Exhibit 7 - Defs' Invalidity and Unenforceability Contentions, # (8) Exhibit 8 - Amended Invalidity Contentions, # (9) Exhibit 9 - Consent to amended contentions, # (10) Exhibit 10 - 3.16.2021 email chain, # (11) Exhibit 11 - 4.2.2021 email chain, # (12) Exhibit 12 - 4.5.2021 email chain, # (13) Exhibit 13 - 5.14.2021 email chain, # (14) Exhibit 14 - 5.14.2021 email chain, # (15) Exhibit 15 - 5.21.2021 email chain, # (16) Exhibit 16 - 7.1.2021 email chain, # (17) Exhibit 17 - 7.13.2021 letter, # (18) Exhibit 18 - 7.16.2021 email) (Van Camp, Elijah) |
| Aug 5, 2021 | 56 | Declaration (Exhibit 4 - NPI's Responses to ProClip's First RFPs) (24) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [54] Motion to Compel (Attachments: # (1) Exhibit 1 - ProClip's First Set of Interrogatories to NPI, # (2) Exhibit 2 - ProClip's First Set of RFPs to NPI, # (3) Exhibit 3 - NPI's Responses to ProClips First Interrogatories, # (4) Exhibit 4 - NPI's Responses to ProClip's First RFPs, # (5) Exhibit 5 - NPI's supplemental response to ProClip's first interrogatories, # (6) Exhibit 6 - NPI's supplemental response to RFP, # (7) Exhibit 7 - Defs' Invalidity and Unenforceability Contentions, # (8) Exhibit 8 - Amended Invalidity Contentions, # (9) Exhibit 9 - Consent to amended contentions, # (10) Exhibit 10 - 3.16.2021 email chain, # (11) Exhibit 11 - 4.2.2021 email chain, # (12) Exhibit 12 - 4.5.2021 email chain, # (13) Exhibit 13 - 5.14.2021 email chain, # (14) Exhibit 14 - 5.14.2021 email chain, # (15) Exhibit 15 - 5.21.2021 email chain, # (16) Exhibit 16 - 7.1.2021 email chain, # (17) Exhibit 17 - 7.13.2021 letter, # (18) Exhibit 18 - 7.16.2021 email) (Van Camp, Elijah) |
| Aug 5, 2021 | 56 | Declaration (Exhibit 5 - NPI's supplemental response to ProClip's first interrogato) (19) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [54] Motion to Compel (Attachments: # (1) Exhibit 1 - ProClip's First Set of Interrogatories to NPI, # (2) Exhibit 2 - ProClip's First Set of RFPs to NPI, # (3) Exhibit 3 - NPI's Responses to ProClips First Interrogatories, # (4) Exhibit 4 - NPI's Responses to ProClip's First RFPs, # (5) Exhibit 5 - NPI's supplemental response to ProClip's first interrogatories, # (6) Exhibit 6 - NPI's supplemental response to RFP, # (7) Exhibit 7 - Defs' Invalidity and Unenforceability Contentions, # (8) Exhibit 8 - Amended Invalidity Contentions, # (9) Exhibit 9 - Consent to amended contentions, # (10) Exhibit 10 - 3.16.2021 email chain, # (11) Exhibit 11 - 4.2.2021 email chain, # (12) Exhibit 12 - 4.5.2021 email chain, # (13) Exhibit 13 - 5.14.2021 email chain, # (14) Exhibit 14 - 5.14.2021 email chain, # (15) Exhibit 15 - 5.21.2021 email chain, # (16) Exhibit 16 - 7.1.2021 email chain, # (17) Exhibit 17 - 7.13.2021 letter, # (18) Exhibit 18 - 7.16.2021 email) (Van Camp, Elijah) |
| Aug 5, 2021 | 56 | Declaration (Exhibit 6 - NPI's supplemental response to RFP) (2) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [54] Motion to Compel (Attachments: # (1) Exhibit 1 - ProClip's First Set of Interrogatories to NPI, # (2) Exhibit 2 - ProClip's First Set of RFPs to NPI, # (3) Exhibit 3 - NPI's Responses to ProClips First Interrogatories, # (4) Exhibit 4 - NPI's Responses to ProClip's First RFPs, # (5) Exhibit 5 - NPI's supplemental response to ProClip's first interrogatories, # (6) Exhibit 6 - NPI's supplemental response to RFP, # (7) Exhibit 7 - Defs' Invalidity and Unenforceability Contentions, # (8) Exhibit 8 - Amended Invalidity Contentions, # (9) Exhibit 9 - Consent to amended contentions, # (10) Exhibit 10 - 3.16.2021 email chain, # (11) Exhibit 11 - 4.2.2021 email chain, # (12) Exhibit 12 - 4.5.2021 email chain, # (13) Exhibit 13 - 5.14.2021 email chain, # (14) Exhibit 14 - 5.14.2021 email chain, # (15) Exhibit 15 - 5.21.2021 email chain, # (16) Exhibit 16 - 7.1.2021 email chain, # (17) Exhibit 17 - 7.13.2021 letter, # (18) Exhibit 18 - 7.16.2021 email) (Van Camp, Elijah) |
