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Case 5:21-cv-04653-BLF Document 153 Filed 11/14/23 Page 1 of 4
`
`BAKER BOTTS L.L.P.
`Jeremy J. Taylor (SBN 249075)
`jeremy.taylor@bakerbotts.com
`Arya Moshiri (SBN 324231)
`arya.moshiri@bakerbotts.com
`101 California St., Ste. 3600
`San Francisco, CA 94111
`Telephone: 415.291.6200
`Facsimile: 415.291.6300
`Kurt M. Pankratz (pro hac vice)
`kurt.pankratz@bakerbotts.com
`Bethany R. Salpietra (pro hac vice)
`bethany.salpietra@bakerbotts.com
`2001 Ross Ave., Ste. 900
`Dallas, TX 75201
`Telephone: 214.953.6500
`Facsimile: 214.953.6503
`Attorneys for Plaintiff Lyft, Inc.
`
`Alfred R. Fabricant (pro hac vice)
`afabricant@fabricantllp.com
`Peter Lambrianakos (pro hac vice)
`plambrianakos@fabricantllp.com
`Vincent J. Rubino, III (pro hac vice)
`vrubino@fabricantllp.com
`Enrique Iturralde (pro hac vice)
`eiturralde@fabricantllp.com
`FABRICANT LLP
`411 Theodore Fremd Road, Suite 206
`South Rye, New York 10580
`Telephone: (212) 257-5797
`Facsimile: (212) 257-5796
`
`Attorneys for Defendant/Counterclaim
`Plaintiff AGIS Software Development LLC
`
`Additional counsel listed on signature page
`
`UNITED STATES DISTRICT COURT
`NORTHERN DISTRICT OF CALIFORNIA
`
`LYFT, INC.
`
`Case No. 5:21-cv-04653-BLF
`
`Plaintiff,
`
`PARTIES’ JOINT STATUS UPDATE
`
`v.
`AGIS SOFTWARE DEVELOPMENT LLC,
`Defendant.
`
`Judge: Hon. Beth Labson Freeman
`Trial Date:
`Courtroom: 3, Fifth Floor
`
`Pursuant to the Court’s May 19, 2022 Order staying this action pending disposition of the ex
`parte reexaminations (“EPR”) before the United State Patent and Trademark Office (“USPTO”) and
`the inter partes review (“IPR”) proceedings before the Patent Trial and Appeals Board, and the
`Court’s May 18, 2023 Order Directing Parties to Submit Further Status Update, Plaintiff Lyft, Inc.
`(“Lyft”) and Defendant AGIS Software Development LLC (“AGIS”) (collectively, the “Parties”)
`submit this Joint Status Report regarding the status of the EPRs concerning U.S. Patent Nos.
`7,031,728 (the “’728 Patent”), 7,630,724 (the “’724 Patent”), and 8,213,970 (the “’970 Patent”),
`
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`PARTIES’ STATUS UPDATE
`
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`CASE NO. 5:21-cv-04653-BLF
`
`

`

`Case 5:21-cv-04653-BLF Document 153 Filed 11/14/23 Page 2 of 4
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`and the IPR proceedings relating to U.S. Patent Nos. 10,299,100 (the “’100 Patent”) and 10,341,838
`(the “’838 Patent”).
` The EPR concerning the ’728 Patent (Serial No. 90/014,890) is concluded with no
`amendments or cancellations to any challenged claims. A Reexamination Certificate
`issued on April 18, 2023.
` The EPR concerning the ’724 Patent (Serial No. 90/014,889) is currently pending,
`awaiting a response from AGIS to the USPTO’s Advisory Action. The USPTO
`issued an Order Granting Ex Parte Reexamination on December 7, 2021 and,
`subsequently, issued a Non-Final Office Action on July 7, 2022, rejecting claims 9
`and 12-16 under 35 U.S.C. § 103.1 On November 7, 2022, AGIS filed its Response
`to the July 7, 2022 Non-Final Office Action, which included amendments to
`independent claims 9 and 16 and added new dependent claims 17-18, in addition to
`remarks. The USPTO subsequently issued a Final Office Action on December 22,
`2022, rejecting claims 9 and 12-16 under 35 U.S.C. § 112 and 35 U.S.C. § 103.2
`Claims 16 and 18 were further rejected under 35 U.S.C. § 305 as enlarging the scope
`of the claims being reexamined. On April 24, 2023, AGIS filed its Response to the
`December 22, 2022 Final Office Action, which included amendments to independent
`claims 9 and 16, in addition to remarks. On May 3, 2023, the USPTO issued an
`Advisory Action stating that AGIS’s proposed amendments from its April 24, 2023
`Response would not be entered. On June 20, 2023, AGIS filed a Supplemental
`Response, cancelling dependent claims 17 and 18 in response to the May 3, 2023
`Advisory Action stating they raised new issues. On June 22, 2023, AGIS filed a
`Notice of Appeal. On June 29, 2023, the USPTO issued an Advisory Action
`indicating that AGIS overcame some of the rejections but that claims 9-10 and 12-
`16 remain rejected under 35 U.S.C. § 112 and 35 U.S. C. § 103. On August 14, 2023,
`AGIS submitted a petition for a two-month extension of time to file an Appeal Brief
`
`1 The Non-Final Office Action dated December 7, 2021 also rejects claim 10.
`2 The Final Office Action dated December 22, 2022 also rejects claim 10 and newly added claims 17-18.
`
`PARTIES’ STATUS UPDATE
`
`2
`
`CASE NO. 5:21-cv-04653-BLF
`
`

