throbber
UNITED STATES PATENT AND TRADEMARK OFFICE
`
`____________
`
`BEFORE THE PATENT TRIAL AND APPEAL BOARD
`
`____________
`
`WESTERNGECO L.L.C.,
`
`Petitioner,
`
`v.
`
`PGS GEOPHYSICAL AS,
`
`Patent Owner.
`
`____________
`
`Case IPR2015-00309
`
`U.S. Patent No. 6,906,981
`
`____________
`
`
`PETITIONER’S REPLY BRIEF
`
`Pursuant to 37 CFR §§ 42.23 and 42.24(c)(1), WesternGeco L.L.C. (“WG”
`
`
`
`or “Petitioner”) hereby submits the following Reply in support of its Petition for
`
`Inter Partes Review (“IPR”).
`
`
`
`
`
`
`
`
`
`

`
`
`
`
`I.
`
`II.
`
`Case IPR2015-00309
`
`TABLE OF CONTENTS
`
`INTRODUCTION ........................................................................................... 1
`
`DE KOK ANTICIPATES CLAIMS 1, 2, 7, AND 10-21 ............................... 2
`
`A. De Kok Discloses “Enabl[ing] Separate Identification of Seismic
`Events” .................................................................................................. 2
`
`B.
`
`C.
`
`De Kok Teaches “Index[ing]” “the Times of Firing the First and
`Second Source” ..................................................................................... 4
`
`De Kok Discloses That the Second Energy Source is Towed “At a
`Selected Distance From the First Seismic Energy Source” .................. 5
`
`D. De Kok Teaches “Determining Trace to Trace Coherent Components”
` ............................................................................................................... 6
`
`E.
`
`F.
`
`De Kok Teaches “Time Aligning” the Recorded Signals ..................... 7
`
`De Kok Teaches the Use of CMP Gathers to Determine Shot to Shot
`Coherence .............................................................................................. 8
`
`III. BEASLEY AND EDINGTON RENDER OBVIOUS CLAIMS 1-6 AND
`16-22 ................................................................................................................ 9
`
`A. Dr. Lynn Admits Beasley and Edington Disclose All Elements of
`Claim 1 ................................................................................................ 10
`
`B.
`
`POSA Would Have Been Motivated to Combine Beasley and
`Edington .............................................................................................. 10
`
`1.
`
`2.
`
`3.
`
`Beasley Can be Used With Time Delay Encoding ................... 14
`
`Beasley and Edington’s Encoding and Decoding Methods Are
`Compatible ................................................................................ 16
`
`Beasley and Edington Are Not Incompatible ........................... 18
`
`C.
`
`D.
`
`Beasley and Edington Render Obvious Quasi-Random and Random
`Time Delays ........................................................................................ 20
`
`Beasley and Edington Render Obvious Time Delays That Vary in
`Steps of About 100 Milliseconds ........................................................ 21
`
`
`
`
`
`ii
`
`

`
`
`
`Case IPR2015-00309
`
`E.
`
`Beasley and Edington Render Obvious the Use of CMP Gathers to
`Determine Shot to Shot Coherence ..................................................... 22
`
`IV. PGS FAILS TO ESTABLISH A NEXUS SUPPORTING ITS ALLEGED
`SECONDARY CONSIDERATIONS OF NONOBVIOUSNESS ............... 23
`
`
`
`
`
`
`
`
`
`
`
`
`
`iii
`
`

`
`
`I.
`
`INTRODUCTION
`By Patent Owner PGS Geophysical AS’s (“PGS’s”) own admission, U.S.
`
`Case IPR2015-00309
`
`Patent No. 6,906,981 (“the ’981 patent” or “Vaage”), filed in 2002, does nothing
`
`more than use “conventional marine seismic survey” equipment to exploit a natural
`
`phenomenon that was recognized in marine seismic surveys by 1987 and used in
`
`land seismic surveys by at least 1989. Although PGS masquerades this as
`
`invention, it is not.
`
`PGS alleges the “invention” of the ’981 patent was that if multiple marine
`
`sources overlapped—but had a variable time delay between them, i.e., were
`
`“asynchronous”—then their traces could be separated using conventional common-
`
`midpoint (“CMP”) gathers. But, this was well known to those skilled in the art.
`
`For example, De Kok teaches using CMP gathers to separate variably time-delayed
`
`sources for marine seismic surveys. De Kok is therefore anticipatory.
`
`Time delayed sources were also known in land seismic surveys, e.g.,
`
`Edington, and a POSA had a strong motivation for combining that land-based
`
`technique into a marine-based system that used CMP gathers, e.g., Beasley. That
`
`variable time delays could work to separate sources in marine systems was not in
`
`doubt: PGS’s own expert, Dr. Walt Lynn, acknowledges that this principle was
`
`well known in a paper he authored over a decade before the ’981 patent’s earliest
`
`priority date. (Ex. 1021.) Beasley itself also taught time delays between its
`
`
`
`
`
`1
`
`

