`Direct 202.220.4216
`jbateman@kenyon.com
`
`1500 K Street, NW
`Washington, DC 20005-1257
`202.220.4200
`Fax 202.220.4201
`
`April 10, 2012
`
`
`
`VIA ELECTRONIC SERVICE
`
`Honorable James R. Holbein
`Secretary
`U.S. International Trade Commission
`500 E. Street, S.W.
`Washington, DC 20436
`
`Re: Certain Wiper Blades,
`
`Inv. No. 337-TA-816
`
`Dear Secretary Holbein:
`
`On behalf of Complainant Robert Bosch LLC, enclosed for filing please find the exhibits
`
`to Robert Bosch LLC's Opposed Motion for Leave to File a Reply in Support of Its Motion to
`File Its Identification of Additional Expert Witness Two Days Out of Time and Memorandum in
`Support of Motion (“Motion”). Complainant’s Motion was filed on April 10, 2012 as EDIS
`Document No. 477247; however, the Motion was inadvertently filed without the exhibits to the
`proposed reply brief.
`
`Please do not hesitate to contact me if you have any questions.
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`Respectfully submitted,
`
`John W. Bateman
`
`
`
`
`
`
`
`New York Washington, DC Silicon Valley www.kenyon.com
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`Enclosures
`cc: Certificate of Service
`
`
`
`
`
`
`
`
`
`
`
`
`EXHIBIT 1
`
`EXHIBIT 1
`
`
`
`Takhistova, Ksenia
`
`From:
`Sent:
`To:
`
`Levine, Russell E. [rlevine@kirkland.com]
`Monday, April 02, 2012 11:36 PM
`'jhalan@brookskushman.com'; Reed, Josh M.; 'johnst@bskb.com'; Bateman, John; ~~Bosch-337-TA-816;
`'Aarti.Shah@usitc.gov'; Trainor, D. Sean; #ADM-RainEater-Cequent ITC Counsel;
`jjacobi@mcdonaldhopkins.com1; dcupar@mcdonaldhopkins.com; Corea@adduci.com;
`CAP_816@brookskushman.com; 'PIAAINTERNAL@khhte.com'; 'Mastriani@adduci.com'; wna@adduci.com;
`ssulzer@manatt.com; 'yho@manatt.com'; Litigation-AlbereeITC@BSKB.com
`Cc:
`#Pylon ITC Litigation
`Subject: Re: ITC Investigation No. 337-TA-816, Certain Wiper Blades - Pylon Leave to File out of time
`ADM21, Raineater and Cequent don't oppose.
`
`Russell E. Levine, P. C.
`Direct +1-312-862-2466
`Cell +1-312-497-0937
`russell.levine@kirkland.com
`www.kirkland.com/rlevine
`
`Kirkland & Ellis LLP
`300 N. LaSalle
`Chicago, Illinois 60654
`
`sent via smartphone
`
`From: John M. Halan [mailto:jhalan@brookskushman.com]
`Sent: Monday, April 02, 2012 07:08 PM
`To: Reed, Josh M.; 'Johnson, Tiffany' <johnst@bskb.com>; jbateman@kenyon.com
`<jbateman@kenyon.com>; 'Bosch-337-TA-816@kenyon.com' <Bosch-337-TA-816@kenyon.com>;
`'Aarti.Shah@usitc.gov' <Aarti.Shah@usitc.gov>; Trainor, D. Sean; Levine, Russell E.; #ADM-RainEater-
`Cequent ITC Counsel; jjacobi@mcdonaldhopkins.com1; dcupar@mcdonaldhopkins.com;
`Corea@adduci.com; CAP_816@brookskushman.com; 'PIAAINTERNAL@khhte.com'
`<PIAAINTERNAL@khhte.com>; 'Mastriani@adduci.com' <Mastriani@adduci.com>; wna@adduci.com;
`ssulzer@manatt.com; 'yho@manatt.com' <yho@manatt.com>; Litigation-AlbereeITC@BSKB.com
`Cc: #Pylon ITC Litigation
`Subject: RE: ITC Investigation No. 337-TA-816, Certain Wiper Blades - Pylon Leave to File out of time
`
`CAP and PIAA do not oppose.
