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Case 3:20-cv-06754-WHA Document 811 Filed 06/07/23 Page 1 of 6
`
`CLEMENT SETH ROBERTS (SBN 209203)
`croberts@orrick.com
`BAS DE BLANK (SBN 191487)
`basdeblank@orrick.com
`ALYSSA CARIDIS (SBN 260103)
`acaridis@orrick.com
`ORRICK, HERRINGTON & SUTCLIFFE LLP
`The Orrick Building
`405 Howard Street
`San Francisco, CA 94105-2669
`Telephone:
`+1 415 773 5700
`Facsimile:
`+1 415 773 5759
`SEAN M. SULLIVAN (pro hac vice)
`sullivan@ls3ip.com
`J. DAN SMITH (pro hac vice)
`smith@ ls3ip.com
`MICHAEL P. BOYEA (pro hac vice)
`boyea@ ls3ip.com
`COLE B. RICHTER (pro hac vice)
`richter@ls3ip.com
`LEE SULLIVAN SHEA & SMITH LLP
`656 W Randolph St., Floor 5W
`Chicago, IL 60661
`Telephone:
`+1 312 754 0002
`Facsimile:
`+1 312 754 0003
`Attorneys for Sonos, Inc.
`
`QUINN EMANUEL URQUHART &
`SULLIVAN, LLP
` Sean Pak (Bar No. 219032)
` seanpak@quinnemanuel.com
` Melissa Baily (Bar No. 237649)
` melissabaily@quinnemanuel.com
` James Judah (Bar No. 257112)
` jamesjudah@quinnemanuel.com
` Lindsay Cooper (Bar No. 287125)
` lindsaycooper@quinnemanuel.com
` Iman Lordgooei (Bar No. 251320)
` imanlordgooei@quinnemanuel.com
`50 California Street, 22nd Floor
`San Francisco, California 94111-4788
`Telephone:
`(415) 875-6600
`Facsimile:
`(415) 875-6700
` Marc Kaplan (pro hac vice)
` marckaplan@quinnemanuel.com
`191 N. Wacker Drive, Ste 2700
`Chicago, Illinois 60606
`Telephone:
`(312) 705-7400
`Facsimile:
`(312) 705-7401
`Attorneys for GOOGLE, LLC
`
`UNITED STATES DISTRICT COURT
`NORTHERN DISTRICT OF CALIFORNIA,
`SAN FRANCISCO DIVISION
`
`SONOS, INC.,
`Plaintiff and Counter-defendant,
`v.
`GOOGLE LLC,
`Defendant and Counter-claimant.
`
`Case No. 3:20-cv-06754-WHA
`Consolidated with
`Case No. 3:21-cv-07559-WHA
`JOINT STIPULATION AND
`[PROPOSED] ORDER EXTENDING
`TIME FOR FILING BILL OF COSTS
`Judge: Hon. William Alsup
`Trial Date: May 8, 2023
`
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`JOINT STIPULATION EXTENDING TIME
`FOR FILING BILL OF COSTS
`3:20-CV-06754-WHA
`
`

