13.15 Form: Request for Documents in Copyright Infringement Suit UNITED STATES DISTRICT COURT FOR THE DISTRICT OF
|
|
- Adam Clement Lane
- 7 years ago
- Views:
Transcription
1 13.15 Form: Request for Documents in Copyright Infringement Suit ABC Inc., Plaintiff v. XYZ Corp., Defendant Case No UNITED STATES DISTRICT COURT FOR THE DISTRICT OF ABC's FIRST REQUEST FOR THE PRODUCTION OF DOCUMENTS AND THINGS Pursuant to Rules 26 and 34 of the Federal Rules of Civil Procedure and Rule of the Local Rules of the United States District Court for the District of, Plaintiff ABC Inc. hereby requests that the above-captioned defendant (the Defendant ) produce for inspection and copying, at the offices of Smith & Smith LLP, 100 Main Street, Los Angeles, California, the originals (or copies if the originals are not available) of all of the following documents and tangible things in Defendant s possession, custody or control, or in the possession, custody or control of any of Defendant s agents, consultants, attorneys or representatives, within thirty (30) days of service hereof. DEFINITIONS The definitions and rules of construction for discovery requests set forth in Local Rule are incorporated herein by reference as though fully set forth herein. In addition, the following particular terms shall have the meanings set forth below. 1. ABC refers to plaintiff ABC Inc. and its officers, directors, agents, employees, attorneys and authorized representatives. -1-
2 2. Defendant refers to XYZ Corp. including officers, directors, subsidiaries, affiliates, alter egos, agents, employees, attorneys, and authorized representatives of said Defendant. 3. Documents shall have the meaning ascribed by Fed. R. Civ. P. 34 and Local Rule and shall include all writings and records of every type and description, including originals, copies, drafts, revisions, or supplements, and each non-identical copy or draft thereof, in Defendant s possession, custody or control, including, but not limited to, the following: letters, correspondence, telegrams, teletypes, cables, wire transmissions, memoranda or reports, contracts, agreements, notes, drafts, proposals, log book, transcripts, press releases including press releases on the Internet, records, reports, analyses, summaries, surveys, appraisals, evaluations, publications, writings related to interviews, meetings or conversations, audio, video or electronic recordings (or transcripts thereof), computer software and other material recorded in any manner on a computer, computer tape, computer disk, or CD-ROM (both in source code and executable form), electronic mail, copies and print-outs of such mail and any other type of electronic transmission or communication, computer hard drive or floppy discs, any other computer storage medium, desk calendars or diaries, microfiche, facsimile transmission, newsletters, photographs, advertisements in all media forms, promotional or marketing materials, sale sheets, press kits, catalogs, brochures, packaging, instructions or procedural manuals, minutes, notices, or other tangible sources of information, and data responsive to these Document Requests, whether such is printed, typed, photocopied, computer or electronically stored, or otherwise available as tangible material from any source, and of and kind, form, or nature, whether or not sent or received, including all underlying supporting or preparatory materials, versions or drafts and both originals and non-identical copies thereof (whether different from the original because of notes made on such copy or otherwise). 4. Concerning shall mean relating to, referring to, evidencing or constituting. 5. Communication shall mean the transmission of information in the form of facts, ideas, inquiries or otherwise. -2-
3 6. ABCSoftware refers to the combination of computer software, or computer hardware or related equipment developed by ABC Inc. and marketed under the name ABCSoftware, including each and every release, version, modification and upgrade or revision thereof. 7. CopyCat refers to the computer software and related materials, including each and every release, version, modification and upgrade or revision thereof developed or offered for sale by Defendant. INSTRUCTIONS 8. Each of the following requests should be answered in accordance with the Instructions and Definitions herein, Rules 26 and 34 of the Federal Rules of Civil Procedure and Local Rule. The text of each request should be fully set forth, followed by Defendant responses, which should be clearly separated and labeled in accordance with each subsection of the request and each of the Instructions and Definitions relating thereto. 9. Each Document shall be produced in the form, file or container (and in the same order therein) in which it existed prior to production and is kept in the usual course of business. File folders, boxes, bindings or other containers in which each Document is found shall be produced intact, including each title, label, index or other description. 10. If Defendant withholds under a claim of privilege any Document covered by these requests, please furnish a list specifying each Document for which the privilege is claimed, together with the following information: (a) the name and job title of each author or initiator; (b) the name and job title of each recipient or person to whom one or more copies were furnished; (c) the date of the Document or, if no date appears in the Document, an estimate of the date indicated as an estimate; (d) the subject matter of the Document; (e) the privilege claimed; (f) the number of pages; (g) the attachments or appendices; (h) all persons to whom distributed, shown or explained (i) the basis on which the privilege is claimed; and (j) the request(s) to which the Document is responsive. -3-
