Opinion
David T. Pritikin, (Pro Hac Vice) Sidley Austin LLP, Chicago, IL, Aseem S. Gupta, M. Patricia Thayer, Philip W. Woo, Sidley Austin LLP. San Francisco, CA. I. Neel Chatterjee, Orrick, Herrington & Sutcliffe LLP, Menlo Park, CA, Attorneys for Plaintiff, SYNOPSYS, INC.
George A. Riley, Mark E. Miller, Luann L. Simmons, Michael Sapoznikow, O'Melveny & Myers LLP, San Francisco, CA, Xavier A. Clark, (Pro Hac Vice) Kristin L. Cleveland, Salumeh R. Loesch, (Pro Hac Vice) Jeffrey S. Love, Andrew M. Mason, (Pro Hac Vice) John D. Vandenberg, (Pro Hac Vice) Philip J. Warrick, (Pro Hac Vice) Owen D. Yeates, (Pro Hac Vice) Klarquist Sparkman, LLP, Portland, OR, Attorneys for Defendant, MENTOR GRAPHICS CORPORATION.
STIPULATION AND [PROPOSED] ORDER EXTENDING DEADLINE TO FILE MOTIONS TO COMPEL DISCOVERY
MAXINE M. CHESNEY, District Judge.
IT IS HEREBY STIPULATED by and between Plaintiff Synopsys, Inc. ("Synopsys") and Defendant Mentor Graphics Corp. ("Mentor Graphics") as follows:
WHEREAS, pursuant to the Court's Order of August 7, 2014 at Dkt. 231, August 7, 2014 is the deadline on which to file the letter brief as to Mentor's challenges to certain of Synopsys' documents designated "Highly Confidential - Attorneys' Eyes Only, " detailed in counsel for Mentor's July 15, 2014 letter to counsel for Synopsys;
WHEREAS, pursuant to the Court's Order of August 7, 2014 at Dkt. 231, August 8, 2014 is the deadline on which to file the letter brief as to Mentor's challenges to Synopsys' privilege log, detailed in counsel for Mentor's July 18, 2014 letter to counsel for Synopsys;
WHEREAS, the Parties still are continuing to discuss Mentor's challenges to certain of Synopsys' documents designated "Highly Confidential - Attorneys' Eyes Only, " detailed in counsel for Mentor's July 15, 2014 letter to counsel for Synopsys and the dispute will be narrowed through further supplementation and/or cooperation;
WHEREAS, the Parties still are continuing to discuss Mentor's challenges to Synopsys' privilege log, detailed in counsel for Mentor's July 18, 2014 letter to counsel for Synopsys and the dispute will be narrowed through further supplementation and/or cooperation;
NOW, THEREFORE, pursuant to Civil Local Rule 6-2, the Parties hereby stipulate to extend the deadline on which to file the letter brief as to Mentor's challenges to certain of Synopsys' documents designated "Highly Confidential - Attorneys' Eyes Only, " detailed in counsel for Mentor's July 15, 2014 letter to counsel for Synopsys, to August 11, 2014;
AND, the Parties further stipulate to extend the deadline on which to file the letter brief as to Mentor's challenges to Synopsys' privilege log, detailed in counsel for Mentor's July 18, 2014 letter to counsel for Synopsys, to August 15, 2014.
IT IS SO STIPULATED.
Pursuant to Civil Local Rule 5-1(i)(3), the filer of this document attests that concurrence in the filing of this document has been obtained from the other signatory above.
PURSUANT TO STIPULATION, IT IS SO ORDERED.