throbber
Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 87
`
`78
`
`Ex. A: Apple ’536 Infringement Chart
`
`
`
`
`
`
`
`
`
`iOS-Compatible Devices
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`

`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 88
`
`79
`
`
`
`Ex. A: Apple ’536 Infringement Chart
`
`
`
`
`
`(EV0001462-75.)
`
`
`
`iOS-Compatible Devices
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`

`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 89
`
`80
`
`
`
`
`
`Ex. A: Apple ’536 Infringement Chart
`
`
`
`
`
`iOS-Compatible Devices
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`

`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 90
`
`81
`
`Ex. A: Apple ’536 Infringement Chart
`
`
`
`and initCircularRegionWithCenter:radius:identifier:
`disallowDeferredLocationUpdates, location, heading, purpose, initWithPlacemark:, containsCoordinate:,
`maximumRegionMonitoringDistance, allowDeferredLocationUpdatesUntilTraveled:timeout:,
`headingOrientation, startMonitoringForRegion, stopMonitoringForRegion, monitoredRegions,
`startUpdatingHeading, stopUpdatingHeading, dismissHeadingCalibrationDisplay, headingFilter,
`startMonitoringSignificantLocationChanges, stopMonitoringSignificantLocationChanges,
`pausesLocationUpdatesAutomatically, distanceFilter, desiredAccuracy, activityType,
`regionMonitoringAvailable, startUpdatingLocation, stopUpdatingLocation,
`deferredLocationUpdatesAvailable, significantLocationChangeMonitoringAvailable, headingAvailable,
`initWithLatitude:longitude:, delegate, authorizationStatus, locationServicesEnabled,
`initWithCoordinate:altitude:horizontalAccuracy:verticalAccuracy:timestamp:,
`initWithCoordinate:altitude:horizontalAccuracy:verticalAccuracy:course:speed: timestamp:,
`CLPlacemark, CLRegion, and CLHeading containers include distanceFromLocation,
`Some examples of gateways attached to and forming part of the CLLocation, CLLocationManager,
`
`
`
`
`
`(EV0001491-92.)
`
`
`
`iOS-Compatible Devices
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`

`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 91
`
`82
`
`Ex. A: Apple ’536 Infringement Chart
`
`
`
`
`
`
`
`iOS-Compatible Devices
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`

`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 92
`
`83
`
`Ex. A: Apple ’536 Infringement Chart
`
`
`
`
`
`
`
`
`
`iOS-Compatible Devices
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`

`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 93
`
`84
`
`
`
`Ex. A: Apple ’536 Infringement Chart
`
`
`
`
`
`(EV0001518-21.)
`
`
`
`iOS-Compatible Devices
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`

`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 94
`
`85
`
`Ex. A: Apple ’536 Infringement Chart
`
`
`
`
`
`
`
`
`
`iOS-Compatible Devices
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`

`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 95
`
`86
`
`Ex. A: Apple ’536 Infringement Chart
`
`
`
`
`
`iOS-Compatible Devices
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`

`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 96
`
`87
`
`Ex. A: Apple ’536 Infringement Chart
`
`
`
`(EV0001628-31.)
`
`
`
`
`
`
`
`iOS-Compatible Devices
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`

`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 97
`
`88
`
`Ex. A: Apple ’536 Infringement Chart
`
`
`
`
`
`
`
`
`
`(EV0001669.)
`
`
`
`
`
`iOS-Compatible Devices
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`

`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 98
`
`89
`
`Ex. A: Apple ’536 Infringement Chart
`
`instrumentality. Evolutionary Intelligence reserves its right to contend that this element is satisfied under
`Evolutionary Intelligence presently contends that this element is literally present in the accused
`
`
`
`supplement and/or modify this claim chart after obtaining discovery of this source code.
`of the iOS operating system, which is not publicly available. Evolutionary Intelligence reserves its right to
`It is believed that the structure and operation of the gateways are more fully set forth in the source code
`
`Other examples are described in the Apple iOS Developer Library documentation.
`the iOS-Compatible Devices. The gateways corresponding to the above evidence are only examples.
`Publicly available information indicates that gateways are used throughout the iOS operating system of
`
`
`
`
`
`
`
`(EV0001688-89.)
`
`
`
`iOS-Compatible Devices
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`

