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NA SUPERIOR COURT OF CALIFORNIA COUNTY OF SAN FRANCISCO Document Scanning Lead Sheet Feb-05-2009 1:42 pm Case Number: CGC-04-431105 Filing Date: Feb-05-2009 1:40 Juke Box: 001 Image: 02394228 STIPULATION RAMBUS INC., VS. MICRON TECHNOLOGY, INC.,A DELAWARE CORPORATION et al 001002394228 Instructions: Please place this sheet on top of the document to be scanned. SHEPPARD MULLIN RICHTER & HAMPTON LLP A Limited Liability Partnership Including Professional Corporations F I L E D GARY L. HALLING, Cal. Bar No. 66087 San Franthoo’ / JAMES L. MCGINNIS, Cal. Bar No, 95788 Gounty Superior Court MONA SOLOUKI, Cal. Bar No. 215145 FEB 0-5 200 TYLER M. CUNNINGHAM, Cal. Bar No. 243694 5 2009 Four Embarcadero Center, 17th Floor GO 3 San Francisco, California 94111-4106 ar Ea BILL Sle Telephone; 415-434-9100 . De Facsimile: 415-434-3947 pay Cle DAVID R. GARCIA, Cal. Bar No. 151349 1901 Avenue of the Stars, Suite 1600 Los Angeles, California 90067 Telephone: 310-228-3700 Facsimile: 310-228-3701 Attorneys for Defendants SAMSUNG ELECTRONICS CO., LTD.; SAMSUNG SEMICONDUCTOR, INC.; and SAMSUNG ELECTRONICS AMERICA, INC. [Additional parties and counsel on signature pages] SUPERIOR COURT OF THE STATE OF CALIFORNIA FOR THE COUNTY OF SAN FRANCISCO RAMBUS INC., Case No. 04-431105 Plaintiff, [Complaint Filed: May 5, 2004] v. STIPULATION AND PReBOSED) ORDER FOR EXTENSION OF TIME FOR MICRON TECHNOLOGY, INC., et al., DEFENDANTS TO FILE MOTIONS TO SEAL CERTAIN RECORDS Dept.: 304 Judge: Hon, Richard A. Kramer Defendants. _Trial Date: March 16, 2009 eee AND RELATED CROSS-ACTIONS. a eeeesesSss—“‘“COésC*rd <1. x WO02-WEST:1ESC1\401333235.1 STIPULATION AND FRRS®SSED] ORDE FOR CGC-04-431105 EXTENSION OF TIME TO FILE MOTIONS TO SEAL 7 > Defendants and/or Cross-Complainants Samsung Semiconductor, Inc., Samsung Electronics America, Inc., Samsung Electronics Co., Ltd., Micron Technology, Inc., Micron Semiconductor Products, Inc., Hynix Semiconductor Inc., and Hynix Semiconductor America, Inc., (collectively, “Defendants”) and Plaintiff Rambus Inc. (“Plaintiff”), by and through their undersigned counsel, hereby agree and stipulate as follows: WHEREAS, on January 27, 2009, Defendants were served with multiple Opposition Memoranda, Separate Statements, numerous Exhibits, and related papers in opposition to Defendants’ motions for summary judgment and summary adjudication, which included numerous records conditionally lodged under seal; WHEREAS, pursuant to California Rule of Court 2.551(b)(3)(b) and California Code of Civil Procedure Section 1013(c), Defendants deadline to move to seal would normally run until Tuesday, February 10, 2009; WHEREAS, Defendants have been working diligently, but need time to review a voluminous amount of very sensitive information (much of which has been designated “Highly Confidential”, “Attomeys’ Eyes Only”, or with similar confidentiality designations) and confer with their respective clients in order to prepare potential motions to seal with supporting declarations; WHEREAS, there have not been any extensions previously granted by the order of the Court or stipulation of counsel related to Plaintiffs’ opposition papers here at issue; WHEREAS, the parties have agreed that the deadline to file motions to seal under California Rule of Court 2.551(b)(3)(B) should be extended by agreement to run until Friday, February 20, 2009; WHEREFORE, the parties hereby STIPULATE that the Defendants time to file motions to seal relating to records submitted with Plaintiff's oppositions to Defendants’ motions for summary Judgment and summary adjudication, filed on or about January 27, 2009, shall be extended until Friday, February 20, 2009. -2- W02-WEST:1ESC1401333235,1 STIPULATION AND. ORDER FOR CGC-04-431105 EXTENSION OF TIME TO FILE MOTIONS TO SEAL