Free Notice to Take Deposition - District Court of Delaware - Delaware


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Case 1:04-cv-01338-JJF

Document 706

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IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF DELAWARE HONEYWELL INTERNATIONAL INC. and HONEYWELL INTELLECTUAL PROPERTIES INC., Plaintiffs, v. APPLE COMPUTER, INC., et al., Defendants. ) ) ) ) ) ) ) ) ) ) )

C.A. No. 04-1338-*** (Consolidated)

PLAINTIFFS' RE-NOTICE OF RULE 30(b)(6) DEPOSITION OF DEFENDANT WINTEK ELECTRO-OPTICS CORPORATION PLEASE TAKE NOTICE that, in accordance with Rules 26, 30(b)(6), and 32 of the Federal Rules of Civil Procedure, Plaintiffs will take the deposition of Defendant Wintek Electro-Optics Corporation, through one or more of its officers, directors, managing agents, or other persons who consent to testify on its behalf and who are most knowledgeable with respect to the deposition subjects set forth in Schedule A at the time and place as set forth below. Said deposition will be taken on February 27, 2007 at 9:00 a.m. at the Courtyard Ann Arbor, 3205 Boardwalk, Ann Arbor, Michigan 41808 or at such other time and place as may be agreed to by the parties. The deposition will continue until completed as provided in the Federal Rules of Civil Procedure. The deposition will be recorded stenographically and by videotape. You are invited to attend and cross-examine.

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MORRIS, NICHOLS, ARSHT & TUNNELL LLP /s/ Leslie A. Polizoti Thomas C. Grimm (#1098) Leslie A. Polizoti (#4299) Maria Granovsky (#4709) 1201 N. Market Street P.O. Box 1347 Wilmington, DE 19899-1347 (302) 658-9200 [email protected] [email protected] [email protected] Attorneys for Honeywell International Inc. and Honeywell Intellectual Properties Inc.

OF COUNSEL: Martin R. Lueck Matthew L. Woods Stacie E. Oberts Michael D. Okerlund Denise S. Rahne Peter N. Surdo Marta M. Chou ROBINS, KAPLAN, MILLER & CIRESI L.L.P. 2800 LaSalle Plaza 800 LaSalle Avenue Minneapolis, MN 55402-2015 (612) 349-8500 Anthony A. Froio Marc N. Henschke Alan E. McKenna Jeremy C. McDiarmid ROBINS, KAPLAN, MILLER & CIRESI L.L.P. 111 Huntington Avenue, Suite 1300 Boston, MA 02199 (617) 267-2300 February 2, 2007

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SCHEDULE A I. DEFINITIONS 1. The term "communication" means any transmission of thoughts, opinions or

information, whether written or oral and including without limitation, letters, memoranda, meetings, discussions, conversations, negotiations, agreements, understandings, inquiries, notes, telegrams, and/or e-mail. 2. The terms "Plaintiffs" or "Honeywell" shall mean Honeywell International Inc.

and Honeywell Intellectual Properties Inc., including officers, agents, employees, and representatives of each entity. 3. The terms "WEOC," "you," or "your" shall refer to Wintek Electro-Optics

Corporation and includes, without limitation, your divisions, subsidiaries, directors, agents, representatives, and employees and any predecessor with an interest. 4. The term "Complaint" shall mean the Complaint and any amended Complaints

filed by Plaintiffs in this action. 5. The term "Named Defendants" shall mean the defendants named in Honeywell's

Complaints and any Amended Complaints in the Honeywell actions (C.A. Nos. 04-CV-1337, C.A. No. 04-1338 and C.A. No. 1536). 6. The term "your corporate organization" shall mean Wintek Corporation, Wintek

Electro-Optics Corporation, United Win (China) Technology Ltd., and/or Dongguan Masstop Liquid Crystal Display Co., Ltd.

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7.