`
`
`sources, and that those sources could be asynchronous. The ’981 patent’s trivial
`
`Case IPR2015-00309
`
`“improvement” of pulling these known pieces together to yield predictable results
`
`is obvious.
`
`The challenged claims of the ’981 patent are both anticipated by De Kok
`
`(claims 1, 2, 7, and 10-21) and rendered obvious by Beasley in view of Edington
`
`(claims 1-6 and 16-22).
`
`II.
`
`DE KOK ANTICIPATES CLAIMS 1, 2, 7, AND 10-21
`PGS’s Response sets forth six reasons that De Kok does not anticipate
`
`claims 1, 2, 7, and 10–21—all of which are easily dismissed. PGS’s arguments are
`
`either based upon an unduly narrow reading of the challenged claims, a trivial
`
`distinction that is nonetheless taught by De Kok, or both.
`
`A. De Kok Discloses “Enabl[ing] Separate Identification of Seismic
`Events”
`Claim 1 recites “separate identification of seismic events originating from
`
`the first source and . . . from the second source.” (Ex. 1001 at 11:19-22.) De Kok
`
`expressly teaches separating “recorded seismic energy” “into source recordings
`
`responsive to individual seismic sources,” thereby discriminating between the first
`
`and second source. (Ex. 1003 at 2:47-50.) De Kok accomplishes this separation
`
`by manipulating the timing—and hence phases—of the two sources so that the first
`
`source reinforces and the second source cancels out, or vice versa. PGS’s expert,
`
`Dr. Lynn, admitted that this separation is shown, for example, in De Kok’s figure
`
`
`
`
`
`2
`
`

`
`
`5. (Ex. 1022 at 131:25-132:6 (“Q. So Figure 5B shows that De Kok enhances
`
`Case IPR2015-00309
`
`source one and suppresses source two? A. Correct. Q. And Figure 5C shows that
`
`De Kok enhances source two and suppresses source one? A. Correct.”); see also
`
`id. at 136:17-137:2.) The recited “separate identification” is taught in De Kok.
`
`PGS attempts to distinguish De Kok as summing signals from a given
`
`source, rather than extracting individual shots from each source firing. (POR at
`
`23.) However, this improperly reads the word “individual” into claim 1. Claim 1
`
`does not require the separate identification of “individual” seismic events (i.e.,
`
`each source firing), only a discrimination between the first and second sources.
`
`(Ex. 1001 at 11:19-22.)
`
`Moreover, the ’981 patent teaches, as PGS acknowledges, using multiple
`
`firings of each source, i.e., CMP trace gathers, to separate signals corresponding to
`
`each source, just like De Kok. (POR at 22; Ex. 1001 at 8:43-56.) The ’981 patent
`
`explains that these grouped recordings, and not individual shots, are used to
`
`separate the two sources’ signals. (Ex. 1001 at 8:51-56 (“CMP gathers with
`
`respect to source A will have a high coherence for events which correspond to the
`
`firing of source A” and “will have a very low coherence for source B originating
`
`signals.”).) PGS’s unduly narrow claim construction reads the ’981 patent’s
`
`teaching out of its own claims.
`
`De Kok takes “recorded seismic energy” and separates it “into source
`
`
`
`
`
`3
`
`

