`
`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.
`
`
`DISCLOSURE OF ASSERTED CLAIMS AND INFRINGEMENT CONT. Civil Action No. 3:11-cv-01810-
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`UNITED STATES DISTRICT COURT
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`SOUTHERN DISTRICT OF CALIFORNIA
`
`AMERANTH, INC.
`Civil Action No.: 3:11-cv-01810-JLS-NLS
`
`
`
`Plaintiff,
`Consolidated with:
`
`12cv729 JLS-NLS
`v.
`
`12cv731 JLS-NLS
`
`12cv732 JLS-NLS
`PIZZA HUT, INC., ET AL.
`12cv733 JLS-NLS
`
`12cv737 JLS-NLS
`Defendants.
`12cv739 JLS-NLS
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`12cv742 JLS-NLS
`12cv858 JLS-NLS
`12cv1627 JLS-NLS
`12cv1629 JLS-NLS
`12cv1630 JLS-NLS
`12cv1631 JLS-NLS
`12cv1633 JLS-NLS
`12cv1634 JLS-NLS
`12cv1636 JLS-NLS
`
`
`
`DISCLOSURE OF ASSERTED CLAIMS
`AND INFRINGEMENT CONTENTIONS
`AS TO DEFENDANT MICROS SYSTEMS,
`INC.
`
`
`
`Complaint Filed: August 15, 2011
`
`
`
`12cv1640 JLS-NLS
`12cv1642 JLS-NLS
`12cv1643 JLS-NLS
`12cv1644 JLS-NLS
`12cv1646 JLS-NLS
`12cv1648 JLS-NLS
`12cv1649 JLS-NLS
`12cv1650 JLS-NLS
`12cv1651 JLS-NLS
`12cv1652 JLS-NLS
`12cv1653 JLS-NLS
`12cv1654 JLS-NLS
`12cv1655 JLS-NLS
`12cv1656 JLS-NLS
`12cv1659 JLS-NLS
`
`
`AND RELATED CASES.
`
`
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`
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`DISCLOSURE OF ASSERTED CLAIMS AND INFRINGEMENT CONT. Civil Action No. 3:11-cv-01810-
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`Plaintiff Ameranth, Inc. hereby serves its Disclosure of Asserted Claims
`and Infringement Contentions under Patent Local Rule 3.1, as to Defendant
`MICROS Systems, Inc. (“MICROS”).
`Discovery in this case is ongoing and the Court has not yet construed the
`asserted claims of the Patents-in-Suit. Further, MICROS (and other Defendants)
`has not produced sufficient responsive documents and responses to Ameranth’s
`discovery requests.
`Ameranth reserves the right to serve Amended Infringement Contentions
`under Patent Local Rule 3.6(a), by Court order, or as otherwise permitted.
`Under Patent Local Rule 3.2, Ameranth is making a document production and
`hereby separately identifies by bates numbers which documents correspond to
`categories (a) – (e) of Patent Local Rule 3.2 in Exhibit D attached hereto.
`A. Claims Infringed.
`MICROS infringes at least:
`MICROS Restaurant Management Systems Solutions (“RMS”):
`claims 1, 2, 3, 4, 5, 6, 7, 8, 10, 11, 12, 13, 14, 15, and 16 of U.S. Patent No.
`6,384,850 (the “ ‘850 patent”) ; claims 1, 2, 4, 6, 7, 8, 9, 10, 11, 12, and 13 of
`U.S. Patent No. 6,871,325 (the “ ‘325 patent”); and claims 1, 4, 6, 7, 8, 9, 11, 13,
`16, 17, and 18 of U.S. Patent No. 8,146,077 (the “ ‘077 patent”);
`MICROS Hospitality Solutions International Restaurant and Food
`Service Solutions (“HSI”): claims 1, 2, 3, 4, 5, 6, 7, 8, 10, 11, 12, 13, 14, 15, and
`16 of U.S. Patent No. 6,384,850 (the “ ‘850 patent”); claims 1, 2, 4, 6, 7, 8, 9,
`10, 11, 12, and 13 of U.S. Patent No. 6,871,325 (the “ ‘325 patent”); and claims
`1, 6, 7, 8, 9, 11, 13, 16, 17, and 18 of U.S. Patent No. 8,146,077 (the “ ‘077
`patent”);
`
`MICROS Property Management Systems Solutions (“PMS”):
`claims 1, 3, 4, 5, 6, 7, 8, 10, 11, 12, 13, 14, 15, and 16 of U.S. Patent No.
