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No. 63-1 Corrected Second NOTICE of Issuance of Subpoena upon Bungie, LLC by Acceleration Bay LLC

Document Acceleration Bay LLC v. Activision Blizzard Inc., 1:15-cv-00228, No. 63-1 (D.Del. Jan. 7, 2016)
A person cutniiizititlctt to prutlucc tit)Ciltl‘tt.‘lll3 or tiiiigiblc thin gs or to pcnnit liisiiuctiriii my serve on the party or eitioriicy ilcsigiizttctl in the subpoena it written objcctiun lo iiispcctiitg, copying, tciuliig.
,S71cclfle(I. ll“:t subpoena does not spccily ii ttirni for pi'oduciiig clcctronicully storctl iiitbriiizititin, tlic pcrsoii rcspmidlin: mtist produce it in ii tbrin or forms in wliicli it is ortlinurily iiiniiitriiiictl or in at iwiiatiiitibly tiszihlc forin or fcrrns.
The court for the district where compliance is requirc
The terms “concerning,” “relating to,” “relate to,” “refer to” and “referring to” mean alluding to, responding to, connected with, commenting on, in respect of, about, regarding, discussing, showing, identifying, describing, mentioning, reflecting, analyzing, comprising, constituting, evidencing, supporting, refuting, contradicting, memorializing, pertaining to, bearing upon or illuminating the subject matter into which inquiry is made.
All documents, communications, and things relating to small-world wide area networks (SWAN), including but not limited to software, application program interface manuals, articles, abstracts, publications, product literature, white papers, and specifications.
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No. 28-1 Letter to The Honorable Richard G. Andrews from Philip A. Rovner, Esq. enclosing parties' proposed ...

Document Acceleration Bay LLC v. Activision Blizzard Inc., 1:15-cv-00228, No. 28-1 (D.Del. Oct. 8, 2015)
Any motion to amend the pleadings to include a claim or defense of inequitable conduct shall be filed on or before [Plaintiff: March 25, 2016 (Activision Blizzard); April 25, 2016 (Electronic Arts); May 25, 2016 (Take-Two); Defendants: October 1, 2016].
All expert discovery in this case shall be initiated so that it will be completed on or before [Plaintiff: December 5, 2016 (Activision Blizzard); February 10, 2017 (Electronic Arts); April 10, 2017 (Take-Two); Defendants: January 20, 2017].
The supplemental disclosure to contradict or rebut evidence on the same matter identified by another party is due on or before [Plaintiff: October 24, 2016 (Activision Blizzard); December 28, 2016 (Electronic Arts); February 27, 2017 (Take Two); Defendants: March 31, 2017] .
Reply expert reports from the party with the initial burden of proof are due on or before [Plaintiff: November 14, 2016 (Activision Blizzard); January 20, 2017 (Electronic Arts); March 20, 2017 (Take-Two); Defendants: April 21, 2017].
The parties are not required to prepare privilege logs or otherwise schedule documents withheld from production to the extent they (1) relate to activities undertaken in compliance with the duty to preserve information under Fed. R. Civ.
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No. 7-6 AMENDED COMPLAINT against Activision Blizzard Inc.- filed by Acceleration Bay LLC

Document Acceleration Bay LLC v. Activision Blizzard Inc., 1:15-cv-00228, No. 7-6 (D.Del. Mar. 31, 2015)
Cho, et al., “A Flood Routing Method for Data Networks,” Sep. 1997, Proceedings of 1997 International Conference on Information, Communications and Signal Processing, vol.
Komine et al., “A Distributed Restoration Algorithm for Multiple—Link and Node Failures of Transport Networks,” Dec. 1999, IEEE Globecom ’90, Communicaitons: Com mecting the Future, vol.
AZar, et al., “Routing Strategies for Fast Networks,” May 1992 INFOCOM ’92, Eleventh Annual Joint Conference of the IEEE Computer and Communications Societies, vol.
Examples of client/server middleware systems include remote procedure calls (“RPC”), database servers, and the common object request broker architecture (“CORBA”).
In one embodiment, the distance that the edge connection request message travels is established by the portal computer to be approximately twice the estimated diameter of the broadcast channel.
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No. 7-11 AMENDED COMPLAINT against Activision Blizzard Inc.- filed by Acceleration Bay LLC

Document Acceleration Bay LLC v. Activision Blizzard Inc., 1:15-cv-00228, No. 7-11 (D.Del. Mar. 31, 2015)
Case 1:15-cv-00228-RGA Document 7-11 Filed 03/31/15 Page 1 of 2 PageID #: 863 Exhibit 11 Case 1:15-cv-00228-RGA Document 7-11 Filed 03/31/15 Page 2 of 2 PageID #: 864 Case l:l5—cv—OO228—RGA Document 7-11 Filed 03/31/15 Page 2 of 2 Page|D #: 864 '.10o';:.v |1ttp:/,’wv»rw.bur\gia‘net/ rt F gnegm:yewrgmtesIoolsHe! 3-> Z r - on LLI D
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No. 124-1 NOTICE of Subpoena to Joseph Ward by Activision Blizzard Inc., 2K Sports Inc., Rockstar Games ...

