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Case 2:17-cv-00513-JRG Document 309-3 Filed 01/18/19 Page 1 of 5 PageID #: 19469
`Case 2:17-cv-00513-JRG Document 309-3 Filed 01/18/19 Page 1 of 5 PageID #: 19469
`
`EXHIBIT 18
`
`EXHIBIT 18
`
`

`

`Case 2:17-cv-00513-JRG Document 309-3 Filed 01/18/19 Page 2 of 5 PageID #: 19470
`
`From:
`To:
`Cc:
`
`Subject:
`Date:
`
`Ameet Modi
`Rubino, Vincent J.
`Dangelmajer, Susan E.; Melissa Smith; Michael Stadnick; Jeffrey Seddon; Franco Silletta; John Desmarais; Brian Matty;
`Wesley White; Apple AGIS Service; AGIS-Lit
`RE: AGIS Software Development LLC v. Huawei Device USA Inc., et al. Case No. 2:17-cv-0513-JRG (Lead Case)
`Wednesday, October 3, 2018 4:03:01 PM
`
`Vincent,
`
`Thanks for your confirmation. We will be serving objections to AGIS’s subpoena topics in due course, and
`Thanks for your confirmation. We will be serving objections to AGIS’s subpoena topics in due course, and
`Mr. Siegel will be made available to testify in response to the subpoena topics (subject to those objections),
`Mr. Siegel will be made available to testify in response to the subpoena topics (subject to those objections),
`his personal knowledge, and concerning his expert report(s) during the expert discovery period.
`his personal knowledge, and concerning his expert report(s) during the expert discovery period.
`
`Thanks,
`Ameet
`
`From: Rubino, Vincent J. <VRubino@brownrudnick.com>
`Sent: Wednesday, October 3, 2018 10:06 AM
`To: Ameet Modi <AModi@desmaraisllp.com>
`Cc: Dangelmajer, Susan E. <SDangelmajer@brownrudnick.com>; Melissa Smith
`<melissa@gillamsmithlaw.com>; Michael Stadnick <MStadnick@desmaraisllp.com>; Jeffrey Seddon
`<JSeddon@desmaraisllp.com>; Franco Silletta <FSilletta@desmaraisllp.com>; John Desmarais
`<JDesmarais@desmaraisllp.com>; Brian Matty <BMatty@desmaraisllp.com>; Wesley White
`<WWhite@desmaraisllp.com>; Apple AGIS Service <AppleAGISService@desmaraisllp.com>; AGIS-Lit
`<agislit@brownrudnick.com>
`Subject: [Ext] Re: AGIS Software Development LLC v. Huawei Device USA Inc., et al. Case No. 2:17-cv-0513-
`JRG (Lead Case)
`
`Ameet,
`
`As long as AGIS is able to question Mr. Siegel regarding the scope of his subpoena and his personal
`
`As long as AGIS is able to question Mr. Siegel regarding the scope of his subpoena and his personalg q g g g p p p
`
`
`
`
`
`
`
`knowledge as if the deposition were conducted during the fact discovery period, the timing of the
`
`knowledge as if the deposition were conducted during the fact discovery period, the timing of theg p
`
`deposition is agreeable. However, depending on the content of any report submitted by Mr. Siegel,
`deposition is agreeable.
`AGIS may request additional time to cover the subpoena topics. With this understanding, AGIS
`agrees to postpone the deposition until after expert reports.
`
`Regards,
`Vincent
`
`On Oct 3, 2018, at 9:59 AM, Ameet Modi
`<AModi@desmaraisllp.com<mailto:AModi@desmaraisllp.com>> wrote:
`
`Counsel,
`
`I write regarding the September 27, 2018 notice of subpoena to non-party Neil Siegel. Mr. Siegel is
`not available for deposition on the noticed date (October 9, 2018). As I have explained in earlier
`correspondence, Mr. Siegel has been retained as an expert consultant in this matter. It seems more
`efficient to conduct his deposition once during the expert discovery period, after service of his expert
`
`

