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`UNITED STATES PATENT AND TRADEMARK OFFICE
`
`BEFORE THE PATENT TRIAL AND APPEAL BOARD
`
`PETROLEUM GEO-SERVICES INC.
`and
`ION GEOPHYSICAL CORPORATION
`AND ION INTERNATIONAL S.A.R.L.
`Petitioners
`
`v.
`
`WESTERNGECO, LLC
`Patent Owner
`
`
`Case IPR2014-006891
`
`U.S. Patent No. 7,293,520
`
`
`
`PETITIONER’S MOTION TO SEAL
`PORTIONS OF ITS MOTION TO EXCLUDE UNDER 37 CFR § 42.14
`
`
`
`1 Case IPR2015-00565 has been joined with this proceeding.
`
`
`
`

`

`
`
`
`
`Pursuant to 37 CFR § 42.14, Petitioner Petroleum Geo-Services Inc. (PGS)
`
`respectfully submits this Motion to Seal Portions of its Motion to Exclude, which is
`
`being filed concurrently with this Motion.
`
`I.
`
`Reasons for Redacting Portions of the Motion
`
`The standard governing the Board’s determination of whether to grant a
`
`motion to seal is “good cause.” Garmin v. Cuozzo, IPR2012-0001, Paper 36 (April
`
`5, 2013). The board aims to “strike a balance between the public’s interest in
`
`maintaining a complete and understandable file history and the parties’ interest in
`
`protecting truly sensitive information.” Id.
`
`
`
`PGS’s Motion to Exclude discusses and cites exhibits (2002, 2003, 2006,
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`2019, 2052, 2079, 2080, 2086, 2149, and 2150) that were designated as confidential
`
`pursuant to a protective order in district court litigation against ION. WesternGeco
`
`LLC v. ION Geophysical Corp. et al., No. 09-cv-01827, ECF No. 28 (S.D. Tex.
`
`Aug. 28, 2009). These materials were obtained by Petitioner via compelled
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`discovery in the context of its current litigation against PGS in WesternGeco LLC v.
`
`Petroleum Geo-Services, Inc., No. 13-cv-2725, ECF No. 60 (S.D. Tex. Jan. 13,
`
`2014), and are subject to a protective order in that litigation as well. WesternGeco
`
`LLC v. Petroleum Geo-Services, Inc., No. 13-cv-2725, ECF No. 37 (S.D. Tex. Jan.
`
`13, 2014). PGS’s Motion also discusses exhibits (1089, 1090, 2077) that have been
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`designated by WesternGeco as containing business confidential information. These
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`
`
`

`

`
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`exhibits, the statement and deposition transcripts of Mr. Robin Walker in this
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`proceeding, have been designated as confidential by WesternGeco.
`
`
`
`Pursuant to Section 4(A)(ii) of the Board’s default protective order applicable
`
`in this proceeding, PGS has filed a confidential, non-redacted version of its Motion
`
`as well as a redacted version of its Motion to remove references and citations to the
`
`sealed information and exhibits. Because the redacted portions of the Motion are
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`subject to the aforementioned protective orders, Petitioner brings this motion to seal
`
`with good cause.
`
`II. Conclusion
`
`For the foregoing reasons, Petitioner requests that the Board grant
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`
`
`
`Petitioner’s Motion to Seal. Petitioner understands that the documents filed
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`concurrently with this motion will remain sealed pending the outcome of the
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`decision on this motion. See 37 C.F.R. § 42.14. Should the Board require it before
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`deciding this motion, PGS is prepared to meet and confer with WesternGeco to
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`prepare any Joint Motion to Seal that may be required to further clarify the bases
`
`for sealing the above documents.
`
`
`
`Dated: June 29, 2015
`
`
`
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`
`
`Respectfully Submitted,
`
`
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`3
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`

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`_/Jessamyn Berniker/________
`Jessamyn Berniker
`Reg. No. 72,328
`Williams & Connolly, LLP
`725 12th St., NW
`Washington, DC 20005
`Telephone: 202-434-5000
`Facsimile: 202-434-5957
`Email: jberniker@wc.com
`
`Attorney for Petitioner
`
`4
`
`

`

`
`
`
`
`CERTIFICATE OF SERVICE
`
`The undersigned hereby certifies that the above-captioned Petroleum Geo-
`
`Service Inc.’s “Motion to Seal Portions of Its Motion to Exclude Under 35 C.F.R.
`
`§ 42.55” was served to the Patent Owner by delivering a copy via electronic mail
`
`upon the following attorneys of record.
`
`For Petitioner ION Geophysical Corporation and ION International S.A.R.L.:
`
`
`
`
`
`
`
`W. Karl Renner
`Roberto Devoto
`IPR37136-0004IP1@fr.com
`
`Fish & Richardson P.C.
`3200 RBC Plaza
`60 South Sixth Street
`Minneapolis, MN 55402
`202-783-5070
`
`
`
`
`
`For Patent Owner:
`
`
`Michael L. Kiklis
`CPDocketKiklis@oblon.com
`Scott McKeown
`CPDocketMcKeown@oblon.com
`Kevin Laurence
`CPDocketLaurence@oblon.com
`Katherine Cappaert
`CPDocketCappaert@oblon.com
`Christopher Ricciuti
`CPDocketRicciuti@oblon.com
`
`Oblon
`1940 Duke Street
`Alexandria, Virginia 22314
`703-413-3000
`
`
`
`5
`
`

`

`__/Jessamyn Berniker/______
`Jessamyn Berniker
`Reg. No. 72,328
`Williams & Connolly, LLP
`725 12th St., NW
`Washington, DC 20005
`Telephone: 202-434-5000
`Facsimile: 202-434-5957
`Email: jberniker@wc.com
`
`Attorney for Petitioner
`
`
`
`DATE: June 29, 2015.
`
`
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`6
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`

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