throbber
Petitioners Twitter, Inc. and Yelp Inc. - Exhibit 1005 - Page 241
`
`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

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


Or .

Accessing this document will incur an additional charge of $.

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

Accept $ Charge
throbber

Still Working On It

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

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

throbber

A few More Minutes ... Still Working

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

Thank you for your continued patience.

This document could not be displayed.

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

Your account does not support viewing this document.

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

Your account does not support viewing this document.

Set your membership status to view this document.

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

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

Become a Member

One Moment Please

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

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

Your document is on its way!

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

Sealed Document

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

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


Access Government Site

We are redirecting you
to a mobile optimized page.





Document Unreadable or Corrupt

Refresh this Document
Go to the Docket

We are unable to display this document.

Refresh this Document
Go to the Docket