`______________
`
`BEFORE THE PATENT TRIAL AND APPEAL BOARD
`______________
`
`ERICSSON INC. AND TELEFONAKTIEBOLAGET
`LM ERICSSON,
`Petitioners
`
`v.
`
`INTELLECTUAL VENTURES II LLC
`Patent Owner
`______________
`
`Case IPR2014-01195
`Patent No. 7,787,431
`______________
`
`DECLARATION OF KENNETH ZEGER, PH.D.
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`Zeger Declaration
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`Inter Partes Review of U.S Patent No. 7,787,431
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`TABLE OF CONTENTS
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`I.
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`II.
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`INTRODUCTION .......................................................................................... 1
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`PROFESSIONAL BACKGROUND AND QUALIFICATIONS .................. 1
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`III. COMPENSATION ......................................................................................... 4
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`IV. LEGAL STANDARDS APPLIED ................................................................. 5
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`A. Obviousness ......................................................................................... 5
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`B.
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`Person Having Ordinary Skill In The Art ............................................ 7
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`V.
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`‘431 PATENT ................................................................................................ 9
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`A.
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`B.
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`Background .......................................................................................... 9
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`Detailed Description ........................................................................... 11
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`VI. CLAIM CONSTRUCTION ......................................................................... 15
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`A.
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`Petitioner’s Disputed Claim Terms .................................................... 16
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`1.
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`2.
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`3.
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`4.
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`Bandwidth ................................................................................ 16
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`Peak-to-Average Ratio ............................................................. 17
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`Core-Band ................................................................................ 17
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`Primary Preamble ..................................................................... 18
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`B.
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`Patent Owner’s Disputed Claim Terms .............................................. 18
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`1.
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`2.
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`3.
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`“Radio Control And Operation Signaling” .............................. 18
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`“Substantially Not Wider” ....................................................... 20
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`“Primary Preamble Sufficient For Basic Radio
`Operation” ................................................................................ 22
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`VII. THE CITED PRIOR ART ............................................................................ 23
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`A.
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`Li Patent ............................................................................................. 23
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`B.
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`C.
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`D.
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`Yamaura Patent .................................................................................. 27
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`Zhuang Patent ..................................................................................... 29
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`Beta .................................................................................................... 32
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`E. Mody .................................................................................................. 33
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`F.
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`G.
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`Nobilet ................................................................................................ 34
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`Popovic ............................................................................................... 35
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`VIII. GROUND #1: CLAIMS 1 AND 2 OBVIOUSNESS IN VIEW OF LI,
`YAMAURA, ZHUANG, AND BETA ........................................................ 35
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`A.
`
`The Cited Prior Art Combination Fails To Disclose Several
`Elements Of Independent Claim 1 ..................................................... 35
`
`1.
`
`2.
`
`3.
`
`4.
`
`The Prior Art Fails To Disclose A Core-Band
`“Substantially Centered At An Operating Center
`Frequency Of The Different Communication Schemes” ......... 37
`
`The Prior Art Fails To Disclose The Claimed Core-Band
`“Utilized By The Base Station As A Broadcast Channel
`Carrying Radio Control And Operation Signaling” ................. 38
`
`The Prior Art Fails To Disclose A Core-Band That Is
`“Substantially Not Wider Than A Smallest Possible
`Operating Channel Bandwidth Of The System” ...................... 39
`
`The Prior Art Does Not Disclose A “Primary Preamble
`Sufficient For Basic Radio Operation” .................................... 41
`
`B.
`
`A Person Of Ordinary Skill In The Art Would Not Be
`Motivated To Combine Li, Yamaura, Zhuang, And Beta .................. 43
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`IX. GROUND #2: CLAMS 1 AND 2 NOT OBVIOUS IN VIEW OF LI,
`YAMAURA, MODY, NOBILET, POPOVIC, AND BETA ....................... 55
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`A.