`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 99
`
`90
`
`Ex. A: Apple ’536 Infringement Chart
`
`
`
`herein.)
`(See the discussion presented for claim element 1C, which is incorporated by reference as if fully set forth
`
`
`
`Each container of each iOS-Compatible Device comprises an information element having information.
`function, in substantially the same way, to reach substantially the same result.
`instrumentality are insubstantial and the accused instrumentality preforms substantially the same
`the doctrine of equivalents because any differences between this claim element and any accused
`instrumentality. Evolutionary Intelligence reserves its right to contend that this element is satisfied under
`Evolutionary Intelligence presently contends that this element is literally present in the accused
`
`
`
`supplement and/or modify this claim chart after obtaining discovery of this source code.
`of the iOS operating system, which is not publicly available. Evolutionary Intelligence reserves its right to
`It is believed that the structure and operation of the containers are more fully set forth in the source code
`
`
`
`Other examples are described in the Apple iOS Developer Library documentation.
`the iOS-Compatible Devices. The containers corresponding to the above evidence are only examples.
`Publicly available information indicates that containers are used throughout the iOS operating system of
`
`
`
`herein.)
`(See the discussion presented for claim element 1B, which is incorporated by reference as if fully set forth
`
`
`
`data enclosure.
`Each iOS-Compatible Device includes a plurality of containers, each container being a logically defined
`function, in substantially the same way, to reach substantially the same result.
`instrumentality are insubstantial and the accused instrumentality preforms substantially the same
`the doctrine of equivalents because any differences between this claim element and any accused
`instrumentality. Evolutionary Intelligence reserves its right to contend that this element is satisfied under
`Evolutionary Intelligence presently contends that this element is literally present in the accused
`
`on a computer system. (See the claim elements below.)
`Each iOS-Compatible Device is an apparatus for transmitting, receiving and manipulating information
`function, in substantially the same way, to reach substantially the same result.
`instrumentality are insubstantial and the accused instrumentality preforms substantially the same
`the doctrine of equivalents because any differences between this claim element and any accused
`
`
`
`
`
`information;
`element having
` an information
`
`2C
`
`comprising:
`enclosure and
`logically defined data
`each container being a
`a plurality of containers,
`
`apparatus including
`computer system, the
`information on a
`and manipulating
`transmitting, receiving
`An apparatus for
`
`2B
`
`2A
`
`iOS-Compatible Devices
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`

`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 100
`
`91
`
`Ex. A: Apple ’536 Infringement Chart
`
`(See the discussion presented for claim element 1E, which is incorporated by reference as if fully set forth
`
`
`
`The plurality of registers includes a first register for storing a unique container identification value.
`function, in substantially the same way, to reach substantially the same result.
`instrumentality are insubstantial and the accused instrumentality preforms substantially the same
`the doctrine of equivalents because any differences between this claim element and any accused
`instrumentality. Evolutionary Intelligence reserves its right to contend that this element is satisfied under
`Evolutionary Intelligence presently contends that this element is literally present in the accused
`
`
`
`supplement and/or modify this claim chart after obtaining discovery of this source code.
`the iOS operating system, which is not publicly available. Evolutionary Intelligence reserves its right to
`It is believed that the structure and operation of the registers are more fully set forth in the source code of
`
`
`
`examples are described in the Apple iOS Developer Library documentation.
`the iOS-Compatible Devices. The registers corresponding to the above evidence are only examples. Other
`Publicly available information indicates that registers are used throughout the iOS operating system of
`
`
`
`herein.)
`(See the discussion presented for claim element 1D, which is incorporated by reference as if fully set forth
`
`
`
`forming part of the container.
`Each container of each iOS-Compatible Device comprises a plurality of registers, the plurality of registers
`function, in substantially the same way, to reach substantially the same result.
`instrumentality are insubstantial and the accused instrumentality preforms substantially the same
`the doctrine of equivalents because any differences between this claim element and any accused
`instrumentality. Evolutionary Intelligence reserves its right to contend that this element is satisfied under
`Evolutionary Intelligence presently contends that this element is literally present in the accused
`
`code.
`reserves its right to supplement and/or modify this claim chart after obtaining discovery of this source
`source code of the iOS operating system, which is not publicly available. Evolutionary Intelligence
`It is believed that the structure and operation of the information elements are more fully set forth in the
`
`
`
`are only examples. Other examples are described in the Apple iOS Developer Library documentation.
`system of the iOS-Compatible Devices. The information elements corresponding to the above evidence
`Publicly available information indicates that information elements are used throughout the iOS operating
`
`
`
`container identification
`storing a unique
` a first register for
`
`2E
`
`including
`the container and
`registers forming part of
`registers, the plurality of
` a plurality of
`
`2D
`
`iOS-Compatible Devices
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`

