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IN THE UNITED STATES DISTRICT COURT FOR THE
`EASTERN DISTRICT OF TEXAS
`TYLER DIVISION
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`Intellectual Ventures I LLC and
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`Intellectual Ventures II LLC,
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`Plaintiff,
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`v.
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`HCC Insurance Holdings, Inc.,
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`HCC Life Insurance Company,
`HCC Specialty Insurance Company,
`HCC Specialty Underwriters, Inc.,
`Houston Casualty Company, and
`Professional Indemnity Agency, Inc.,
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` Defendants
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` §
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`Case No.: 6:15-cv-660-JRG-KNM
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`JURY TRIAL DEMANDED
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`JOINT MOTION TO STAY ALL DEADLINES AND NOTICE OF SETTLEMENT
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`Plaintiffs Intellectual Ventures I LLC and Intellectual Ventures II LLC (collectively
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`“Plaintiffs”) and Defendants HCC Insurance Holdings, Inc., HCC Life Insurance Company, HCC
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`Specialty Insurance Company, HCC Specialty Underwriters, Inc., Houston Casualty Company,
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`and Professional Indemnity Agency, Inc., (collectively “Defendants”) pursuant to the Court’s
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`Standing Order Regarding Notification of Settlement, file this Joint Motion to Stay All Deadlines
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`and Notice of Settlement and would respectfully show as follows:
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`I.
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`All matters in controversy between the parties have been settled, in principle. Plaintiff and
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`Defendants request that the Court stay any existing deadlines contained in the Court’s Docket
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`Control Order in this case for thirty (30) days so that appropriate dismissal papers may be
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`submitted.
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`Joint Motion to Stay All Deadlines and Notice of Settlement
`
`
`1
`
`VMware - Exhibit 1011
`VMware v. IV I - IPR2020-00470
`Page 1 of 3
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`

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`Dated: December 20, 2018
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`Respectfully submitted,
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`_/s/ Derek Gilliland___________
`Derek Gilliland
`Texas State Bar No. 24007239
`Karl Rupp
`Texas State Bar No. 24035243
`Ty Wilson
`Texas State Bar No. 24106583
`NIX PATTERSON L.L.P.
`1845 Woodall Rodgers Frwy. Ste. 1050
`Dallas, Texas 75201
`972.831.1188 (Telephone)
`972.444.0716 (Facsimle)
`dgilliland@nixlaw.com
`twilson@nixlaw.com
`krupp@nixlaw.com
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`ATTORNEYS FOR PLAINTIFFS
`INTELLECTUAL VENTURES I LLC and
`INTELLECTUAL VENTURES II LLC
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`
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`_/s/ Brett Govett_________________
`Brett C. Govett
`Texas State Bar No. 08235900
`NORTON ROSE BULBRIGHT US LLP
`2200 Ross Ave., Ste. 3600
`Dallas, Texas 75201
`214.855.8000 (Telephone)
`214.855.8200 (Facsimile)
`brett.govett@nortonrosefulbright.com
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`Eric B. Hall
`Texas State Bar No. 24012767
`NORTON ROSE BULBRIGHT US LLP
`1301 McKinney Ave. Ste. 5100
`Houston, Texas 77010
`713.651.5627 (Telephone)
`713.651.5246 (Facsimile)
`eric.hall@nortonrosefulbright.com
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`Eric C. Green
`Texas State Bar No. 24069824
`NORTON ROSE BULBRIGHT US LLP
`98 San Jacinto Blvd. Ste. 1100
`Austin, Texas 78701
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`Joint Motion to Stay All Deadlines and Notice of Settlement
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`2
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`VMware - Exhibit 1011
`VMware v. IV I - IPR2020-00470
`Page 2 of 3
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`512.536.3009 (Telephone)
`512.536.4598 (Facsimile)
`eagle.robinson@nortonrosefulbright.com
`
`Michael De Vries (Pro Hac Vice)
`KIRKLAND & ELLIS LLP
`333 South Hope Street
`Los Angeles, California 90071
`213.680.8400 (Telephone)
`213.680.8500 (Facsimile)
`michael.devries@kirkland.com
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`Counsel for Defendants HCC Insurance
`Holdings, Inc.; HCC Life Insurance
`Company; HCC Specialty Insurance
`Company; HCC Specialty Underwriters,
`Inc.; Houston Casualty Company; and
`Professional Indemnity Agency, Inc.
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`CERTIFICATE OF SERVICE
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`I hereby certify that a true and correct copy of the above and foregoing document has been
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`delivered to all counsel of record through the Court’s CM/ECF system on this 20th day of
`December, 2018.
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`_/s/ Derek Gilliland_____
`Derek Gilliland
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`Joint Motion to Stay All Deadlines and Notice of Settlement
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`3
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`VMware - Exhibit 1011
`VMware v. IV I - IPR2020-00470
`Page 3 of 3
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`

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