WAG ACQUISITION, L.L.C. v. DUODECAD IT SERVICES LUXEMBOURG S.a r.1. et al
WAG ACQUISITION, L.L.C. |
GATTYAN GROUP S.a.r.1, DUODECAD IT SERVICES LUXEMBOURG S.a r.1., DOES 1-20, DUODECAD IT SERVICES USA, LLC and Docler USA, LLC |
2:2014cv02832 |
May 5, 2014 |
US District Court for the District of New Jersey |
Newark Office |
Morris |
Michael A Hammer |
Esther Salas |
Patent |
35 U.S.C. § 271 Patent Infringement |
Both |
Docket Report
This docket was last retrieved on September 15, 2021. A more recent docket listing may be available from PACER.
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Filing 252 Letter from Justin T. Quinn, Esq. to the Honorable Michael A. Hammer, U.S.M.J. re #249 Order. (QUINN, JUSTIN) |
Pro Hac Vice counsel, A. JOHN DEMARCO, has been added to receive Notices of Electronic Filing. Pursuant to L.Civ.R. 101.1, only local counsel are entitled to sign and file papers, enter appearances and receive payments on judgments, decrees or orders. (ams, ) |
Filing 251 NOTICE of Appearance by ADAM DANIEL KLINE on behalf of DUODECAD IT SERVICES LUXEMBOURG S.a r.1. (KLINE, ADAM) |
Filing 250 Notice of Request by Pro Hac Vice A. John Demarco to receive Notices of Electronic Filings. ( Pro Hac Vice fee $ 150 receipt number ANJDC-10959882.) (QUINN, JUSTIN) |
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Filing 248 Letter from Ronald Abramson. (ABRAMSON, RONALD) |
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Filing 246 Letter from Justin T. Quinn, Esq. to the Honorable Michael A. Hammer, U.S.M.J. enclosing application for admission pro hac vice. (Attachments: #1 Declaration of Justin T. Quinn, #2 Declaration of A. John Demarco, #3 Text of Proposed Order)(QUINN, JUSTIN) |
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Filing 244 Letter from Justin T. Quinn, Esq. to the Honorable Michael A. Hammer, U.S.M.J. re 242 Order. (QUINN, JUSTIN) |
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Minute Entry for proceedings held before Magistrate Judge Michael A. Hammer: Telephone Status Conference held on 4/8/2020. (jqb, ) |
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Filing 240 NOTICE by WAG ACQUISITION, L.L.C. regarding April 8, 2020 conference dialing information (ABRAMSON, RONALD) |
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Filing 236 Letter from Justin T. Quinn, Esq. to the Honorable Michael A. Hammer, U.S.M.J. (QUINN, JUSTIN) |
Set Deadlines as to #235 MOTION to Seal . Motion set for 4/20/2020 before Judge Esther Salas. Unless otherwise directed by the Court, this motion will be decided on the papers and no appearances are required. Note that this is an automatically generated message from the Clerk`s Office and does not supersede any previous or subsequent orders from the Court. (sm) |
Filing 235 MOTION to Seal by DUODECAD IT SERVICES LUXEMBOURG S.a r.1.. (Attachments: #1 Statement of Justin T. Quinn, #2 Certification of Justin T. Quinn, #3 Findings of Fact, Conclusions of Law & Proposed Order, #4 Exhibit A, #5 Exhibit B, #6 Exhibit C, #7 Certificate of Service)(QUINN, JUSTIN) |
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Filing 231 REPLY BRIEF to Opposition to Motion filed by WAG ACQUISITION, L.L.C. re #224 APPEAL OF MAGISTRATE JUDGE DECISION to District Court by WAG ACQUISITION, L.L.C. re #221 Order on Motion to Amend/Correct, #220 Opinion (ABRAMSON, RONALD)NOTICE TO COUNSEL: Counsel is advised that pursuant to Local Civil Rule 5.3(c)(2), a single, consolidated motion to seal shall be filed within 14 days following the completed briefing of the materials sought to be sealed, or within 14 days following the date on which the last of such materials was filed under temporary seal if the motion is resolved, unless otherwise directed by the Court. |
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Filing 229 Appellant's REPLY BRIEF by DUODECAD IT SERVICES LUXEMBOURG S.a r.1.. (QUINN, JUSTIN)NOTICE TO COUNSEL: Counsel is advised that pursuant to Local Civil Rule 5.3(c)(2), a single, consolidated motion to seal shall be filed within 14 days following the completed briefing of the materials sought to be sealed, or within 14 days following the date on which the last of such materials was filed under temporary seal if the motion is resolved, unless otherwise directed by the Court. |
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Filing 227 MEMORANDUM in Opposition filed by WAG ACQUISITION, L.L.C. re #223 APPEAL OF MAGISTRATE JUDGE DECISION to District Court by DUODECAD IT SERVICES LUXEMBOURG S.a r.1. re #221 Order on Motion to Amend/Correct, #220 Opinion (ABRAMSON, RONALD) |
Filing 226 Appellee's BRIEF by DUODECAD IT SERVICES LUXEMBOURG S.a r.1.. (QUINN, JUSTIN)NOTICE TO COUNSEL: Counsel is advised that pursuant to Local Civil Rule 5.3(c)(2), a single, consolidated motion to seal shall be filed within 14 days following the completed briefing of the materials sought to be sealed, or within 14 days following the date on which the last of such materials was filed under temporary seal if the motion is resolved, unless otherwise directed by the Court. |
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Minute Entry for proceedings held before Magistrate Judge Michael A. Hammer: Telephone Status Conference held on 2/20/2020. (jqb, ) |
Set Deadlines as to #223 APPEAL OF MAGISTRATE JUDGE DECISION to District Court by DUODECAD IT SERVICES LUXEMBOURG S.a r.1. re #221 Order on Motion to Amend/Correct, #220 Opinion, #222 MOTION to Seal , #224 APPEAL OF MAGISTRATE JUDGE DECISION to District Court by WAG ACQUISITION, L.L.C. re #221 Order on Motion to Amend/Correct, #220 Opinion. Motion set for 3/16/2020 before Judge Esther Salas. Unless otherwise directed by the Court, this motion will be decided on the papers and no appearances are required. Note that this is an automatically generated message from the Clerk`s Office and does not supersede any previous or subsequent orders from the Court. (sm) |
Filing 224 APPEAL OF MAGISTRATE JUDGE DECISION to District Court by WAG ACQUISITION, L.L.C. re #221 Order on Motion to Amend/Correct, #220 Opinion (Attachments: #1 Brief, #2 Text of Proposed Order)(ABRAMSON, RONALD)NOTICE TO COUNSEL: Counsel is advised that pursuant to Local Civil Rule 5.3(c)(2), a single, consolidated motion to seal shall be filed within 14 days following the completed briefing of the materials sought to be sealed, or within 14 days following the date on which the last of such materials was filed under temporary seal if the motion is resolved, unless otherwise directed by the Court. |
Filing 223 APPEAL OF MAGISTRATE JUDGE DECISION to District Court by DUODECAD IT SERVICES LUXEMBOURG S.a r.1. re #221 Order on Motion to Amend/Correct, #220 Opinion (Attachments: #1 Brief, #2 Text of Proposed Order)(QUINN, JUSTIN)NOTICE TO COUNSEL: Counsel is advised that pursuant to Local Civil Rule 5.3(c)(2), a single, consolidated motion to seal shall be filed within 14 days following the completed briefing of the materials sought to be sealed, or within 14 days following the date on which the last of such materials was filed under temporary seal if the motion is resolved, unless otherwise directed by the Court. |
Filing 222 MOTION to Seal by DUODECAD IT SERVICES LUXEMBOURG S.a r.1.. (Attachments: #1 Statement in lieu of Brief, #2 Certification of Justin T. Quinn, #3 Proposed Findings of Fact, Conclusions of Law and Order, #4 Opinion (REDACTED), #5 Certificate of Service)(QUINN, JUSTIN) |
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Filing 220 OPINION. Signed by Magistrate Judge Michael A. Hammer on 1/29/2020. (sm) |
