`
`IN THE UNITED STATES DISTRICT COURT
`FOR THE EASTERN DISTRICT OF TEXAS
`SHERMAN DIVISION
`
`R2 Solutions LLC,
`
` Plaintiff,
`
`v.
`
`Databricks, Inc.,
`
`Civil Action No. 4:23-cv-01147-ALM
`
`Jury Trial Demanded
`
` Defendant.
`ORDER GRANTING JOINT MOTION TO AMEND SCHEDULING ORDER
`
`Before the Court is Plaintiff R2 Solutions LLC and Defendant Databricks, Inc.’s Joint Motion
`
`to Amend Scheduling Order (Dkt. #74). After considering the Motion, IT IS HEREBY
`
`ORDERED that the motion is GRANTED. The Scheduling Order (Dkt. #28) is amended as
`
`follows:
`
`Event
`
`Current Deadline
`
`Modified Deadline
`
`Mediation Deadline
`
`Deadline for Initial Mandatory Disclosure
`of
`all
`persons,
`documents,
`data
`compilations, and tangible things, which
`are relevant to a claim or defense of any
`party and which has not previously been
`disclosed. This deadline is not an extension
`of earlier deadlines set out in this court’s
`order or that Patent Rules, nor an excuse to
`delay disclosure of information. It is a
`catchall deadline for provision of all
`remaining
`information
`that may be
`relevant to a claim or defense of any party
`at trial.
`Fact Discovery deadline and Deadline to
`File Motions to Compel related to Fact
`Discovery. All fact discovery must be
`served in time to be completed by this date.
`Parties with burden of proof to designate
`Expert Witnesses other
`than claims
`
`1/9/2025
`
`1/6/2025
`
`1/30/2025
`
`1/30/2025
`
`1/20/2025
`
`2/13/2025
`
`1/27/2025
`
`2/20/2025
`
`
`
`Case 4:23-cv-01147-ALM Document 75 Filed 12/30/24 Page 2 of 4 PageID #: 4977
`
`construction experts and provide their
`expert witness reports, to include for ALL
`experts all information set out in Rule
`26(2)(B).
`Comply with P.R. 3-7 on designation of
`willfulness opinions.
`Parties designate expert witnesses on
`issues for which the parties do not bear the
`burden of proof, and provide their expert
`witness report, to include for ALL experts
`all information set out in Rule 26(2)(B).
`Expert Discovery deadline. All expert
`discovery must be served in time to be
`completed by this date.
`Deadline to file dispositive motions and
`any other motions that may require a
`hearing. Regardless of how many
`dispositive motions a party files, each party
`is limited to a total of sixty pages for such
`motions. Each individual motion shall
`comply with Local Rules CV-7.
`
`Responses to motions shall be due in
`accordance with Local Rule CV-7(e).
`Objections
`to any expert,
`including
`Daubert motions. Such objections and
`motions are limited to ten pages.
`Notice of intent to offer certified records.
`
`Counsel and unrepresented parties are each
`responsible
`for
`contacting opposing
`counsel and unrepresented parties
`to
`determine how they will prepare the Joint
`Final
`Pretrial
`Order
`(See
`www.txed.uscourts.gov) and Proposed
`Jury Instructions and Verdict Form (or
`Proposed
`Findings
`of
`Fact
`and
`Conclusions of Law in nonjury cases)).
`Serve Pretrial Disclosures (Witness List,
`Deposition Designations, Exhibit Lists,
`and Video Deposition Designation) by the
`Party with the Burden of Proof. Each party
`who proposes to offer a deposition shall
`serve on all other parties a disclosure
`identifying the line and page numbers to be
`offered. All other parties will have seven
`
`2
`
`2/3/2025
`
`2/17/2025
`
`2/27/2025
`
`3/13/2025
`
`3/3/2025
`
`3/27/2025
`
`2/28/2025
`
`4/10/2025
`
`2/17/2025
`
`4/10/2025
`
`6/16/2025
`
`6/16/2025
`
`6/16/2025 (unchanged)
`
`6/16/2025 (unchanged)
`
`6/23/2025
`
`6/23/2025 (unchanged)
`
`
`
`Case 4:23-cv-01147-ALM Document 75 Filed 12/30/24 Page 3 of 4 PageID #: 4978
`
`calendar days to serve a response with any
`objections
`and
`requesting
`cross
`examination line and page numbers to be
`included. Counsel must consult on any
`objections and only those that cannot be
`resolved shall be presented to the court.
`
`The party who served the initial Video
`Deposition Designation is responsible for
`preparation of the final edited video in
`accordance with all parties’ designations
`and the court’s rulings on objections.
`Serve Objections to Pretrial Disclosures;
`and Serve Rebuttal Pretrial Disclosures.
`Serve Objections
`to Rebuttal Pretrial
`Disclosures.
`Motions in limine due.
`
`File Joint Final Pretrial Order (See
`www.txed.uscourts.gov).
`Exchange
`Exhibits and deliver copies to the court. At
`this date, all that is required to be submitted
`to the court is a hyperlinked exhibit list on
`disk (2 copies) and no hard copies.
`
`If Parties will be requesting daily copy of
`the transcript during trial, they must notify
`the Court’s court reporter, Chris Bickham,
`Chris_Bickham@txed.uscourts.gov by this
`date.
`Responses to motions in limine due.
`
`File objections to witnesses, depositions
`extracts, and exhibits, listed in pre-trial
`order. This does not extend the deadline to
`object to expert witnesses. If numerous
`objections are filed, the court may set a
`hearing prior to docket call.
`
`File Proposed Jury Instructions and Form
`of Verdict (or Proposed Findings of Fact
`and Conclusions of Law).
`Final Pretrial Conference at 1:30 pm. at
`the Paul Brown United States Courthouse
`located at 101 East Pecan Street in
`Sherman, Texas.
`
`7/7/2025
`
`7/14/2025
`
`6/20/2025
`
`7/7/2025 (unchanged)
`
`7/14/2025 (unchanged)
`
`6/20/2025 (unchanged)
`
`7/7/2025
`
`7/7/2025 (unchanged)
`
`7/21/2025
`
`7/21/2025 (unchanged)
`
`3
`
`
`
`Case 4:23-cv-01147-ALM Document 75 Filed 12/30/24 Page 4 of 4 PageID #: 4979
`
`Jury selection and trial at 10:00 a.m. at
`the Paul Brown United States Courthouse
`located at 101 East Pecan Street in
`Sherman, Texas.
`
`IT IS SO ORDERED.
`
`TBD
`
`TBD
`
`4
`
`