`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 101
`
`92
`
`Ex. A: Apple ’536 Infringement Chart
`
`apparatus three-dimensional space.
`processes according to utility of information in the information element relative to an external-to-the-
`Further, the second register governs interactions of the container with other containers, systems or
`
`
`
`space: “center,” “identifier,” and “radius”.
`In another example, at least the following registers of the “CLRegion” container designate geographical
`
`
`
`“inlandWater,” “ocean,” and “areasOfInterest”.
`“subAdministrativeArea,” “locality,” “subLocality,” “thoroughfare,” “subThoroughfare,” “region,”
`geographical space: “ISOcountryCode,” “country,” “postalCode,” “administrativeArea,”
`In another example, at least the following registers of the “CLPlacemark” container designate
`
`
`
`geographical space: “location” and “desiredAccuracy.”
`In another example, at least the following registers of the “CLLocationManager” container designate
`
`
`
` “altitude,” “coordinate,” “course,” “horizontalAccuracy,” and “verticalAccuracy.”
`For example, at least the following registers of the “CLLocation” container designate geographical space:
`
`
`
`information in the information element relative to an external-to-the-apparatus three-dimensional space.
`governing interactions of the container with other containers, systems or processes according to utility of
`The plurality of registers includes a second register having a representation designating space and
`function, in substantially the same way, to reach substantially the same result.
`instrumentality are insubstantial and the accused instrumentality preforms substantially the same
`the doctrine of equivalents because any differences between this claim element and any accused
`instrumentality. Evolutionary Intelligence reserves its right to contend that this element is satisfied under
`Evolutionary Intelligence presently contends that this element is literally present in the accused
`
`right to supplement and/or modify this claim chart after obtaining discovery of this source code.
`code of the iOS operating system, which is not publicly available. Evolutionary Intelligence reserves its
`It is believed that the structure and operation of the first registers are more fully set forth in the source
`
`
`
`examples. Other examples are described in the Apple iOS Developer Library documentation.
`of the iOS-Compatible Devices. The first registers corresponding to the above evidence are only
`Publicly available information indicates that first registers are used throughout the iOS operating system
`
`
`
`dimensional space,
`to-the-apparatus three-
`relative to an external-
`information element
`information in the
`according to utility of
`systems or processes
`other containers,
`of the container with
`governing interactions
`designating space and
`having a representation
` a second register
`
`2F
`
`iOS-Compatible Devices
`
`
`
`herein.)
`
`value,
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`

