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`Patent No. 6,806,652
`IPR2014-01088
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`_____________________
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`BEFORE THE PATENT TRIAL AND APPEAL BOARD
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`_____________________
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`GLOBALFOUNDRIES U.S., INC., GLOBALFOUNDRIES DRESDEN
`MODULE ONE LLC & CO. KG, GLOBALFOUNDRIES DRESDEN
`MODULE TWO LLC & CO. KG, and THE GILLETTE COMPANY,
`Petitioners
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`v.
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`ZOND, LLC,
`Patent Owner
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`_____________________
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`Inter Partes Review Case No. IPR2014-01088
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`Patent 6,806,652 B2
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`_____________________
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`AFFIDAVIT OF MARIA GRANOVSKY IN SUPPORT OF PATENT
`OWNER’S MOTION FOR PRO HAC VICE ADMISSION
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`GLOBALFOUNDRIES U.S. et al. v. Zond
`IPR2014-01088 ZOND Ex. 2001
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`I, Maria Granovsky, being duly sworn and upon oath, hereby attest to the
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`Patent No. 6,806,652
`IPR2014-01088
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`following:
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`i.
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`I am a member in good standing of the New York and Delaware Bars, as
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`well as the U.S. District Court for the District of Delaware.
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`ii.
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`I have not been suspended or disbarred from practice before any court or
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`administrative body.
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`iii.
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`I have never had an application for admission to practice before any
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`court or administrative body denied.
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`iv. No sanction or contempt citation has been imposed against me by any
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`court or administrative body.
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`v.
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`I have read and will comply with the Office Patent Trial Practice Guide
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`and the Board’s Rules of Practice for Trials set forth in part 42 of the
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`Code of Federal Regulations.
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`vi.
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`I will be subject to the USPTO Rules of Professional Conduct set forth
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`in 37 C.F.R. §§ 11.101 et seq. and disciplinary jurisdiction under 37
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`C.F.R. § 11.19(a).
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`vii. Other than presently applying to appear Pro Hac Vice before the Office
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`in connection with the Inter Partes Review proceedings of the patents
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`listed below in section ix, I have not applied to appear Pro Hac Vice
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`before the Office in any other proceeding in the last three years.
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`2
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`ZOND 2001
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`I am an experienced litigation attorney, with experience in many
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`Patent No. 6,806,652
`IPR2014-01088
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`viii.
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`litigations involving patent infringement in District Courts across the
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`country, including experience with fact and expert document and
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`deposition discovery, claim construction, Markman hearings, motion
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`practice, trials and hearings, and investigations before the International
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`Trade Commission.
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`ix.
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`I am counsel for Patent Owner Zond, LLC, the plaintiff in related on-
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`going litigations in which U.S. Patent Nos. 6,805,779, 6,806,652,
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`6,853,142, 6,896,773, 6,896,775, 7,147,759, 7,604,716, 7,808,184,
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`7,811,421, and 8,125,155 are and were asserted by the Patent Owner. I
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`am familiar with the subject matter at issue in this proceeding as a result
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`of my representation of Zond, LLC, in the related litigation, including
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`the prior art that Petitioner presents in this proceeding, as well as issues
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`/Maria Granovsky/
`Maria Granovsky
`RADULESCU LLP
`The Empire State Building
`350 Fifth Avenue, Suite 6910
`New York, NY 10118
`Maria@RadulescuLLP.com
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`3
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`ZOND 2001
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`of claim construction.
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`Date: February 24, 2015