`____________________________________________
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`BEFORE THE PATENT TRIAL AND APPEAL BOARD
`____________________________________________
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`FUJITSU SEMICONDUCTOR LIMITED,
`FUJITSU SEMICONDUCTOR AMERICA, INC.,
`ADVANCED MICRO DEVICES, INC., RENESAS ELECTRONICS
`CORPORATION, RENESAS ELECTRONICS AMERICA, INC.,
`GLOBALFOUNDRIES U.S., INC., GLOBALFOUNDRIES DRESDEN
`MODULE ONE LLC & CO. KG, GLOBALFOUNDRIES DRESDEN
`MODULE TWO LLC & CO. KG, TOSHIBA AMERICA ELECTRONIC
`COMPONENTS, INC., TOSHIBA AMERICA INC., TOSHIBA
`AMERICA INFORMATION SYSTEMS, INC.,
`TOSHIBA CORPORATION, and
`THE GILLETTE COMPANY,
`Petitioner,
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`v.
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`ZOND, LLC,
`Patent Owner
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`Patent 6,805,779 B2
`____________________________________________
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`IPR Case Nos. IPR2014-00828, 00829, 00917, 01073, 01076
`____________________________________________
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`SUPPLEMENTAL DECLARATION OF
`UWE KORTSHAGEN PH.D.
`ON BEHALF OF PETITIONER
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`V.
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`TABLE OF CONTENTS
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`BACKGROUND ............................................................................................. 3
`I.
`RELEVANT LAW .......................................................................................... 5
`II.
`SUMMARY OF OPINIONS: CLAIMS 1-46 ................................................. 5
`III.
`IV. CLAIM CONSTRUCTION ............................................................................ 7
`A.
`“excited atoms” ..................................................................................... 7
`B.
`“metastable atoms” ................................................................................ 7
`C.
`“multi-step ionization process” ............................................................. 7
`D. Means-Plus-Function Claim Elements .................................................. 8
`RESPONSE TO PATENT OWNER’S ARGUMENTS REGARDING THE
`OBVIOUSNESS OF CLAIMS 1, 4-11, 13-16, 18-25, 27, 28, 30, 32-35, 37-
`42, 44, AND 45, AND ANTICIPATION OF CLAIMS 43 AND 46 ............. 9
`A. General Discussion ................................................................................ 9
`1. Iwamura Generates Excited and Metastable Atoms ............................. 9
`2. Pinsley’s and Angelbeck’s Magnetic Fields’ Substantially Traps
`Electrons .............................................................................................. 18
`3. Applying the Magnetic Field Teachings of Pinsley and Angelbeck to
`Iwamura ............................................................................................... 33
`Independent Claims 1, 18, 30, 40, and 41 ........................................... 39
`1. Iwamura Generates Excited and Metastable Atoms ........................... 39
`2. Iwamura’s Preexcitation Unit and Plasma Generation Unit are coupled
`to the plasma chamber ......................................................................... 42
`3. Iwamura with Pinsley and Angelbeck Teach Generating a Magnetic
`Field to Substantially Trap Electrons Proximate to Ground State
`Atoms .................................................................................................. 43
`4. Iwamura Generates a Plasma With a Multi-Step Ionization Process . 48
`Independent Claim 43 and Dependent Claims 8 and 23: Pressure
`Differential Increasing Excitation Rate and Density of Excited Atoms
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`Independent Claim 44 and Dependent Claims 9 and 21: Inductively
`Coupled Discharge Source .................................................................. 54
`Independent Claims 45-46 and Dependent Claims 16, 28, 38, and 42:
`Electron/Ion Absorber Trapping Electrons and Ions .......................... 58
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`D.
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`E.
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`F.
`Dependent Claims 4 and 32: Generating Metastable Atoms ............. 62
`G. Dependent Claims 5 and 19: First and Second Electrodes Generating
`a Discharge .......................................................................................... 63
`H. Dependent Claims 6, 22, and 33: Magnetic Field Increasing Excitation
`Rate and Density of Excited Atoms .................................................... 64
`Dependent Claims 7, 20, 34, and 39: Electron Beam Exciting Ground
`State Atoms ......................................................................................... 68
`Dependent Claims 10, 11, 24, and 25: Atom Source Positioned
`Inside/Outside the Plasma Chamber ................................................... 71
`K. Dependent Claims 13-15, 27, 35, and 37: Ionizing Excited and
`Metastable Atoms ................................................................................ 73
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`J.