`
`
`recordings responsive to individual seismic sources,” which is all claim 1 requires.
`
`Case IPR2015-00309
`
`(Ex. 1003 at 2:47-50.) In fact, De Kok teaches the same CMP approach as the
`
`’981 patent as part of this separation. (Ex. 1003 at 4:50-55 (“The separation of
`
`individual source contributions . . . is achieved during processing, preferably in the
`
`common mid-point (CMP) domain…”), 6:41-48 (“[T]he CMP gather may be the
`
`preferred domain to execute the source discrimination.”).) Not only does De Kok
`
`teach this limitation of claim 1, it teaches the same preferred embodiment as the
`
`’981 patent.
`
`B. De Kok Teaches “Index[ing]” “the Times of Firing the First and
`Second Source”
`Both Dr. Ikelle and Dr. Lynn explained that the seismic data for each trace,
`
`including firing times, is recorded in a trace header. (Ex. 2002 at 182:15-19; Ex.
`
`1022 at 82:7-13.) Each trace header “[has] associated with it the firing time, the
`
`location, and . . . other parameters” of the survey. (Ex. 1022 at 82:14-22.)
`
`Typically, these trace headers are recorded and saved in the SEG Y format. (Ex.
`
`2002 at 182:15-19; Ex. 1022 at 82:7-13; see also Ex. 1003 at 4:17-20 (noting that
`
`“SEG standard format information” includes “time of day identifiers”).)
`
`PGS argues that there is no explicit discussion of the industry standard in De
`
`Kok, and therefore no “indexing” of the source firings. This argument borders on
`
`specious. De Kok inherently “indexes” or records the firing times of the first and
`
`second sources; otherwise, De Kok would not be able to process the collected
`
`
`
`
`
`4
`
`

`
`
`seismic data. (Ex. 2002 at 182:15-19; Ex. 1022 at 135:17-.137:2.) De Kok does
`
`Case IPR2015-00309
`
`not specify how it records firing times, but it need not, as recording the firing times
`
`was necessarily embodied in industry standards long before De Kok was
`
`published. (Ex. 2002 at 182:15-19; Ex. 1024.)
`
`Moreover, the separation technique taught in De Kok requires that the firing
`
`times be indexed. De Kok teaches using time delays that are “determined or
`
`chosen for the acquisition program” (Ex. 1003 at 6:23-30), which means that the
`
`time delays must be known and predetermined and saved in the programming.
`
`(Ex. 2002 at 159:18-21.) While PGS argues that “select[ing]” or “know[ing]” the
`
`time delay does not mean that De Kok’s time delays are “indexed” (POR at 24-25),
`
`“indexed” simply means that “you have to save . . . your time delay,” i.e., that the
`
`times are recorded. (Ex. 2002, 182:13-15.) And, as Dr. Lynn explained, De Kok
`
`“has to control [the] timings in the field” in order for the summations and source
`
`separations to work. (Ex. 1022 at 135:17-137:2.) Thus, De Kok teaches
`
`“index[ing]” “the times of firing the first and second source” as claimed.
`
`C. De Kok Discloses That the Second Energy Source is Towed “At a
`Selected Distance From the First Seismic Energy Source”
`De Kok teaches two sources that are separated by a selected distance. (Ex.
`
`1003 at Fig. 4 (showing, e.g., sources 203 and 205), id. at 5:36-40 (discussing “the
`
`configuration of [] the two sources,” that some sources are “relatively close to each
`
`other” and that others are spaced “preceding streamers” and “at the back of
`
`
`
`
`
`5
`
`

`
`
`streamers”).) PGS argues that this is not a “selected” distance as claimed because
`
`Case IPR2015-00309
`
`no specific dimensions are recited. (POR at 29-30.) But the ’981 patent does not
`
`claim selecting a specific distance between the sources, and no specific dimensions
`
`are taught anywhere within the ’981 patent. Dr. Lynn admitted that “there is no
`
`limitation in Vaage about selecting specific locations for [seismic sources]” and
`
`that the seismic sources could be within any range of each other as long as that
`
`range is “reasonable” and produces “useful information.” (Ex. 1022 at 112:4-16.)
`
`Thus, there is no distinction between De Kok and the ’981 patent in this regard.
`
`D. De Kok Teaches “Determining Trace to Trace Coherent
`Components”
`The ’981 patent explains that determining trace to trace coherence
`
`“separat[es] the components of the signals which are caused by [one source] from
`
`the random noise.” (Ex. 1001 at 8:13-18.) As Dr. Lynn explained, random noise
`
`is removed with CMPs. (Ex. 1022 at 57:7-12 (“Q. You suppress the random noise
`
`by doing a CMP stack? A. Correct. Q. And that’s one of the main purposes of
`
`doing a CMP stack? A. Yes.”); id. at 76:16-19 (“Q. So with the CMP gather
`
`example, could you visually identify the trace-to-trace coherency? A. Yeah.”) De
`
`Kok’s separation is achieved during processing “preferably in the common mid-
`
`point (CMP) domain,” which results in “coherent data,” thus anticipating the
`
`challenged claims. (Ex. 1003 at 4:47-55; Ex. 2002 at 281:20-23.)
`
`More generally, removing random noise such as that from another source or
`
`
`
`
`
`6
`
`