`
`1
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`6,384,850 (the “ ‘850 patent”) ; claims 1, 2, 4, 6, 7, 8, 9, 10, 11, 12, and 13 of
`U.S. Patent No. 6,871,325 (the “ ‘325 patent”); and claims 1, 6, 7, 8, 9, 11, 13,
`16, 17, and 18 of U.S. Patent No. 8,146,077 (the “ ‘077 patent”).
`B. Accused Instrumentalities.
`The “MICROS Restaurant Management System,” “MICROS RMS” or
`“Accused System,” means and includes the following: The current and all
`previous “versions” (from Jan. 1, 2007 to present, and regardless of whether
`alleged by defendant to be revisions, different versions, or different systems) of
`the MICROS Systems, Inc. RMS system/product/service, which includes, inter
`alia, point of sale restaurant management systems (e.g., RES RMS and
`Simphony), back-of-house enterprise management systems (e.g., mymicros.net,
`Simphony, RES), customer loyalty and gift card systems (e.g., RES, iCare),
`enterprise dashboard systems (e.g., mymicros.net), wireless and internet
`integration, wireless, online and mobile food ordering systems (e.g., RES,
`Simphony, Mobile Micros, mycentral and webOrdering), online and mobile
`table management and reservation systems (e.g., MICROS Table Management
`System (“TMS”) and myreservations), mobile payment systems (e.g.,
`Tabbedout, iCard Mobile Wallet, and NFC Pay-at the-Table) and other
`applications via, for example, MICROS’s software products/modules,
`website(s), hosted services and mobile website(s) and, inter alia, iPhone,
`Android, Windows and other mobile apps (as detailed throughout these
`disclosures), integration with e-mail and affinity program and social media
`applications such as Facebook, Twitter, Groupon, and YouTube, and/or other
`third-party web-based applications and other hospitality aspects including, inter
`alia, integration with Google Maps, TabbedOut, Verifone, third party ticketing
`applications/companies, third party travel aggregators, theme park systems, third
`
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`party payment processing providers and third party RMS/POS order entry
`providers.
`The “HSI RMS,” or “Accused System,” means and includes the
`following: The current and all previous “versions” (from Jan. 1, 2007 to
`present, and regardless of whether alleged by defendant to be revisions, different
`versions, or different systems) of the HSI RMS, which includes, inter alia, point
`of sale restaurant management systems (e.g. Profit Series), back-of-house
`enterprise management systems (e.g. Myhsi.net), customer loyalty and gift card
`systems (e.g. iCare), enterprise dashboard systems (e.g. mysentinel), hardware
`solutions such as a handheld point-of-sale and point-of-sale terminals, online
`and mobile food ordering systems (e.g. mycentral), online and mobile table
`management and reservation systems (e.g. MICROS Table Management System
`and myreservations), and mobile payment systems (e.g. Tabbedout, iCard
`Mobile Wallet, and NFC Pay-at-the-Table).
`The “MICROS Property Management System”, or “Accused System” means
`and includes the following: The current and all previous “versions” (from Jan. 1,
`2007 to present, and regardless of whether alleged by defendant to be revisions,
`different versions, or different systems) of the MICROS Systems, Inc.
`hotel/property management system/product/service, which includes, inter alia,
`wireless and internet integration, online and mobile ordering and reservations,
`customer loyalty, remote management, frequent-guest and other applications
`via, for example, MICROS software products/modules, website(s), hosted
`services and mobile website and, inter alia, iPhone, Android, Windows and
`other mobile apps (as detailed throughout these disclosures), integration with e-
`mail and affinity program and social media applications such as Facebook,
`Twitter, and YouTube, and/or other third-party web-based applications and
`other hospitality aspects including, inter alia, integration with Google Maps,
`3
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`Facebook, TabbedOut, PayPal, third party payment processing systems,
`MICROS and third party point-of-sale systems, and third party travel reservation
`systems including Sabre, Galileo, Expedia, Hotels.com, and Travelocity, and/or
`other third party online/mobile-based applications.