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`I.
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`I, Uwe Kortshagen, declare as follows:
`I.
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`BACKGROUND
`1.
` My name is Uwe Kortshagen.
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` My background is detailed in my declarations submitted with the 2.
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`original Petition for Inter Partes Review Case Nos. IPR2014-00828, 00829,
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`00917, 01073, and 01076.
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`3.
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`I have reviewed the following publications in preparing this
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`declaration:
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`• U.S. Patent No. 6,805,779 (the “’779Patent”) (Exs. 1001, 1101, 1201, 1301,
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`1401)).
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`• A. A. Kudryavtsev et al, Ionization relaxation in a plasma produced by a
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`pulsed inert-gas discharge, Sov. Phys. Tech. Phys. 28(1), pp. 30-35, January
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`1983 (“Kudryavtsev” (Exs. 1004, 1104, 1204, 1304, 1404)).
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`• U.S. Patent No. 3,761,836 (“Pinsley” (Exs. 1005, 1105, 1205, 1305, 1405)).
`• U.S. Patent No. 3,514,714 (“Angelbeck” (Exs. 1006, 1106, 1206, 1306,
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`1406)).
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`• U.S. Patent No. 5,753,886 (“Iwamura” (Exs. 1007, 1107, 1207, 1307,
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`1407)).
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`• EP 0146509 (“Gruber” (Ex. 1413)).
`• WO 83/01349 (“Wells” (Exs. 1214, 1414)).
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`• R. F. Post, Proc. of Second U.N. Int’l. Conf. on the Peaceful Uses of Atonic
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`Energy, Vol. 32 at p. 245 (Geneva, 1958) (“Post” (Exs. 1016, 1116, 1222,
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`1316, 1418)).
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`4.
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`Also, I have reviewed papers in the Inter Partes Review Case Nos.
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`IPR2014-00828, 00829, 00917, 01073, and 01076, including the Petitions and my
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`accompanying Declarations. Further, I have reviewed the Board’s Institution
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`Decisions, Patent Owner’s Responses, the accompanying Declaration of Larry D.
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`Hartsough, Ph.D in support of Patent Owner’s Responses, and the deposition
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`testimony of Dr. Hartsough given on April 7, 2015 in connection with Case Nos.
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`IPR2014-00828 (Ex. 1223), 00829 (Ex. 1317), 00917 (Ex. 1419), 01073 (Ex.
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`1017), and 01076 (Ex. 1117).
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`5.
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`I have read and understood each of the above publications and any
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`other publication cited in this declaration. As I stated previously, the disclosure of
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`each of these publications provides sufficient information for someone to make and
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`use the plasma generation and sputtering processes that are described in the above
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`publications.
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`6.
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`I have considered certain issues from the perspective of a person of
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`ordinary skill in the art as described below at the time the ’779 Patent application
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`was filed. In my opinion, a person of ordinary skill in the art for the ’779 Patent
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`would have found the ’779 Patent invalid.
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`7.
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`I have been retained by Petitioner as an expert in the field of plasma
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`technology. I am working as an independent consultant in this matter on behalf of
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`Petitioner and am being compensated at my normal consulting rate of $450/hour
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`for my time. My compensation is not dependent on and in no way affects the
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`substance of my statements in this declaration.
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`8.
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`I have no financial interest in the Petitioners. I similarly have no
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`financial interest in the ’779 Patent, and have had no contact with the named
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`inventor of the ’779 Patent.
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`II. RELEVANT LAW
`I am not an attorney. For the purposes of this declaration, I have been
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`informed about certain aspects of the law that are relevant to my opinions. My
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`understanding of the law is detailed in my declaration submitted with the original
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`Petition for Inter Partes Review Case Nos. IPR2014-00828, 00829, 00917, 01073,
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`and 01076, and my understanding remains the same for my instant declaration.
