`From:
`Sent:
`To:
`
`Cc:
`Subject:
`
`Brianne Straka
`Tuesday, September 20, 2022 7:15 PM
`asubramanian; Mark Hatch-Miller; Geng Chen; John Lahad; Jacob W. Buchdahl; Rodney Polanco;
`Cianciulli, Jeffrey
`QE-Globus-LifeSpine; Blumenfeld, Jack; Ying, Jennifer
`Globus v. Life Spine, Case No. 1:21-cv-1445 (D. Del.) - Stipulation re IPRs
`
`Counsel:
`
`Life Spine, Inc. (“Life Spine”) hereby stipulates that if the PTAB institutes inter partes review in relation to any petition
`filed by Life Spine with respect to the patents‐in‐suit that Life Spine will not pursue in the district court litigation (DDEL‐
`1‐21‐cv‐01445) any ground raised or that could have been reasonably raised in the instituted IPR(s) with respect to the
`patent claim(s) subject to the instituted IPR(s).
`
`Sincerely,
`Brianne
`
`
`Brianne Straka
`Partner,
`Quinn Emanuel Urquhart & Sullivan, LLP
`
`191 N. Wacker Drive Suite 2700
`Chicago, IL 60606
`312-705-7415 Direct
`312.705.7400 Main Office Number
`312.705.7401 FAX
`briannestraka@quinnemanuel.com
`www.quinnemanuel.com
`
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`
`1
`
`Exhibit 1026
`LIFE SPINE, INC.
`IPR2022-01602
`
`000001
`
`