Case 7:26-mc-00318-LS Document 6-11 Filed 08/18/26 Page 1 of 10 EXHIBIT 10 Case 7:26-mc-00318-LS Document 6-11 Filed 08/18/26 Page 2 of 10 Friday, August 7, 2026 at 1:58:08 PM Pacific Daylight Time Subject: Re: Neural AI, LLC v. Nvidia Corp., 7:24-cv-00221 (W.D. Tex.) - Subpoena to Tesla Date: Tuesday, August 4, 2026 at 11:28:50 AM Pacific Daylight Time From: Tanner Laiche To: Rocco Magni, Gina Cremona CC: Jun Zheng, Emily Portuguese, Tamar Lusztig, Brian Melton, Max Tribble, Samuel Drezdzon, Richard Wojtczak, Rachel Hanna, Ashraf Fawzy Attachments: Neural AI, Third-Party Questions.docx, Neural AI, Draft Third-Party Declaration.docx Counsel, I am following up on Rocco’s email. Despite the parties’ prior meet-and-confers, document discovery in the underlying action closes on August 11. Unless the parties can promptly reach a resolution, that deadline leaves Neural AI no practical alternative but to move to compel by the end of this week or, at the latest, August 10, to preserve its rights. To reduce burden and potentially avoid motion practice, I am attaching a short set of questions intended to guide your investigation and help identify the responsive information, and also recirculating the draft declaration we previously shared, and that Tesla may revise to ensure its accuracy. If Tesla commits to provide an executed declaration, Neural AI is willing to consider accepting the declaration in lieu of further document production and/or deposition testimony, subject to resolving any material gaps. Otherwise, the discovery deadline will force Neural AI to move to compel by or before August 10 to preserve its rights. Even if a motion becomes necessary, we remain open to resolving the issues promptly and mooting or withdrawing the motion through compliance. We are available this week to further meet and confer as necessary. Regards, Tanner Laiche Susman Godfrey LLP 206.505.3816 | tlaiche@susmangodfrey.com 401 Union Street | Suite 3000 | Seattle, WA 98101 HOUSTON • LOS ANGELES • SEATTLE • NEW YORK From: Rocco Magni Date: Sunday, August 2, 2026 at 6:57 PM To: Gina Cremona Cc: Jun Zheng ; Tanner Laiche ; 1 of 9 Case 7:26-mc-00318-LS Document 6-11 Filed 08/18/26 Page 3 of 10 Emily Portuguese ; Tamar Lusztig ; Brian Melton ; Max Tribble ; Samuel Drezdzon ; Richard Wojtczak ; Rachel Hanna ; Ashraf Fawzy Subject: Re: Neural AI, LLC v. Nvidia Corp., 7:24-cv-00221 (W.D. Tex.) - Subpoena to Tesla Gina and Ashraf, Our discovery deadline is approaching soon. Please let us know when you can confer again this upcoming week. Thanks. -- Rocco F. Magni Partner | Susman Godfrey LLP Office: 713.653.7861 Cell: 512.514.3519 Firm Bio This e-mail may contain privileged and confidential information. If you received this message in error, please notify the sender and delete it immediately. From: Rocco Magni Date: Tuesday, July 28, 2026 at 6:52 PM To: Gina Cremona Cc: Jun Zheng ; Tanner Laiche ; Emily Portuguese ; Tamar Lusztig ; Brian Melton ; Max Tribble ; Samuel Drezdzon ; Richard Wojtczak ; Rachel Hanna ; Ashraf Fawzy Subject: Re: Neural AI, LLC v. Nvidia Corp., 7:24-cv-00221 (W.D. Tex.) - Subpoena to Tesla Gina and Ashraf, Thanks for speaking today. Attached is a draft of the declaration I referred to on our call. Best, Rocco -- Rocco F. Magni Partner | Susman Godfrey LLP 2 of 9 Case 7:26-mc-00318-LS Document 6-11 Filed 08/18/26 Page 4 of 10 Office: 713.653.7861 Cell: 512.514.3519 Firm Bio This e-mail may contain privileged and confidential information. If you received this message in error, please notify the sender and delete it immediately. From: Gina Cremona Date: Thursday, July 23, 2026 at 