`C. Claim Charts.
`Charts for MICROS RMS for each of the ‘850, ‘325 and ‘077 patents that
`identify specifically where each limitation of each asserted claim within the
`MICROS RMS Accused System are attached hereto as Exhibit A. These charts
`have been designated “CONFIDENTIAL – ATTORNEYS’ EYES ONLY.”
`Charts for HSI RMS for each of the ‘850, ‘325 and ‘077 patents that identify
`specifically where each limitation of each asserted claim within the HSI RMS
`Accused System are attached hereto as Exhibit B. Charts for MICROS PMS for
`each of the ‘850, ‘325 and ‘077 patents that identify specifically where each
`limitation of each asserted claim within the MICROS Property Management
`Accused System are attached hereto as Exhibit C. The left column of each chart
`recites the limitations of the asserted claims verbatim for the applicable patent.
`The right column shows where a corresponding element is found in the Accused
`Instrumentality. These identifications are based on Ameranth’s present
`understanding of information currently available to Ameranth. Ameranth
`reserves the right to supplement these charts as discovery proceeds.
`D. Indirect Infringement.
`Ameranth has noted in the claim charts attached as Exhibits A, B and C
`the claims that Ameranth contends MICROS has directly and indirectly
`infringed. As set forth in the claim charts, in addition to direct infringement,
`MICROS is liable for induced infringement and contributory infringement.
`///
`///
`
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`E. Literal Infringement and Doctrine of Equivalents.
`Ameranth presently contends that the MICROS RMS, HSI RMS and
`MICROS Property Management System infringe the asserted claims of the ‘850,
`‘325, and ‘077 patents literally. Ameranth has noted in the claim charts attached
`as Exhibits A, B and C the claim elements that Ameranth contends are literally
`infringed and/or present under the doctrine of equivalents.
`F. Priority.
`The ‘325 patent claims priority to an earlier application, U.S. Serial No.
`09/400,413, which was filed on September 21, 1999 and from which the ‘850
`patent issued. The ‘077 patent also claims priority to U.S. Serial No. 09/400,413
`filed on September 21, 1999. Ameranth asserts a conception date for the
`asserted claims of September 1998 and reduction to practice prior to the priority
`application filing date.
`G. Products Practicing Invention.
`Versions of the following Ameranth products have incorporated or
`reflected the inventions claimed in the Patents-in-Suit in one or more of the
`asserted claims as shown below:
`21st Century Restaurant
`(Nov. 1998 and later)
`
`‘850 Claims 1, 2, 3, 4, 5, 6, 7, 8, 10,
`11, 12-16
`‘325 Claims 1, 2, 4, 6, 7, 8, 9, 10, 11,
`13
`‘077 Claims 1, 6, 7, 8, 9, 11, 13, 16,
`17, and 18
`
`‘850 Claims 1, 3, 4, 5, 6, 7, 8, 11, 12-
`15
`‘325 Claims 9, 13
`5
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`Improv Comedy Club Ticketing
`System
`(Nov. 1999-Nov. 2000)
`
`
`
`
`
`Hostalert
`
`eHost
`
`Magellan
`
`‘077 Claims 1, 6, 7, 8, 9, 11, 13, 16,
`17, and 18
`‘850 Claims 1, 3, 4, 5, 6, 7, 8, 11, 12-
`15
`‘325 Claims 9, 12, 13
`‘077 Claims 1, 4, 6, 7, 8, 9, 11, 13, 16,
`and 18
`‘850 Claims 1, 2, 3, 4, 5, 6, 7, 8, 10,
`11, 12-16
`‘325 Claims 9, 13
`‘077 Claims 1, 3, 6, 7, 8, 9, 11, 13, 16,
`17, and 18
`‘850 Claims 1, 3, 4, 5, 6, 7, 8, 11, 12-
`15
`‘325 Claims 9, 13
`‘077 Claims 1, 4, 6, 8, 9, 11, 13, 16, 17
`and 18
`
`H. Willful Infringement.