`
`From: Reed, Josh M. [jreed@kirkland.com]
`Sent: Monday, April 02, 2012 7:18 PM
`To: 'Johnson, Tiffany'; jbateman@kenyon.com; 'Bosch-337-TA-816@kenyon.com';
`'Aarti.Shah@usitc.gov'; Trainor, D. Sean; Levine, Russell E.; #ADM-RainEater-Cequent ITC Counsel;
`jjacobi@mcdonaldhopkins.com1; dcupar@mcdonaldhopkins.com; Corea@adduci.com; CAP ITC;
`'PIAAINTERNAL@khhte.com'; 'Mastriani@adduci.com'; wna@adduci.com; ssulzer@manatt.com;
`'yho@manatt.com'; Litigation-AlbereeITC@BSKB.com
`Cc: #Pylon ITC Litigation
`Subject: ITC Investigation No. 337-TA-816, Certain Wiper Blades - Pylon Leave to File out of time
`
`All,
`
`Due to technical difficulties, Pylon was unable to file the identification of expert witnesses by
`the Court’s 5:15 deadline today. We are preparing a motion for leave to file one day out of
`time. The content of Pylon’s filing will be identical to that which was served earlier today.
`
`4/6/2012
`
`
`
`Please let us know as soon as possible whether you oppose Pylon’s motion.
`
`Josh Reed
`Kirkland & Ellis LLP
`300 North LaSalle Street
`Chicago, IL 60654
`312.862.2265
`josh.reed@kirkland.com
`
`
`IRS Circular 230 Disclosure:
`To ensure compliance with requirements imposed by the U.S. Internal Revenue Service, we inform you that any tax
`advice contained in this communication (including any attachments) was not intended or written to be used, and cannot be
`used, by any taxpayer for the purpose of (1) avoiding tax-related penalties under the U.S. Internal Revenue Code or (2)
`promoting, marketing or recommending to another party any tax-related matters addressed herein.
`***********************************************************
`The information contained in this communication is
`confidential, may be attorney-client privileged, may
`constitute inside information, and is intended only for
`the use of the addressee. It is the property of
`Kirkland & Ellis LLP or Kirkland & Ellis International LLP.
`Unauthorized use, disclosure or copying of this
`communication or any part thereof is strictly prohibited
`and may be unlawful. If you have received this
`communication in error, please notify us immediately by
`return e-mail or by e-mail to postmaster@kirkland.com, and
`destroy this communication and all copies thereof,
`including all attachments.
`***********************************************************
`
`IRS Circular 230 Disclosure:
`To ensure compliance with requirements imposed by the U.S. Internal Revenue Service, we inform you that any tax
`advice contained in this communication (including any attachments) was not intended or written to be used, and cannot be
`used, by any taxpayer for the purpose of (1) avoiding tax-related penalties under the U.S. Internal Revenue Code or (2)
`promoting, marketing or recommending to another party any tax-related matters addressed herein.
`***********************************************************
`The information contained in this communication is
`confidential, may be attorney-client privileged, may
`constitute inside information, and is intended only for
`the use of the addressee. It is the property of
`Kirkland & Ellis LLP or Kirkland & Ellis International LLP.
`Unauthorized use, disclosure or copying of this
`communication or any part thereof is strictly prohibited
`and may be unlawful. If you have received this
`communication in error, please notify us immediately by
`return e-mail or by e-mail to postmaster@kirkland.com, and
`destroy this communication and all copies thereof,
`including all attachments.
`***********************************************************
`
`4/6/2012
`
`
`
`
`
`EXHIBIT 2
`
`EXHIBIT 2
`
`
`
`Takhistova, Ksenia
`
`From:
`Sent:
`To:
`
`Levine, Russell E. [rlevine@kirkland.com]
`Tuesday, April 03, 2012 9:11 AM
`Marion, Michael B; Reed, Josh M.; Johnson, Tiffany; Bateman, John; ~~Bosch-337-TA-816;
`Aarti.Shah@usitc.gov; Trainor, D. Sean; #ADM-RainEater-Cequent ITC Counsel;
`jjacobi@mcdonaldhopkins.com1; dcupar@mcdonaldhopkins.com; Corea@adduci.com;
`CAP_816@brookskushman.com; PIAAINTERNAL@khhte.com; Mastriani@adduci.com; wna@adduci.com;
`ssulzer@manatt.com; yho@manatt.com; Litigation-AlbereeITC@BSKB.com
`Cc:
`#Pylon ITC Litigation
`Subject: RE: ITC Investigation No. 337-TA-816, Certain Wiper Blades - Saver Leave to File out of time
`ADM, Raineater and Cequent do not oppose.
`
`Russell E. Levine, P.C.
