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Case 2:23-cv-00059-JRG-RSP Document 242 Filed 01/02/25 Page 1 of 4 PageID #:
`12940
`
`IN THE UNITED STATES DISTRICT COURT
`FOR THE EASTERN DISTRICT OF TEXAS
`MARSHALL DIVISION
`TOUCHSTREAM TECHNOLOGIES, INC.,
`
`Plaintiff,
`
`v.
`
`CHARTER COMMUNICATIONS, INC. et
`al.,
`
`Defendants.
`
`TOUCHSTREAM TECHNOLOGIES, INC.,
`
`Plaintiff,
`
`v.
`
`COMCAST CABLE COMMUNICATIONS,
`LLC, D/B/A XFINITY, et al.,
`
`Defendants.
`
`
`
`Lead Case No. 2:23-cv-00059-JRG
`Member Case No. 2:23-cv-00062-JRG
`
`
`SECOND SUPPLEMENTAL JOINT NOTICE REGARDING
`PRETRIAL AGREEMENTS
`
`
`
`Plaintiff Touchstream Technologies, Inc. (“Touchstream”) and Defendants Comcast
`
`Cable Communications, LLC, et al. (“Comcast”) jointly submit this second supplemental
`
`notification of agreements further narrowing disputes in advance of the pretrial conference on
`
`January 3, 2024.1
`
`
`
`Attached as Exhibits A1 (Joint Exhibit List), A2 (Touchstream’s Non-Joint Exhibit
`
`List), and A3 (Comcast’s Non-Joint Exhibit List) are the parties’ revised exhibit lists, which reflect
`
`the parties’ further narrowing of objections. Also attached as Exhibit B is the parties’ revised day
`
`
`1 The parties’ proposed jury instructions remain unchanged from the previous joint submission
`on December 16, 2024. See Dkt. No. 222, Ex. B.
`
`1
`
`

`

`Case 2:23-cv-00059-JRG-RSP Document 242 Filed 01/02/25 Page 2 of 4 PageID #:
`12941
`
`1 deposition designations and objections, which reflect the parties’ further narrowing of
`
`designations, counter-designations, and objections thereto. The parties have agreed to the exhibits
`
`on the Joint Exhibit List only insofar as they are not excluded by the Court’s rulings on the parties’
`
`motions to strike and motions for summary judgment, and the parties reserve the right to object to
`
`any exhibits currently on the Joint Exhibit List as well as any deposition designations should the
`
`Court grant any of those motions.
`
`Although the parties preserve their objections to the exhibits and designations in Exhibits
`
`A1, A2, A3, and B that are implicated by their motions in limine, the parties have removed certain
`
`objections because Magistrate Judge Payne has resolved them in his rulings on the parties’ Motions
`
`in Limine.
`
`Specifically, while Comcast objects to the admissibility of PTX-020, PTX-021, PTX-
`
`022, PTX-024, PTX-026, PTX-027, PTX-029, PTX-031, PTX-032, PTX-085, JTX-018, JTX-020,
`
`JTX-021, JTX-022, JTX-023, JTX-024, JTX-027, JTX-063, JTX-064, DTX-029, DTX-031, DTX-
`
`032, DTX-035, DTX-041, DTX-044, DTX-050, DTX-051, DTX-054, DTX-056, and DTX-078,
`
`as well as certain deposition testimony of Jamie Cohen, Tony Werner, Jeffrey Pinard, Linda
`
`Yaccarino, Gil Beyda, Michael Rinzler, and Rajiv Lulla under Fed. R. Evid. 402 and 403 for the
`
`reasons stated in Comcast’s Motion in Limine No. 3, those objections have been resolved in the
`
`ruling on that motion. Similarly, while Comcast objects to DTX-083, as well as certain deposition
`
`testimony of Anandhan Subbiah and Sharon Cilione-Berger, under Fed. R. Evid. 402 and 403 for
`
`the reasons stated in Comcast’s Motion in Limine No. 2, those objections have been resolved in
`
`the ruling on that motion. Finally, while Comcast objects to PTX-009, as well as certain deposition
`
`testimony of Ernest Pighini and Scott Manning, under Fed. R. Evid. 402 and 403 for the reasons
`
`stated in Comcast’s Motion in Limine No. 4, those objections have been resolved in the ruling on
`
`2
`
`

