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`78
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`Ex. A: Apple ’536 Infringement Chart
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`
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`
`
`
`iOS-Compatible Devices
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 88
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`79
`
`
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`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
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`80
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`
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`Ex. A: Apple ’536 Infringement Chart
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`
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`
`
`iOS-Compatible Devices
`
`7,010,536
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`U.S. Patent No.
`
`Element
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`
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`81
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`Ex. A: Apple ’536 Infringement Chart
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`
`
`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
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`82
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`Ex. A: Apple ’536 Infringement Chart
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`
`
`
`
`
`
`iOS-Compatible Devices
`
`7,010,536
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`U.S. Patent No.
`
`Element
`
`
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`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 92
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`83
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`Ex. A: Apple ’536 Infringement Chart
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`
`
`
`
`
`
`
`
`iOS-Compatible Devices
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 93
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`84
`
`
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`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
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`85
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`Ex. A: Apple ’536 Infringement Chart
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`
`
`
`
`
`
`
`
`iOS-Compatible Devices
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 95
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`86
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`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
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`87
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`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
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`88
`
`Ex. A: Apple ’536 Infringement Chart
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`
`
`
`
`
`
`
`
`(EV0001669.)
`
`
`
`
`
`iOS-Compatible Devices
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 98
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`89
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`Ex. A: Apple ’536 Infringement Chart
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`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
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`91
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`Ex. A: Apple ’536 Infringement Chart
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`(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
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`92
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`Ex. A: Apple ’536 Infringement Chart
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`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
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`93
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`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
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`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