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`CALDARELLI HEJMANOWSKI & PAGE LLP
`William J. Caldarelli (SBN #149573)
`Ben West (SBN #251018)
`12340 El Camino Real, Suite 430
`San Diego, CA 92130
`Telephone: (858) 720-8080
`Facsimile: (858) 720-6680
`wjc@chplawfirm.com
`dbw@chplawfirm.com
`
`FABIANO LAW FIRM, P.C.
`Michael D. Fabiano (SBN #167058)
`12526 High Bluff Drive, Suite 300
`San Diego, CA 92130
`Telephone: (619) 742-9631
`mdfabiano@fabianolawfirm.com
`
`OSBORNE LAW LLC
`John W. Osborne (Appointed Pro Hac Vice)
`33 Habitat Lane
`Cortlandt Manor, NY 10567
`Telephone: (914) 714-5936
`josborne@osborneipl.com
`
`WATTS LAW OFFICES
`Ethan M. Watts (SBN #234441)
`12340 El Camino Real, Suite 430
`San Diego, CA 92130
`Telephone: (858) 509-0808
`Facsimile: (619) 878-5784
`emw@ewattslaw.com
`
`Attorneys for Plaintiff Ameranth, Inc.
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`FIRST AMENDED COMPLAINT FOR PATENT INFRINGEMENT
`AGAINST STUBHUB, INC.
`12-cv-1646-DMS-WVG
`
`
`
`Case 3:12-cv-01646-DMS-WVG Document 37 Filed 09/30/13 Page 2 of 21
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`
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`AMERANTH, INC.,
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`STUBHUB, INC.,
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`
`UNITED STATES DISTRICT COURT
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`SOUTHERN DISTRICT OF CALIFORNIA
`
`Civil Action No. 12-cv-1646 DMS-WVG
`
`Consolidated with
`11-cv-01810-DMS-WVG
`
`FIRST AMENDED COMPLAINT FOR
`PATENT INFRINGEMENT AGAINST
`STUBHUB, INC.
`
`DEMAND FOR JURY TRIAL
`
`
`
`
`Defendant.
`
`
`Plaintiff,
`
`v.
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`
`
`
`
`FIRST AMENDED COMPLAINT FOR PATENT INFRINGEMENT
`AGAINST STUBHUB, INC.
`12-cv-1646-DMS-WVG
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`Case 3:12-cv-01646-DMS-WVG Document 37 Filed 09/30/13 Page 3 of 21
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`
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`FIRST AMENDED COMPLAINT FOR PATENT INFRINGEMENT
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`Plaintiff Ameranth, Inc. (“Ameranth”), for its First Amended Complaint
`
`against defendant StubHub, Inc. (“StubHub”), avers as follows:
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`PARTIES
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`1. Plaintiff Ameranth is a Delaware corporation having a principal place
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`of business at 5820 Oberlin Drive, Suite 202, San Diego, California 92121.
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`Ameranth develops, manufactures and sells, inter alia, hospitality industry,
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`entertainment, restaurant and food service information technology solutions
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`under the trademarks 21st Century Communications™, and 21st Century
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`Restaurant™, among others, comprising the synchronization and integration of
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`hospitality information and hospitality software applications between fixed,
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`wireless and/or internet applications, including but not limited to computer
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`servers, web servers, databases, affinity/social networking systems, desktop
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`computers, laptops, “smart” phones and other wireless handheld computing
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`devices.
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`2. Defendant StubHub, is, on information and belief, a Delaware
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`corporation having a principal place of business and headquarters in San Jose,
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`California. On information and belief, StubHub makes, uses, offers for sale or
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`license and/or sells or licenses entertainment box office management and
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`ticketing/ticket
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`sales/ticket purchases
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`information-technology products,
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`software, components and/or systems within this Judicial District, including the
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`StubHub System as defined herein.
`
`JURISDICTION AND VENUE
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`3. This is an action for patent infringement arising under the Patent Laws
`
`of the United States, 35 U.S.C. §§ 271, 281-285.
