throbber
From:
`To:
`Cc:
`
`Subject:
`Date:
`
`Frost, Claudia
`Heather Kim; Jonathan K. Waldrop
`Jensen, Travis; Apple-Fintiv_OHS; steve.ravel@kellyhart.com; J. R. Johnson; atindel@andytindel.com; Mark
`Mann (mark@TheMannFirm.com); Fintiv
`RE: Fintiv v. Apple
`Friday, March 20, 2020 7:49:55 AM
`
`Heather et al,
`We are not available at that time. Would 10:30 or 11 am CT on Tuesday, March 24 work for you all?
`Claudia
`
`-----Original Message-----
`From: Heather Kim <HKim@kasowitz.com>
`Sent: Thursday, March 19, 2020 7:53 PM
`To: Jonathan K. Waldrop <JWaldrop@kasowitz.com>
`Cc: Frost, Claudia <cfrost@orrick.com>; Jensen, Travis <tjensen@orrick.com>; Apple-Fintiv_OHS <Apple-
`Fintiv_OHS@orrick.com>; steve.ravel@kellyhart.com; J. R. Johnson <JR.Johnson@kellyhart.com>;
`atindel@andytindel.com; Mark Mann (mark@TheMannFirm.com) <mark@themannfirm.com>; Fintiv
`<Fintiv@kasowitz.com>
`Subject: Re: Fintiv v. Apple
`
`How about 2pm Pacific on Monday, March 23? Thank you.
`
`On Mar 19, 2020, at 4:09 PM, Jonathan K. Waldrop
`<JWaldrop@kasowitz.com<mailto:JWaldrop@kasowitz.com>> wrote:
`
`6 feet apart!! Be safe, Claudia and Travis!
`
`Jonathan K. Waldrop
`Kasowitz Benson Torres LLP
`333 Twin Dolphin Drive,
`Suite 200
`Redwood Shores, California 94065
`Tel. (650) 453-5425
`Fax. (650) 362-2445
`JWaldrop@kasowitz.com
`
`-------- Original Message --------
`From: "Frost, Claudia" <cfrost@orrick.com<mailto:cfrost@orrick.com>>
`Date: Thu, March 19, 2020 4:08 PM -0700
`To: Heather Kim <HKim@kasowitz.com<mailto:HKim@kasowitz.com>>
`CC: "Jensen, Travis" <tjensen@orrick.com<mailto:tjensen@orrick.com>>, Apple-Fintiv_OHS <Apple-
`Fintiv_OHS@orrick.com<mailto:Apple-Fintiv_OHS@orrick.com>>,
`steve.ravel@kellyhart.com<mailto:steve.ravel@kellyhart.com>, "J. R. Johnson"
`<JR.Johnson@kellyhart.com<mailto:JR.Johnson@kellyhart.com>>,
`atindel@andytindel.com<mailto:atindel@andytindel.com>, "Mark Mann
`(mark@TheMannFirm.com<mailto:mark@TheMannFirm.com>)"
`<mark@themannfirm.com<mailto:mark@themannfirm.com>>, Fintiv
`<Fintiv@kasowitz.com<mailto:Fintiv@kasowitz.com>>
`Subject: Re: Fintiv v. Apple
`
`Heather,
`Thank you for your response to my March 13 email. Unfortunately, Travis Jensen and I are in an all day mediation
`
`Apple Ex. 1039, p. 1
`Apple v. Fintiv
`IPR2020-00019
`
`