4 11. In the event that any Document called for hereby has been destroyed, discarded or otherwise disposed of, Defendant is required to indicate in writing, with respect to the Document; (a) the author and the position or title of the author; (b) the addressee and the position or title of the addressee; (c) the indicated or blind copies; (d) the date on which the document was created, modified, amended, revised or otherwise formalized and issued; (e) a general description of the subject matter of the document; (f) the number of pages; (g) the attachments or appendices; (h) all persons to whom distributed, shown or explained; (i) the date of destruction or disposal; (j) the reason for destruction or disposal; and (k) the person destroying or disposing of the Document. 12. For each Document responsive to this Inspection Demand which constitutes computer input or output (including, but not limited to, the input or output of any hard drives, punch cards, discs, CD-ROM, tapes or other data compilations), please furnish together with programming instructions and any other materials necessary for its comprehension and/or use. If readable printouts or forms derived from any such Document are produced, said printouts or forms shall be accompanied by instructions or other written materials necessary for its comprehension and/or use. 13. Unless otherwise stated, the relevant time period for these Inspection Demands is from January 1, 1995, through and including the present. 14. These requests are continuing in nature and Defendant is required to seasonably supplement Defendant's production herein upon receipt or discovery of additional documents pertinent to any of the document requests as set forth in Rule 26(e) of the Federal Rules of Civil Procedure. DOCUMENT REQUESTS 15. All Documents concerning the development, manufacture, advertisement or sale of Defendant s products, including CopyCat, that concern ABCSoftware or ABC. -4-
5 16. All Documents concerning ABC or ABCSoftware, including, without limitation, copies of ABCSoftware or parts thereof. 17. To the extent not produced in response to Requests Nos. 1 and 2 above, all Documents concerning Defendant's products, including CopyCat, that concern ABCSoftware or ABC. 18. All Documents concerning electronic mail sent by or to Defendant, on the Internet or otherwise, concerning Defendant s products, including CopyCat, that concern ABCSoftware or ABC. 19. To the extent not produced in response to Request No. 4 above, all Documents concerning electronic mail sent by or to Defendant concerning computer hardware locks, dongles, keys, or software or hardware devices that limit a user s ability to run or copy software. 20. All Documents concerning the verification processes conducted by Defendant as alleged at paragraph of Defendant Statement of Undisputed Facts. 21. All Documents concerning the alleged non-infringing uses of Defendant s products as alleged in paragraph of Defendant Statement of Undisputed Facts. 22. Documents concerning Defendant s customers lists. 23. All Documents concerning Defendant s customers, including individuals and entities, vendors, and distributors, who have purchased Defendant s products, including CopyCat, that concern ABCSoftware or ABC. 24. To the extent not produced in response to Request No. 1 above, all documents concerning Defendant's decision whether or when to include disclaimers in advertisements of their products. 25. To the extent not produced in response to Requests Nos. 1 and 10 above, all Documents concerning Defendant s advertisement of its products in any and all media forms. -5-
6 26. All Documents concerning creation of and amendments, modifications, or revisions to Defendant s Web site, or any other Web site with which Defendant is affiliated or that provide a link to or from Defendant s Web site or any other Web site that contains or contained promotions for Defendant s Web site or Defendant s products. 27. All Documents concerning Defendant s packaging of its CopyCat products, including representative samples of each version of the packaging itself. 28. To the extent not produced in response to Request No. 13 above, all Documents concerning modifications to Defendant s packaging of its CopyCat products. 29. All Documents concerning any studies, surveys, investigations or other inquiries regarding actual or potential uses, including alleged non-infringing uses, of Defendant s products, including CopyCat. 30. All Documents concerning any payments received by Defendant for sale of its products, including CopyCat, that concern ABCSoftware or ABC. 31. All Documents concerning any other lawsuits or threats to bring a lawsuit involving Defendant s products, including CopyCat, and any notices to Defendant of infringement. 32. All Documents concerning Defendant's document retention or destruction policies. 33. All Documents concerning requests concerning cooperation requested by or received by Defendant from any non-party, or cooperation offered or given to Defendant by any non-party, in connection with this lawsuit, including any offer or undertaking to contribute information, evidence or financial support and any actual contribution of information, evidence or financial support. 34. To the extent not produced in response to Request No. 19 above, any offers or undertaking to assist Defendant in this lawsuit. -6-
7 Dated: Smith & Smith LLP Attorneys for Plaintiff ABC, Inc. 100 Main Street Los Angeles, California -7-
IN THE DISTRICT COURT OF OKLAHOMA COUNTY STATE OF OKLAHOMA ) ) ) ) ) ) ) PLAINTIFF'S INTERROGATORIES AND REQUESTS FOR PRODUCTION TO DEFENDANT
IN THE DISTRICT COURT OF OKLAHOMA COUNTY STATE OF OKLAHOMA, Plaintiff, vs., Defendant. Case No.: CJ-2011- PLAINTIFF'S INTERROGATORIES AND REQUESTS FOR PRODUCTION TO DEFENDANT TO: COMES NOW the Plaintiff,
More informationIN THE CIRCUIT COURT OF GREENE COUNTY, MISSOURI
IN THE CIRCUIT COURT OF GREENE COUNTY, MISSOURI JANE DOE, ) ) Plaintiff, ) ) vs. ) ) Case Number 1131-********* MISSOURI COMPANY, ) ) and ) ) INDIANA COMPANY ) ) Defendants. ) PLAINTIFF S FIRST REQUEST
More informationUNITED STATES DISTRICT COURT CENTRAL DISTRICT OF CALIFORNIA ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) )
Edward C. Rickstang (SBN RICHMOND & FIELDS LLP S. Rawlston Avenue Suite 0 Altford, CA 01 Tel: ( 0- Fax: ( 0- Attorneys for Plaintiff HEALTHBILL SYSTEMS, LLC UNITED STATES DISTRICT COURT CENTRAL DISTRICT
More informationDEFENDANT S REQUEST FOR PRODUCTION TO PLAINTIFF
CAUSE NO. 9842 COUNTY OF BASTROP ET AL IN THE 21 ST PLAINTIFF JUDICIAL V. DISTRICT COURT WILLIAM MICHAEL JOHNSON DEFENDANT BASTROP COUNTY, TEXAS DEFENDANT S REQUEST FOR PRODUCTION TO PLAINTIFF TO: Plaintiff
More informationCase 2:10-md-02179-CJB-SS Document 10142-2 10231 Filed 05/23/13 05/17/13 Page 12 of of 78 UNITED STATES DISTRICT COURT EASTERN DISTRICT OF LOUISIANA
Case 2:10-md-02179-CJB-SS Document 10142-2 10231 Filed 05/23/13 05/17/13 Page 12 of of 78 UNITED STATES DISTRICT COURT EASTERN DISTRICT OF LOUISIANA IN RE: OIL SPILL BY THE OIL RIG DEEPWATER HORIZON IN
More informationIN THE CIRCUIT COURT OF COOK COUNTY, ILLINOIS COUNTY DEPARTMENT, LAW DIVISION ) ) ) ) ) ) ) ) ) ) ) ) ) ) No.