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Set Deadlines as to #217 MOTION to Seal Document #211 Brief in Opposition to Motion,,, #208 Brief in Support of Motion,, #213 Reply Brief to Opposition to Motion,, , #216 MOTION to Seal Document #210 Brief in Opposition to Motion,,, #212 Reply Brief to Opposition to Motion,, #205 Memorandum in Support of Motion,, #207 Declaration,, . Motion set for 1/21/2020 before Judge Esther Salas. Unless otherwise directed by the Court, this motion will be decided on the papers and no appearances are required. Note that this is an automatically generated message from the Clerk`s Office and does not supersede any previous or subsequent orders from the Court. (sm) |
Filing 217 MOTION to Seal Document #211 Brief in Opposition to Motion,,, #208 Brief in Support of Motion,, #213 Reply Brief to Opposition to Motion,, by WAG ACQUISITION, L.L.C.. (Attachments: #1 Statement in Lieu of Brief, #2 Appendix Index Pursuant to Local Civil Rule 5.3(c)(3), #3 Proposed Findings of Fact and Conclusions of Law and Proposed Order, #4 Defendant's Brief ISO Motion to Amend [REDACTED], #5 Declaration ISO Motion to Amend [REDACTED], #6 Exhibit A to Declaration [REDACTED], #7 Appendix 1 to Declaration [REDACTED], #8 Appendix 2 to Declaration [REDACTED}, #9 Exhibit A1-A22 to Declaration - Pt. 1 [REDACTED], #10 Exhibit A1-A22 to Declaration - Pt. 2 [REDACTED], #11 Exhibit A1-A22 to Declaration - Pt. 3 [REDACTED], #12 Exhibit A1-A22 to Declaration - Pt. 4 [REDACTED], #13 Exhibit A1-A22 to Declaration - Pt. 5 [REDACTED], #14 Exhibit A23-A51 to Declaration - Pt. 1 [REDACTED], #15 Exhibit A23-A51 to Declaration - Pt. 2 [REDACTED], #16 Exhibit A23-A51 to Declaration - Pt. 3 [REDACTED], #17 Exhibit A23-A51 to Declaration - Pt. 4 [REDACTED], #18 Brief in Opposition to Motion to Amend [REDACTED], #19 Exhibit B to Opposition [REDACTED], #20 Exhibit C to Opposition [REDACTED], #21 Exhibit D to Opposition [REDACTED], #22 Defendant's Reply Brief [REDACTED], #23 Certificate of Service)(ABRAMSON, RONALD) |
Filing 216 MOTION to Seal Document #210 Brief in Opposition to Motion,,, #212 Reply Brief to Opposition to Motion,, #205 Memorandum in Support of Motion,, #207 Declaration,, by DUODECAD IT SERVICES LUXEMBOURG S.a r.1.. (Attachments: #1 Statement in Lieu of Brief, #2 Certification of Justin T. Quinn, #3 Proposed Findings of Fact & Conclusions of Law, #4 WAG's Brief ISO Amend Contentions [REDACTED], #5 Defendant's Opposition [REDACTED], #6 WAG's Reply [REDACTED], #7 Certificate of Service)(QUINN, JUSTIN) |
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Filing 214 Letter from Justin T. Quinn, Esq. to the Honorable Michael A. Hammer, U.S.M.J. requesting a one-week extension for Parties to file motions to seal. (QUINN, JUSTIN) |
Filing 213 REPLY BRIEF to Opposition to Motion filed by DUODECAD IT SERVICES LUXEMBOURG S.a r.1. re #206 MOTION to Amend/Correct (Attachments: #1 Declaration of Richard V. Wells, #2 Exhibit A52, #3 Exhibit A53, #4 Exhibit A54)(QUINN, JUSTIN)NOTICE TO COUNSEL: Counsel is advised that pursuant to Local Civil Rule 5.3(c)(2), a single, consolidated motion to seal shall be filed within 14 days following the completed briefing of the materials sought to be sealed, or within 14 days following the date on which the last of such materials was filed under temporary seal if the motion is resolved, unless otherwise directed by the Court. |
Filing 212 REPLY BRIEF to Opposition to Motion filed by WAG ACQUISITION, L.L.C. re #204 MOTION to Amend/Correct Plaintiff's Infringement Contentions (Attachments: #1 Declaration of Ronald Abramson, #2 Exhibit H)(ABRAMSON, RONALD)NOTICE TO COUNSEL: Counsel is advised that pursuant to Local Civil Rule 5.3(c)(2), a single, consolidated motion to seal shall be filed within 14 days following the completed briefing of the materials sought to be sealed, or within 14 days following the date on which the last of such materials was filed under temporary seal if the motion is resolved, unless otherwise directed by the Court. |
Filing 211 BRIEF in Opposition filed by WAG ACQUISITION, L.L.C. re #206 MOTION to Amend/Correct (Attachments: #1 Declaration of Ari J. Jaffess, #2 Exhibit A, #3 Exhibit B, #4 Exhibit C, #5 Exhibit D, #6 Exhibit E, #7 Exhibit F, #8 Exhibit G, #9 Exhibit H, #10 Exhibit I, #11 Exhibit J, #12 Exhibit K)(ABRAMSON, RONALD)NOTICE TO COUNSEL: Counsel is advised that pursuant to Local Civil Rule 5.3(c)(2), a single, consolidated motion to seal shall be filed within 14 days following the completed briefing of the materials sought to be sealed, or within 14 days following the date on which the last of such materials was filed under temporary seal if the motion is resolved, unless otherwise directed by the Court. |
Filing 210 BRIEF in Opposition filed by DUODECAD IT SERVICES LUXEMBOURG S.a r.1. re #204 MOTION to Amend/Correct Plaintiff's Infringement Contentions (Attachments: #1 Declaration of Richard V. Wells, #2 Exhibit 1-5, #3 Exhibit 6 (Part 1 of 3), #4 Exhibit 6 (Part 2 of 3), #5 Exhibit 6 (Part 3 of 3), #6 Exhibit 7-9, #7 Exhibit 10 (Part 1 of 2), #8 Exhibit 10 (Part 2 of 2), #9 Exhibit 11-16, #10 Declaration of Kolos Kaszaly, #11 Declaration of Oliver Lietz)(QUINN, JUSTIN)NOTICE TO COUNSEL: Counsel is advised that pursuant to Local Civil Rule 5.3(c)(2), a single, consolidated motion to seal shall be filed within 14 days following the completed briefing of the materials sought to be sealed, or within 14 days following the date on which the last of such materials was filed under temporary seal if the motion is resolved, unless otherwise directed by the Court. |
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Filing 208 BRIEF in Support filed by DUODECAD IT SERVICES LUXEMBOURG S.a r.1. re #206 MOTION to Amend/Correct (Attachments: #1 Declaration of Richard V. Wells, #2 Tab A, #3 Appendix 1, #4 Appendix 2, #5 Exhibit A1-A22, #6 Exhibit A23-A51, #7 Exhibit A25)(QUINN, JUSTIN)NOTICE TO COUNSEL: Counsel is advised that pursuant to Local Civil Rule 5.3(c)(2), a single, consolidated motion to seal shall be filed within 14 days following the completed briefing of the materials sought to be sealed, or within 14 days following the date on which the last of such materials was filed under temporary seal if the motion is resolved, unless otherwise directed by the Court. |
Filing 207 DECLARATION re #204 MOTION to Amend/Correct Plaintiff's Infringement Contentions of Ronald Abramson by WAG ACQUISITION, L.L.C.. (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E, #6 Exhibit F, #7 Exhibit G)(ABRAMSON, RONALD)NOTICE TO COUNSEL: Counsel is advised that pursuant to Local Civil Rule 5.3(c)(2), a single, consolidated motion to seal shall be filed within 14 days following the completed briefing of the materials sought to be sealed, or within 14 days following the date on which the last of such materials was filed under temporary seal if the motion is resolved, unless otherwise directed by the Court. |
Filing 206 MOTION to Amend/Correct by DUODECAD IT SERVICES LUXEMBOURG S.a r.1.. (Attachments: #1 Text of Proposed Order, #2 Certificate of Service)(QUINN, JUSTIN) |
Filing 205 MEMORANDUM in Support filed by WAG ACQUISITION, L.L.C. re #204 MOTION to Amend/Correct Plaintiff's Infringement Contentions (ABRAMSON, RONALD)NOTICE TO COUNSEL: Counsel is advised that pursuant to Local Civil Rule 5.3(c)(2), a single, consolidated motion to seal shall be filed within 14 days following the completed briefing of the materials sought to be sealed, or within 14 days following the date on which the last of such materials was filed under temporary seal if the motion is resolved, unless otherwise directed by the Court. |
Filing 204 MOTION to Amend/Correct Plaintiff's Infringement Contentions by WAG ACQUISITION, L.L.C.. (Attachments: #1 Text of Proposed Order, #2 Certificate of Service)(ABRAMSON, RONALD) |