9:45 AM To: Rocco Magni Cc: Jun Zheng ; Tanner Laiche ; Emily Portuguese ; Tamar Lusztig ; Brian Melton ; Max Tribble ; Samuel Drezdzon ; Richard Wojtczak ; Rachel Hanna ; Ashraf Fawzy Subject: Re: Neural AI, LLC v. Nvidia Corp., 7:24-cv-00221 (W.D. Tex.) - Subpoena to Tesla EXTERNAL Email Hi Rocco, we are not available today. From: Rocco Magni Sent: Wednesday, July 22, 2026 12:01 PM To: Gina Cremona Cc: Jun Zheng ; Tanner Laiche ; Emily Portuguese ; Tamar Lusztig ; Brian Melton ; Max Tribble ; Samuel Drezdzon ; Richard Wojtczak ; Rachel Hanna ; Ashraf Fawzy Subject: Re: Neural AI, LLC v. Nvidia Corp., 7:24-cv-00221 (W.D. Tex.) - Subpoena to Tesla Would tomorrow work? -- Rocco F. Magni Partner | Susman Godfrey LLP Office: 713.653.7861 Cell: 512.514.3519 Firm Bio This e-mail may contain privileged and confidential information. If you received this message in 3 of 9 Case 7:26-mc-00318-LS Document 6-11 Filed 08/18/26 Page 5 of 10 error, please notify the sender and delete it immediately. On Jul 22, 2026, at 2:54 PM, Gina Cremona wrote: EXTERNAL Email Hi Rocco, We are not available on Friday, but can meet on Tuesday, July 28 between 8-10 am PT. Thanks, Gina From: Rocco Magni Sent: Wednesday, July 22, 2026 6:54 AM To: Jun Zheng ; Gina Cremona Cc: Tanner Laiche ; Emily Portuguese ; Tamar Lusztig ; Brian Melton ; Max Tribble ; Samuel Drezdzon ; Richard Wojtczak ; Rachel Hanna ; Ashraf Fawzy ; Jun Zheng Subject: Re: Neural AI, LLC v. Nvidia Corp., 7:24-cv-00221 (W.D. Tex.) - Subpoena to Tesla Jun, Please provide times to meet and confer on Friday 7/24. Thanks. -- Rocco F. Magni Partner | Susman Godfrey LLP Office: 713.653.7861 Cell: 512.514.3519 Firm Bio This e-mail may contain privileged and confidential information. If you received this message in error, please notify the sender and delete it immediately. 4 of 9 Case 7:26-mc-00318-LS Document 6-11 Filed 08/18/26 Page 6 of 10 From: Jun Zheng Date: Tuesday, July 21, 2026 at 7:37 PM To: Rocco Magni ; Gina Cremona Cc: Tanner Laiche ; Emily Portuguese ; Tamar Lusztig ; Brian Melton ; Max Tribble ; Samuel Drezdzon ; Richard Wojtczak ; Rachel Hanna ; Ashraf Fawzy ; Jun Zheng Subject: Re: Neural AI, LLC v. Nvidia Corp., 7:24-cv-00221 (W.D. Tex.) - Subpoena to Tesla EXTERNAL Email Rocco, We understand from the email exchange below that the noticed date for testimony subpoena is now Sept. 14, 2026. In the meantime, attached please find Tesla's objections and responses to Neural AI's subpoena. Thanks! Jun Zheng Sr. Counsel, IP Litigation 1 Tesla Road, Austin, TX 78725 E. zhengjun@tesla.com From: Gina Cremona Sent: Monday, July 20, 2026 1:07 PM To: Rocco Magni Cc: Tanner Laiche ; Emily Portuguese ; Tamar Lusztig ; Brian Melton ; Max Tribble ; Samuel Drezdzon ; Richard Wojtczak ; Rachel Hanna ; Ashraf Fawzy ; Jun 5 of 9 Case 7:26-mc-00318-LS Document 6-11 Filed 08/18/26 Page 7 of 10 Zheng Subject: Re: Neural AI, LLC v. Nvidia Corp., 7:24-cv-00221 (W.D. Tex.) - Subpoena to Tesla Hi Rocco, Tesla cannot provide an agreed date for deposition until we have reviewed and responded to the subpoenas. However, we can agree to Sept. 14 as the noticed date for testimony subpoena for now, subject to modification once we have responded to the document subpoena. Regards, Gina From: Rocco Magni Sent: Wednesday, July 15, 2026 12:58 PM To: Gina Cremona Cc: Tanner Laiche ; Emily Portuguese ; Tamar Lusztig ; Brian Melton ; Max Tribble ; Samuel Drezdzon ; Richard Wojtczak ; Rachel Hanna Subject: Re: Neural AI, LLC v. Nvidia Corp., 7:24-cv-00221 (W.D. Tex.) - Subpoena to Tesla Gina, We’ll agree to pull down the July 28 date once we have an agreed replacement date. Let us know what date works for you and we’ll withdraw the current notice. Thanks. -- Rocco F. Magni Partner | Susman Godfrey LLP Office: 713.653.7861 Cell: 512.514.3519 Firm Bio This e-mail may contain privileged and confidential information. If you received this message in error, please notify the sender and delete it immediately. 