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`The Cited Prior Art Fails To Disclose Several Elements Of
`Independent Claim 1 .......................................................................... 55
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`A Person Of Ordinary Skill In The Art Would Not Be
`Motivated To Combine Li, Yamaura, Mody, Nobilet, Popovic,
`And Beta ............................................................................................. 56
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`B.
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`iii
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`Zeger Declaration
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`I, Kenneth Zeger, do hereby declare:
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`Inter Partes Review of U.S Patent No. 7,787,431
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`I.
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`INTRODUCTION
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`1.
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`I have been retained by Intellectual Ventures II LLC (“Patent Owner”
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`or “IV”) as an expert witness with respect to my opinions concerning Ericsson’s
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`Petition for inter partes review of U.S. Patent No. 7,787,431 (“the ‘431 patent”).
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`2.
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`In preparing my declaration, I have relied upon my education,
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`knowledge and experience. I have also considered the materials and items
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`described in this declaration.
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`II.
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`PROFESSIONAL BACKGROUND AND QUALIFICATIONS
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`3.
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`I received a Bachelor’s degree in Electrical Engineering and
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`Computer Science from the Massachusetts Institute of Technology in 1984.
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`4.
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`I received a Master of Science degree in Electrical Engineering and
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`Computer Science from the Massachusetts Institute of Technology in 1984.
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`5.
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`I received a Master of Arts degree in Mathematics from the University
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`of California, Santa Barbara, CA in 1989.
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`6.
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`I received a Ph.D. degree in Electrical and Computer Engineering
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`from the University of California, Santa Barbara, CA in 1990.
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`7.
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`I am currently a Full Professor of Electrical and Computer
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`Engineering at the University of California, San Diego (UCSD). I have held this
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`position since 1998, having been promoted from Associated Professor after two
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`years at UCSD. I have been an active member of the UCSD Center for Wireless
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`Communications for 18 years. I teach courses full-time at UCSD in the fields of
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`Electrical and Computer Engineering, and specifically in subfields including
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`communications and information theory at the undergraduate and graduate levels.
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`Prior to my employment at UCSD, I taught and conducted research as a faculty
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`member at the University of Illinois, Urbana-Champaign for four years, and at the
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`University of Hawaii for two years.
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`8. My twenty-plus years of industry experience includes consulting work
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`for the United States Department of Defense as well as for private companies such
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`as Xerox, Nokia, MITRE, ADP, and Hewlett-Packard. The topics upon which I
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`provide consulting expertise include data communications for wireless networks,
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`digital communications, information theory, computer software, and mathematical
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`analyses.
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`
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`9.
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`I have authored approximately 70 peer-reviewed journal articles, the
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`majority of which are on the topic of communications, information theory, or
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`signal processing. I have also authored over 100 papers at various conferences and
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`symposia over the past twenty-plus years, such as the: IEEE International
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`Conference on Communications; IEEE Radio and Wireless Symposium; Wireless
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`Inter Partes Review of U.S Patent No. 7,787,431
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`Communications and Networking Conference; IEEE Global Telecommunications
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`Conference; International Symposium on Network Coding; IEEE International
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`Symposium on
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`Information Theory; UCSD Conference on Wireless
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`Communications; International Symposium on Information Theory and Its
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`Applications; Conference on Advances in Communications and Control Systems;
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`IEEE Communication Theory Workshop; Conference on Information Sciences and
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`Systems; Allerton Conference on Communications, Control, and Computing;
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`Information Theory and Its Applications Workshop; Asilomar Conference on
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`Signals, Systems, and Computers. I also am co-inventor on a US patent disclosing
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`a memory saving technique for image compression.
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`10.
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`I was elected a Fellow of the IEEE in 2000, an honor bestowed upon
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`only a small percentage of IEEE members. I was awarded the National Science
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`Foundation Presidential Young Investigator Award in 1991, which included
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`$500,000 in research funding. I received this award one year after receiving my
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`Ph.D.
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`11.
