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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

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Motions and Memoranda - Miscellaneous
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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

Exhibit 2 Complaint in United States v. Baroid Corporation, et al.; filed December 23, 1993

Exhibit 3 Competitive Impact Statement in United States v. Baroid Corporation, et al.; filed December 23, 1993

Exhibit 4 Memorandum of Smith International, Inc. To Modify the Final Judgment; filed June 5, 1996

Exhibit 5 Joint Motion to Modify the Final Judgment and Stipulated Divestiture Agreement

Exhibit 6 Memorandum of the United States in Support of Joint Motion to Modify Final Judgment

Exhibit 7 Order Modifying the Final Judgment in United States v. Baroid Corporation, et al.; entered September 19, 1996

Exhibit 8 February 5, 1999 Joint Venture Agreement between Smith International, Inc. and Schlumberger Ltd., with cover letter from counsel for Schlumberger Ltd.

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

Exhibit 10 July 8, 1999 letter from Sean F. Boland, counsel for Smith International, Inc., to Deputy Assistant Attorney General John M. Nannes

Exhibit 11 July 12, 1999 letter from Sean F. Boland, counsel for Smith International, Inc., to Deputy Assistant Attorney General John M. Nannes

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.

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.
Updated April 18, 2023