`
`IN THE UNITED STATES DISTRICT COURT
`FOR THE EASTERN DISTRICT OF TEXAS
`TYLER DIVISION
`
`
`
`CELLULAR COMMUNICATIONS
`EQUIPMENT LLC,
`
`Plaintiff,
`
`
`v.
`
`LG ELECTRONICS, INC., ET AL.,
`
`Defendants.
`
`
`
`
`
`Civil Action No. 6:14-cv-982-JRG
`
`CONSOLIDATED LEAD CASE
`
`
`
`
`
`ORDER
`
`The Court, having considered Plaintiff Cellular Communications Equipment LLC’s
`
`Motion, GRANTS the Unopposed Motion to Amend the Docket Control Order as follows:
`
`
`Current
`Deadline
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`July 11, 2016
`
`June 13, 2016
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`June 8, 2016
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`June 6, 2016
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`Proposed
`Deadline
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`Event
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`*Jury Selection – 9:00 a.m. in Tyler, Texas before Judge
`Rodney Gilstrap
`
`*Pretrial Conference – 9:00 a.m. in Marshall, Texas
`before Judge Rodney Gilstrap
`
`*Notify Court of Agreements Reached During Meet and
`Confer
`
`The parties are ordered to meet and confer on any
`outstanding objections or motions in limine. The parties
`shall advise the Court of any agreements reached no later
`than 1:00 p.m. three (3) business days before the pretrial
`conference.
`
`Jury
`Joint Proposed
`Joint Pretrial Order,
`*File
`Instructions, Joint Proposed Verdict Form, and Responses
`to Motions in Limine
`
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`1
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`
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`Case 6:14-cv-00982-KNM Document 106-1 Filed 08/07/15 Page 2 of 4 PageID #: 677
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`May 30, 2016
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`May 23, 2016
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`May 23, 2016
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`May 9, 2016
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`May 2, 2016
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`April 4, 2016
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`April 4, 2016
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`March 14, 2016
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`February 22,
`2016
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`February 22,
`2016
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`February 8,
`2016
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`*File Notice of Request for Daily Transcript or Real Time
`Reporting.
`
`If a daily transcript or real time reporting of court
`proceedings is requested for trial, the party or parties
`making said request shall file a notice with the Court and
`the Court Reporter, Shelly Holmes,
`at
`shelly_holmes@txed.uscourts.gov.
`
`File Motions in Limine
`
`The parties shall limit their motions in limine to issues that
`if improperly introduced at trial would be so prejudicial
`that the Court could not alleviate the prejudice by giving
`appropriate instructions to the jury.
`
`Serve Objections to Rebuttal Pretrial Disclosures
`
`Serve Objections to Pretrial Disclosures; and Serve
`Rebuttal Pretrial Disclosures
`
`Serve Pretrial Disclosures (Witness List, Deposition
`Designations, and Exhibit List) by the Party with the
`Burden of Proof
`
`*File Dispositive Motions or Motions to Strike Expert
`Testimony (including Daubert Motions)
`
`No dispositive motion or motion to strike expert testimony
`(including a Daubert motion) may be filed after this date
`without leave of the Court.
`
`Deadline to Complete Expert Discovery
`
`Serve Disclosures for Rebuttal Expert Witnesses
`
`Deadline to Complete Fact Discovery and File Motions to
`Compel Discovery
`
`Serve Disclosures for Expert Witnesses by the Party with
`the Burden of Proof
`
`*Deadline to File Letter Briefs Regarding Dispositive
`Motions
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`2
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`Case 6:14-cv-00982-KNM Document 106-1 Filed 08/07/15 Page 3 of 4 PageID #: 678
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`January 18,
`2016
`
`December 28,
`2015
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`December 7,
`2015
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`November 23,
`2015
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`November 16,
`2015
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`November 9,
`2015
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`October 26,
`2015
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`October 26,
`2015
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`October 12,
`2015
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`October 5, 2015
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`September 21,
`2015
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`September 14,
`2015
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`
`
`Deadline to Complete Mediation
`
`The parties are responsible for ensuring that a mediation
`report is filed no later than 5 days after the conclusion of
`mediation.
`
`Comply with P.R. 3-7 (Opinion of Counsel Defenses)
`
`*Claim Construction Hearing – 1:30 p.m. in Marshall,
`Texas before Judge Rodney Gilstrap
`
`*Comply with P.R. 4-5(d) (Joint Claim Construction
`Chart)
`
`*Comply with P.R. 4-5(c) (Reply Claim Construction
`Brief)
`
`Comply with P.R. 4-5(b) (Responsive Claim Construction
`Brief)
`
`Comply with P.R. 4-5(a) (Opening Claim Construction
`Brief) and Submit Technical Tutorials (if any)
`
`Good cause must be shown to submit technical tutorials
`after the deadline to comply with P.R. 4-5(a).
`
`Deadline to Substantially Complete Document Production
`and Exchange Privilege Logs
`
`Counsel is expected to make good faith efforts to produce
`all required documents as soon as they are available and
`not wait until the substantial completion deadline.
`
`Comply with P.R. 4-4 (Deadline to Complete Claim
`Construction Discovery)
`
`File Response to Amended Pleadings
`
`*File Amended Pleadings
`
`It is not necessary to seek leave of Court to amend
`pleadings prior to this deadline unless the amendment
`seeks to assert additional patents.
`
`Comply with P.R. 4-3
`Statement)
`
`(Joint Claim Construction
`
`3
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`
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`Case 6:14-cv-00982-KNM Document 106-1 Filed 08/07/15 Page 4 of 4 PageID #: 679
`
`August 24,
`2015
`
`August 31, 2015 Comply with P.R. 4-2 (Exchange Preliminary Claim
`Constructions)
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`4
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