`Direct +1-312-862-2466 | Cell +1-312-497-0937
`russell.levine@kirkland.com | www.kirkland.com/rlevine
`
`Kirkland & Ellis LLP |300 N. LaSalle | Chicago, IL 60654
`
`From: Marion, Michael B [mailto:Michael.B.Marion@bskb.com]
`Sent: Tuesday, April 03, 2012 8:07 AM
`To: Reed, Josh M.; Johnson, Tiffany; JBateman@kenyon.com; Bosch-337-TA-816@kenyon.com;
`Aarti.Shah@usitc.gov; Trainor, D. Sean; Levine, Russell E.; #ADM-RainEater-Cequent ITC Counsel;
`jjacobi@mcdonaldhopkins.com1; dcupar@mcdonaldhopkins.com; Corea@adduci.com;
`CAP_816@brookskushman.com; PIAAINTERNAL@khhte.com; Mastriani@adduci.com; wna@adduci.com;
`ssulzer@manatt.com; yho@manatt.com; Litigation-AlbereeITC@BSKB.com
`Cc: #Pylon ITC Litigation
`Subject: RE: ITC Investigation No. 337-TA-816, Certain Wiper Blades - Saver Leave to File out of time
`
`All,
`
`It appears that Saver/API also had problems with EDIS last night when we attempted to file our expert
`witness identification. We are following suit with Pylon and are also preparing a motion for leave to file
`one day out of time. Please let me know if you oppose.
`
`Mike
`
`Michael B. Marion
`Birch Stewart Kolasch & Birch, LLP
`8110 Gatehouse Road, Suite 100 East
`Falls Church, VA 22042
`Phone: (703) 205-8009
`Fax: (703) 205-8050
`Email: mbm@bskb.com
`www.bskb.com
`
`
`
`From: Reed, Josh M. [mailto:jreed@kirkland.com]
`Sent: Monday, April 02, 2012 7:18 PM
`To: Johnson, Tiffany; 'JBateman@kenyon.com'; 'Bosch-337-TA-816@kenyon.com';
`'Aarti.Shah@usitc.gov'; Trainor, D. Sean; Levine,Russell E.; #ADM-RainEater-Cequent ITC Counsel;
`jjacobi@mcdonaldhopkins.com1; dcupar@mcdonaldhopkins.com; Corea@adduci.com;
`CAP_816@brookskushman.com; 'PIAAINTERNAL@khhte.com'; 'Mastriani@adduci.com';
`wna@adduci.com; ssulzer@manatt.com; 'yho@manatt.com'; Litigation - Alberee ITC
`Cc: #Pylon ITC Litigation
`4/6/2012
`
`
`
`Subject: ITC Investigation No. 337-TA-816, Certain Wiper Blades - PylonLeave to File out of time
`
`All,
`
`Due to technical difficulties, Pylon was unable to file the identification of expert witnesses by the Court’s 5:15
`deadline today. We are preparing a motion for leave to file one day out of time. The content of Pylon’s filing
`will be identical to that which was served earlier today. Please let us know as soon as possible whether you
`oppose Pylon’s motion.
`
`Josh Reed
`Kirkland & Ellis LLP
`300 North LaSalle Street
`Chicago, IL 60654
`312.862.2265
`josh.reed@kirkland.com
`
`
`IRS Circular 230 Disclosure:
`To ensure compliance with requirements imposed by the U.S. Internal Revenue Service, we inform you that any tax
`advice contained in this communication (including any attachments) was not intended or written to be used, and cannot be
`used, by any taxpayer for the purpose of (1) avoiding tax-related penalties under the U.S. Internal Revenue Code or (2)
`promoting, marketing or recommending to another party any tax-related matters addressed herein.
`***********************************************************
`The information contained in this communication is
`confidential, may be attorney-client privileged, may
`constitute inside information, and is intended only for
`the use of the addressee. It is the property of
`Kirkland & Ellis LLP or Kirkland & Ellis International LLP.
`Unauthorized use, disclosure or copying of this
`communication or any part thereof is strictly prohibited
`and may be unlawful. If you have received this
`communication in error, please notify us immediately by
`return e-mail or by e-mail to postmaster@kirkland.com, and
`destroy this communication and all copies thereof,
`including all attachments.
`***********************************************************
`
`Please copy all instructions to mailroom@bskb.com to ensure proper handling.
`
`Warning: In rare cases our email filtering software may eliminate legitimate email from clients unnoticed.
`Therefore, if your email contains important instructions, please make sure that we acknowledge receipt of those
`instructions.
`
`This transmission is intended for the sole use of the individual and entity to whom it is addressed, and may
`contain information that is privileged, confidential, and exempt from disclosure under applicable law. You are
`hereby notified that any dissemination, distribution, or duplication of this transmission by someone other than
`the addressee or its designated agent is strictly prohibited. If your receipt of this email is in error, please destroy
`the transmission (and any copies thereof) immediately.
`
`IRS Circular 230 Disclosure:
`To ensure compliance with requirements imposed by the U.S. Internal Revenue Service, we inform you that any tax
`advice contained in this communication (including any attachments) was not intended or written to be used, and cannot be
`used, by any taxpayer for the purpose of (1) avoiding tax-related penalties under the U.S. Internal Revenue Code or (2)
`promoting, marketing or recommending to another party any tax-related matters addressed herein.