Document Acceleration Bay LLC v. Activision Blizzard Inc., 1:15-cv-00228, No. 124-1 (D.Del. Apr. 7, 2016)
If an objection is made, the following rules apply: (i) At any time, on notice to the commanded person, the serving party may move the court for the district where compliance is required for an order compelling production or inspection.
The court for the district where compliance is required—and also, after a motion is transferred, the issuing court—may hold in contempt a person who, having been served, fails without adequate excuse to obey the subpoena or an order related to it.
“Accused Products” shall mean any product or service manufactured, used, sold, offered for sale or imported into the United States by or on behalf of any Defendants that Acceleration Bay alleges infringes the Asserted Patents.
“Person” or “persons” shall mean any natural person, legal entity, business or other entities, including but not limited to any corporation, partnership, unincorporated association, joint venture, sole proprietorship, government agency, business trusts, or any and/or all other organization or group of individuals; as well as any officer, director, employee, partner, corporate parent, subsidiary, affiliate, agent, representative, attorney, or principal thereof.
All documents and things relating to communications or agreements with any patent broker including but not limited to Acorn Technologies, Joseph Daniele, Steve Caliguri, Global IP Law Group LLC or Ragner Olson.
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No. 106-4 REDACTED VERSION of 102 Declaration, by Activision Blizzard Inc., 2K Sports Inc., Rockstar ...

Document Acceleration Bay LLC v. Activision Blizzard Inc., 1:15-cv-00228, No. 106-4 (D.Del. Mar. 8, 2016)
Classic examples are the digital look-alikes of Neo, Smith and some other key characters in the Matrix sequels and the extensive use of physically impossible camera runs by the director of the The Lord of the Rings (film series) trilogy.
Today’s simulator rides, such as The Amazing Adventures of Spider-Man include elements to increase the amount of immersion experienced by the riders such as: 3D imagery, physical effects (spraying water or producing scents), and movement through an environment.
For companies, it provides an opportunity to educate staff in the driving skills that achieve reduced maintenance costs, improved productivity and, most importantly, to ensure the safety of their actions in all possible situations.
The advanced student or postgraduate will have a more concise and comprehensive method of retraining — or of incorporating new clinical procedures into their skill set — and regulatory bodies and medical institutions will find it easier to assess the proficiency and competency of individuals.
Some applications of ergonomic simulation in include analysis of solid waste collection, disaster management tasks, interactive gaming,[59] automotive assembly line,[60] virtual prototyping of rehabilitation aids,[61] and aerospace product design.
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No. 106-3

Document Acceleration Bay LLC v. Activision Blizzard Inc., 1:15-cv-00228, No. 106-3 (D.Del. Mar. 8, 2016)

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No. 1-15

Document Acceleration Bay LLC v. Activision Blizzard Inc., 1:15-cv-00228, No. 1-15 (D.Del. Mar. 11, 2015)

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No. 78-1

Document Acceleration Bay LLC v. Activision Blizzard Inc., 1:15-cv-00228, No. 78-1 (D.Del. Jan. 29, 2016)

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No. 48-3

Document Acceleration Bay LLC v. Activision Blizzard Inc., 1:15-cv-00228, No. 48-3 (D.Del. Dec. 7, 2015)

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No. 7-10

Document Acceleration Bay LLC v. Activision Blizzard Inc., 1:15-cv-00228, No. 7-10 (D.Del. Mar. 31, 2015)

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No. 106-2

Document Acceleration Bay LLC v. Activision Blizzard Inc., 1:15-cv-00228, No. 106-2 (D.Del. Mar. 8, 2016)

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No. 91-1

Document Acceleration Bay LLC v. Activision Blizzard Inc., 1:15-cv-00228, No. 91-1 (D.Del. Feb. 17, 2016)

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No. 35-1

Document Acceleration Bay LLC v. Activision Blizzard Inc., 1:15-cv-00228, No. 35-1 (D.Del. Oct. 30, 2015)

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No. 48-4

Document Acceleration Bay LLC v. Activision Blizzard Inc., 1:15-cv-00228, No. 48-4 (D.Del. Dec. 7, 2015)

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