Case 5:05-cv-00334-RMW
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GREGORY P. STONE (#78329) KEITH HAMILTON (#252115) MUNGER, TOLLES & OLSON LLP 355 South Grand Avenue, 35th Floor Los Angeles, CA 90071-1560 Telephone: (213) 683-9100 Facsimile: (213) 687-3702 E-mail:
[email protected];
[email protected] BURTON A. GROSS (#166285) CAROLYN HOECKER LUEDTKE (#207976) MIRIAM KIM (#238230) MUNGER, TOLLES & OLSON LLP 560 Mission Street, 27th Floor San Francisco, CA 94105-2907 Telephone: (415) 512-4000 Facsimile: (415) 512-4077 E-mail:
[email protected];
[email protected];
[email protected]
12 Attorneys for Plaintiff RAMBUS INC. 13 UNITED STATES DISTRICT COURT 14 NORTHERN DISTRICT OF CALIFORNIA, SAN JOSE DIVISION 15 16
RAMBUS INC.,
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Plaintiff,
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CASE NO.: C 05-00334 RMW
vs. HYNIX SEMICONDUCTOR INC., et al.,
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Defendants.
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RAMBUS INC.,
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Trial Date: September 22, 2008 Courtroom: 6 Judge: Hon. Ronald M. Whyte CASE NO.: C 05-02298 RMW
Plaintiff,
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RAMBUS’S NOTICE OF LODGING OF TRANSCRIPT OF VIDEO TESTIMONY OF JAY SHIM
vs. SAMSUNG ELECTRONICS CO., LTD., et al., Defendants.
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RAMBUS’S NOTICE OF LODGING OF TRANSCRIPT OF VIDEO TESTIMONY OF JAY SHIM; CASE NOS. 05-00334 RMW; 05-02298 RMW
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Rambus hereby gives notice that it is lodging, concurrently herewith, a transcript of the
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video clip of the testimony of Jay Shim played in Court on September 29, 2008.
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The video clip was taken from the following deposition transcript:
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Deposition of Jay Shim, taken on June 9, 2008, attached hereto as Exhibit A.
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This Notice is being filed with the Court and will be appended to the official trial
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transcripts and, pursuant to the parties’ agreement, will become part of the official trial transcript.
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DATED: September 30, 2008
MUNGER, TOLLES & OLSON LLP
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By:
/s/ Carolyn Hoecker Luedtke Carolyn Hoecker Luedtke
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Attorneys for Plaintiff RAMBUS INC.
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RAMBUS’S NOTICE OF LODGING OF TRANSCRIPT OF VIDEO TESTIMONY OF JAY SHIM; CASE NOS. 05-00334 RMW; 05-02298 RMW
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Exhibit A
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Video Testimony of Jay Shim (6/9/2008 Deposition) Played 9/29/2008
11:21 Q. Could you please state your full name for 11:22 the record? 11:23 A. My name is Jay Shim. 143:20 143:21 143:22 143:23 143:24 143:25 144: 1 144: 2 144: 3 144: 4 144: 5 144: 6 144: 7 144: 8 144: 9
Q. Did you do anything to prepare for today's deposition? A. I met with my counsel. Q. How long did you meet with your counsel? A. Day or so. Q. Who did you meet with? A. Ms. Kadala. Q. Anyone else? A. And Norma. Q. Ms. Bennett? A. Bennett, yes. Q. Did you review any documents in connection with your preparation for today's deposition? A. Yes. Q. Do you recall what documents you reviewed?
144:12 THE WITNESS: Various documents. I don't 144:13 have -- quite a few. 205:21 Q. The specific details of the terms 205:22 communicated in 9102, would anybody have been 205:23 involved in formulating those suggested revisions 205:24 other than yourself at Samsung? 206: 2 THE WITNESS: It appears to me, although I 206: 3 don't have exact recollection, that I would have 206: 4 spoken to someone like Chuck about the changes, and 206: 5 we may have exchanged some thoughts on the specific 206: 6 changes. 239: 5 239: 6 239: 7 239: 8 239: 9 239:10
Q. Was any effort made by you or anyone at Samsung to change the provision in Section 8.5 after Mr. Steinberg signed the agreement on October 27th, but before Mr. Kang signed the agreement on October 31st? A. I don't recall.
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MS. LUEDTKE: Q. Yes. Was there any effort made by you or anyone at Samsung to change any provision of Exhibit 9084 between October 31st, 2000, and December 31st, 2000? A. I don't recall.
Total Length - 00:01:41
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