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`IN THE UNITED STATES DISTRICT COURT
`FOR THE DISTRICT OF DELAWARE
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`DELWARE DISPLAY GROUP LLC
`AND INNOVATIVE DISPLAY
`TECHNOLOGIES LLC
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`Plaintiffs,
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`v.
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`LG ELECTRONICS INC., et al.,
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`Defendants.
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`ORDER
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`C.A. No. 13-cv-2109-RGA
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`JURY TRIAL DEMANDED
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`AND NOW ON THIS __ day of August, 2015, upon consideration of Plaintiffs'
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`August 6, 2015 letter (D.I. 75) and Defendants August 7, 2015 response (D.I. 77); IT IS
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`HEREBY ORDERED that:
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`(1) LG Display shall produce all remaining core technical documents for the accused
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`products identified in Plaintiffs' Initial and Supplemental Identification of Asserted Patents and
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`Accused Products ("Accused Products") by no later than August 24, 2015, including:
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`(a) BLU specifications for the Accused Products;
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`(b) LCM specifications not previously produced for the Accused Products; and
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`( c) supply agreements not previously produced related to the Accused Products.
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`(2) LG Display shall make best efforts to complete production of CAD files for the
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`Accused Products by August 24, 2015.
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`(3) To the extent they exist and are in LG Display's possession, custody, or control, LG
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`Display shall produce light ray tracing documents by August 24, 2015.
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`{00050053vl )
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`Pretech_000778
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`K.J. Pretech Ex. 1024
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`Case 1:13-cv-02109-RGA Document 84 Filed 08/17/15 Page 2 of 3 PageID #: 2147
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`(4) For documents that LG Display or LG Electronics has in its possession, custody, or
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`control and that require third-party consent prior to production, in the event any third party does
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`not consent to the production of the document(s), that third party has one week from the time
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`consent is requested to file papers in this case objecting to the production of the documents at
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`issue. The failure of the third party to timely file a motion will result in the waiver of the third
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`party's objection and the documents shall be immediately produced to Plaintiffs.
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`(5) For documents set forth in paragraph 1 that are in the possession of a third party, LG
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`Display shall make good faith efforts to obtain voluntary production of those documents from the
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`applicable third party. If a supplier denies LG Displays request for consent to produce
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`documents, LG Display will inform Plaintiffs by August 24, 2015 of the party that denied the
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`request and the circumstances of the denial. IfLG Display's supply agreements give them some
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`right to obtain specifications for components of the BLU, then LG Display is expected to
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`exercise that right.
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`(6) LG Display shall also produce its global sales and costs figures for all LCMs that are
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`Accused Products, or are in Accused Products, from 2008 through the present, and, to the extent
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`maintained by Defendants, profits for Accused Products from 2008 through the present.
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`(7) To the extent they exist, LG Display and LG Electronics shall also produce profit
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`projections from 2007 through 2009.
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`(8) LG Electronics shall produce the remaining sales data for the Accused Products of LG
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`Electronics, Inc. or its subsidiaries.
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`(9) For documents produced by Defendants in a language other than English, Defendants
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`agree to produce any English translations to the extent they exist.
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`{00050053vl}
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`Pretech_000779
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`
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`Case 1:13-cv-02109-RGA Document 84 Filed 08/17/15 Page 3 of 3 PageID #: 2148
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`(10) Within 30 days of the completion of production of the technical documents set forth
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`in paragraphs 1 and 2 above, Plaintiffs shall serve supplemental infringement contentions with
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`claim charts, including citations to the core technical documents (i.e., at least the CAD files and
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`specifications), for all accused products identified in Plaintiffs' infringement contentions served
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`in this case thus far.
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`{00050053vl }
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`Pretech_000780