`
`4. This Court has subject matter jurisdiction pursuant to 28 U.S.C. §§
`
`1331 and 1338(a).
`
`1
`FIRST AMENDED COMPLAINT FOR PATENT INFRINGEMENT
`AGAINST STUBHUB, INC.
`12-cv-1646-DMS-WVG
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`Case 3:12-cv-01646-DMS-WVG Document 37 Filed 09/30/13 Page 4 of 21
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`5. On information and belief, Defendant engages in (a) the offer for sale
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`or license and sale or license of hospitality industry, ticketing, reservations,
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`and/or ordering products and/or components in the United States, including this
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`Judicial District, including services, products, software, and components,
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`comprising wireless and internet POS and/or hospitality aspects; (b) the
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`installation and maintenance of said services, products, software, components
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`and/or systems in hospitality industry, ticketing, reservations, ordering, and/or
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`entertainment information technology systems in the United States, including
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`this Judicial District; and/or (c) the use of hospitality industry, ticketing,
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`reservations, ordering, and/or entertainment information technology systems
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`comprising said services, products, software, components and/or systems in the
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`United States, including this Judicial District.
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`6. This Court has personal jurisdiction over Defendant because Defendant
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`commits acts of patent infringement in this Judicial District including, inter
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`alia, making, using, offering for sale or license, and/or selling or licensing
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`infringing services, products, software, components and/or systems in this
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`Judicial District. Additionally, Defendant has already appeared in this action
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`and submitted to the jurisdiction of the Court. StubHub has continued to
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`engage in and perform such acts of infringement since the filing and service of
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`the original complaint in this matter accusing StubHub of infringement of the
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`Ameranth patents at issue herein.
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`7. Venue is proper in this Judicial District pursuant to 28 U.S.C. §§
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`1391(b) and (c) and 1400(b).
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`BACKGROUND
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`8. Ameranth was established in 1996 to develop and provide its 21st
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`Century Communications™ innovative information technology solutions for
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`the hospitality industry (inclusive of, e.g., restaurants, hotels, casinos,
`2
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`FIRST AMENDED COMPLAINT FOR PATENT INFRINGEMENT
`AGAINST STUBHUB, INC.
`12-cv-1646-DMS-WVG
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`Case 3:12-cv-01646-DMS-WVG Document 37 Filed 09/30/13 Page 5 of 21
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`nightclubs, cruise ships and other entertainment and sports venues). Ameranth
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`has been widely recognized as a technology leader in the provision of wireless
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`and internet-based systems and services to, inter alia, restaurants, hotels,
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`casinos, cruise ships and entertainment and sports venues. Ameranth’s award
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`winning inventions enable, in relevant part, generation and synchronization of
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`menus, including but not limited to restaurant menus, event tickets, reservations
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`and other products across fixed, wireless and/or internet platforms as well as
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`synchronization of hospitality information and hospitality software applications
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`across fixed, wireless and internet platforms, including but not limited to,
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`computer servers, web servers, databases, affinity/social networking systems,
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`desktop computers, laptops, “smart” phones and other wireless handheld
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`computing devices.
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`9. Ameranth began development of the inventions leading to the patents
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`in this patent family, including the patents-in-suit, in the late Summer of 1998,
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`at a time when the then-available wireless and internet hospitality offerings
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`were extremely limited in functionality, were not synchronized and did not
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`provide an integrated system-wide solution to the pervasive ordering,
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`reservations, affinity program and information management needs of the
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`hospitality industry. Ameranth uniquely recognized the actual problems that
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`needed to be resolved in order to meet those needs, and thereafter conceived
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`and developed its breakthrough inventions and products to provide systemic
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`and comprehensive solutions directed to optimally meeting these industry
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`needs. Ameranth has expended considerable effort and resources in inventing,
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`developing and marketing its inventions and protecting its rights therein.
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`10. Ameranth’s pioneering inventions have been widely adopted and are
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`thus now essential to the modern wireless hospitality enterprise of the 21st
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`FIRST AMENDED COMPLAINT FOR PATENT INFRINGEMENT
`AGAINST STUBHUB, INC.
