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` IN THE UNITED STATES DISTRICT COURT
`FOR THE EASTERN DISTRICT OF TEXAS
`MARSHALL DIVISION
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`AGIS SOFTWARE DEVELOPMENT
`LLC,
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`v.
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`ZTE CORPORATION, ZTE (USA) INC.,
`AND ZTE (TX), INC.,
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` Defendants.
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`Plaintiff,
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`Case No. 2:17-CV-00517-JRG
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`NOTICE OF WITHDRAWAL OF DEFENDANTS’ UNOPPOSED MOTION (D.E. 49) TO
`EXTEND DEADLINE FOR DEFENDANTS’ REPLY TO PLAINTIFF’S RESPONSE TO
`MOTION TO DISMISS COMPLAINT FOR IMPROPER VENUE OR IN THE
`ALTERNATIVE TO TRANSFER
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`On January 17, 2018, Defendants ZTE (TX) Inc. and ZTE (USA) Inc. filed an
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`Unopposed Motion to Extend Deadline for Defendants’ Reply to Plaintiff’s Response to the
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`Motion to Dismiss Complaint for Improper Venue or in the Alternative to Transfer (D.E. 49).
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`Defendants now file this Notice to inform the Court that they are withdrawing the previously
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`filed Unopposed Motion to Extend the Deadline for the Reply and Sur-Reply.
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`The Defendants do not file this Motion for the purposes of delay, but rather in the
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`opposite. Despite the Martin Luther King Jr. holiday weekend, Defendants were able to obtain
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`the several required signatures for filing.
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`Dated: January 19, 2018
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`/s/ Lionel M. Lavenue
`Lionel M. Lavenue
`FINNEGAN, HENDERSON, FARABOW,
` GARRETT & DUNNER, LLP
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`1
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`Case 2:17-cv-00517-JRG Document 50 Filed 01/19/18 Page 2 of 4 PageID #: 597
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`Two Freedom Square
`11955 Freedom Drive
`Reston, VA 20190
`Phone: (571) 203-2700
`Fax: (202) 408-4400
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`ATTORNEY FOR DEFENDANTS
`ZTE (USA) INC. AND ZTE (TX), INC.
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`2
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`Case 2:17-cv-00517-JRG Document 50 Filed 01/19/18 Page 3 of 4 PageID #: 598
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`CERTIFICATE OF SERVICE
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`I hereby certify that all counsel of record who are deemed to have consented to electronic
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`service are being served this January 19, 2018, with a copy of this document via the Court’s
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`CM/ECF system per Local Rule CV-5(a)(3).
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`Lionel M. Lavenue
`Lionel M. Lavenue
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`3
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`Case 2:17-cv-00517-JRG Document 50 Filed 01/19/18 Page 4 of 4 PageID #: 599
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`CERTIFICATE OF CONFERENCE
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`The undersigned attorney hereby certifies that counsel for Defendants, Lionel Lavenue,
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`conferred with counsel for Plaintiff, Vincent Rubino, via e-mail on January 19, 2018 and there is
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`not opposition to the relief requested in this motion.
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`Lionel M. Lavenue
`Lionel M. Lavenue
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`4
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