throbber
Mills, Jad
`
`From:
`Sent:
`To:
`Cc:
`
`Subject:
`
`
`
`Dorothy Whelan <whelan@fr.com>
`Monday, June 05, 2017 11:18 AM
`Mills, Jad; Michael Kane; IPR13351-0008IP1
`Parmelee, Steve; Rosato, Michael; Devine, Wendy; gspeier@carlsoncaspers.com;
`mschuman@carlsoncaspers.com; mdzwonczyk@sughrue.com; akokabi@sughrue.com;
`Ribar, Travis B.
`RE: IPR2016-01127, 01128, 01129, 01130, 01131, and 01132
`
`Jad,
`
`
`Gibson Dunn’s offices are available for Dr. Attar’s deposition. Please note that per Gibson Dunn’s request, there is a
`hard stop at 5:30 pm. Please provide the names of the attendees, including the court reporter, so that we may alert
`building security.
`
`
`We confirm that Dr. Sheppard’s deposition may continue into the night so that you will have the full 7 hours if you need
`it. If you prefer, you can hold the deposition at Dr. Sheppard’s office:
`240 Corporate Blvd
`RID Ventures Building
`Norfolk, VA 23502
`
`If you would like to hold the deposition at Dr. Sheppard’s office, please let me know and we will make arrangements
`with Dr. Sheppard’s assistant.
`
`
`We do not consent to the deposition of Mr. LeCause. If you wish to depose Mr. LeCause, you will have to seek leave
`from the Board to file a motion for additional discovery.
`
`--Dorothy
`
`
`From: Mills, Jad [mailto:jmills@wsgr.com]
`Sent: Monday, June 5, 2017 12:18 PM
`To: Dorothy Whelan <whelan@fr.com>; Michael Kane <kane@fr.com>; IPR13351-0008IP1 <IPR13351-0008IP1@fr.com>
`Cc: Parmelee, Steve <sparmelee@wsgr.com>; mrosato@wsgr.com; Devine, Wendy <wdevine@wsgr.com>;
`gspeier@carlsoncaspers.com; mschuman@carlsoncaspers.com; mdzwonczyk@sughrue.com; akokabi@sughrue.com;
`Ribar, Travis B. <tribar@sughrue.com>
`Subject: IPR2016-01127, 01128, 01129, 01130, 01131, and 01132
`
`
`Dorothy,
`
`
`We will be issuing notices of deposition for Dr. Sheppard on June 20 in Norfolk, VA and for Dr. Attar on June 22 in
`Irvine. In light of your representation that Dr. Sheppard is not available to begin his deposition during business hours
`and that the deposition must therefore begin at 5pm, we expect Dr. Sheppard to be prepared to continue the deposition
`into the night so that we are ensured the opportunity to have the full 7 hours on the record.
`
`
`Please confirm that the Gibson Dunn offices in Irvine are available for the Attar deposition.
`
`
`Also, please provide availability for the deposition of David LeCause.
`
`1
`
`MYLAN - EXHIBIT 1134
`Mylan Pharmaceuticals Inc. et al. v. Allergan, Inc.
`IPR2016-01127, -01128, -01129, -01130, -01131, & -01132
`
`

`

`
`
`Regards,
`
`
`Jad A. Mills
`Wilson Sonsini Goodrich & Rosati
`701 5th Ave., Suite 5100
`Seattle, WA 98104
`Direct: (206) 883-2554
`Main: (206) 883-2500
`Fax: (206) 883-2699
`Email: jmills@wsgr.com
`
`
`
`This email and any attachments thereto may contain private, confidential, and privileged material for the sole
`use of the intended recipient. Any review, copying, or distribution of this email (or any attachments thereto) by
`others is strictly prohibited. If you are not the intended recipient, please contact the sender immediately and
`permanently delete the original and any copies of this email and any attachments thereto.
`
`
`
`***************************************************************************************************
`*************************
`This email message is for the sole use of the intended recipient(s) and may contain confidential
`and privileged information. Any unauthorized use or disclosure is prohibited. If you are not the
`intended recipient, please contact the sender by reply email and destroy all copies of the original
`message.
`***************************************************************************************************
`*************************
`
`2
`
`

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