`

`Case 2:23-cv-00059-JRG-RSP Document 242 Filed 01/02/25 Page 3 of 4 PageID #:
`12942
`
`that motion.
`
`Furthermore, Touchstream has withdrawn objections to certain exhibits and deposition
`
`testimony in view of the Court’s rulings on the Motions in Limine. Touchstream has also
`
`withdrawn certain affirmative designations for the deposition of Tony Werner based on the Court’s
`
`ruling on Comcast’s Motion in Limine No. 1.
`
`The parties have further agreed that Touchstream’s authentication and foundation
`
`objections to DTX-017 will be deferred until foundation can be laid through a trial witness.
`
`
`
`The parties reserve the right to amend, supplement, or modify these proposed materials
`
`as the case proceeds toward trial and as the parties continue to meet and confer regarding these
`
`materials in an attempt to further remove disputed issues.
`
`Date: January 2, 2025
`
`Respectfully submitted,
`
`/s/ Ryan Dykal s
`Lead Counsel
`
`Ryan D. Dykal (pro hac vice)
`Jordan T. Bergsten (pro hac vice)
`Mark Schafer (pro hac vice)
`Philip A. Eckert (pro hac vice)
`Anita Liu (TX State Bar No. 24134054)
`BOIES SCHILLER FLEXNER LLP
`1401 New York Ave, NW
`Washington, DC, DC 20005
`(t) 202-274-1109
`rdykal@bsfllp.com
`jbergsten@bsfllp.com
`mschafer@bsfllp.com
`peckert@bsfllp.com
`aliu@bsfllp.com
`
`John Michael Lyons (pro hac vice)
`Sabina Mariella (pro hac vice)
`Sophie Roytblat (pro hac vice)
`BOIES SCHILLER FLEXNER LLP
`55 Hudson Yards, 20th Floor
`New York, NY 10001
`
`/s/ Ashok Ramani s
`Lead Counsel
`
`Ashok Ramani (CA Bar No. 200020)
`David J. Lisson (CA Bar No. 250994)
`James Y. Park (CA Bar No. 343659)
`Micayla Hardisty (CA Bar No. 333246)
`Keon Zemoudeh (CA Bar No. 343023)
`DAVIS POLK & WARDWELL LLP
`900 Middlefield Rd., Suite 200
`Redwood City, CA 94063
`ashok.ramani@davispolk.com
`david.lisson@davispolk.com
`james.park@davispolk.com
`keon.zemoudeh@davispolk.com
`
`Alena Farber (NY Bar No. 5896170)
`DAVIS POLK & WARDWELL LLP
`450 Lexington Avenue
`New York, NY 10017
`alena.farber@davispolk.com
`
`Deron Dacus (State Bar No. 00790553)
`THE DACUS FIRM, P.C.
`
`3
`
`

`

`Case 2:23-cv-00059-JRG-RSP Document 242 Filed 01/02/25 Page 4 of 4 PageID #:
`12943
`
`jlyons@bsfllp.com
`smariella@bsfllp.com
`sroytblat@bsfllp.com
`
`
`
`
`
`Melissa Smith
`(TX State Bar No. 24001351)
`GILLAM & SMITH LLP
`303 S. Washington Ave.
`Marshall, TX 75670
`(t) 903-934-8450
`melissa@gillamsmithlaw.com
`
`Counsel for Plaintiff
`Touchstream Technologies, Inc.
`
`
`
`
`
`
`
`
`
`821 ESE Loop 323, Suite 430
`Tyler, TX 75701
`Tel:(903) 705-1117
`ddacus@dacusfirm.com
`
`Thomas G. Saunders (NY Bar No. 4429387)
`WILMER CUTLER PICKERING HALE AND
`DORR LLP
`2100 Pennsylvania Ave, NW
`Washington, DC 20007
`thomas.saunders@wilmerhale.com
`Lauren E. Matlock-Colangelo (NY Bar No.
`5771340)
`WILMER CUTLER PICKERING HALE AND
`DORR LLP
`7 World Trade Center
`250 Greenwich St
`New York, NY 10007
`lauren.matlock-colangelo@wilmerhale.com
`
`Counsel for Defendants Comcast Cable
`Communications, LLC, Comcast Cable
`Communications Management, LLC, Comcast of
`Houston, LLC, and Comcast Corporation
`
`
`
`
`
`
`
`
`
`4
`
`

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