IN THE CIRCUIT COURT OF COOK COUNTY, ILLINOIS COUNTY DEPARTMENT, LAW DIVISION INJURED PERSON, Plaintiff, v. RESPONSIBLE PARTY Defendant. No. PLAINTIFFS FIRST SET OF INTERROGATORIES TO DEFENDANT RESPONSIBLE
More informationControl Number : 44746. Item Number : 38. Addendum StartPage : 0
Control Number : 44746 Item Number : 38 Addendum StartPage : 0 2015JU[. _? PM 3: 14 APPLICATION OF WIND ENERGY BEFORE TW,,STATE OFFICE TRANSMISSION TEXAS, LLC FOR OPrLING CLERK AUTHORITY TO CHANGE RATES
More informationIN THE CIRCUIT COURT OF GREENE COUNTY, MISSOURI
IN THE CIRCUIT COURT OF GREENE COUNTY, MISSOURI JANE DOE, ) ) Plaintiff, ) ) vs. ) ) Case Number 1131-********* MISSOURI COMPANY, ) ) and ) ) INDIANA COMPANY ) ) Defendants. ) PLAINTIFF S FIRST INTERROGATORIES
More informationIN THE CIRCUIT COURT OF COOK COUNTY, ILLINOIS COUNTY DEPARTMENT, LAW DIVISION PLAINTIFF S FIRST SET OF INTERROGATORIES TO DEFENDANTS
IN THE CIRCUIT COURT OF COOK COUNTY, ILLINOIS COUNTY DEPARTMENT, LAW DIVISION INJURED PERSON, ) ) Plaintiff, ) ) v. ) Case No.: ) RESPONSIBLE PARTIES ) ) Defendants. ) PLAINTIFF S FIRST SET OF INTERROGATORIES
More informationIN THE CIRCUIT COURT OF GREENE COUNTY, MISSOURI
IN THE CIRCUIT COURT OF GREENE COUNTY, MISSOURI JANE DOE INDIVIDUALLY ) and on BEHALF OF ) THE CLASS OF PERSONS ) DESIGNATED BY 537.080, ) ) Plaintiff, ) ) Case Number *************** vs. ) ) DEFENDANT
More informationMASTER DISCOVERY TO INSURER AND ADJUSTER DEFENDANTS
Cause No. 2009-23570 IN RE IN THE DISTRICT COURT OF HURRICANE IKE RESIDENTIAL HARRIS COUNTY, TEXAS PROPERTY CLAIM LITIGATION 11 TH JUDICIAL DISTRICT MASTER DISCOVERY TO INSURER AND ADJUSTER DEFENDANTS
More informationIN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO
IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO RADIO SHED, INC., a Colorado Corporation, v. Plaintiff, AMERICAN ELECTRONICS, Inc., a Nevada Corporation, Case No. 08-K-339 Defendant. DEFENDANT
More information8:13-cv-00327-GRA Date Filed 02/07/13 Entry Number 12 Page 1 of 11 UNITED STATES DISTRICT COURT FOR THE DISTRICT OF SOUTH CAROLINA ANDERSON DIVISION
8:13-cv-00327-GRA Date Filed 02/07/13 Entry Number 12 Page 1 of 11 UNITED STATES DISTRICT COURT FOR THE DISTRICT OF SOUTH CAROLINA ANDERSON DIVISION U.S. COMMODITY FUTURES TRADING COMMISSION, Plaintiff,
More informationUNITED STATES BANKRUPTCY COURT EASTERN DISTRICT OF MICHIGAN SOUTHERN DIVISION
UNITED STATES BANKRUPTCY COURT EASTERN DISTRICT OF MICHIGAN SOUTHERN DIVISION In re: City of Detroit, Michigan, Debtor. Chapter 9 Case No. 13-53846 Hon. Steven W. Rhodes RETIREE ASSOCIATION PARTIES FIRST
More informationControl Number : 37744. Item Number: 39. Addendum StartPage : 0
Control Number : 37744 Item Number: 39 Addendum StartPage : 0 3 9 SOAH Docket No. 473-10-1962 PUCT Docket No. 37744 APPLICATION OF ENTERGY.^ _ TEXAS, INC. FOR AUTHORITY BEFORE THE TO CHANGE RATES AND TO
More informationNO. C-1-PB-14-001245
NO. C-1-PB-14-001245 In Re: TEL Offshore Trust In the Probate Court No. 1 of Travis County, Texas ATTORNEY AD LITEM S FIRST SET OF INTERROGATORIES TO PLAINTIFFS TO: Plaintiffs, The Bank of New York Mellon
More informationNOTICE OF INTENT TO SERVE DOCUMENT SUBPOENA UPON GUARDIAN ANGEL TRUST, LLC
IN THE CIRCUIT COURT OF THE 17 TH JUDICIAL CIRCUIT IN AND FOR BROWARD COUNTY, FLORIDA CASE NO. 12-24051 (07) COMPLEX LITIGATION UNIT MATTHEW CARONE, as Trustee for the Carone Marital Trust #2 UTD 1/26/00,
More informationindividually and as an officer of Safety Cell, pursuant to Section 13(b) of the Federal Trade
WILLIAM E. KOVACIC General Counsel BARBARA ANTHONY Regional Director Northeast Region RONALD L. WALDMAN (RW 2003) DARA J. DIOMANDE (DD 4304) DONALD G. D AMATO (DG 3008) Federal Trade Commission 1 Bowling
More information18 NCAC 06A.1706 RECORD-KEEPING REQUIREMENTS FOR INVESTMENT ADVISERS (a) Except as otherwise provided in Paragraph (j) of this Rule, every investment
18 NCAC 06A.1706 RECORD-KEEPING REQUIREMENTS FOR INVESTMENT ADVISERS (a) Except as otherwise provided in Paragraph (j) of this Rule, every investment adviser registered or required to be registered under
More informationSTATE OF FLORIDA DIVISION OF ADMINISTRATIVE HEARINGS RESPONDENT S FIRST REQUEST FOR PRODUCTION OF DOCUMENTS
STATE OF FLORIDA DIVISION OF ADMINISTRATIVE HEARINGS FLORIDA STATE COLLEGE AT JACKSONVILLE, Petitioner, Case No.: 12-1630TTS v. CELINE MCARTHUR, Respondent. / RESPONDENT S FIRST REQUEST FOR PRODUCTION
