JUL-27-2@@5 1 1 e Hamill; -(-U, TSQFEQBE P 6, M
1 5, 2005), a related matter, have tiled a petition to coordinate or consolidate pre·trial proceedings
2 per 28 U.S.C. Section 1407, and the above-styled action has been identified as a related action to
3 that petition. As a result, the outcome of the pending petition will impact signiiicantly the
4 schedule of this case.
S This is the tirst stipulation between the parties. Because this litigation has just
6 begun, granting such a stipulation will not have any negative impact on the schedule of this ease.
7 IT IS HEREBY STIPULATED.
8 DATED: July gg 2005
9 Bingham McCutchen LLP
10
1 1 _ -.. __
By:
*2 Jo K. 1=UYUNo
Attorneys for Defendant
13 lntel Corporation
14
15
16 Saveri & Saveri, Inc.
17
It
18 By: .
19 R. ALEXANDER SAVERI
Attorneys for Plaintiffs
20 Major League Sotiball, Inc.
21
22
11