Free Stipulation - District Court of Delaware - Delaware


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Date: November 10, 2005
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Category: District Court of Delaware
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Case 1 :04-cv-00138-JJF Document 128 Filed 11/10/2005 Page 1 of 3
IN THE UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF DELAWARE
I
GTECH CORPORATION, )
- l
Plaintiff, )
) Civil Action No. 04-138-IlF
v. )
) .
SCIENTIFIC GAMES INTERIJATIONAL, INC., )
SCIENTIFIC GAMES HOLDINGS )
CORPORATION, SCIENTIFIC GAMES )
FINANCE CORPORATION, and SCIENTIFIC )
GAMES CORPORATION, )
)
Defendants. )
-
STIPULATION AND ORDER CONCERNING PRE—TRIAL MATTERS
IT IS HEREBY STIPULATED AND AGREED, subject to the approval of the
Court, as follows:
l. Plaintiff shall serve on Defendants on December 9, 2005, its proposed draft ef a
Pretrial Order (body), admitted facts, jury instructions (preliminary and final), von- dire and
verdict form.
2. Plaintiff and Defendants shali serve on December 9, 2005, their respective
proposed drafts of issues of fact remaining to be litigated, statement of intended proofs, witness
lists (case in chief), exhibit lists (for documents to be used in case in chief), issues of law and
miscellaneous issues. The exhibit lists shall include an identification of doctnnents from
production/depositions by bates and/or exhibit number and shall contain for each exhibit a
general description including any deposition exhibit numbers.

Case 1:04-cv-00138-JJF Document 128 Filed 11/10/2005 Page 2 of 3
3. Defendants shall serve on Plaintiff on December 23, 2005, their comments on the
_ proposed draft fretrial Order (body), admitted facts, jury instructions, voir dire, and verdict
form, as well as provide any alternate forms/instructions.
4. Plaintiff and Defendants shall serve on December 23, 2005, their respective
revisions to issues of fact and statements of intended proofs, as well as witness lists (rebuttal),
and exhibit lists (rebuttal). The exhibit lists shall include an identification of documents from
production/depositions by bates andfor exhibit number and shall contain for each exhibit a
i general description including any deposition exhibit numbers.
6. The joint Pre-Trial order on January 9, 2006, and the parties will file, either
jointly or separately on that date, proposed voir dire and verdict forms.
- 7. The parties agree that they may supplement their exhibit lists in response to the
lists submitted on December 9, 2005, but are not required to differentiate between exhibits for
their case in chief versus cross examination/rebuttal materials. The parties agree to list in good
faith all exhibits they reasonably expect to use for any purpose at trial on their final exhibit lists.

Case 1:04-cv-00138-JJF Document 128 Filed 11/10/2005 Page 3 of 3
E 8. The parties agree that motions in Zimirze, deposition designations, identification of
the order of witnesses to be called at trial, and exchange of demonstrative exhibits shall not occur
I prior to the tiling of the Pre—Triai Order, and will reach a separate agreement on the timing of
those exchanges.
YOUNG CONAWAY STARGATT & TAYLOR, LLP MORRlS,N1CHOLS,ARSHT & TUNNELL
{gg? .» zé /s/ Rodger D. Smith II
.1 sy W. Ingersoll (#1088) Jack B. Blumenfeld (#l0l·¤l—)
John W. Shaw (#3362) Rodger D. Smith II (#3778)
Karen E. Keller (#4489) 1201 N. Market Street
‘ 1000 West Street, 17th Floor P.O. Box 1347
P.O. Box 391 Wilmington, DE 19899
Wilmington, DE 19899 (302) 658-9200
(302.) 571-6600 [email protected]
l i Attorneys for Plaintiff Attorneys for Defendants
SO ORDERED this Mm day of November 2005
United States District Court Judge

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