`
`4/6/2012
`
`
`
`***********************************************************
`The information contained in this communication is
`confidential, may be attorney-client privileged, may
`constitute inside information, and is intended only for
`the use of the addressee. It is the property of
`Kirkland & Ellis LLP or Kirkland & Ellis International LLP.
`Unauthorized use, disclosure or copying of this
`communication or any part thereof is strictly prohibited
`and may be unlawful. If you have received this
`communication in error, please notify us immediately by
`return e-mail or by e-mail to postmaster@kirkland.com, and
`destroy this communication and all copies thereof,
`including all attachments.
`***********************************************************
`
`4/6/2012
`
`
`
`
`
`EXHIBIT 3
`
`EXHIBIT 3
`
`
`
`Takhistova, Ksenia
`
`From:
`Sent:
`To:
`
`Ginsberg, Jeffrey
`Tuesday, April 03, 2012 10:28 AM
`'John P. Rondini'; 'Levine, Russell E.'; Marion, Michael B; Reed, Josh M.; Johnson, Tiffany; Bateman,
`John; Aarti.Shah@usitc.gov; Trainor, D. Sean; #ADM-RainEater-Cequent ITC Counsel;
`jjacobi@mcdonaldhopkins.com1; dcupar@mcdonaldhopkins.com; Corea@adduci.com; CAP ITC;
`PIAAINTERNAL@khhte.com; Mastriani@adduci.com; wna@adduci.com; ssulzer@manatt.com;
`yho@manatt.com; Litigation-AlbereeITC@BSKB.com; #Pylon ITC Litigation
`Cc:
`~~Bosch-337-TA-816
`Subject:
`RE: ITC Investigation No. 337-TA-816, Certain Wiper Blades - Bosch Motion for Leave to File out of time
`Attachments: 2011-12-20 Bosch's ID of Expert Witnesses.pdf; Bruce Green CV.pdf
`Bosch does not oppose either Saver/API's or Pylon's motion for leave to file out of time.
`
`
`Bosch also intends to file a motion for leave to file out of time an expert witness identification of Bruce
`Green, its expert on attorney professional conduct and ethics. Mr. Green was identified in Bosch's
`opposition to ADM's motion to add an unclean hands defense filed on January 17, 2012. A copy of his
`CV was attached as Exhibit 1 to that opposition and is attached hereto. While he was identified in these
`prior filings, we noted today that he was not included in a separate "Identification of Expert Witnesses."
`
`
`Please let me know if you oppose.
`
`
`Bosch's expert identification of its other two experts, Steven Dubowsky and Jeffrey Stec, was filed on
`December 20, 2012. A copy of that filing is also attached.
`
`
`Jeffrey S. Ginsberg
`Kenyon & Kenyon LLP
`One Broadway | New York, NY 10004-1007
`212.908.6407 Phone | 212.425.5288 Fax
`jginsberg@kenyon.com | www.kenyon.com
`
`
`______________________
`This message, including any attachments, may contain confidential, attorney-client privileged, attorney work
`product, or business confidential information, and is only for the use of the intended recipient(s). Any review, use or
`distribution by others is prohibited. If you are not the intended recipient, please contact the sender and delete all
`copies.
`
`
`
`From: John P. Rondini [mailto:jrondini@brookskushman.com]
`Sent: Tuesday, April 03, 2012 9:13 AM
`To: 'Levine, Russell E.'; Marion, Michael B; Reed, Josh M.; Johnson, Tiffany; Bateman, John; ~~Bosch-
`337-TA-816; Aarti.Shah@usitc.gov; Trainor, D. Sean; #ADM-RainEater-Cequent ITC Counsel;
`jjacobi@mcdonaldhopkins.com1; dcupar@mcdonaldhopkins.com; Corea@adduci.com; CAP ITC;
`PIAAINTERNAL@khhte.com; Mastriani@adduci.com; wna@adduci.com; ssulzer@manatt.com;
`yho@manatt.com; Litigation-AlbereeITC@BSKB.com
`Cc: #Pylon ITC Litigation
`Subject: RE: ITC Investigation No. 337-TA-816, Certain Wiper Blades - Saver Leave to File out of time
`
`CAP AND PIAA do not oppose.
`
`
` John P. Rondini
`
`
`
` 1000 Town Center, 22nd Floor | Southfield, MI 48075
` Direct: (248) 226‐2913 | Main: (248) 358‐4400 | Fax: (248) 358‐3351
` jrondini@brookskushman.com | www.brookskushman.com
`
`4/10/2012
`
`
`
`
`IMPORTANT/CONFIDENTIAL: This message may be privileged, confidential, or exempt from disclosure under applicable
`law. If you have received this communication in error, please notify us immediately by return e‐mail.