`

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`Case 5:21-cv-04653-BLF Document 153 Filed 11/14/23 Page 3 of 4
`
`associated with the Notice of Appeal. On August 15, 2023, the USPTO granted
`AGIS’s request to extend the time to file the Appeal Brief. On October 23, 2023,
`AGIS filed its Appeal Brief.
` The IPR petitions filed by Lyft challenging the ’100 Patent (IPR2022-00514;
`IPR2022-00515) were both instituted on June 2, 2022. On May 25, 2023, the PTAB
`issued a Final Written Decision, ordering that all claims of the ’100 Patent are
`unpatentable. On July 27, 2023 (CAFC-23-2237), AGIS filed a Notice of Appeal of
`the Final Written Decision. On August 24, 2023, the Federal Circuit ordered that the
`appeals for the IPRs involving the ’100 and ’838 Patents be consolidated. On
`October 5, AGIS filed a motion to extend the time to file Appellant’s Brief to January
`12, 2024. On October 6, 2023, the Federal Circuit granted this motion.
` The IPR petition filed by Lyft challenging the ’838 Patent (IPR2022-00513) was
`instituted on June 2, 2022. On May 25, 2023, the PTAB issued a Final Written
`Decision, ordering that all claims of the ’838 Patent are unpatentable. On July 27,
`2023 (CAFC-23-2237), AGIS filed a Notice of Appeal of the Final Written Decision.
`On August 24, 2023, the Federal Circuit ordered that the appeals for the IPRs
`involving the ’100 and ’838 Patents be consolidated. On October 5, AGIS filed a
`motion to extend the time to file Appellant’s Brief to January 12, 2024. On October
`6, 2023, the Federal Circuit granted this motion.
` The “’970 Patent” is not subject to any EPRs or IPR proceedings.
` The EPR concerning the ’970 Patent (Serial No. 90/014,507) is concluded with
`amendments to the challenged claims. A Reexamination Certificate issued on
`December 12, 2021.
`
`Dated: November 14, 2023
`
`Respectfully submitted,
`
`/s/ Vincent J. Rubino, III
`Vincent J. Rubino, III
`
`Alfred R. Fabricant (pro hac vice)
`afabricant@fabricantllp.com
`
`By:
`
`/s/ Jeremy J. Taylor
`Jeremy J. Taylor
`
`Jeremy J. Taylor (SBN 249075)
`Arya Moshiri (SBN 324231)
`
`PARTIES’ STATUS UPDATE
`
`3
`
`CASE NO. 5:21-cv-04653-BLF
`
`

`

`Case 5:21-cv-04653-BLF Document 153 Filed 11/14/23 Page 4 of 4
`
`jeremy.taylor@bakerbotts.com
`arya.moshiri@bakerbotts.com
`BAKER BOTTS L.L.P.
`101 California St., Ste. 3600
`San Francisco, CA 94111
`Telephone: 415.291.6200
`Facsimile: 415.291.6300
`Kurt M. Pankratz (pro hac vice)
`kurt.pankratz@bakerbotts.com
`Bethany R. Salpietra (pro hac vice)
`bethany.salpietra@bakerbotts.com
`BAKER BOTTS L.L.P.
`2001 Ross Ave., Ste. 900
`Dallas, TX 75201
`Telephone: 214.953.6500
`Facsimile: 214.953.6503
`
`Attorneys for Plaintiff Lyft, Inc.
`
`Peter Lambrianakos (pro hac vice)
`plambrianakos@fabricantllp.com
`Vincent J. Rubino, III (pro hac vice)
`vrubino@fabricantllp.com
`Enrique Iturralde (pro hac vice)
`eiturralde@fabricantllp.com
`FABRICANT LLP
`411 Theodore Fremd Road, Suite 206
`South Rye, New York 10580
`Telephone: (212) 257-5797
`Facsimile: (212) 257-5796
`
`Benjamin T. Wang (CA SBN 228712)
`bwang@raklaw.com
`Minna Y. Chan (CA SBN 305941)
`mchan@raklaw.com
`RUSS AUGUST & KABAT
`12424 Wilshire Boulevard, 12th Floor
`Los Angeles, California 90025
`Telephone: (310) 826-7474
`Facsimile (310) 826-9226
`
`Attorneys for Defendant/Counterclaim
`Plaintiff AGIS Software Development LLC
`
`ATTESTATION OF CONCURRENCE IN FILING
`Pursuant to Northern District of California Local Rule 5-1(i)(3), I attest that concurrence in
`the filing of this document has been obtained from the other Signatories to this document.
`
`By:
`
`/s/ Jeremy J. Taylor
`Jeremy J. Taylor
`
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`PARTIES’ STATUS UPDATE
`
`4
`
`CASE NO. 5:21-cv-04653-BLF
`
`

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