`
`63
`
`Ex. E: Twitter ’536 Infringement Contentions
`
`examples are described in the Twitter Platform documentation, currently available at
`Product. The predefined registers corresponding to the above evidence are only examples. Other
`Publicly available information indicates that predefined registers are used throughout the Twitter
`
`
`
`advertising containers. Twitter’s advertising API, however, is not publicly available.
`In addition, on information and belief, the Twitter Product has predefined registers corresponding to
`
`
`
`“user” containers.
`Further, these registers are appendable to any container. For example, the registers are appendable to the
`
`selection by Twitter personnel.
`(EV0003960-61.) In addition, on information and belief, these registers are associated with an editor for
`
`
`
`
`
`
`
`The Twitter Product
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 242
`
`64
`
`Ex. E: Twitter ’536 Infringement Contentions
`
`function, in substantially the same way, to reach substantially the same result.
`instrumentality are insubstantial and the accused instrumentality performs substantially the same
`the doctrine of equivalents because any differences between this claim element and the 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.
`source code of the Twitter Product, which is not publicly available. Evolutionary Intelligence reserves its
`It is believed that the structure and operation of the user-created registers are more fully set forth in the
`
`
`
`https://dev.twitter.com.
`examples are described in the Twitter Platform documentation, currently available at
`Product. The user-created registers corresponding to the above evidence are only examples. Other
`Publicly available information indicates that user-created registers are used throughout the Twitter
`
`
`
`advertising containers. Twitter’s advertising API, however, is not publicly available.
`In addition, on information and belief, the Twitter Product has user-created registers corresponding to
`
`
`
`by the user, and are appendable to at least the user containers of the Twitter Product.
`For example, the “name”, “screen_name”, “location”, “description” and “text” registers are generated
`
`
`
`by the user, and being appendable to any container.
`and 2, the plurality of registers includes a user-created register, the user-created register being generated
`The Twitter Product infringes claim 1 and claim 2 (see above.) In addition, with respect to both claims 1
`function, in substantially the same way, to reach substantially the same result.
`instrumentality are insubstantial and the accused instrumentality performs substantially the same
`the doctrine of equivalents because any differences between this claim element and the 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.
`source code of the Twitter Product, which is not publicly available. Evolutionary Intelligence reserves its
`It is believed that the structure and operation of the predefined registers are more fully set forth in the
`
`
`
`https://dev.twitter.com.
`
`
`
`container.
`appendable to any
`by the user, and being
`register being generated
`register, the user-created
`includes a user-created
`plurality of registers
`or 2, wherein the
`The apparatus of claim 1
`
`6
`
`The Twitter Product
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 243
`
`65
`
`Ex. E: Twitter ’536 Infringement Contentions
`
`in the status update:
`Micah McVicker have been added to the status update container because Mr. McVicker was mentioned
`container. As shown below, the “name”, “id_str”, “id”, and “screen_name” registers corresponding to
`containers and container registers of the mentioned Twitter user are added to the status update
`For example, when a Twitter user “mentions” another Twitter user in a “tweet” or status update,
`
`
`
`
`
`interacting with them.
`container adds a register from other containers or adds a container from other containers when
`and 2, the plurality of registers includes at least one acquire register for controlling whether the
`The Twitter Product infringes claim 1 and claim 2 (see above.) In addition, with respect to both claims 1
`function, in substantially the same way, to reach substantially the same result.
`instrumentality are insubstantial and the accused instrumentality performs substantially the same
`the doctrine of equivalents because any differences between this claim element and the 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
`
`
`
`its right to supplement and/or modify this claim chart after obtaining discovery of this source code.
`the source code of the Twitter Product, which is not publicly available. Evolutionary Intelligence reserves
`It is believed that the structure and operation of the system-defined registers are more fully set forth in
`
`
`
`https://dev.twitter.com.
`examples are described in the Twitter Platform documentation, currently available at
`Product. The system-defined registers corresponding to the above evidence are only examples. Other
`Publicly available information indicates that system-defined registers are used throughout the Twitter
`
`
`
`advertising containers. Twitter’s advertising API, however, is not publicly available.
`In addition, on information and belief, the Twitter Product has system-defined registers corresponding to
`
`
`
`“place_type”, and “url” registers are set, controlled, and used by the Twitter Product’s computer system.