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Filing 202 Letter from Ronald Abramson. (ABRAMSON, RONALD) |
Set Deadlines as to Defendant's #201 MOTION to Seal . Motion set for 11/18/2019 before Judge Esther Salas. Unless otherwise directed by the Court, this motion will be decided on the papers and no appearances are required. Note that this is an automatically generated message from the Clerk`s Office and does not supersede any previous or subsequent orders from the Court. (jd, ) |
Filing 201 MOTION to Seal by DUODECAD IT SERVICES LUXEMBOURG S.a r.1.. (Attachments: #1 Statement of Justin T. Quinn in lieu of Brief, #2 Certification of Justin T. Quinn, #3 Text of Proposed Order Findings of Fact & Conclusions of Law, #4 Certificate of Service, #5 Redacted Joint Letter and Ex. A, #6 Redacted October 10, 2019 Transcript)(QUINN, JUSTIN) |
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Filing 198 Letter from Justin T. Quinn, Esq. to the Honorable Michael A. Hammer, U.S.M.J. re #189 Order,,,. (QUINN, JUSTIN) |
Filing 199 **SEALED** Transcript of Telephone Conference held on October 10, 2019, before Judge Michael A. Hammer. Transcriber: King Transcription Services (973-237-6080). This is the complete unredacted/sealed version of the transcript and is unavailable for public viewing. (mfr) |
Filing 197 Letter from Ronald Abramson re #189 Order,,,. (ABRAMSON, RONALD) |
Filing 196 Notice of Request by Pro Hac Vice Christine M. Streatfeild to receive Notices of Electronic Filings. ( Pro Hac Vice fee $ 150 receipt number 0312-10045671.) (QUINN, JUSTIN) |
Filing 195 Notice of Request by Pro Hac Vice Shima S. Roy to receive Notices of Electronic Filings. ( Pro Hac Vice fee $ 150 receipt number 0312-10045664.) (QUINN, JUSTIN) |
Filing 194 Notice of Request by Pro Hac Vice Jennifer Ancona Semko to receive Notices of Electronic Filings. ( Pro Hac Vice fee $ 150 receipt number 0312-10045627.) (QUINN, JUSTIN) |
Pro Hac Vice counsel, JENNIFER ANCONA SEMKO, SHIMA S. ROY and CHRISTINE M. STREATFEILD, has been added to receive Notices of Electronic Filing. Pursuant to L.Civ.R. 101.1, only local counsel are entitled to sign and file papers, enter appearances and receive payments on judgments, decrees or orders. (Ti) |
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Filing 191 Letter from Justin T. Quinn, Esq. to the Honorable Michael A. Hammer, U.S.M.J. re #188 Letter,,. (QUINN, JUSTIN) |
Filing 190 Letter from Justin T. Quinn, Esq. to the Honorable Michael A. Hammer, U.S.M.J. enclosing application for the pro hac vice admission of counsel. (Attachments: #1 Declaration of Justin T. Quinn, #2 Declaration of Jennifer Ancona Semko, #3 Declaration of Shima S. Roy, #4 Declaration of Christine M. Streatfeild, #5 Text of Proposed Order)(QUINN, JUSTIN) |
Minute Entry for SEALED proceedings held before Magistrate Judge Michael A. Hammer: Telephone Status Conference held on 10/10/2019. (ECR) (jqb, ) Modified on 10/22/2019 (jqb, ). |
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Filing 188 Letter from Ronald Abramson re 186 Order,. (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C)(ABRAMSON, RONALD)NOTICE TO COUNSEL: Counsel is advised that pursuant to Local Civil Rule 5.3(c)(2), a single, consolidated motion to seal shall be filed within 14 days following the completed briefing of the materials sought to be sealed, or within 14 days following the date on which the last of such materials was filed under temporary seal if the motion is resolved, unless otherwise directed by the Court. |
Filing 187 Transcript of Telephone Conference held on September 12, 2019, before Judge Esther Salas. Court Reporter: Mary Jo Monteleone (973-580-5262). NOTICE REGARDING (1) REDACTION OF PERSONAL IDENTIFIERS IN TRANSCRIPTS AND (2) MOTION TO REDACT AND SEAL: The parties have seven (7) calendar days to file with the Court a Notice of Intent to Request Redaction of this Transcript to comply with Fed.R.Civ.P.5.2(a) (personal identifiers). Parties seeking to redact and seal this Transcript, or portions thereof, pursuant to L.Civ.R. 5.3(g) must e-file a Motion to Redact and Seal utilizing the event `Redact and Seal Transcript/Digital Recording`. Redaction Request to Court Reporter due, but not filed, by 10/18/2019. Redacted Transcript Deadline set for 10/28/2019. Release of Transcript Restriction set for 12/26/2019. (vm) |
Reset Hearing: The Telephone Status Conference set for 10/10/2019 is moved from 3:30 p.m. to 1:00 p.m. before Magistrate Judge Michael A. Hammer. (jqb, ) |
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Filing 184 Minute Entry for proceedings held before Judge Esther Salas: Telephone Conference held on 9/12/2019. (Court Reporter Mary Jo Monteleone) (ps, ) |
Set Hearings: Telephone Conference has been set for 9/12/2019 at 2:00 PM before Judge Esther Salas. Plaintiff's counsel shall kindly coordinate the call. (ps, ) |
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Filing 182 OPINION ADOPTING REPORT & RECOMMENDATION. Signed by Judge Esther Salas on 8/13/2019. (sm) |
Filing 181 Letter from Justin T. Quinn, Esq. to the Honorable Michael A. Hammer, U.S.M.J. [CORRECTED] re #180 Letter, #179 Order,. (QUINN, JUSTIN) |
Filing 180 Letter from Justin T. Quinn, Esq. to the Honorable Michael A. Hammer, U.S.M.J. re #179 Order,. (QUINN, JUSTIN) |
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Filing 176 MOTION to Seal Document #168 REPORT AND RECOMMENDATIONS re #1 Complaint, filed by WAG ACQUISITION, L.L.C. by WAG ACQUISITION, L.L.C.. (Attachments: #1 Statement in Lieu of Brief, #2 Appendix - Index Pursuant to Local Civil Rule 5.3(c)(3), #3 Text of Proposed Order - Proposed Findings of Fact, #4 Certificate of Service)(LISTON, DAVID) |
Set Deadlines as to #176 MOTION to Seal Document #168 REPORT AND RECOMMENDATIONS re #1 Complaint, filed by WAG ACQUISITION, L.L.C. . Motion set for 1/7/2019 before Judge Esther Salas. Unless otherwise directed by the Court, this motion will be decided on the papers and no appearances are required. Note that this is an automatically generated message from the Clerk`s Office and does not supersede any previous or subsequent orders from the Court. (sm) |
Filing 175 MOTION to Seal Document #174 Response (NOT Motion),, #169 Objection to Report and Recommendations,, by WAG ACQUISITION, L.L.C.. (Attachments: #1 Statement in Lieu of Brief, #2 Objections to Report & Recommendations (Redacted), #3 Exhibit A to Objections (Redacted), #4 Response to Objections (Redacted), #5 Exhibit A to Response (Redacted), #6 Appendix - Index Pursuant to Local Civil Rule 5.3(c)(3), #7 Text of Proposed Order - Proposed Findings of Fact, #8 Certificate of Service)(LISTON, DAVID) |
Set Deadlines as to #175 MOTION to Seal Document #174 Response (NOT Motion),, #169 Objection to Report and Recommendations,, . Motion set for 1/7/2019 before Judge Esther Salas. Unless otherwise directed by the Court, this motion will be decided on the papers and no appearances are required. Note that this is an automatically generated message from the Clerk`s Office and does not supersede any previous or subsequent orders from the Court. (sm) |
Filing 174 RESPONSE re #169 Objection to Report and Recommendations,,. (Attachments: #1 Declaration of Ronald Abramson, #2 Exhibit A to Abramson Declaration, #3 Certificate of Service)(ABRAMSON, RONALD)NOTICE TO COUNSEL: Counsel is advised that pursuant to Local Civil Rule 5.3(c)(2), a single, consolidated motion to seal shall be filed within 14 days following the completed briefing of the materials sought to be sealed, or within 14 days following the date on which the last of such materials was filed under temporary seal if the motion is resolved, unless otherwise directed by the Court. |