The phrase "referring or relating to" as used herein, includes, but is not limited to,

the following meanings: bearing upon, concerning, constituting, discussing, describing, evidencing, identifying, in connection with, pertaining to, respecting, regarding, responding to, or in any way logically or factually relevant to the matter described in the request. 8. The term "Person" shall mean any individual, partnership, incorporated or

unincorporated association, and any other legal or commercial entity. 9. The term "Date" shall mean the exact day, month and year, if ascertainable, or, if

not, the best available approximation, including relationship to other events. 10. The term "Document" shall mean all writings of any kind, including the originals

and all non-identical copies, whether different from the originals by reason of any notation made on such copies or otherwise as contemplated by Fed. R. Civ. P. 26 in any form, whether on paper, in electronic form, on microfilm, or otherwise. Documents generated by another party or non-party and in your possession, custody or control are within the scope of this request. 11. The term "Identify" when used in reference to a person means to provide the

following information: a. b. c. 12. Full name; Present or last known address; and Present or last known telephone number.

The terms "`371 patent" and "patent-in-suit" shall mean United States Patent No.

5,280,371 entitled "Directional Diffuser For A Liquid Crystal Display." 13. 14. The term "LCD Modules" shall mean liquid crystal display modules. The terms "Accused Module" or "Accused Modules" shall mean those LCD

modules identified by Honeywell in its Response No. 2 to Wintek Corporation's First Set of

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Interrogatories (Nos. 1-12) (and any and all generations or variations of those modules and/or substantially similar modules) that were made, used, sold or offered for sale in, or imported into, the United States by you at any time from October 1998 to the present. 15. The term "lighting components" shall include any and all components of your

Accused Modules used to illuminate the LCD panel, and include without limitation backlight units, lamps, LEDs, reflectors, diffusers, polarizers, light pipes/wedges, prismatic/lenticular films and combinations thereof. II. TIME PERIOD 16. Unless otherwise specifically noted, these deposition topics cover the time period

October 6, 1998 to present. WEOC's General Entity Information 1. Your corporate organization and structure, including the identity of departments,

affiliates, groups and individuals with decision-making authority regarding the design, manufacture and distribution of LCD modules. WEOC's LCD Modules 2. All communications between you and any third party regarding Honeywell's

claims of infringement of the `371 Patent including, but not limited to any formal and/or informal discussions between you and any third party relating to any request to be defended against Honeywell's claims of infringement. 3. The circumstances under which you began manufacturing and/or offering for sale

LCD modules with two lenticular and/or prismatic films, including but not limited to a description of the technical and marketing reasons for such development.

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4. present:

For each of the Accused Modules, from the date of their first manufacture to the

a.

the manner in which you identify each such Accused Module, including but not limited to any alphanumeric, model number or other label used to identify each such module;

b.

any and all generations or variations of such Accused Module, including the criteria used to identify generational modules;

c.

the operation and configuration of all lighting components of each accused module, particularly including but not limited to: the presence of lenticular and/or prismatic films and/or structures; the orientation of such structures with regard to the LCD panel' and the reasons for such orientation;

d.

the extent to which your customers or intended customers participated in the design of each such Accused Modules, including the identification of any design ideas or changes provided by such customers or intended customers;

e.

to the extent you only assemble, but do not manufacture any lighting component used in such module, an identification of where you obtain such component parts including without limitation who manufactures and supplies lenticular and/or prismatic films used in such Accused Module; and

f.

the identification by Bates ranges and the authentication of the technical documents and specifications related to your Accused Modules produced in response to Honeywell's Requests for Production of Documents.

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5.

Any and all efforts undertaken by or at your direction to investigate whether any

LCD Module manufactured, assembled and/or sold by you may infringe the `371 patent, including but not limited to obtaining opinions of counsel and all facts that support your assertion that any Accused Modules manufactured by you do not infringe the `371 patent. 6. The date upon and circumstances under which you first learned of the existence of

the `371 patent. 7. Your knowledge of, and experiences with any of the named inventors of the `371

patent and their body of work, including but not limited to your consideration of the subject matter of the presentation entitled "Directional Diffuser Lens Array for Backlit LCDs" given at or about the Japan Display SID Conference in October 1992. 8. Consideration, development and implementation of any alternative design(s) for

your Accused Modules relating to different angles of rotation for any lenticular and/or prismatic structures contained thereon; and/or relating to the use of two such structures as opposed to any other number. WEOC's Accounting and Financial Reporting Methods 9. 10. WEOC's accounting and financial reporting standards, systems, and methods. The method and/or procedure for gathering the data used to calculate and/or

compute gross revenue, net revenue, cost of revenue, gross margin, selling, general, administrative and other expenses, income before income taxes and net income on a monthly, quarterly, and annual basis or any other timeframe WEOC regularly keeps records for its sales.

