throbber
Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
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`Claim Language
`contacting a remote data source
`after said step of receiving said
`user specific data;
`
`Evidence of Infringement
`After receiving user specific data, Zynga Slots contacts a remote data source.
`For example, after the user specific data is received and displayed, Zynga
`Slots contacts a game server to update games. See, for example, the screen-
`shot below showing a remote data source being contacted by Zynga Slots.
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`Continued on next page
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`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
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`Evidence of Infringement
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`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
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`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
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`Claim Language
`
`Evidence of Infringement
`After Zynga Slots receives user specific data, Zynga Slots also contacts a
`Zynga game server with user information. For example, if the Internet is
`disconnected during gameplay, Zynga Slots cannot display all of the user’s
`information, which shows that Zynga Slots attempts to contact a remote
`data source after receiving user specific data.
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`Continued on next page
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`Evidence of Infringement
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`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
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`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
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`Claim Language
`receiving from said remote data
`source based on said step of con-
`tacting said remotely originated
`data to serve as a basis for dis-
`playing said video presentation;
`
`Evidence of Infringement
`Based on the contacting step, Zynga Slots receives remotely originated game
`data from the remote data source to serve as a basis for displaying the video
`game presentation. For example, Zynga Slots receives remotely originated
`game data such as specific game status, game statistics, and positions of
`graphical elements from the remote data source. See below:
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`Continued on next page
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`Claim Language
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`Evidence of Infringement
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`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
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`Claim Language
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`Evidence of Infringement
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`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
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`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
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`Evidence of Infringement
`Zynga Slots executes processor instructions to process the remotely origi-
`nated data and the user specific data at the video apparatus to generate
`locally generated game images. The locally generated image includes at
`least some information content that does not include any information from a
`remote video source and a remote data source. For example, the locally gen-
`erated image of Zynga Slots shown below includes graphical elements, such
`as the background and the images of icons that come from local storage.
`
`Claim Language
`executing processor instructions
`to process said remotely origi-
`nated data and said user spe-
`cific data at said video appara-
`tus in order to generate said lo-
`cally generated image, said lo-
`cally generated image including
`at least some information con-
`tent that does not include any
`information from said remote
`video source and said remote
`data source;
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`Continued on next page
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`Evidence of Infringement
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`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
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`Evidence of Infringement
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`Claim Language
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`Evidence of Infringement
`Additionally, Zynga Slots displays locally generated images that include in-
`formation such as sound settings and notification settings, etc. This infor-
`mation comes from local storage. See, for example, below:
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`Continued on next page
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`Evidence of Infringement
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`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
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`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
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`Claim Language
`receiving, at said audio receiver,
`audio which describes informa-
`tion displayed in said video pre-
`sentation;
`
`Evidence of Infringement
`This claim element does not include a “software limitation” under P.R. 3-
`1(g). The audio receiver receives audio that describes information displayed
`in the video game presentation. For example, Zynga Slots has audio settings
`(as shown below) where music and sound effects are set. Those sound effects
`and music are stored at the mobile device and are received by the audio
`receiver when they are played during game play as sound effects and video
`presentation music. These sound effects and music describe information dis-
`played in the video game presentation.
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`Continued on next page
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`Evidence of Infringement
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`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
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`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
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`Claim Language
`simultaneously displaying said
`locally generated image and said
`image received from said re-
`mote video source at said video
`output device, wherein said at
`least some information content
`of said locally generated image
`is displayed;
`
`Evidence of Infringement
`Zynga Slots simultaneously displays the locally generated image and the
`image received from the remote video source at the video output device. As
`an example, the locally generated image includes graphical elements that are
`stored locally, such as the background and game icons, while simultaniously
`displaying an image recieved from a remote video source, such as friend
`information or opponent information.
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`Continued on next page
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`Evidence of Infringement
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`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
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`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
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`Claim Language
`
`Evidence of Infringement
`As another example, the locally generated image includes the user name,
`selected character, game statistics, profile picture, user preferences, and/or
`other game graphics that come from local storage. These images are dis-
`played simultaneously with an image received from a remote video source
`when Zynga Slots also displays remote game information and data. For
`example, locally generated images are displayed simultaneously with infor-
`mation received from a remote source. See below, where remotely received
`images are circled in red and local images include, for example, the titles for
`each level, the animals figures, or the background:
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`Continued on next page
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`Evidence of Infringement
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`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
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`Claim Language
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`Evidence of Infringement
`Further, the game state is recieved from the remote video source by the video
`output device, such as the number of coins or stars the user has available,
`etc.
`
`Additionally, remote images, such as friend photos are displayed along with
`locally stored graphics.
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`Continued on next page
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`Evidence of Infringement
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`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
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`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
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`Claim Language
`and outputting said audio at
`said video apparatus before
`ceasing to display said locally
`generated video image.
`
`Evidence of Infringement
`This claim element does not include a “software limitation” under P.R. 3-
`1(g). Zynga Slots outputs the audio at the video apparatus before ceasing
`receives audio to display the locally generated images. For example, during
`gameplay, sound effects play simultaneously with the video game display,
`which includes the display of locally generated video game images such as user
`specific information overlaid on background graphical displays. For example,
`in the screenshot below audio is output comprising sounds of nature.
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`Continued on next page
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`Claim Language
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`Evidence of Infringement
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`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
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`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
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`Claim Language
`18. A method of outputting a
`video presentation at a receiver
`station, said method comprising
`the steps of:
`
`Evidence of Infringement
`Zynga provides Zynga Slots as a “mobile game” to its users playing on per-
`sonal computing devices such as, for example, mobile handheld devices. A
`user of Zynga Slots directly infringes Claim 18 by performing the method
`steps on a personal computing device. Zynga indirectly infringes Claim 18
