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`Filed on behalf of: VirnetX Inc.
`By:
`Joseph E. Palys
`
`Naveen Modi
`Finnegan, Henderson, Farabow,
` Garrett & Dunner, L.L.P.
`11955 Freedom Drive
`Reston, VA 20190-5675
`Telephone: 571-203-2700
`Facsimile: 202-408-4400
`E-mail: joseph.palys@finnegan.com
`
` naveen.modi@finnegan.com
`
`
`
`
`
`UNITED STATES PATENT AND TRADEMARK OFFICE
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`BEFORE THE PATENT TRIAL AND APPEAL BOARD
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`RPX CORPORATION
`Petitioner
`v.
`VIRNETX INC.
`Patent Owner
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`Case IPR2014-00171
`Patent 6,502,135
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`Patent Owner’s Request for Deposition of Apple, Inc.
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`VIRNETX EXHIBIT 2026
`RPX v. VirnetX
`Trial IPR 2014-00171
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`Page 1 of 3
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`Case No. IPR2014-00171
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`Patent Owner VirnetX
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`Inc.
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`requests
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`that Apple,
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`Inc. provide a
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`knowledgeable witness to testify to the deposition topic listed below. To the extent
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`Apple prefers to respond to this topic in writing instead of providing a witness,
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`effectively treating the topic as a deposition by written question or an
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`interrogatory, Apple may do so subject to the instructions and definitions following
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`the topic.
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`DEPOSITION TOPIC
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`Communications in Request for Production No. 1 and/or 2 of Exhibit 2004
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`that were not reduced to writing, including identifying those communications.
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`1
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`Page 2 of 3
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`Case No. IPR2014-00171
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`INSTRUCTIONS AND DEFINITIONS
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`If Apple prefers to respond to this deposition topic in writing instead of
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`providing a witness, effectively treating the topic as a deposition by written
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`question or an interrogatory, please follow these instructions in addition to
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`complying with the Board’s instructions in the Office Patent Trial Practice Guide:
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`1.
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`Please timely amend your response if you learn that your response is
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`incomplete or additional responsive information is found.
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`2. Whenever you are asked to identify a communication, please: (a) summarize
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`the subject matter of the communication; (b) state the date and location of the
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`communication; and (c) identify the parties to the communication.
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`3.
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`If, in responding to this this topic, you encounter any ambiguities when
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`construing the topic, instruction, or definition, your response shall set forth the
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`matter deemed ambiguous and the construction used in responding.
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`4.
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`For any information sought that you withhold based upon a claim of
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`privilege, please identify the ground of the asserted privilege and provide a
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`privilege log according to the requirements of Federal Rule of Civil Procedure 26.
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`5.
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`“Communications” shall mean the transmission or receipt of information of
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`any kind through any means (e.g., email, voicemail, audio, computer readable
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`media, or orally).
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`2
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`Page 3 of 3