`

`Case 2:17-cv-00513-JRG Document 309-3 Filed 01/18/19 Page 3 of 5 PageID #: 19471
`
`report(s). See, e.g., Raytheon Co. v. Indigo Systems Co., No. 4:07-cv-109, 2008 WL 4411569 (E.D.
`Tex. Sep. 23, 2008). Please let us know whether AGIS will agree to conduct any deposition of Mr.
`Siegel during expert discovery, rather than during fact discovery.
`
`Regards,
`Ameet
`
`From: Dangelmajer, Susan E.
`
`<SDangelmajer@brownrudnick.com<mailto:SDangelmajer@brownrudnick.com>>g j @
`
`Sent: Thursday, September 27, 2018 5:34 PM
`Thursday, September 27, 2018 5:34 PM
`To: Ameet Modi <AModi@desmaraisllp.com<mailto:AModi@desmaraisllp.com>>; Melissa Smith
`<melissa@gillamsmithlaw.com<mailto:melissa@gillamsmithlaw.com>>; Michael Stadnick
`<MStadnick@desmaraisllp.com<mailto:MStadnick@desmaraisllp.com>>; Jeffrey Seddon
`<JSeddon@desmaraisllp.com<mailto:JSeddon@desmaraisllp.com>>; Franco Silletta
`<FSilletta@desmaraisllp.com<mailto:FSilletta@desmaraisllp.com>>; John Desmarais
`<JDesmarais@desmaraisllp.com<mailto:JDesmarais@desmaraisllp.com>>; Brian Matty
`<BMatty@desmaraisllp.com<mailto:BMatty@desmaraisllp.com>>; Wesley White
`<WWhite@desmaraisllp.com<mailto:WWhite@desmaraisllp.com>>; Apple AGIS Service
`<AppleAGISService@desmaraisllp.com<mailto:AppleAGISService@desmaraisllp.com>>
`Cc: AGIS-Lit <agislit@brownrudnick.com<mailto:agislit@brownrudnick.com>>
`Subject: [Ext] AGIS Software Development LLC v. Huawei Device USA Inc., et al. Case No. 2:17-
`cv-0513-JRG (Lead Case)
`
`Mimecast Attachment Protection has deemed this file to be safe, but always exercise caution when
`opening files.
`________________________________
`
`Counsel,
`Counsel,
`
`Attached please find revised Notices of Subpoena to William G. Griswold and Neal Gilbert Siegel.
`
`Attached please find revised Notices of Subpoena to William G. Griswold and Neal Gilbert Siegel.p
`I apologize for the inconvenience.
`I apologize for the inconvenience.
`
`Regards,
`Regards,
`
`From: Ameet Modi [mailto:AModi@desmaraisllp.com]
`Sent: Thursday, September 27, 2018 3:45 PM
`To: Dangelmajer, Susan E.; Melissa Smith; Michael Stadnick; Jeffrey Seddon; Franco Silletta; John
`Desmarais; Brian Matty; Wesley White; Apple AGIS Service
`Cc: AGIS-Lit
`Subject: RE: AGIS Software Development LLC v. Huawei Device USA Inc., et al. Case No. 2:17-cv-
`0513-JRG (Lead Case)
`
`Counsel,
`
`We are in receipt of the September 21, 2018 notices of deposition subpoenas to Mr. Siegel and Mr.
`Griswold. The subpoenas attached thereto are not signed, nor do the notices or subpoenas indicate any
`noticed deposition dates.
`
`With respect to Mr. Siegel, please direct any communications concerning any subpoena for deposition
`to my firm. With respect to Mr. Griswold, we ask that you please keep us informed of any
`communications with Mr. Griswold regarding deposition scheduling, so that we can coordinate a
`mutually convenient date for all parties.
`
`