More informationIN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF NORTH CAROLINA WESTERN DIVISION. Case No. 5:07-CV-231-F
IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF NORTH CAROLINA WESTERN DIVISION Case No. 5:07-CV-231-F PAMELA L. HENSLEY, ) ) Plaintiff, ) ) v. ) ) PROPOSED JOINT JOHNSTON COUNTY BOARD
More informationIN THE CIRCUIT COURT OF THE 99TH JUDICIAL CIRCUIT, IN AND FOR LEON COUNTY, FLORIDA. Plaintiff, vs. CASE NO: 12345
IN THE CIRCUIT COURT OF THE 99TH JUDICIAL CIRCUIT, IN AND FOR LEON COUNTY, FLORIDA PRETENDER BANK, N.A., AS TRUSTEE FOR STPFT 2005-XX, Plaintiff, vs. CASE NO: 12345 JOHN DOE, ET AL, Defendant. / DEFENDANT
More informationFriday 31st October, 2008.
Friday 31st October, 2008. It is ordered that the Rules heretofore adopted and promulgated by this Court and now in effect be and they hereby are amended to become effective January 1, 2009. Amend Rules
More informationCase4:12-cv-03288-KAW Document2-1 Filed06/25/12 Page1 of 7 UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA, OAKLAND DIVISION
Case4:12-cv-03288-KAW Document2-1 Filed06/25/12 Page1 of 7 UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA, OAKLAND DIVISION STANDING ORDER FOR MAGISTRATE JUDGE KANDIS A. WESTMORE (Revised
More informationPlaintiff(s) above named is/are hereby requested within 30 days after service of the
EXHIBIT G DEFENDANTS STANDARD REQUESTS FOR PRODUCTION AND IDENTIFICATION OF DOCUMENTS AND THINGS TO PLAINTIFF(S) [SET ONE] PROPOUNDING PARTY: Defendants RESPONDING PARTY: SET NO.: One Plaintiff(s) above
More information2.82.010 Government records findings--recognition of public policy.
Chapter 2.82 RECORDS MANAGEMENT 2.82.010 Government records findings--recognition of public policy. The council of Salt Lake County finds the following: A. It is in the best interests of Salt Lake County
More informationIu lull. `Bankruptcy Rules"), the Official Committee of Unsecured Creditors (the
Case 12-13262-BLS Doc 2059 Filed 03/19/15 Page 1 of 13 In re: Chapter 11 (Jointly Administered) REVSTONE INDUSTRIES, LLC, et al.' Case No. 12-13262 (BLS) Debtors. Related Docket Nos.: 2010 and 2058 1 :,
More informationSOFTWARE LICENSE AGREEMENT
SOFTWARE LICENSE AGREEMENT This Software License Agreement (this Agreement ) is entered into as of the installation date of the software by and between Nanotron Technologies GmbH, a German corporation
More informationChapter 2.82 - RECORDS MANAGEMENT Sections:
Chapter 82 - RECORDS MANAGEMENT Sections: 8010 - Government records findings Recognition of public policy. The council of Salt Lake County finds the following: A. It is in the best interests of Salt Lake
More informationINDEPENDENT VIRTUAL ASSISTANT AGREEMENT (Company)
INDEPENDENT VIRTUAL ASSISTANT AGREEMENT (Company) This Independent Virtual Assistant Agreement ( Agreement ) is entered into as of,, by and between, with a principal place of business at ( Company ), and,
More informationUNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF PENNSYLVANIA
UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF PENNSYLVANIA IN RE: ASBESTOS PRODUCTS ) MDL DOCKET NO.: 875 LIABILITY LITIGATION (No. VI) ) ) DEFENDANTS' MASTER REQUESTS FOR PRODUCTION OF DOCUMENTS
More informationDEFENSE RESEARCH INSTITUTE RECOMMENDED CASE HANDLING GUIDELINES FOR INSURERS
DEFENSE RESEARCH INSTITUTE RECOMMENDED CASE HANDLING GUIDELINES FOR INSURERS I. PREFACE Philosophy [Insurer] expects to work with the Firm and the insured to achieve the best result for the insured in
More informationPBGC-19: Office of General Counsel Case Management System
PBGC-19: Office of General Counsel Case Management System Excerpted from Federal Register: Sept. 9, 2014 (Volume 79, Number 174) General Routine Uses System Name: Office of General Counsel Case Management
More informationIN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO
IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO Civil Action No. In Re Application of ELMER EDUARDO CAMPOS-ÁLVAREZ for an Order Granting Leave to Issue Subpoenas for the Taking of Discovery
More informationIN THE CIRCUIT COURT OF PULASKI COUNTY, ARKANSAS DIVISION. STATE OF ARKANSAS, ex rel. DUSTIN McDANIEL, ATTORNEY GENERAL