`
`
`a ship propeller is an inherent part of seismic surveying, has been done since the
`
`Case IPR2015-00309
`
`1960s, and is necessarily done in De Kok. (Ex. 2002 at 202:22-25.) Particularly
`
`where the goal is to “separat[e] individual source contributions into source
`
`records” (as in De Kok), random noise must be removed during processing. (Ex.
`
`1003 at 4:47-55.) Dr. Lynn likewise acknowledged that “[a]ny summation of
`
`traces,” such as that done in De Kok, “is going to suppress the level of random
`
`noise.” (Ex. 1022 at 133:8-11.) Thus, both experts agree that De Kok’s CMP
`
`gathers necessarily remove random noise, i.e., “determin[e] trace to trace . . .
`
`coherent components” as recited in claims 12-15 and 17-20.
`
`E. De Kok Teaches “Time Aligning” the Recorded Signals
`De Kok’s encoding method uses a variety of positive and negative time
`
`delays between the activation of the seismic sources and then uses “polarity
`
`decoding to enhance and separate energy” from one seismic source shot series
`
`from a second or third seismic source shot series.1 (Ex. 1003 at 6:41-65.) This
`
`process is the time aligning step of the challenged claims.
`
`De Kok further discloses separating sources “in the common mid-point
`
`domain” which, as known to POSA, necessarily includes normal move-out
`
`
`1 As De Kok’s polarities are a direct function of the programmed time delays, De
`
`Kok’s polarity decoding includes time aligning. (Ex. 2002 at 18:3-7; 187:19-
`
`189:5.)
`
`
`
`
`
`7
`
`

`
`
`correction (“NMO”) to time align seismic signals prior to summing them. (Ex.
`
`Case IPR2015-00309
`
`1022 at 46:9-14.) During his deposition, Dr. Lynn explained that “any time you
`
`would do a CMP stack,” a NMO correction would be done prior to generating the
`
`CMP stack. (Ex. 1022 at 44:21-24; 45:5-8; 68:24-69:3 (“Q. And that gets back to
`
`any time you would do a CMP stack, you would do an NMO time shift first? A.
`
`Correct.”).) Thus, by disclosing separating sources in the CMP domain, De Kok
`
`necessarily discloses “time aligning” the recorded signals as recited in claims 14,
`
`15, 19, and 20, either directly or through inherency.
`
`F. De Kok Teaches the Use of CMP Gathers to Determine Shot to
`Shot Coherence
`“Shot to shot coherence” refers to differentiating signals from two sources.
`
`(Ex. 1001 at 8:18-25 (discussing “generat[ing] coherent traces from shot to shot” to
`
`“represent seismic signals resulting only from source A” and that “noise from
`
`source B . . . will be substantially absent”).) Dr. Lynn confirmed that shot to shot
`
`coherence involves emphasizing signals from one source while suppressing those
`
`from the second source. (Ex. 1022 at 70:18-71:6.)
`
`De Kok expressly discloses this “separation of individual source
`
`contributions.” (Ex. 1003 at 4:50-55.) Moreover, Dr. Lynn confirmed that this
`
`separation is taught in De Kok. (Ex. 1022 at 136:22-137:2 (“Q. In theory. But
`
`that’s what De Kok is at least teaching, is that if you do this method, you will be
`
`able to isolate source one or isolate source two? A. Yes.”); id. at 131:25-132:6
`
`
`
`
`
`8
`
`

`
`
`(“Q. So Figure 5B shows that De Kok enhances source one and suppresses source
`
`Case IPR2015-00309
`
`two? A. Correct. Q. And Figure 5C shows that De Kok enhances source two and
`
`suppresses source one? A. Correct.”)
`
`And, despite PGS’s protestation, De Kok uses the same CMP gathers as
`
`Vaage in determining this coherency. (Compare Ex. 1022 at 75:2-4 (“Q. The
`
`CMP gather in Vaage is what lets you determine the shot-to-shot coherency? A.
`
`That’s how he approaches it, yes.”) with Ex. 1003 at 4:50-55 (teaching that the
`
`“separation of individual source contributions” is preferably done “in the common
`
`mid-point (CMP) domain”) (emphasis added) Nothing else is required to
`
`anticipate the challenged claims.
`
`III. BEASLEY AND EDINGTON RENDER OBVIOUS CLAIMS 1-6 AND
`16-22
`Beasley and Edington form a tight combination. Beasley discloses using
`
`multiple marine sources with a programmable delay between them and using CMP
`
`gathers as part of separating the two sources. Edington discloses using variable
`
`time delays to separate two land sources. These patents form a tight combination
`
`because POSA looks to land-based seismic survey techniques for marine-based
`
`applications and has done so over the history of this industry. (See e.g., Ex. 1002
`
`at ¶ 29; Ex. 1009 at 161; Ex. 1010 at 477-78.) For PGS to argue otherwise,
`
`effectively puts blinders on POSA. Even Dr. Lynn conceded that “these
`
`techniques for suppressing an asynchronous second source” apply to both land and
`
`
`
`
`
`9
`
`

