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[PROPOSED] ORDER RE GOOGLE’S MOTION TO MAINTAIN THE CURRENT SCHEDULE OR ABIDE BY
IT AS CLOSELY AS POSSIBLE
CASE NO. C 03-5340-JF (RS)
386976.01
KEKER & VAN NEST, LLP
MICHAEL H. PAGE - #154913
MARK A. LEMLEY - #155830
KLAUS H. HAMM - #224905
AJAY S. KRISHNAN - #222476
710 Sansome Street
San Francisco, CA 94111-1704
Telephone: (415) 391-5400
Facsimile: (415) 397-7188
Attorneys for Plaintiff and Counter Defendant
GOOGLE INC.
UNITED STATES DISTRICT COURT
NORTHERN DISTRICT OF CALIFORNIA
GOOGLE INC., a Delaware corporation,
Plaintiff,
v.
AMERICAN BLIND & WALLPAPER
FACTORY, INC., a Delaware corporation
d/b/a decoratetoday.com, Inc., and DOES 1-
100, inclusive,
Defendants.
AMERICAN BLIND & WALLPAPER
FACTORY, INC., a Delaware corporation
d/b/a decoratetoday.com, Inc.,
Counter-Plaintiff,
v.
GOOGLE INC.,
Counter-Defendant.
Case No. C 03-5340-JF (RS)
[PROPOSED] ORDER RE GOOGLE’S
MOTION TO MAINTAIN THE
CURRENT SCHEDULE OR ABIDE BY IT
AS CLOSELY AS POSSIBLE
Case 5:03-cv-05340-JF Document 247 Filed 12/29/2006 Page 1 of 2
Google Inc. v. American Blind & Wallpaper Factory, Inc.
Doc. 247
Dockets.Justia.com
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1
[PROPOSED] ORDER RE GOOGLE’S MOTION TO MAINTAIN THE CURRENT SCHEDULE OR ABIDE BY
IT AS CLOSELY AS POSSIBLE
CASE NO. C 03-5340-JF (RS)
386976.01
The Court has received plaintiff and counter-defendant Google Inc.’s (“Google”) Motion
To Maintain the Current Schedule or Abide by It as Closely as Possible, which was filed
pursuant to Civil Local Rule 6–3. Pursuant to this Court’s prior orders, the hearing date for
filing dispositive motions was set for January 30, 2007, and the filing deadline for dispositive
motions was therefore December 26, 2006. Because the Court is unavailable on January 30,
2007 to hear Google’s Motion For Summary Judgment and Google’s Motion for Termina