`For example, the “id”, “profile_image_url”, “profile_image_url_https”, “verified”, “created_at”, “id”,
`
`controlled and used by the system, and being appendable to any container.
`and 2, the plurality of registers includes a system-defined register, the system-defined register being set,
`The Twitter Product infringes claim 1 and claim 2 (see above.) In addition, with respect to both claims 1
`
`
`
`The Twitter Product
`
`interacting with them.
`other containers when
`adds a container from
`from other containers or
`container adds a register
`controlling whether the
`acquire register for
`includes at least one
`plurality of registers
`or 2, wherein the
`The apparatus of claim 1
`
`8
`
`container.
`appendable to any
`the system, and being
`controlled and used by
`defined register being set,
`register, the system-
`includes a system-defined
`plurality of registers
`or 2, wherein the
`The apparatus of claim 1
`
`7,010,536
`
`U.S. Patent No.
`
`7
`
`Element
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 244
`
`66
`
`Ex. E: Twitter ’536 Infringement Contentions
`
`“tweets” or status updates.
`In addition, user containers and user registers are acquired when Twitter users retweet other users’
`
`
`
`
`
`(EV0003235.)
`
`
`
`The Twitter Product
`
`
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 245
`
`67
`
`Ex. E: Twitter ’536 Infringement Contentions
`
`algorithms for acting on the other status update, user, place, and search query containers.
`For example, the gateways of the status update, user, place, and search query containers include
`
`
`
`containers.
`container using the plurality of registers to determine whether and how the container acts upon other
`and 2, the gateway includes means for acting upon another container, the means for acting upon another
`The Twitter Product infringes claim 1 and claim 2 (see above.) In addition, with respect to both claims 1
`function, in substantially the same way, to reach substantially the same result.
`instrumentality are insubstantial and the accused instrumentality performs substantially the same
`the doctrine of equivalents because any differences between this claim element and the 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.
`source code of the Twitter Product, 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
`
`described in the Twitter Platform documentation, currently available at https://dev.twitter.com.
`The acquire registers corresponding to the above evidence are only examples. Other examples are
`Publicly available information indicates that acquire registers are used throughout the Twitter Product.
`
`advertising containers. Twitter’s advertising API, however, is not publicly available.
`In addition, on information and belief, the Twitter Product has acquire registers corresponding to
`
`
`
`
`
`
`
`the plurality of registers
`another container using
`the means for acting upon
`upon another container,
`includes means for acting
`or 2, wherein the gateway
`The apparatus of claim 1
`
`9
`
`
`
`
`
`(EV0003235.)
`
`
`
`
`
`The Twitter Product
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 246
`
`68
`
`Ex. E: Twitter ’536 Infringement Contentions
`
`users to post status updates.
`and how another user or status update container can act upon the container in order to enable other
`For example, the “contributors_enabled” register of the “User” container is used to determine whether
`
`
`
`
`
`upon other containers.
`registers corresponding to these containers is used to determine whether and how containers can act
`for allowing interaction between and among containers. In order to allow interaction, the plurality of
`For example, the gateways of the status update, user, place, and search query containers include means
`
`
`
`plurality of registers to determine whether and how another container can act upon the container.
`and 2, the gateway includes means for allowing interaction, the means for allowing interaction using the
`The Twitter Product infringes claim 1 and claim 2 (see above.) In addition, with respect to both claims 1
`function, in substantially the same way, to reach substantially the same result.
`instrumentality are insubstantial and the accused instrumentality performs substantially the same
`the doctrine of equivalents because any differences between this claim element and the 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.
`source code of the Twitter Product, which is not publicly available. Evolutionary Intelligence reserves its
`It is believed that the structure and operation of the gateways and registers are more fully set forth in the
`
`
`
`https://dev.twitter.com.
`examples are described in the Twitter Platform documentation, currently available at
`Product. The gateways and registers corresponding to the above evidence are only examples. Other
`Publicly available information indicates that gateways and registers are used throughout the Twitter
`
`
`
`Twitter’s advertising API, however, is not publicly available.
`In addition, on information and belief, the Twitter Product’s advertising features satisfy this limitation.
`
`
`
`updates, and places, and the processing of queries.
