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`Case 5:18-md-02834-BLF Document 460 Filed 07/16/19 Page 1 of 2
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`
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`J. DAVID HADDEN (CSB No. 176148)
`dhadden@fenwick.com
`SAINA S. SHAMILOV (CSB No. 215636)
`sshamilov@fenwick.com
`TODD R. GREGORIAN (CSB No. 236096)
`tgregorian@fenwick.com
`PHILLIP J. HAACK (CSB No. 262060)
`phaack@fenwick.com
`RAVI R. RANGANATH (CSB No. 272981)
`rranganath@fenwick.com
`CHIEH TUNG (CSB No. 318963)
`ctung@fenwick.com
`FENWICK & WEST LLP
`Silicon Valley Center
`801 California Street
`Mountain View, CA 94041
`Telephone:
`650.988.8500
`Facsimile:
`650.938.5200
`Attorneys for AMAZON.COM, INC.
`and AMAZON WEB SERVICES, INC.
`
`UNITED STATES DISTRICT COURT
`NORTHERN DISTRICT OF CALIFORNIA
`SAN JOSE DIVISION
`
`IN RE: PERSONALWEB TECHNOLOGIES,
`LLC ET AL., PATENT LITIGATION,
`
` Case No.: 5:18-md-02834-BLF
`
`AMAZON.COM, INC., and AMAZON WEB
`SERVICES, INC.,
`Plaintiffs,
`
`v.
`PERSONALWEB TECHNOLOGIES, LLC and
`LEVEL 3 COMMUNICATIONS, LLC,
`Defendants.
`
`
`
`PERSONALWEB TECHNOLOGIES, LLC and
`LEVEL 3 COMMUNICATIONS, LLC,
`Counterclaimants,
`
`v.
`
`AMAZON.COM, INC., and AMAZON WEB
`SERVICES, INC.,
`
`Counterdefendants.
`
`Case No.: 5:18-cv-00767-BLF
`
`REQUEST FOR TELEPHONIC CON-
`FERENCE OF AMAZON.COM, INC.,
`AND AMAZON WEB SERVICES, INC.
`RE RESCHEDULING OF THE HEAR-
`ING ON THE MOTION FOR JUDG-
`MENT ON THE PLEADINGS ON IN-
`FRINGEMENT CLAIMS AGAINST
`CLOUDFRONT
`
`
`AMAZON’S REQUEST FOR TELEPHONIC CMC RE
`MOTION FOR JUDGMENT ON THE PLEADINGS
`
`
`
`
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`Case No.: 5:18-md-02834-BLF
`Case No.: 5:18-cv-00767-BLF
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`ATTORNEYS AT LAW
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`FENWICK & WEST LLP
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`Case 5:18-md-02834-BLF Document 460 Filed 07/16/19 Page 2 of 2
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`
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`Amazon.com, Inc. and Amazon Web Services, Inc. (collectively, “Amazon”) respectfully
`
`request, with consent by PersonalWeb Communications, LLC (“PersonalWeb”), a telephonic con-
`ference with the Court on July 25, 2019 at 11:00 a.m., to address scheduling issues in light of
`Amazon’s pending motion for judgment on the pleadings on infringement claims against Cloud-
`Front (the “CloudFront motion”). (See Dkt. 413.)
`
`The hearing for the CloudFront motion is currently scheduled for October 3, 2019, the
`Court’s earliest available date for the motion. However, Amazon contends resolution of the Cloud-
`Front motion will determine whether CloudFront will remain an accused technology at issue in this
`action, and will therefore have a significant effect on the scope of the expert reports that are cur-
`rently due on August 23, 2019. In fact, Amazon contends that if the Court dismisses the CloudFront
`claims from the action, that will resolve the Amazon case in its entirety. For these reasons, Amazon
`respectfully requests a telephonic conference for the Court to consider an expedited resolution of
`the CloudFront motion.
`Before requesting this conference, Amazon sought to confer with PersonalWeb on this is-
`sue. Amazon suggested that, with the Court’s permission, the parties could stipulate to waive oral
`argument to render the motion ripe for decision. PersonalWeb has informed Amazon that it does
`not waive oral argument and that it intends to present oral argument on the motion as is currently
`scheduled, or at a sooner noticed hearing date that is convenient for the Court and on which counsel
`for all parties is available. PersonalWeb has also informed Amazon that the Court would be aided
`by oral argument on the issues raised by the Motion, including issues raised by Amazon’s reply.
`
`
`
`
`July 16, 2019
`
`Respectfully submitted,
`
`FENWICK & WEST LLP
`
`
`
`By: /s/ Chieh Tung
`Chieh Tung
`Counsel for AMAZON.COM, INC.
`and AMAZON WEB SERVICES, INC.
`Case No.: 5:18-md-02834-BLF
`Case No.: 5:18-cv-00767-BLF
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