`
`
`marine and that the “natural phenomenon [] that if you have an asynchronous
`
`Case IPR2015-00309
`
`second source, it will be suppressed in a CMP stack” would “apply both for land
`
`and marine.” (Ex. 1022 at 94:5-14, 95:16-23.)
`
`A. Dr. Lynn Admits Beasley and Edington Disclose All Elements of
`Claim 1
`This case is about motivation to combine only. Dr. Lynn admitted during
`
`
`
`his deposition that Beasley by itself discloses all but one element of claim 1—“a
`
`time interval between firing the first source and the second source varied between
`
`successive ones of the firing sequences.” (Ex. 1022 at 162:6-167:25 (walking
`
`through elements of claim 1).)2 Dr. Lynn admitted, however, that Edington teaches
`
`this “missing” element. (Ex. 1022 at 143:20-25 (“Q. The time delay between the
`
`two sources varies from shot to shot. A. Okay, I’m with you. Q. That’s something
`
`that Edington teaches? A. Right.”) Thus, this case is merely about motivation, for
`
`which there is plenty, and this Board need look no further to cancel the challenged
`
`claims.
`
`B.
`
`POSA Would Have Been Motivated to Combine Beasley and
`Edington
`PGS argues that POSA would not have been motivated to take the variable
`
`time-delay of Edington and attempt to use it with Beasley because the prior related
`
`
`2 As discussed below, Beasley also teaches the “missing” asynchronicity in its
`
`priority application that is incorporated by reference. (Ex. 1023 at p. 25, cl. 2.)
`
`
`
`
`
`10
`
`

`
`
`to land surveys and the latter to marine. (POR at 38.) In doing so, PGS ignores the
`
`Case IPR2015-00309
`
`many well-recognized similarities between land and marine seismic acquisition
`
`techniques—including the use of impulsive sources, source encoding, NMO, and
`
`CMP gathers—and also ignores that many in the industry borrowed land
`
`technology for use in marine surveys and vice versa. (See e.g., Ex. 1002 at ¶¶ 29,
`
`30, 34; Ex. 1009 at 161; Ex. 1010 at 477-78; Ex. 1021 at 1502 (“Although our data
`
`examples are from the marine environment, the conclusions are also applicable to
`
`problems of interference in land surveys.”); Ex. 1022 at 93:9-12; 94:23-95:7)
`
`Notably, the marine patents at issue here, De Kok, Beasley, and even the ’981
`
`patent, all cite to Edington (and other land references) as relevant prior art.
`
`Multiple inventors in the relevant time frame considered Edington a close enough
`
`technology to disclose it under the applicable duty of candor.3 Not only would
`
`POSA involved in marine simultaneous surveys look to land references in the
`
`abstract, the record shows three inventors who actually did.
`
`Moreover, the marine prior art’s understanding of Edington is generalized to
`
`any delay-separation and not limited to land contexts. (See, e.g., Ex. 1003 at 2:6-
`
`
`3 Even the marine Herkenhoff patent, on which PGS and Dr. Lynn rely, cites
`
`Edington generally as “a method of time delay source coding.” (Ex. 2015 at 1:47-
`
`50.)
`
`
`
`
`
`11
`
`