`MICROS became aware of the ‘850 and ‘325 patents at least as early as
`October 2007, when it was served with a subpoena by Radiant Systems, Inc. in
`Radiant Systems, Inc. v. Ameranth, Inc., No. 1:07-cv-01641-TCB (N.D. Ga.
`2007), a litigation which involved assertion of those two patents and an
`additional Ameranth patent. MICROS then contacted Ameranth directly.
`Ameranth is further informed and believes that MICROS became aware of
`Ameranth’s patents prior to the filing of this lawsuit due to the widespread
`knowledge of Ameranth’s patents in the online/mobile ordering and reservations
`industry/marketplace and as a result of Ameranth's business interactions with
`6
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`numerous MICROS customers and/or defendants e.g. Opentable, Marriott, Pizza
`Hut (defendants) and TGI Fridays (MICROS customer). MICROS continues to
`infringe valid and enforceable claims of the ‘850, ‘325 and ‘077 patents with
`knowledge and willful disregard of Ameranth’s patent rights after being put on
`notice of such infringement at least as early as the filing of the lawsuit and/or
`service of the complaint on MICROS.
`Dated: June 24, 2013
`CALDARELLI HEJMANOWSKI & PAGE LLP
`
`
`By: /s/ William J. Caldarelli
`
`William J. Caldarelli
`
`
`
`
`
`
`
`FABIANO LAW FIRM, P.C.
`Michael D. Fabiano
`
`OSBORNE LAW LLC
`John W. Osborne
`
`WATTS LAW OFFICES
`Ethan M. Watts
`
`Attorneys for Plaintiff Ameranth, Inc.
`
`7
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`EXHIBIT A
`
`EXHIBIT A
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`EXHIBIT A
`PLAINTIFF AMERANTH, INC.’S DISCLOSURE OF
` ASSERTED CLAIMS AND INFRINGEMENT CONTENTIONS
` AS TO DEFENDANT MICROS SYSTEMS, INC.
` (MICROS RESTAURANT MANAGEMENT SYSTEM (“RMS”))
`U.S. Patent No. 6,384,850
`
`
`Claim 1
`1. An information
`management and
`synchronous
`communications
`system for
`generating and
`transmitting menus
`comprising:
`
`
`The “Micros Restaurant Management System,”1 “Micros
`RMS” or “Accused System,” as used throughout this claim
`chart, means and includes the following:
`The current and all previous “versions” (from Jan. 1, 2007 to
`present, and regardless of whether alleged by defendant to be
`revisions, different versions, or different systems) of the
`Micros Systems, Inc. (“Micros”) RMS
`system/product/service, which includes, inter alia, point of
`sale restaurant management systems (e.g., RES RMS and
`Simphony), back-of-house enterprise management systems
`(e.g., mymicros.net, Simphony, RES), customer loyalty and
`gift card systems (e.g., RES, iCare), enterprise dashboard
`systems (e.g., mymicros.net), wireless and internet
`integration, wireless, online and mobile food ordering
`systems (e.g., RES, Simphony, Mobile Micros, mycentral
`and webOrdering), online and mobile table management and
`reservation systems (e.g., Micros Table Management System
`(“TMS”) and myreservations), mobile payment systems (e.g.,
`Tabbedout, iCard Mobile Wallet, and NFC Pay-at the-Table)
`and other applications via, for example, Micros’s software
`products/modules, website(s), hosted services and mobile
`website(s) and, inter alia, iPhone, Android, Windows and
`other mobile apps (as detailed throughout these disclosures),
`integration with e-mail and affinity program and social media
`applications such as Facebook, Twitter, Groupon, and
`YouTube, and/or other third-party web-based applications
`and other hospitality aspects including, inter alia, integration
`with Google Maps, TabbedOut, Verifone, third party
`ticketing applications/companies, theme park systems, third
`party payment processing providers and third party
`RMS/POS order entry providers. (See, e.g., Exhs. 2, 31, 33,
`37, 38, 50, 56, 69, 70, 71 (“Restaurants – Enterprise Wide
`Solutions . . . Social Media”), 87 (“This secure and innovative
`solution allows MICROS restaurant and bar customers to
`deploy Tabbedout for faster and more convenient tab
`payments, social media integration, and direct marketing to
`
`
`1 Micros refers to its Restaurant Management Products/Systems/Services, inter alia, as POS,
`which is a term commonly used in the hospitality industry. Note that “POS” as used herein means
`“Point of Sale.” “POS System” as used herein refers, inter alia, to common usage of this
`terminology in the hospitality field, i.e., a system which includes what is referred to in the industry
`as a Point of Sale system.