IN THE CIRCUIT COURT OF PULASKI COUNTY, ARKANSAS DIVISION ELECTRONICALLY FILED 2014-Apr-01 09:20:04 60CV-14-1271 C06D02 : 15 Pages STATE OF ARKANSAS, ex rel. DUSTIN McDANIEL, ATTORNEY GENERAL PLAINTIFF
More informationPreservation and Production of Electronic Records
Policy No: 3008 Title of Policy: Preservation and Production of Electronic Records Applies to (check all that apply): Faculty Staff Students Division/Department College _X Topic/Issue: This policy enforces
More informationIN THE UNITED STATES DISTRICT COURT FOR THE WESTERN DISTRICT OF TEXAS AUSTIN DIVISION
IN THE UNITED STATES DISTRICT COURT FOR THE WESTERN DISTRICT OF TEXAS AUSTIN DIVISION SHELTON CHARLES, Plaintiff, v. Civil Action No. A-06CA158LY TEXAS LOTTERY COMMISSION AND GARY GRIEF IN HIS INDIVIDUAL
More informationV 11.01.14. Seven areas are covered by this Notice:
Mediatti Broadband Communications, your local cable operator ( MBC ) is providing this Subscriber Privacy Notice ( Notice ) to inform you of its practices regarding personally identifiable information
More informationCivil Antitrust Litigation in the United States: Implications for Ireland and the European Community
Civil Antitrust Litigation in the United States: Implications for Ireland and the European Community Joseph T. McLaughlin Heller Ehrman, LLP Prepared with the assistance of: August T. Horvath Daniel Sheridan
More informationCanon USA, Inc. WEBVIEW LIVESCOPE SOFTWARE DEVELOPMENT KIT DEVELOPER LICENSE AGREEMENT
Canon USA, Inc. WEBVIEW LIVESCOPE SOFTWARE DEVELOPMENT KIT DEVELOPER LICENSE AGREEMENT This Webview Livescope Software Development Kit Developer License ("Agreement") between you, the "Developer" and the
More information39C-1 Records Management Program 39C-3
39C-1 Records Management Program 39C-3 Sec. 39C-1. Sec. 39C-2. Sec. 39C-3. Sec. 39C-4. Sec. 39C-5. Sec. 39C-6. Sec. 39C-7. Sec. 39C-8. Sec. 39C-9. Sec. 39C-10. Sec. 39C-11. Sec. 39C-12. Sec. 39C-13. Sec.
More informationIN THE UNITED STATES PATENT AND TRADEMARK OFFICE BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
Opposer s Interrogatories IN THE UNITED STATES PATENT AND TRADEMARK OFFICE BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD ALPHA Opposer, vs. Opposition No.: Serial No.: 79/123,456 DELTA Applicant. OPPOSER
More informationCOMMONWEALTH OF KENTUCKY BEFORE THE PUBLIC SERVICE COMMISSION ATTORNEY GENERAL'S INITIAL DATA REQUESTS
e: E jli$j,y '" COMMONWEALTH OF KENTUCKY BEFORE THE PUBLIC SERVICE COMMISSION I.- * 4 In the Matter of: JUN 02 2011 PUBLIC SERVICE JOINT APPLICATION OF LOUISVILLE GAS ) COMMISSION AND ELECTRIC COMPANY
More informationRetail Access Optimization Initiative Docket No. N2011-1
Postal Regulatory Commission Submitted 8/15/2011 1:35:44 PM Filing ID: 74783 Accepted 8/15/2011 BEFORE THE POSTAL REGULATORY COMMISSION WASHINGTON, D.C. 20268-0001 Retail Access Optimization Initiative
More informationAppendix : Business Associate Agreement
I. Authority: Pursuant to 45 C.F.R. 164.502(e), the Indian Health Service (IHS), as a covered entity, is required to enter into an agreement with a business associate, as defined by 45 C.F.R. 160.103,
More informationREVENUE REGULATIONS NO. 9-2009 issued on December 29, 2009 defines the requirements, obligations and responsibilities imposed on taxpayers for the
REVENUE REGULATIONS NO. 9-2009 issued on December 29, 2009 defines the requirements, obligations and responsibilities imposed on taxpayers for the maintenance, retention and submission of electronic records.
More information(2) For production of public records or hospital medical records. Where the subpoena commands any custodian of public records or any custodian of hosp
Rule 45. Subpoena. (a) Form; Issuance. (1) Every subpoena shall state all of the following: a. The title of the action, the name of the court in which the action is pending, the number of the civil action,
More informationCONSULTANT AGREEMENT
Douglas County School District Re.1 Castle Rock, Colorado CONSULTANT AGREEMENT This agreement, dated effective as of is made and entered into by and between the Douglas County School District Re.1, Douglas
More informationMemory Stick and Memory Stick PRO Player/Recorder Connector A G R E E M E N T
This "Memory Stick and Memory Stick PRO Player/Recorder Connector AGREEMENT" sample is disclosed to your company for the purpose of evaluation of the possibility of manufacturing Memory Stick related products.
