Case 1:04-cv-00343-JJF
Document 691-3
Filed 06/13/2007
Page 1 of 2
EXHIBIT B
Case 1:04-cv-00343-JJF Manuel C. Nelson
From: Sent: To:
Document 691-3
Filed 06/13/2007
Page 2 of 2
Christenson, Cass [[email protected]] Friday, June 01, 2007 2:20 PM Manuel C. Nelson; Scott Miller; Dick Kirk; Cottrell, Frederick; [email protected]; Gaza, Anne; [email protected]; Lees, Cynthia; [email protected]; Jaclyn M. Mason; Jeff Bove; Jill J. Herr; James Heisman; [email protected]; [email protected]; [email protected]; Nancy Phillips; [email protected]; [email protected]; [email protected]; [email protected] Ambrozy, Rel; Brzezynski, Lora; Connor, Cormac
Cc:
Subject: Issues for June 5 Meet and Confer LPL would like to discuss the following discovery issues on Tuesday, June 5. I propose that we have a teleconference at 2:30 p.m. Washington time. Please confirm your availability. Cass 1. 2. 3. 4. 5. 6. The issues set forth in LPL's May 8, 2007 letter to Special Master Poppiti More recent sales data (see, e.g., 12/28 Tr. at 34) Drop shipment sales by ViewSonic if not already covered (see, e.g., 12/28 Tr. at 34-35) Inducement discovery issues regarding ViewSonic (see, e.g., 12/28 Tr. at 44-55) Communications between ViewSonic and Tatung (see, e.g., 12/28 Tr. at 60) Sales data related to Tatung's accused products not limited to U.S.-specific sales / shipments
We can also discuss ViewSonic's May 8 submission if necessary. CONFIDENTIALITY NOTICE: This e-mail and any attachments contain information from the law firm of McKenna Long & Aldridge LLP, and are intended solely for the use of the named recipient or recipients. This e-mail may contain privileged attorney/client communications or work product. Any dissemination of this e-mail by anyone other than an intended recipient is strictly prohibited. If you are not a named recipient, you are prohibited from any further viewing of the e-mail or any attachments or from making any use of the e-mail or attachments. If you believe you have received this e-mail in error, notify the sender immediately and permanently delete the e-mail, any attachments, and all copies thereof from any drives or storage media and destroy any printouts of the e-mail or attachments.
6/13/2007