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`III. SUMMARY OF OPINIONS: CLAIMS 1-46
` As a preliminary matter, I note that Patent Owner’s Responses, and
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`the accompanying Declaration of Larry D. Hartsough, Ph.D provided in the above
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`captioned inter partes reviews of the ’779 Patent did not respond to my opinions
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`regarding the obviousness of claims 2, 3, 12, 17, 26, 29, 31, and 36 of the ’779
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`Patent set forth in my previous declarations, which I hereby incorporate by
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`reference. See IPR2014-00828, Ex. 1202, ¶¶ 135-136 (claim 31), and 149-153
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`(claim 36); IPR2014-001073, Ex. 1002, ¶¶ 144-145 (claims 2 and 3), 153-155
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`(claims 12 and 26), and 158-159 (claims 17 and 29).
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`11.
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` Accordingly, this supplemental declaration is limited to addressing the
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`claims Patent Owner and Dr. Hartsough responded to, namely: claims 1, 4-11, 13-
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`16, 18-25, 27, 28, 30, 32-35, and 37-46 of the ’779 Patent.
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`12.
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`I am unpersuaded by the arguments contained in Patent Owner’s
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`Responses and Dr. Hartsough’s declaration, as will be explained in greater detail
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`below. I therefore maintain my findings as expressed at (1) No. 2014-00828, Ex.
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`1202, ¶¶ 108-145, 146-148, and 149-153 captioned Ground IV, Ground V, and
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`Ground VI; (2) No. 2014-00829, Ex. 1302, ¶¶ 125-166 and 167-170 captioned
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`Ground III and Ground IV; (3) No. 2014-00917, Ex. 1402, ¶¶ 106-144, 145-147,
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`and 152-153 captioned Ground III, Ground IV, and Ground VI; (4) No. 2014-
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`01073, Ex. 1002, ¶¶ 110-159 captioned Ground II; (5) No. 2014-01076, Ex. 1102,
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`¶¶ 114-132 and 133-162 captioned Ground II and Ground III.
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`13.
` Thus, it remains my opinion that every limitation of the plasma
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`generation apparatuses and methods described in claims 1 through 46 of the ’779
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`Patent are disclosed by the prior art, and are either rendered obvious or anticipated
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`by the prior art.
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`IV. CLAIM CONSTRUCTION
`A.
`“excited atoms”
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` The Petitioner had previously proposed, and the Board adopted, the
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`construction that the claim term “excited atoms” means “atoms that have one or
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`more electrons in a state that is higher than its lowest possible state.” IPR2014-
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`00829, Decision at p. 7 (Paper No. 9); IPR2014-00917, Decision at p. 8 (Paper No.
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`10); IPR2014-01073, Decision at p. 7 (Paper No. 11); IPR2014-01076, Decision at
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`pp. 7-8 (Paper No. 11).
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`B.
` “metastable atoms”
`15.
` The Petitioner had previously proposed, and the Board adopted, the
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`construction that the claim term “metastable atoms” means “excited atoms having
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`energy levels from which dipole radiation is theoretically forbidden.” IPR2014-
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`00828, Decision at p. 8 (Paper No. 9); IPR2014-00829, Decision at pp. 7-8 (Paper
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`No. 9); IPR2014-00917, Decision at pp. 8-9 (Paper No. 10); IPR2014-01073,
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`Decision at pp. 7-8 (Paper No. 11); IPR2014-01076, Decision at pp. 8-9 (Paper No.
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`11).
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`C.
`“multi-step ionization process”
`16.
` The Parties had previously proposed, and the Board adopted, the
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`construction that the claim term “multi-step ionization process” means “an
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`ionization process having at least two distinct steps.” IPR2014-00828, Decision at
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`pp. 9-10 (Paper No. 9); IPR2014-00829, Decision at pp. 9-10 (Paper No. 9);
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`IPR2014-00917, Decision at pp. 10-11 (Paper No. 10); IPR2014-01073, Decision
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`at pp. 8-9 (Paper No. 11); IPR2014-01076, Decision at pp. 9-10 (Paper No. 11).
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`D. Means-Plus-Function Claim Elements
` The Petitioner had previously proposed four claim elements recited in
`17.