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Set Deadlines as to #172 MOTION to Seal Document #168 REPORT AND RECOMMENDATIONS re #1 Complaint, filed by WAG ACQUISITION, L.L.C. . Motion set for 12/17/2018 before Judge Michael A. Hammer. Unless otherwise directed by the Court, this motion will be decided on the papers and no appearances are required. Note that this is an automatically generated message from the Clerk`s Office and does not supersede any previous or subsequent orders from the Court. (sm) |
Filing 172 MOTION to Seal Document #168 REPORT AND RECOMMENDATIONS re #1 Complaint, filed by WAG ACQUISITION, L.L.C. by WAG ACQUISITION, L.L.C.. (Attachments: #1 Statement in Lieu of Brief, #2 Redacted Version of Document to Be Sealed, #3 Proposed Findings of Fact, #4 Certificate of Service)(LISTON, DAVID) |
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Filing 170 Letter from Ronald Abramson re Unopposed Request for Extension to File Response re #169 Objection to Report and Recommendations,,. (ABRAMSON, RONALD) |
Filing 169 OBJECTION to #168 Report and Recommendations by DUODECAD IT SERVICES LUXEMBOURG S.a r.1., Docler USA, LLC. (Attachments: #1 Declaration of Justin T. Quinn, Esq., #2 Exhibit A, #3 Certificate of Service)(QUINN, JUSTIN)NOTICE TO COUNSEL: Counsel is advised that pursuant to Local Civil Rule 5.3(c)(2), a single, consolidated motion to seal shall be filed within 14 days following the completed briefing of the materials sought to be sealed, or within 14 days following the date on which the last of such materials was filed under temporary seal if the motion is resolved, unless otherwise directed by the Court. |
Filing 168 REPORT AND RECOMMENDATIONS. Objections, if any, to R&R due by 11/5/2018. Signed by Magistrate Judge Michael A. Hammer on 10/22/2018. (sm) |
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Filing 165 Letter from Ronald Abramson. (Attachments: #1 In re HTC decision)(ABRAMSON, RONALD) |
Minute Entry for proceedings held before Magistrate Judge Michael A. Hammer: Oral Argument Conference held on 3/28/2018. (ECR) (jqb, ) |
Filing 164 Letter from Ronald Abramson. (Attachments: #1 Exhibit 1, #2 Exhibit 2, #3 Exhibit 3, #4 Exhibit 4, #5 Exhibit 5)(ABRAMSON, RONALD) |
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Set Deadlines as to #161 MOTION to Seal Document #153 Brief in Opposition to Motion,, #154 Reply Brief to Opposition to Motion,, #149 Brief,,,, . Motion set for 2/20/2018 before Judge Esther Salas. Unless otherwise directed by the Court, this motion will be decided on the papers and no appearances are required. Note that this is an automatically generated message from the Clerk`s Office and does not supersede any previous or subsequent orders from the Court. (cm, ) |
Filing 161 MOTION to Seal Document #153 Brief in Opposition to Motion,, #154 Reply Brief to Opposition to Motion,, #149 Brief,,,, by WAG ACQUISITION, L.L.C.. (Attachments: #1 Statement in Lieu of Brief, #2 Proposed Findings of Fact and Conclusions of Law, #3 Proposed Redactions to Brief in Support of Motion, #4 Proposed Redactions to Brief in Opposition to Motion, #5 Proposed Redactions to Reply Brief in Support of Motion, #6 Exhibit 11 to Nov. 22, 2017 Quinn Decl., #7 Exhibit 12 to Nov. 22, 2017 Quinn Decl., #8 Exhibit 13 to to Nov. 22, 2017 Quinn Decl., #9 Exhibit 14 to to Nov. 22, 2017 Quinn Decl., #10 Exhibit 16 to Nov. 22, 2017 Quinn Decl., #11 Exhibit 17 to Nov. 22, 2017 Quinn Decl., #12 Exhibit 18 to Nov. 22, 2017 Quinn Decl., #13 Exhibit 20 to Nov. 22, 2017 Quinn Decl., #14 Exhibit 21 to Nov. 22, 2017 Quinn Decl., #15 Exhibit 22 to Nov. 22, 2017 Quinn Decl., #16 Exhibit 23 to Nov. 22, 2017 Quinn Decl., #17 Exhibit 24 to Nov. 22, 2017 Quinn Decl., #18 Exhibit 26 to Nov. 22, 2017 Quinn Decl., #19 Certificate of Service)(LISTON, DAVID) |
Filing 160 BRIEF (SUR-REPLY) (Attachments: #1 Certificate of Service)(QUINN, JUSTIN)NOTICE TO COUNSEL: Counsel is advised that pursuant to Local Civil Rule 5.3(c)(2), a single, consolidated motion to seal shall be filed within 14 days following the completed briefing of the materials sought to be sealed, or within 14 days following the date on which the last of such materials was filed under temporary seal if the motion is resolved, unless otherwise directed by the Court. |
Filing 159 REPLY BRIEF to Opposition to Motion filed by WAG ACQUISITION, L.L.C. re #152 Cross MOTION to Dismiss DEFENDANT DOCLER MEDIA, LLC WITHOUT PREJUDICE (ABRAMSON, RONALD)NOTICE TO COUNSEL: Counsel is advised that pursuant to Local Civil Rule 5.3(c)(2), a single, consolidated motion to seal shall be filed within 14 days following the completed briefing of the materials sought to be sealed, or within 14 days following the date on which the last of such materials was filed under temporary seal if the motion is resolved, unless otherwise directed by the Court. |
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Filing 156 Letter from Justin T. Quinn, Esq. to the Honorable Esther Salas, U.S.D.J. re #155 Letter. (QUINN, JUSTIN) |
Filing 155 Letter from Ronald Abramson re #153 Brief in Opposition to Motion,, #152 Cross MOTION to Dismiss DEFENDANT DOCLER MEDIA, LLC WITHOUT PREJUDICE. (ABRAMSON, RONALD) |
Filing 154 REPLY BRIEF to Opposition to Motion filed by DUODECAD IT SERVICES LUXEMBOURG S.a r.1., Docler USA, LLC re #152 Cross MOTION to Dismiss DEFENDANT DOCLER MEDIA, LLC WITHOUT PREJUDICE, #148 MOTION to Dismiss (Attachments: #1 Certificate of Service)(QUINN, JUSTIN)NOTICE TO COUNSEL: Counsel is advised that pursuant to Local Civil Rule 5.3(c)(2), a single, consolidated motion to seal shall be filed within 14 days following the completed briefing of the materials sought to be sealed, or within 14 days following the date on which the last of such materials was filed under temporary seal if the motion is resolved, unless otherwise directed by the Court. |
Filing 153 BRIEF in Opposition filed by WAG ACQUISITION, L.L.C. re #148 MOTION to Dismiss AND IN SUPPORT OF PLAINTIFFS CROSS-MOTION TO DISMISS DOCLER MEDIA, LLC WITHOUT PREJUDICE (Attachments: #1 Declaration, #2 Exhibit 1, #3 Text of Proposed Order)(ABRAMSON, RONALD)NOTICE TO COUNSEL: Counsel is advised that pursuant to Local Civil Rule 5.3(c)(2), a single, consolidated motion to seal shall be filed within 14 days following the completed briefing of the materials sought to be sealed, or within 14 days following the date on which the last of such materials was filed under temporary seal if the motion is resolved, unless otherwise directed by the Court. |
Filing 152 Cross MOTION to Dismiss DEFENDANT DOCLER MEDIA, LLC WITHOUT PREJUDICE by WAG ACQUISITION, L.L.C.. (Attachments: #1 Certificate of Service)(ABRAMSON, RONALD) |
Filing 151 NOTICE by DUODECAD IT SERVICES LUXEMBOURG S.a r.1., Docler USA, LLC OF WITHDRAWAL OF PRO HAC VICE COUNSEL (QUINN, JUSTIN) |
Set Deadlines as to #148 MOTION to Dismiss . Motion set for 12/18/2017 before Judge Esther Salas. Unless otherwise directed by the Court, this motion will be decided on the papers and no appearances are required. Note that this is an automatically generated message from the Clerk`s Office and does not supersede any previous or subsequent orders from the Court. (cm, ) |
Filing 150 CERTIFICATE OF SERVICE by DUODECAD IT SERVICES LUXEMBOURG S.a r.1. re #148 MOTION to Dismiss , #149 Brief,,,, (QUINN, JUSTIN) |
