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Case 6:18-cv-00372-ADA Document 38 Filed 06/10/19 Page 1 of 5
`
`IN THE UNITED STATES DISTRICT COURT
`FOR THE WESTERN DISTRICT OF TEXAS
`WACO DIVISION
`
`FINTIV, iNC.,
`
`v.
`
`APPLE INC.,
`
`Plaintiff,
`
`Defendant.
`

`



`

`

`


`
`C.A. No. 6:18-cv-372-ADA
`
`JURY TRIAL DEMANDED
`
`AGREED SCHEDULING ORDER SUBSEQUENT
`TO CASE MANAGEMENT CONFERENCE
`(Case Management Conference ("CMC") May 30, 2019)
`
`DEADLINE
`May 20, 2019
`
`June 13, 2019
`July 25, 2019
`
`ITEM
`Plaintiff serves preliminary' infringement contentions in the form of a
`chart setting forth where in the accused product(s) each element of the
`asserted claim(s) are found. Plaintiff shall also produce (1) all
`documents evidencing conception and reduction to practice for each
`claimed invention, and (2) a copy of the file history for each patent in
`suit.
`
`Deadline for Motions to Transfer.
`Defendant serves preliminary invalidity contentions in the form of(I)
`a chart setting forth where in the prior art references each element of
`the asserted claim(s) are found, (2) an identification of any limitations
`the Defendant contends are indefinite or lack written description under
`section 112, and (3) an identification of any claims the Defendant
`contends are directed to ineligible subject matter under section 101.
`Defendant shall also produce (1) all prior art referenced in the
`invalidity contentions, (2) technical documents, including software
`where applicable, sufficient to show the operation of the accused
`product(s), and (3) summary, annual sales information for the accused
`product(s) for the prior two years, unless the parties agree to some
`other timeframe.
`
`The parties may amend preliminary infringement contentions and preliminary invalidity contentions without leave
`of court so long as counsel certifies that it undertook reasonable efforts to prepare its preliminary contentions and the
`amendment is based on material identified after those preliminary contentions were served and should do so
`seasonably upon identif'ing any such material. Any amendment to add claims requires leave of court so that the Court
`can address any scheduling issues.
`
`IPR2020-00019
`Fintiv EX2023 Page 1
`
`

`

`Case 6:18-cv-00372-ADA Document 38 Filed 06/10/19 Page 2 of 5
`
`DEADLINE
`August 8, 2019
`August 22, 2019
`September 5, 2019
`
`September 12, 2019
`
`October 3, 2019
`October 17, 2019
`October 24, 2019
`
`November 8, 2019
`November 14, 2019
`
`December 19, 2019
`January 9, 2020
`January 30, 2020
`
`March 26, 2020
`April 23, 2020
`April 23, 2020
`May 7, 2020
`
`June 11, 2020
`July 16, 2020
`August 6, 2020
`August 20, 2020
`
`September 3, 2020
`September 10, 2020
`September 17, 2020
`
`September 24, 2020
`
`ITEM
`Parties exchange claim terms for construction.
`Parties exchange proposed claim constructions.
`Deadline to meet and confer to narrow terms in dispute and exchange
`revised list of terms/constructions.
`Parties file Opening claim construction briefs, including any arguments
`that any claim terms are indefinite.
`Parties file Responsive claim construction briefs.
`Parties file Reply claim construction briefs.
`Parties submit Joint Claim Construction Statement, optional tutorials,
`and consolidated briefing collated by Opening, Response, and Reply.
`Markman Hearing at 9:00 a.m. in Austin, Texas.
`Fact Discovery opens; deadline to serve Initial Disclosures per Rule
`26(a).
`
`Deadline to add parties.
`
`Deadline to serve Final Infringement and Invalidity Contentions.
`Deadline to amend pleadings. A motion is not required unless the
`amendment adds patents or claims.
`
`Deadline to serve privilege log
`Deadline for plaintiff to narrow the number of claims asserted.
`Close of Fact Discovery.
`
`Opening Expert Reports. Deadline for defendant to narrow the number of
`prior art references at issue.
`
`Rebuttal Expert Reports.
`
`Close of Expert Discovery.
`
`Dispositive motion deadline and Daubert motion deadline.
`
`Serve Pretrial Disclosures (jury instructions, exhibits lists, witness lists,
`designations).
`
`Serve objections to pretrial disclosures/rebuttal disclosures.
`
`Serve objections to rebuttal disclosures and File Motions in limine.
`
`File Joint Pretrial Order and Pretrial Submissions (jury instructions, exhibits
`lists, witness lists, designations); file oppositions to motions in limine.
`
`Deadline to meet and confer regarding remaining objections and disputes on
`motions in limine.
`
`IPR2020-00019
`Fintiv EX2023 Page 2
`
`

