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HEINZ BINDER, ESQ., ID # ROBERT G. HARRIS, ESQ., ID # Binder & Malter, LLP PARK AVENUE Santa Clara, California 00 Telephone: (0) -00 Facsimile: (0) -1 Email: Heinz@bindermalter.com Email: Rob@bindermalter.com Attorneys for Reorganized Debtor Technology Properties Limited, LLC 1 UNITED STATES BANKRUPTCY COURT NORTHERN DISTRICT OF CALIFORNIA, DIVISION 1 In re TECHNOLOGY PROPERTIES LIMITED, LLC, Debtor. Case No: - SLJ Chapter 0 EX PARTE APPLICATION BY REORGANIZED DEBTOR TO MODIFY PRIOR STIPULATION FOR CONTINUANCE OF HEARING ON MOTION TO CLARIFY AND IMPLEMENT PRIOR ORDERS (DKT # & #) TO ALLOW CONSIDERATION OF OPPOSITION BRIEF 1 EX PARTE APPLICATION TO MODIFY PRIOR STIPULATION Case: - Doc# Filed: 0/0/ Entered: 0/0/ :: Page 1 of

1 1 0 1 Reorganized debtor Technology Properties Limited, LLC ( TPL ) hereby applies to the Court for an order modifying its Briefing Order 1 to allow consideration of the Response TPL filed on July, 0. TPL respectfully represents as follows in support of this Ex Parte Application: 1. TPL and MCM entered into a Briefing Stipulation on June 1, 0. The Briefing Order provides as follows: 1. The hearing currently set for June, 0 on MCM Portfolio, LLC s Motion to Clarify and Implement Prior Orders (the Motion ) shall be continued to August, 0 at :00 P.M.. Any response by TPL to the on Motion to Clarify and Implement Prior Orders and any TPL counter-motion must be filed and served by July, 0;. Any reply and response to the counter-motion by MCM must be filed and served by July, 0; and,. Any reply by TPL is limited solely to MCM s opposition to the counter-motion, must be filed and served electronically by August, 0.. The schedule in the Briefing Stipulation was not created merely to permit TPL s incumbent counsel, Binder & Malter, to prepare and file an opposition to the Motion. TPL also was initially of the opinion that it needed to file a counter-motion while, at the same time, it had to deal with the fact that Binder & Malter was withdrawing as 1 Order Approving Stipulation For Continuance Of Hearing On Motion To Clarify And Implement Prior Orders (DOCKET # & #) [DKT #]. Response By Reorganized Debtor To Motion To Clarify And Implement Prior Orders (DKT # & #) (the Response ) [DKT #]. MCM Portfolio LLC ( MCM ). Stipulation For Continuance Of Hearing On Motion To Clarify And Implement Prior Orders (Dkt # & #) (the Briefing Stipulation ) [DKT #]. EX PARTE APPLICATION TO MODIFY PRIOR STIPULATION 1 Case: - Doc# Filed: 0/0/ Entered: 0/0/ :: Page of

1 1 0 1 counsel to TPL. TPL s intent in seeking the extension of time embodied in the Briefing Schedule was to enable TPL to find and engage new counsel and to give that successor counsel sufficient time to get up to speed, to prepare an opposition to the Motion, and also to prepare a counter-motion. Binder & Malter withdrew as counsel for TPL on June, 0. MCM was promptly made aware that Binder & Malter had withdrawn as counsel.. On or about July, 0, SVLG confirmed that it had been engaged to advise TPL about bankruptcy maters on a limited basis.. On or about July, 0, MCM granted TPL and confirmed to SVLG, first orally and then in writing, an extension of time to respond to the Motion to Clarify. This occurred after Binder & Malter had withdrawn and during the period it was not counsel for TPL.. On July 0, 0, MCM, though its counsel, asked SVLG why a stipulation to the relief requested in the motion to clarify was not forthcoming as no opposition had been filed.. On July 1, 0, Binder & Malter advised MCM and its counsel that the firm had, after formally withdrawing, been persuaded to return but only to represent TPL in a limited capacity to assist SVLG in the case. The same email attached a draft form of stipulation on the motion to clarify to MCM s counsel seeking to memorialize what seemed to have been mutually agreeable points. Silicon Valley Law Group ( SVLG ) EX PARTE APPLICATION TO MODIFY PRIOR STIPULATION Case: - Doc# Filed: 0/0/ Entered: 0/0/ :: Page of