`by inducing and contributing to the direct infringement of its users. Zynga
`directly infringes Claim 18 by testing and demonstrating Zynga Slots. Unless
`indicated otherwise, each element in Claim 18 includes a “software limita-
`tion” under P.R. 3-1(g). Additional evidence of infringement may be sup-
`plied as needed in accordance with the Local Rules and the Docket Con-
`trol Order following the production of source code, source code documenta-
`tion, flowcharts, and/or other source code related documents or testimony
`for Zynga Slots. The priority date for Claim 18 is November 3, 1981.
`
`Zynga Slots outputs a video presentation at a receiver station. See screen
`shots of example video presentations below:
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`Continued on next page
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`Evidence of Infringement
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`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
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`Evidence of Infringement
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`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
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`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
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`Claim Language
`receiving at least one informa-
`tion transmission at said re-
`ceiver
`station,
`said at
`least
`one
`information transmission
`including a first discrete signal
`and a second discrete signal;
`
`Evidence of Infringement
`Zynga Slots receives at least one information transmission at the receiver
`station that includes a first discrete signal and a second discrete signal. For
`example, Zynga Slots receives the game status information, which includes
`game information such as information related to the placement of a first game
`item (a first discrete signal) and information related to the placement of a
`second game item (a second discrete signal). As a second example, Zynga
`Slots receives data related to other users, such as a the placement of a first
`game item (a first discrete signal) and information related to the placement
`of a second game item (a second discrete signal).
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`Continued on next page
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`Evidence of Infringement
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`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
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`Claim Language
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`Evidence of Infringement
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`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
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`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
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`Claim Language
`detecting said first discrete sig-
`nal and said second discrete sig-
`nal in said at least one informa-
`tion transmission;
`
`Evidence of Infringement
`Zynga Slots detects the first and second discrete signals in the information
`transmission. For example, Zynga Slots detects a first discrete signal con-
`taining information related to the placement of a game item and detects a
`second discrete signal information related to the placement of a second game
`item. See below:
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`Continued on next page
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`Evidence of Infringement
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`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
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`Claim Language
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`Evidence of Infringement
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`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
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`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
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`Claim Language
`passing said detected at least
`one first discrete signal and said
`second discrete signal to at least
`one processor;
`
`Evidence of Infringement
`Zynga Slots passes the detected first and second discrete signals to a processor
`so that they can be processed. For example, Zynga Slots passes a first discrete
`signal containing information related to the placement of a first game element
`and passes a second discrete signal containing information related to the
`placement of a second game element. See below:
`
`Continued on next page
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`Evidence of Infringement
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`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
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`Evidence of Infringement
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`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
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`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
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`Claim Language
`organizing information included
`in said at least one first dis-
`crete signal with information in-
`cluded in said second discrete
`signal to provide an organized
`signal at said receiver station;
`
`Evidence of Infringement
`Zynga Slots organizes information (the placement of game elements) included
`in the first and second discrete signals to provide an organized signal at the
`receiver station. For example, multiple game elements are organized so that
`they are displayed at organized locations on the background image, as shown
`below:
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`Continued on next page
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`Evidence of Infringement
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`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
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`Claim Language
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`Evidence of Infringement
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`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
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`Continued on next page
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`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
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`Evidence of Infringement
`Zynga Slots generates an image in response to the organized signal (contain-
`ing information related to the placement of game elements, for example) by
`processing at least one user specific subscriber datum such as a user name,
`user account, or user preferences. See below:
`
`Claim Language
`generating an image in response
`to said organized signal by pro-
`cessing at least one user spe-
`cific subscriber datum, said at
`least one user specific subscriber
`datum being stored at said re-
`ceiver station prior to said step
`of organizing and based on in-
`formation supplied by a user of
`said receiver station, said gen-
`erated image including at least
`some information content that
`does not include any informa-
`tion from said discrete signals;
`and
`
`Continued on next page
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`Claim Language
`
`Evidence of Infringement
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`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
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`Continued on next page
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`Claim Language
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`Evidence of Infringement
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`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
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`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
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`Claim Language
`
`Evidence of Infringement
`Zynga Slots stores the user specific subscriber datum (such as a user name,
`user account, or user preference) at the receiver station prior to the step
`of organizing and based on information supplied by a user of the receiver
`station. For example, when the user first signs up for Zynga Slots the user
`enters his name and other user specific information, such as his facebook
`information, as shown below:
`
`Continued on next page
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`Claim Language
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`Evidence of Infringement
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`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
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`Claim Language
`
`Evidence of Infringement
`The image generated by Zynga Slots includes information content that is not
`from the first and second discrete signals, such as locally stored user infor-
`mation and the graphical representation of items and background images.
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`Continued on next page
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`Claim Language
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`Evidence of Infringement
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`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
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`Claim Language
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`Evidence of Infringement
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`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
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`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
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`Claim Language
`outputting said video presenta-
`tion to said user, said video pre-
`sentation comprising, firstly, a
`video image and, secondly, a
`coordinated display using said
`generated image and said video
`image, wherein said at least
`some information content of
`said generated image is dis-
`played.
`
`Evidence of Infringement
`This claim element does not include a “software limitation” under P.R. 3-
`1(g). Zynga Slots outputs a video presentation to the user that includes a
`video image and a coordinated display using the generated image and the
`video image. For example, Zynga Slots outputs a coordinated display using
`the generated image and video images, such as the sliding up or down of a
`column, where the game icons and characters have been organized according
`to the first and second signals.
`
`Continued on next page
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`Claim Language
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`Evidence of Infringement
`
`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
`
`Page 68 of 102
`
`Continued on next page
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`