`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 102
`
`93
`
`Ex. A: Apple ’536 Infringement Chart
`
`only examples. Other examples are described in the Apple iOS Developer Library documentation.
`system of the iOS-Compatible Devices. The active space registers corresponding to the above evidence are
`Publicly available information indicates that active space registers are used throughout the iOS operating
`
`“center”, “identifier”, and “radius”.
`“thoroughfare”, “subThoroughfare”, “region”, “inlandWater”, “ocean”, “areasOfInterest”,
`“country”, “postalCode”, “administrativeArea”, “subAdministrativeArea”, “locality”, “subLocality”,
`“horizontalAccuracy”, “verticalAccuracy”, “location”, “desiredAccuracy”, “ISOcountryCode”,
`improving the quality of information offered to users, etc.: “altitude”, “coordinate”, “course”,
`based services such as navigation, mapping, targeted advertising, connecting with nearby users,
`act upon other containers, processes, systems or gateways to, among other things, perform location-
`“CLPlacemark,” and “CLRegion” containers identify space in which the corresponding container will
`For example, at least the following registers of the “LLocation,” “CLLocationManager,”
`
`
`
`act upon other containers, processes, systems or gateways.
`The plurality of registers includes an active space register for identifying space in which the container will
`function, in substantially the same way, to reach substantially the same result.
`instrumentality are insubstantial and the accused instrumentality preforms substantially the same
`the doctrine of equivalents because any differences between this claim element and any accused
`instrumentality. Evolutionary Intelligence reserves its right to contend that this element is satisfied under
`Evolutionary Intelligence presently contends that this element is literally present in the accused
`
`
`
`
`
`right to supplement and/or modify this claim chart after obtaining discovery of this source code.
`code of the iOS operating system, which is not publicly available. Evolutionary Intelligence reserves its
`It is believed that the structure and operation of the second registers are more fully set forth in the source
`
`
`
`examples. Other examples are described in the Apple iOS Developer Library documentation.
`system of the iOS-Compatible Devices. The second registers corresponding to the above evidence are only
`Publicly available information indicates that second registers are used throughout the iOS operating
`
`improving the quality of information offered to users, etc.
`based services such as navigation, mapping, targeted advertising, connecting with nearby users,
`element relative to an external-to-the-apparatus three-dimensional space, in order to perform location-
`with other containers, systems, or processes according to utility of information in the information
`For example, the second registers identified above govern interactions of the corresponding containers
`
`
`
`gateways,
`processes, systems or
`other containers,
`container will act upon
`space in which the
`register for identifying
` an active space
`
`2G
`
`iOS-Compatible Devices
`
`
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`

`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 103
`
`94
`
`Ex. A: Apple ’536 Infringement Chart
`
`instrumentality are insubstantial and the accused instrumentality preforms substantially the same
`the doctrine of equivalents because any differences between this claim element and any accused
`instrumentality. Evolutionary Intelligence reserves its right to contend that this element is satisfied under
`Evolutionary Intelligence presently contends that this element is literally present in the accused
`
`
`
`right to supplement and/or modify this claim chart after obtaining discovery of this source code.
`code of the iOS operating system, which is not publicly available. Evolutionary Intelligence reserves its
`It is believed that the structure and operation of the passive registers are more fully set forth in the source
`
`
`
`only examples. Other examples are described in the Apple iOS Developer Library documentation.
`system of the iOS-Compatible Devices. The passive registers corresponding to the above evidence are
`Publicly available information indicates that passive registers are used throughout the iOS operating
`
`
`
`“identifier”, and “radius”.
`“thoroughfare”, “subThoroughfare”, “region”, “inlandWater”, “ocean”, “areasOfInterest”, “center”,
`“country”, “postalCode”, “administrativeArea”, “subAdministrativeArea”, “locality”, “subLocality”,
`“horizontalAccuracy”, “verticalAccuracy”, “location”, “desiredAccuracy”, “ISOcountryCode”,
`improving the quality of information offered to users, etc.: “altitude”, “coordinate”, “course”,
`based services such as navigation, mapping, targeted advertising, connecting with nearby users,
`acted upon by other containers, processes, systems or gateways to, among other things, perform location-
`“CLPlacemark,” and “CLRegion” containers identify space in which the corresponding container can be
`For example, at least the following registers of the “CLLocation,” “CLLocationManager,”
`
`
`
`acted upon other containers, processes, systems or gateways.
`The plurality of registers includes a passive register for identifying space in which the container can be
`function, in substantially the same way, to reach substantially the same result.
`instrumentality are insubstantial and the accused instrumentality preforms substantially the same
`the doctrine of equivalents because any differences between this claim element and any accused
`instrumentality. Evolutionary Intelligence reserves its right to contend that this element is satisfied under
`Evolutionary Intelligence presently contends that this element is literally present in the accused
`
`code.
`reserves its right to supplement and/or modify this claim chart after obtaining discovery of this source
`source code of the iOS operating system, which is not publicly available. Evolutionary Intelligence
`It is believed that the structure and operation of the active space registers are more fully set forth in the
`
`
`
`systems or gateways,
`containers, processes,
`be acted upon by other
`which the container can
`for identifying space in
` a passive register
`
`2H
`
`iOS-Compatible Devices
`
`
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`