`the Twitter Product, including without limitation the interaction of Twitter users with other users, status
`By enabling actions on other containers, the gateways of the Twitter Product enable various features of
`
`
`
`The Twitter Product
`
`container.
`can act upon the
`how another container
`determine whether and
`plurality of registers to
`interaction using the
`means for allowing
`allowing interaction, the
`includes means for
`or 2, wherein the gateway
`The apparatus of claim 1
`
`10
`
`upon other containers.
`how the container acts
`to determine whether and
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 247
`
`69
`
`Ex. E: Twitter ’536 Infringement Contentions
`
`
`
`and/or processes:
`Product gathered information by recording register information from at least a user container, system,
`For example, in order to create the status update container below, one or more algorithms of the Twitter
`
`container.
`recording register information from other containers, systems or processes that interact with the
`and 2, the gateway includes means for gathering information, the means for gathering information
`The Twitter Product infringes claim 1 and claim 2 (see above.) In addition, with respect to both claims 1
`function, in substantially the same way, to reach substantially the same result.
`instrumentality are insubstantial and the accused instrumentality performs substantially the same
`the doctrine of equivalents because any differences between this claim element and the 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.
`source code of the Twitter Product, which is not publicly available. Evolutionary Intelligence reserves its
`It is believed that the structure and operation of the gateways and registers are more fully set forth in the
`
`https://dev.twitter.com.
`examples are described in the Twitter Platform documentation, currently available at
`Product. The gateways and registers corresponding to the above evidence are only examples. Other
`Publicly available information indicates that gateways and registers are used throughout the Twitter
`
`
`
`Twitter’s advertising API, however, is not publicly available.
`In addition, on information and belief, the Twitter Product’s advertising features satisfy this limitation.
`
`enable such locations to be communicated along with the user’s status updates.
`how containers corresponding to geographical locations can act upon with the container in order to
`In another example, the “geo_enabled” register of the user container is used to determine whether and
`
`
`
`
`
`with the container.
`or processes that interact
`other containers, systems
`register information from
`information recording
`the means for gathering
`gathering information,
`includes means for
`or 2, wherein the gateway
`The apparatus of claim 1
`
`11
`
`The Twitter Product
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 248
`
`70
`
`Ex. E: Twitter ’536 Infringement Contentions
`
`“tweets” or status updates.
`In addition, register information of user registers are recorded when Twitter users retweet other users’
`
`
`
`
`
`
`
`(EV0003235.)
`
`
`
`The Twitter Product
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 249
`
`71
`
`Ex. E: Twitter ’536 Infringement Contentions
`
`and/or processes:
`algorithms of the Twitter Product provide register information of at least a user container, system,
`For example, in order to report information regarding the user Micha McVicker below, one or more
`
`
`
`providing register information to other containers, systems or processes that interact with the container.
`and 2, the gateway includes means for reporting information, the means for reporting information
`The Twitter Product infringes claim 1 and claim 2 (see above.) In addition, with respect to both claims 1
`function, in substantially the same way, to reach substantially the same result.
`instrumentality are insubstantial and the accused instrumentality performs substantially the same
`the doctrine of equivalents because any differences between this claim element and the 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.
`source code of the Twitter Product, which is not publicly available. Evolutionary Intelligence reserves its
`It is believed that the structure and operation of the gateways and registers are more fully set forth in the
`
`https://dev.twitter.com.
`examples are described in the Twitter Platform documentation, currently available at
`Product. The gateways and registers corresponding to the above evidence are only examples. Other
`Publicly available information indicates that gateways and registers are used throughout the Twitter
`
`
`
`Twitter’s advertising API, however, is not publicly available.
`In addition, on information and belief, the Twitter Product’s advertising features satisfy this limitation.
`
`
`
`
`
`
`
`(EV0003235.)
`
`
`
`register information to
`information providing
`the means for reporting
`reporting information,
`includes means for
`or 2, wherein the gateway
`The apparatus of claim 1
`
`12
`
`The Twitter Product
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 250
`
`72
`
`Ex. E: Twitter ’536 Infringement Contentions
`
`In addition, in the example below, one or more algorithms of the Twitter Product provided register
`
`
`
`
`
`(EV0003235.)
`
`
`
`The Twitter Product
`
`
`
`with the container.