`
`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
`
`Claim Language
`19. The method of claim 18,
`wherein a receiver specific con-
`trol signal
`is generated based
`on a third discrete signal, said
`method further including the
`step of: selecting said video pre-
`sentation in response to said
`generated receiver specific con-
`trol signal.
`
`Evidence of Infringement
`Zynga provides Zynga Slots as a “mobile game” to its users playing on per-
`sonal computing devices such as, for example, mobile handheld devices. A
`user of Zynga Slots directly infringes Claim 19 by performing the method
`steps on a personal computing device. Zynga indirectly infringes Claim 19
`by inducing and contributing to the direct infringement of its users. Zynga
`directly infringes Claim 19 by testing and demonstrating Zynga Slots. Unless
`indicated otherwise, each element in Claim 19 includes a “software limita-
`tion” under P.R. 3-1(g). Additional evidence of infringement may be sup-
`plied as needed in accordance with the Local Rules and the Docket Con-
`trol Order following the production of source code, source code documenta-
`tion, flowcharts, and/or other source code related documents or testimony
`for Zynga Slots. The priority date for Claim 19 is November 3, 1981.
`
`Zynga Slots includes a third discrete signal that generates a receiver specific
`control signal. Further, a video presentation is selected in response to the
`generated receiver specific control signal. For example, the screenshot below
`displays an additional element that starts a video presentation, such as the
`“SPIN” button.
`
`Continued on next page
`
`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
`
`Page 69 of 102
`
`