More informationSECOND AMENDED ORDER DESIGNATING ALL CASES E-FILE AND SETTING FORTH CERTAIN REQUIREMENTS IN E-FILE CASES
IN RE ALL CASES FILED IN THE 58 TH DISTRICT COURT (WITH EXCEPTIONS) AS OF JANUARY 7, 2004 IN THE 58 TH DISTRICT COURT OF JEFFERSON COUNTY, TEXAS 58 TH JUDICIAL DISTRICT SECOND AMENDED ORDER DESIGNATING
More informationGLASSIE SAMPLE BOOK PUBLISHING AGREEMENT
GLASSIE SAMPLE BOOK PUBLISHING AGREEMENT This Agreement is entered into effective, between the American Association ( Publisher ) and ( Author ), relating to a written manuscript provisionally entitled
More informationWRIGHT STATE PHYSICIANS
TITLE: Document Management Policy 1 APPLICABILITY: Workforce POLICY: R1029 I. PURPOSE The corporate documents of Wright State Physicians, Inc. (the "Corporation") are important assets of the Corporation.
More informationUNITED STATES DISTRICT COURT WESTERN DISTRICT OF WASHINGTON ) ) ) ) ) ) ) ) ) ) STIPULATION
1 1 1 1 1 BOURNE INTERNATIONAL, INC., v. UNITED STATES DISTRICT COURT WESTERN DISTRICT OF WASHINGTON Plaintiff, CHET STOLER; SOUTH SEAS TRADING CO., Defendants. STIPULATION NO. C0-0RJB PROTECTIVE ORDER
More informationBUSINESS ASSOCIATE AGREEMENT
Note: This form is not meant to encompass all the various ways in which any particular facility may use health information and should be specifically tailored to your organization. In addition, as with
More informationMUSIC SYNCHRONIZATION AND MASTER USE LICENSE AGREEMENT
MUSIC SYNCHRONIZATION AND MASTER USE LICENSE AGREEMENT This Music Synchronization and Master Use License Agreement ( Agreement ) is made and entered into this day of, 200_ ( Effective Date ) by and between
More informationUNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF ILLINOIS EASTERN DIVISION ) ) ) ) ) Magistrate Judge Sidney I.
UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF ILLINOIS EASTERN DIVISION FEDERAL TRADE COMMISSION, Plaintiff, PHOENIX AVATAR, LLC doing business as AVATAR NUTRITION, DJL, LLC, DANIEL J. LIN,
More informationNAPCS Product List for NAICS 51114: Directory and Mailing List Publishers
51114 1 X Mailing lists Lists of names, addresses, and other contact information developed to market or promote to a specific group such as those sharing a common interest, purchase history, membership
More informationUNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF NEW YORK. Chapter 11 Cases. In re. Adelphia Communications Corp., et al.,
UNITED STATES BANKRUPTCY COURT SOUTHERN DISTRICT OF NEW YORK In re Adelphia Communications Corp., et al., Debtors. Chapter 11 Cases Case No. 02-41729 (REG) Jointly Administered ADELPHIA COMMUNICATIONS
More informationSAMPLE VENDOR AGREEMENT VENDOR # 00000. Sample Vendor, Vendor Title Sample Vendor Company. Evelyn V. Martinez, Executive Director
VENDOR AGREEMENT VENDOR # 00000 TO: FROM: Sample Vendor, Vendor Title Sample Vendor Company Evelyn V. Martinez, Executive Director DATE: SUBJECT: Sample Vendor Project This Agreement, by and between the
More informationLawyers & Judges Publishing Company, Inc. P.O. Box 30040 Tucson, AZ 85751-0040 Phone 520-323-1500 FAX: 520-323-0055
Lawyers & Judges Publishing Company, Inc. P.O. Box 30040 Tucson, AZ 85751-0040 Phone 520-323-1500 FAX: 520-323-0055 AGREEMENT THIS AGREEMENT made this day of, 20 in Tucson, Arizona, by and between Lawyers
More informationDistrict Council of Yankalilla
District Council of Yankalilla Elected Members Records Management Policy Strategic Reference File Reference Responsibility Revision Number Effective Date Last Revised Date Provide leadership, good governance,
More informationUNITED STATES DISTRICT COURT EASTERN DISTRICT OF TEXAS MARSHALL DIVISION
UNITED STATES DISTRICT COURT EASTERN DISTRICT OF TEXAS MARSHALL DIVISION C-CATION TECHNOLOGIES, LLC, v. Plaintiff, Case No. 2:14-cv-59 TIME WARNER CABLE INC., TIME WARNER CABLE ENTERPRISES LLC, TIME WARNER
More informationSTOCK FOOTAGE LICENSE AGREEMENT. License Agreement Number:
STOCK FOOTAGE LICENSE AGREEMENT License Agreement Number: FOOTAGE LICENSE AGREEMENT dated as of, 2013 ( this Agreement ) between Global ImageWorks, LLC., ( GIW ) located at 65 Beacon Street, Haworth, N.J.,
More informationIN THE SUPREME COURT OF THE STATE OF ALASKA ORDER NO. 1682. Pretrial Conferences; Scheduling; Management.
IN THE SUPREME COURT OF THE STATE OF ALASKA ORDER NO. 1682 Amending Civil Rules 16, 26, 33, 34, 37, and 45 concerning Discovery of Electronic Information IT IS ORDERED: 1. Civil Rule 16 is amended to read
More informationUNITED STATES DISTRICT COURT for the Eastern District of Texas
AO 38A (Rev. 12/13 Subpoena to Testify at a Deposition in a Civil Action UNITED STATES DISTRICT COURT for the Eastern District of Texas PERSONAL AUDIO, LLC Plaintiff v. TOGI ENTERTAINMENT, INC. ET AL.