| Aug 5, 2021 | 56 | Declaration (Exhibit 7 - Defs' Invalidity and Unenforceability Contentions) (12) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [54] Motion to Compel (Attachments: # (1) Exhibit 1 - ProClip's First Set of Interrogatories to NPI, # (2) Exhibit 2 - ProClip's First Set of RFPs to NPI, # (3) Exhibit 3 - NPI's Responses to ProClips First Interrogatories, # (4) Exhibit 4 - NPI's Responses to ProClip's First RFPs, # (5) Exhibit 5 - NPI's supplemental response to ProClip's first interrogatories, # (6) Exhibit 6 - NPI's supplemental response to RFP, # (7) Exhibit 7 - Defs' Invalidity and Unenforceability Contentions, # (8) Exhibit 8 - Amended Invalidity Contentions, # (9) Exhibit 9 - Consent to amended contentions, # (10) Exhibit 10 - 3.16.2021 email chain, # (11) Exhibit 11 - 4.2.2021 email chain, # (12) Exhibit 12 - 4.5.2021 email chain, # (13) Exhibit 13 - 5.14.2021 email chain, # (14) Exhibit 14 - 5.14.2021 email chain, # (15) Exhibit 15 - 5.21.2021 email chain, # (16) Exhibit 16 - 7.1.2021 email chain, # (17) Exhibit 17 - 7.13.2021 letter, # (18) Exhibit 18 - 7.16.2021 email) (Van Camp, Elijah) |
| Aug 5, 2021 | 56 | Declaration (Exhibit 8 - Amended Invalidity Contentions) (12) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [54] Motion to Compel (Attachments: # (1) Exhibit 1 - ProClip's First Set of Interrogatories to NPI, # (2) Exhibit 2 - ProClip's First Set of RFPs to NPI, # (3) Exhibit 3 - NPI's Responses to ProClips First Interrogatories, # (4) Exhibit 4 - NPI's Responses to ProClip's First RFPs, # (5) Exhibit 5 - NPI's supplemental response to ProClip's first interrogatories, # (6) Exhibit 6 - NPI's supplemental response to RFP, # (7) Exhibit 7 - Defs' Invalidity and Unenforceability Contentions, # (8) Exhibit 8 - Amended Invalidity Contentions, # (9) Exhibit 9 - Consent to amended contentions, # (10) Exhibit 10 - 3.16.2021 email chain, # (11) Exhibit 11 - 4.2.2021 email chain, # (12) Exhibit 12 - 4.5.2021 email chain, # (13) Exhibit 13 - 5.14.2021 email chain, # (14) Exhibit 14 - 5.14.2021 email chain, # (15) Exhibit 15 - 5.21.2021 email chain, # (16) Exhibit 16 - 7.1.2021 email chain, # (17) Exhibit 17 - 7.13.2021 letter, # (18) Exhibit 18 - 7.16.2021 email) (Van Camp, Elijah) |
| Aug 5, 2021 | 56 | Declaration (Exhibit 9 - Consent to amended contentions) (2) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [54] Motion to Compel (Attachments: # (1) Exhibit 1 - ProClip's First Set of Interrogatories to NPI, # (2) Exhibit 2 - ProClip's First Set of RFPs to NPI, # (3) Exhibit 3 - NPI's Responses to ProClips First Interrogatories, # (4) Exhibit 4 - NPI's Responses to ProClip's First RFPs, # (5) Exhibit 5 - NPI's supplemental response to ProClip's first interrogatories, # (6) Exhibit 6 - NPI's supplemental response to RFP, # (7) Exhibit 7 - Defs' Invalidity and Unenforceability Contentions, # (8) Exhibit 8 - Amended Invalidity Contentions, # (9) Exhibit 9 - Consent to amended contentions, # (10) Exhibit 10 - 3.16.2021 email chain, # (11) Exhibit 11 - 4.2.2021 email chain, # (12) Exhibit 12 - 4.5.2021 email chain, # (13) Exhibit 13 - 5.14.2021 email chain, # (14) Exhibit 14 - 5.14.2021 email chain, # (15) Exhibit 15 - 5.21.2021 email chain, # (16) Exhibit 16 - 7.1.2021 email chain, # (17) Exhibit 17 - 7.13.2021 letter, # (18) Exhibit 18 - 7.16.2021 email) (Van Camp, Elijah) |
| Aug 5, 2021 | 56 | Declaration (Exhibit 10 - 3.16.2021 email chain) (4) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [54] Motion to Compel (Attachments: # (1) Exhibit 1 - ProClip's First Set of Interrogatories to NPI, # (2) Exhibit 2 - ProClip's First Set of RFPs to NPI, # (3) Exhibit 3 - NPI's Responses to ProClips First Interrogatories, # (4) Exhibit 4 - NPI's Responses to ProClip's First RFPs, # (5) Exhibit 5 - NPI's supplemental response to ProClip's first interrogatories, # (6) Exhibit 6 - NPI's supplemental response to RFP, # (7) Exhibit 7 - Defs' Invalidity and Unenforceability Contentions, # (8) Exhibit 8 - Amended Invalidity Contentions, # (9) Exhibit 9 - Consent to amended contentions, # (10) Exhibit 10 - 3.16.2021 email chain, # (11) Exhibit 11 - 4.2.2021 email chain, # (12) Exhibit 12 - 4.5.2021 email chain, # (13) Exhibit 13 - 5.14.2021 email chain, # (14) Exhibit 14 - 5.14.2021 email chain, # (15) Exhibit 15 - 5.21.2021 email chain, # (16) Exhibit 16 - 7.1.2021 email chain, # (17) Exhibit 17 - 7.13.2021 letter, # (18) Exhibit 18 - 7.16.2021 email) (Van Camp, Elijah) |