Filing 149 BRIEF IN SUPPORT OF MOTION TO DISMISS [ECF NO. 148] (Attachments: #1 Declaration of Justin T. Quinn, Esq., #2 Exhibit 1, #3 Exhibit 2, #4 Exhibit 3, #5 Exhibit 4, #6 Exhibit 5, #7 Exhibit 6, #8 Exhibit 7, #9 Exhibit 8, #10 Exhibit 9, #11 Exhibit 10, #12 Exhibit 11, #13 Exhibit 12, #14 Exhibit 13, #15 Exhibit 14, #16 Exhibit 15, #17 Exhibit 16, #18 Exhibit 17, #19 Exhibit 18, #20 Exhibit 19, #21 Exhibit 20, #22 Exhibit 21, #23 Exhibit 22, #24 Exhibit 23, #25 Exhibit 24, #26 Exhibit 25, #27 Exhibit 26)(QUINN, JUSTIN)NOTICE TO COUNSEL: Counsel is advised that pursuant to Local Civil Rule 5.3(c)(2), a single, consolidated motion to seal shall be filed within 14 days following the completed briefing of the materials sought to be sealed, or within 14 days following the date on which the last of such materials was filed under temporary seal if the motion is resolved, unless otherwise directed by the Court. |
Filing 148 MOTION to Dismiss by DUODECAD IT SERVICES LUXEMBOURG S.a r.1.. (Attachments: #1 Declaration of Balazs Sipocz, #2 Text of Proposed Order)(QUINN, JUSTIN) |
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Filing 146 Letter from Justin T. Quinn, Esq. to the Honorable Esther Salas, U.S.D.J. (QUINN, JUSTIN) |
Filing 145 REPLY BRIEF to Opposition to Motion filed by DUODECAD IT SERVICES LUXEMBOURG S.a r.1. re #140 MOTION to Dismiss OR, IN THE ALTERNATIVE, MOTION TO TRANSFER VENUE (Attachments: #1 Declaration of Justin T. Quinn, Esq., #2 Exhibit A, #3 Certificate of Service)(QUINN, JUSTIN) |
Filing 144 Letter from Justin T. Quinn, Esq. to the Honorable Esther Salas, U.S.D.J. enclosing the parties Joint Claim Construction Statement. (Attachments: #1 Joint Claim Construction Statement, #2 Exhibit A and B)(QUINN, JUSTIN) |
Filing 143 BRIEF in Opposition filed by WAG ACQUISITION, L.L.C. re #140 MOTION to Dismiss OR, IN THE ALTERNATIVE, MOTION TO TRANSFER VENUE (Attachments: #1 Declaration of Mord M. Lewis, #2 Exhibit A, #3 Exhibit B, #4 Exhibit C, #5 Exhibit D, #6 Exhibit E, #7 Exhibit F, #8 Exhibit G, #9 Exhibit H, #10 Exhibit I, #11 Exhibit J, #12 Exhibit K, #13 Exhibit L, #14 Exhibit M, #15 Exhibit N, #16 Exhibit O, #17 Exhibit P, #18 Exhibit Q, #19 Exhibit R, #20 Exhibit S, #21 Exhibit T, #22 Exhibit U, #23 Exhibit V, #24 Exhibit W, #25 Exhibit X, #26 Exhibit Y, #27 Exhibit Z)(ABRAMSON, RONALD) |
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Set Deadlines as to #140 MOTION to Dismiss OR, IN THE ALTERNATIVE, MOTION TO TRANSFER VENUE. Motion set for 8/21/2017 before Judge Esther Salas. Unless otherwise directed by the Court, this motion will be decided on the papers and no appearances are required. Note that this is an automatically generated message from the Clerk`s Office and does not supersede any previous or subsequent orders from the Court. (cm, ) |
Filing 141 Letter from Ari J. Jaffess regarding Joint Request for Extension of Claim Construction Deadlines. (JAFFESS, ARI) |
Filing 140 MOTION to Dismiss OR, IN THE ALTERNATIVE, MOTION TO TRANSFER VENUE by DUODECAD IT SERVICES LUXEMBOURG S.a r.1.. (Attachments: #1 Brief, #2 Declaration of Justin T. Quinn, #3 Exhibit A, #4 Exhibit B (Part 1), #5 Exhibit B (Part 2), #6 Declaration of Balazs Sipocz, #7 Text of Proposed Order, #8 Certificate of Service)(QUINN, JUSTIN) |
Filing 139 Letter from Justin T. Quinn, Esq. to the Honorable Michael A. Hammer, U.S.M.J. (QUINN, JUSTIN) |
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Filing 136 Letter from Justin T. Quinn, Esq. to the Honorable Michael A. Hammer, U.S.M.J.. (QUINN, JUSTIN) |
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Filing 134 Letter from Justin T. Quinn, Esq. to the Honorable Michael A. Hammer, U.S.M.J. (QUINN, JUSTIN) |
Filing 133 Notice of Request by Pro Hac Vice Matthew Dushek, Esq. to receive Notices of Electronic Filings. ( Pro Hac Vice fee $ 150 receipt number 0312-7920405.) (QUINN, JUSTIN) |
Pro Hac Vice counsel, MATTHEW DUSHEK, has been added to receive Notices of Electronic Filing. Pursuant to L.Civ.R. 101.1, only local counsel are entitled to sign and file papers, enter appearances and receive payments on judgments, decrees or orders. (cm, ) |
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Filing 130 Letter from Justin T. Quinn, Esq. to the Honorable Michael A. Hammer, U.S.M.J. raising dispute regarding TC Heartland LLC v. Kraft Foods Group Brands (May 22, 2017). (Attachments: #1 Exhibit A, #2 Exhibit 1)(QUINN, JUSTIN) |
Filing 129 Letter from Justin T. Quinn, Esq. to the Honorable Michael A. Hammer, U.S.M.J. enclosing application for the pro hac vice admission of Matthew Dushek, Esq.. (Attachments: #1 Declaration of Justin T. Quinn, Esq., #2 Declaration of Matthew Dushek, Esq., #3 Text of Proposed Order)(QUINN, JUSTIN) |
Filing 128 Letter from Ronald Abramson regarding Application for Pro Hac Vice Admission of Alex G. Patchen. (Attachments: #1 Declaration of Ronald Abramson, #2 Declaration of Alex G. Patchen, #3 Text of Proposed Order)(ABRAMSON, RONALD) |
Set Deadlines as to #127 MOTION to Seal Document #126 Letter,,, . Motion set for 7/3/2017 before Judge Esther Salas. Unless otherwise directed by the Court, this motion will be decided on the papers and no appearances are required. Note that this is an automatically generated message from the Clerk`s Office and does not supersede any previous or subsequent orders from the Court. (cm, ) |
Filing 127 MOTION to Seal Document #126 Letter,,, by WAG ACQUISITION, L.L.C.. (Attachments: #1 Statement of David G. Liston, Esq., #2 Proposed Findings of Fact, Conclusions of Law & Order, #3 Redacted May 24, 2017 Letter, #4 Redacted Tab A - Proposed Amended Answer to May 24, 2017 Letter, #5 Appendix 1 to May 24, 2017 Letter, #6 Appendix 2 to May 24, 2017 Letter, #7 A1 to May 24, 2017 Letter, #8 A2 to May 24, 2017 Letter, #9 Redacted A3 to May 24, 2017 Letter, #10 Redacted A4 to May 24, 2017 Letter, #11 Redacted A5 to May 24, 2017 Letter, #12 Redacted A6 to May 24, 2017 Letter, #13 A7 to May 24, 2017 Letter, #14 A8 to May 24, 2017 Letter, #15 Redacted A9 to May 24, 2017 Letter, #16 A10 to May 24, 2017 Letter, #17 Redacted A11 to May 24, 2017 Letter, #18 Exhibit D1 to May 24, 2017 Letter, #19 Exhibit D2 to May 24, 2017 Letter, #20 Exhibit D3 to May 24, 2017 Letter, #21 Redacted Ex. D4 to May 24, 2017 Letter, #22 Redacted Ex. D5 to May 24, 2017 Letter, #23 Redacted Ex. D6 to May 24, 2017 Letter, #24 Redacted Ex. D7 to May 24, 2017 Letter, #25 Exhibit D8 to May 24, 2017 Letter, #26 Exhibit D9 to May 24, 2017 Letter, #27 Exhibit D10 to May 24, 2017 Letter, #28 Redacted Ex A (WAG), #29 Exhibit B (WAG), #30 Certificate of Service)(LISTON, DAVID) |
Filing 126 Letter from Justin T. Quinn, Esq. to the Honorable Michael A. Hammer, U.S.M.J. (Attachments: #1 Tab A - Proposed Amended Answer, #2 Appendix 1, #3 Appendix 2, #4 A1, #5 A2, #6 A3, #7 A4, #8 A5, #9 A6, #10 A7, #11 A8, #12 A9, #13 A10, #14 A11, #15 Exhibit D1, #16 Exhibit D2, #17 Exhibit D3, #18 Exhibit D4, #19 Exhibit D5, #20 Exhibit D6, #21 Exhibit D7, #22 Exhibit D8, #23 Exhibit D9, #24 Exhibit D10, #25 Exhibit A (WAG), #26 Exhibit B (WAG))(QUINN, JUSTIN)NOTICE TO COUNSEL: Counsel is advised that pursuant to Local Civil Rule 5.3(c)(2), a single, consolidated motion to seal shall be filed within 14 days following the completed briefing of the materials sought to be sealed, or within 14 days following the date on which the last of such materials was filed under temporary seal if the motion is resolved, unless otherwise directed by the Court. |
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Filing 124 Letter from Justin T. Quinn, Esq. to the Honorable Michael A. Hammer, U.S.M.J. enclosing a proposed Amended Discovery Plan. (Attachments: #1 Exhibit A)(QUINN, JUSTIN) |
Filing 123 Letter from Justin T. Quinn, Esq. to the Honorable Esther Salas, U.S.D.J. and the Honorable Michael A. Hammer, U.S.M.J.. (QUINN, JUSTIN) |
Filing 122 AMENDED DISCOVERY PLAN: An In-Person Status Conference is set for 6/13/2017 at 10:00 AM before Magistrate Judge Michael A. Hammer. Fact Discovery relating to Liability due by 6/30/2017. There will be no further extensions of the foregoing deadlines, etc. Signed by Magistrate Judge Michael A. Hammer on 3/30/17. (cm, ) |