`

`Case 6:18-cv-00372-ADA Document 38 Filed 06/10/19 Page 3 of 5
`
`DEADLINE
`October 5, 2020
`
`ITEM
`File joint notice identifying remaining objections to pretrial disclosures and
`disputes on motions in limine.
`
`SIGNED this( O\ day of
`
`,2019.
`
`6)2
`ALAN D. ALBRIGHT
`UNITED STATES DISTRICT JUDGE
`
`AGREED TO:
`
`I Mark Mann
`J. Mark Mann (TX Bar No. 12926150)
`mark@themannfirm.com
`G. Blake Thompson (TX Bar No. 24042033)
`blake@themannfirm.com
`MANN I TINDEL I THOMPSON
`300 W. Main Street, Henderson, TX 75652
`913 Franklin Ave., Suite 201, Waco, TX 76701
`Telephone: (903) 657-8540
`Facsimile: (903) 657-6003
`Andy Tindel (TX Bar No. 20054500)
`atindelandytindel .com
`MANN I TINDEL I THOMPSON
`112 E. Line Street, Suite 304
`Tyler, Texas 75702
`Telephone: (903) 596-0900
`Facsimile: (903) 596-0909
`
`Craig D. Cherry (TX Bar No. 24012419)
`ccherryhaleyolson.com
`HALEY & OLSON, P.C.
`100 N. Ritchie Road, Suite 200
`Waco, TX 76701
`Telephone: (254) 776-3336
`Facsimile: (254) 776-6823
`
`IPR2020-00019
`Fintiv EX2023 Page 3
`
`

`

`Case 6:18-cv-00372-ADA Document 38 Filed 06/10/19 Page 4 of 5
`
`Jonathan K. Waldrop (CA Bar No. 297903)
`jwaldropkasowitz.com
`Darcy L. Jones (CA Bar No. 309474)
`djones@kasowitz.com
`Marcus A. Barber (CA Bar No. 307361)
`mbarber@kasowitz.com
`John W. Downing (CA Bar No. 252850)
`jdowning@kasowitz.com
`Heather S. Kim (CA Bar No. 277686)
`hkim@kasowitz.com
`Jack Shaw (CA Bar No. 309382)
`jshaw@kasowitz.com
`Gurtej Singh (CA Bar No. 286547)
`gsinghkasowitz.com
`KASOWITZ BENSON TORRES LLP
`333 Twin Dolphin Drive, Suite 200
`Redwood Shores, CA 94065
`Telephone: (650) 453-5170
`Facsimile: (650) 453-5171
`
`Daniel C. Miller (NY Bar No. 4232773) (pro hac vice)
`dcmiller@kasowitz.com
`KASOWITZ BENSON TORRES LLP
`1399 New York Avenue NW, Suite 201
`Washington, DC 20005
`Telephone: (202) 760-3400
`Facsimile: (202) 760-3401
`
`Rodney R. Miller (TX Bar No. 24070280)
`rmiller@kasowitz.com
`KASOWITZ BENSON TORRES LLP
`1349 West Peachtree Street N.W., Suite 1500
`Atlanta, GA 30309
`Telephone: (404) 260-6080
`Facsimile: (404) 260-6081
`
`Attorneys for Plaintiff, FINTIV, INC.
`
`7
`
`IPR2020-00019
`Fintiv EX2023 Page 4
`
`

`

`Case 6:18-cv-00372-ADA Document 38 Filed 06/10/19 Page 5 of 5
`
`/s/ Claudia Wilson Frost
`Claudia Wilson Frost Lead Counsel
`State Bar No. 21671300
`ORRICK, HERRINGTON & SUTCLIFFE LLP
`609 Main, 40th Floor
`Houston, TX 77002
`Telephone: 713.658.6400
`Facsimile: 713.658.6401
`cfrost@orrick.com
`
`Travis Jensen (CA Bar No. 259925)
`ORRICK, HERRINGTON & SUTCLIFFE LLP
`1000 Marsh Rd.
`Menlo Park, CA 942025
`Telephone: 650.614.7400
`Facsimile: 650.614.7401
`tjensen@orrick.com
`Attorneys for Defendant APPLE INC.
`
`8
`
`IPR2020-00019
`Fintiv EX2023 Page 5
`
`

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