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`I have served as an Associate Editor for the IEEE Transactions on
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`Information Theory and have been an elected member of the IEEE Information
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`Theory Board of Governors for three, three-year terms. I organized and have been
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`on the technical advisory committees of numerous workshops and symposia in the
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`Zeger Declaration
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`areas of communications and information theory. I regularly review submitted
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`journal manuscripts, government funding requests, conference proposals, student
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`theses, and textbook proposals. I also have given many lectures at conferences,
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`universities, and companies on topics in communications and information theory.
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`12.
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`I have extensive experience in electronics hardware and computer
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`software, from academic studies, work experience, and supervising students. I
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`personally program computers on an almost daily basis and have fluency in many
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`different computer languages.
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`13. My curriculum vitae, attached to this declaration as Exhibit 2002, lists
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`my publication record in archival journals, international conferences, and
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`workshops.
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`III. COMPENSATION
`
`14.
`
`I am being retained through Zunda LLC, which is being compensated
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`for my time at a rate of $690 per hour. In addition, Zunda LLC is being reimbursed
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`for my reasonable expenses incurred in connection with my work on this case. My
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`compensation is not dependent on the opinions I offer or on the outcome of this
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`inter partes review proceeding or any other proceeding.
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`15.
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`I am not an employee of Intellectual Ventures II, LLC, or any of its
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`affiliates, parents, or subsidiaries.
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`IV. LEGAL STANDARDS APPLIED
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`16.
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`I am not an expert in patent law, and I am not purporting to provide
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`any opinions regarding the correct legal standards to apply in these proceedings. I
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`have been asked, however, to provide my opinions in the context of legal standards
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`that have been provided to me by Patent Owner’s attorneys.
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`A. Obviousness
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`17.
`
`I have been informed that a patent can be declared invalid if the
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`subject matter of a claim as a whole would have been obvious at the time of the
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`invention to a person of ordinary skill in the art. I understand that obviousness
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`allows for the combination of prior art references if there exist sufficient reasons
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`why one of ordinary skill in the art would have made the combination. I have been
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`informed that there are four basic inquiries that must be considered for obviousness:
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`1. What is the scope and content of the prior art?
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`2. What are the differences, if any, between the prior art and each claim
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`of the patent?
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`3. What is the level of ordinary skill in the art at the time the invention
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`of the patent was made?
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`4. Does the prior art enable a person of ordinary skill in the art to make
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`and use the claimed invention?
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`18.
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`I further understand that a claimed invention composed of several
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`elements is not obvious merely because each of the elements may have been
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`independently known in the prior art. That is because I understand that it is
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`impermissible to use the claimed invention, or disclosure of the subject patent, as
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`an instruction manual or template to piece together the teachings of the prior art so
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`that the claimed invention is rendered obvious. In other words, I understand that
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`one cannot use hindsight reconstruction to pick and choose among isolated
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`disclosures in the prior art to invalidate the claimed invention. As such, I
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`understand that even if the collective prior art discloses all the claim limitations, it
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`is important to consider whether there is any evidence, other than hindsight,
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`indicating why a person of ordinary skill in the art would combine the references in
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`such a way as to arrive at the claimed invention.
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`19.
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`I understand that even if there would have been in the abstract an
`
`apparent reason for combining prior art references, there must also have been a
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`reasonable expectation of success. I understand that features from prior art
`
`references need not be physically combinable (i.e., a combination may be obvious
`
`if one of ordinary skill in the art would know how to make any necessary
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`modifications to combine features from prior art references), but that there must be
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`a reasonable expectation of success.
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`20.
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`I understand that a combination is more likely to be nonobvious when
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`the prior art “teaches away” from the proposed combination. I understand that a
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`prior art reference may be said to teach away when (1) a person of ordinary skill in
`
`the art would be discouraged by the teachings of one prior art reference from
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`combining a feature or teaching from another prior art reference; (2) a person of
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`ordinary skill in the art is led in a direction divergent from the claimed invention
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`that is alleged to be obvious; or (3) the proposed combination would render the
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`result inoperable.
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`21.
