Free Order - District Court of Delaware - Delaware


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Case 1:05-cv-00485-JJF Document 501 V Filed 10/22/2007 Page 1 of 3
IN THE UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF DELAWARE
)
H\I RE )
INTEL CORPORATION ) MDL No. 05-1717-JJF
MICROPROCESSOR ANTITRUST )
LITIGATION )
)
)
ADVANCED MICRO DEVICES, INC., a )
Delaware corporation, and AMD )
INTERNATIONAL SALES & SERVICES, LTD., )
a Delaware corporation, )
)
Plaintiffs, )
) C.A. No. 05-441-JJF
v. )
)
H\ITEL CORPORATION, a Delaware corporation, )
and INTEL KABUSHIKI KAISHA, a Japanese )
corporation, )
)
Defendants. )
)
PHIL PAUL, on behalf of himself )
and all others similarly situated, ) C.A. No. 05-485-JJF
)
Plaintiffs, ) CONSOLIDATED ACTION
)
v. )
)
INTEL CORPORATION, )
)
Defendants. )
ORDER RE INTEL CORPORATION AND INTEL KABUSHIKI
KAISHA'S PROPOSED REMEDIATION PLAN

Case 1:05-cv-00485-JJF Document 501 Filed 10/22/2007 Page 2 of 3
WHEREAS, on March I6, 2007, Special Master Poppiti entered an Order
Regarding Intel’s Evidence Preservation Issues;
WHEREAS, on April 23, 2007, Intel Corporation and Intel Kabushiki Kaisha
("Intel") tiled their Report and Proposed Remediation Phn, which contains, at pages 30-
39 thereof, Intel’s proposed plan of remediation ("Intel’s Proposed Remediation Plan");
WHEREAS, on September I I, 2007, AMD and Class Plaintiffs ("Plaintiffs")
tiled their Response to pages 30-39 of Intel’s Proposed Remediation Plan;
WHEREAS, the Special Master held a telephonic conference on September 20,
2007 concerning Intel’s Proposed Remediation Plan;
WHEREAS, during the September 20, 2007 telephonic conference, AMD
counsel stated, on behalf of Plaintiffs: "[W]e do concede, for a lot of good reasons, that
we are not going to ask Your Honor to order Intel to do more than it proposes to do in its
effort to remediate."
WHEREAS, although they acknowledge that Intel’s Proposed Remediation Plan
contains all elements that should reasonably be required of Intel under the circumstances
to remediate its document preservation lapses, Plaintiffs do not acknowledge or concede
that Intel’s Proposed Remediation Plan, even if fully executed, will effectively or
substantially remediate Intel’s lapses, and for which lapses Plaintiffs specifically reserve
the right to seek sanctions;
WHEREAS, Intel has voluntarily begun implementing its Proposed Remediation
Plan; and
WHEREAS, the Parties have agreed to meet and confer concerning certain data
reports requested by Plaintiffs in their Response to Intel’s Proposed Remediation Plan;
2

Case 1:05-cv-00485-JJF Document 501 Filed 10/22/2007 Page 3 of 3
NOW, THEREFORE, IT IS HEREBY ORDERED AS FOLLOWS:
Intel shall complete each of the remediation steps as set forth in its April 23, 2007
Proposed Remediation Plan on the time schedule set forth in paragraph l of the
Stipulated Case Management Order #3.
} day of October, 2007 Z2
2“E"E”“‘“ %
100614)
Special Master
3