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WEOC's Distribution, Sale and Marketing of Accused Products 11. For each Accused Module, from the date of its first sale to the present: a. the projected and actual sales revenue generated by month, quarter and year; b. the projected and actual sales expenses or cost of sales incurred by month, quarter and year; and c. the projected and actual profits and profit margins generated and how profit is calculated. 12. The process by which WEOC: a. distributes and sells its LCD Modules, including without limitation a

description of the channel(s) of distribution utilized by WEOC; b. Modules; and c. the process by which WEOC markets or promotes the sale of its LCD the market in the United States and worldwide for WEOC's LCD

Modules in the United States and worldwide, including any and all advertising or promotional materials and/or campaigns 13. The target market and/or customer base for WEOC LCD Modules, and the

reason(s) why WEOC targets this market and/or customer base, including without limitation any and all advertising, marketing and/or promotional efforts WEOC has undertaken or considered undertaking relating to the Accused Modules. 14. WEOC's policy and marketing program for maintaining their patent monopolies

by not licensing others to use their inventions or by granting licenses under special conditions designed to preserve that monopoly.

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15.

WEOC's policies and practices for the negotiation of royalty or license

agreements for the use of patented technology, including without limitation, licensing of third party technology for WEOC's use, the licensing of WEOC's technology to third parties, and the cross licensing of technologies. 16. WEOC's license agreements, including the terms and conditions of such license

agreements, related to consumer electronics entered into by WEOC. 17. Royalty or license fees received or paid by WEOC from October 6, 1998 to the

present for any non-consumer license. 18. Any analysis of WEOC's domestic and foreign market share from October 6,

1998 to the present, including but not limited to, the size of the markets and expected growth in the markets, prices in the markets, supply and demand in the markets, competition and expected future competition in the markets, and factors that might influence the markets. 19. WEOC's pricing and pricing policies and strategy for the sale of each of the

Accused Modules. 20. The manner in which prices for each of the Accused Modules are determined

between WEOC and Wintek Corporation, including but not limited to any and all transfer pricing policies. 21. The effect of selling the Accused Modules in promoting the sale of other products

of WEOC, including but not limited to the existing value of the Accused Modules as a generator of sales of other items, and the extent of such derivative or convoyed sales. 22. Information and documents relied on or reviewed by the corporate

representative(s) for purposes of becoming knowledgeable about the topics set forth in this Schedule A.

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23.

WEOC's document retention policies from October 6, 1998 to the present.

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CERTIFICATE OF SERVICE I certify that on February 2, 2007, I caused to be served true and correct copies of the foregoing on the following in the manner indicated: BY HAND & E-MAIL: John W. Shaw Monte T. Squire YOUNG CONAWAY STARGATT & TAYLOR LLP 1000 West Street, 17th Floor P.O. Box 391 Wilmington, DE 19899-0391 Attorneys for Sony Corporation William J. Wade RICHARDS LAYTON & FINGER One Rodney Square P.O. Box 551 Wilmington, DE 19899-0551 Attorneys for Arima Display Corporation

Karen L. Pascale YOUNG CONAWAY STARGATT & TAYLOR, LLP The Brandywine Building, 17th floor 1000 West Street Wilmington, DE 19801 Attorneys for Optrex America, Inc.

Philip A. Rovner POTTER ANDERSON & CORROON LLP Hercules Plaza, 6th Floor 1313 N. Market Street P.O. Box 951 Wilmington, DE 19899 Attorneys for Fuji Photo Film Co., Ltd. and Fuji Photo Film U.S.A., Inc.

David J. Margules John M. Seaman BOUCHARD MARGULES & FRIEDLANDER, P.A. 222 Delaware Ave., Suite 1400 Wilmington DE 19801 Attorneys for Citizen Watch Co., Ltd. and Citizen Displays Co., Ltd.