`

`tomorrow. Please suggest some dates and times for a call next week.
`Best regards
`Claudia
`
`Sent from my iPhone
`
`On Mar 19, 2020, at 11:47 AM, Heather Kim <HKim@kasowitz.com<mailto:HKim@kasowitz.com>> wrote:
`
`H
`
`i Claudia,
`
`We are available for a call tomorrow at 11am Pacific.
`
`Thanks,
`Heather
`
`From: Frost, Claudia [mailto:cfrost@orrick.com]
`Sent: Friday, March 13, 2020 4:02 AM
`To: Heather Kim <HKim@kasowitz.com<mailto:HKim@kasowitz.com>>; Jensen, Travis
`<tjensen@orrick.com<mailto:tjensen@orrick.com>>; Apple-Fintiv_OHS <Apple-
`Fintiv_OHS@orrick.com<mailto:Apple-Fintiv_OHS@orrick.com>>;
`steve.ravel@kellyhart.com<mailto:steve.ravel@kellyhart.com>; J. R. Johnson
`<JR.Johnson@kellyhart.com<mailto:JR.Johnson@kellyhart.com>>
`Cc: atindel@andytindel.com<mailto:atindel@andytindel.com>; Mark Mann
`(mark@TheMannFirm.com<mailto:mark@TheMannFirm.com>)
`<mark@TheMannFirm.com<mailto:mark@TheMannFirm.com>>; Fintiv
`<Fintiv@kasowitz.com<mailto:Fintiv@kasowitz.com>>
`Subject: RE: Fintiv v. Apple
`
`**EXTERNAL EMAIL**
`
`________________________________
`Counsel,
`
`For a variety of reasons, including myriad Coronavirus complications and the production by Fintiv of 50,000 pages
`of documents – Fintiv’s first substantial document production in the case on Tuesday, March 10 – we are not be able
`to accommodate the rescheduling of the deposition of Mr. Salume to March 16 in New York. We also request that
`Mr. Salume (Fintiv’s Chairman) sit for his deposition in Austin, which is where Fintiv has its only US facility,
`where all of its relevant witnesses are located or are willing to travel for trial and where all of its relevant documents
`are located. See, e.g., Fintiv’s Resp. to Apple’s Mtn. to Transfer Venue at 4; Fintiv’s Initial Disclosures at 13.
`
`As set forth in my email of March 8, with respect to scheduling these depositions we need to receive: (i) the dates
`you propose for each of the Rule 30(b)(1) witnesses we have noticed (and their respective Rule 30(b)(6) topics, if
`any); (ii) dates for the additional three witnesses we identified in our March 8 email; (iii) dates for the Rule 30(b)(6)
`deposition(s) we noticed on January 3, 2020, with the names of the deponents and the topics each will cover; and
`(iv) the status of the horse trade you proposed and discussed in our emails of March 5 and 8.
`
`In addition to the 11 Rule 30(b)(1) depositions we need to take (subject to the horse trade we emailed about), we
`have an as yet undetermined number of Rule 30(b)(6) depositions of Fintiv to take since we have not been told who
`the witnesses will be or the topics they will cover. Fintiv has noticed the depositions of 12 Apple individuals
`(subject to the horse trade) and has noticed the Rule 30(b)(6) deposition of Apple on 42 topics. On top of this, at
`last count, Fintiv has noticed 9 additional third-party depositions across the country (including California, New
`York, Chicago, Austin and San Antonio), which will need to be coordinated if they are to go forward.
`
`We have presented two Apple witnesses for deposition already, offered dates in February for others which you
`declined (e.g., Chris Sharp), confirmed (prior to complications resulting from coronavirus) dates for seven other
`witnesses, at least one of which you later cancelled (e.g., Mark Rollins), and have generally been offering dates and
`
`Apple Ex. 1039, p. 2
`Apple v. Fintiv
`IPR2020-00019
`
`

`

`witnesses on a rolling basis.
`
`We have far too many depositions to schedule between us to handle this piecemeal. I suggest we have a call next
`week to discuss this, to identify the Rule 30(b)(6) witnesses and topics and to work on a plan and schedule for all of
`the fact depositions and the other deadlines in the overall schedule for this case. All of this will be subject to
`Coronavirus complications, of course, which are rapidly escalating and evolving and exacerbating the challenges
`this scheduling situation is posing.
`
`Please let me know if you are amenable to an omnibus scheduling call and when you would be available next week.
`
`Best regards,
`
`Claudia
`
`From: Heather Kim <HKim@kasowitz.com<mailto:HKim@kasowitz.com>>
`Sent: Thursday, March 12, 2020 6:41 PM
`To: Jensen, Travis <tjensen@orrick.com<mailto:tjensen@orrick.com>>; Frost, Claudia
`<cfrost@orrick.com<mailto:cfrost@orrick.com>>; Apple-Fintiv_OHS <Apple-
`Fintiv_OHS@orrick.com<mailto:Apple-Fintiv_OHS@orrick.com>>;
`steve.ravel@kellyhart.com<mailto:steve.ravel@kellyhart.com>; J. R. Johnson
`<JR.Johnson@kellyhart.com<mailto:JR.Johnson@kellyhart.com>>
`Cc: atindel@andytindel.com<mailto:atindel@andytindel.com>; Mark Mann
`(mark@TheMannFirm.com<mailto:mark@TheMannFirm.com>)
`<mark@TheMannFirm.com<mailto:mark@TheMannFirm.com>>; Fintiv
`<Fintiv@kasowitz.com<mailto:Fintiv@kasowitz.com>>
`Subject: RE: Fintiv v. Apple
`
`Counsel,
`
`Following up on the below, please let us know whether you intend to depose Mr. Salume on March 16 so that we
`can make arrangements.
`
`Thank you,
`
`Heather
`
`Heather Kim
`Kasowitz Benson Torres LLP
`333 Twin Dolphin Drive, Suite 200
`Redwood Shores, CA 94065
`Tel. (650) 453-5419
`Fax. (650) 362-9316
`HKim@kasowitz.com
`
`This e-mail and any files transmitted with it are confidential and may be subject to the attorney-client privilege. Use
`or disclosure of this e-mail or any such files by anyone other than a designated addressee is unauthorized. If you are
`not an intended recipient, please notify the sender by e-mail and delete this e-mail without making a copy.
`
`Apple Ex. 1039, p. 3
`Apple v. Fintiv
`IPR2020-00019
`
`