`or processes that interact
`other containers, systems
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 251
`
`73
`
`Ex. E: Twitter ’536 Infringement Contentions
`
`or advertising campaign.
`information regarding those users and their status updates, and information regarding the advertisement
`and among each other in order to, for example, select advertisements to be displayed to users based on
`including rules defining the interaction of users, advertisements, and status update containers between
`For example, on information and belief, the gateway of the Twitter Product includes an expert system
`
`
`
`interaction of the container with other containers, systems or processes.
`and 2, and on information and belief, the gateway includes an expert system including rules defining the
`The Twitter Product infringes claim 1 and claim 2 (see above.) In addition, with respect to both claims 1
`function, in substantially the same way, to reach substantially the same result.
`instrumentality are insubstantial and the accused instrumentality performs substantially the same
`the doctrine of equivalents because any differences between this claim element and the 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.
`source code of the Twitter Product, which is not publicly available. Evolutionary Intelligence reserves its
`It is believed that the structure and operation of the gateways and registers are more fully set forth in the
`
`https://dev.twitter.com.
`examples are described in the Twitter Platform documentation, currently available at
`Product. The gateways and registers corresponding to the above evidence are only examples. Other
`Publicly available information indicates that gateways and registers are used throughout the Twitter
`
`
`
`
`
`
`
`(EV0003235.)
`
`processes.
`containers, systems or
`container with other
`interaction of the
`rules defining the
`expert system including
`gateway includes an
`1 or 2, wherein the
`The apparat[u]s of claim
`
`13
`
`information of at least a user container, system, and/or processes:
`
`
`
`The Twitter Product
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 252
`
`74
`
`Ex. E: Twitter ’536 Infringement Contentions
`
`It is believed that the structure and operation of the information elements are more fully set forth in the
`
`https://dev.twitter.com.
`examples are described in the Twitter Platform documentation, currently available at
`Product. The information elements corresponding to the above evidence are only examples. Other
`Publicly available information indicates that information elements are used throughout the Twitter
`
`
`
`
`
`Twitter’s advertising API, however, is not publicly available.
`In addition, on information and belief, the Twitter Product’s advertising features satisfy this limitation.
`
`
`
`and a natural number (e.g., “2”).
`profile image), a video (e.g., a video corresponding to the “media_url” register), a bit (e.g., “1” or “0”),
`Mae”), digital patterns (e.g., “806062790), a nested container (e.g., “status”), graphic images (e.g., the
`For example, the containers identified above include information elements that are text (e.g., “Fannie
`
`
`
`pattern, a process, a nested container, bit, natural number and a system.
`and 2, the information element is one from the group of text, graphic images, video, audio, a digital
`The Twitter Product infringes claim 1 and claim 2 (see above.) In addition, with respect to both claims 1
`function, in substantially the same way, to reach substantially the same result.
`instrumentality are insubstantial and the accused instrumentality performs substantially the same
`the doctrine of equivalents because any differences between this claim element and the 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
`in the source code of the Twitter Product, which is not publicly available. Evolutionary Intelligence
`It is believed that the structure and operation of the expert systems and gateways are more fully set forth
`
`https://dev.twitter.com.
`examples. Other examples are described in the Twitter Platform documentation, currently available at
`Twitter Product. The expert systems and gateways corresponding to the above evidence are only
`Publicly available information indicates that expert systems and gateways are used throughout the
`
`
`
`system.
`natural number and a
`nested container, bit,
`pattern, a process, a
`video, audio, a digital
`text, graphic images,
`one from the group of
`information element is
`or 2, wherein the
`The apparatus of claim 1
`
`14
`
`The Twitter Product
`
`
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 253
`
`75
`
`Ex. E: Twitter ’536 Infringement Contentions
`
`the doctrine of equivalents because any differences between this claim element and the 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 Twitter Product, 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
`
`
`
`Twitter Platform documentation, currently available at https://dev.twitter.com.
`containers corresponding to the above evidence are only examples. Other examples are described in the
`Publicly available information indicates that containers are used throughout the Twitter Product. The
`
`
`
`herein.)
`(See the discussion presented for claim element 1B, which is incorporated by reference as if fully set forth
`
`
`
`enclosure.
`The Twitter Product includes a plurality of containers, each container being a logically defined data
`function, in substantially the same way, to reach substantially the same result.