6 of 9 Case 7:26-mc-00318-LS Document 6-11 Filed 08/18/26 Page 8 of 10 On Jul 15, 2026, at 3:54 PM, Gina Cremona wrote: EXTERNAL Email Hi Rocco, Understood. To confirm, the deposition date of July 28 is ok calendar, and we will work on agreeing to a new date. Regards, Gina From: Rocco Magni Sent: Tuesday, July 14, 2026 5:28 PM To: Gina Cremona ; Tanner Laiche ; Emily Portuguese Cc: Tamar Lusztig ; Brian Melton ; Max Tribble ; Samuel Drezdzon ; Richard Wojtczak ; Rachel Hanna Subject: Re: Neural AI, LLC v. Nvidia Corp., 7:24-cv-00221 (W.D. Tex.) - Subpoena to Tesla Ms. Cremona, Discovery has not been extended; only depositions. Written discovery will still close on August 11. We can work with you on a deposition date between now and September 14. But we do not have flexibility on the timing of your RFP responses and document production beyond the 1 week extension we noted below. Best, Rocco -- 7 of 9 Case 7:26-mc-00318-LS Document 6-11 Filed 08/18/26 Page 9 of 10 Rocco F. Magni Partner | Susman Godfrey LLP Office: 713.653.7861 Cell: 512.514.3519 Firm Bio This e-mail may contain privileged and confidential information. If you received this message in error, please notify the sender and delete it immediately. From: Gina Cremona Date: Tuesday, July 14, 2026 at 8:19 PM To: Tanner Laiche ; Emily Portuguese Cc: Rocco Magni ; Tamar Lusztig ; Brian Melton ; Max Tribble ; Samuel Drezdzon ; Richard Wojtczak ; Rachel Hanna Subject: Re: Neural AI, LLC v. Nvidia Corp., 7:24-cv-00221 (W.D. Tex.) - Subpoena to Tesla EXTERNAL Email Counsel, It has come to our attention that the discovery deadline in this case has been extended. Due to summer vacations and people being out of the okice, we renew our request for an additional 2-week extension such that our deadlines will be Aug. 4 and Aug. 11. Regards, Gina From: Tanner Laiche Sent: Monday, July 6, 2026 5:20 PM To: Gina Cremona ; Emily Portuguese Cc: Rocco Magni ; Tamar Lusztig ; Brian Melton ; Max Tribble ; Samuel Drezdzon ; Richard Wojtczak ; Rachel Hanna 8 of 9 Case 7:26-mc-00318-LS Document 6-11 Filed 08/18/26 Page 10 of 10 Subject: Re: Neural AI, LLC v. Nvidia Corp., 7:24-cv-00221 (W.D. Tex.) - Subpoena to Tesla Counsel, Thanks for reaching out. Given the upcoming close of fact discovery, Neural AI is not able to agree to a three-week extension. That said, we can agree to a one-week extension for Tesla’s written objections/responses to the subpoena(s). A copy of the Protective Order is attached. Regards, Tanner Laiche Susman Godfrey LLP 206.505.3816 | tlaiche@susmangodfrey.com 401 Union Street | Suite 3000 | Seattle, WA 98101 HOUSTON • LOS ANGELES • SEATTLE • NEW YORK From: Gina Cremona Date: Thursday, July 2, 2026 at 7:21 PM To: Emily Portuguese Subject: Neural AI, LLC v. Nvidia Corp., 7:24-cv-00221 (W.D. Tex.) - Subpoena to Tesla EXTERNAL Email Counsel, We are in receipt of your Subpoena to Produce Documents and Subpoena for Testimony. Due to the holiday weekend and vacation schedules, we request a three-week extension to respond such that our deadlines will be Aug. 4 and Aug. 11. Additionally, please provide us with a copy of the protective order. Regards, Gina Gina H. Cremona Senior Counsel, IP Litigation 1501 Page Mill Rd., Palo Alto, CA 94304 E. gcremona@tesla.com T. 650.647.0015 9 of 9