`

`From: Heather Kim
`Sent: Wednesday, March 11, 2020 1:02 PM
`To: 'Jensen, Travis' <tjensen@orrick.com<mailto:tjensen@orrick.com>>; Frost, Claudia
`<cfrost@orrick.com<mailto:cfrost@orrick.com>>; Apple-Fintiv_OHS <Apple-
`Fintiv_OHS@orrick.com<mailto:Apple-Fintiv_OHS@orrick.com>>;
`steve.ravel@kellyhart.com<mailto:steve.ravel@kellyhart.com>; J. R. Johnson
`<JR.Johnson@kellyhart.com<mailto:JR.Johnson@kellyhart.com>>
`Cc: atindel@andytindel.com<mailto:atindel@andytindel.com>; 'Mark Mann
`(mark@TheMannFirm.com<mailto:mark@TheMannFirm.com>)'
`<mark@TheMannFirm.com<mailto:mark@TheMannFirm.com>>; Fintiv
`<Fintiv@kasowitz.com<mailto:Fintiv@kasowitz.com>>
`Subject: Fintiv v. Apple
`
`Counsel,
`
`Adolfo Salume is available for deposition on Monday, March 16, at our NYC office. Please advise as soon as
`possible whether Apple accepts this date.
`
`Thank you,
`Heather
`
`NOTICE TO RECIPIENT | This e-mail is meant for only the intended recipient of the transmission, and may be a
`communication privileged by law. If you received this e-mail in error, any review, use, dissemination, distribution,
`or copying of this e-mail is strictly prohibited. Please notify us immediately of the error by return e-mail and please
`delete this message from your system. Thank you in advance for your cooperation.
`
`For more information about Orrick, please visit http://www.orrick.com<http://www.orrick.com>.
`
`In the course of our business relationship, we may collect, store and transfer information about you. Please see our
`privacy policy at https://www.orrick.com/Privacy-Policy<https://www.orrick.com/Privacy-Policy> to learn about
`how we use this information.
`
`NOTICE TO RECIPIENT | This e-mail is meant for only the intended recipient of the transmission, and may be a
`communication privileged by law. If you received this e-mail in error, any review, use, dissemination, distribution,
`or copying of this e-mail is strictly prohibited. Please notify us immediately of the error by return e-mail and please
`delete this message from your system. Thank you in advance for your cooperation.
`
`For more information about Orrick, please visit http://www.orrick.com<http://www.orrick.com/>.
`
`In the course of our business relationship, we may collect, store and transfer information about you. Please see our
`privacy policy at https://www.orrick.com/Privacy-Policy<https://www.orrick.com/Privacy-Policy> to learn about
`how we use this information.
`
`Apple Ex. 1039, p. 4
`Apple v. Fintiv
`IPR2020-00019
`
`

This document is available on Docket Alarm but you must sign up to view it.


Or .

Accessing this document will incur an additional charge of $.

After purchase, you can access this document again without charge.

Accept $ Charge
throbber

Still Working On It

This document is taking longer than usual to download. This can happen if we need to contact the court directly to obtain the document and their servers are running slowly.

Give it another minute or two to complete, and then try the refresh button.

throbber

A few More Minutes ... Still Working

It can take up to 5 minutes for us to download a document if the court servers are running slowly.

Thank you for your continued patience.

This document could not be displayed.

We could not find this document within its docket. Please go back to the docket page and check the link. If that does not work, go back to the docket and refresh it to pull the newest information.

Your account does not support viewing this document.

You need a Paid Account to view this document. Click here to change your account type.

Your account does not support viewing this document.

Set your membership status to view this document.

With a Docket Alarm membership, you'll get a whole lot more, including:

  • Up-to-date information for this case.
  • Email alerts whenever there is an update.
  • Full text search for other cases.
  • Get email alerts whenever a new case matches your search.

Become a Member

One Moment Please

The filing “” is large (MB) and is being downloaded.

Please refresh this page in a few minutes to see if the filing has been downloaded. The filing will also be emailed to you when the download completes.

Your document is on its way!

If you do not receive the document in five minutes, contact support at support@docketalarm.com.

Sealed Document

We are unable to display this document, it may be under a court ordered seal.

If you have proper credentials to access the file, you may proceed directly to the court's system using your government issued username and password.


Access Government Site

We are redirecting you
to a mobile optimized page.





Document Unreadable or Corrupt

Refresh this Document
Go to the Docket

We are unable to display this document.

Refresh this Document
Go to the Docket