`FOR THE DISTRICT OF DELAWARE
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`C.A. No. ____________
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`JURY TRIAL DEMANDED
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`WASICA FINANCE GMBH AND
`BLUEARC FINANCE AG,
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`Plaintiffs,
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`v.
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`CONTINENTAL AUTOMOTIVE SYSTEMS
`U.S., INC.,
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`Defendant.
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`COMPLAINT FOR PATENT INFRINGEMENT
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`Plaintiffs, Wasica Finance GmbH and BlueArc Finance AG file this Complaint and
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`demand for jury trial seeking relief for patent infringement by the Defendant, Continental
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`Automotive Systems U.S., Inc. Plaintiffs state and allege the following:
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`BACKGROUND
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`1.
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`Wasica Finance GmbH is a Swiss company with a place of business at
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`Schwanderstrasse 27, 6063 Stalden, Switzerland. Mr. Karl Leemann is the primary owner of
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`Wasica Finance GmbH.
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`2.
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`BlueArc Finance AG is a Swiss company with a place of business at
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`Schwanderstrasse 27, 6063 Stalden, Switzerland. Mr. Heinz Ruchti is the primary owner of
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`BlueArc Finance AG.
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`3. During the early 1990s, Mr. Leeman and Mr. Ruchti owned Uwatec AG, a Swiss
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`company in the business of manufacturing and selling scuba diving products. During that time,
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`Uwatec engaged Mr. Markus Mock and Mr. Ernst Völlm to develop technology for the scuba
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`diving business. While working on that assignment, Messrs. Mock and Völlm conceived of an
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`Invention relating to monitoring the air-pressure in pneumatic tires on vehicle wheels. Mr. Mock
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`and Mr. Völlm assigned their patent rights in the Invention to Uwatec AG, which applied for
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`patents on the Invention in multiple jurisdictions including the United States. On February 11,
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`1997, the U.S. Patent and Trademark Office issued U.S. Patent No. 5,602,524 to Messrs. Mock
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`and Völlm for the Invention. Later, Messrs. Leeman and Ruchti sold Uwatec AG. As part of that
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`transaction, the patent rights to the Invention were assigned to Messrs. Leeman and Ruchti.
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`Messrs. Leeman and Ruchti formed Wasica Finance GmbH and BlueArc Finance AG to own
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`and hold their respective patent rights in the Invention, including the ‘524 patent.
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`4.
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`On information and belief, Defendant Continental Automotive Systems U.S., Inc.
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`is a corporation organized and existing under the laws of the state of Delaware, with its principal
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`place of business located at 1 Continental Drive, Auburn Hills, Michigan 48236
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`5.
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`On information and belief, Continental is a major manufacturer and seller of tire
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`pressure monitoring systems. Continental sells its tire pressure monitoring sensors and
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`equipment in both the OEM and Aftermarket channels.
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`JURISDICTION AND VENUE
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`6.
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`This is an action for patent infringement arising under the patent laws of the
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`United States, 35 U.S.C. §§ 1 et seq. This Court has subject matter jurisdiction pursuant to
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`28 U.S.C. §§ 1331 and 1338(a).
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`7.
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`This Court has personal jurisdiction over Continental because it regularly
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`conducts business in the State of Delaware and therefore has substantial and continuous contacts
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`within this judicial district; because it has purposefully availed itself to the privileges of
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`conducting business in this judicial district; and/or because it has committed acts of patent
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`infringement in this judicial district.
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`2
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`8.
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`Venue is proper in this District pursuant to 28 U.S.C. §§ 1391(b) and (c) and
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`1400(b).
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`9.
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`On information and belief, Continental has placed infringing products into the
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`stream of commerce by shipping those products into this judicial district and/or by knowing that
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`such products would be shipped into this judicial district. On information and belief,
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`Continental’s established distribution network distributes accused products directly into this
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`judicial district.
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`COUNT I
`(Patent Infringement)
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`10.
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`11.
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`Plaintiffs restate and reallege the preceding paragraphs of this Complaint.
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`On February 11, 1997, United States Patent No. 5,602,524 (“the ‘524 patent”)
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`entitled “Device for Monitoring and the Air-Pressure in Pneumatic Tires Fitted on Vehicle
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`Wheels” was duly and legally issued by the United States Patent and Trademark Office.
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`Plaintiffs owns the ‘524 patent by assignment. A true and correct copy of the ‘524 patent is
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`attached as Exhibit A.
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`12.
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` The ‘524 patent relates to tire pressure monitoring systems (“TPMS”) used to
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`monitor the pressure in automobiles and other vehicles. Low tire pressure can lead to tire failure,
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`often a tire blow-out, that poses serious danger to vehicles and their occupants. In addition, low
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`tire pressure can result in increased fuel consumption and shortened tire life. As a result,
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`Congress has mandated that all passenger vehicles weighing less than 10,000 pounds be
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`equipped with a TPMS to warn drivers of under-inflated tires.
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`13.
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`Continental is a major manufacturer and seller of TPMS equipment in the United
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`States.
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`14.
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`On information and belief, Continental has knowledge of the ‘524 patent.
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`3
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`15.
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`On information and belief, Continental has been and is actively inducing others to
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`infringe and/or contributing to the infringement of the ‘524 patent in violation of 35 U.S.C. § 271
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`in the United States.
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`16.
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`Plaintiffs have been and continue to be damaged as the result of Continental’s
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`infringement.
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`PRAYER FOR RELIEF
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`WHEREFORE, Plaintiffs respectfully requests that this Court:
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`(1)
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`(2)
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`Enter judgment that Continental has infringed the ‘524 patent;
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`Enter an order permanently enjoining Continental and its officers, agents,
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`employees, attorneys, and all persons in active concert or participation with any of them, from
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`infringing the ‘524 patent;
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`(3)
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`Award Plaintiffs damages in an amount sufficient to compensate it for
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`Continental’s infringement of the ‘524 patent, together with pre-judgment and post-judgment
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`interest and costs, and all other damages permitted under 35 U.S.C. § 284;
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`(4)
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`Award Plaintiffs an accounting for acts of infringement not presented at trial and
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`an award by the Court of additional damage for any such acts of infringement; and
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`(75 Award Plaintiffs such other and further relief as this Court deems just and proper.
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`JURY TRIAL DEMAND
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`Plaintiffs demand a jury trial on all issues so triable.
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`4
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`Dated: July 30, 2013
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`FISH & RICHARDSON P.C.
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`By: /s/ Thomas L. Halkowski
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`Thomas L. Halkowski (#4099)
`222 Delaware Avenue, 17th Floor
`P.O. Box 1114
`Wilmington, DE 19899-1114
`(302) 778-8407 Telephone
`(302) 652-0607 Facsimile
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`Of Counsel:
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`Michael J. Kane
`Jason M. Zucchi
`3200 RBC Plaza
`60 South Sixth Street
`Minneapolis, MN 55402
`(612) 335-5070 Telephone
`(612) 288-9696 Facsimile
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`Attorneys for Plaintiffs
`Wasica Finance GmbH and
`BlueArc Finance AG
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`5
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