Filing 121 Joint MOTION Joint Letter Motion regarding Discovery Plan by WAG ACQUISITION, L.L.C.. (Attachments: #1 Exhibit A: Plaintiff's proposed Amended Discovery Plan)(ABRAMSON, RONALD) |
Filing 120 Letter from Ronald Abramson. (ABRAMSON, RONALD) |
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Filing 117 Letter from Justin T. Quinn, Esq. to the Honorable Michael A. Hammer, U.S.M.J. re #112 Joint MOTION to Seal Document #105 Letter,, #110 Letter,, , #114 Exhibit (to Document),,. (Attachments: #1 Exhibit A (Redacted Letter of Request)(QUINN, JUSTIN) |
Filing 116 Letter from Ronald Abramson re #115 Letter. (ABRAMSON, RONALD) |
Filing 115 Letter from Justin T. Quinn, Esq. to the Honorable Michael A. Hammer, U.S.M.J. (QUINN, JUSTIN) |
Filing 114 Exhibit to #113 Letter by DUODECAD IT SERVICES LUXEMBOURG S.a r.1., DUODECAD IT SERVICES USA, LLC. (QUINN, JUSTIN)NOTICE TO COUNSEL: Counsel is advised that pursuant to Local Civil Rule 5.3(c)(2), a single, consolidated motion to seal shall be filed within 14 days following the completed briefing of the materials sought to be sealed, or within 14 days following the date on which the last of such materials was filed under temporary seal if the motion is resolved, unless otherwise directed by the Court. |
Filing 113 Letter from Justin T. Quinn, Esq. to the Honorable Michael A. Hammer, U.S.M.J. re 111 Order,. (QUINN, JUSTIN) |
Set Deadlines as to #112 Joint MOTION to Seal Document #105 Letter,, #110 Letter,, . Motion set for 1/3/2017 before Judge Esther Salas. Unless otherwise directed by the Court, this motion will be decided on the papers and no appearances are required. Note that this is an automatically generated message from the Clerk`s Office and does not supersede any previous or subsequent orders from the Court. (cm ) |
Filing 112 Joint MOTION to Seal Document #105 Letter,, #110 Letter,, by DUODECAD IT SERVICES LUXEMBOURG S.a r.1.. (Attachments: #1 Statement of Justin T. Quinn, Esq., #2 Proposed Findings of Fact, Conclusions of Law & Order, #3 Redacted November 3, 2016 Letter of Defendants, #4 Redacted Ex. A to November 3, 2016 Letter, #5 Redacted November 21, 2016 Letter of Plaintiff, #6 Certificate of Service)(QUINN, JUSTIN) |
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Filing 110 Letter from Ronald Abramson re #105 Letter,,. (ABRAMSON, RONALD)NOTICE TO COUNSEL: Counsel is advised that pursuant to Local Civil Rule 5.3(c)(2), a single, consolidated motion to seal shall be filed within 14 days following the completed briefing of the materials sought to be sealed, or within 14 days following the date on which the last of such materials was filed under temporary seal if the motion is resolved, unless otherwise directed by the Court. |
Filing 109 NOTICE of Appearance by MORD MICHAEL LEWIS on behalf of WAG ACQUISITION, L.L.C. (LEWIS, MORD) |
Filing 108 Letter from Justin T. Quinn, Esq. to the Honorable Michael A. Hammer, U.S.M.J. re #107 Letter. (QUINN, JUSTIN) |
Filing 107 Letter from Ari J. Jaffess re #105 Letter,, #106 Letter. (JAFFESS, ARI) |
Filing 106 Letter from Justin T. Quinn, Esq. to the Honorable Michael A. Hammer, U.S.M.J. re #105 Letter,,. (QUINN, JUSTIN) |
Filing 105 Letter from Justin T. Quinn, Esq. to the Honorable Michael A. Hammer, U.S.M.J. (Attachments: #1 Exhibit A - Letter of Request)(QUINN, JUSTIN)NOTICE TO COUNSEL: Counsel is advised that pursuant to Local Civil Rule 5.3(c)(2), a single, consolidated motion to seal shall be filed within 14 days following the completed briefing of the materials sought to be sealed, or within 14 days following the date on which the last of such materials was filed under temporary seal if the motion is resolved, unless otherwise directed by the Court. |
Filing 104 Letter from Justin T. Quinn, Esq. to the Honorable Esther Salas, U.S.D.J. and the Honorable Michael A. Hammer, U.S.M.J.. (Attachments: #1 Exhibit A)(QUINN, JUSTIN) |
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Filing 101 Joint Discovery Plan by WAG ACQUISITION, L.L.C..(ABRAMSON, RONALD) |
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Text Only Minute Entry for an oral opinion placed on the record re #73 Motion to Bifurcate by Magistrate Judge Michael A. Hammer on 9/29/2016. See order #99 . (jqb, ) |
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Filing 95 Letter from Ronald Abramson. (Attachments: #1 Exhibit A, #2 Exhibit B)(ABRAMSON, RONALD) |
Filing 98 Transcript of Motion Hearing Proceedings held on July 15, 2016, before Judge Michael A. Hammer. Court Reporter/Transcriber King Transcription Services (973-237-6080). NOTICE REGARDING REDACTION OF TRANSCRIPTS: The parties have seven (7) calendar days to file with the Court a Notice of Intent to Request Redaction of this Transcript. Redaction Request due 8/17/2016. Redacted Transcript Deadline set for 8/29/2016. Release of Transcript Restriction set for 10/25/2016. (mfr) |
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Minute Entry for proceedings held before Magistrate Judge Michael A. Hammer: Motion Hearing held on 7/15/2016 re #73 MOTION to Bifurcate Liability and Damages Discovery filed by DUODECAD IT SERVICES LUXEMBOURG S.a r.1., GATTYAN GROUP S.a.r.1, DUODECAD IT SERVICES USA, LLC. Decision Reserved. (jqb, ) |
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Filing 92 Letter from Ronald Abramson. (Attachments: #1 Exhibit A, #2 Exhibit B)(ABRAMSON, RONALD) |
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Filing 89 Letter from Justin T. Quinn, Esq. to the Honorable Michael A. Hammer, U.S.M.J. enclosing application for the pro hac vice admission of Marc Cavan, Esq. (Attachments: #1 Declaration of Justin T. Quinn, Esq., #2 Declaration of Marc Cavan, Esq., #3 Text of Proposed Order)(QUINN, JUSTIN) |
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Filing 87 Letter from Justin T. Quinn, Esq. to the Honorable Michael A. Hammer, U.S.M.J. (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C)(QUINN, JUSTIN) |
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Minute Entry for proceedings held before Magistrate Judge Michael A. Hammer: Telephone Status Conference held on 3/9/2016. (ECR) (jqb, ) |
Filing 85 BRIEF in Opposition filed by WAG ACQUISITION, L.L.C. re #73 MOTION to Bifurcate Liability and Damages Discovery (Sur-Reply) (ABRAMSON, RONALD) |
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Filing 82 Letter from Justin T. Quinn, Esq. to the Honorable Michael A. Hammer, U.S.M.J. re #81 Letter. (QUINN, JUSTIN) |
Filing 81 Letter from Ronald Abramson re #73 MOTION to Bifurcate Liability and Damages Discovery. (ABRAMSON, RONALD) |
Filing 80 REPLY BRIEF to Opposition to Motion filed by DUODECAD IT SERVICES LUXEMBOURG S.a r.1., DUODECAD IT SERVICES USA, LLC, GATTYAN GROUP S.a.r.1 re #73 MOTION to Bifurcate Liability and Damages Discovery (Attachments: #1 Certificate of Service)(QUINN, JUSTIN) |
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Filing 78 Letter from Justin T. Quinn, Esq. to the Honorable Michael A. Hammer, U.S.M.J. re 74 Order,,. (QUINN, JUSTIN) |
Filing 77 BRIEF in Opposition filed by WAG ACQUISITION, L.L.C. re #73 MOTION to Bifurcate Liability and Damages Discovery (ABRAMSON, RONALD) |
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Filing 75 Letter from Justin T. Quinn, Esq. to the Honorable Michael A. Hammer, U.S.M.J. (QUINN, JUSTIN) |
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Set Deadlines as to #73 MOTION to Bifurcate Liability and Damages Discovery. Motion set for 3/7/2016 before Judge Esther Salas. Unless otherwise directed by the Court, this motion will be decided on the papers and no appearances are required. Note that this is an automatically generated message from the Clerk`s Office and does not supersede any previous or subsequent orders from the Court. (cm ) |