`
`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
`
`Claim Language
`
`Evidence of Infringement
`
`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
`
`Page 70 of 102
`
`Continued on next page
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`

`
`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
`
`Claim Language
`
`Evidence of Infringement
`Once the user clicks on the “SPIN” button, a video of the columns of the
`slot machine sliding up or down is output to the user, as shown below. As
`another example, also output to the user is a video of the rabbit at the top
`of the screen running.
`
`Continued on next page
`
`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
`
`Page 71 of 102
`
`

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`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
`
`Claim Language
`
`Evidence of Infringement
`
`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
`
`Page 72 of 102
`
`Continued on next page
`
`

`
`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
`
`Claim Language
`
`Evidence of Infringement
`
`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
`
`Page 73 of 102
`
`Continued on next page
`
`

`
`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
`
`Claim Language
`22. The method of claim 18,
`further comprising the steps of:
`
`receiving said at least one user
`specific subscriber datum; and
`
`Evidence of Infringement
`Zynga provides Zynga Slots as a “mobile game” to its users playing on per-
`sonal computing devices such as, for example, mobile handheld devices. A
`user of Zynga Slots directly infringes Claim 22 by performing the method
`steps on a personal computing device. Zynga indirectly infringes Claim 22
`by inducing and contributing to the direct infringement of its users. Zynga
`directly infringes Claim 22 by testing and demonstrating Zynga Slots. Unless
`indicated otherwise, each element in Claim 22 includes a “software limita-
`tion” under P.R. 3-1(g). Additional evidence of infringement may be sup-
`plied as needed in accordance with the Local Rules and the Docket Con-
`trol Order following the production of source code, source code documenta-
`tion, flowcharts, and/or other source code related documents or testimony
`for Zynga Slots. The priority date for Claim 22 is November 3, 1981.
`
`The receiver station receives at least one user specific subscriber datum
`through user input or the user specific subscriber datum may be received
`from the Zynga servers. For example, the user can update their sound pref-
`erences.
`
`Continued on next page
`
`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
`
`Page 74 of 102
`
`

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`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
`
`Claim Language
`
`Evidence of Infringement
`
`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
`
`Page 75 of 102
`
`Continued on next page
`
`

`
`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
`
`Claim Language
`
`Evidence of Infringement
`As another example, the screenshot below shows specific subscriber datum
`that was received from the Zynga servers, such as the current game state of
`the user.
`
`Continued on next page
`
`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
`
`Page 76 of 102
`
`

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`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
`
`Claim Language
`
`Evidence of Infringement
`
`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
`
`Page 77 of 102
`
`Continued on next page
`
`