| Aug 5, 2021 | 56 | Declaration (Exhibit 11 - 4.2.2021 email chain) (4) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [54] Motion to Compel (Attachments: # (1) Exhibit 1 - ProClip's First Set of Interrogatories to NPI, # (2) Exhibit 2 - ProClip's First Set of RFPs to NPI, # (3) Exhibit 3 - NPI's Responses to ProClips First Interrogatories, # (4) Exhibit 4 - NPI's Responses to ProClip's First RFPs, # (5) Exhibit 5 - NPI's supplemental response to ProClip's first interrogatories, # (6) Exhibit 6 - NPI's supplemental response to RFP, # (7) Exhibit 7 - Defs' Invalidity and Unenforceability Contentions, # (8) Exhibit 8 - Amended Invalidity Contentions, # (9) Exhibit 9 - Consent to amended contentions, # (10) Exhibit 10 - 3.16.2021 email chain, # (11) Exhibit 11 - 4.2.2021 email chain, # (12) Exhibit 12 - 4.5.2021 email chain, # (13) Exhibit 13 - 5.14.2021 email chain, # (14) Exhibit 14 - 5.14.2021 email chain, # (15) Exhibit 15 - 5.21.2021 email chain, # (16) Exhibit 16 - 7.1.2021 email chain, # (17) Exhibit 17 - 7.13.2021 letter, # (18) Exhibit 18 - 7.16.2021 email) (Van Camp, Elijah) |
| Aug 5, 2021 | 56 | Declaration (Exhibit 12 - 4.5.2021 email chain) (7) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [54] Motion to Compel (Attachments: # (1) Exhibit 1 - ProClip's First Set of Interrogatories to NPI, # (2) Exhibit 2 - ProClip's First Set of RFPs to NPI, # (3) Exhibit 3 - NPI's Responses to ProClips First Interrogatories, # (4) Exhibit 4 - NPI's Responses to ProClip's First RFPs, # (5) Exhibit 5 - NPI's supplemental response to ProClip's first interrogatories, # (6) Exhibit 6 - NPI's supplemental response to RFP, # (7) Exhibit 7 - Defs' Invalidity and Unenforceability Contentions, # (8) Exhibit 8 - Amended Invalidity Contentions, # (9) Exhibit 9 - Consent to amended contentions, # (10) Exhibit 10 - 3.16.2021 email chain, # (11) Exhibit 11 - 4.2.2021 email chain, # (12) Exhibit 12 - 4.5.2021 email chain, # (13) Exhibit 13 - 5.14.2021 email chain, # (14) Exhibit 14 - 5.14.2021 email chain, # (15) Exhibit 15 - 5.21.2021 email chain, # (16) Exhibit 16 - 7.1.2021 email chain, # (17) Exhibit 17 - 7.13.2021 letter, # (18) Exhibit 18 - 7.16.2021 email) (Van Camp, Elijah) |
| Aug 5, 2021 | 56 | Declaration (Exhibit 13 - 5.14.2021 email chain) (6) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [54] Motion to Compel (Attachments: # (1) Exhibit 1 - ProClip's First Set of Interrogatories to NPI, # (2) Exhibit 2 - ProClip's First Set of RFPs to NPI, # (3) Exhibit 3 - NPI's Responses to ProClips First Interrogatories, # (4) Exhibit 4 - NPI's Responses to ProClip's First RFPs, # (5) Exhibit 5 - NPI's supplemental response to ProClip's first interrogatories, # (6) Exhibit 6 - NPI's supplemental response to RFP, # (7) Exhibit 7 - Defs' Invalidity and Unenforceability Contentions, # (8) Exhibit 8 - Amended Invalidity Contentions, # (9) Exhibit 9 - Consent to amended contentions, # (10) Exhibit 10 - 3.16.2021 email chain, # (11) Exhibit 11 - 4.2.2021 email chain, # (12) Exhibit 12 - 4.5.2021 email chain, # (13) Exhibit 13 - 5.14.2021 email chain, # (14) Exhibit 14 - 5.14.2021 email chain, # (15) Exhibit 15 - 5.21.2021 email chain, # (16) Exhibit 16 - 7.1.2021 email chain, # (17) Exhibit 17 - 7.13.2021 letter, # (18) Exhibit 18 - 7.16.2021 email) (Van Camp, Elijah) |
| Aug 5, 2021 | 56 | Declaration (Exhibit 14 - 5.14.2021 email chain) (5) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [54] Motion to Compel (Attachments: # (1) Exhibit 1 - ProClip's First Set of Interrogatories to NPI, # (2) Exhibit 2 - ProClip's First Set of RFPs to NPI, # (3) Exhibit 3 - NPI's Responses to ProClips First Interrogatories, # (4) Exhibit 4 - NPI's Responses to ProClip's First RFPs, # (5) Exhibit 5 - NPI's supplemental response to ProClip's first interrogatories, # (6) Exhibit 6 - NPI's supplemental response to RFP, # (7) Exhibit 7 - Defs' Invalidity and Unenforceability Contentions, # (8) Exhibit 8 - Amended Invalidity Contentions, # (9) Exhibit 9 - Consent to amended contentions, # (10) Exhibit 10 - 3.16.2021 email chain, # (11) Exhibit 11 - 4.2.2021 email chain, # (12) Exhibit 12 - 4.5.2021 email chain, # (13) Exhibit 13 - 5.14.2021 email chain, # (14) Exhibit 14 - 5.14.2021 email chain, # (15) Exhibit 15 - 5.21.2021 email chain, # (16) Exhibit 16 - 7.1.2021 email chain, # (17) Exhibit 17 - 7.13.2021 letter, # (18) Exhibit 18 - 7.16.2021 email) (Van Camp, Elijah) |
| Aug 5, 2021 | 56 | Declaration (Exhibit 15 - 5.21.2021 email chain) (9) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [54] Motion to Compel (Attachments: # (1) Exhibit 1 - ProClip's First Set of Interrogatories to NPI, # (2) Exhibit 2 - ProClip's First Set of RFPs to NPI, # (3) Exhibit 3 - NPI's Responses to ProClips First Interrogatories, # (4) Exhibit 4 - NPI's Responses to ProClip's First RFPs, # (5) Exhibit 5 - NPI's supplemental response to ProClip's first interrogatories, # (6) Exhibit 6 - NPI's supplemental response to RFP, # (7) Exhibit 7 - Defs' Invalidity and Unenforceability Contentions, # (8) Exhibit 8 - Amended Invalidity Contentions, # (9) Exhibit 9 - Consent to amended contentions, # (10) Exhibit 10 - 3.16.2021 email chain, # (11) Exhibit 11 - 4.2.2021 email chain, # (12) Exhibit 12 - 4.5.2021 email chain, # (13) Exhibit 13 - 5.14.2021 email chain, # (14) Exhibit 14 - 5.14.2021 email chain, # (15) Exhibit 15 - 5.21.2021 email chain, # (16) Exhibit 16 - 7.1.2021 email chain, # (17) Exhibit 17 - 7.13.2021 letter, # (18) Exhibit 18 - 7.16.2021 email) (Van Camp, Elijah) |