Filing 73 MOTION to Bifurcate Liability and Damages Discovery by DUODECAD IT SERVICES LUXEMBOURG S.a r.1., DUODECAD IT SERVICES USA, LLC, GATTYAN GROUP S.a.r.1. (Attachments: #1 Brief in Support of Joint Motion to Bifurcate Liability and Damages Discovery, #2 Text of Proposed Order)(QUINN, JUSTIN) |
Filing 72 Transcript of Proceedings of Scheduling Conference held on January 22, 2016, before Judge MICHAEL A. HAMMER. Court Reporter/Transcriber KING TRANSCRIPTION SERVICES/ Sara L. Kern (973-237-6080). NOTICE REGARDING REDACTION OF TRANSCRIPTS: The parties have seven (7) calendar days to file with the Court a Notice of Intent to Request Redaction of this Transcript. Redaction Request due 2/29/2016. Redacted Transcript Deadline set for 3/10/2016. Release of Transcript Restriction set for 5/9/2016. (ek) |
Filing 71 Letter from Justin T. Quinn, Esq. to the Honorable Michael A. Hammer, U.S.M.J.. (Attachments: #1 Proposed Discovery Confidentiality Order)(QUINN, JUSTIN) |
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Filing 69 Letter from Ronald Abramson. (Attachments: #1 Proposed Joint Discovery Plan)(ABRAMSON, RONALD) |
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Minute Entry for proceedings held before Magistrate Judge Michael A. Hammer: Scheduling Conference held on 1/22/2016. (ECR) (jqb, ) |
Filing 66 Letter from Justin T. Quinn, Esq. to the Honorable Michael A. Hammer, U.S.M.J. enclosing Joint Discovery Plan, E-Discovery Order, and Rule 502(d) Order. (Attachments: #1 Joint Discovery Plan, #2 Proposed Order re: Electronic Discovery, #3 Proposed Rule 502(d) Order)(QUINN, JUSTIN) |
Reset Hearing: The Initial Scheduling Conference set for 12/7/2015 has been adjourned to 1/22/2016 at 11:00 a.m. in Newark - Courtroom 2C before Magistrate Judge Michael A. Hammer. (jqb, ) |
Filing 65 Letter from Ronald Abramson for Plaintiff WAG re #64 Letter. (ABRAMSON, RONALD) |
Filing 64 Letter from Justin T. Quinn, Esq. to the Honorable Michael A. Hammer, U.S.M.J. re #63 Order, Set Hearings, Set/Clear Flags. (QUINN, JUSTIN) |
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Filing 62 Letter from Ronald Abramson for Plaintiff WAG. (Attachments: #1 Exhibit EX 1-PTAB Decision on 011 Patent, #2 Exhibit EX 2-PTAB Decision on 141 Patent, #3 Exhibit EX 3-PTAB Decision on 611 Patent, #4 Exhibit EX 4-PTAB Decision on 839 Patent)(ABRAMSON, RONALD) |
Magistrate Judge Michael A. Hammer added. Magistrate Judge Joseph A. Dickson no longer assigned to case. (jr) |
Filing 61 ANSWER to Amended Complaint by DUODECAD IT SERVICES LUXEMBOURG S.a r.1., Docler USA, LLC.(MILLER, KEITH) |
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Answer Due Deadline Update - The document #60 Order submitted by Docler USA, LLC, DUODECAD IT SERVICES USA, LLC, DUODECAD IT SERVICES LUXEMBOURG S.a r.1. has been GRANTED. The answer due date has been set for 10/26/15. (cm ) |
Filing 59 Letter from Keith J. Miller, Esq. to the Honorable Esther Salas, U.S.D.J. and the Honorable Joseph A. Dickson, U.S.M.J. (Attachments: #1 Text of Proposed Order)(MILLER, KEITH) |
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Filing 57 Minute Entry for proceedings held before Judge Esther Salas: Motion Hearing held on 7/29/2015 re #46 MOTION to Dismiss (Defendants' Joint Motion to Dismiss) filed by DUODECAD IT SERVICES LUXEMBOURG S.a r.1., GATTYAN GROUP S.a.r.1, DUODECAD IT SERVICES USA, LLC. Decision Reserved. (Court Reporter Lynne Johnson.) (ps, ) |
Filing 56 NOTICE of Appearance by ARI JASON JAFFESS on behalf of WAG ACQUISITION, L.L.C. (JAFFESS, ARI) |
Set Hearings: Please be advised that Oral Argument for the pending Motion to Dismiss has been scheduled for 7/29/2015 at 10:00 AM in Newark - Courtroom 5A before Judge Esther Salas. (ps, ) |
Filing 55 Letter from Ronald Abramson for Plaintiff re #54 Letter,. (Attachments: #1 Exhibit A - IV v. Capital One)(ABRAMSON, RONALD) |
Filing 54 Letter from Keith J. Miller, Esq. to the Honorable Esther Salas, U.S.D.J. enclosing Supplemental Authority re #46 MOTION to Dismiss (Defendants' Joint Motion to Dismiss). (Attachments: #1 Exhibit A, #2 Exhibit B)(MILLER, KEITH) |
Filing 53 Letter from Ronald Abramson, Esq. to the Honorable Esther Salas, U.S.D.J. re #52 Letter. (ABRAMSON, RONALD) |
Filing 52 Letter from Keith J. Miller, Esq. to the Honorable Esther Salas, U.S.D.J. (MILLER, KEITH) |
Filing 51 NOTICE of Appearance by JUSTIN TAYLOR QUINN on behalf of DUODECAD IT SERVICES LUXEMBOURG S.a r.1., DUODECAD IT SERVICES USA, LLC, Docler USA, LLC (QUINN, JUSTIN) |
Filing 50 NOTICE by DUODECAD IT SERVICES LUXEMBOURG S.a r.1., DUODECAD IT SERVICES USA, LLC, Docler USA, LLC OF CHANGE OF FIRM NAME (MILLER, KEITH) |
Filing 49 Notice to be terminated and withdraw from Notices of Electronic filing as to case. Attorney LEDA DUNN WETTRE terminated. (MILLER, KEITH) |
Filing 48 REPLY BRIEF to Opposition to Motion filed by DUODECAD IT SERVICES LUXEMBOURG S.a r.1., DUODECAD IT SERVICES USA, LLC, GATTYAN GROUP S.a.r.1 re #46 MOTION to Dismiss (Defendants' Joint Motion to Dismiss) (Defendants' Joint Reply Brief In Support of Motion to Dismiss Plaintiff's Complaints) (MILLER, KEITH) |
Filing 47 BRIEF in Opposition filed by WAG ACQUISITION, L.L.C. re #46 MOTION to Dismiss (Defendants' Joint Motion to Dismiss) (Attachments: #1 Declaration of Ronald Abramson, Esq., #2 Exhibit 1 to Abramson Declaration, #3 Exhibit 2 to Abramson Declaration, #4 Exhibit 3 to Abramson Declaration, #5 Exhibit 4 to Abramson Declaration, #6 Exhibit 5 to Abramson Declaration, #7 Exhibit 6 to Abramson Declaration, #8 Exhibit 7 to Abramson Declaration, #9 Exhibit 8 to Abramson Declaration, #10 Exhibit 9 to Abramson Declaration, #11 Exhibit 10 to Abramson Declaration, #12 Exhibit 11 to Abramson Declaration, #13 Exhibit 12 to Abramson Declaration, #14 Certificate of Service)(ABRAMSON, RONALD) |
Filing 46 MOTION to Dismiss (Defendants' Joint Motion to Dismiss) by DUODECAD IT SERVICES LUXEMBOURG S.a r.1., DUODECAD IT SERVICES USA, LLC, GATTYAN GROUP S.a.r.1. (Attachments: #1 Brief In Support of Defendants' Joint Motion to Dismiss, #2 Declaration of Leonid Radvinsky, #3 Declaration of Noam Fogel, #4 Declaration of Michael A. Innes, Esq., #5 Exhibit 1 to Innes Declaration, #6 Exhibit 2 to Innes Declaration, #7 Exhibit 3 to Innes Declaration, #8 Exhibit 4 to Innes Declaration, #9 Exhibit 5 to Innes Declaration, #10 Exhibit 6 to Innes Declaration, #11 Exhibit 7 to Innes Declaration, #12 Exhibit 8 to Innes Declaration, #13 Text of Proposed Order)(MILLER, KEITH) |
Set Deadlines as to #46 MOTION to Dismiss (Defendants' Joint Motion to Dismiss). Motion set for 2/17/2015 before Judge Esther Salas. The motion will be decided on the papers. No appearances required unless notified by the court. (jd, ) |
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Filing 44 Letter from All Counsel to Judge Salas Regarding Briefing of Motions To Dismiss. (WETTRE, LEDA) |
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Filing 42 Minute Entry for proceedings held before Judge Esther Salas: Telephone Conference held on 9/29/2014. (ps, ) |
Reset Hearings: Please be advised that the Scheduling Conference scheduled for 10/1/2014 has been RESCHEDULED to 11/5/2014 at 12:00 PM before Judge Esther Salas. A Telephone Conference has been scheduled for 9/29/2014 at 11:00 AM before Judge Esther Salas. Plaintiffs counsel shall coordinate the call. (ps, ) |
Filing 41 Letter from Ronald Abramson, Esq. to Hon. Esther Salas re Proposed Order re 39 Order. (Attachments: #1 Text of Proposed Order Plaintiff's Proposed Order, #2 Text of Proposed Order Defendants' Proposed Order)(ABRAMSON, RONALD) |