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`claims 41 and 42 of the ’779 Patent as means-plus-function elements, invoking 35
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`U.S.C. § 112, ¶ 6. The Patent Owner did not propose any construction for these
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`elements. The Board adopted the Petitioner’s proposal that the corresponding
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`structures for the means-plus-function elements identified by Petitioner are as
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`follows:
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`Recited functions in italics
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`Corresponding structures
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`means for generating a
`magnetic field proximate to a
`volume of ground state atoms
`to substantially trap electrons
`proximate to the volume of
`ground state atoms (claim 41)
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`magnets—e.g., magnets 566a-d, 570a-d, 712,
`714 that generate a magnetic field as shown in
`Figures 7, 7A, and 10 of the ’779 patent. See Ex.
`1301, 16:1–20 (“The magnets 566a-d, 570a-d
`create a magnetic field 574 that substantially
`traps and accelerates electrons (not shown) in the
`chamber 554.”), 18:34–41, Figs. 7, 7A, 10.
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`means for generating a volume
`of metastable atoms from the
`volume of ground state atoms
`(claim 41)
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`a metastable atom source—e.g., metastable
`atom sources 402, 450, 500, 550, 600, 650, 700,
`735 as shown in Figures 4–11 of the ’779 patent.
`Ex. 1301, 14:24–26, 14:46–48, 15:46–67, 16:29–
`31, 17:27–34, 18:7–16, 19:11–12.
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`means for raising an energy of
`the metastable atoms so that at
`least a portion of the volume of
`metastable atoms is ionized,
`thereby generating a plasma
`with a multistep ionization
`process (claim 41)
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`means for trapping electrons
`and ions in the volume of
`metastable atoms (claim 42)
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`a power supply generating an electric field
`between a cathode assembly and an anode as
`shown in Figures 2 and 3 of the ’779 patent. Ex.
`1301, 8:39–5, 11:4–14.
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`an electron ion/absorber—e.g., electron
`ion/absorbers 536, 618, 664, 728, 750, 750’, and
`750” shown in Figures 6, 8, 9, 10, and 12A–12C
`of the ’779 patent. Pet. 19; Ex. 1301, 14:66–15:9,
`16:56–62, 17:35–42, 18:42–67, 19:56–20:32.
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`IPR2014-00829, Decision at pp. 11-12 (Paper No. 9).
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`18.
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`I note that Patent Owner’s Responses and the accompanying
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`Declaration of Dr. Hartsough do not challenge or otherwise disagree with the
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`Board’s construction of the terms “excited atoms,” “metastable atoms,” “multi-step
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`ionization process,” and the means-plus-function claim elements.
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`19.
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`I agree with the constructions by the Board, and my opinion that the
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`claims of the ’779 Patent are either anticipated or rendered obvious by the prior art
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`applies these constructions.
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`V. RESPONSE TO PATENT OWNER’S ARGUMENTS REGARDING
`THE OBVIOUSNESS OF CLAIMS 1, 4-11, 13-16, 18-25, 27, 28, 30, 32-35, 37-
`42, 44, AND 45, AND ANTICIPATION OF CLAIMS 43 AND 46
`A. General Discussion
`1.
`Iwamura Generates Excited and Metastable Atoms
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`20.
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`Iwamura’s first plasma generation unit, or the combination of the
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`preexcitation unit and the first plasma generation unit, generates excited atoms and
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`metastable atoms in addition to ions. See e.g., Kortshagen Decl., ¶¶ 110-116 (Ex.
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`1002); Kortshagen Decl., ¶¶ 114-120 (Ex. 1102); Kortshagen Decl., ¶¶ 114-120
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`(Ex. 1202); Kortshagen Decl., ¶¶ 131-135 (Ex. 1302); Kortshagen Decl., ¶¶ 106-
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`112 (Ex. 1402).
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` As an initial matter, both Patent Owner and Dr. Hartsough agree with
`21.
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`my position that Iwamura’s preexcitation unit generates excited and metastable
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`atoms. See e.g., Kortshagen Decl. at ¶¶ 110-116 (Ex. 1002) Kortshagen Decl., ¶¶
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`114-120 (Ex. 1102); Kortshagen Decl., ¶¶ 114-120 (Ex. 1202); Kortshagen Decl.,
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`¶¶ 131-135 (Ex. 1302); Kortshagen Decl., ¶¶ 106-112 (Ex. 1402); IPR2014-00828,
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`Patent Owner’s Response at p. 35 (Paper No. 26); IPR2014-00829, Patent Owner’s
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`Response at pp. 37-38 (Paper No. 26); IPR2014-00917, Patent Owner’s Response
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`at p. 37 (Paper No. 27); IPR2014-01073, Patent Owner’s Response at p. 40 (Paper
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`No. 25); IPR2014-01076, Patent Owner’s Response at p. 38 (Paper No. 25);
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`Hartsough Decl., ¶ 65 (“It is only Iwamura’s preexcitation unit that excites, or
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`preexcites, the gas”) (Ex. 2005).