`
`
`
`
`
`From: Levine, Russell E. [mailto:rlevine@kirkland.com]
`Sent: Tuesday, April 03, 2012 9:11 AM
`To: Marion, Michael B; Reed, Josh M.; Johnson, Tiffany; jbateman@kenyon.com; Bosch-337-TA-816@kenyon.com;
`Aarti.Shah@usitc.gov; Trainor, D. Sean; #ADM-RainEater-Cequent ITC Counsel; jjacobi@mcdonaldhopkins.com1;
`dcupar@mcdonaldhopkins.com; Corea@adduci.com; CAP ITC; PIAAINTERNAL@khhte.com; Mastriani@adduci.com;
`wna@adduci.com; ssulzer@manatt.com; yho@manatt.com; Litigation-AlbereeITC@BSKB.com
`Cc: #Pylon ITC Litigation
`Subject: RE: ITC Investigation No. 337-TA-816, Certain Wiper Blades - Saver Leave to File out of time
`
`
`ADM, Raineater and Cequent do not oppose.
`
`
`Russell E. Levine, P.C.
`Direct +1‐312‐862‐2466 | Cell +1‐312‐497‐0937
`russell.levine@kirkland.com | www.kirkland.com/rlevine
`
`
`Kirkland & Ellis LLP |300 N. LaSalle | Chicago, IL 60654
`
`
`From: Marion, Michael B [mailto:Michael.B.Marion@bskb.com]
`Sent: Tuesday, April 03, 2012 8:07 AM
`To: Reed, Josh M.; Johnson, Tiffany; JBateman@kenyon.com; Bosch-337-TA-816@kenyon.com; Aarti.Shah@usitc.gov;
`Trainor, D. Sean; Levine, Russell E.; #ADM-RainEater-Cequent ITC Counsel; jjacobi@mcdonaldhopkins.com1;
`dcupar@mcdonaldhopkins.com; Corea@adduci.com; CAP_816@brookskushman.com; PIAAINTERNAL@khhte.com;
`Mastriani@adduci.com; wna@adduci.com; ssulzer@manatt.com; yho@manatt.com; Litigation-AlbereeITC@BSKB.com
`Cc: #Pylon ITC Litigation
`Subject: RE: ITC Investigation No. 337-TA-816, Certain Wiper Blades - Saver Leave to File out of time
`
`
`All,
`
`It appears that Saver/API also had problems with EDIS last night when we attempted to file our expert witness
`identification. We are following suit with Pylon and are also preparing a motion for leave to file one day out of time.
`Please let me know if you oppose.
`
`
`Mike
`
`
`Michael B. Marion
`Birch Stewart Kolasch & Birch, LLP
`8110 Gatehouse Road, Suite 100 East
`Falls Church, VA 22042
`Phone: (703) 205‐8009
`Fax: (703) 205‐8050
`Email: mbm@bskb.com
`www.bskb.com
`
`
`
`From: Reed, Josh M. [mailto:jreed@kirkland.com]
`Sent: Monday, April 02, 2012 7:18 PM
`To: Johnson, Tiffany; 'JBateman@kenyon.com'; 'Bosch-337-TA-816@kenyon.com'; 'Aarti.Shah@usitc.gov'; Trainor, D.
`Sean; Levine,Russell E.; #ADM-RainEater-Cequent ITC Counsel; jjacobi@mcdonaldhopkins.com1;
`dcupar@mcdonaldhopkins.com; Corea@adduci.com; CAP_816@brookskushman.com; 'PIAAINTERNAL@khhte.com';
`
`4/10/2012
`
`
`
`'Mastriani@adduci.com'; wna@adduci.com; ssulzer@manatt.com; 'yho@manatt.com'; Litigation - Alberee ITC
`Cc: #Pylon ITC Litigation
`Subject: ITC Investigation No. 337-TA-816, Certain Wiper Blades - PylonLeave to File out of time
`
`
`All,
`
`
`Due to technical difficulties, Pylon was unable to file the identification of expert witnesses by the Court’s 5:15
`deadline today. We are preparing a motion for leave to file one day out of time. The content of Pylon’s filing
`will be identical to that which was served earlier today. Please let us know as soon as possible whether you
`oppose Pylon’s motion.
`
`Josh Reed
`Kirkland & Ellis LLP
`300 North LaSalle Street
`Chicago, IL 60654
`312.862.2265
`josh.reed@kirkland.com
`
`
`IRS Circular 230 Disclosure:
`To ensure compliance with requirements imposed by the U.S. Internal Revenue Service, we inform you that any tax
`advice contained in this communication (including any attachments) was not intended or written to be used, and cannot be
`used, by any taxpayer for the purpose of (1) avoiding tax-related penalties under the U.S. Internal Revenue Code or (2)
`promoting, marketing or recommending to another party any tax-related matters addressed herein.