`

`Case 3:20-cv-06754-WHA Document 811 Filed 06/07/23 Page 2 of 6
`
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`Pursuant to Civil L.R. 6-1(b) and 6-2, Plaintiff Sonos, Inc. (“Sonos”) and Defendant
`Google LLC (“Google”) (collectively “the Parties”) hereby submit the following joint stipulation
`as follows:
`WHEREAS, on May 30, 2023, the Court entered the Final Judgment (Dkt. No. 787 filed
`on May 26, 2023, but entered on May 30, 2023);
`WHEREAS Local Rule 54-1 allows the prevailing party to file a bill of costs “[n]o later
`than 14 days after entry of judgment”;
`WHEREAS Sonos intends to file a bill of costs, but anticipates that having additional time
`to prepare the bill of costs will both allow Sonos to more accurately calculate its taxable costs and
`allow the parties time to meet and confer about the underlying issues in an attempt to minimize
`any disputes raised to the Court;
`WHEREAS Sonos has agreed to accommodate an extension for Google, if requested, for
`any objections to Sonos’s bill of costs;
`WHEREAS Google believes that the final judgment should be vacated pending resolution
`of outstanding issues in this case and, thus, assessing costs through submission of a bill of costs
`and objections thereto is premature at this time;
`WHEREAS there have been no prior stipulations to extend the time for Defendants to
`serve and file any Bill of Cost and the Court has, pursuant to the parties’ stipulations, previously
`granted seven unrelated requests for an extension of time:
`1.
`The Court gave the parties additional time extending the deadline for mediation
`(Dkt No. 245);
`2.
`The Court gave the parties additional time to file a joint discovery letter in
`response to Sonos’s motion to compel Google to produce information in response to two requests
`for production (RFP Nos. 62 and 75) (Dkt 295).
`3.
`The Court gave the parties additional time extending the expert report and
`discovery deadlines (Dkt 402);
`5.
`The Court gave Google an extension of time to respond to Sonos’ motion for leave
`to amend infringement contentions (Dkt 417);
`
`1
`
`JOINT STIPULATION EXTENDING TIME
`FOR FILING BILL OF COSTS
`3:20-CV-06754-WHA
`
`

`

`Case 3:20-cv-06754-WHA Document 811 Filed 06/07/23 Page 3 of 6
`
`The Court gave the parties additional time extending the expert discovery, expert
`6.
`reports, and dispositive motions (Dkt 434);
`7.
`The Court gave the parties additional time extending the expert discovery, expert
`reports, and dispositive motions (Dkt 460);
`WHEREAS the parties do not expect that this change will impact any other dates already
`fixed by the Court’s Post-Trial Scheduling Order (Dkt. 796);
`THE PARTIES HERE BY STIPULATE and jointly request that the Court extend the time
`to file a bill of costs from June 9, 2023 to 14 days after the conclusion of briefing on Rule 50 and
`59 motions and the Court’s orders on such motions.
`
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`JOINT STIPULATION EXTENDING TIME
`FOR FILING BILL OF COSTS
`3:20-CV-06754-WHA
`
`

`

`Case 3:20-cv-06754-WHA Document 811 Filed 06/07/23 Page 4 of 6
`
`Dated: June 6, 2023
`
`ORRICK HERRINGTON & SUTCLIFFE LLP
`and
`LEE SULLIVAN SHEA & SMITH LLP
`
`By: /s/ Clement S. Roberts
`Clement S. Roberts
`
`Attorneys for Sonos, Inc.
`
`QUINN EMANUEL URQUHART & SULLIVAN,
`LLP
`
`By
`
`/s/ Sean Pak
`Sean Pak
`Melissa Baily
`James D. Judah
`Lindsay Cooper
`Marc Kaplan
`Iman Lordgooei
`
`Attorneys for Google, LLC
`
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`JOINT STIPULATION EXTENDING TIME
`FOR FILING BILL OF COSTS
`3:20-CV-06754-WHA
`
`

`

`Case 3:20-cv-06754-WHA Document 811 Filed 06/07/23 Page 5 of 6
`
`ECF ATTESTATION
`I, Clement S. Roberts, am the ECF User whose ID and password are being used to file this
`Joint Stipulation And [Proposed] Order Extending Time For Filing Bill Of Costs And Motion For
`Attorneys’ Fees. In compliance with Civil Local Rule 5-1, I hereby attest that Sean Pak, counsel
`for Google, has concurred in this filing.
`Dated: June 6,, 2023
`
`By: /s/ Clement S. Roberts
` Clement S. Roberts
`
`
`
`4
`
`JOINT STIPULATION EXTENDING TIME
`FOR FILING BILL OF COSTS
`3:20-CV-06754-WHA
`
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`

`

`Case 3:20-cv-06754-WHA Document 811 Filed 06/07/23 Page 6 of 6
`
`[PROPOSED] ORDER
`
`PURSUANT TO STIPULATION, IT IS SO ORDERED.
`
`Dated: June ____, 2023
`
`_____________________________________
`William H. Alsup
`United States District Judge
`
`5
`
`JOINT STIPULATION EXTENDING TIME
`FOR FILING BILL OF COSTS
`3:20-CV-06754-WHA
`
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`

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