`
`Turner, Michael
`
`From:
`Sent:
`To:
`Subject:
`
`Steve Outhier <southier@kicker.com>
`Monday, September 19, 2016 4:44 PM
`Turner, Michael
`Re: Document request re: Blitzsafe v Volkswagen et al
`
`Mike,
`
`9:00 a.m Wednesday will work.
`
`SteveO
`
`On Sep 19, 2016, at 3:32 PM, Steve Outhier <southier@kicker.com> wrote:
`
`I'll check with Hobart and get right back to you.
`
`SteveO
`
`On Sep 19, 2016, at 3:21 PM, Turner, Michael <MTurner@kenyon.com> wrote:
`
`Steve,
`
`
`We will plan to conduct the deposition on Wednesday. Please confirm, and we will make
`arrangements. If the witness is available, we would like to start at 9am.
`
`
`Regards,
`Mike
`
`
`Michael Turner
`Kenyon & Kenyon LLP
`One Broadway | New York, NY 10004‐1007
`212.908.6210 Phone | 212.425.5288 Fax
`mturner@kenyon.com | www.kenyon.com
`
`
`
`
`
`From: Steve Outhier [mailto:southier@kicker.com]
`Sent: Monday, September 19, 2016 9:34 AM
`To: Turner, Michael
`Subject: Re: Document request re: Blitzsafe v Volkswagen et al
`
`
`Mike,
`
`
`As of now, no additional materials have been located.
`
`Joe Hobart is in office today through Wednesday.
`
`
`SteveO
`
`
`1
`
`
`
`Case 2:15-cv-01274-JRG-RSP Document 155-3 Filed 09/20/16 Page 2 of 4 PageID #: 5775
`
`From: "Turner, Michael" <MTurner@kenyon.com>
`Date: Sunday, September 18, 2016 at 7:17 PM
`To: Steve Outhier <southier@kicker.com>
`Subject: RE: Document request re: Blitzsafe v Volkswagen et al
`
`
`Steve,
`
`
`To follow up on my email below, please let me know if any of the additional materials
`referenced below have been located, or if Mr. Hobart has any similar materials to
`provide. Please also let me know if Mr. Hobart is available this week for a deposition,
`and if so, which days would be best for him.
`
`
`Regards,
`Mike
`
`
`Michael Turner
`Kenyon & Kenyon LLP
`One Broadway | New York, NY 10004‐1007
`212.908.6210 Phone | 212.425.5288 Fax
`mturner@kenyon.com | www.kenyon.com
`
`
`
`
`From: Turner, Michael
`Sent: Wednesday, September 14, 2016 12:58 PM
`To: 'Steve Outhier'
`Subject: RE: Document request re: Blitzsafe v Volkswagen et al
`
`
`Steve,
`
`
`Thanks for your email, and for your help in this matter. As discussed, please let me
`know if any of the additional materials (that would have been collected in response to a
`subpoena in the previous Marlowe Patent Holdings v. Ford case) have been located, or
`if Mr. Hobart has any similar materials to provide.
`
`
`In the meantime, we will not proceed with the noticed deposition tomorrow. Instead, if
`Mr. Hobart is available, we would like to proceed with a deposition next week. Please let
`us know if that would work, and which days would be best for him.
`
`
`Thanks again,
`Mike
`
`
`Michael Turner
`Kenyon & Kenyon LLP
`One Broadway | New York, NY 10004‐1007
`212.908.6210 Phone | 212.425.5288 Fax
`mturner@kenyon.com | www.kenyon.com
`
`
`
`From: Steve Outhier [mailto:southier@kicker.com]
`Sent: Wednesday, September 14, 2016 10:24 AM
`To: Turner, Michael
`Subject: Re: Document request re: Blitzsafe v Volkswagen et al
`
`
`Mike,
`
`
`2
`
`
`
`Case 2:15-cv-01274-JRG-RSP Document 155-3 Filed 09/20/16 Page 3 of 4 PageID #: 5776
`As I indicated earlier, the spreadsheet is the only confidential material.
`
`I spoke with Joe Hobart yesterday evening regarding his deposition in the Marlowe
`Patent Holdings issue. He tells me that he provided no materials in the deposition; all
`information was delivered orally. He says he never received a copy of his deposition.
`
`
`SteveO
`
`
`From: "Turner, Michael" <MTurner@kenyon.com>
`Date: Tuesday, September 13, 2016 at 4:06 PM
`To: Steve Outhier <southier@kicker.com>
`Subject: RE: Document request re: Blitzsafe v Volkswagen et al
`
`
`Steve,
`
`
`We have received the documents produced to us by FedEx. We will be applying
`production numbers to those documents and providing a copy to the other parties in the
`case today, I will make sure to copy you on the production.
`
`
`Please let us know if you would like to designate any of the documents as confidential
`pursuant to the attached protective order in this case (e.g., “CONFIDENTIAL” or
`“RESTRICTED – ATTORNEYS’ EYES ONLY”). Such designations limit the persons to
`whom the documents may be disclosed, according to the provisions of the protective
`order.
`
`
`Regards,
`Mike
`
`
`Michael Turner
`Kenyon & Kenyon LLP
`One Broadway | New York, NY 10004‐1007
`212.908.6210 Phone | 212.425.5288 Fax
`mturner@kenyon.com | www.kenyon.com
`
`
`
`
`
`From: Steve Outhier [mailto:southier@kicker.com]
`Sent: Monday, September 12, 2016 4:17 PM
`To: Turner, Michael
`Subject: Document request re: Blitzsafe v Volkswagen et al
`
`
`Mr. Turner:
`
`
`We are in process of gathering the materials you request in schedule B of the
`subpoena re: this action. However, given our lack corporate involvement with
`SoundGate® prior to our purchase of the company on September 6, 2006, locating
`many materials re: products for sale before June 27, 2006, and providing them to you
`by September 13, 2016, is proving difficult.
`
`
`We are sending via Federal Express for tomorrow delivery a package containing
`several documents we have uncovered relative to your request. These are specific to
`2004‐2006, and should give you a good picture of the products offered for sale by
`SoundGate during that period.
`
`3
`
`
`
`Case 2:15-cv-01274-JRG-RSP Document 155-3 Filed 09/20/16 Page 4 of 4 PageID #: 5777
`
`
`We have been unable to locate any documents relative to the Marlowe Patent
`Holdings issue.
`
`
`The attached spreadsheet shows our invoices relative to these products from October
`17, 2006, through July 31, 2009. While these are not specific to the dates in question,
`they should be representative of the customers during the period in question. Please
`keep this information confidential.
`
`
`Between now and the September 15, 2016, deposition we will continue to search for
`additional support materials.
`
`
`Sincerely,
`Steve Outhier | director of product planning
`[ Stillwater Designs® | KICKER® http://www.kicker.com/ ]
`[ ph:405.624.8510 ext.7234 | direct:405.533.7234 | cell:405.880.1550 ]
`[ 3100 N Husband, Stillwater, OK 74075‐2516 | P.O. Box 459 Stillwater, OK 74076‐0459 USA ]
`
`
`4
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