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`Exhibit 10
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`Case 3:17-cv-05659-WHA Document 634-11 Filed 11/30/20 Page 2 of 2
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`Payne, Stephen
`From:
`Sent:
`To:
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`Cc:
`Subject:
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`Glucoft, Josh
`Wednesday, December 19, 2018 6:24 PM
`~Andre, Paul; ~Caire, Yuridia; ~Hannah, James; ~Hedvat, Shannon; ~Kastens,
`Kristopher; ~Kobialka, Lisa; ~Lee, Hannah; ~Lee, Michael; ~Manes, Austin; ~Martinez,
`Cristina; ~Nguyen, Stephanie; ~Xu, Linjun
`#Juniper/Finjan [Int]
`Stipulation
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`Kris,
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`We received your voicemail proposing to stipulate to vacate the current fact discovery and full expert report deadlines in
`view of the Court's Order regarding the second round of summary judgment. We agree that it makes sense to take those
`dates off calendar. Please circulate a draft stipulation and proposed order for our review.
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`Relatedly, please confirm which claims from the '780 and '494 Patents Finjan believes are still at issue in this case
`following the Court's rulings in the first round of summary judgment and the recent trial, if any. We had understood from
`Lisa's comment to Judge Alsup during the trial that Finjan believed that all issues related to the '780 and '494 patents had
`been resolved, but Finjan's press release after the trial seemed to suggest otherwise.
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`Regards,
`Josh
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`__________________________________________________________________
`Joshua P. Glucoft | Irell & Manella LLP | 310.203.7189 | www.irell.com
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