`
`
`
`1
`
`CONFIDENTIAL – ATTORNEY’S EYES ONLY
`
`
`
`EXHIBIT A
`PLAINTIFF AMERANTH, INC.’S DISCLOSURE OF
` ASSERTED CLAIMS AND INFRINGEMENT CONTENTIONS
` AS TO DEFENDANT MICROS SYSTEMS, INC.
` (MICROS RESTAURANT MANAGEMENT SYSTEM (“RMS”))
`U.S. Patent No. 6,384,850
`
`consumer devices.”), 94 (“The POS Application Interface
`(API) is an unusual feature. By itself, the POS API is not a
`product. Rather, the POS API is a framework, which permits
`3rd party companies to interface to the Micros 9700 system.
`There are many 3rd parties, which interface to the 9700
`product today. These interfaces communicate to the 9700
`system in many different ways.”), 104 (Mike Russo, CTO -
`MICROS Systems Inc.: “The good news as it relates to
`eWallets and mobile payments, MICROS has great growing
`list of partners. And customers can chose to accept more
`than one brand of eWallet as a payment source, in a similar
`way that customers support many different types of credit and
`gift cards.”), 110, 115, 116, 122, 28 “Direct integration [of
`iCare] to MICROS POS systems provides real-time, stored
`value loyalty tracking with coupon issuance and redemption,
`for a customer rich POS experience. . . . Coupons may also be
`issued in bulk for promotions outside of a loyalty program,
`such as a one day print offer or a viral coupon that may be
`posted on Facebook.”)2
`The following are aspects of the Accused System that are
`generally applicable and, where appropriate, applicable to
`specific elements of this claim and its dependent claims.
`The Micros RMS allows, e.g., restaurant and hotel personnel
`and consumers to view menus, order food and make
`restaurant reservations via the internet and via desktop
`computers, laptop computers, and mobile devices, and, inter
`alia, automatically saving each order, inquiry, and/or search
`(herein referred to as, inter alia, “reservation” or “order”) to
`the consumer's account file in a Micros hosted database or
`Micros customer database using components supplied by
`Micros; transmitting each reservation/order through the
`Micros RMS to the property/restaurant/hotel that fulfills the
`order/reservation; collecting and storing “personally
`identifiable information” provided by each consumer;
`providing payment processing products/services, providing
`loyalty programs/services, and integrating mobile devices,
`web-based restaurant reservations, and the applicable
`software into the complete system. (Exh. 1, 2, 3, 4, 5, 6, 8, 9,
`10, 11, 12, 13, 14, 15, 16, 17, 18, 19, 20, 21, 22, 23, 24, 25,
`26, 27, 28, 29, 30, 31, 32, 33, 34, 35, 36, 37, 38, 54, 560, 63,
`
` Referenced Exhibits are listed in the attached Appendix. Website exhibits are identified in the
`2
`Appendix by URL. Exhibits that have not previously been produced in the lawsuit are attached to the
`Appendix or are otherwise being produced.
`
`
`
`2
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`CONFIDENTIAL – ATTORNEY’S EYES ONLY
`
`
`
`EXHIBIT A
`PLAINTIFF AMERANTH, INC.’S DISCLOSURE OF
` ASSERTED CLAIMS AND INFRINGEMENT CONTENTIONS
` AS TO DEFENDANT MICROS SYSTEMS, INC.