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`I further understand that in relation to analyzing a patent for
`
`obviousness, one must consider certain objective evidence, such as commercial
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`success, copying, long-felt but unresolved needs, failure of others to solve the
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`problem, unexpected results, and whether the invention was made independently
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`by others at the same time of the invention. I understand that such evidence can
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`outweigh other evidence that might otherwise tend to prove obviousness.
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`B.
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`Person Having Ordinary Skill In The Art
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`22.
`
`I understand that an analysis of the claims of a patent in view of prior
`
`art has to be provided from the perspective of a person having ordinary skill in the
`
`art at the time of invention of the ’431 patent.
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`23.
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`In rendering the opinions set forth in this declaration, I was asked to
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`consider the patent claims through the eyes of “a person having ordinary skill in
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`the art.” I was told by Patent Owner’s counsel to consider factors such as the
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`educational level and years of experience of those working in the pertinent art; the
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`types of problems encountered in the art; the teachings of the prior art; patents and
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`publications of other persons or companies; and the sophistication of the
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`technology. I understand that the person of ordinary skill in the art is not a specific
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`real individual, but rather a hypothetical individual having the qualities reflected
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`by the factors discussed above.
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`24.
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`I understand that Petitioner’s expert, Dr. Haas, has taken the position
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`that “one of ordinary skill in the art would include someone who has a B.S. degree
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`in Electrical Engineering, Computer Engineering, Computer Science, or equivalent
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`training, as well as three to five years of experience in the field of digital
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`communication systems, such as wireless cellular communications systems and
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`networks.” Exhibit 1012 at ¶4. I agree with this portion of his definition.
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`25. Based on my experience, I have an understanding of the capability of
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`a person having ordinary skill in the art. I have trained, supervised, directed, and
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`worked alongside many such persons over the course of my career.
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`26. Later in his Declaration, Dr. Haas goes on to state that one of ordinary
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`skill in the art “would be familiar with various well-known communication
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`methodologies, protocols, and techniques (“techniques”), such as OFDM” and that
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`such person “would know how to apply these different techniques to different
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`communication systems and networks. Each technique is associated with known
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`advantages and disadvantages, such as speed, power consumption, and cost, and a
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`person of ordinary skill in the art would know how to choose between the different
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`methodologies, protocols, and techniques to balance the various goals of the
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`communication systems and networks under consideration.” Id. at ¶33. I disagree
`
`with these additional statements. Dr. Haas appears to be limiting a person of
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`ordinary skill in the art of the ‘431 patent to a designer or inventor. My
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`understanding is that a person of ordinary skill in the art should be able to practice
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`the invention based on the disclosure, but need not necessarily be able to
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`independently design or invent the claimed invention.
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`V.
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`‘431 PATENT
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`27. The ‘431 patent is entitled “Methods and Apparatus for Multi-Carrier
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`Communications with Variable Channel Bandwidth.”
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`A. Background
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`28. The ‘431 patent recognizes that “[w]hile it is ideal for a broadband
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`wireless communication device to be able to roam from one part of the world to
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`another, wireless communication spectra are heavily regulated and controlled by
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`individual countries or regional authorities. It also seems inevitable that each
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`country or region will have its own different spectral band for broadband wireless
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`communications. Furthermore, even within a country or region, a wireless operator
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`may own and operate on a broadband spectrum that is different in frequency and
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`bandwidth from other operators. The existing and future bandwidth variety
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`presents a unique challenge in designing a broadband wireless communication
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`system and demands flexibility and adaptability.” Exhibit 1001 at 1:29–42.
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`29. The
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`‘431
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`patent
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`further
`
`recognizes
`
`that
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`“[m]ulti-carrier
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`communication systems are designed with a certain degree of flexibility. In a
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`multi-carrier communication system such as multi-carrier code division multiple
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`access (MC-CDMA) and orthogonal frequency division multiple access (OFDMA),
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`information is multiplexed on subcarriers that are mutually orthogonal in the
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`frequency domain. Design flexibility is a result of the ability to manipulate
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`parameters such as the number of subcarriers and the sampling frequency.” Exhibit
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`1001 at 1:43–50.