More informationUNITED STATES DISTRICT COURT CENTRAL DISTRICT OF CALIFORNIA
UNITED STATES DISTRICT COURT CENTRAL DISTRICT OF CALIFORNIA IN THE MATTER OF: ) ) GENERAL ORDER No. 10-07 ORDER AUTHORIZING ) ELECTRONIC FILING ) (Supersedes General Order ) Nos. 08-02 and 08-11) ) Table
More informationHCAOG Records Retention Policies & Procedures
HCAOG Records Retention Policies & Procedures Draft September 2015 HUMBOLDT COUNTY ASSOCIATION OF GOVERNMENTS 611 I Street, Suite B Eureka, CA 95501 www.hcaog.net RECORDS MANAGEMENT These procedures are
More informationIN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF PENNSYLVANIA
False Advertising and Copyright Infringement Complaint IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF PENNSYLVANIA ALPHA CORPORATION : CIVIL ACTION : Plaintiff : : v. : : ALOYSIUS Q. DELTA
More informationNew Amendments to Rule 26 Dictate Use of Electronic Discovery Technology by Larry Johnson, Esq. Director, Electronic Discovery Services
New Amendments to Rule 26 Dictate Use of Electronic Discovery Technology by Larry Johnson, Esq. Director, Electronic Discovery Services Fios Copyright 2000, by Fios, Inc Under the Rules Enabling Act, 28
More informationENOM, INC. REGISTRATION AGREEMENT
ENOM, INC. REGISTRATION AGREEMENT This Registration Agreement ("Agreement") sets forth the terms and conditions of your use of enom, Inc.'s ("enom") domain name registration services to register an Internet
More informationSoftware License Agreement
Software License Agreement GRANT OF LICENSE This Accusoft Corporation ("ACCUSOFT") Agreement ("LICENSE") grants YOU ("LICENSEE") a non-exclusive and non-transferable right to use the trial mode version
More informationMDM Zinc 3.0 End User License Agreement (EULA)
MDM Zinc 3.0 End User License Agreement (EULA) THIS AGREEMENT (or "EULA") IS A LEGAL AGREEMENT BETWEEN THE PERSON, COMPANY, OR ORGANIZATION THAT HAS LICENSED THIS SOFTWARE ("YOU" OR "CUSTOMER") AND MULTIDMEDIA
More informationSTATE OF NEW YORK COMMISSIONER OF TAXATION AND FINANCE
New York State Department of Taxation and Finance Office of Tax Policy Analysis Taxpayer Guidance Division Novemer 14, 2007 STATE OF NEW YORK COMMISSIONER OF TAXATION AND FINANCE ADVISORY OPINION PETITION
More informationCase 1:13-cv-00586-AWI-SAB Document 41 Filed 02/20/14 Page 1 of 13
Case :-cv-00-awi-sab Document Filed 0// Page of 0 DALE L. ALLEN, JR., SBN KEVIN P. ALLEN, SBN 0 ALLEN, GLAESSNER & WERTH, LLP 0 Montgomery Street, Suite 0 San Francisco, California 0 Telephone: () -00
More informationThe Wyoming County Library Supply Chain Contract
2010 WYLD GOVERNANCE CONTRACT BETWEEN DEPARTMENT OF ADMINISTRATION AND INFORMATION STATE LIBRARY DIVISION AND LIBRARY Preamble. The WYLDCAT Members [Network] are a consortium of academic, public, school
More informationWEBSITE DEVELOPMENT STANDARD TERMS AND CONDITIONS
WEBSITE DEVELOPMENT STANDARD TERMS AND CONDITIONS A. Client commitment: Client agrees to allocate time and process information, as needed, during the duration of the project. Client agrees to review the
More informationINDEPENDENT CONTRACTOR AGREEMENT
INDEPENDENT CONTRACTOR AGREEMENT Contract Date:, 20 Brokerage Firm: ( Broker ) Address of Firm: Associate Broker/Salesperson: ( Associate ) 1. Broker, a licensed Michigan real estate broker, retains Associate,
More informationCOPYRIGHT LICENSE AGREEMENT
COPYRIGHT LICENSE AGREEMENT THIS LICENSE AGREEMENT (this Agreement ) is made and entered into effective as of the day of, 2002 (the Effective Date ), by and between HIRST ARTS FANTASY ARCHITECTURE and
More informationAUSTIN ENERGY 2016 RATE REVIEW. NXP Semiconductors and Samsung Austin Semiconductor, LLCs' First Request for Information to Data FoundrY
G" '".! r:.r,1 AUSTIN ENERGY 2016 RATE REVIEW AUSTIN ENERGY'S TARIFF PACKAGE UPDATE OF THE 2009 COST OF SERVICE STUDY AND PROPOSAL TO CHANGE BASE ELECTRIC RATES BEFORE THE CITY OF AUSTIN IMPARTIAL HEARING
More informationLSUHSC-NEW ORLEANS RECORDS RETENTION AND DISPOSITION POLICY
LSUHSC-NEW ORLEANS RECORDS RETENTION AND DISPOSITION POLICY PURPOSE The purpose of this document is to establish a policy on records retention and disposition, for records in both electronic and hardcopy
More informationHow To Write A Contract Between College And Independent Contractor
Independent Contractor Agreement (Long Form) This Agreement is made between Babson College ("College"), a Massachusetts non-profit corporation with a principal place of business at 231 Forest Street, Babson
More information1.1 Documentation means the user s manual and text file credentials provided to Customer along with the Software.
TIVO RECORD TAG GENERATOR LICENSE Customer, as licensee, hereby accepts the terms and conditions of this TiVo Record Tag Generator License (this Agreement ), entered into as of the date Customer has signed
More informationIf a Client and a Freelancer enter an independent contractor relationship, then this Freelancer Agreement ( Freelancer Agreement ) will apply.