`12-cv-1646-DMS-WVG
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`Case 3:12-cv-01646-DMS-WVG Document 37 Filed 09/30/13 Page 6 of 21
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`
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`Century. Ameranth’s solutions have been adopted, licensed and/or deployed by
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`numerous entities across the hospitality industry.
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`11. The adoption of Ameranth’s technology by industry leaders and the
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`wide acclaim received by Ameranth for its technological innovations are just
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`some of the many confirmations of the breakthrough aspects of Ameranth’s
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`inventions. Ameranth has received twelve different technology awards (three
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`with “end customer” partners) and has been widely recognized as a hospitality
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`wireless/internet technology leader by almost all major national and hospitality
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`print publications, e.g., The Wall Street Journal, New York Times, USA Today
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`and many others. Ameranth was personally nominated by Bill Gates, the
`
`Founder of Microsoft, for the prestigious Computerworld Honors Award that
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`Ameranth
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`received
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`in
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`2001
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`for
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`its
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`breakthrough
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`synchronized
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`reservations/ticketing system with the Improv Comedy Theatres. In his
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`nomination, Mr. Gates described Ameranth as “one of the leading pioneers of
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`information technology for the betterment of mankind.” This prestigious award
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`was based on Ameranth’s innovative synchronization of wireless/web/fixed
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`hospitality software technology. Subsequently, the United States Patent and
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`Trademark Office granted Ameranth a number of currently-issued patents, two
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`of which are the basis for this lawsuit. Ameranth has issued press releases
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`announcing these patent grants on business wires, on its web sites and at
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`numerous trade shows since the first of the presently-asserted patents issued in
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`2002. A number of companies have licensed patents and technology from
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`Ameranth, recognizing and confirming the value of Ameranth’s innovations.
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`At all relevant times, Ameranth marked its own products with the numbers of
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`the Ameranth patents then issued, thereby providing companies, competitors
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`and participants in the hospitality industry with notice of Ameranth’s patents.
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`Furthermore, companies that license Ameranth’s products have marked their
`4
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`FIRST AMENDED COMPLAINT FOR PATENT INFRINGEMENT
`AGAINST STUBHUB, INC.
`12-cv-1646-DMS-WVG
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`Case 3:12-cv-01646-DMS-WVG Document 37 Filed 09/30/13 Page 7 of 21
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`products with Ameranth’s patent numbers, thereby also providing notice of
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`Ameranth’s patents.
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`RELATED CASES PREVIOUSLY FILED
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`12. The Ameranth patents asserted herein, U.S. Patent No. 6,384,850 (the
`
`“’850 patent”), U.S. Patent No. 6,871,325 (the “’325 patent”), and U.S. Patent
`
`No. 8,146,077 (the “’077 patent”), are all patents in Ameranth’s “Information
`
`Management and Synchronous Communications” patent family.
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`13. Ameranth is also currently asserting claims of these same patents in
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`separate lawsuits, against other defendants, that are already pending in this
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`Court. The first-filed lawsuit asserts claims of the ‘850 and ‘325 patents and is
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`entitled Ameranth v. Pizza Hut, Inc. et al., Case No. 3:11-cv-01810-DMS-
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`WVG. Lawsuits subsequently filed by Ameranth in this Court, asserting claims
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`of the ‘077 patent, include Case Nos. 3:12-cv-00729-DMS-WVG; 3:12-cv-
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`00731-DMS-WVG; 3:12-cv-00732-DMS-WVG; 3:12-cv-00733-DMS-WVG;
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`3:12-cv-00737-DMS-WVG; 3:12-cv-00738-JLS-NLS (settled); 3:12-cv-00739-
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`DMS-WVG and 3:12-cv-00742-DMS-WVG. Other lawsuits filed by Ameranth
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`in this Court asserting claims of the ‘850, ‘325, and ‘077 patents are Case No.