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`30.
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`“[T]he change in the time-domain structure brings about a series of
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`system problems. A varying sampling rate alters the symbol length, frame structure,
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`guard time, prefix, and other time-domain properties, which adversely affects the
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`system behavior and performance. For example, the MAC layer and even the
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`layers above have to keep track of all the time-domain parameters in order to
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`perform other network functions such as handoff, and thereby the complexity of
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`the system will exponentially increase. In addition, the change in symbol length
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`causes control and signaling problems and the change in the frame structure may
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`cause unacceptable in some applications such as voice over IP. A practical and
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`feasible solution for multi-carrier communication with variable channel bandwidth
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`is desirable.” Exhibit 1001 at 1:56–2:2.
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`B. Detailed Description
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`31. The ‘431 patent describes methods and apparatus for multi-carrier
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`communications with variable channel bandwidth, where the time frame structure
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`and the OFDM symbol structure are invariant and the frequency domain signal
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`structure is flexible. Exhibit 1001 at Abstract.
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`32. For example, in a variable bandwidth OFDMA system (VB-OFDMA)
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`in accordance with certain embodiments of the invention, “a variable bandwidth
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`system is provided, while the time-domain signal structure (such as the OFDM
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`symbol length and frame duration) is fixed regardless of the bandwidths. This is
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`achieved by keeping the ratio constant between the sampling frequency and the
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`length of FFT/IFFT. Equivalently, the spacing between adjacent subcarriers is
`
`fixed.” Exhibit 1001 at 4:16–25.
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`33.
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`“In some embodiments, the variable channel bandwidth is realized by
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`adjusting the number of usable subcarriers. In the frequency domain, the entire
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`channel is aggregated by subchannels. … However, the number of subchannels can
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`be adjusted to scale the channel in accordance with the given bandwidth. In such
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`realization, a specific number of subchannels, and hence the number of usable
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`subcarriers, constitute a channel of certain bandwidth.” Exhibit 1001 at 4:25–36.
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`34.
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`“For example, FIG. 6 illustrates the signal structure in the frequency
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`domain for a communication system with parameters specified in Table 1 below.
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`The numbers of usable subcarriers are determined based on the assumption that the
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`effective bandwidth Beff is 90% of the channel bandwidth Bch. The variable channel
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`bandwidth is realized by adjusting the number of usable subcarriers, whose spacing
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`set constant. The width of a core-band is less than the smallest channel bandwidth
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`in which the system is to operate.” Exhibit 1001 at 4:37–45.
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`“To facilitate the user terminals to operate in a variable bandwidth
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`35.
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`(VB) environment, specific signaling and control methods are required. Radio
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`control and operation signaling is realized through the use of a core-band (CB). A
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`core-band, substantially centered at the operating center frequency, is defined as a
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`frequency segment that is not greater than the smallest operating channel
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`bandwidth among all the possible spectral bands that the receiver is designed to
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`operate with. For example, for a system that is intended to work at 5-, 6-, 8-, and
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`10-MHz, the width of the CB can be 4MHz, as shown in Fig. 6. The rest of the
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`bandwidth is called sideband.” Exhibit 1001 at 4:64–5:7.
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`36.
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`“In one embodiment, relevant or essential radio control signals such
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`as preambles, ranging signals, bandwidth request, and/or bandwidth allocation are
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`transmitted within the CB. In addition to essential control channels, a set of data
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`channels and their related dedicated control channels are placed within the CB to
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`maintain basic radio operation. Such a basic operation, for example, constitutes the
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`Inter Partes Review of U.S Patent No. 7,787,431
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`primary state of operation. When entering into the network a mobile station starts
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`with the primary state and transits to the normal full-bandwidth operation to
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`include the sidebands for additional data and radio control channels.” Id. at 5:8–18.
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`37.