`instrumentality are insubstantial and the accused instrumentality performs substantially the same
`the doctrine of equivalents because any differences between this claim element and the 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
`
`
`
`elements below.)
`information using one or more computer servers owned and/or operated by Twitter. (See the claim
`computer system. In particular, the Twitter Product transmits, receives, and manipulates digital
`The Twitter Product is an apparatus for transmitting, receiving and manipulating information on a
`function, in substantially the same way, to reach substantially the same result.
`instrumentality are insubstantial and the accused instrumentality performs substantially the same
`the doctrine of equivalents because any differences between this claim element and the 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.
`source code of the Twitter Product, which is not publicly available. Evolutionary Intelligence reserves its
`
`
`
`enclosure and comprising:
`logically defined data
`each container being a
`a plurality of containers,
`
`15B
`
`apparatus including
`computer system, the
`information on a
`and manipulating
`transmitting, receiving
`An apparatus for
`
`15A
`
`The Twitter Product
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 254
`
`76
`
`Ex. E: Twitter ’536 Infringement Contentions
`
`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 Twitter Product, 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
`
`
`
`Twitter Platform documentation, currently available at https://dev.twitter.com.
`registers corresponding to the above evidence are only examples. Other examples are described in the
`Publicly available information indicates that registers are used throughout the Twitter Product. The
`
`
`
`forth herein.)
`(See the discussion presented for claim element 1D, which is incorporated by reference as if fully set
`
`
`
`part of the container.
`Each container of the Twitter Product comprises a plurality of registers, the plurality of registers forming
`function, in substantially the same way, to reach substantially the same result.
`instrumentality are insubstantial and the accused instrumentality performs substantially the same
`the doctrine of equivalents because any differences between this claim element and the 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.
`source code of the Twitter Product, which is not publicly available. Evolutionary Intelligence reserves its
`It is believed that the structure and operation of the information elements are more fully set forth in the
`
`
`
`https://dev.twitter.com.
`examples are described in the Twitter Platform documentation, currently available at
`Product. The information elements corresponding to the above evidence are only examples. Other
`Publicly available information indicates that information elements are used throughout the Twitter
`
`
`
`forth herein.)
`(See the discussion presented for claim element 1C, which is incorporated by reference as if fully set
`
`
`
`Each container of the Twitter Product 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 performs substantially the same
`
`The Twitter Product
`
`container and including
`forming part of the
`the plurality of registers
` a plurality of registers,
`
`15D
`
`information;
`element having
` an information
`
`15C
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 255
`
`77
`
`Ex. E: Twitter ’536 Infringement Contentions
`
`code of the Twitter Product, which is not publicly available. Evolutionary Intelligence reserves its right
`It is believed that the structure and operation of the second registers are more fully set forth in the source
`
`described in the Twitter Platform documentation, currently available at https://dev.twitter.com.
`The second registers corresponding to the above evidence are only examples. Other examples are
`Publicly available information indicates that second registers are used throughout the Twitter Product.
`
`
`
`
`
`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 performs substantially the same
`the doctrine of equivalents because any differences between this claim element and the 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
`
`
`
`to supplement and/or modify this claim chart after obtaining discovery of this source code.
`code of the Twitter Product, which is not publicly available. Evolutionary Intelligence reserves its right
`It is believed that the structure and operation of the first registers are more fully set forth in the source
`
`
`
`https://dev.twitter.com.
`examples. Other examples are described in the Twitter Platform documentation, currently available at
`throughout the Twitter Product. The first registers corresponding to the above evidence are only
`Publicly available information indicates that first registers with unique identification values are used
`
`
`
`herein.)
`(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 performs substantially the same
`the doctrine of equivalents because any differences between this claim element and the accused
`instrumentality. Evolutionary Intelligence reserves its right to contend that this element is satisfied under
`
`and
`the-apparatus event time,
`relative to an external-to-
`the information element
`utility of information in
`processes according to
`containers, systems or
`the container with other
`governing interactions of
`designating time and
`having a representation
` a second register
`
`15F
`
`value,
`container identification
`storing a unique
` a first register for
`
`15E
`
`The Twitter Product
`
`7,010,536
`
`U.S. Patent No.
`
`Element
`
`
`
`Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 256
`
`78
`
`Ex. E