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`3:12-cv-00858-DMS-WVG; 3:12-cv-1201-JLS-NLS (settled): 3:12-cv-01651-
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`DMS-WVG; 3:12-cv-01629-DMS-WVG; 3:12-cv-01630-DMS-WVG; 3:12-
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`cv-01631-DMS-WVG;
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`3:12-cv-01634-DMS-WVG;
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`3:12-cv-01654-DMS-
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`WVG; 3:12-cv-01636-DMS-WVG; 3:12-cv-01653-DMS-WVG; 3:12-cv-
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`01642-DMS-WVG; 3:12-cv-01643-DMS-WVG; 3:12-cv-01644-DMS-WVG
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`3:12-cv-01647-JLS-NLS (settled); 3:12-cv-01648-DMS-WVG; 3:12-cv-01640-
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`DMS-WVG; 3:12-cv-01650-DMS-WVG; 3:12-cv-1649-DMS-WVG; 3:12-cv-
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`01652-DMS-WVG; 3:12-cv-01633-DMS-WVG; 3:12-cv-01627-DMS-WVG;
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`3:12-cv-01655-DMS-WVG; 3:12-cv-01656-DMS-WVG; 3:12-cv-01659-DMS-
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`WVG (settled); 3:13-cv-00350-DMS-WVG; 3:13-cv-00352-DMS-WVG; 3:13-
`5
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`FIRST AMENDED COMPLAINT FOR PATENT INFRINGEMENT
`AGAINST STUBHUB, INC.
`12-cv-1646-DMS-WVG
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`Case 3:12-cv-01646-DMS-WVG Document 37 Filed 09/30/13 Page 8 of 21
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`
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`cv-00353-DMS-WVG; 3:13-cv-0836-DMS-WVG (settled) and 3:13-cv-01072-
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`DMS-WVG. All of the above still-pending cases have been consolidated for
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`pre-trial through claim construction except for 3:13-cv-00350-DMS-WVG;
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`3:13-cv-00352-DMS-WVG; 3:13-cv-00353-DMS-WVG; and 3:13-cv-01072-
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`DMS-WVG. These include lawsuits against business partners of Defendant,
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`such as hotel companies with whom Defendant does business.
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`14. The original complaint in this matter was filed in this Court on June
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`29, 2012, and subsequently served upon StubHub. At least since that time,
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`Defendant has had direct knowledge of Ameranth’s patents and that StubHub’s
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`ticketing system infringes those patents as alleged therein. Nonetheless,
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`Defendant has continued, and is continuing, to make, use, offer for sale or
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`license and/or sell or license infringing systems, products, and/or services in the
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`United States without authority or license from Ameranth and to engage in acts
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`of infringement as set forth herein.
`
`COUNT I
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`Patent Infringement (U.S. Pat. No. 6,384,850)
`
`(35 U.S.C. § 271)
`
`15. Plaintiff reiterates and incorporates the allegations set forth in
`
`paragraphs 1-14 above as if fully set forth herein.
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`16. On May 7, 2002, United States Patent No. 6,384,850 entitled
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`“Information Management and Synchronous Communications System with
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`Menu Generation” (“the ‘850 patent”) (a true and correct copy of which is
`
`attached hereto as Exhibit A) was duly and legally issued by the United States
`
`Patent & Trademark Office.
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`17. Plaintiff Ameranth is the lawful owner by assignment of all right, title
`
`and interest in and to the ‘850 patent.
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`FIRST AMENDED COMPLAINT FOR PATENT INFRINGEMENT
`AGAINST STUBHUB, INC.
`12-cv-1646-DMS-WVG
`
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`Case 3:12-cv-01646-DMS-WVG Document 37 Filed 09/30/13 Page 9 of 21
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`18. On information and belief, Defendant directly infringes and continues
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`to directly infringe one or more valid and enforceable claims of the ‘850 patent,
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`in violation of 35 U.S.C. § 271(a), by making, using, offering for sale or license
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`and/or selling or licensing infringing systems, products, and/or services in the
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`United States without authority or license from Ameranth, including but not
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`limited to the StubHub system/product/service, which includes, inter alia,
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`wireless and internet ticketing integration, online and mobile ticketing/ticket
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`sales/ticket purchases, integration with e-mail and affinity programs and social
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`media applications such as Facebook, Twitter, Groupon, and YouTube, and/or
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`other third-party web-based applications, and other hospitality aspects (the
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`“StubHub System”).