| Aug 5, 2021 | 56 | Declaration (Exhibit 16 - 7.1.2021 email chain) (8) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [54] Motion to Compel (Attachments: # (1) Exhibit 1 - ProClip's First Set of Interrogatories to NPI, # (2) Exhibit 2 - ProClip's First Set of RFPs to NPI, # (3) Exhibit 3 - NPI's Responses to ProClips First Interrogatories, # (4) Exhibit 4 - NPI's Responses to ProClip's First RFPs, # (5) Exhibit 5 - NPI's supplemental response to ProClip's first interrogatories, # (6) Exhibit 6 - NPI's supplemental response to RFP, # (7) Exhibit 7 - Defs' Invalidity and Unenforceability Contentions, # (8) Exhibit 8 - Amended Invalidity Contentions, # (9) Exhibit 9 - Consent to amended contentions, # (10) Exhibit 10 - 3.16.2021 email chain, # (11) Exhibit 11 - 4.2.2021 email chain, # (12) Exhibit 12 - 4.5.2021 email chain, # (13) Exhibit 13 - 5.14.2021 email chain, # (14) Exhibit 14 - 5.14.2021 email chain, # (15) Exhibit 15 - 5.21.2021 email chain, # (16) Exhibit 16 - 7.1.2021 email chain, # (17) Exhibit 17 - 7.13.2021 letter, # (18) Exhibit 18 - 7.16.2021 email) (Van Camp, Elijah) |
| Aug 5, 2021 | 56 | Declaration (Exhibit 17 - 7.13.2021 letter) (6) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [54] Motion to Compel (Attachments: # (1) Exhibit 1 - ProClip's First Set of Interrogatories to NPI, # (2) Exhibit 2 - ProClip's First Set of RFPs to NPI, # (3) Exhibit 3 - NPI's Responses to ProClips First Interrogatories, # (4) Exhibit 4 - NPI's Responses to ProClip's First RFPs, # (5) Exhibit 5 - NPI's supplemental response to ProClip's first interrogatories, # (6) Exhibit 6 - NPI's supplemental response to RFP, # (7) Exhibit 7 - Defs' Invalidity and Unenforceability Contentions, # (8) Exhibit 8 - Amended Invalidity Contentions, # (9) Exhibit 9 - Consent to amended contentions, # (10) Exhibit 10 - 3.16.2021 email chain, # (11) Exhibit 11 - 4.2.2021 email chain, # (12) Exhibit 12 - 4.5.2021 email chain, # (13) Exhibit 13 - 5.14.2021 email chain, # (14) Exhibit 14 - 5.14.2021 email chain, # (15) Exhibit 15 - 5.21.2021 email chain, # (16) Exhibit 16 - 7.1.2021 email chain, # (17) Exhibit 17 - 7.13.2021 letter, # (18) Exhibit 18 - 7.16.2021 email) (Van Camp, Elijah) |
| Aug 5, 2021 | 56 | Declaration (Exhibit 18 - 7.16.2021 email) (2) Docket Text: Declaration of Elijah B. Van Camp filed by Defendants Brodit AB, ProClip USA, Inc. re: [54] Motion to Compel (Attachments: # (1) Exhibit 1 - ProClip's First Set of Interrogatories to NPI, # (2) Exhibit 2 - ProClip's First Set of RFPs to NPI, # (3) Exhibit 3 - NPI's Responses to ProClips First Interrogatories, # (4) Exhibit 4 - NPI's Responses to ProClip's First RFPs, # (5) Exhibit 5 - NPI's supplemental response to ProClip's first interrogatories, # (6) Exhibit 6 - NPI's supplemental response to RFP, # (7) Exhibit 7 - Defs' Invalidity and Unenforceability Contentions, # (8) Exhibit 8 - Amended Invalidity Contentions, # (9) Exhibit 9 - Consent to amended contentions, # (10) Exhibit 10 - 3.16.2021 email chain, # (11) Exhibit 11 - 4.2.2021 email chain, # (12) Exhibit 12 - 4.5.2021 email chain, # (13) Exhibit 13 - 5.14.2021 email chain, # (14) Exhibit 14 - 5.14.2021 email chain, # (15) Exhibit 15 - 5.21.2021 email chain, # (16) Exhibit 16 - 7.1.2021 email chain, # (17) Exhibit 17 - 7.13.2021 letter, # (18) Exhibit 18 - 7.16.2021 email) (Van Camp, Elijah) |
| May 3, 2021 | N/A | Order on Motion to Admit Pro Hac Vice (0) Docket Text: ** TEXT ONLY ORDER **ORDER granting [52] Motion to Admit Winnie Wong Pro Hac Vice. Signed by Magistrate Judge Peter A. Oppeneer on 5/3/2021. (lak) |
| Apr 30, 2021 | 52 | Motion to Admit Pro Hac Vice (1) Docket Text: Motion to Admit Winnie Wong Pro Hac Vice. ( Pro Hac Vice fee $ 100 receipt number 0758-2868610.) by Plaintiff National Products, Inc., Counter Defendants National Products, Inc., National Products, Inc.. Motions referred to Magistrate Judge Stephen L. Crocker. (Wong, Winnie) |
