`Case 1:20-cv-00393-LO-TCB Document 1148-1 Filed 03/11/22 Page 1 of 3 PagelD# 30596
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`EXHIBIT A
`EXHIBIT A
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`Case 1:20-cv-00393-LO-TCB Document 1148-1 Filed 03/11/22 Page 2 of 3 PageID# 30597
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`From:
`Sent:
`To:
`Cc:
`Subject:
`
`Max.Grant@lw.com
`Monday, December 6, 2021 3:52 PM
`Michalik, John M.; pmiedva.lwteam@lw.com
`RJREDVA; cmolster@molsterlaw.com
`RE: Case No: 1:20-cv-00393-LO-TCB (correspondence)
`
`** External mail **
`
`Thanks for your email John. We’ll focus more closely on this when we get actually close to trial and will be happy to
`work together collaboratively on a mutual narrowing of issues. But a trial 5 months away isn’t close yet and
`Dauberts/MILs haven’t been filed, much less ruled on.
`
`But if you have any early views on your narrowing proposals, feel welcome to share them.
`
`Maximilian A. Grant
`
`
`LATHAM & WATKINS LLP
`1271 Avenue of the Americas | New York, NY 10020 | 1.212.906.1325
`555 Eleventh Street, NW | Washington, D.C. 20004 | 1.202.637.2267
`Email: max.grant@lw.com
`Bio: Attorney Profile
`http://www.lw.com
`
`
`
`From: Michalik, John M. <jmichalik@JonesDay.com>
`Sent: Monday, December 6, 2021 2:31 PM
`To: #C‐M PMIEDVA ‐ LW TEAM <pmiedva.lwteam@lw.com>
`Cc: RJREDVA <RJREDVA@jonesday.com>; Charles Molster <cmolster@molsterlaw.com>
`Subject: Case No: 1:20‐cv‐00393‐LO‐TCB (correspondence)
`
`Counsel ‐ ‐
`
`In order for the parties to streamline the issues for trial, please let us know by Friday which of the currently asserted
`patents and claims you intend to pursue at trial and which you intend to drop.
`
`
`John M. Michalik
`Partner
`JONES DAY® - One Firm Worldwide℠
`77 West Wacker
`Chicago, Illinois 60601-1692
`Office +1.312.269.4215
`Mobile +1.312.315.5926
`jmichalik@jonesday.com
`
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`Case 1:20-cv-00393-LO-TCB Document 1148-1 Filed 03/11/22 Page 3 of 3 PageID# 30598
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