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` Ameranth has previously served StubHub with
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`infringement contentions in this action further describing the details of
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`StubHub’s
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`infringement of Ameranth’s patents.
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` Those
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`infringement
`
`contentions are attached hereto as Exhibit D and incorporated herein by
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`reference.
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`19. On information and belief, the StubHub System, as deployed and/or
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`used at or from one or more locations by StubHub, its agents, distributors,
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`partners, affiliates, licensees, and/or their customers, infringes one or more
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`valid and enforceable claims of the ‘850 patent, by, inter alia, doing at least one
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`of the following: (a) Generating and transmitting menus in a system including a
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`central processing unit, a data storage device, a computer operating system
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`containing a graphical user interface, one or more displayable main menus,
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`modifier menus, and sub-modifier menus, and application software for
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`generating a second menu and transmitting it to a wireless handheld computing
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`device or a Web page; and/or (b) Enabling ticketing/ticket sales/ticket
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`purchases and other hospitality functions via iPhone, Android, and other
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`internet-enabled wireless handheld computing devices as well as via Web
`7
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`FIRST AMENDED COMPLAINT FOR PATENT INFRINGEMENT
`AGAINST STUBHUB, INC.
`12-cv-1646-DMS-WVG
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`Case 3:12-cv-01646-DMS-WVG Document 37 Filed 09/30/13 Page 10 of 21
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`pages, storing hospitality information and data on at least one central database,
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`on at least one wireless handheld computing device, and on at least one Web
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`server and Web page, and synchronizing applications and data, including but
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`not limited to applications and data relating to ordering, between at least one
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`central database, wireless handheld computing devices, and at least one Web
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`server and Web page; utilizing an interface that provides a single point of entry
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`that allows the synchronization of at least one wireless handheld computing
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`device and at least one Web page with at least one central database; allowing
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`information to be entered via Web pages, transmitted over the internet, and
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`automatically communicated to at least one central database and to wireless
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`handheld computing devices; allowing information to be entered via wireless
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`handheld computing devices, transmitted over the internet, and automatically
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`communicated to at least one central database and to Web pages.
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`20. On information and belief, defendant StubHub has indirectly infringed
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`and continues to indirectly infringe one or more valid and enforceable claims of
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`the ‘850 patent, in violation of 35 U.S.C. § 271(b), by actively, knowingly, and
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`intentionally inducing direct infringement by other persons.
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`21. On
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`information and belief, customers of StubHub,
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`including
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`consumers, entertainment venue operators, and others, use the StubHub System
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`in a manner that infringes Ameranth’s patents. StubHub provides instruction
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`and direction regarding the use of the StubHub System, and advertises,
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`promotes, and encourages the use of the StubHub System in a manner
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`understood and intended by StubHub to infringe Ameranth’s patents. StubHub
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`provides such instruction, direction and encouragement regarding infringing use
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`of the StubHub System on its webpages, in user videos, in offerings on mobile
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`“app stores,” in press releases and in statements in industry news articles, as
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`FIRST AMENDED COMPLAINT FOR PATENT INFRINGEMENT
`AGAINST STUBHUB, INC.
`12-cv-1646-DMS-WVG
`
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`Case 3:12-cv-01646-DMS-WVG Document 37 Filed 09/30/13 Page 11 of 21
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`demonstrated in the infringement contentions attached hereto as Exhibit D and
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`in the references cited in the appendix thereto.
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`22. On information and belief, the StubHub System infringes one or more
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`valid and enforceable claims of the ‘850 patent for the reasons set forth
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`hereinabove.
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`23.