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`22.
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`Instead, both Patent Owner’s Responses and Dr. Hartsough’s
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`Declaration go to great lengths attempting to distinguish Iwamura’s teachings by
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`arguing that “the plasma chamber in Iwamura is coupled to a plasma source [and]
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`is not coupled to the preexcitation unit” and Iwamura’s “plasma generation units
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`generate plasma (i.e., ions), not excited or metastable atoms.” See e.g. IPR2014-
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`00828, Patent Owner’s Response at p.33 (Paper No. 26); IPR2014-00829, Patent
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`Owner’s Response at p. 45 (Paper No. 26); IPR2014-00917, Patent Owner’s
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`Response at p. 37 (Paper No. 25) (“the first plasma generation unit is taught to
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`generate a plasma (equivalently, an ionized gas, an ionized state, or an activated
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`gas)”); IPR2014-01073, Patent Owner’s Response at p. 32 (Paper No. 25);
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`IPR2014-01076, Patent Owner’s Response at p. 31 (Paper No. 25); Hartsough
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`Decl., ¶¶ 55 (Ex. 2005). In other words, both Patent Owner and Dr. Hartsough
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`interprets Iwamura’s use of the term “plasma” to mean only electrons and ions
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`and would not include excited or metastable atoms generated from ground state
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`atoms. This interpretation is contrary to the understanding of persons of ordinary
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`skill in the art and, therefore, the entirety of Patent Owner’s Responses and Dr.
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`Hartsough’s declaration which are predicated on this erroneous interpretation, are
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`flawed.
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`23.
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` As I stated in my prior declarations, a plasma is a collection of ions,
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`free electrons, and neutral atoms (including various excited states). See e.g.,
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`Kortshagen Decl. at ¶ 21 (Ex. 1002); Kortshagen Decl. at ¶ 24 (Ex. 1102);
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`Kortshagen Decl. at ¶ 22 (Ex. 1202); Kortshagen Decl. at ¶ 22 (Ex. 1302);
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`Kortsahgen Decl. at ¶ 21 (Ex. 1402). During his deposition, Dr. Hartsough agreed
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`with how one of ordinary skill in the art would understand “plasma” –
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`contradicting Patent Owner’s Responses and the opinions in his declaration. See
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`Deposition Transcript of Larry D. Hartsough, Ph.D, 42:9-15 (“Q: So in a given
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`volume of space, where you have a collection of ions, electrons, and ground
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`state atoms and excited atoms, it would be fair to characterize that as a plasma?
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`[Objection: form.] A: That’s been the common usage in this case.”) (emphasis
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`added).
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` Thus, contrary to Patent Owner’s Responses and Dr. Hartsough’s
`24.
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`declaration, Iwamura’s plasma generation unit generates excited atoms and
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`metastable atoms in the same manner as claimed in the ’779 Patent. Notably,
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`Iwamura’s first plasma generation unit discloses the same structure as the ’779
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`Patent’s metastable atom source for exciting atoms. An embodiment of Iwamura’s
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`first plasma generating unit and an embodiment the ’779 Patent’s excited /
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`metastable atom source 402 are compared side-by-side, as illustrated below:
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`25.
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`Iwamura refers to the volume that flows into the chamber as a plasma
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`or a “preactivated” gas. Iwamura at 2:10-14. As stated above, the plasma or
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`preactivated gas, as one of ordinary skill in the art would understand, contains ions
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`and electrons as well as electrically neutral atom species, including ground state
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`atoms and excited atoms (including metastable atoms which is a type of an excited
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`atom). See e.g., Kortshagen Decl. at ¶ 21 (Ex. 1002); Kortshagen Decl. at ¶ 24
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`(Ex. 1102); Kortshagen Decl. at ¶ 22 (Ex. 1202); Kortshagen Decl. at ¶ 22 (Ex.