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`“In another embodiment, a preamble called an essential, or primary
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`preamble (EP), is designed to only occupy the CB, as depicted in Fig. 8. The EP
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`alone is sufficient for the basic radio operation. The EP can be either a direct
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`sequence in the time domain with its frequency response confined within the CB,
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`or an OFDM symbol corresponding to a particular pattern in the frequency domain
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`within the CB. In either case, an EP sequence may possess some or all of the
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`following properties:
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`1.
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`2.
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`3.
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`4.
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`Its autocorrelation exhibits a relatively large ratio between the
`correlation peak and sidelobe levels.
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`Its cross-correlation coefficient with another EP sequence is
`significantly small with respect to the power of the EP
`sequences.
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`Its peak-to-average ratio is relatively small.
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`The number of EP sequences that exhibit the above three
`properties is relatively large.”
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`Id. at 5:19–36.
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`VI. CLAIM CONSTRUCTION
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`38.
`
`I understand that in order to provide an analysis of the claims of a
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`patent in view of prior art, the claims have to be construed. I further understand
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`that the claims for the purposes of this inter partes review are construed using the
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`broadest reasonable construction. Claim terms generally are given their ordinary
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`and customary meaning, as would be understood by a person of ordinary skill in
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`the art at the time of the invention and in the context of the entire disclosure of the
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`patent.
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`Zeger Declaration
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`A.
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`Petitioner’s Disputed Claim Terms
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`1.
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`Bandwidth
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`39.
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`I understand that the Petition and the Haas Declaration propose to
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`construe the claim term “bandwidth” to mean “a frequency range that a
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`component, circuit, or system passes or uses.” Petition at 16–17; Exhibit 1012 at
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`¶28. I understand that the Board did not find it necessary, for purposes of the
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`Institution decision, to construe explicitly “bandwidth.” Decision at 7.
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`40.
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`In my opinion, a person of ordinary skill in the art would understand
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`the claim term “bandwidth” to mean “a width of a frequency band.”
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`41. This construction is consistent with the plain and ordinary meaning of
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`“bandwidth.” Exhibit 2003, Merriam-Webster’s Collegiate Dictionary, 10th ed. at
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`89 (2001) (defining “bandwidth” generally to mean “a range within a band of
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`wavelengths, frequencies, or energies”).
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`42. This construction is also consistent with the use of the term
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`“bandwidth”
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`throughout
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`the
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`‘431 patent. For example,
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`throughout
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`the
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`specification, “bandwidth” is described in terms of frequency, consistent with the
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`plain meaning of “bandwidth.” E.g., Exhibit 1001 at Tables 1, 2, and 3 describing
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`bandwidth using “MHz”.
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`16
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`Zeger Declaration
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`Inter Partes Review of U.S Patent No. 7,787,431
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`2.
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`Peak-to-Average Ratio
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`43.
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`I understand that the Petition and the Haas Declaration propose to
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`construe the claim term “peak-to-average ratio” to mean “peak-to-average power
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`ratio.” Petition at 18–19; Exhibit 1012 at ¶32. I agree with this construction, and I
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`understand that the Board also agrees with this construction.
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`3.
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`Core-Band
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`44.
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`I understand that the Petition and the Haas Declaration propose to
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`construe the claim term “core-band” to mean “a frequency segment that is not
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`greater than the smallest operating channel bandwidth among all the possible
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`spectral bands that a receiver is designed to operate with.” Petition at 17; Exhibit
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`1012 at ¶29.
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`45.
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`I further understand that the Board has preliminarily construed “core-
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`band” to mean “a frequency segment that is not greater than the smallest operating
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`channel bandwidth among all the possible spectral bands with which the receiver is
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`designed to operate.” Institution Decision at 8.
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`46. The ‘431 patent defines “core-band” as follows:
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`A core-band, substantially centered at the operating center frequency,
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`is defined as a frequency segment that is not greater than the smallest
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`operating channel bandwidth among all the possible spectral bands
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`that the receiver is designed to operate with.
`17
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`Zeger Declaration
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`Exhibit 1001 at 4:67–5:4.
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`Inter Partes Review of U.S Patent No. 7,787,431
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`47.
