Ixi Mobile (R&D) Ltd. et al v. Apple, Inc.

Northern District of California, cand-4:2015-cv-03755

Declaration of David Rokach

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1 Gregory S. Arovas, P.C. (pro hac vice) Todd M. Friedman, P.C. (pro hac vice) 2 KIRKLAND & ELLIS LLP 3 601 Lexington Avenue New York, New York 10022 4 Telephone: (212) 446-4800 Facsimile: (212) 446-4900 5 greg.arovas@kirkland.com todd.friedman@kirkland.com 6 7 8 UNITED STATES DISTRICT COURT 9 NORTHERN DISTRICT OF CALIFORNIA 10 OAKLAND DIVISION 11 12 IXI MOBILE (R&D) LTD. et al., CASE NO. 4:15-CV-03752-HSG 13 Plaintiffs, DECLARATION OF DAVID ROKACH IN 14 v. SUPPORT OF SAMSUNG'S STIPULATED 15 REQUEST TO CHANGE DATE AND TIME SAMSUNG ELECTRONICS CO., LTD., ET AL., OF TELEPHONIC CONFERENCE 16 Defendants. 17 Judge: Hon. Haywood S. Gilliam, Jr. 18 IXI MOBILE (R&D) LTD. et al., 19 CASE NO. 4:15-CV-03755-HSG Plaintiffs, 20 v. 21 22 APPLE INC., Defendant. 23 24 25 26 27 28 DECLARATION OF DAVID ROKACH Case Nos. 4:15-CV-03752-HSG 4:15-CV-03755-HSG 1 I, David Rokach, hereby declare and state as follows: 2 1. I am a partner at Kirkland & Ellis LLP, counsel of record for Samsung in this case. I 3 submit this declaration in support of Samsung's Stipulated Request to Change the Date and Time for 4 Telephonic Conference. 5 2. On December 11, 2019, the Court set a telephonic conference for December 13, 2019 at 6 2:00 p.m. (Dkt. 194). Most of Samsung's counsel will be at a trial in another litigation during that time. 7 I will not be at trial, but I begin Sabbath at 4:19 p.m. Central time / 2:19 p.m. Pacific time on Friday, 8 December 13, 2019 and will therefore be unable to participate in a conference after that time. 9 3. Counsel for IXI and for Apple have confirmed that they are willing to stipulate to 10 Samsung's request to move the telephonic conference to December 17, 2019 at 1:45 p.m. 11 4. The following requests to change dates were previously made in this case: (i) on 12 September 25, 2015, IXI filed an unopposed administrative motion to advance the date of the Case 13 Management Conference, which the Court granted (Dkts. 110, 113); (ii) on October 13, 2015, the parties 14 filed a joint motion to continue the date of the Case Management Conference, which the Court granted 15 (Dkts. 121-22); (iii) on November 15, 2018, Samsung filed a stipulated request to change the dates for 16 briefing IXI's motion to lift the stay, which the Court granted (Dkts. 145-46); and (iv) on December 10, 17 2019, the parties filed a joint motion to suspend deadlines pending dismissal of the case. 18 5. It is my belief that the present stipulated request to change date and time of the telephonic 19 conference will not impact the schedule in this case. 20 *** 21 I declare under penalty of perjury under the laws of the United States of America that the 22 foregoing is true and correct to the best of my knowledge. 23 Executed on the 12th day of December 2019. 24 By: /s/ David Rokach____ 25 David Rokach 26 27 28 DECLARATION OF DAVID ROKACH Case Nos. 4:15-CV-03752-HSG 4:15-CV-03755-HSG 4