` (MICROS RESTAURANT MANAGEMENT SYSTEM (“RMS”))
`U.S. Patent No. 6,384,850
`
`64, 65, 68, 71, 77, 78, 79, 87, 94, 95, 96, 97, 98, 99, 100, 102,
`103, 104, 105, 107, 108, 109, 110, 111, 112, 113, 115, 116,
`118, 121, 122, 125, 138, 139, 140, 141, 144, 145, 146, 147,
`149, 150, 151, 153, 154, 155, 156, 157, 158, 160, 161, 164,
`165, 167, 168). The Micros RMS also allows remote/mobile
`management of restaurant and hotel RMS/POS systems.
`(Exh. 111).
`The Micros RMS is partnered with, integrated with and/or
`interfaced with software/systems/services of Micros’s
`subsidiaries or Micros majority entities including, inter alia,
`HSI. (Exh. 55). The Micros RMS is also integrated with
`other software products/services including, e.g., PMS
`software including Opera PMS and Fidelio PMS. (Exh. 6
`(“The POS interface lets you integrate any number of POS
`devices into Opera PMS. Collect charges from restaurants,
`shops, and activities outlets on the guest’s folio. In addition,
`posting can be done directly from the MICROS 4700, 8700,
`or 9700 Point of Sale system to an Accounts Receivable
`account.”), Exh. 54, Exh. 127). Such interface/integration
`includes, inter alia, the reselling of software and hardware
`components, hosting of databases and other systems,
`communication of information regarding guest services,
`sharing of hotel property reservation/booking information
`between the systems of the various entities and the Micros
`RMS.
`The Micros RMS is partnered with, integrated with and/or
`interfaced with software/systems/services of numerous third
`party hotel chains including Fairmont, Four Seasons, Hyatt,
`Marriott, Hilton, Mandarin Oriental, Radisson, Wyndham
`and Starwood. (Exh. 5, p. 4). The Micros RMS is partnered
`with, integrated with and/or interfaced with
`software/systems/services of numerous third party restaurants
`and restaurant chains including, inter alia, Hooters, Ruby
`Tuesday’s, Ruth’s Chris, Five Guys, Panera, Starbucks,
`Subway, Pizza Hut, KFC, Taco Bell and TGI Friday’s (Exh.
`2, Exh. 5, Exh. 69, Exh. 70, Exh. 168). The Micros RMS is
`integrated/interfaced with software/systems/services of other
`RMS/POS and PMS (Property Management System)
`companies, including Agilysys. (See Exh. 152, p. 10
`(showing Agilysys ResPAK Restaurant Management
`Program integration with Micros RMS/POS Server and
`Micros PMS Server (Fidelio/Opera))). For each of such
`entities, Micros is an indirect (inducement and contributory)
`infringer with regard to the direct infringement of such
`3
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`
`
`
`
`
`EXHIBIT A
`PLAINTIFF AMERANTH, INC.’S DISCLOSURE OF
` ASSERTED CLAIMS AND INFRINGEMENT CONTENTIONS
` AS TO DEFENDANT MICROS SYSTEMS, INC.
` (MICROS RESTAURANT MANAGEMENT SYSTEM (“RMS”))
`U.S. Patent No. 6,384,850
`
`focusing on what matters most, your customers.” (Exh. 29)
`Boro Petrovic, Chief Technology Officer, CTO, MICROS
`Systems Inc.: “If the application software vendor is
`MICROS, then one alternative is to host the application in
`MICROS hosting facilities. That application instance would
`be one of the many, hosted in a standard configuration,
`allowing lesser cost per configuration.” (Exh. 105)
`Micros provides “consumer solutions” including web
`ordering, mobile payment and restaurant reservations:
` “MICROS offers unparalleled mobility to the hospitality
`industry with a breadth of solutions designed for the
`restaurant consumer. From online ordering for the take-out
`customer on the go, to mobile payment processing, MICROS
`point-of-service solutions provide you the extensibility you
`need to offer an extraordinary guest experience.
