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Sectra Commc'ns AB v. Absolute Software, Inc.

United States District Court, Western District of Washington
Jan 23, 2023
2:22-cv-0353-RSM (W.D. Wash. Jan. 23, 2023)

Opinion

2:22-cv-0353-RSM

01-23-2023

SECTRA COMMUNICATIONS AB, Plaintiff, v. ABSOLUTE SOFTWARE, INC. and NETMOTION SOFTWARE, INC., Defendants.

Christopher B. Durbin, COOLEY LLP, Heidi L. Keefe (pro hac vice pending) Reuben H. Chen (pro hac vice pending) Alexandra Leeper (pro hac vice pending), Attorneys for Defendants ABSOLUTE SOFTWARE, INC. and NETMOTION SOFTWARE, INC., CORR CRONIN LLP, William R. Squires III, MCDERMOTT WILL & EMERY, Stephen M. Hash (pro hac vice), Kevin J. Meek (pro hac vice), Syed K. Fareed (pro hac vice) Samoneh Schickel (pro hac vice), Jiaxiao Zhang (pro hac vice) Attorneys for Plaintiff SECTRA COMMUNICATIONS AB


NOTE ON MOTION CALENDAR: January 20, 2023

Christopher B. Durbin, COOLEY LLP, Heidi L. Keefe (pro hac vice pending) Reuben H. Chen (pro hac vice pending) Alexandra Leeper (pro hac vice pending), Attorneys for Defendants ABSOLUTE SOFTWARE, INC. and NETMOTION SOFTWARE, INC.,

CORR CRONIN LLP, William R. Squires III, MCDERMOTT WILL & EMERY, Stephen M. Hash (pro hac vice), Kevin J. Meek (pro hac vice), Syed K. Fareed (pro hac vice) Samoneh Schickel (pro hac vice), Jiaxiao Zhang (pro hac vice) Attorneys for Plaintiff SECTRA COMMUNICATIONS AB

STIPULATION AND ORDER REGARDING JURISDICTIONAL DISCOVERY DEADLINES

RICARDO S. MARTINEZ UNITED STATES DISTRICT JUDGE

The parties to the above-captioned action (the “Parties”), submit the below stipulation pursuant to Local Civil Rule 7(l) for review and approval by the Court:

WHEREAS, the Parties have engaged in good-faith meet-and-confer discussions regarding deadlines for jurisdictional discovery in connection with the Court's order (Dkt. No. 130) granting Defendant NetMotion Software Inc.'s (“NetMotion”) Motion in the Alternative to Seek Jurisdictional Discovery (Dkt. No. 109) (the “Motion for Jurisdictional Discovery”), and have reached mutual agreement on a schedule for jurisdictional discovery and remaining briefing on NetMotion's Motion for Leave to Amend Counterclaim (Dkt. No. 99) (the “Motion for Leave”);

WHEREAS, the Court has granted (Dkt. No. 130) Netmotion's Motion for Jurisdictional Discovery (Dkt. No. 109);

WHEREAS, NetMotion has served its first set of requests for production of documents regarding jurisdictional issues and its first set of interrogatories regarding jurisdictional issues on Columbitech on January 11, 2023.

WHEREAS, to allow adequate time for Columbitech to respond to NetMotion's first set of interrogatories regarding jurisdictional issues, the Parties have agreed that the deadline for Columbitech to respond should be February 10, 2023;

WHEREAS, to allow adequate time for Columbitech to complete document production in response to NetMotion's first set of requests for production of documents regarding jurisdictional issues, the Parties have agreed that the deadline for Columbitech to complete document production regarding jurisdictional issues should be February 28, 2023;

WHEREAS, the Parties have agreed that Mr. Englund's deposition and the 30(b)(6) deposition of Columbitech should be held between March 13, 2023 and March 22, 2023;

WHEREAS, to allow for adequate time to complete jurisdictional discovery, the Parties have agreed that the close of jurisdictional discovery should be March 22, 2023;

WHEREAS, Mr. Englund's deposition and jurisdictional discovery may be relevant to NetMotion's pending Motion for Leave; and

WHEREAS, to address any relevance of jurisdictional discovery and any deposition on NetMotion's Motion for Leave, the Parties have agreed that, consistent with the Court's order granting NetMotion's Motion for Jurisdictional Discovery, the deadline for NetMotion's supplemental reply brief in support of the Motion for Leave should be extended further to April 5, 2023, and the deadline for Sectra and Columbitech's sur-reply brief in opposition to the Motion for Leave should be extended further to April 19, 2023.

THEREFORE, the Parties hereby STIPULATE that the deadline for Columbitech's responses to NetMotion's interrogatories should be February 10, 2023; that the deadline for Columbitech's document production should be February 28, 2023; that depositions should be held between March 13, 2023, and March 22, 2023; that the close of jurisdictional discovery should be March 22, 2023; that the deadline for NetMotion's supplemental reply brief in support of the motion for leave to amend be extended to April 5, 2023; and that the deadline for Sectra and Columbitech's sur-reply brief be extended to April 19, 2023;

SO STIPULATED.

IT IS SO ORDERED.


Summaries of

Sectra Commc'ns AB v. Absolute Software, Inc.

United States District Court, Western District of Washington
Jan 23, 2023
2:22-cv-0353-RSM (W.D. Wash. Jan. 23, 2023)
Case details for

Sectra Commc'ns AB v. Absolute Software, Inc.

Case Details

Full title:SECTRA COMMUNICATIONS AB, Plaintiff, v. ABSOLUTE SOFTWARE, INC. and…

Court:United States District Court, Western District of Washington

Date published: Jan 23, 2023

Citations

2:22-cv-0353-RSM (W.D. Wash. Jan. 23, 2023)