`

`Case 2:17-cv-00513-JRG Document 309-3 Filed 01/18/19 Page 4 of 5 PageID #: 19472
`
`Regards,
`Ameet
`
`From: Dangelmajer, Susan E.
`<SDangelmajer@brownrudnick.com<mailto:SDangelmajer@brownrudnick.com>>
`Sent: Friday, September 21, 2018 6:24 PM
`To: Melissa Smith <melissa@gillamsmithlaw.com<mailto:melissa@gillamsmithlaw.com>>; Michael
`Stadnick <MStadnick@desmaraisllp.com<mailto:MStadnick@desmaraisllp.com>>; Jeffrey Seddon
`<JSeddon@desmaraisllp.com<mailto:JSeddon@desmaraisllp.com>>; Franco Silletta
`<FSilletta@desmaraisllp.com<mailto:FSilletta@desmaraisllp.com>>; John Desmarais
`<JDesmarais@desmaraisllp.com<mailto:JDesmarais@desmaraisllp.com>>; Ameet Modi
`<AModi@desmaraisllp.com<mailto:AModi@desmaraisllp.com>>; Brian Matty
`<BMatty@desmaraisllp.com<mailto:BMatty@desmaraisllp.com>>; Wesley White
`<WWhite@desmaraisllp.com<mailto:WWhite@desmaraisllp.com>>; Apple AGIS Service
`<AppleAGISService@desmaraisllp.com<mailto:AppleAGISService@desmaraisllp.com>>
`Cc: AGIS-Lit <agislit@brownrudnick.com<mailto:agislit@brownrudnick.com>>
`Subject: [Ext] AGIS Software Development LLC v. Huawei Device USA Inc., et al. Case No. 2:17-
`cv-0513-JRG (Lead Case)
`
`Mimecast Attachment Protection has deemed this file to be safe, but always exercise caution when
`opening files.
`________________________________
`
`Counsel,
`
`Attached please find Notices of Subpoena for Mr. Siegel and Mr. Griswold.
`
`Regards,
`
`***********************************************************************************
`
`The information contained in this electronic message may be legally privileged and confidential under
`applicable law, and is intended only for the use of the individual or entity named above. If the
`recipient of this message is not the above-named intended recipient, you are hereby notified that any
`dissemination, copy or disclosure of this communication is strictly prohibited. If you have received
`this communication in error, please notify Brown Rudnick LLP, (617) 856-8200 (if dialing from
`outside the US, 001-(617)-856-8200) and purge the communication immediately without making any
`copy or distribution.
`
`To the extent Brown Rudnick is a "data controller" of the "personal data" (as each term is defined in
`the European General Data Protection Regulation) you have provided to us in this and other
`communications between us, please see our privacy statement and summary
`here<http://www.brownrudnick.com/privacy-policy/> which sets out details of the data controller, the
`personal data we have collected, the purposes for which we use it (including any legitimate interests
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`outside the European Economic Area.
`
`***********************************************************************************
`
`This email may contain confidential and privileged material for the use of the intended recipient. Any
`
`

`

`Case 2:17-cv-00513-JRG Document 309-3 Filed 01/18/19 Page 5 of 5 PageID #: 19473
`
`review, use, or distribution by anyone other than the addressee is strictly prohibited. If you are not the
`intended recipient, please contact the sender by reply email and delete all copies of this message.
`
`***********************************************************************************
`
`The information contained in this electronic message may be legally privileged and confidential under
`applicable law, and is intended only for the use of the individual or entity named above. If the
`recipient of this message is not the above-named intended recipient, you are hereby notified that any
`dissemination, copy or disclosure of this communication is strictly prohibited. If you have received
`this communication in error, please notify Brown Rudnick LLP, (617) 856-8200 (if dialing from
`outside the US, 001-(617)-856-8200) and purge the communication immediately without making any
`copy or distribution.
`
`To the extent Brown Rudnick is a "data controller" of the "personal data" (as each term is defined in
`the European General Data Protection Regulation) you have provided to us in this and other
`communications between us, please see our privacy statement and summary
`here<http://www.brownrudnick.com/privacy-policy/> which sets out details of the data controller, the
`personal data we have collected, the purposes for which we use it (including any legitimate interests
`on which we rely), the persons to whom we may transfer the data and how we intend to transfer it
`outside the European Economic Area.
`
`***********************************************************************************
`
`This email may contain confidential and privileged material for the use of the intended recipient. Any
`review, use, or distribution by anyone other than the addressee is strictly prohibited. If you are not the
`intended recipient, please contact the sender by reply email and delete all copies of this message.
`
`***********************************************************************************
`
`The information contained in this electronic message may be legally privileged and confidential under applicable law, and is intended
`only for the use of the individual or entity named above. If the recipient of this message is not the above-named intended recipient, you
`are hereby notified that any dissemination, copy or disclosure of this communication is strictly prohibited. If you have received this
`communication in error, please notify Brown Rudnick LLP, (617) 856-8200 (if dialing from outside the US, 001-(617)-856-8200) and
`purge the communication immediately without making any copy or distribution.
`
`To the extent Brown Rudnick is a "data controller" of the "personal data" (as each term is defined in the European General Data
`Protection Regulation) you have provided to us in this and other communications between us, please see our privacy statement and
`summary here which sets out details of the data controller, the personal data we have collected, the purposes for which we use it
`(including any legitimate interests on which we rely), the persons to whom we may transfer the data and how we intend to transfer it
`outside the European Economic Area.
`
`***********************************************************************************
`
`

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