Freelancer Agreement If a Client and a Freelancer enter an independent contractor relationship, then this Freelancer Agreement ( Freelancer Agreement ) will apply. This Agreement is effective as of March
More informationHIPAA Business Associate Addendum
HIPAA Business Associate Addendum THIS HIPAA BUSINESS ASSOCIATE ADDENDUM (this Addendum ) is by and between ( Covered Entity ) and TALKSOFT CORPORATION ( Business Associate ) (hereinafter, Covered Entity
More information15-30784-hcm Doc#81 Filed 06/13/15 Entered 06/13/15 16:35:54 Main Document Pg 1 of 12
15-30784-hcm Doc#81 Filed 06/13/15 Entered 06/13/15 16:35:54 Main Document Pg 1 of Louis R. Strubeck, Jr., (SBT 19425600 Elizabeth N. Boydston (SBT 24053684 NORTON ROSE FULBRIGHT US LLP 2200 Ross Avenue,
More informationPORTERS HR Business Cloud Terms of Use
PORTERS HR Business Cloud Terms of Use A Customer using the PORTERS HR Business Cloud Service ( PORTERS HR Business Cloud ) shall be deemed to have agreed to the following provisions and conditions simultaneously
More informationInternal Billing Investigation Tools
Journal of Health & Life Sciences Law 149 PRACTICE RESOURCE Internal Billing Investigation Tools Katherine A. Lauer, Cheryl Wagonhurst, Frank E. Sheeder, III, and Michael L. Silhol Katherine A. Lauer is
More informationBUSINESS ASSOCIATE AGREEMENT
BUSINESS ASSOCIATE AGREEMENT Please complete the following and return signed via Fax: 919-785-1205 via Mail: Aesthetic & Reconstructive Plastic Surgery, PLLC 2304 Wesvill Court Suite 360 Raleigh, NC 27607
More informationELECTRONIC ARTS SOFTWARE END USER LICENSE AGREEMENT
ELECTRONIC ARTS SOFTWARE END USER LICENSE AGREEMENT This End User License Agreement ( License ) is an agreement between you and Electronic Arts Inc., its subsidiaries and affiliates ( EA ). This License
More informationUnderstanding ediscovery and Electronically Stored Information (ESI)
Copyright The information transmitted in this document is intended only for the addressee and may contain confidential and/or privileged material. Any interception, review, retransmission, dissemination
More informationKetch Publishing Standard Book Publishing Fee: $595 50% Ketch Publishing 4675 N. Benton Dr. Bloomington, IN 47408 (812) 327-0072
Ketch Publishing Standard Book Publishing Fee: $595 Perfect Bound Paperback Book ($300 deposit on the publishing fee is due with the signed contract.) Ketch Publishing provides you: A custom-designed,
More informationThe E-Discovery Process
POOLING PROVISIONS The E-Discovery Process A publication of Nevada Public Agency Insurance Pool The e- discovery process the search of electronic records for use as legal evidence can cost thousands of
More informationWHEREAS, the City of Shavano Park wishes to clarify the procedures for the organization, maintenance, disposition and destruction of City Records;
RESOLUTION R-2015-024 A RESOLUTION ESTABLISHING POLICY FOR THE ORGANIZATION, MAINTENANCE, DISPOSITION AND DESTRUCTION OF CITY OF SHAVANO PARK RECORDS; AS CONSISTENT WITH THE REQUIREMENTS OF THE TEXAS LOCAL
More informationNCI-Frederick Safety and Environmental Compliance Manual 03/2013
E-1. Records Management I. Scope The Records Management Office maintains a comprehensive records management system meeting regulatory and contractual requirements ensuring documentation is readily accessible.
More informationBROKER CARRIER AGREEMENT. THIS AGREEMENT is made and entered into on, 200, by and between REED FREIGHT SERVICES, INC. ( BROKER ) and ("CARRIER").
BROKER CARRIER AGREEMENT THIS AGREEMENT is made and entered into on, 200, by and between REED FREIGHT SERVICES, INC. ( BROKER ) and ("CARRIER"). I. Recitals A. BROKER is a licensed transportation broker
More informationWest Chester University Records Management Policy
1. Introduction West Chester University is committed to effective records management to preserve its history, meet legal standards, optimize the use of space, minimize the cost of record retention, and
More informationPART III Discovery. Overview of the Discovery Process CHAPTER 8 KEY POINTS THE NATURE OF DISCOVERY. Information is obtainable by one or more discovery
PART III Discovery CHAPTER 8 Overview of the Discovery Process Generally, discovery is conducted freely by the parties without court intervention. Disclosure can be obtained through depositions, interrogatories,
More informationIN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO
Regents of the University of Colorado, The v. Allergan, Inc. et al Doc. 69 Civil Action No. 1:14-cv-01562-MSK-NYW IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO THE REGENTS OF THE UNIVERSITY
More informationPARTIAL SETTLEMENT AGREEMENT
PARTIAL SETTLEMENT AGREEMENT WHEREAS, TransCanada Power Marketing Ltd. ( TransCanada ) filed a lawsuit in U.S. District Court for the District of Massachusetts (Central Division), Civil Action 40070-FDS
More informationWYLD GOVERNANCE CONTRACT BETWEEN DEPARTMENT OF ADMINISTRATION AND INFORMATION STATE LIBRARY DIVISION AND WYOMING STATE LIBRARY
WYLD GOVERNANCE CONTRACT BETWEEN DEPARTMENT OF ADMINISTRATION AND INFORMATION STATE LIBRARY DIVISION AND WYOMING STATE LIBRARY Preamble. The Integrated Library System Users Group of WYLD [Group] is a consortium
More information