`webOrdering Solution - consumer facing online Food and
`Beverage ordering solution for restaurant environments
`provides restaurant operators with the opportunity to increase
`sales through new sales channels
`mymenu - an interactive restaurant menu and marketing
`portal built for the Apple iPad and designed to enhance the
`restaurant dining experience
`Mobile Payment - Tabbedout - available for free on both
`iPhone and Android smartphones, the application was built
`by security experts for ease of use and integrates marketing
`capabilities
`myreservations - an internet channel based reservations
`system for restaurants” (Exh. 30)
`Micros’s “webOrdering Solution for Restaurant” is a
`consumer facing product which is integrated directly into a
`restaurant RMS/POS:
`“MICROS consumer facing online Food and Beverage
`ordering solution for restaurant environments provides
`restaurant operators with the opportunity to increase sales
`through new sales channels and introduce operational
`efficiencies resulting in increased order accuracy and reduced
`labor costs. Built upon a flexible, robust eCommerce
`framework, MICROS’s webOrdering links your restaurant to
`the Internet, allowing you to focus on operations without
`19
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`CONFIDENTIAL – ATTORNEY’S EYES ONLY
`
`
`
`
`
`
`EXHIBIT A
`PLAINTIFF AMERANTH, INC.’S DISCLOSURE OF
` ASSERTED CLAIMS AND INFRINGEMENT CONTENTIONS
` AS TO DEFENDANT MICROS SYSTEMS, INC.
` (MICROS RESTAURANT MANAGEMENT SYSTEM (“RMS”))
`U.S. Patent No. 6,384,850
`
`worrying about network connectivity details. Orders placed
`from any online channel are sent to the restaurant and
`processed just like an order entered at a POS workstation.
`Details such as condiment handling and inventory exports are
`addressed in configuration, creating a seamless workflow for
`restaurant staff. webOrdering features flexible user interface
`design and content management capabilities, providing
`operators with the opportunity to extend their brand beyond
`the four walls of the restaurant.
`• Google Maps Integration
`• Extremely versatile Delivery Area Configuration
`• Consumer Account Management Features including
`Favorites and Order History
`• Category, product and brand image management
`• Menu and Price Configuration by Store
`• Advanced Orders
`• Online Coupons & Promotions Handling
`• Order Customization
`• Delivery/Service Charge Handling
`• Centralized CAEDC
`• Minimum/Maximum Order Value
`• Email Order Confirmation/Receipt
`• Reports and Analytics
`• Social Media Integration with Facebook” (Exh. 31)
`“First there was walk-in. Then drive-in. Now surf-in is
`becoming a must-have service for QSRs that seek to win their
`customers’ business. By mid-2011, 22% of quick-service
`restaurants were offering online ordering, according to
`Cornell University’s report, Online, Mobile, and Text Food
`Ordering in the Restaurant Industry.
`Online ordering enables customers to place food orders for
`pickup or delivery via a computer or smart phone. Top
`benefits for the QSR operator include increased accuracy,
`lower labor costs, increased order frequency (but not always
`revenue), more group orders and increased guest
`satisfaction—all contributing to a healthy return on
`investment, according to a subsequent Cornell report, The
`Current State of Online Food Ordering in the U.S. Restaurant
`Industry. . .
`‘If you’re delivering food today, it’s criminal not to be
`online,’ says Jack Clare, VP, IT and CIO of Yum!
`Restaurants International. . . .
`
`
`
`
`20
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`
`
`
`EXHIBIT A
`PLAINTIFF AMERANTH, INC.’S DISCLOSURE OF
` ASSERTED CLAIMS AND INFRINGEMENT CONTENTIONS
` AS TO DEFENDANT MICROS SYSTEMS, INC.
` (MICROS RESTAURANT MANAGEMENT SYSTEM (“RMS”))
`U.S. Patent No. 6,384,850
`
`operational efficiencies and customer service.
