`571-272-7822
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` Paper 10
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`Entered: September 9, 2014
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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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`
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`
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`CANON INC.,
`Petitioner,
`
`v.
`
`INTELLECTUAL VENTURES II LLC,
`Patent Owner.
`____________
`
`Case IPR2014-00631
`Patent 7,817,914 B2
`____________
`
`
`Before RICHARD E. RICE, JAMES B. ARPIN, and PETER P. CHEN,
`Administrative Patent Judges.
`
`RICE, Administrative Patent Judge.
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`
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`SCHEDULING ORDER
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`IPR2014-00631
`Patent 7,817,914 B2
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`A. DUE DATES
`This order sets due dates for the parties to take action after institution
`of the proceeding. The parties may stipulate to different dates for DUE
`DATES 1 through 5 (earlier or later, but no later than DUE DATE 6). A
`notice of the stipulation, specifically identifying the changed due dates, must
`be promptly filed. The parties may not stipulate to an extension of DUE
`DATES 6 and 7.
`In stipulating to different times, the parties should consider the effect
`of the stipulation on times to object to evidence (37 C.F.R. § 42.64(b)(1)), to
`supplement evidence (37 C.F.R. § 42.64(b)(2)), to conduct cross-
`examination (37 C.F.R. § 42.53(d)(2)), and to draft papers depending on the
`evidence and cross-examination testimony (see section B, below).
`The parties are reminded that the Testimony Guidelines appended to
`the Office Patent Trial Practice Guide, 77 Fed.Reg. 48,756, 48,772 (Aug. 14,
`2012) (Appendix D), apply to this proceeding. The Board may impose an
`appropriate sanction for failure to adhere to the Testimony Guidelines.
`37 C.F.R. § 42.12. For example, reasonable expenses and attorneys’ fees
`incurred by any party may be levied on a person who impedes, delays, or
`frustrates the fair examination of a witness.
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`1. INITIAL CONFERENCE CALL
`The parties are directed to the Office Patent Trial Practice Guide,
`77 Fed. Reg. 48,765–66 for guidance in preparing for the initial conference
`call, and should be prepared to discuss any proposed changes to this
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`IPR2014-00631
`Patent 7,817,914 B2
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`Scheduling Order and any motions the parties anticipate filing during the
`trial.
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`2. DUE DATE 1
`The patent owner may file—
`a.
`A response to the petition (37 C.F.R. § 42.120), and
`b.
`A motion to amend the patent (37 C.F.R. § 42.121).
`The patent owner must file any such response or motion to amend by DUE
`DATE 1. If the patent owner elects not to file anything, the patent owner
`must arrange a conference call with the parties and the Board. The patent
`owner is cautioned that any arguments for patentability not raised in the
`response will be deemed waived.
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`3. DUE DATE 2
`The petitioner must file any reply to the patent owner’s response and
`opposition to the motion to amend by DUE DATE 2.
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`4. DUE DATE 3
`The patent owner must file any reply to the petitioner’s opposition to
`patent owner’s motion to amend by DUE DATE 3.
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`5. DUE DATE 4
`a.
`Each party must file any motion for an observation on the
`cross-examination testimony of a reply witness (see section C, below) by
`DUE DATE 4.
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`IPR2014-00631
`Patent 7,817,914 B2
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`Each party must file any motion to exclude evidence (37 C.F.R
`b.
`§ 42.64(c)) and any request for oral argument (37 C.F.R. § 42.70(a)) by
`DUE DATE 4.
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`6. DUE DATE 5
`a.
`Each party must file any response to an observation on cross-
`examination testimony by DUE DATE 5.
`b.
`Each party must file any opposition to a motion to exclude
`evidence by DUE DATE 5.
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`7. DUE DATE 6
`Each party must file any reply for a motion to exclude evidence by
`DUE DATE 6.
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`8. DUE DATE 7
`The oral argument (if requested by either party) is set for DUE
`DATE 7.
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`B. CROSS-EXAMINATION
`Except as the parties might otherwise agree, for each due date—
`1.
`Cross-examination begins after any supplemental evidence is
`due. 37 C.F.R. § 42.53(d)(2).
`2.
`Cross-examination ends no later than a week before the filing
`date for any paper in which the cross-examination testimony is expected to
`be used. Id.
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`IPR2014-00631
`Patent 7,817,914 B2
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`C. MOTION FOR OBSERVATION ON CROSS-EXAMINATION
`A motion for observation on cross-examination provides the parties
`with a mechanism to draw the Board’s attention to relevant cross-
`examination testimony of a reply witness because no further substantive
`paper is permitted after the reply. See Office Patent Trial Practice Guide,
`77 Fed. Reg. 48,768. The observation must be a concise statement of the
`relevance of precisely identified testimony to a precisely identified argument
`or portion of an exhibit. Each observation should not exceed a single, short
`paragraph. The opposing party may respond to the observation. Any
`response must be equally concise and specific.
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`Patent 7,817,914 B2
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`DUE DATE APPENDIX
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`INITIAL CONFERENCE CALL ................. October 9, 2014 at 2:00 PM ET
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`DUE DATE 1 ..................................................................... December 1, 2014
`Patent owner’s response to the petition
`Patent owner’s motion to amend the patent
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`DUE DATE 2 ..................................................................... February 20, 2015
`Petitioner’s reply to patent owner’s response to petition
`Petitioner’s opposition to motion to amend
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`DUE DATE 3 ......................................................................... March 20, 2015
`Patent owner’s reply to petitioner’s opposition to motion to amend
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`DUE DATE 4 ........................................................................... April 10, 2015
`Motion for observation regarding cross-examination of reply witness
`Motion to exclude evidence
`Request for oral argument
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`DUE DATE 5 ........................................................................... April 24, 2015
`Response to observation
`Opposition to motion to exclude
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`DUE DATE 6 .............................................................................. May 1, 2015
`Reply to opposition to motion to exclude
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`Patent 7,817,914 B2
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`DUE DATE 7 ............................................................................ May 14, 2015
`Oral argument (if requested)
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`IPR2014-00631
`Patent 7,817,914 B2
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`For PETITIONER:
`Justin J. Oliver
`Daniel S. Glueck
`FITZPATRICK, CELLA, HARPER & SCINTO
`Canon914IPR@fchs.com
`
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`
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`For PATENT OWNER
`
`Herbert D. Hart III
`David Z. Petty
`MCANDREWS, HELD & MALLOY, LTD.
`hhart@mcandrews-ip.com
`dpetty@mcandrews-ip.com
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