| Apr 13, 2021 | 51 | Notice of Withdrawal of Counsel (2) Docket Text: Notice of Withdrawal of Counsel by Scott David Baker re: Plaintiff National Products, Inc. (Baker, Scott) |
| Jan 13, 2021 | 48 | 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 0758-2810882.) by Counter Defendant National Products, Inc., Plaintiff National Products, Inc. Motions referred to Magistrate Judge Stephen L. Crocker. (Kaempf, Jessica) Modified on 1/13/2021. (lak) |
| Jan 13, 2021 | 49 | 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 0758-2810890.) by Plaintiff National Products, Inc., Counter Defendants National Products, Inc., 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 [48] Motion to Admit Jessica M. Kaempf Pro Hac Vice; granting [49] Motion to Admit Scott D. Baker Pro Hac Vice. Signed by Magistrate Judge Peter A. Oppeneer on 1/13/2021. (lak) |
| Jan 8, 2021 | 47 | Notice of Withdrawal of Counsel (2) Docket Text: Notice of Withdrawal of Counsel by Jonathan Gordon Tamimi re: Plaintiff National Products, Inc. (Tamimi, Jonathan) |
| Dec 1, 2020 | 46 | Consent Judgment (2) Docket Text: PARTIAL CONSENT JUDGMENT entered in favor of plaintiff National Products, Inc. against defendants ProClip USA, Inc. and Brodit AB. (WMC/PAO) (kwf) |
| Nov 25, 2020 | 45 | Order on Motion to Approve Consent Judgment (4) Docket Text: OPINION & ORDER granting [42] Unopposed Motion to Approve Consent Judgment (re '622 Patent). Signed by District Judge William M. Conley on 11/25/2020. (kwf) |
| Nov 10, 2020 | 43 | Motion for Protective Order (15) Docket Text: Stipulated Motion for Protective Order by Plaintiff National Products, Inc.. (Tamimi, Jonathan) |
| Nov 10, 2020 | N/A | Order on Motion for Protective Order (0) Docket Text: ** TEXT ONLY ORDER **The parties' stipulated protective order [43] is accepted and entered as the court's order. Signed by Magistrate Judge Stephen L. Crocker on 11/10/2020. (kwf) |
| Nov 6, 2020 | 42 | Motion to Approve Consent Judgment (Main Document) (2) Docket Text: Unopposed Motion to Approve Consent Judgment (re '622 Patent) by Plaintiff National Products, Inc.. (Attachments: # (1) Exhibit A - Partial Consent Judgment ('622 Patent)) (Tamimi, Jonathan) |
| Nov 6, 2020 | 42 | Motion to Approve Consent Judgment (Exhibit A - Partial Consent Judgment ('622 Patent)) (6) Docket Text: Unopposed Motion to Approve Consent Judgment (re '622 Patent) by Plaintiff National Products, Inc.. (Attachments: # (1) Exhibit A - Partial Consent Judgment ('622 Patent)) (Tamimi, Jonathan) |
| Nov 5, 2020 | 40 | Reply to Counterclaim (5) Docket Text: Reply to Counterclaim by Plaintiff National Products, Inc.. (Tellekson, David) |
| Nov 5, 2020 | 41 | Reply to Counterclaim (5) Docket Text: Reply to Counterclaim by Plaintiff National Products, Inc.. (Tellekson, David) |
| Nov 3, 2020 | 39 | Report on Filing of Patent or Trademark Action (1) Docket Text: Amended Report on Filing of Patent or Trademark Action. Copy provided to the US Patent and Trademark Office electronically. (kwf) |
| Oct 22, 2020 | 38 | Proof of Standing to Sue on Claimed Patents (2) Docket Text: Unopposed Proof of Standing to Sue on Claimed Patents by Plaintiff National Products, Inc. (Tellekson, David) |
| Oct 15, 2020 | 36 | Answer to Amended Complaint (30) Docket Text: ANSWER to Amended Complaint , COUNTERCLAIM against National Products, Inc. by Defendant Brodit AB. (Leone, Joseph) Modified on 10/16/2020. (kwf) |
| Oct 15, 2020 | 37 | Answer to Amended Complaint (30) Docket Text: ANSWER to Amended Complaint , COUNTERCLAIM against National Products, Inc. by Defendant Brodit AB. (Leone, Joseph) Modified on 10/16/2020. (kwf) |
| Sep 30, 2020 | 34 | 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 9/30/2020. (kwf) |
| Sep 30, 2020 | 35 | Pretrial Conference Order (9) Docket Text: Pretrial Conference Order - Preliminary Pretrial Packet in cases assigned to District Judge William M. Conley attached. Proof of Standing to sue on claimed patents due 10/23/2020. Preliminary Disclosure of Infringement Contentions due 10/23/2020. Preliminary Disclosure of Invalidity and Unenforceability Contentions due 12/18/2020. Amendments to Pleadings due 10/30/2020. Dispositive Motions and Motions Requesting Claims Construction due 10/1/2021. Settlement Letters due 2/4/2022. Motions in Limine due 2/18/2022. Responses due 3/11/2022. Final Pretrial Conference set for 4/5/2022 at 4:00 PM. Jury Selection and Trial set for 4/25/2022 at 9:00 AM. Signed by Magistrate Judge Stephen L. Crocker on 9/30/2020. (kwf) |