`The MICROS eCommerce business unit provides custom
`build to semi-custom website design and marketing solutions
`for the hospitality and retail industries, including cutting-edge
`options reflecting unique selling points for single hotels, large
`brands, destinations, restaurants, retail establishments, and
`more. With functional, track-able, and intuitive booking and
`loyalty solutions, MICROS eCommerce provides
`easy-to-implement reservations and customer information
`management software that seamlessly integrates with
`MICROS’s suite of hospitality products.” (Exh. 87)
`“Although Simphony may be implemented at a single
`property, the true value can be found in its ability to scale to a
`business with thousands of workstations spread over many
`properties. The Enterprise Management Console (EMC)
`allows for the management of the entire system from within a
`single application. Users are able to create and define the
`parameters of the enterprise, properties, and revenue centers
`from any PC that has access to the central server, thus
`allowing local users to make changes to their configuration if
`necessary. Simphony is the complete enterprise solution to
`orchestrate any operation’s food and beverage POS
`technology needs.” (Exh. 87)
`Micros provides integrated “Mobile Payment” functionality:
`“Tabbedout - From the outdoor deck to the coziest corner
`booth, the downstairs lounge to the rooftop bar, and in-seat
`ordering at sporting events, Mobile MICROS handheld
`technology allows you to service your customers wherever
`they are enjoying your hospitality. Our technology gives you
`and your staff the ultimate flexibility in providing excellent,
`immediate service that translates into increased operating
`efficiencies, greater profits, and an enhanced guest
`experience. MICROS continues to lead the way with
`innovative handheld technology
`iCard Mobile Wallet - The fastest and easiest way for
`restaurant consumers to pay. iCard Mobile Wallet eliminates
`the need to carry plastic cards for purchases at your favorite
`restaurants. Simply create an account, register your card and
`securely pay by presenting your smartphone at any
`participating locations. Payments are fast and secure.
`
`NFC Pay-at-the-Table with Verifone PAYware Mobile - a
`34
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`
`
`
`
`EXHIBIT A
`PLAINTIFF AMERANTH, INC.’S DISCLOSURE OF
` ASSERTED CLAIMS AND INFRINGEMENT CONTENTIONS
` AS TO DEFENDANT MICROS SYSTEMS, INC.
` (MICROS RESTAURANT MANAGEMENT SYSTEM (“RMS”))
`U.S. Patent No. 6,384,850
`
`solution[] that integrates MICROS's restaurant management
`system with smart mobile devices, allowing consumers to
`securely pay at the table with electronic wallets on mobile
`phones utilizing Near Field Communications (NFC).
`MICROS and Verifone have partnered to deliver the first
`practical NFC service that will allow restaurants to
`accommodate an emergive wave of NFC-enabled
`applications, including payments and redemption of
`electronic coupons and promotions. Best of all, it enables
`MICROS to provide multiple mobile products on one single
`platform, rather than requiring separate devices for separate
`functions.” (Exh. 33)
`“The Payment Gateway by MICROS offers cost-effective
`and cutting-edge integrated payment card processing
`solutions. It seamlessly integrates with banks and other
`payment transaction processors and OPERA PMS, MICROS
`POS and MICROS Web solutions as well as other non
`MICROS systems. It is the ideal solution for your business.
`The Payment Gateway by MICROS supports Visa,
`MasterCard, American Express, Diners Club, JCB as well as
`other local network cards depending on the country. It
`supports credit, debit, and retail payment and loyalty cards,
`supporting magnetic as well as chip cards. The functions of
`the software have been carefully planned to correspond to the
`natural way of working in the hotel, restaurant and retail
`industries, making business simple in the age of electronic
`payments.” (Exh. 56)
`“Tabbedout (www.Tabbedout.com) - the quickest and easiest
`way for you to close out a bar or restaurant tab - brings you
`this demonstration of how Tabbedout works with a MICROS
`point of sale system.”
`“MICROS announces its partnership and integration
`of mobile payment leader TabbedOut
`
`‘TabbedOut's approach marks a radical shift in the mobile
`payment landscape.’-Michael L Russo, CTO MICROS
`
`POS leader MICROS Systems continues to bring you
`innovative solutions and now introduces you to TabbedOut
`
`We are the cure for forgotten credit cards and missing out on a
`good time
`
`
`
`
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