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Filing 38 REPLY BRIEF to Opposition to Motion filed by DUODECAD IT SERVICES LUXEMBOURG S.a r.1., Docler USA, LLC re #20 MOTION to Dismiss (WETTRE, LEDA) |
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Filing 35 Letter from Ronald Abramson, Esq. re #32 Letter. (ABRAMSON, RONALD) |
Filing 34 BRIEF in Opposition filed by WAG ACQUISITION, L.L.C. re #20 MOTION to Dismiss filed by All Defendants (Attachments: #1 Brief, #2 Text of Proposed Order)(ABRAMSON, RONALD) |
Filing 33 NOTICE by WAG ACQUISITION, L.L.C. of Voluntary Dismissal Without Prejudice of Defendant Gattyan Group S.a r.l. (ABRAMSON, RONALD) |
Filing 32 Letter from Leda Wettre to Judge Salas requesting adjournment of initial conference. (WETTRE, LEDA) |
Filing 31 SUMMONS Returned Executed by WAG ACQUISITION, L.L.C.. GATTYAN GROUP S.a.r.1 served on 6/13/2014, answer due 7/21/2014. (ABRAMSON, RONALD) |
Filing 30 SUMMONS Returned Executed by WAG ACQUISITION, L.L.C.. DUODECAD IT SERVICES LUXEMBOURG S.a r.1. served on 6/13/2014, answer due 7/21/2014. (ABRAMSON, RONALD) |
Filing 29 SUMMONS Returned Executed by WAG ACQUISITION, L.L.C.. DUODECAD IT SERVICES USA, LLC served on 5/13/2014, answer due 6/10/2014. (ABRAMSON, RONALD) |
Filing 28 LETTER that Defendant Duodecad IT Services USA LLC's #9 Motion to Dismiss is hereby moot as "there can only be one operative complaint.", etc. Signed by Judge Esther Salas on 8/25/14. (gmd, ) |
Filing 27 AMENDED DOCUMENT by DUODECAD IT SERVICES USA, LLC. (Amended Rule 7.1 Disclosure Statement of Docler USA, LLC f/k/a Duodecad IT Services USA LLC). (WETTRE, LEDA) |
Filing 26 NOTICE by DUODECAD IT SERVICES USA, LLC of Change of Name (Attachments: #1 Amendment to Articles of Organization of a Limited Liability Company re: Docler USA, LLC f/k/a Duodecad IT Services USA LLC)(WETTRE, LEDA) |
Filing 25 Rule 7.1(d)(5) Letter for an automatic extension of the return date of a dispositive motion filed by WAG ACQUISITION, L.L.C. re #20 MOTION to Dismiss filed by All Defendants (ABRAMSON, RONALD) |
Notice of Judicial Preferences. #Click here for the Judge's Individual Procedure Requirements. (ps, ) |
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Filing 23 Corporate Disclosure Statement by DUODECAD IT SERVICES LUXEMBOURG S.a r.1. identifying Duodecad IT Services Hungary, KFT, a Hungarian company as Corporate Parent.. (WETTRE, LEDA) |
Filing 22 Corporate Disclosure Statement by GATTYAN GROUP S.a.r.1 identifying None as Corporate Parent.. (WETTRE, LEDA) |
Filing 21 Corporate Disclosure Statement by DUODECAD IT SERVICES USA, LLC identifying Docler Holdings S.a r.l. as Corporate Parent.. (WETTRE, LEDA) |
Pro Hac Vice fee: as to Kevin M. O'Brien, Esq. $ 150, receipt number tre46279 (kas, ) |
Pro Hac Vice fee: as to Richard V. Wells, Esq. $ 150, receipt number tre046283 (kas ) |
Set Deadlines as to #20 MOTION to Dismiss . Motion set for 9/2/2014 before Judge Esther Salas. The motion will be decided on the papers. No appearances required unless notified by the court. (gmd, ) |
Filing 20 MOTION to Dismiss by DUODECAD IT SERVICES LUXEMBOURG S.a r.1., DUODECAD IT SERVICES USA, LLC, GATTYAN GROUP S.a.r.1. Responses due by 8/19/2014 (Attachments: #1 Brief In Support of Defendants Gattyan Group S.a r.l., Duodecad IT Services Luxembourg S.a r.l., and Duodecad IT Services USA LLC's Motion for Dismissal Under Rule 12(B)(2) and 12(B)(6), #2 Declaration of Laszlo Czero, #3 Text of Proposed Order)(WETTRE, LEDA) |
Clerk`s Text Order - The document #19 Application for Clerk's Order to Ext Answer/Proposed Order submitted by DUODECAD IT SERVICES USA, LLC, GATTYAN GROUP S.a.r.1, DUODECAD IT SERVICES LUXEMBOURG S.a r.1. has been GRANTED. The answer due date has been set for 7/29/14. (gmd, ) |
Filing 19 Application and Proposed Order for Clerk's Order to extend time to answer as to Defendants Gattyan Group S.a r.l., Duodecad IT Services Luxembourg S.a r.l. and Duodecad IT Services USA LLC.. (WETTRE, LEDA) |
Filing 18 BRIEF in Opposition filed by WAG ACQUISITION, L.L.C. re #9 MOTION to Dismiss filed by DUODECAD IT SERVICES USA, LLC (ABRAMSON, RONALD) |
Filing 17 AMENDED COMPLAINT (First Amended Complaint) against All Defendants All Defendants., filed by WAG ACQUISITION, L.L.C..(ABRAMSON, RONALD) |
Filing 16 Application and Proposed Order for Clerk's Order to extend time to answer as to Gattyan Group S.a r.l. and Duodecad IT Services Luxembourg S.a r.l... (WETTRE, LEDA) |
Clerk`s Text Order - The document #16 Application for Clerk's Order to Ext Answer/Proposed Order submitted by GATTYAN GROUP S.a.r.1, DUODECAD IT SERVICES LUXEMBOURG S.a r.1. has been GRANTED. The answer due date has been set for 7/21/14. (gmd, ) |
Filing 15 Rule 7.1(d)(5) Letter for an automatic extension of the return date of a dispositive motion re #9 MOTION to Dismiss by DUODECAD IT SERVICES USA, LLC. (ABRAMSON, RONALD) |
Filing 14 Notice of Request by Pro Hac Vice Richard V. Wells to receive Notices of Electronic Filings. ( Pro Hac Vice fee $ 150 receipt number 0312-5762473.) (WETTRE, LEDA) |
Filing 13 Notice of Request by Pro Hac Vice Kevin M. O'Brien to receive Notices of Electronic Filings. ( Pro Hac Vice fee $ 150 receipt number 0312-5762432.) (WETTRE, LEDA) |
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Filing 11 Letter from Leda Dunn Wettre, Esq. to Judge Dickson. (Attachments: #1 Declaration of Leda Dunn Wettre, Esq. in Support of Admission Pro Hac Vice of Kevin M. O'Brien, Esq. and Richard V. Wells, Esq., #2 Declaration of Kevin M. O'Brien, Esq. in Support of Admission Pro Hac Vice, #3 Declaration of Richard V. Wells, Esq. in Support of Admission Pro Hac Vice, #4 Text of Proposed Order)(WETTRE, LEDA) |
Filing 10 Corporate Disclosure Statement by DUODECAD IT SERVICES USA, LLC identifying Gattyn Group S. r.l. as Corporate Parent.. (WETTRE, LEDA) |
Filing 9 MOTION to Dismiss by DUODECAD IT SERVICES USA, LLC. Responses due by 6/23/2014 (Attachments: #1 Brief In Support of defendant Duodecad IT Services USA LLC Motion for Partial Dismissal, #2 Text of Proposed Order)(WETTRE, LEDA) |
Set Deadlines as to #9 MOTION to Dismiss . Motion set for 7/7/2014 before Judge Esther Salas. The motion will be decided on the papers. No appearances required unless notified by the court. (gmd, ) |
Filing 8 NOTICE of Appearance by MICHAEL JAMES GESUALDO on behalf of DUODECAD IT SERVICES USA, LLC (GESUALDO, MICHAEL) |
Filing 7 NOTICE of Appearance by KEITH J. MILLER on behalf of DUODECAD IT SERVICES USA, LLC (MILLER, KEITH) |
Filing 6 NOTICE of Appearance by LEDA DUNN WETTRE on behalf of DUODECAD IT SERVICES USA, LLC (WETTRE, LEDA) |
Filing 5 Application and Proposed Order for Clerk's Order to extend time to answer as to Defendant Duodecad IT Services USA LLC.. (WETTRE, LEDA) |
Clerk`s Text Order - The document #5 Application for Clerk's Order to Ext Answer/Proposed Order submitted by DUODECAD IT SERVICES USA, LLC has been GRANTED. The answer due date has been set for 6/10/14. (gmd, ) |
Filing 4 SUMMONS ISSUED as to DUODECAD IT SERVICES LUXEMBOURG S.a r.1., DUODECAD IT SERVICES USA, LLC, GATTYAN GROUP S.a.r.1 Attached is the official court Summons, please fill out Defendant and Plaintiffs attorney information and serve. Issued By *Dianne C. Richards* (dr, ) |
Filing 3 Corporate Disclosure Statement by WAG ACQUISITION, L.L.C. identifying NONE as Corporate Parent.. (dr, ) |
Filing 2 AO121 Copyright Form filed. (dr, ) |
Filing 1 COMPLAINT against DOES 1-20, DUODECAD IT SERVICES LUXEMBOURG S.a r.1., DUODECAD IT SERVICES USA, LLC, GATTYAN GROUP S.a.r.1 ( Filing and Admin fee $ 400 receipt number 5669357) with JURY DEMAND, filed by WAG ACQUISITION, L.L.C.. (Attachments: #1 Certification, #2 Civil Cover Sheet, #3 Filing of Patent Action)(dr, ) |
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