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` At least since the filing and service of the original complaint against
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`StubHub in this matter, Defendant has had knowledge of the ‘850 patent, and
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`knew or should have known that its continued offering and deployment of the
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`StubHub System, and its continued support of consumers, entertainment venue
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`operators and other users of this system/product/service, would induce direct
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`infringement by those users. Additionally, StubHub intended that its actions
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`would induce direct infringement of Ameranth’s patents by those users.
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`24. On information and belief, Defendant has indirectly infringed and
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`continues to indirectly infringe one or more valid and enforceable claims of the
`
`‘850 patent, in violation of 35 U.S.C. § 271(c).
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`25. By distributing, selling, offering, offering to sell or license and/or
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`selling or licensing the StubHub System, StubHub provides non-staple articles
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`of commerce to others, including consumers and entertainment event operators,
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`for use in infringing systems, products, and/or services. Additionally, StubHub
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`provides instruction and direction regarding the use of the StubHub System,
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`and advertises, promotes, and encourages the use of the StubHub System in a
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`manner understood and intended by StubHub to infringe Ameranth’s patents, as
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`described above. Users of the StubHub System, including but not limited to
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`consumers and entertainment venue operators, directly infringe one or more
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`valid and enforceable claims of the ‘850 patent for the reasons set forth
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`hereinabove.
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`FIRST AMENDED COMPLAINT FOR PATENT INFRINGEMENT
`AGAINST STUBHUB, INC.
`12-cv-1646-DMS-WVG
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`Case 3:12-cv-01646-DMS-WVG Document 37 Filed 09/30/13 Page 12 of 21
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`26. On information and belief, the StubHub System infringes one or more
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`valid and enforceable claims of the ‘850 patent, for the reasons set forth
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`hereinabove.
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`27. On information and belief, StubHub has had knowledge of the ‘850
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`patent at least since the filing and service of the original complaint in this action
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`against StubHub, including knowledge that the StubHub System, which is a
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`specialized software system and a non-staple article of commerce, has been
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`used as a material part of the claimed invention of the ‘850 patent, and that
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`there are no substantial non-infringing uses for the StubHub System.
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`28. The aforesaid infringing activity of defendant StubHub has directly and
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`proximately caused damage to plaintiff Ameranth, including loss of profits
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`from sales or licensing it would have made but for the infringements. Unless
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`enjoined, the aforesaid infringing activity will continue and cause irreparable
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`injury to Ameranth for which there is no adequate remedy at law.
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`COUNT II
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`Patent Infringement (U.S. Pat. No. 6,871,325)
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`(35 U.S.C. § 271)
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`29. Plaintiff reiterates and reincorporates the allegations set forth in
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`paragraphs 1-28 above as if fully set forth herein.
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`30. On March 22, 2005, United States Patent No. 6,871,325 entitled
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`“Information Management and Synchronous Communications System with
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`Menu Generation” (“the ‘325 patent”) (a true and correct copy of which is
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`attached hereto as Exhibit B) was duly and legally issued by the United States
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`Patent & Trademark Office.
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`31. Plaintiff Ameranth is the lawful owner by assignment of all right, title
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`and interest in and to the ‘325 patent.
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`FIRST AMENDED COMPLAINT FOR PATENT INFRINGEMENT
`AGAINST STUBHUB, INC.
`12-cv-1646-DMS-WVG
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`Case 3:12-cv-01646-DMS-WVG Document 37 Filed 09/30/13 Page 13 of 21
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`32. On information and belief, Defendant directly infringes and continues
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`to directly infringe one or more valid and enforceable claims of the ‘325 patent,
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`in violation of 35 U.S.C. § 271(a), by making, using, offering for sale or license
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`and/or selling or licensing infringing systems, products, and/or services in the
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`United States without authority or license from Ameranth, including but not
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`limited to the StubHub System. Ameranth has previously served StubHub with
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`infringement contentions in this action further describing the details of
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`StubHub’s
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`infringement of Ameranth’s patents.
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` Those
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`infringement
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`contentions are attached hereto as Exhibit D and incorporated herein by
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`reference.