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`1302); Kortsahgen Decl. at ¶ 21 (Ex. 1402). This is because only a fraction of all
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`collisions in the discharge region between two energized electrodes, 26a and 26b,
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`of Iwamura will result in an ionizing collision between an atom and an electron.
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`See e.g., Kortshagen Decl. at ¶¶ 115-116 (Ex. 1002); Kortshagen Decl. at ¶¶ 119-
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`120 (Ex. 1102); Kortshagen Decl. at ¶¶ 113-114 (Ex. 1202); Kortshagen Decl. at
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`¶¶ 134-135 (Ex. 1302); Kortshagen Decl. at ¶¶ 111-112 (Ex. 1402). The remaining
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`atoms pass through the region and experience either no collisions, elastic collisions
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`that do not change their excitation state, or exciting collisions that excite, but not
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`ionize, the atoms.
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` The ’779 Patent confirms inasmuch this to be the case. See ’779
`26.
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`Patent at 13:34-14:23. The ’779 Patent discloses: “[i]n operation, ground state
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`atoms 208 from the gas source 206 flow to the metastable atom source 402 … [t]he
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`ground state atoms 208 flow between the first electrode 440 and the second
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`electrode 442 ... at least a portion of the ground state atoms 208 that are injected
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`through the discharge region 444 are energized to a metastable state.” ’779 Patent
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`at 13:66-14:10. As illustrated above in figure 4 of the ’779 Patent, there are ions
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`424, electrons 426, ground state atoms 208, and metastable atoms 218 at the output
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`of the metastable atom source 402. See also ’779 Patent at 14:17-23. Excited
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`atoms will be present as well because metastable atoms are a species of excited
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`atoms. As recognized by the Board, exciting ground state atoms will generate both
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`excited atoms and metastable atoms. See IPR2014-00828, Decision at p. 8 (Paper
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`No. 9); IPR2014-00829, Decision at p. 8 (Paper No. 9); IPR2014-00917, Decision
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`at p. 9 (Paper No. 10); IPR2014-01073, Decision at p. 8 (Paper No. 11); IPR2014-
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`01076, Decision at p. 9 (Paper No. 11).
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` The first plasma generation unit of Iwamura operates in the same
`27.
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`manner. An inert gas, such as helium or argon, is introduced through gas supply
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`20. Iwamura at 7:48-50. The inert gas flows down gas supply pipe 20a where it is
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`exposed to ultraviolet lamp 24. Iwamura at 7:55-58. The ultraviolet radiation
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`“causes photoionization, and excites the gas. At this stage however, no plasma is
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`observed in the inert gas. The inert gas, with a raised excitation level, is activated
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`in a plasma region A between first pair of plasma generation electrodes 26, and a
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`plasma is thus generated.” Iwamura at 7:58-62.
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` One addition to the excited / metastable atom source of Iwamura as
`28.
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`compared to the ’779 Patent is Iwamura’s preexcitation unit (ultraviolet lamp 24)
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`that raises the excitation level of the inert gas prior to reaching the plasma
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`generation region A between the first pair of electrodes 26a and 26b (the first
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`plasma generation unit). Iwamura at 7:47-65. Iwamura teaches that by raising the
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`level of a portion of the ground state atoms with the ultraviolet lamp 24: “it is
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`easier to generate a plasma in the downstream plasma region A.” Iwamura at 8:34-
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`36. However, Iwamura’s preexciation unit will not change the fact that there will
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`be excited atoms and metastable atoms, as well as ions and electrons, at the output
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`of Iwamura’s first plasma generation unit.
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` One of ordinary skill in the art would understand that an excited atom
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`compared with a ground state atom is more likely to experience an ionizing
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`collision with an electron. However, increasing the likelihood of ionizing
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`collisions in the plasma region A of Iwamura by preexciting the inert gas does not
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`mean every ground state atom will be ionized as Patent Owner contends. See e.g.
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`IPR2014-00828, Patent Owner’s Response at p.33 (Paper No. 26); IPR2014-
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`00829, Patent Owner’s Response at p. 45 (Paper No. 26); IPR2014-00917, Patent
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`Owner’s Response at p. 37 (Paper No. 25) (“the first plasma generation unit is
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`taught to generate a plasma (equivalently, an ionized gas, an ionized state, or an
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`activated gas)”); IPR2014-01073, Patent Owner’s Response at p. 32 (Paper No.