Robert J. Katzenstein Robert Karl Beste, III SMITH, KATZENSTEIN & FURLOW LLP 800 Delaware Avenue, 7th Floor P.O. Box 410 Wilmington, DE 19899 Attorneys for Seiko Epson Corporation

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Daniel V. Folt Gary W. Lipkin DUANE MORRIS LLP 1100 North Market Street, 12th Floor Wilmington, DE 19801-1246 Attorneys for InnoLux Display Corporation

Richard L. Horwitz David E. Moore POTTER ANDERSON & CORROON LLP Hercules Plaza, 6th Floor 1313 N. Market Street P.O. Box 951 Wilmington, DE 19899 Attorneys for Hitachi Displays, Ltd., Toppoly Optoelectronics Corp., Koninklijke Philips Electronics N.V., Philips Electronics North America Corp., Wintek Corp., Wintek Electro-Optics Corporation, Samsung SDI America, Inc. and Samsung SDI Co., Ltd.

BY E-MAIL: Robert C. Scheinfeld Neil P. Sirota BAKER BOTTS L.L.P. 30 Rockefeller Plaza New York, NY 10112 [email protected] [email protected] Attorneys for Hitachi Displays, Ltd. Andrew M. Ollis OBLON, SPIVAK, McCLELLAND, MAIER & NEUSTADT, P.C. 1940 Duke Street Alexandria, VA 22314 [email protected] Attorneys for Optrex America, Inc.

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Elizabeth A. Niemeyer FINNEGAN, HENDERSON, FARABOW, GARRETT & DUNNER, L.L.P. 901 New York Avenue, N.W. Washington, DC 20001 [email protected] York M. Faulkner FINNEGAN, HENDERSON, FARABOW, GARRETT & DUNNER, L.L.P. 11955 Freedom Drive Reston, VA 20190 [email protected] Attorneys for Toppoly Optoelectronics, Wintek Corp. and Wintek Electro-Optics Corporation

Stephen S. Korniczky Elizabeth L. Brann PAUL, HASTINGS, JANOFSKY & WALKER LLP 3579 Valley Centre Drive San Diego, CA 92130 stephen [email protected] [email protected] Hamilton Loeb PAUL, HASTINGS, JANOFSKY & WALKER LLP 875 15th Street, N.W. Washington, DC 20005 [email protected] Attorneys for Samsung SDI Co., Ltd. and Samsung SDI America, Inc.

Alan M. Grimaldi HOWREY LLP 1299 Pennsylvania Avenue, N.W. Washington, DC 20004-2401 [email protected]

John Flock KENYON & KENYON One Broadway New York, NY 10004-1050 [email protected]

Attorneys for Koninklijke Philips Electronics Attorneys for Sony Corporation N.V., and Philips Electronics North America Corporation

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Stuart Lubitz HOGAN & HARTSON LLP 1999 Avenue of the Stars, Suite 1400 Los Angeles, CA 90067 [email protected]

Lawrence Rosenthal Matthew W. Siegal STROOCK & STROOCK & LAVAN LLP 180 Maiden Lane New York, NY 10038-4982 [email protected] Attorneys for Seiko Epson Corporation, Citizen [email protected] Watch Co., Ltd. and Citizen Displays Co., Ltd. Attorneys for Fuji Photo Film Co., Ltd. and Fuji Photo Film U.S.A., Inc.

Dan C. Hu TROP PRUNER & HU, P.C. 1616 South Voss Road Suite 750 Houston, TX 77057-2631 [email protected] Attorneys for Arima Display Corporation BY FEDERAL EXPRESS Mr. Seong Yoon Jeong Assistant Manager Technology Planning Group BOE HYDIS TECHNOLOGY CO., LTD. San 136-1, Ami-ri, Bubal-eub Ichon-si, Gyeonggi-do 467-701 Republic of Korea

Donald R. McPhail DUANE MORRIS LLP 1667 K Street, N.W., Suite 700 Washington, DC 20006 [email protected] Attorneys for InnoLux Display Corporation

/s/ Leslie A. Polizoti Leslie A. Polizoti (#4299) [email protected]
529973

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