| Sep 29, 2020 | 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 9/29/2020 [:10] (cak) |
| Sep 24, 2020 | 33 | Joint Preliminary Pretrial Conference Report (7) Docket Text: Joint Preliminary Pretrial Conference Report by Plaintiff National Products, Inc. (Tellekson, David) |
| Sep 23, 2020 | 31 | Motion for Extension of Time to File Answer (3) Docket Text: Stipulated Motion for Extension of Time to File Answer re [29] Amended Complaint, by Defendants Brodit AB, ProClip USA, Inc.. Motions referred to Magistrate Judge Stephen L. Crocker. (Leone, Joseph) |
| Sep 23, 2020 | N/A | Order on Motion for Extension of Time to Answer (0) Docket Text: ** TEXT ONLY ORDER **ORDER accepting and granting [31] Stipulated Motion for Extension of Time to File Answer re: [29] Amended Complaint. Signed by Magistrate Judge Stephen L. Crocker on 9/23/2020. (kwf) |
| Sep 16, 2020 | 30 | Exhibit (1) Docket Text: Exhibit to [29] Amended Complaint, filed by National Products, Inc. (Amended AO 120 Form) (Tellekson, David) Modified on 9/16/2020. (lak) |
| Sep 15, 2020 | 29 | Amended Complaint (Main Document) (18) Docket Text: AMENDED COMPLAINT (SECOND) against All Defendants, filed by National Products, Inc., (Attachments: # (1) Exhibit A - USP '026, # (2) Exhibit B - USP '515, # (3) Exhibit C - USP '622, # (4) Exhibit D - USP '275) (Tellekson, David) Modified on 9/16/2020. (lak) |
| Sep 15, 2020 | 29 | Amended Complaint (Exhibit A - USP '026) (30) Docket Text: AMENDED COMPLAINT (SECOND) against All Defendants, filed by National Products, Inc., (Attachments: # (1) Exhibit A - USP '026, # (2) Exhibit B - USP '515, # (3) Exhibit C - USP '622, # (4) Exhibit D - USP '275) (Tellekson, David) Modified on 9/16/2020. (lak) |
| Sep 15, 2020 | 29 | Amended Complaint (Exhibit B - USP '515) (30) Docket Text: AMENDED COMPLAINT (SECOND) against All Defendants, filed by National Products, Inc., (Attachments: # (1) Exhibit A - USP '026, # (2) Exhibit B - USP '515, # (3) Exhibit C - USP '622, # (4) Exhibit D - USP '275) (Tellekson, David) Modified on 9/16/2020. (lak) |
| Sep 15, 2020 | 29 | Amended Complaint (Exhibit C - USP '622) (23) Docket Text: AMENDED COMPLAINT (SECOND) against All Defendants, filed by National Products, Inc., (Attachments: # (1) Exhibit A - USP '026, # (2) Exhibit B - USP '515, # (3) Exhibit C - USP '622, # (4) Exhibit D - USP '275) (Tellekson, David) Modified on 9/16/2020. (lak) |
| Sep 15, 2020 | 29 | Amended Complaint (Exhibit D - USP '275) (30) Docket Text: AMENDED COMPLAINT (SECOND) against All Defendants, filed by National Products, Inc., (Attachments: # (1) Exhibit A - USP '026, # (2) Exhibit B - USP '515, # (3) Exhibit C - USP '622, # (4) Exhibit D - USP '275) (Tellekson, David) Modified on 9/16/2020. (lak) |
| Sep 10, 2020 | 28 | Answer to Counterclaim (5) Docket Text: Answer to [23] Counterclaim by Plaintiff National Products, Inc., Counter Defendants National Products, Inc., National Products, Inc.. (Tellekson, David) |
| Sep 8, 2020 | 27 | Corporate Disclosure Statement (1) Docket Text: Corporate Disclosure Statement by Defendant ProClip USA, Inc.. (Van Camp, Elijah) |
| Sep 4, 2020 | 26 | Corporate Disclosure Statement (1) Docket Text: Corporate Disclosure Statement by Defendant Brodit AB. (Van Camp, Elijah) |
| Aug 24, 2020 | N/A | Set Pretrial or Status Conference (0) Docket Text: Set Telephone Pretrial Conference: Telephone Pretrial Conference set for 9/29/2020 at 2:00 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) |
| Aug 24, 2020 | 24 | Notice of Appearance (1) Docket Text: Notice of Appearance filed by Christopher Kai Hovden for Defendant Brodit AB. (Hovden, Christopher) |
| Aug 24, 2020 | 25 | Notice of Appearance (1) Docket Text: Notice of Appearance filed by Elijah Byrnes Van Camp for Defendant Brodit AB. (Van Camp, Elijah) |
| Aug 21, 2020 | 23 | Answer to Amended Complaint (29) Docket Text: ANSWER to Amended Complaint, COUNTERCLAIM against National Products, Inc. by Defendant Brodit AB. (Leone, Joseph) Modified on 8/21/2020. (lak) |
| Aug 10, 2020 | 22 | Reply to Counterclaim (5) Docket Text: Reply to Counterclaim by Plaintiff National Products, Inc., Counter Defendant National Products, Inc.. (Tellekson, David) |
| Jul 20, 2020 | 21 | Answer to Amended Complaint (29) Docket Text: ANSWER to Amended Complaint , COUNTERCLAIM against National Products, Inc. by Defendant ProClip USA, Inc. (Leone, Joseph) Modified on 7/21/2020. (kwf) |