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`33. On information and belief, the StubHub System, as deployed and/or
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`used at or from one or more locations by StubHub, its agents, distributors,
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`partners, affiliates, licensees, and/or their customers, infringes one or more
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`valid and enforceable claims of the ‘325 patent, by, inter alia, doing at least one
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`of the following: (a) Generating and transmitting menus in a system including a
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`central processing unit, a data storage device, a computer operating system
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`containing a graphical user interface, one or more displayable main menus,
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`modifier menus, and sub-modifier menus, and application software for
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`generating a second menu and transmitting it to a wireless handheld computing
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`device or a Web page; and/or (b) Enabling ticketing/ticket sales/ticket
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`purchases and other hospitality functions via iPhone, Android, and other
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`internet-enabled wireless handheld computing devices as well as via Web
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`pages, storing hospitality information and data on at least one central database,
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`on at least one wireless handheld computing device, and on at least one Web
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`server and Web page, and synchronizing applications and data, including but
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`not limited to applications and data relating to orders, between at least one
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`central database, wireless handheld computing devices, and at least one Web
`11
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`FIRST AMENDED COMPLAINT FOR PATENT INFRINGEMENT
`AGAINST STUBHUB, INC.
`12-cv-1646-DMS-WVG
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`Case 3:12-cv-01646-DMS-WVG Document 37 Filed 09/30/13 Page 14 of 21
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`server and Web page; and sending alerts, confirmations, and other information
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`regarding orders to various wireless mobile devices.
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`34. On information and belief, Defendant has indirectly infringed and
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`continues to indirectly infringe one or more valid and enforceable claims of the
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`‘325 patent, in violation of 35 U.S.C. § 271(b), by actively, knowingly, and
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`intentionally inducing direct infringement by other persons.
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`35. On
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`information and belief, customers of StubHub,
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`including
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`consumers, entertainment event operators and others, use the StubHub System
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`in a manner that infringes upon one or more valid and enforceable claims of the
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`‘325 patent. StubHub provides instruction and direction regarding the use of
`
`the StubHub System, and advertises, promotes, and encourages the use of the
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`StubHub System in a manner understood and intended by StubHub to infringe
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`Ameranth’s patents. StubHub provides such instruction, direction and
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`encouragement regarding infringing use of the StubHub System on its
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`webpages, in user videos, in offerings on mobile “app stores,” in press releases
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`and in statements in industry news articles, as demonstrated in the infringement
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`contentions attached hereto as Exhibit D and in the references cited in the
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`appendix thereto.
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`36. On information and belief, Defendant actively induces others to
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`infringe the ‘325 patent in violation of 35 U.S.C. §271(b), by knowingly
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`encouraging, aiding and abetting customers of StubHub, including consumers,
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`entertainment venue operators and others, to use the infringing StubHub System
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`in the United States without authority or license from Ameranth in a manner
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`understood and intended by StubHub to infringe Ameranth’s patents, as
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`described above.
`
`37. On information and belief, Defendant contributorily infringes and
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`continues to contributorily infringe one or more valid and enforceable claims of
`12
`
`FIRST AMENDED COMPLAINT FOR PATENT INFRINGEMENT
`AGAINST STUBHUB, INC.
`12-cv-1646-DMS-WVG
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`1 2 3 4 5 6 7 8 9
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`Case 3:12-cv-01646-DMS-WVG Document 37 Filed 09/30/13 Page 15 of 21
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`
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`the ‘325 patent, in violation of 35 U.S.C. § 271(c), by offering to sell and/or
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`selling components of systems on which claims of the ‘325 patent read,
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`constituting a material part of the invention, knowing that the components were
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`especially adapted for use in systems which infringe claims of the ‘325 patent.
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`38. By distributing, selling, offering, offering to sell or license and/or
`
`selling or licensing the StubHub System, Defendant provides non-staple articles
`
`of commerce to others for use in infringing systems, products, and/or services.
