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`Paper No. ________
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`UNITED STATES PATENT AND TRADEMARK OFFICE
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`BEFORE THE PATENT TRIAL AND APPEAL BOARD
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`MOTOROLA MOBILITY LLC, GOOGLE INC. AND APPLE INC.
`Petitioners
`v.
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`ARENDI S.A.R.L.
`alleged Patent Owner
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`Patent No. 6,323,853
`Issue Date: November 27, 2011
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`Title: METHOD, SYSTEM AND COMPUTER READABLE MEDIUM FOR
`ADDRESSING HANDLING FROM A COMPUTER PROGRAM
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`_______________
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`Inter Partes Review No. IPR2014-00452
`____________________________________________________________
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`PETITIONERS’ MOTOROLA MOBILITY LLC AND GOOGLE INC.’S
`MOTION FOR ADMISSION PRO HAC VICE OF ROBERT J. KENT
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`1
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`I.
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`Relief Requested
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`Pursuant to 37 C.F.R. § 42.10, Petitioners Motorola Mobility LLC and
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`Google Inc. request that the Board admit Robert J. Kent pro hac vice in this
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`proceeding.
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`II.
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`Statement of Facts Showing Good Cause for the Board to Recognize
`Counsel Pro Hac Vice During the Proceeding
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`In accordance with 37 C.F.R. § 42.10(c), the Board may recognize counsel
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`pro hac vice during a proceeding, subject to the conditions set forth therein, and
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`any others that the Board may impose. Petitioner sets forth these facts in support
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`of this motion:
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`1.
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`The undersigned contacted counsel for patent owner Arendi (Mr.
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`Robert Asher), who indicated that Patent Owner did not plan to oppose Mr. Kent’s
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`admission pro hac vice.
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`2.
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`3.
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`Lead counsel, Matthew Smith, is a registered practitioner.
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`Counsel, Robert J. Kent, is an experienced litigator and has
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`established familiarity with the subject matter at issue in this proceeding.
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`Accompanying this motion is Exhibit 1015, the Declaration of Robert J. Kent in
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`Support of this Motion for Admission Pro Hac Vice (“Kent Decl.”). In his
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`declaration, Mr. Kent attests, among other things, that he is a member in good
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`standing of the California Bar and several United States District Courts. Mr. Kent
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`has seven years of experience in patent litigation at all phases of the litigation
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`process from pre-filing investigations to jury trial, including drafting of pleadings,
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`expert discovery, and specialized patent-related proceedings such as Markman
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`hearings and invalidity contentions. Kent Decl. ¶¶ 1-2. Mr. Kent also has four
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`years of industry experience with technologies related to those disclosed in the
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`’853 Patent, such as the Microsoft Windows API, Visual Studio and the Windows
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`Software Development Kit, and databases. Kent Decl. ¶ 3. In addition, Mr. Kent’s
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`familiarity with the subject matter at issue in this proceeding is demonstrated by
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`his review of the ’853 patent and all cited prior art and his assistance to the
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`undersigned in preparing the petition. Kent Decl. ¶¶ 10-13.
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`4.
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`In his declaration, Mr. Kent also attests as to his admission to practice
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`in other courts, as well as each of the required items set forth by 37 C.F.R.
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`§42.10(c). See Kent Decl. ¶¶ 4-9.
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`III. Conclusion
`For the foregoing reasons, Petitioners respectfully request that the Board
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`admit Robert Kent pro hac vice in this proceeding.
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`Dated: December 19, 2014
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`Respectfully submitted,
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`/Matthew A. Smith/
`By:
`Matthew A. Smith
`Registration No. 49,003
`Counsel for Petitioner
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`3
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`CERTIFICATE OF SERVICE
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`The undersigned hereby certifies that a copy of the foregoing Motion for
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`Admission Pro Hac Vice together with all exhibits filed therewith was served on
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`December 19, 2014 by electronic mail (by prior agreement with the Patent Owner)
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`to the attorneys of record for the Patent Owner at:
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`SUNSTEIN KANN MURPHY & TIMBERS LLP
`125 SUMMER STREET
`BOSTON MA 02110-1618
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`By transmitting the documents to the attorneys’ email addresses at:
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`Rasher@sunsteinlaw.com, BSunstein@sunsteinlaw.com,
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`JStickevers@sunsteinlaw.com, and DWu@sunsteinlaw.com.
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`By: /Matthew A. Smith/
`Matthew A. Smith
`Registration No. 49,003
`Counsel for Petitioner
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`1
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