| Jul 14, 2020 | 20 | 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. (lak) |
| Jul 6, 2020 | 1 | Amended Complaint* (1) |
| Jul 6, 2020 | 19 | Amended Complaint (Main Document) (15) Docket Text: AMENDED COMPLAINT against Brodit AB, ProClip USA, Inc., filed by National Products, Inc.. (Attachments: # (1) Exhibit A - U.S. Patent No. 9,706,026, # (2) Exhibit B - U.S. Patent No. 10,454,515, # (3) Exhibit C - U.S. Patent No. 10,595,622, # (4) Report on Filing Patent/Trademark Action) (Gregor, Jennifer) |
| Jul 6, 2020 | 19 | Amended Complaint (Exhibit A - U.S. Patent No. 9,706,026) (30) Docket Text: AMENDED COMPLAINT against Brodit AB, ProClip USA, Inc., filed by National Products, Inc.. (Attachments: # (1) Exhibit A - U.S. Patent No. 9,706,026, # (2) Exhibit B - U.S. Patent No. 10,454,515, # (3) Exhibit C - U.S. Patent No. 10,595,622, # (4) Report on Filing Patent/Trademark Action) (Gregor, Jennifer) |
| Jul 6, 2020 | 19 | Amended Complaint (Exhibit B - U.S. Patent No. 10,454,515) (30) Docket Text: AMENDED COMPLAINT against Brodit AB, ProClip USA, Inc., filed by National Products, Inc.. (Attachments: # (1) Exhibit A - U.S. Patent No. 9,706,026, # (2) Exhibit B - U.S. Patent No. 10,454,515, # (3) Exhibit C - U.S. Patent No. 10,595,622, # (4) Report on Filing Patent/Trademark Action) (Gregor, Jennifer) |
| Jul 6, 2020 | 19 | Amended Complaint (Exhibit C - U.S. Patent No. 10,595,622) (23) Docket Text: AMENDED COMPLAINT against Brodit AB, ProClip USA, Inc., filed by National Products, Inc.. (Attachments: # (1) Exhibit A - U.S. Patent No. 9,706,026, # (2) Exhibit B - U.S. Patent No. 10,454,515, # (3) Exhibit C - U.S. Patent No. 10,595,622, # (4) Report on Filing Patent/Trademark Action) (Gregor, Jennifer) |
| Jul 6, 2020 | 19 | Amended Complaint (Report on Filing Patent/Trademark Action) (1) Docket Text: AMENDED COMPLAINT against Brodit AB, ProClip USA, Inc., filed by National Products, Inc.. (Attachments: # (1) Exhibit A - U.S. Patent No. 9,706,026, # (2) Exhibit B - U.S. Patent No. 10,454,515, # (3) Exhibit C - U.S. Patent No. 10,595,622, # (4) Report on Filing Patent/Trademark Action) (Gregor, Jennifer) |
| Jun 23, 2020 | 18 | Waiver of Service Executed (1) Docket Text: Waiver of Service Returned Executed by Defendant Brodit AB. Brodit AB waiver sent on 6/22/2020, answer due 8/21/2020. (Gregor, Jennifer) |
| Jun 9, 2020 | 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. Signed by Magistrate Judge Peter A. Oppeneer on 6/9/2020. (kwf) |
| Jun 9, 2020 | N/A | Order on Motion to Admit Pro Hac Vice (0) Docket Text: ** TEXT ONLY ORDER **ORDER granting [13] Motion to Admit Jonathan T. McMichael Pro Hac Vice. Signed by Magistrate Judge Peter A. Oppeneer on 6/9/2020. (kwf) |
| Jun 9, 2020 | N/A | Order on Motion to Admit Pro Hac Vice (0) Docket Text: ** TEXT ONLY ORDER **ORDER granting [14] Motion to Admit Jonathan Gordon Tamimi Pro Hac Vice. Signed by Magistrate Judge Peter A. Oppeneer on 6/9/2020. (kwf) |
| Jun 5, 2020 | 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 0758-2690748.) by Plaintiff National Products, Inc.. Motions referred to Magistrate Judge Stephen L. Crocker. (Tellekson, David) |
| Jun 5, 2020 | 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 0758-2690753.) by Plaintiff National Products, Inc.. Motions referred to Magistrate Judge Stephen L. Crocker. (McMichael, Jonathan) |
| Jun 5, 2020 | 14 | 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 0758-2690772.) by Plaintiff National Products, Inc.. Motions referred to Magistrate Judge Stephen L. Crocker. (Tamimi, Jonathan) |
| May 29, 2020 | 7 | Notice of Appearance (1) Docket Text: Notice of Appearance filed by Joseph Thomas Leone for Defendant ProClip USA, Inc.. (Leone, Joseph) |
| May 29, 2020 | 8 | Motion for Extension of Time to File Answer (2) Docket Text: Joint Motion for Extension of Time to File Answer by Defendant ProClip USA, Inc.. Motions referred to Magistrate Judge Stephen L. Crocker. (Leone, Joseph) |
| May 29, 2020 | 9 | Notice of Appearance (1) Docket Text: Notice of Appearance filed by Elijah Byrnes Van Camp for Defendant ProClip USA, Inc.. (Van Camp, Elijah) |
| May 29, 2020 | 10 | Notice of Appearance (1) Docket Text: Notice of Appearance filed by Christopher Kai Hovden for Defendant ProClip USA, Inc.. (Hovden, Christopher) |
| May 29, 2020 | N/A | Order on Motion for Extension of Time to Answer (0) Docket Text: ** TEXT ONLY ORDER **ORDER granting [8] Joint Motion for Extension of Time to Answer. ProClip USA, Inc. answer due 7/13/2020. Signed by Magistrate Judge Stephen L. Crocker on 5/29/2020. (kwf) |