`
`***********************************************************
`The information contained in this communication is
`confidential, may be attorney-client privileged, may
`constitute inside information, and is intended only for
`the use of the addressee. It is the property of
`Kirkland & Ellis LLP or Kirkland & Ellis International LLP.
`Unauthorized use, disclosure or copying of this
`communication or any part thereof is strictly prohibited
`and may be unlawful. If you have received this
`communication in error, please notify us immediately by
`return e-mail or by e-mail to postmaster@kirkland.com, and
`destroy this communication and all copies thereof,
`including all attachments.
`***********************************************************
`
`Please copy all instructions to mailroom@bskb.com to ensure proper handling.
`
`Warning: In rare cases our email filtering software may eliminate legitimate email from clients unnoticed.
`Therefore, if your email contains important instructions, please make sure that we acknowledge receipt of those
`instructions.
`
`This transmission is intended for the sole use of the individual and entity to whom it is addressed, and may
`contain information that is privileged, confidential, and exempt from disclosure under applicable law. You are
`hereby notified that any dissemination, distribution, or duplication of this transmission by someone other than
`the addressee or its designated agent is strictly prohibited. If your receipt of this email is in error, please destroy
`the transmission (and any copies thereof) immediately.
`
`IRS Circular 230 Disclosure:
`To ensure compliance with requirements imposed by the U.S. Internal Revenue Service, we inform you that any tax
`advice contained in this communication (including any attachments) was not intended or written to be used, and cannot be
`
`
`
`4/10/2012
`
`
`
`used, by any taxpayer for the purpose of (1) avoiding tax-related penalties under the U.S. Internal Revenue Code or (2)
`promoting, marketing or recommending to another party any tax-related matters addressed herein.
`
`***********************************************************
`The information contained in this communication is
`confidential, may be attorney-client privileged, may
`constitute inside information, and is intended only for
`the use of the addressee. It is the property of
`Kirkland & Ellis LLP or Kirkland & Ellis International LLP.
`Unauthorized use, disclosure or copying of this
`communication or any part thereof is strictly prohibited
`and may be unlawful. If you have received this
`communication in error, please notify us immediately by
`return e-mail or by e-mail to postmaster@kirkland.com, and
`destroy this communication and all copies thereof,
`including all attachments.
`***********************************************************
`
`4/10/2012
`
`
`
`
`
`EXHIBIT 4
`
`EXHIBIT 4
`
`
`
`Takhistova, Ksenia
`
`From:
`Leavell, Craig D. [cleavell@kirkland.com]
`Sent: Wednesday, April 04, 2012 4:03 PM
`To:
`Bateman, John; aarti.shah@usitc.gov; #ADM-RainEater-Cequent ITC Counsel; Levine, Russell E.; Litigation-
`AlbereeITC@BSKB.com; rjk@bskb.com; jjacobi@mcdonaldhopkins.com1; dcupar@mcdonaldhopkins.com;
`Corea@adduci.com; PIAAINTERNAL@khhte.com; CAP_816@brookskushman.com; #Pylon ITC Litigation;
`Trainor, D. Sean; wna@adduci.com; mastriani@adduci.com
`Cc:
`~~Bosch-337-TA-816
`Subject: RE: 337-TA-816: Certain Wiper Blades
`John,
`
`
`ADM opposes Bosch’s motion.
`
`
`Craig
`
`
`CRAIG D. LEAVELL | KIRKLAND & ELLIS LLP
`300 North LaSalle, Chicago, Illinois 60654
`312.862.2105 PH | 773.793.5425 CELL | 312.862.2200 FAX
`craig.leavell@kirkland.com | http://www.kirkland.com/cleavell
`
`
`From: Bateman, John [mailto:JBateman@kenyon.com]
`Sent: Tuesday, April 03, 2012 5:48 PM
`To: aarti.shah@usitc.gov; #ADM-RainEater-Cequent ITC Counsel; Levine, Russell E.; Litigation-
`AlbereeITC@BSKB.com; rjk@bskb.com; jjacobi@mcdonaldhopkins.com1; dcupar@mcdonaldhopkins.com;
`Corea@adduci.com; PIAAINTERNAL@khhte.com; CAP_816@brookskushman.com; #Pylon ITC Litigation;
`Trainor, D. Sean; wna@adduci.com; mastriani@adduci.com
`Cc: ~~Bosch-337-TA-816
`Subject: 337-TA-816: Certain Wiper Blades
`
`
`Counsel,
`
`
`Attached please find Complainant Robert Bosch LLC's Identification of Expert Witness. We will file our
`motion for leave to file this paper out of time (with this paper attached) after we have received ADM's
`position on the motion (or after 2 business days have elapsed, whichever is sooner).
