`
`154
`
`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 164
`
`155
`
`Ex. A: Apple ’536 Infringement Chart
`
`
`
`
`
`(EV0001688.)
`
`
`
`iOS-Compatible Devices
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 165
`
`156
`
`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 166
`
`157
`
`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 167
`
`158
`
`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 168
`
`159
`
`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 169
`
`160
`
`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
`
`
`
`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
`
`
`
`
`
`
`
`iOS-Compatible Devices
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 170
`
`161
`
`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 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
`
`15C
`
`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
`
`15B
`
`15A
`
`iOS-Compatible Devices
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 171
`
`162
`
`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
`
`15E
`
`including
`the container and
`registers forming part of
`registers, the plurality of
` a plurality of
`
`15D
`
`iOS-Compatible Devices
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 172
`
`163
`
`The plurality of registers includes at least one acquire register for controlling whether the container adds
`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
`
`Ex. A: Apple ’536 Infringement Chart
`15G
`
` at least one
`
`
`
`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
`
`
`
`herein.)
`(See the discussion presented for claim element 1F, which is incorporated by reference as if fully set forth
`
`
`
`information in the information element relative to an external-to-the-apparatus event time.
`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 time 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
`
`
`
`time, and
`to-the-apparatus event
`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 time and
`having a representation
` a second register
`
`15F
`
`iOS-Compatible Devices
`
`
`
`herein.)
`
`value,
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 173
`
`164
`
`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
`
`
`
`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
`
`
`
`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 acquire 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 acquire registers corresponding to the above evidence are
`Publicly available information indicates that acquire registers are used throughout the iOS operating
`
`
`
`herein.)
`(See the discussion presented for claim element 8, which is incorporated by reference as if fully set forth
`
`
`
`a register from other containers or adds a container from other containers when interacting with them.
`
`
`
`processes.
`containers, systems or
`container with other
`interaction of the
`gateway controlling the
`the container, the
`to and forming part of
` a gateway attached
`
`15H
`
`and
`interacting with them;
`other containers when
`adds a container from
`from other containers or
`container adds a register
`controlling whether the
`acquire register for
`7,010,536
`
`iOS-Compatible Devices
`
`U.S. Patent No.
`
`Element
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 174
`
`165
`
`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
`
`
`
`examples. Other examples are described in the Apple iOS Developer Library documentation.
`the iOS-Compatible Devices. The information elements corresponding to the above evidence are only
`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
`
`16C
`
`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
`16. An apparatus for
`
`16B
`
`16A
`
`iOS-Compatible Devices
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 175
`
`166
`
`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. Other examples are described in the Apple iOS Developer Library documentation.
`the iOS-Compatible Devices. The information elements corresponding to the above evidence are only
`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
`
`16E
`
`including
`the container and
`registers forming part of
`registers, the plurality of
` a plurality of
`
`16D
`
`iOS-Compatible Devices
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 176
`
`167
`
`The plurality of registers includes at least one acquire register for controlling whether the container adds
`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
`
`Ex. A: Apple ’536 Infringement Chart
`16G
`
` at least one
`
`
`
`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
`
`
`
`herein.)
`(See the discussion presented for claim element 2F, which is incorporated by reference as if fully set forth
`
`
`
`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
`
`
`
`and
`dimensional space time,
`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
`
`16F
`
`iOS-Compatible Devices
`
`
`
`herein.)
`
`value,
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 177
`
`168
`
`Ex. A: Apple ’536 Infringement Chart
`
`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
`
`
`
`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
`
`
`
`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 acquire 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 acquire registers corresponding to the above evidence are
`Publicly available information indicates that acquire registers are used throughout the iOS operating
`
`
`
`herein.)
`(See the discussion presented for claim element 8, which is incorporated by reference as if fully set forth
`
`
`
`a register from other containers or adds a container from other containers when interacting with them.
`
`
`
`processes.
`containers, systems or
`container with other
`interaction of the
`gateway controlling the
`the container, the
`to and forming part of
` a gateway attached
`
`16H
`
`and
`interacting with them;
`other containers when
`adds a container from
`from other containers or
`container adds a register
`controlling whether the
`acquire register for
`7,010,536
`
`iOS-Compatible Devices
`
`U.S. Patent No.
`
`Element
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 178
`
`169
`
`Ex. A: Apple ’536 Infringement Chart
`
`function, in substantially the same way, to reach substantially the same result.
`instrumentality are insubstantial and the accused instrumentality preforms substantially the same
`
`iOS-Compatible Devices
`
`
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 179
`
`1
`
`Ex. E: Twitter ’536 Infringement Contentions
`
`infringed claim is found within the accused instrumentality as shown below:
`
`Subject to ongoing discovery and investigation, Evolutionary Intelligence contends, pursuant to P.R. 3-1(c), that each element of each
`
`similar that repeating the relevant discussion and evidence would be unnecessarily cumbersome and redundant.
