IN THE UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF COLUMBIA
____________________________________
UNITED STATES OF AMERICA,
Petitioner,
v.
SMITH INTERNATIONAL, INC., and
SCHLUMBERGER LTD.,
Respondents.
____________________________________
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Supplemental to
Civil Action No. 93-2621 -- SS
Hon. Stanley Sporkin |
APPENDIX TO PETITION BY THE UNITED STATES
FOR AN ORDER TO SHOW CAUSE WHY RESPONDENTS
SMITH INTERNATIONAL, INC. AND SCHLUMBERGER LTD.
SHOULD NOT BE FOUND IN CRIMINAL CONTEMPT
Dated: July 27, 1999 |
Angela L. Hughes
Matthew O. Schad
Attorneys for the United States |
Exhibit 1 |
Final Judgment in United States v. Baroid
Corporation, et al., with related Order ; filed December 23, 1993; entered
April 12, 1994
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Exhibit 2 |
Complaint in United States v. Baroid
Corporation, et al.; filed December 23,
1993
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Exhibit 3 |
Competitive Impact Statement in United
States v. Baroid Corporation, et al.; filed
December 23, 1993
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Exhibit 4 |
Memorandum of Smith International, Inc.
To Modify the Final Judgment; filed June
5, 1996
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Exhibit 5 |
Joint Motion to Modify the Final
Judgment and Stipulated Divestiture
Agreement
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Exhibit 6 |
Memorandum of the United States in
Support of Joint Motion to Modify Final
Judgment
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Exhibit 7 |
Order Modifying the Final Judgment in
United States v. Baroid Corporation, et
al.; entered September 19, 1996
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Exhibit 8 |
February 5, 1999 Joint Venture
Agreement between Smith International,
Inc. and Schlumberger Ltd., with cover
letter from counsel for Schlumberger Ltd.
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Exhibit 9 |
July 1, 1999 letter from Rufus W. Oliver,
III, counsel for Schlumberger Ltd., To
John M. Nannes, Deputy Assistant
Attorney General for the Antitrust
Division
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Exhibit 10 |
July 8, 1999 letter from Sean F. Boland,
counsel for Smith International, Inc., to
Deputy Assistant Attorney General John
M. Nannes
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Exhibit 11 |
July 12, 1999 letter from Sean F. Boland,
counsel for Smith International, Inc., to
Deputy Assistant Attorney General John
M. Nannes
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Exhibit 12 |
July 13, 1999 letter from Deputy
Assistant Attorney General John M.
Nannes to Sean F. Boland, counsel for
Smith International, Inc.; letter copied to
Rufus W. Oliver, III, counsel for
Schlumberger Ltd.
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Exhibit 13 |
July 14, 1999 letter to Angela L. Hughes
from Sean F. Boland, counsel for Smith
International, Inc., attaching a Joint Press
Release Issued by Smith International,
Inc. and Schlumberger Ltd. |
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