1 1 0 1. In the absence of a specific response to the terms of the proposed stipulation, TPL elected to forego any counter-motion and prepared, as quickly as possible, a response to the Motion to Clarify. The Response was filed and served 1 days prior to the scheduled August, 0 hearing.. Lack of coordination between SVLG as new counsel coming in, the period during which TPL was not represented, and prior counsel in returning somewhat later, all resulted in a failure by TPL to seek an amendment to the Briefing Order prior to the filing of its Response and before now.. There would be no prejudice to MCM in modifying the Briefing Order. The Response was filed 1 days before the hearing, the period required by BLR 01-1(c)(1). MCM filed a short and timely reply brief. TPL simply elected not to file the counter-motion the Briefing Stipulation contemplated, so no reason exists for MCM to have had extra time to file a simple reply brief. Modifying the Briefing Order to allow the Response to be considered simply returns the parties to the ordinary time frames set in the Bankruptcy Local Rules and allows the Court to rule based on the positions of both parties.. MCM s counsel wishes to argue the merits of this Application on the record at the hearing on August, 0. Thus, unless the parties are successful in negotiating a consensual resolution of the matters set forth in the Motion to Clarify, TPL would ask that the Court permit oral argument of this Application on August th. WHEREFORE, TPL respectfully requests that the Court GRANT the Application, amend the Briefing Order and consider the Response. EX PARTE APPLICATION TO MODIFY PRIOR STIPULATION Case: - Doc# Filed: 0/0/ Entered: 0/0/ :: Page of

1 1 0 1 Dated: August, 0. BINDER & MALTER, LLP By: /s/ Robert G. Harris Robert G. Harris Attorneys for Reorganized Debtor Technology Properties Limited, LLC EX PARTE APPLICATION TO MODIFY PRIOR STIPULATION Case: - Doc# Filed: 0/0/ Entered: 0/0/ :: Page of

HEINZ BINDER, ESQ., ID # ROBERT G. HARRIS, ESQ., ID # Binder & Malter, LLP PARK AVENUE Santa Clara, California 00 Telephone: (0) -00 Facsimile: (0) -1 Email: Heinz@bindermalter.com Email: Rob@bindermalter.com Attorneys for Reorganized Debtor Technology Properties Limited, LLC UNITED STATES BANKRUPTCY COURT NORTHERN DISTRICT OF CALIFORNIA, DIVISION 1 1 In re TECHNOLOGY PROPERTIES LIMITED, LLC, Debtor. Case No: - SLJ Chapter 0 DECLARATION OF COUNSEL IN SUPPORT OF EX PARTE APPLICATION BY REORGANIZED DEBTOR TO MODIFY PRIOR STIPULATION FOR CONTINUANCE OF HEARING ON MOTION TO CLARIFY AND IMPLEMENT PRIOR ORDERS (DKT # & #) TO ALLOW CONSIDERATION OF OPPOSITION BRIEF (BLR 00-1(c)) 1 DECLARATION OF COUNSEL Case: - Doc# -1 Filed: 0/0/ Entered: 0/0/ :: Page 1 of

1 1 0 1 I, Robert G. Harris, know the following matters to be true of my own, personal knowledge and, if called as a witness, could and would testify competently thereto: REASON FOR SHORTENING OF TIME 1. On or about April 1, 0, MCM Portfolio, LLC ( MCM ) filed a Motion to Clarify and Implement Prior Orders ( Motion, Dkt #). In the Motion MCM requested, among other things, that the court require Technology Properties Limited, LLC (the Debtor or TPL ) to conform its conduct to the Court s Order (Dkt #) regarding a patent (the Patent ).. On or about May, 0, MCM filed a Notice of Hearing on Motion to Clarify and Implement Prior Orders (Dkt #) setting a hearing date of June, 0.. TPL and MCM 1 entered into a Briefing Stipulation on June 1, 0. The briefing schedule was not created merely to permit TPL s incumbent counsel, Binder & Malter, to prepare and file an opposition to the Motion. TPL also was initially of the opinion that it needed to file a counter-motion while, at the same time, it had to deal with the fact that Binder & Malter was withdrawing as counsel to TPL. TPL s intent in seeking the extension of time embodied in the Briefing Schedule was to enable TPL to find and engage new counsel, to give successor counsel sufficient time to get up to speed, to prepare an opposition to the Motion, and also to prepare a countermotion. TPL was required by the Briefing Order to file its response to the Motion to Clarify and Implement Prior Orders and any counter-motion by July, 0. 1 MCM Portfolio LLC ( MCM ). Stipulation For Continuance Of Hearing On Motion To Clarify And Implement Prior Orders (Dkt # & #) (the Briefing Stipulation ) [DKT #]. DECLARATION OF COUNSEL 1 Case: - Doc# -1 Filed: 0/0/ Entered: 0/0/ :: Page of