`
`claim elements have the same claim scope. Rather, such incorporation by reference is used when two or more claim elements are sufficiently
`
`reference discussion and evidence pertaining to other claim elements. Such incorporation by reference to shall not be read to imply that any two
`
`The discussion in the claim chart below with respect to some of the claim elements occasionally refers to and/or incorporates by
`
`Application Programming Interface (“API”), is very limited.
`
`Twitter Product, because the publicly available information regarding the advertising functionality, including the Twitter advertising
`
`instrumentalities based on that discovery and further investigation. This is particularly true with respect to the advertising functionality of the
`
`and services offered by Twitter (including other functionality and features of the Twitter Product), and to identify additional accused
`
`Intelligence has not yet had any discovery from Twitter. Evolutionary Intelligence reserves its right to seek discovery regarding other products
`
`Evolutionary Intelligence’s identification of this accused instrumentality is based on publicly available information. Evolutionary
`
`Product’s functionality that infringe the ’536 patent include social networking functionality and advertising functionality.
`
`Inc.: the Twitter real-time information network product and service (the “Twitter Product.”) As shown below, specific aspects of the Twitter
`
`Subject to ongoing discovery and investigation, Evolutionary Intelligence identifies the following accused instrumentality of Twitter,
`
`Infringement of U.S. Patent No. 7,010,536 by Twitter, Inc.
`
`Exhibit E
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 180
`
`2
`
`Ex. E: Twitter ’536 Infringement Contentions
`
` <profile_sidebar_fill_color>DDEEF6</profile_sidebar_fill_color>
` <profile_link_color>0084B4</profile_link_color>
` <profile_text_color>333333</profile_text_color>
` <profile_background_color>C0DEED</profile_background_color>
` <followers_count>2</followers_count>
` <protected>false</protected>
` <description></description>
` <url></url>
` <profile_image_url_https>https://...default_profile_1_normal.png</profile_image_url_https>
` <profile_image_url>http://...default_profile_1_normal.png</profile_image_url>
` <location></location>
` <screen_name>FannieMae6</screen_name>
` <name>Fannie Mae</name>
` <id>806062790</id>
`<user>
`<?xml version="1.0" encoding="UTF-8"?>
`
`
`
`“tweet”:
`The following container, for example, describes a Twitter user who has posted a status update or
`
`
`
`enclosure.
`The Twitter Product includes a plurality of containers, each container being a logically defined data
`result.
`preforms substantially the same function, in substantially the same way, to reach substantially the same
`method practiced by the accused instrumentality are insubstantial and the accused instrumentality
`practiced under the doctrine of equivalents because any differences between this claim element and the
`by the accused instrumentality. Evolutionary Intelligence reserves its right to contend that this element is
`Evolutionary Intelligence presently contends that this element is literally present in the method practiced
`
`more computer servers owned and/or operated by Twitter. (See the claim elements below.)
`In particular, the Twitter Product transmits, receives, and manipulates digital information using one or
`
`computer system.
`The Twitter Product is an apparatus for transmitting, receiving and manipulating information on a
`
`
`
`
`
`The Twitter Product
`
`enclosure and comprising:
`logically defined data
`each container being a
`a plurality of containers,
`
`1B
`
`apparatus including
`computer system, the
`information on a
`and manipulating
`transmitting, receiving
`An apparatus for
`7,010,536
`
`1A
`
`U.S. Patent No.
`
`Element
`
`
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 181
`
`3
`
`Ex. E: Twitter ’536 Infringement Contentions
`
` <coordinates xmlns:georss="http://www.georss.org/georss">
` </geo>
` <georss:point>39.1587528 -86.5212387</georss:point>
` <geo xmlns:georss="http://www.georss.org/georss">
` <in_reply_to_screen_name></in_reply_to_screen_name>
` <in_reply_to_user_id></in_reply_to_user_id>
` <in_reply_to_status_id></in_reply_to_status_id>
` <truncated>false</truncated>
`rel="nofollow">Twitter for Android</a></source>
` <source><a href="http://twitter.com/download/android"
` <text>Just had the best meal of my life!</text>
` <id>243576261375578113</id>
` <created_at>Thu Sep 06 05:08:00 +0000 2012</created_at>
` <status>
` <notifications></notifications>
` <follow_request_sent></follow_request_sent>
` <following></following>
` <default_profile_image>true</default_profile_image>
` <default_profile>true</default_profile>
` <listed_count>