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`In view of the definition set forth in the specification, I agree with the
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`Board’s preliminary construction of “core-band.” I understand that the language
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`“substantially centered at the operating center frequency” is expressly recited in
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`many of the independent claims of the ‘431 patent.
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`4.
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`Primary Preamble
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`48.
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`In my opinion, a person of ordinary skill in the art would construe
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`“primary preamble” to mean “a signal transmitted by the base station near the
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`beginning of each frame and occupying only the core-band.”
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`49. This construction is consistent with the plain meaning of “preamble”
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`alone to denote a signal near the beginning of a transmission, such as a frame or
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`slot.
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`50. This construction is also consistent with the ‘431 patent, which states
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`that “a preamble, called an essential, or primary preamble (EP), is designed to only
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`occupy the CB, as depicted in FIG. 8.” Exhibit 1001 at 5:19–21.
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`B.
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`Patent Owner’s Disputed Claim Terms
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`1.
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`“Radio Control And Operation Signaling”
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`51. Claim 1 of the ‘431 patent recites a core-band “utilized by the base
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`station as a broadcast channel carrying radio control and operation signaling.”
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`18
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`Zeger Declaration
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`Inter Partes Review of U.S Patent No. 7,787,431
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`52. A person of ordinary skill in the art would understand “radio control
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`and operation signaling” to mean “radio control signals and radio operation
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`signals.”
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`53. This is consistent with the disclosure of the ‘431 patent. For example,
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`in describing radio operation via the core-band, the ‘431 patent specification notes
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`that “specific signaling and control methods are required” to facilitate the user
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`terminals to operate in a variable bandwidth (VB) environment. Exhibit 1001 at
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`4:64-66. “Radio control and operation signaling is realized through the use of a
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`core-band.” Id. at 4:66–67. A person of ordinary skill in the art would understand
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`that radio control signaling is separate from radio operation signaling.
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`54. A person of ordinary skill in the art would understand that, in the
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`context of wireless communications, radio control signals include signals used to
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`set up
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`radio operations such as preambles with address
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`information,
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`synchronization information, ranging signals, and bandwidth request and allocation
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`information. This is consistent with the disclosure of the ‘431 patent, which
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`describes an embodiment where “relevant or essential radio control signals such as
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`preambles, ranging signals, bandwidth request, and/or bandwidth allocation are
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`transmitted within the CB.” Id. at 5:8–10.
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`55. Once radio operations are set up, radio control signals may no longer
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`be essential. Rather, operation signals, such as on data channels, are transmitted to
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`19
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`Zeger Declaration
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`permit the actual communication of data between the base station and the terminal
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`Inter Partes Review of U.S Patent No. 7,787,431
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`station. In addition, dedicated control channels for data channels may provide
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`information specific to particular cell phone towers such as to allow calls already
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`in process to continue as the user moves around and to control power levels.
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`56. This understanding is consistent with the ‘431 patent, which states
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`that, “[i]n addition to the essential control channels, a set of data channels and
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`their related dedicated control channels are placed within the CB to maintain basic
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`radio operations.” Exhibit 1001 at 5:10–13 (emphasis added.) A person of ordinary
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`skill in the art would understand that data channels and their related dedicated
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`control channels are examples of operation signaling.
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`2.
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` “Substantially Not Wider”
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`57. Claim 1 recites that the claimed core-band “is substantially not wider
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`than a smallest possible operating channel bandwidth of the system.”
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`58.
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`In the context of the ‘431 patent, a person of ordinary skill in the art
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`would understand “substantially not wider” to require a core-band that is
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`“significantly not wider,” e.g., “significantly narrower.” A core-band that is
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`substantially not wider than the smallest possible operating channel bandwidth is,
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`in particular, significantly narrower than the smallest possible operating channel
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`bandwidth.
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`20
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`Zeger Declaration
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`Inter Partes Review of U.S Patent No. 7,787,431
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`59. This is consistent with the ‘431 patent, which explains that “[t]he
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`width of a core-band is less than the smallest cha