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`IN THE UNITED STATES DISTRICT COURT
`FOR THE DISTRICT OF KANSAS
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`Case No. 6:17-cv-01217
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`LOGANTREE LP,
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` Plaintiff,
`vs.
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`GARMIN INTERNATIONAL, INC.,
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`Defendant.
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`GARMIN’S TRIAL WITNESS LIST
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`Pursuant to the Court’s Trial Scheduling Order (Dkt. 228), Garmin International, Inc.
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`(“Garmin”) submits the following list of trial witnesses that it intends to call live or by deposition
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`at trial in this matter:1
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`WITNESS2
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`WILL CALL
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`Brann, Jeremy
`Blair, Robert
`Finch, Charles
`Hancox, Anthony
`Henderson, Nate
`Korte, Sam
`Michalson, William
`Brann, Ted
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`X
`X
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`X
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`X
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`REBUTTAL / MAY
`CALL LIVE OR BY
`DEPOSITION
`TESTIMONY
`X
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`X
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`X
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`X
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`1 In addition, Garmin reserves the right to call all witnesses whose deposition testimony has been
`designated in lieu of designations, in the event that those witnesses attend the trial in person.
`2 On October 1, 2022, Garmin informed counsel for LoganTree that in an effort to narrow the
`issues for trial, and in order to ensure the case can be presented in the five days allotted for trial,
`Garmin is withdrawing its invalidity case in this matter. As a result, two expert witnesses, Gregory
`Welch for Garmin and Frank Ferrese for LoganTree, and one Garmin fact witness, Jay Dee Krull,
`will also no longer be required as witnesses for trial.
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`Case 6:17-cv-01217-EFM Document 239 Filed 10/03/22 Page 2 of 3
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`Garmin reserves all rights to call any witness listed on LoganTree LP’s (“LoganTree”)
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`witness list without waiving any right to object to LoganTree’s presentation of such witnesses at
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`trial, without waiving any objections to the admissibility of any such testimony, and without
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`waiving the right to move for the exclusion of any such testimony. Garmin further reserves all
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`rights to modify, amend, or supplement this list prior to or during trial based on case developments
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`including, but not limited to, the right to: (1) not call some of the witnesses listed above, (2) call
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`live or by deposition as its witnesses at trial any witness identified on Plaintiff’s witness lists, (3)
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`call live any witnesses necessary to authenticate or lay the foundation for the introduction of
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`documents to which Plaintiff objects including, but not limited to, custodians of records or authors
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`of prior art, (4) add additional witnesses to testify live or by deposition, (5) introduce deposition
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`testimony as impeachment evidence or in rebuttal, or (6) change a witness from a live witness to
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`a witness testifying by deposition, and vice versa, (7) modify, amend, or supplement this witness
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`list if any further depositions are taken in this matter, or (8) modify, amend, or supplement this
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`witness list in response to rulings by the Court (including on any motions).
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`Case 6:17-cv-01217-EFM Document 239 Filed 10/03/22 Page 3 of 3
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`Dated: October 3, 2022
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`Respectfully submitted,
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`ERISE IP, P.A.
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`/s/ Adam P. Seitz
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`Adam P. Seitz, KS Bar #21059
`Megan J. Redmond, KS Bar #21999
`Carrie A. Bader, KS Bar #24436
`Clifford T. Brazen, KS Bar #27408
`ERISE IP, P.A.
`7015 College Blvd., Suite 700
`Overland Park, Kansas 66211
`Telephone: (913) 777-5600
`Facsimile: (913) 777-5601
`adam.seitz@eriseip.com
`megan.redmond@eriseip.com
`carrie.bader@eriseip.com
`cliff.brazen@eriseip.com
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`Attorneys for Defendant Garmin
`International, Inc.
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`CERTIFICATE OF SERVICE
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`I hereby certify that, on October 3, 2022, the foregoing document filed with the Clerk of
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`the Court using CM/ECF and that all counsel of record who are deemed to have consented to
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`electronic service are being served with a copy of this document via the Court’s CM/ECF system
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`accordingly.
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`By: /s/ Adam P. Seitz
` Adam P. Seitz
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