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`BEFORE THE PATENT TRIAL AND APPEAL BOARD
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`MYLAN PHARMACEUTICALS INC.
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`Petitioner
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`v.
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`YEDA RESEARCH AND DEVELOPMENT CO. LTD.
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`Patent Owner
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`Case No. IPR2015-00643
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`Patent No. 8,232,250
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`DECLARATION OF JOHN T. BENNETT IN SUPPORT OF PATENT
`OWNER’S MOTION FOR PRO HAC VICE ADMISSION OF JOHN T.
`BENNETT UNDER 37 C.F.R. § 42.10(c)
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`YEDA EXHIBIT NO. 2136
`MYLAN PHARM. v YEDA
`IPR2015-00643
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`Case No. IPR2015-00643
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`I, John T. Bennett, declare as follows:
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`1.
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`I obtained a B.A. from Dartmouth College in 1996, and a J.D. from
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`Boston College Law School in 2000.
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`2.
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`I am currently a partner in the law firm of Goodwin Procter LLP, a
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`position which I have held since 2008. Prior to that, I was an associate at the law
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`firm of Palmer & Dodge. In my 15 years of practice, I have focused primarily on
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`representing clients in patent litigations involving the chemical arts in United
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`States district courts and the Court of Appeals for the Federal Circuit. Through
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`this work, I have gained extensive experience as a litigating attorney, particularly
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`in patent cases.
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`3.
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`I am a member in good standing of the Bar of the State of
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`Massachusetts and am admitted to practice before the United States District Court
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`for the District of Massachusetts, the United States Court of Appeals for the Fifth
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`Circuit, the United States Court of Appeals for the Tenth Circuit, and the United
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`States Court of Appeals for the Federal Circuit.
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`4.
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`Concurrently with this application, I am applying to appear pro hac
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`vice in IPR2015-00644 and IPR2015-00830. I have not applied to appear pro hac
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`vice in any other proceeding before the Office in the last three years.
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`5.
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`I have represented Teva generally in litigating a number of
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`pharmaceutical patent cases, including as:
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`D1
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`YEDA EXHIBIT NO. 2136
`MYLAN PHARM. v YEDA
`IPR2015-00643
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`Case No. IPR2015-00643
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`a. trial counsel in Teva Neuroscience, Inc., et al. v. Apotex Corp., et al., Case
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`No. 2:11-cv-03076-CCC-JBC in the U.S. District Court for the District of New
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`Jersey.
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`b. trial and appellate counsel in Novartis Pharmaceuticals Corp., et al. v. Teva
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`Pharmaceuticals USA, Inc., Case No. 05-cv-1887-DMC in the U.S. District
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`Court for the District of New Jersey.
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`c. trial and appellate counsel in Aventis Pharma S.A., et al. v. Amphastar
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`Pharmaceuticals, Inc. and Teva Pharmaceuticals USA, Inc., Case No. 5:03-cv-
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`00887-MRP-PLA, in the U.S. District Court for the Central District of
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`California.
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`6.
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`I have been litigating issues relating to Copaxone and/or GA for more
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`than 6 years.
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`7.
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`I have represented Teva generally in litigating a number of cases
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`related to GA/Copolymer 1, as well as the Copaxone 20mg product, including as:
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`a. trial and appellate counsel in Teva Pharmaceuticals USA, Inc. et al v. Mylan
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`Pharmaceuticals Inc. et al., Case No. 1:09-cv-08824-WHP in the U.S. District
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`Court for the Southern District of New York.
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`b. trial and appellate counsel in Teva Pharmaceuticals USA, Inc. et al v. Mylan
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`Pharmaceuticals Inc. et al., Case No. 1:10-cv-07246-KBF in the U.S. District
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`Court for the Southern District of New York.
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`D2
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`YEDA EXHIBIT NO. 2136
`MYLAN PHARM. v YEDA
`IPR2015-00643
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`Case No. IPR2015-00643
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`8.
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`I have substantial familiarity with the subject matter at issue in this
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`proceeding. Patent Owner has asserted U.S. Patent No. 8,232,250 (“the ’250
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`patent”), the patent at issue in this proceeding, against Petitioner and several other
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`defendants in Teva Pharmaceuticals USA, Inc. et al. v. Mylan Pharmaceuticals
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`Inc. et al., Civil Action No. 1:14-cv-01278-GMS in the U.S. District Court for the
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`District of Delaware (consolidated as In re Copaxone 40 MG Consolidated Cases,
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`Case No. 1:14-cv-01171-GMS (D. Del.)). I serve as litigation counsel for Teva
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`Pharmaceuticals USA, Inc., Teva Pharmaceutical Industries Ltd., Teva
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`Neuroscience, Inc. and Yeda Research and Development Co., Ltd., in that
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`litigation, as well as in Teva Pharmaceuticals USA, Inc. et al. v. Mylan
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`Pharmaceuticals Inc. et al., Civil Action No. 1:14-cv-00167-IMK in the U.S.
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`District Court for the Northern District of West Virginia. In the course of these
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`proceedings, I have developed a strong familiarity with the ’250 patent, its
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`prosecution history, the general subject matter to which the ’250 patent is directed,
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`and the prior art references relied upon by Petitioner in support of its invalidity
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`grounds in this proceeding. Furthermore, I have thoroughly reviewed the Petition
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`and accompanying Exhibits submitted in this proceeding.
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`9.
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`I have never been suspended or disbarred from practice before any
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`court or administrative body.
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`D3
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`YEDA EXHIBIT NO. 2136
`MYLAN PHARM. v YEDA
`IPR2015-00643
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`Case No. IPR2015-00643
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`10.
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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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`11.
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`I have never been subject to any sanction or contempt citation
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`imposed by any court or administrative body.
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`12.
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`I have read and will comply with the Office Patent Trial Practice
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`Guide and the Board’s Rules of Practice for Trials set forth in part 42 of 37 C.F.R.
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`13.
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`I agree to be subject to the USPTO Rules of Professional Conduct set
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`forth in 37 C.F.R. §§ 11.101 et. seq. and disciplinary jurisdiction under 37 C.F.R. §
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`11.19(a).
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`14.
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`I declare under penalty of perjury that the foregoing is true and
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`correct. I further declare that all statements made herein of my own knowledge are
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`true and that all statements made on information and belief are believed to be true;
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`and further that these statements were made with the knowledge that willful false
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`statements and the like so made are punishable by fine or imprisonment, or both,
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`under section 1001 of title 18 of the United States Code, and that such willful false
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`statements may jeopardize the validity of the application or any patent issued
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`thereon.
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`Executed on: December 10, 2015
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`/John T. Bennett/
`John T. Bennett
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`D4
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`YEDA EXHIBIT NO. 2136
`MYLAN PHARM. v YEDA
`IPR2015-00643