`
`
`12). Edington’s teaching is described in the prior art in almost identical language
`
`Case IPR2015-00309
`
`as Dr. Lynn’s description of the ’981 patent:
`
`“A method disclosed by U.S. Pat.
`No. 4,953,657 to Edington
`discloses a suite of time delay
`differences between sources. To
`enhance the signal from a
`particular source, the
`corresponding signals are aligned
`and stacked. The contributions
`from the other source(s) are not
`aligned and do not stack to full
`strength.” (Ex. 1003 at 5:-101
`
`“Q. And in general, the Vaage patent uses a
`series of time delays between the sources in
`firing sequences? A. In general, that’s a
`correct statement…Q. To enhance the signal
`from a particular source, the Vaage patent
`teaches that the corresponding signals are
`aligned and stacked like you show in that
`figure on the left? A. Correct. Q. And if
`you do that, the Vaage patent teaches that the
`contributions from the other source are not
`aligned so they will not stack to full strength?
`A. Correct.” (Ex. 1022 at 67:5-67:20)
`
`The time delays in Edington are used for the same purpose as in the claimed
`
`’981 invention, and POSA would have expected success importing Edington’s time
`
`delays into the marine environment because it was known from a 1987 paper by
`
`Dr. Lynn that the phenomenon of time-delay separation applied as equally in the
`
`marine context as in the land context. (Ex. 1021; Ex. 1022 at 23:14-22, 60:6-10
`
`(“Q. So when the two sources were asynchronous with each other, you would be
`
`able to make the second source incoherent in the CMP gather? A. Correct.”); id.
`
`at 62 (“Q. And what you discovered in 1987 was the phenomenon that using
`
`regular equipment and using regular CMP techniques, you could suppress the
`
`
`
`
`
`12
`
`

`
`
`second source if it was asynchronous to the first? A. That’s correct.”).) And
`
`Case IPR2015-00309
`
`Beasley itself taught POSA that its system could be used with such asynchronous
`
`sources—the priority 08/829,485 application that was explicitly incorporated by
`
`reference into Beasley (Ex. 1004 at 1:5-14) discloses two timed intervals for two
`
`sources and “time-shifting the second [source] to occur asynchronously relatively
`
`to the . . . first.” (Ex. 1023 at p. 25, cl. 2.)4
`
`The record is clear that POSA would have had a reasonable expectation of
`
`success in using Edington’s asynchronous timings with Beasley’s time-delay
`
`sources (and asynchronous timings) to exploit the same phenomenon taught by
`
`Edington for land seismic, and observed by Dr. Lynn in 1987 for marine seismic,
`
`to achieve the shared goal of Edington and Beasley of separating the two seismic
`
`sources using CMPs.
`
`4 In his deposition, Dr. Lynn confirmed that he based his opinion on the inability to
`
`use Beasley with asynchronous sources. (Ex. 1022 at 172:9-17.) Not only is this
`
`predicate wrong in light of Beasley’s explicit disclosure of asynchronous sources
`
`discussed above, but Dr, Lynn also opined that it inherently anticipates the ’981
`
`invention. (Id. at 114:22-116:4 (“So if the sources are dithered or
`
`asynchronous . . . in a CMP domain, the energy—reflected energy coming back
`
`from source A will be coherent and the energy being reflected back from source B
`
`will be incoherent.”).)
`
`
`
`
`
`13
`
`

`
`
`
`Case IPR2015-00309
`
`1.
`Beasley Can be Used With Time Delay Encoding
`Beasley’s figure 7 discloses “decoders” 31 and 33 for separating the record
`
`signal into two sources. (Ex. 1004, Fig. 7.) Beasley’s text also teaches that “any
`
`desired type of coding” may be employed. (Ex. 1004 at 7:54-56.) The Edington
`
`patent, titled “Time Delay Source Coding,” would seem to fit this bill. (Ex. 1006.)
`
`More broadly, Beasley teaches it can be used with sources “that can be
`
`discriminated from each other due to some identifying characteristic, parameter,
`
`signature, or feature.” (Id. at 10:4-10.) Edington’s time-delay encoding fits
`
`squarely within this framework and Edington’s “determinable time delay” (Ex.
`
`1006 at 2:4-8) provides the very identifier sought by Beasley. POSA would
`
`therefore understand that Beasley could be used with time delay encoding, as
`
`taught by Edington. (Ex. 1002 at ¶ 241; Ex. 1004 at 7:55-56.)
`
`PGS objected to the combination of Beasley and Edington by focusing on a
`
`singular phrase–“any desired type of coding”–and arguing that it refers to source
`
`signature encoding only. (POR at 44-47.) Although Dr. Lynn stated that this
`
`sentence in Beasley excludes time delay encoding, he nevertheless admitted that
`
`“time delay encoding” as disclosed in the ’981 patent is “a type of source signature
`
`encoding for the marine environment” and that Edington’s time delay source
`
`coding is “a type of source signature encoding.” (Ex. 1022 at 18:7-14; 185:2-3;
`
`
`
`
`
`14
`
`