`
`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
`
`Claim Language
`
`Evidence of Infringement
`As a further example, the screenshot below shows specific subscriber datum
`that was received from the Zynga servers, such as information about the
`user’s friend.
`
`Continued on next page
`
`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
`
`Page 78 of 102
`
`

`
`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
`
`Claim Language
`
`Evidence of Infringement
`
`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
`
`Page 79 of 102
`
`Continued on next page
`
`

`
`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
`
`Claim Language
`passing said at least one user
`specific subscriber datum to a
`storage device.
`
`Evidence of Infringement
`The user specific subscriber datum received by user input or from the Zynga
`server is passed to a storage device. This is demonstrated when the program
`is exited and reentered without an Internet connection. Specific subscriber
`datum, such as the number of stars or time remaining before the user may
`receive coins, is still available when Zynga Slots is accessed without an Inter-
`net connection. Thus, specific subscriber datum, such as the user’s statistics,
`is stored on a storage device.
`
`Continued on next page
`
`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
`
`Page 80 of 102
`
`

`
`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
`
`Claim Language
`
`Evidence of Infringement
`
`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
`
`Page 81 of 102
`
`Continued on next page
`
`

`
`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
`
`Claim Language
`
`Evidence of Infringement
`Further, user data received from the Zynga servers are stored at the receiver
`station. For example, the screenshot below shows a game without a valid
`connection that shows specific user data is still available, such as the number
`of stars or time remaining before the user may receive coins.
`
`Continued on next page
`
`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
`
`Page 82 of 102
`
`

`
`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
`
`Claim Language
`
`Evidence of Infringement
`
`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
`
`Page 83 of 102
`
`Continued on next page
`
`

`
`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
`
`Claim Language
`
`Evidence of Infringement
`As another example, the Zynga server stores the user’s account information,
`which is validated each time the user logs in.
`
`23. The method of claim 18,
`further including the step of:
`
`Zynga provides Zynga Slots as a “mobile game” to its users playing on per-
`sonal computing devices such as, for example, mobile handheld devices. A
`user of Zynga Slots directly infringes Claim 23 by performing the method
`steps on a personal computing device. Zynga indirectly infringes Claim 23
`by inducing and contributing to the direct infringement of its users. Zynga
`directly infringes Claim 23 by testing and demonstrating Zynga Slots. Unless
`indicated otherwise, each element in Claim 23 includes a “software limita-
`tion” under P.R. 3-1(g). Additional evidence of infringement may be sup-
`plied as needed in accordance with the Local Rules and the Docket Con-
`trol Order following the production of source code, source code documenta-
`tion, flowcharts, and/or other source code related documents or testimony
`for Zynga Slots. The priority date for Claim 23 is November 3, 1981.
`
`contacting a remote station to
`obtain said at least one user spe-
`cific subscriber datum.
`
`Zynga Slots contacts the Zynga server to obtain at least one specific sub-
`scriber datum, such as to update user specific subscriber data. As an exam-
`ple, the user specific subscriber datum is the game state, as shown below.
`
`Continued on next page
`
`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
`
`Page 84 of 102
`
`

`
`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
`
`Claim Language
`
`Evidence of Infringement
`
`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
`
`Page 85 of 102
`
`Continued on next page
`
`

`
`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
`
`Claim Language
`
`Evidence of Infringement
`Zynga Slots also contacts the Zynga server to update advertisement informa-
`tion.
`
`Continued on next page
`
`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
`
`Page 86 of 102
`
`

`
`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
`
`Claim Language
`
`Evidence of Infringement
`
`Chart 57 – Personalized Media Communications, LLC v. Zynga, Inc. (2:12-cv-68)
`
`Page 87 of 102
`
`Continued on next page
`
`

`
`Zynga Slots (Mobile Game) – Infringement Contentions for U.S. Patent No. 7,734,251
`
`Claim Language
`
`Evidence of Infringement
`As another

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