1 1 0 1. Binder & Malter withdrew as counsel for TPL on June, 0. I quickly made MCM aware that Binder & Malter had withdrawn as counsel.. On or about July, 0, SVLG confirmed to me that it had been engaged to advise TPL about bankruptcy maters on a limited basis.. I learned on or about July, 0, that MCM had confirmed to SVLG through its counsel that it had granted TPL an extension of time to respond to the Motion to Clarify. This occurred after my firm had withdrawn and during the period it was not counsel for TPL.. On July 0, 0, MCM, though its counsel, asked SVLG why a stipulation to the relief requested in the motion to clarify was not forthcoming as no opposition had been filed.. On July 1, 0, I advised MCM, through its counsel, that Binder & Malter had, after formally withdrawing, been persuaded to return but only to represent TPL in a limited capacity to assist SVLG in the case. The same email attached a draft form of stipulation on the motion to clarify to MCM s counsel seeking to memorialize what seemed to have been mutually agreeable points.. In the absence of a specific response to the terms of the proposed stipulation, TPL elected to forego any counter-motion and prepared, as quickly as possible, a response to the Motion to Clarify. The Response was filed and served 1 days prior to the scheduled August, 0 hearing. Silicon Valley Law Group ( SVLG ) DECLARATION OF COUNSEL Case: - Doc# -1 Filed: 0/0/ Entered: 0/0/ :: Page of

1 1 0 1 /// /// /// ///. It was the lack of coordination between prospective new counsel coming in, the period during which TPL was not represented, and my firm in returning in a limited capacity somewhat later, that resulted in a failure by TPL to seek an amendment to the Briefing Order prior to the filing of its Response and before now. PREVIOUS TIME MODIFICATIONS RELATED TO THE REQUEST. The only prior time modification with respect to the Motion to Clarify was the Briefing Stipulation continuing the hearing thereon from June, 0, to August, 0. EFFECT ON SCHEDULE FOR CASE PROCEEDING 1. Granting the Application and allowing the Response to be considered will not change the schedule for the main Chapter case as there is a confirmed plan. ABSENCE OF STIPULATION. I spoke with attorney Michael St. James in the morning on August, 0. I described my intent to request that the Response be considered by the Court. He declined to consent to the relief requested but asked me to convey to the Court his request to address the matter in oral argument at the scheduled hearing on August, 0. I can confirm that TPL has no objection to that request. DECLARATION OF COUNSEL Case: - Doc# -1 Filed: 0/0/ Entered: 0/0/ :: Page of

I declare under penalty of perjury of the laws of the United States that the foregoing is true and correct to the best of my knowledge, information and belief. Executed this th day of August, 0, at Santa Clara, California. _/s/ Robert G. Harris ROBERT G. HARRIS 1 1 0 1 DECLARATION OF COUNSEL Case: - Doc# -1 Filed: 0/0/ Entered: 0/0/ :: Page of

1 1 0 1 HEINZ BINDER, ESQ., ID # ROBERT G. HARRIS, ESQ., ID # Binder & Malter, LLP PARK AVENUE Santa Clara, California 00 Telephone: (0) -00 Facsimile: (0) -1 Email: Heinz@bindermalter.com Email: Rob@bindermalter.com Attorneys for Reorganized Debtor Technology Properties Limited, LLC In re UNITED STATES BANKRUPTCY COURT NORTHERN DISTRICT OF CALIFORNIA, DIVISION TECHNOLOGY PROPERTIES LIMITED, LLC, a California limited liability company I, Natalie D. Gonzalez, declare: Debtor. Case No: - SLJ Chapter CERTIFICATE OF SERVICE I am employed in the County of Santa Clara, California. I am over the age of eighteen () years and not a party to the within entitled cause; my business address is Park Avenue, Santa Clara, California 00. On August, 0 I served a true and correct copy of the following document(s): EX PARTE APPLICATION BY REORGANIZED DEBTOR TO MODIFY PRIOR STIPULATION FOR CONTINUANCE OF HEARING ON MOTION TO CLARIFY AND IMPLEMENT PRIOR ORDERS (DKT # & #) TO ALLOW CONSIDERATION OF OPPOSITION BRIEF DECLARATION OF COUNSEL IN SUPPORT OF EX PARTE APPLICATION BY REORGANIZED DEBTOR TO MODIFY PRIOR STIPULATION FOR CONTINUANCE OF HEARING ON MOTION TO CLARIFY AND IMPLEMENT PRIOR ORDERS (DKT # & #) TO ALLOW CONSIDERATION OF OPPOSITION BRIEF (BLR 00-1(C)) via electronic transmission and/or the Court s CM/ECF notification system to the parties registered to receive notice as follows: Case: - Doc# - Filed: 0/0/ Entered: 0/0/ :: Page 1 of CERTIFICATE OF SERVICE - Page 1