`
`
`148:18-23.) Even if this phrase is construed as PGS suggests, which is incorrect,
`
`Case IPR2015-00309
`
`the rest of Beasley’s teachings cannot be ignored.
`
`Importantly, POSA would have looked to Edington’s time delay encoding as
`
`a type of source signature encoding to use with Beasley because Beasley teaches
`
`time-delayed source firing. Although PGS argues that Beasley teaches only
`
`encoding with concurrent source firing (i.e., with no time delay,) that is
`
`demonstrably false. (POR at 42-44.) Figure 7 of Beasley shows coding/decoding
`
`with a time delay between the two sources. (Ex. 1004 at Fig. 7, 7:64-8:27
`
`(“[S]ource SL is first activated at time T0 . . . source ST is activated at time t0 after
`
`a time shift through delay line 29 . . . If the recorded reflected acoustic wavefields
`
`were encoded, of course optional decoders 31 and 33 . . . would be inserted….”);
`
`see also Ex. 1022 at 102:13-103:10 (discussing figures 7 and 8) ; id. at 180:13-21;
`
`id. at 191:24-192:4 (“Q. In the timing diagram shown in Figure 8, it looks like the
`
`two sources are going to overlap in the recordings. Is that fair? A. It looks like
`
`it.”).) More generally, Beasley teaches coded sources that are fired
`
`“simultaneously or nearly simultaneous,” just like the sources in Edington or in
`
`the ’981 patent itself. (Ex. 1004 at 8:46-47.) And perhaps most importantly,
`
`Beasley’s incorporated-by-reference priority document expressly teaches
`
`asynchronous time-delayed source firing. (Ex. 1023 at p. 25, cl. 2.)
`
`
`
`
`
`15
`
`

`
`
`
`Case IPR2015-00309
`
`PGS’s reliance on Beasley’s single use of the word “concurrently” does not
`
`change anything. As an initial matter, PGS’s reference to “exactly concurrently” is
`
`found nowhere within Beasley—it is from a 2007 reference that is irrelevant to this
`
`proceeding. Additionally, PGS overlooks the fact that “concurrently” has a
`
`specific meaning in the marine surveying context, instead basing its argument on
`
`the colloquial meaning of “concurrently.” “Concurrently,” however, like
`
`“simultaneous,” has a specific meaning in seismic surveying, and encompasses
`
`timing that is “near concurrently” or “near simultaneous.” (Ex. 2002 at 218:8 –
`
`219:2; 220:23-221:4.) Thus, POSA would have understood that Edington’s time
`
`delay encoding could be used to activate Beasley’s multiple sources
`
`“concurrently,” and that coding could be used with time-delayed sources as well.
`
`See, e.g., Phillips v. AWH Corp., 415 F.3d 1303, 1313 (Fed. Cir. 2005) (“[T]he
`
`ordinary and customary meaning of a claim term is the meaning that the term
`
`would have to a person of ordinary skill in the art.”) (emphasis added).
`
`2.
`
`Beasley and Edington’s Encoding and Decoding Methods
`Are Compatible
`PGS argues that WesternGeco somehow failed to consider whether
`
`Edington’s encoding and decoding methods would be compatible with Beasley.
`
`This is simply untrue. Rather, Dr. Ikelle opined that “the use of time delays is
`
`independent of the environment of the survey” and POSA would be motivated to
`
`combine Beasley and Edington because they “both address multishooting,
`
`
`
`
`
`16
`
`