`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 104
`
`95
`
`Ex. A: Apple ’536 Infringement Chart
`
`herein.)
`(See the discussion presented for claim element 1J, which is incorporated by reference as if fully set forth
`
`
`
`processes.
`container, the gateway controlling the interaction of the container with other containers, systems or
`Each container of each iOS-Compatible Device comprises a gateway attached to and forming part of the
`function, in substantially the same way, to reach substantially the same result.
`instrumentality are insubstantial and the accused instrumentality preforms substantially the same
`the doctrine of equivalents because any differences between this claim element and any accused
`instrumentality. Evolutionary Intelligence reserves its right to contend that this element is satisfied under
`Evolutionary Intelligence presently contends that this element is literally present in the accused
`
`
`
`code.
`reserves its right to supplement and/or modify this claim chart after obtaining discovery of this source
`source code of the iOS operating system, which is not publicly available. Evolutionary Intelligence
`It is believed that the structure and operation of the neutral space registers are more fully set forth in the
`
`
`
`documentation.
`evidence are only examples. Other examples are described in the Apple iOS Developer Library
`operating system of the iOS-Compatible Devices. The neutral space registers corresponding to the above
`Publicly available information indicates that neutral space registers are used throughout the iOS
`
`
`
`“center”, “identifier”, and “radius”.
`“thoroughfare”, “subThoroughfare”, “region”, “inlandWater”, “ocean”, “areasOfInterest”,
`“country”, “postalCode”, “administrativeArea”, “subAdministrativeArea”, “locality”, “subLocality”,
`“horizontalAccuracy”, “verticalAccuracy”, “location”, “desiredAccuracy”, “ISOcountryCode”,
`improving the quality of information offered to users, etc.: “altitude”, “coordinate”, “course”,
`based services such as navigation, mapping, targeted advertising, connecting with nearby users,
`interact with other containers, processes, systems or gateways to, among other things, perform location-
`“CLPlacemark,” and “CLRegion” containers identify space in which the corresponding container may
`For example, at least the following registers of the “CLLocation,” “CLLocationManager,”
`
`may interact with other containers, processes, systems or gateways.
`The plurality of registers includes a neutral space register for identifying space in which the container
`function, in substantially the same way, to reach substantially the same result.
`
`
`
`iOS-Compatible Devices
`
`container with other
`interaction of the
`gateway controlling the
`the container, the
`to and forming part of
` a gateway attached
`
`2J
`
`
`
`gateways; and
`processes, systems, or
`with other containers,
`container may interact
`space in which the
`register for identifying
` a neutral space
`
`2I
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`

`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 105
`
`96
`
`Ex. A: Apple ’536 Infringement Chart
`
`“speed”, and “verticalAccuracy.”
`“CLLocation” history registers include: “altitude”, “coordinate”, “course”, “horizontalAccuracy”,
`
`
`
`
`
`“structuredLocation”.
`“Alarm” container history registers include: “absoluteDate”, “proximity”, “relativeOffset”, and
`
`
`
`and “startDateComponents”.
`“Reminder” container history registers include: “completed”, “completionDate”, “dueDateComponent”,
`
`“eventIdentifier”, “isDetached”, “organizer”, “startDate”, and “status”.
`“Event” container history registers include: “allDay”, “availability”, “birthdayPersonID”, “endDate”,
`
`
`
`
`
`those registers:
`past interaction of the container with other systems and processes responsible for updating the values of
`For example, at least the following modifiable container history registers store information regarding
`
`
`
`container history register being modifiable.
`information regarding past interaction of the container with other containers, systems or processes, the
`claims 1 and 2, the plurality of registers includes at least one container history register for storing
`Each iOS-Compatible Device infringes claim 1 and claim 2 (see above.) In addition, with respect to both
`function, in substantially the same way, to reach substantially the same result.
`instrumentality are insubstantial and the accused instrumentality preforms substantially the same
`the doctrine of equivalents because any differences between this claim element and any accused
`instrumentality. Evolutionary Intelligence reserves its right to contend that this element is satisfied under
`Evolutionary Intelligence presently contends that this element is literally present in the accused
`
`
`
`supplement and/or modify this claim chart after obtaining discovery of this source code.
`of the iOS operating system, which is not publicly available. Evolutionary Intelligence reserves its right to
`It is believed that the structure and operation of the gateways are more fully set forth in the source code
`
`Other examples are described in the Apple iOS Developer Library documentation.
`the iOS-Compatible Devices. The gateways corresponding to the above evidence are only examples.
`Publicly available information indicates that gateways are used throughout the iOS operating system of
`
`
`
`
`
`iOS-Compatible Devices
`
`modifiable.
`history register being
`processes, the container
`containers, systems or
`container with other
`past interaction of the
`information regarding
`register for storing
`container history
`includes at least one
`plurality of registers
`1 or 2, wherein the
`The apparatus of claim
`
`3
`
`processes.
`containers, systems or
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`