1 1 0 1 U.S. Trustee John Wesoloski United States Trustee Office of the U.S. Trustee 0 So. First St., Room San Jose, CA 1 Email: john.wesolowski@usdoj.gov Unsecured Creditors Committee Attorney c/o John Walshe Murray, Esq. c/o Robert Franklin, Esq. c/o Thomas Hwang, Esq. Dorsey & Whitney LLP 0 Lytton Avenue Palo Alto, CA 01 Email: murray.john@dorsey.com Email: franklin.robert@dorsey.com Email: hwang.thomas@dorsey.com Special Notice Patriot Scientific Corp. c/o Gregory J. Charles, Esq. Law Offices of Gregory Charles 1 The Alameda Suite C- San Jose, CA Email: greg@gregcharleslaw.com Arockiyaswamy Venkidu c/o Javed I. Ellahie Ellahie & Farooqui LLP 1 S. First St., Suite 00 San Jose, CA 1 Email: javed@eflawfirm.com OneBeacon Technology Insurance c/o Gregg S. Kleiner, Esq. McKENNA LONG & ALDRIDGE LLP One Market Plaza Spear Tower, th Floor San Francisco, CA Email: gkleiner@mckennalong.com Chester A. Brown, Jr. and Marcie Brown Randy Michelson Michelson Law Group 0 Montgomery Street, Suite 0 San Francisco, CA Email:randy.michelson@michelsonlawgroup.com Special Notice Charles H. Moore c/o Kenneth Prochnow, Esq. Chiles and Prochnow, LLP 00 El Camino Real, Suite, 1 Palo Alto, Ca 0 Email: kprochnow@chilesprolaw.com William Thomas Lewis, Esq. Robertson & Lewis 0 Almaden Blvd., Suite 0 San Jose, CA 1 Email: wtl@roblewlaw.com Farella Braun + Martel LLP Attn: Gary M. Kaplan, Esq. Montgomery Street, th Floor San Francisco, CA Email: gkaplan@fbm.com Cupertino City Center Buildings c/o Christopher H. Hart, Esq. Schnader Harrison Segal & Lewis LLP One Montgomery Street, Suite 00 San Francisco, CA Email: chart@schnader.com Peter C. Califano, Esq. Cooper, White & Cooper LLP 01 California Street, th Floor San Francisco, California 1 E-Mail: pcalifano@cwclaw.com Fujitsu Limited c/o G. Larry Engel, Esq. Kristin A. Hiensch, Esq. Morrison & Foerster LLP Market Street San Francisco, California - Email: Lengel@mofo.com Email: khiensch@mofo.com Sallie Kim GCA Law Partners LLP 0 W. El Camino Real, Suite Mountain View, CA 00 Email: skim@gcalaw.com Case: - Doc# - Filed: 0/0/ Entered: 0/0/ :: Page of CERTIFICATE OF SERVICE - Page

1 1 0 1 Apple, Inc c/o Adam A. Lewis, Esq. Vincent J. Novak, Esq. Morrison & Foerster LLP Market St. San Francisco, CA Email: alewis@mofo.com Email: vnovak@mofo.com Counsel for Hewlett-Packard Company Ellen A. Friedman Friedman, Dumas and Springwater New Montgomery St, #0 San Francisco, CA Email: efriedman@friedmanspring.com Counsel for Cupertino City Center James E. Sell Parton Sell Rhoades 00 Larkspur Landing Circle, Suite 0 Larkspur, CA Email: jsell@partonsell.com VIA ECF HTC Corporation c/o Robert L. Eisenbach III Cooley LLP 1 California Street, th Floor San Francisco, CA 1-00 Email: reisenbach@cooley.com Toshiba Corporation c/o Jon Swenson Baker Botts L.L.P. 01 Page Mill Road Building One, Suite 00 Palo Alto, CA 0 Email: jon.swenson@bakerbotts.com Jessica L. Voyce, Esq C. Luckey McDowell Baker Botts L.L.P. 001 Ross Avenue, Suite 00 Dallas, TX 01 Email: jessica.voyce@bakerbotts.com Email: luckey.mcdowell@bakerbotts.com Attorneys for Sony Corporation Lillian Stenfeldt Sedgwick, LLP Bush Street, 0 th Floor San Francisco, CA Email: lillian.stenfeldt@sedgwicklaw.com Attorney for HSM Portfolio LLC MCM Portfolio LLC Michael St. James, Esq. ST. JAMES LAW, P.C. Montgomery Street, Suite 0 San Francisco, California Email: Ecf@stjames-law.com DAVID V. DUPERRAULT, ESQ. WILLIAM L. BRETSCHNEIDER SILICON VALLEY LAW GROUP 0 W. San Fernando Street, Suite 0 San Jose, CA 1 Email: dvd@svlg.com Email: wlb@svlg.com Executed on August, 0, at Santa Clara, California. I certify under penalty of perjury that the foregoing is true and correct. /s/ Natalie D. Gonzalez Natalie D. Gonzalez Case: - Doc# - Filed: 0/0/ Entered: 0/0/ :: Page of CERTIFICATE OF SERVICE - Page