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`25); IPR2014-01076, Patent Owner’s Response at p. 31 (Paper No. 25); Hartsough
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`Decl., ¶¶ 55 (Ex. 2005).
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`30.
` Like the discharge region 444 of the ’779 patent, some inert gas atoms
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`passing through plasma generation region A of Iwamura experience ionizing
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`collisions resulting in ions and electrons; some atoms experience collisions
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`resulting in excited and metastable atoms; and some atoms will pass through the
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`region without any collisions that raise their excitation level, i.e. they will remain
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`in the ground state. See ’779 Patent at 14:17-23; Iwamura at 7:61-65.
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`Consequently, while Iwamura refers to the volume that flows into the chamber as a
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`plasma or a “preactivated” gas, as previously discussed, one skilled in the art
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`would understand that not only ions are present in the volume, there are
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`electrically neutral atom species as well, including ground state atoms, excited
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`atoms, and metastable atoms.
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` Accordingly, ions, electrons, excited atoms, and metastable atoms all
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`flow from the plasma generation region A of Iwamura into the chamber 10.
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`Iwamura at 7:66-8:3. Notably, this is precisely what is disclosed by Iwamura’s
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`statement: “[i]n other words, the gas reaching the downstream plasma generation
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`position maintains the ionized or near-ionized state, formed by preactivation, i.e.,
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`the gas is not yet fully ionized, but its excitation level is high due to the upstream
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`plasma preactivation.” Iwamura at 2:34-39 (emphasis added). In order to “further
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`activate” the plasma output by the first plasma generation unit, some atoms
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`necessarily will be in the ground and excited states. See Iwamura at 8:4-7 (“In a
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`plasma region B between second pair of plasma generation electrodes 30, the
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`activated helium gas is further activated, generating a plasma at or about
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`atmospheric pressure.”) (emphasis added).
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`32.
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` Dr. Hartsough’s testimony supports my opinion as well. When
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`responding to questions about the output of Iwamura’s first plasma generation unit
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`during his deposition, Dr. Hartsough agreed that: (1) the gas species flowing into
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`Iwamura’s first plasma generation region A will form a plasma that contains ions
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`and ground state atoms, and probably contain excited atoms, and metastable atoms
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`as well; and (2) this plasma will flow into Iwamura’s treatment chamber. See
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`Deposition Transcript of Larry D. Hartsough, Ph.D, 74:2-76:4.
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`33.
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`In sum, Iwamura’s first plasma generation unit, or the combination of
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`the first plasma generation unit and the preexcitation unit, generates a plasma
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`comprising a collection of ions, electrons, ground state atoms, excited atoms, and
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`metastable atoms, all of which flows into Iwamura’s treatment chamber.
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`2.
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`Pinsley’s and Angelbeck’s Magnetic Fields’ Substantially
`Traps Electrons
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`34.
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`I do not agree with Patent Owner and Dr. Hartsough’s assertions that
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`the magnetic fields disclosed in Pinsley and Angelbeck do not “substantially trap”
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`electrons as recited by the claims of the ’779 Patent. See e.g. IPR2014-00828,
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`Patent Owner’s Response at pp. 28-31 (Paper No. 26); IPR2014-00829, Patent
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`Owner’s Response at pp. 32-35 (Paper No. 26); IPR2014-00917, Patent Owner’s
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`Response at pp. 37-42 (Paper No. 27); IPR2014-01073, Patent Owner’s Response
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`at pp. 33-37 (Paper No. 25); IPR2014-01076, Patent Owner’s Response at pp. 32-
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`36 (Paper No. 26); Hartsough Decl., ¶¶ 56-60 (Ex. 2005).
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`a) Magnetic field configurations of the ’779 Patent
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` The ’779 Patent neither defines the term “substantially trapping,” nor 35.