`
`
`Best regards.
`
`
`John
`
`
`John W. Bateman
`Kenyon & Kenyon LLP
`1500 K Street, NW | Washington, DC 20005-1257
`202.220.4216 Phone | 202.220.4201 Fax
`jbateman@kenyon.com | www.kenyon.com
`
`
`______________________
`This message, including any attachments, may contain confidential, attorney-client privileged, attorney work
`product, or business confidential information, and is only for the use of the intended recipient(s). Any review, use or
`distribution by others is prohibited. If you are not the intended recipient, please contact the sender and delete all
`copies.
`
`
`
`IRS Circular 230 Disclosure:
`To ensure compliance with requirements imposed by the U.S. Internal Revenue Service, we inform you
`that any tax advice contained in this communication (including any attachments) was not intended or
`written to be used, and cannot be used, by any taxpayer for the purpose of (1) avoiding tax-related
`
`4/10/2012
`
`
`
`penalties under the U.S. Internal Revenue Code or (2) promoting, marketing or recommending to another party any tax-
`related matters addressed herein.
`
`***********************************************************
`The information contained in this communication is
`confidential, may be attorney-client privileged, may
`constitute inside information, and is intended only for
`the use of the addressee. It is the property of
`Kirkland & Ellis LLP or Kirkland & Ellis International LLP.
`Unauthorized use, disclosure or copying of this
`communication or any part thereof is strictly prohibited
`and may be unlawful. If you have received this
`communication in error, please notify us immediately by
`return e-mail or by e-mail to postmaster@kirkland.com, and
`destroy this communication and all copies thereof,
`including all attachments.
`***********************************************************
`
`4/10/2012
`
`
`
`
`
`EXHIBIT 5
`
`EXHIBIT 5
`
`
`
`Takhistova, Ksenia
`
`From:
`Leavell, Craig D. [cleavell@kirkland.com]
`Sent: Wednesday, April 04, 2012 4:22 PM
`To:
`Bateman, John; aarti.shah@usitc.gov; #ADM-RainEater-Cequent ITC Counsel; Levine, Russell E.; Litigation-
`AlbereeITC@BSKB.com; rjk@bskb.com; jjacobi@mcdonaldhopkins.com1; dcupar@mcdonaldhopkins.com;
`Corea@adduci.com; PIAAINTERNAL@khhte.com; CAP_816@brookskushman.com; #Pylon ITC Litigation;
`Trainor, D. Sean; wna@adduci.com; mastriani@adduci.com
`Cc:
`~~Bosch-337-TA-816
`Subject: RE: 337-TA-816: Certain Wiper Blades
`John,
`
`
`What is Bosch’s justification for filing late? If you have explained already, I apologize, but I missed it.
`
`
`CRAIG D. LEAVELL | KIRKLAND & ELLIS LLP
`300 North LaSalle, Chicago, Illinois 60654
`312.862.2105 PH | 773.793.5425 CELL | 312.862.2200 FAX
`craig.leavell@kirkland.com | http://www.kirkland.com/cleavell
`
`
`From: Bateman, John [mailto:JBateman@kenyon.com]
`Sent: Wednesday, April 04, 2012 3:13 PM
`To: Leavell, Craig D.; aarti.shah@usitc.gov; #ADM-RainEater-Cequent ITC Counsel; Levine, Russell E.;
`Litigation-AlbereeITC@BSKB.com; rjk@bskb.com; jjacobi@mcdonaldhopkins.com1;
`dcupar@mcdonaldhopkins.com; Corea@adduci.com; PIAAINTERNAL@khhte.com;
`CAP_816@brookskushman.com; #Pylon ITC Litigation; Trainor, D. Sean; wna@adduci.com;
`mastriani@adduci.com
`Cc: ~~Bosch-337-TA-816
`Subject: RE: 337-TA-816: Certain Wiper Blades
`
`
`Craig,
`
`
`Could you tell us why ADM opposes? Thanks very much.
`
`
`John
`
`
`John W. Bateman
`Kenyon & Kenyon LLP
`1500 K Street, NW | Washington, DC 20005-1257
`202.220.4216 Phone | 202.220.4201 Fax
`jbateman@kenyon.com | www.kenyon.com
`
`
`______________________
`This message, including any attachments, may contain confidential, attorney-client privileged, attorney work
`product, or business confidential information, and is only for the use of the intended recipient(s). Any review, use or
`distribution by others is prohibited. If you are not the intended recipient, please contact the sender and delete all
`copies.