| May 28, 2020 | 5 | Summons Returned Executed (3) Docket Text: Summons Returned Executed. ProClip USA, Inc. served on 5/21/2020, answer due 6/11/2020. (Gregor, Jennifer) |
| May 28, 2020 | 6 | Certificate of Service (1) Docket Text: Certificate of Service by Plaintiff National Products, Inc. as to [5] Summons Returned Executed. (Gregor, Jennifer) |
| May 12, 2020 | N/A | Add Judge for Shell Case Opening (0) Docket Text: Case randomly assigned to District Judge William M. Conley and Magistrate Judge Stephen L. Crocker. (kwf) |
| May 12, 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) |
| May 12, 2020 | 3 | Summons Issued (4) Docket Text: Summons Issued as to Brodit AB, ProClip USA, Inc. (kwf) |
| May 12, 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) |
| May 11, 2020 | 1 | Complaint* (1) |
| May 11, 2020 | 1 | Complaint (Main Document) (11) Docket Text: COMPLAINT against Brodit AB, ProClip USA, Inc.. ( Filing fee $ 400 receipt number 0758-2675656.), filed by National Products, Inc.. (Attachments: # (1) Exhibit A - U.S. Patent No. 9,706,026, # (2) Exhibit B - U.S. Patent No. 10,454,515, # (3) JS-44 Civil Cover Sheet, # (4) Summons - ProClip USA, Inc., # (5) Summons - Brodit AB,, # (6) Report on Filing Patent/Trademark Action) (Gregor, Jennifer) |
| May 11, 2020 | 1 | Complaint (Exhibit A - U.S. Patent No. 9,706,026) (30) Docket Text: COMPLAINT against Brodit AB, ProClip USA, Inc.. ( Filing fee $ 400 receipt number 0758-2675656.), filed by National Products, Inc.. (Attachments: # (1) Exhibit A - U.S. Patent No. 9,706,026, # (2) Exhibit B - U.S. Patent No. 10,454,515, # (3) JS-44 Civil Cover Sheet, # (4) Summons - ProClip USA, Inc., # (5) Summons - Brodit AB,, # (6) Report on Filing Patent/Trademark Action) (Gregor, Jennifer) |
| May 11, 2020 | 1 | Complaint (Exhibit B - U.S. Patent No. 10,454,515) (30) Docket Text: COMPLAINT against Brodit AB, ProClip USA, Inc.. ( Filing fee $ 400 receipt number 0758-2675656.), filed by National Products, Inc.. (Attachments: # (1) Exhibit A - U.S. Patent No. 9,706,026, # (2) Exhibit B - U.S. Patent No. 10,454,515, # (3) JS-44 Civil Cover Sheet, # (4) Summons - ProClip USA, Inc., # (5) Summons - Brodit AB,, # (6) Report on Filing Patent/Trademark Action) (Gregor, Jennifer) |
| May 11, 2020 | 1 | Complaint (JS-44 Civil Cover Sheet) (1) Docket Text: COMPLAINT against Brodit AB, ProClip USA, Inc.. ( Filing fee $ 400 receipt number 0758-2675656.), filed by National Products, Inc.. (Attachments: # (1) Exhibit A - U.S. Patent No. 9,706,026, # (2) Exhibit B - U.S. Patent No. 10,454,515, # (3) JS-44 Civil Cover Sheet, # (4) Summons - ProClip USA, Inc., # (5) Summons - Brodit AB,, # (6) Report on Filing Patent/Trademark Action) (Gregor, Jennifer) |
| May 11, 2020 | 1 | Complaint (Summons - ProClip USA, Inc.) (2) Docket Text: COMPLAINT against Brodit AB, ProClip USA, Inc.. ( Filing fee $ 400 receipt number 0758-2675656.), filed by National Products, Inc.. (Attachments: # (1) Exhibit A - U.S. Patent No. 9,706,026, # (2) Exhibit B - U.S. Patent No. 10,454,515, # (3) JS-44 Civil Cover Sheet, # (4) Summons - ProClip USA, Inc., # (5) Summons - Brodit AB,, # (6) Report on Filing Patent/Trademark Action) (Gregor, Jennifer) |
| May 11, 2020 | 1 | Complaint (Summons - Brodit AB,) (2) Docket Text: COMPLAINT against Brodit AB, ProClip USA, Inc.. ( Filing fee $ 400 receipt number 0758-2675656.), filed by National Products, Inc.. (Attachments: # (1) Exhibit A - U.S. Patent No. 9,706,026, # (2) Exhibit B - U.S. Patent No. 10,454,515, # (3) JS-44 Civil Cover Sheet, # (4) Summons - ProClip USA, Inc., # (5) Summons - Brodit AB,, # (6) Report on Filing Patent/Trademark Action) (Gregor, Jennifer) |
| May 11, 2020 | 1 | Complaint (Report on Filing Patent/Trademark Action) (1) Docket Text: COMPLAINT against Brodit AB, ProClip USA, Inc.. ( Filing fee $ 400 receipt number 0758-2675656.), filed by National Products, Inc.. (Attachments: # (1) Exhibit A - U.S. Patent No. 9,706,026, # (2) Exhibit B - U.S. Patent No. 10,454,515, # (3) JS-44 Civil Cover Sheet, # (4) Summons - ProClip USA, Inc., # (5) Summons - Brodit AB,, # (6) Report on Filing Patent/Trademark Action) (Gregor, Jennifer) |
| May 11, 2020 | 2 | Corporate Disclosure Statement (1) Docket Text: Corporate Disclosure Statement by Plaintiff National Products, Inc.. (Gregor, Jennifer) |