`
`Additionally, StubHub provides instruction and direction regarding the use of
`
`the StubHub System and advertises, promotes, and encourages the use of the
`
`StubHub System in a manner understood and intended by StubHub to infringe
`
`Ameranth’s patents, as described above. Users of the StubHub System,
`
`including consumers and entertainment venue operators, directly infringe one
`
`or more valid and enforceable claims of the ‘325 patent, for the reasons set
`
`forth hereinabove.
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`39. On information and belief, the StubHub System infringes one or more
`
`valid and enforceable claims of the ‘325 patent, for the reasons set forth
`
`hereinabove.
`
`40. On information and belief, StubHub has had knowledge of the ‘325
`
`patent at least since the filing and service of the original complaint in this
`
`matter upon Defendant, including knowledge that the StubHub System, which
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`is a specialized software system and a non-staple article of commerce, has been
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`used as a material part of the claimed invention of the ‘325 patent, and that
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`there are no substantial non-infringing uses for the StubHub System.
`
`41. The aforesaid infringing activity of defendant StubHub has directly and
`
`proximately caused damage to plaintiff Ameranth, including loss of profits
`
`from sales or licensing it would have made but for the infringements. Unless
`
`FIRST AMENDED COMPLAINT FOR PATENT INFRINGEMENT
`AGAINST STUBHUB, INC.
`12-cv-1646-DMS-WVG
`
`13
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`Case 3:12-cv-01646-DMS-WVG Document 37 Filed 09/30/13 Page 16 of 21
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`
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`enjoined, the aforesaid infringing activity will continue and cause irreparable
`
`injury to Ameranth for which there is no adequate remedy at law.
`
`COUNT III
`
`Patent Infringement (U.S. Pat. No. 8,146,077)
`
`(35 U.S.C. § 271)
`
`42. Plaintiff reiterates and incorporates the allegations set forth in
`
`paragraphs 1-41 above as if fully set forth herein.
`
`43. On March 27, 2012, United States Patent No. 8,146,077 entitled
`
`“Information Management and Synchronous Communications System with
`
`Menu Generation, and Handwriting and Voice Modification of Orders” (a true
`
`and correct copy of which is attached hereto as Exhibit C and incorporated
`
`herein by reference) was duly and legally issued by the United States Patent &
`
`Trademark Office.
`
`44. Plaintiff Ameranth is the lawful owner by assignment of all right, title
`
`and interest in and to the ‘077 patent.
`
`45. On information and belief, Defendant directly infringes and continues
`
`to directly infringe one or more valid and enforceable claims of the ‘077 patent,
`
`in violation of 35 U.S.C. § 271(a), by making, using, offering for sale or license
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`and/or selling or licensing infringing systems, products, and/or services in the
`
`United States without authority or license from Ameranth, including but not
`
`limited to the StubHub System.
`
`46. On information and belief, the StubHub System, as deployed and/or
`
`used at or from one or more locations by StubHub, its agents, distributors,
`
`partners, affiliates, licensees, and/or their customers, infringes one or more
`
`valid and enforceable claims of the ‘077 patent, by, inter alia, doing at least one
`
`of the following: (a) Configuring and transmitting menus in a system including
`
`a central processing unit, a data storage device, a computer operating system
`14
`
`FIRST AMENDED COMPLAINT FOR PATENT INFRINGEMENT
`AGAINST STUBHUB, INC.
`12-cv-1646-DMS-WVG
`
`1 2 3 4 5 6 7 8 9
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`Case 3:12-cv-01646-DMS-WVG Document 37 Filed 09/30/13 Page 17 of 21
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`
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`containing a graphical user interface, one or more displayable master menus,
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`menu configuration software enabled to generate a menu configuration for a
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`wireless handheld computing device in conformity with a customized display
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`layout, and enabled for synchronous communications and to format the menu
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`configuration for a customized display layout of at least two different wireless
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`handheld computing device display sizes, and/or (b) Enabling ticketing/ticket
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`sales/ticket purchases and other hospitality functions via iPhone, Android, and
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`other internet-enabled wireless handheld computing devices as well as via Web
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`pages, storing hospitality information and data on at least one database, on at
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`least one wireless h