`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 106
`
`97
`
`Ex. A: Apple ’536 Infringement Chart
`
`For example, at least the following system history registers store information regarding past interaction
`
`
`
`processes.
`information regarding past interaction of the container with different operating system and network
`claims 1 and 2, the plurality of registers includes at least one system history register for storing
`Each iOS-Compatible Device infringes claim 1 and claim 2 (see above.) In addition, with respect to both
`function, in substantially the same way, to reach substantially the same result.
`instrumentality are insubstantial and the accused instrumentality preforms substantially the same
`the doctrine of equivalents because any differences between this claim element and any accused
`instrumentality. Evolutionary Intelligence reserves its right to contend that this element is satisfied under
`Evolutionary Intelligence presently contends that this element is literally present in the accused
`
`
`
`code.
`reserves its right to supplement and/or modify this claim chart after obtaining discovery of this source
`the source code of the iOS operating system, which is not publicly available. Evolutionary Intelligence
`It is believed that the structure and operation of the container history registers are more fully set forth in
`
`documentation.
`above evidence are only examples. Other examples are described in the Apple iOS Developer Library
`operating system of the iOS-Compatible Devices. The container history registers corresponding to the
`Publicly available information indicates that the container history registers are used throughout the iOS
`
`and “z”.
`“CLHeading” history registers include: “headingAccuracy”, “magneticHeading”, “trueHeading”, “y”,
`
`
`
`
`
`
`
`“CLRegion” history registers include: “center”, “identifier”, and “radius”.
`
`
`
`“thoroughfare”, “subThoroughfare”, “region”, “inlandWater”, “ocean”, and “areasOfInterest”.
`“postalCode”, “administrativeArea”, “subAdministrativeArea”, “locality”, “subLocality”,
`“CLPlacemark” history registers include: “name”, “addressDictionary”, “ISOcountryCode”, “country”,
`
`“pausesLocationUpdatesAutomatically”.
`“maximumRegionMonitoringDistance”, “monitoredRegions”, and
`“distanceFilter”, “heading”, “headingFilter”, “headingOrientation”, “location”,
`“CLLocationManager” history registers include: “activityType”, “delegate”, “desiredAccuracy”,
`
`
`
`for storing information
`system history register
`includes at least one
`plurality of registers
`1 or 2, wherein the
`The apparatus of claim
`
`4
`
`iOS-Compatible Devices
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`

`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 107
`
`98
`
`Ex. A: Apple ’536 Infringement Chart
`
`source code of the iOS operating system, which is not publicly available. Evolutionary Intelligence
`It is believed that the structure and operation of the system history registers are more fully set forth in the
`
`
`
`documentation.
`evidence are only examples. Other examples are described in the Apple iOS Developer Library
`operating system of the iOS-Compatible Devices. The system history registers corresponding to the above
`Publicly available information indicates that system history registers are used throughout the iOS
`
`
`
`“y”, and “z”.
`“CLHeading” system history registers include: “headingAccuracy”, “magneticHeading”, “trueHeading”,
`
`
`
`“CLRegion” system history registers include: “center”, “identifier”, and “radius”.
`
`
`
`“thoroughfare”, “subThoroughfare”, “region”, “inlandWater”, “ocean”, and “areasOfInterest”.
`“country”, “postalCode”, “administrativeArea”, “subAdministrativeArea”, “locality”, “subLocality”,
`“CLPlacemark” system history registers include: “name”, “addressDictionary”, “ISOcountryCode”,
`
`
`
`“pausesLocationUpdatesAutomatically”.
`“maximumRegionMonitoringDistance”, “monitoredRegions”, and
`“distanceFilter”, “heading”, “headingFilter”, “headingOrientation”, “location”,
`“CLLocationManager” system history registers include: “activityType”, “delegate”, “desiredAccuracy”,
`
`“horizontalAccuracy”, “speed”, and “verticalAccuracy.”
`“CLLocation” system history registers include: “altitude”, “coordinate”, “course”,
`
`
`
`“structuredLocation”.
`“Alarm” system history registers include: “absoluteDate”, “proximity”, “relativeOffset”, and
`
`
`
`and “startDateComponents”.
`“Reminder” system history registers include: “completed”, “completionDate”, “dueDateComponent”,
`
`“eventIdentifier”, “isDetached”, “organizer”, “startDate”, and “status”.
`“Event” system history registers include: “allDay”, “availability”, “birthdayPersonID”, “endDate”,
`
`of the container with different operating system (i.e., iOS) system and network processes:
`
`
`
`
`
`
`
`iOS-Compatible Devices
`
`network processes.
`operating system and
`container with different
`interaction of the
`regarding past
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`

