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`UNITED STATES DISTRICT COURT
`CENTRAL DISTRICT OF CALIFORNIA WESTERN DIVISION
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`Case No. 2:14-CV-00486 SJO (PJWx)
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`Plaintiff,
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`BLACK HILLS MEDIA, LLC,
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`v.
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`SONOS INC.,
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`Defendant.
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`EXPERT REPORT OF MR. IVAN ZATKOVICH REGARDING INFRINGEMENT
`OF U.S. PATENT NOS. 6,757,517, 7,236,739, 7,742,740 and 6,826,283
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`Expert Report of Ivan Zatkovich on Infringement - Final 9292014
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`Yamaha Corporation of America Exhibit 1019 Page 1
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`CONFIDENTIAL BUSINESS INFORMATION - SUBJECT TO PROTECTIVE ORDER
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`I.
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`INTRODUCTION
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`1. My name is Ivan Zatkovich. I have been retained by the law firm of Hayes,
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`Messina, Gilman & Hayes LLC (“Hayes Messina”) to investigate and opine on certain issues
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`related to this case and the infringement of U.S. Patent Nos. 6,757,517 (“the ‘517 Patent”),
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`7,236,739 (“the ‘739 Patent”), 7,742,740 (“the ‘740 Patent”), and 6,826,283 (“the ‘283 Patent)
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`by the Sonos Defendant. The following is my written report detailing certain subject matter
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`areas and opinions on which I expect to testify in this case.
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`2.
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`I have been retained to review the ‘517, ‘739, ‘740 and ‘283 Patents, review
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`documents and source code produced by Defendant, examine and, where feasible, test selected
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`accused products of Defendant, and to provide my opinion regarding infringement of the
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`asserted claims of each patent and the understanding of a person having ordinary skill in the art
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`at the time of the inventions claimed in each patent. The details of my investigation and
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`conclusions are set forth below.
`II.
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`SUMMARY OF OPINIONS
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`3.
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`Based on my analysis presented below, I find that Defendant’s accused products
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`contain each element of, and thus infringe, the claims asserted in this case (jointly the
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`“Asserted Claims”):
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`- claims 6 and 13 of the ‘517 Patent;;
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`- claims 2 and 9 of the ‘739 Patent;;
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`- claim 1 of the ‘740 Patent;; and
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`- claims 6 and 10 of the ‘283 Patent.
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`4.
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`I also find that even though at least some of the Asserted Claims include
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`embodiments directed to a particular industry, namely home audio entertainment, each of these
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`claims describes novel inventions not found in the others.
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`Expert Report of Ivan Zatkovich on Infringement - Final 9292014
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`Yamaha Corporation of America Exhibit 1019 Page 2
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`CONFIDENTIAL BUSINESS INFORMATION - SUBJECT TO PROTECTIVE ORDER
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`24. The details and results of all of these analyses are set forth in detail bellow in this
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`report and in the accompanying claim charts for the asserted claims.
`V.
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`THE ACCUSED PRODUCTS IN THIS CASE
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`25. The accused products in this case are the Sonos players, bridges, and controllers
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`listed in Exhibit 3 - Sonos Testing Index. The accused products all practice and/or contain or
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`embody the methods and apparatuses taught in the Asserted Claims.
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`26. Some of the accused devices listed in the complaint have undergone product name
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`changes since first being offered for sale by Sonos, and some of the accused devices have
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`undergone slight modifications in functionality. However, the renamed devices and the
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`modified and discontinued devices remain relevant because they are part of the history of
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`infringement of the Asserted Claims by the Defendant. I have therefore considered such
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`products as the Sonos ZonePlayer 80 & 90 devices and find no material difference in terms of
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`infringement of the Asserted Claims to the current Sonos devices. All ‘ZonePlayer’ devices, all
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`‘Play’ devices, and all ‘Connect’ devices are designed to have materially the same functionality.
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`The code versions I have reviewed indicate that these devices provide substantially the same
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`functions. This is also confirmed, for example, in the deposition of Jonathan Lang. pg. 51 ln 6-
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`7.
`VI. RELEVANT FIELD AND LEVEL OF ORDINARY SKILL IN THE ART
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`It is my opinion that the relevant field with respect to the ‘517, ‘739, ‘740, and
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`‘283 Patents is the setup and management of ad hoc wireless networks, along with distribution
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`of media over networks and control of same.
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`28. The ordinary level of skill in this art is a Bachelor’s degree in computer science or
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`electrical engineering or its equivalent and at least 1-2 years of experience in the relevant field,
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`in areas such as computer networking.
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`Expert Report of Ivan Zatkovich on Infringement - Final 9292014
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`Yamaha Corporation of America Exhibit 1019 Page 3
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`CONFIDENTIAL BUSINESS INFORMATION - SUBJECT TO PROTECTIVE ORDER
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`29.
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`In reaching this opinion, I have considered the types of problems encountered in
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`the art, the sophistication of the technology and the education level and professional capabilities
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`of workers in the field. The basis of my familiarity with the level of skill in the art is my years
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`of interaction with large numbers of workers in the field and my knowledge of the technical
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`issues in the field.
`VII. SUMMARY OF OPINIONS
`A. Infringement of the ‘517 Patent
`30.
`It is my opinion that Defendant’s products (listed in Exhibit 3 - Sonos Testing
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`Index) directly infringe claims 6, and 13 of the ‘517 Patent as detailed herein.
`B. Infringement of the ‘739 Patent
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`It is my opinion that Defendant’s products (listed in Exhibit 3 - Sonos Testing
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`Index) directly infringe claims 2 and 9 of the ‘739 Patent as detailed herein.
`C. Infringement of the ‘740 Patent
`32.
`It is my opinion that Defendant’s products (listed in Exhibit 3 - Sonos Testing
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`Index) directly infringe claim 1 of the ‘740 Patent as detailed herein.
`D. Infringement of the ‘283 Patent
`33.
`It is my opinion that Defendant’s products (listed in Exhibit 3 - Sonos Testing
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`Index) directly infringe claims 6 and 10 of the ‘283 Patent as detailed herein.
`E. Doctrine of Equivalents
`34. Expert discovery is on-going and while it is my opinion that Defendant’s products
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`literally infringe the patents-in-suit, I reserve the right to supplement or amend my opinion to
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`specifically opine on infringement via the doctrine of equivalents in response to Defendant’s
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`non-infringement and/or invalidity arguments or other expert discovery. In the event that one or
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`Yamaha Corporation of America Exhibit 1019 Page 4
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`CONFIDENTIAL BUSINESS INFORMATION - SUBJECT TO PROTECTIVE ORDER
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` I declare under penalty of perjury that the foregoing is true and correct.
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`Ivan Zatkovich
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`September 29, 2014
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`Expert Report of Ivan Zatkovich on Infringement - Final 9292014
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`Yamaha Corporation of America Exhibit 1019 Page 5
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