Free Answer to Complaint - District Court of Connecticut - Connecticut


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Pages: 3
Date: July 16, 2004
File Format: PDF
State: Connecticut
Category: District Court of Connecticut
Author: unknown
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URL

https://www.findforms.com/pdf_files/ctd/9104/127.pdf

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1 . 1 Case 3:00-cv-00327-JCH Document 127 Filed 07/16/2004 Page 1 of 3 1
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2417-L001lA 1
IN THE UNITED STATES DISTRICT COURT N
? FOR THE DISTRICT OF CONNECTICUT _
1
In = 1
HENRY A. KORSZUN; WOJTEK W. BOROWSKI :
and COMPUCLOZ CORPORATION 2
: Civil Action No. 300C\/327 (J CH) 1
Plaintiffs, : 1
= 1
g vs. :
1 : July 8, 2004 A
P Public Ieclmologies Multimedia, Inc. : 1
1 J.C. Penney Company, Inc; Mattel, Inc. : 1
and/or Broderbund Software, Inc.; and :
1 Land's End, Inc. :
Defendants. :
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1 —--—— ‘ 1
REPLY TO FIRST AMENDED COUNTERCLAIMS OF
LAND’S END, INC.
1 Plaintiffs replies tothe Counterclaims of Defendant I.and’s End, Inc. as follows:
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37. The incorporation by reference of paragraphs 1-20 requires no response. Paragraphs
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2l—36 are denied.
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38. The allegations of paragraph 38 are admitted. 1
39. The allegations of paragraph 39 are admitted. 1
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40. The allegations of paragraph 40 are admitted, noting that it is admitted only that
Defend mt has made assertions of noninfringement and invalidity, without admission that these I
E assertions are correct.
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l · ll Case 3:00-cv-00327-JCH Document 127 Filed 07/16/2004 Page 2 of 3
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41. The allegations of paragraph 41 are admitted. I
42. The answers to paragraphs 37 to 41 are incorporated herein as if fully set forth.
ll 43. The allegations of paragraph 43 are denied.
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44. The answers to paragraphs 37 to 43 are incorporated herein as if fully set forth.

· 45. The allegations of paragraph 45 are denied.
46. The answers to paragraphs 37 to 45 are incorporated herein as if fully set forth.
47. The allegations of paragraph 47 are denied.
48. The answers to paragraphs 37 to 47 are incorporated herein as if fully set forth.
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49. The allegations of paragraph 49 are denied.
50. The answers to paragraphs 37 to 49 are incorporated herein as if fully set forth.
51. The allegations of paragraph 51 are denied. l
52. The answers to paragraphs 37 to 51 are incorporated herein as if fully set forth. `
.53. The allegations of paragraph 53 are denied. `
Plaintiffs deny that Defendants are entitled to the requested relief
§ Respectiiilly submitted, l
Date: [I 2gg$ -·-— U
Q P. McNamara - ct 01220 Q
Richard J. Bastie - et 20491 1
lE STONGE STEWARD JOHNSTON & REENS LLC
if 986 Bedford Street l
Q Stamford, Connecticut 06905 =l
Telephone: (203) 324-6155 .
Telecopier: (203) 327-1096

Attorneys for Plaintiffs
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··» I Gase 3:00-cv-00327-JCH Document 127 Filed 07/16/2004 Page 3 of 3
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CERTIFICATE OF SERVICE
I This is to certify that a true and correct copy of the foregoing REPLY T0 FIRST I
AMENDED COUNTERCLAIMS OF LAND’S END, INC. was served by first class mail, postage
prepaid, in an envelope addressed to the following:
William H. Bright
X McCarter & English, LLP I
CityP1ace 1, 185 Asylum Street
2 Hartford, Connecticut 06103
Ana to I
James Hough
4 Morrison & Foerster LLP
1290 Avenue of the Americas I
New York, New York 10104-0012
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