`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 108
`
`99
`
`Ex. A: Apple ’536 Infringement Chart
`
`generated by the user, and being appendable to any container.
`claims 1 and 2, the plurality of registers includes a user-created register, the user-created register being
`Each iOS-Compatible Device infringes claim 1 and claim 2 (see above.) In addition, with respect to both
`function, in substantially the same way, to reach substantially the same result.
`instrumentality are insubstantial and the accused instrumentality preforms substantially the same
`the doctrine of equivalents because any differences between this claim element and any accused
`instrumentality. Evolutionary Intelligence reserves its right to contend that this element is satisfied under
`Evolutionary Intelligence presently contends that this element is literally present in the accused
`
`code.
`reserves its right to supplement and/or modify this claim chart after obtaining discovery of this source
`source code of the iOS operating system, which is not publicly available. Evolutionary Intelligence
`It is believed that the structure and operation of the predefined registers are more fully set forth in the
`
`
`
`
`
`only examples. Other examples are described in the Apple iOS Developer Library documentation.
`system of the iOS-Compatible Devices. The predefined registers corresponding to the above evidence are
`Publicly available information indicates that predefined registers are used throughout the iOS operating
`
`
`
`container and the “CLLocationManager” container.
`provided by each iOS-Compatible Device, and are appendable to containers such as the “Alarm”
`“CLLocationManager” container. These registers can be edited by a user through the iOS gateways
`register of the “Alarm” container, and the “desiredAccuracy” and “distancefilter” registers of the
`Most registers of the iOS operating system with default values qualify. Examples include the “proximity”
`
`being a register associated with an editor for user selection and being appendable to any container.
`claims 1 and 2, the plurality of registers includes at least one predefined register, the predefined register
`Eac

This document is available on Docket Alarm but you must sign up to view it.


Or .

Accessing this document will incur an additional charge of $.

After purchase, you can access this document again without charge.

Accept $ Charge
throbber

Still Working On It

This document is taking longer than usual to download. This can happen if we need to contact the court directly to obtain the document and their servers are running slowly.

Give it another minute or two to complete, and then try the refresh button.

throbber

A few More Minutes ... Still Working

It can take up to 5 minutes for us to download a document if the court servers are running slowly.

Thank you for your continued patience.

This document could not be displayed.

We could not find this document within its docket. Please go back to the docket page and check the link. If that does not work, go back to the docket and refresh it to pull the newest information.

Your account does not support viewing this document.

You need a Paid Account to view this document. Click here to change your account type.

Your account does not support viewing this document.

Set your membership status to view this document.

With a Docket Alarm membership, you'll get a whole lot more, including:

  • Up-to-date information for this case.
  • Email alerts whenever there is an update.
  • Full text search for other cases.
  • Get email alerts whenever a new case matches your search.

Become a Member

One Moment Please

The filing “” is large (MB) and is being downloaded.

Please refresh this page in a few minutes to see if the filing has been downloaded. The filing will also be emailed to you when the download completes.

Your document is on its way!

If you do not receive the document in five minutes, contact support at support@docketalarm.com.

Sealed Document

We are unable to display this document, it may be under a court ordered seal.

If you have proper credentials to access the file, you may proceed directly to the court's system using your government issued username and password.


Access Government Site

We are redirecting you
to a mobile optimized page.





Document Unreadable or Corrupt

Refresh this Document
Go to the Docket

We are unable to display this document.

Refresh this Document
Go to the Docket