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Case 1:19-cv-11586-FDS Document 319-3 Filed 02/23/22 Page 1 of 3
`Case 1:19-cv-11586-FDS Document 319-3 Filed 02/23/22 Page1of3
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`EXHIBIT 3
`EXHIBIT 3
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`

`

`Case 1:19-cv-11586-FDS Document 319-3 Filed 02/23/22 Page 2 of 3
`
`Eric Speckhard
`From:
`Sent:
`To:
`Cc:
`Subject:
`
`RRodrigues@foley.com
`Wednesday, January 13, 2021 10:06 AM
`Okano, David
`BOSTFPhilipsFitbit@foley.com; Philips - Fitbit
`[EXT] RE: Philips v. Fitbit: Krems and Boccon-Gibod depositions
`
`--- External Email: Do not open attachments or click links from unknown senders ---
`
`Hi David,  
`
`Can you confirm start times for Mr. Krems and Boccon‐Gibod?  I’m not sure what time zones they are in. 
`
`Regards,  
`
`‐Ruben  
`
`From: Okano, David <davidokano@paulhastings.com>  
`Sent: Tuesday, January 12, 2021 12:12 AM 
`To: Rodrigues, Ruben J. <RRodrigues@foley.com> 
`Cc: BOST ‐ F ‐ Philips ‐ Fitbit <BOSTFPhilipsFitbit@foley.com>; Philips ‐ Fitbit <Philips‐Fitbit@paulhastings.com> 
`Subject: Philips v. Fitbit: Krems and Boccon‐Gibod depositions 
`
`** EXTERNAL EMAIL MESSAGE **
`Ruben,
`
`Subject to its September 4, 2020 objections and responses to Philips’ Rule 30(b)(6) deposition notice,
`Fitbit intends to designate Mr. Krems and Mr. Boccon-Gibod on the following topics, as Fitbit best
`understands the scope of each topic:
`
`- Ryan Krems: 5 as to noninfringing alternatives, 10, 11, 14 for certain factual bases, 16–19, 22 as
`to general operation of accused products, 23(g) (h) (i) (j) (k) (l), 24, 25, 35 as to technical
`documentation for topics on which Mr. Krems is designated, 36, 38 as to technical documentation
`for topics on which Mr. Krems is designated, 53, 57.
`
`- Gilles Boccon-Gibod: 2 for certain factual bases, 3 for certain factual bases, 5 as to noninfringing
`alternatives, 23(a) (b) (c) (d) (e) (f), 35 and 38 as to technical documentation for topics on which
`Mr. Boccon-Gibod is designated.
`
`David
`
`____________________________________________________________________________ 
`
`1
`
`

`

`Case 1:19-cv-11586-FDS Document 319-3 Filed 02/23/22 Page 3 of 3
`
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`
`David Okano | Associate, Litigation Department
`Paul Hastings LLP | 1117 S. California Avenue, Palo Alto, CA 94304 | Direct:
`+1.650.320.1855 | Main: +1.650.320.1800 | Fax: +1.650.320.1955 |
`davidokano@paulhastings.com | www.paulhastings.com  
`

`

`  

`
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`this transmission in error, please notify the sender by reply e-mail and delete the message and any attachments.
`If you reply to this message, Paul Hastings may collect personal information including your name, business name
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`The information contained in this message, including but not limited to any attachments, may be confidential or
`protected by the attorney-client or work-product privileges. It is not intended for transmission to, or receipt by,
`any unauthorized persons. If you have received this message in error, please (i) do not read it, (ii) reply to the
`sender that you received the message in error, and (iii) erase or destroy the message and any attachments or
`copies. Any disclosure, copying, distribution or reliance on the contents of this message or its attachments is
`strictly prohibited, and may be unlawful. Unintended transmission does not constitute waiver of the attorney-
`client privilege or any other privilege. Legal advice contained in the preceding message is solely for the benefit
`of the Foley & Lardner LLP client(s) represented by the Firm in the particular matter that is the subject of this
`message, and may not be relied upon by any other party. Unless expressly stated otherwise, nothing contained
`in this message should be construed as a digital or electronic signature, nor is it intended to reflect an intention
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