`
`
`encoding, and decoding.” (Ex. 1002 at ¶¶ 241-43.)
`
`Case IPR2015-00309
`
`Both Edington and Beasley time-align traces for their decoding. (Ex. 1006
`
`at 5:60-64 (“The signals shown in FIG. 4 are then time shifted as shown in FIG. 5
`
`so that the signals 38 are aligned…”); Ex. 1004 at 4:16-40 (“To separate the
`
`sources’ data, the record is updated with one source’s geometry information (e.g.,
`
`x, y location coordinates and time of day identifier) . . . optionally sorted to order
`
`by known common mid-point (CMP) sorting methods . . . then re-done with the
`
`attachment of the other source’s geometry.”); Ex. 1022 at 68:24-69:3; 56:7-17;
`
`144:2-18.) PGS’s argument that Edington and Beasley are an encoding/decoding
`
`mismatch is a red herring and conspicuously avoids the real question—whether it
`
`would be within the skill level of POSA to use Edington’s random time variations
`
`with Beasley’s seismic surveying system to achieve the result predicted by the
`
`1987 Lynn paper. This answer is yes. (Ex. 1002 at ¶¶ 239-44.)
`
`PGS’s arguments ignore the fact that Beasley itself discloses the use of time
`
`delays (Ex. 1004 at 8:4-11; Figs. 7 (element 29), 8 (timing diagram))—and the
`
`incorporated priority application explicitly discloses that those delays are
`
`asynchronous. (Ex. 1023 at p. 25, cl. 2.) Dr. Lynn also acknowledged that CMP
`
`stacking can be used with asynchronous sources to render one source coherent and
`
`the other incoherent. (Ex. 1022 at 114:22-116:4.) CMP stacking allows for the
`
`separation of two asynchronous sources after they have been time aligned using
`
`
`
`
`
`17
`
`

`
`
`NMO (Ex. 1022 at 60:6-10; Ex. 1021 at 1506-07), and both Dr. Ikelle and Dr.
`
`Case IPR2015-00309
`
`Lynn agree that CMP gathers can be used in either the marine or land context.
`
`(Ex. 1022 at 94:23-95:4; Ex. 1002 at ¶ 30.)
`
`And in any event, Edington and Beasley both decode by summing traces that
`
`correspond to the same seismic event. As Dr. Lynn explained, Edington can do
`
`this in the land context by repeating the same source-receiver locations. (Ex. 1022
`
`at 145:12-20 (“Q. And because the source and the receiver are in the same
`
`location, you can assume that the traces are reflecting the same seismic event? A.
`
`Correct.”)) But because “[i]n the marine context you generally don’t repeat the
`
`same source and receiver locations” (id. at 145:21-24), instead “you can use a
`
`CMP stack to enhance the signal” (id. at 146:23-147:2; see also id. at 56:7-17
`
`(explaining that “CMP traces . . . essentially relate to the same seismic event”).)
`
`This CMP stacking is taught in Beasley, and one of skill in the art would have
`
`expected it to separate Edington’s asynchronous sources in light of the known
`
`phenomenon discussed in, e.g., Dr. Lynn’s 1987 paper.
`
`3.
`Beasley and Edington Are Not Incompatible
`PGS’s argument that Beasley and Edington are incompatible is based on
`
`PGS’s creation of an unsolvable smearing problem that simply does not exist in
`
`practice. Specifically, PGS argues that using Edington’s decoding technique with
`
`Beasley’s encoding technique would result in the loss of spatial resolution, which
`
`
`
`
`
`18
`
`

`
`
`PGS alleges Beasley seeks to avoid. (POR at 48.) As an initial matter, and as
`
`Case IPR2015-00309
`
`discussed above, there is no reason that POSA would have to utilize Edington’s
`
`specific decoding method in the proposed combination with Beasley because
`
`POSA would understand that Edington’s decoding method is analogous to CMP
`
`stacking, which was commonly used in marine seismic surveys and explicitly
`
`disclosed in Beasley. (Ex. 1022 at 146:9-147:2.) As discussed above, POSA
`
`would have known that Beasley’s CMP teaching would separate Edington’s
`
`asynchronous sources as evidenced by, e.g., Dr. Lynn’s 1987 paper showing such a
`
`result. (Ex. 1022 at 62:19-24 (“And what you discovered in 1987 was the
`
`phenomenon that using regular equipment and using regular CMP techniques, you
`
`could suppress the second source if it was asynchronous to the first? A. That’s
`
`correct.”).)
`
`PGS alleges that spatial smearing occurs when shot records or traces are
`
`considered as a single s

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


Or .

Accessing this document will incur an additional charge of $.

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

Accept $ Charge
throbber

Still Working On It

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

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

throbber

A few More Minutes ... Still Working

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

Thank you for your continued patience.

This document could not be displayed.

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

Your account does not support viewing this document.

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

Your account does not support viewing this document.

Set your membership status to view this document.

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

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

Become a Member

One Moment Please

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

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

Your document is on its way!

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

Sealed Document

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

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


Access Government Site

We are redirecting you
to a mobile optimized page.





Document Unreadable or Corrupt

Refresh this Document
Go to the Docket

We are unable to display this document.

Refresh this Document
Go to the Docket