`
`
`
`
`From: Leavell, Craig D. [mailto:cleavell@kirkland.com]
`Sent: Wednesday, April 04, 2012 4:03 PM
`To: Bateman, John; aarti.shah@usitc.gov; #ADM-RainEater-Cequent ITC Counsel; Levine, Russell E.;
`Litigation-AlbereeITC@BSKB.com; rjk@bskb.com; jjacobi@mcdonaldhopkins.com1;
`dcupar@mcdonaldhopkins.com; Corea@adduci.com; PIAAINTERNAL@khhte.com;
`CAP_816@brookskushman.com; #Pylon ITC Litigation; Trainor, D. Sean; wna@adduci.com;
`mastriani@adduci.com
`Cc: ~~Bosch-337-TA-816
`
`4/10/2012
`
`
`
`Subject: RE: 337-TA-816: Certain Wiper Blades
`
`John,
`
`
`ADM opposes Bosch’s motion.
`
`
`Craig
`
`
`CRAIG D. LEAVELL | KIRKLAND & ELLIS LLP
`300 North LaSalle, Chicago, Illinois 60654
`312.862.2105 PH | 773.793.5425 CELL | 312.862.2200 FAX
`craig.leavell@kirkland.com | http://www.kirkland.com/cleavell
`
`
`From: Bateman, John [mailto:JBateman@kenyon.com]
`Sent: Tuesday, April 03, 2012 5:48 PM
`To: aarti.shah@usitc.gov; #ADM-RainEater-Cequent ITC Counsel; Levine, Russell E.; Litigation-AlbereeITC@BSKB.com;
`rjk@bskb.com; jjacobi@mcdonaldhopkins.com1; dcupar@mcdonaldhopkins.com; Corea@adduci.com;
`PIAAINTERNAL@khhte.com; CAP_816@brookskushman.com; #Pylon ITC Litigation; Trainor, D. Sean; wna@adduci.com;
`mastriani@adduci.com
`Cc: ~~Bosch-337-TA-816
`Subject: 337-TA-816: Certain Wiper Blades
`
`
`Counsel,
`
`
`Attached please find Complainant Robert Bosch LLC's Identification of Expert Witness. We will file our motion for leave to
`file this paper out of time (with this paper attached) after we have received ADM's position on the motion (or after 2
`business days have elapsed, whichever is sooner).
`
`
`Best regards.
`
`
`John
`
`
`John W. Bateman
`Kenyon & Kenyon LLP
`1500 K Street, NW | Washington, DC 20005-1257
`202.220.4216 Phone | 202.220.4201 Fax
`jbateman@kenyon.com | www.kenyon.com
`
`
`______________________
`This message, including any attachments, may contain confidential, attorney-client privileged, attorney work product, or business
`confidential information, and is only for the use of the intended recipient(s). Any review, use or distribution by others is prohibited. If
`you are not the intended recipient, please contact the sender and delete all copies.
`
`
`
`IRS Circular 230 Disclosure:
`To ensure compliance with requirements imposed by the U.S. Internal Revenue Service, we inform you that any tax
`advice contained in this communication (including any attachments) was not intended or written to be used, and cannot be
`used, by any taxpayer for the purpose of (1) avoiding tax-related penalties under the U.S. Internal Revenue Code or (2)
`promoting, marketing or recommending to another party any tax-related matters addressed herein.
`
`***********************************************************
`The information contained in this communication is
`confidential, may be attorney-client privileged, may
`constitute inside information, and is intended only for
`the use of the addressee. It is the property of
`Kirkland & Ellis LLP or Kirkland & Ellis International LLP.
`Unauthorized use, disclosure or copying of this
`communication or any part thereof is strictly prohibited
`and may be unlawful. If you have received this
`
`4/10/2012
`
`
`
`communication in error, please notify us immediately by
`return e-mail or by e-mail to postmaster@kirkland.com, and
`destroy this communication and all copies thereof,
`including all attachments.
`***********************************************************
`
`IRS Circular 230 Disclosure:
`To ensure compliance with requirements imposed by the U.S. Internal Revenue Service, we inform you that any tax
`advice contained in this communication (including any attachments) was not intended or written to be used, and cannot be
`used, by any taxpayer for the purpose of (1) avoiding tax-related penalties under the U.S. Internal Revenue Code or (2)
`promoting, marketing or recommending to another party any tax-related matters addressed herein.
`
`***********************************************************
`The information contained in this communication is
`confidential, may be attorney-client privileged, may
`constitute inside information, and is intended only for
`the use of the addressee. It is the property of
`Kirkland & Ellis LLP or Kirkland & Ellis International LLP.
`Unauthorized use, disclosure or copying of this
`communication or any part thereof is strictly prohibited
`and may be unlawful. If you have