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`provides any objective criteria for determining as such. However, the ’779 Patent
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`does disclose at least four configurations of magnetic fields that the specification
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`describes traps, or substantially traps, electrons.1 For example, in reference to the
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`prior art magnetron sputtering apparatus 100 illustrated in figure 1, the ’779 Patent
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`discloses that magnets 130 are used to generate a magnetic field 132 proximate to
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`the sputtering target 116. ’779 Patent at 3:9-18. The magnetic field 132 “is shaped
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`to trap and concentrate secondary electrons proximate to the target surface.” ’779
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`Patent at 3:13-15. An annotated illustration of figure 1 highlighting the prior art
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`magnetic field 132 is shown below:
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`1 Dr. Hartsough inexplicably states in his declaration that the ’779 Patent
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`specification only describes one magnet configuration. See Hartsough Decl., ¶ 57
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`(Ex. 2005).
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`36.
` The ’779 Patent also discloses an embodiment of an excited atom
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`source illustrated in figures 7 and 7A. As disclosed by the ’779 Patent, the
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`embodiment of figures 7 and 7A have magnets 566a-d and 570a-d that “create a
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`magnetic field 574 that substantially traps and accelerates electrons (not pictured)
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`in the chamber 554.” ’779 Patent at 15:12-16. An annotated illustration of figures
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`7 and 7A is shown below:
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`37.
` Other magnetic field configurations are disclosed in connection with
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`figures 10 and 12B of the ’779 Patent. See ’779 Patent at 18:34-41, 20:10-13.
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`Thus, as disclosed by the ’779 Patent, there are multiple magnetic field
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`configurations capable of “substantially trapping” electrons, and the use of
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`magnets and their corresponding magnetic fields to trap electrons was not invented
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`by Dr. Chistyakov, and was already known in the prior art.
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`Pinsley’s magnetic field configuration
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`b)
`I understand Pinsley to disclose a magnetic field configuration that
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`38.
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`will “substantially trap” electrons as the term is used in the ’779 Patent. In his
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`declaration, Dr. Hartsough contends that Pinsley’s magnetic field does not
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`“substantially trap” electrons because “[electrons] can easily still easily [sic] flow
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`to the anode.” See Hartsough Decl., ¶ 60 (Ex. 2005). However, Dr. Hartsough’s
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`opinion is predicated on a flawed reading of Pinsley that does not reflect the
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`understanding of those with skill in the art.
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` As evidenced by his deposition testimony, Dr. Hartsough interprets
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`the force created by Pinsley’s transverse magnetic field configuration only to be in
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`a direction opposite that of the gas flow direction such that the electrons “flow in a
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`straight line between the anode and cathode.” See Deposition Transcript of Larry
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`D. Hartsough, Ph.D, 145:23-146:14 (“A: … What he means is that the force F is
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`sufficient to counterbalance the flow, which is in the opposite direction, so that as
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`the electrons flow between the anode and cathode … they tend to flow in a straight
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`line between the anode and cathode.”). Dr. Hartsough’s interpretation is incorrect
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`because he fails to take into account that as a matter of the natural laws of physics,
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`Pinsley’s magnetic field lines are non-uniform and converges near the magnets
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`similar to the magnetic field lines depicted in figure 7A of the ’779 Patent, and like
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`figure 7A of the ’779 Patent, will “substantially trap” electrons.
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`40.
` The magnetic field configuration of Pinsley is illustrated in the
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`annotated FIGURE, below:
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`41.
` Pinsley discloses a magnetic field configuration that is oriented
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`transversely with respect to both the gas flow direction 14 and the current flow
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`vector 30 within a gas laser conduit 10. Pinsley at Abstract, 2:27-42. While
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`Pinsley does not show the magnetic field lines in its FIGURE, one of ordinary skill
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`in the art would understand that disposing magnets 24 and 26 above and below the
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`conduit 10 will produce non-uniform magnetic field lines within the conduit 10.
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`These non-uniform magnetic field lines will converge as they get close to the
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`magnets 24 and 26, as illustrated by the annotations to the FIGURE above. A
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`cross-sectional view of Pinsley’s non-uniform magnetic field lines is provided
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`below for further clarity:
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`42.
` This understanding is supported by the ’779 Patent. The embodiment
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`of the excited atom source illustrated in figure 7A of the ’779 Patent also provides
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`magnets 566a and 570a in the same orientation above and below the chamber 554,
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`resulting in the depicted non-uniform magnetic field lines 574 that converge as
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`they get close to magnets 566a and 570a. 2 See ’779 Patent at FIG. 7A, 15:12-16.
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` Pinsley’s non-uniform, converging, magnetic field lines will
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`“substantially trap” electrons in a