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`Zhongshan Broad Ocean Motor Co., Ltd., Petitioner
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`Nidec Motor Corporation, Patent Owner
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`1
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`
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`Courts of Appeals for the Fifth, Ninth and Federal Circuits, the United States
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`District Courts for the Northern, Southern, Eastern and Western Districts of Texas,
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`United States Tax Court and United States Court of Federal Claims.
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`3.
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`I am a member of the State Bar of Texas, as well as the American,
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`Federal, Houston, Travis County and Fifth Federal Circuit Bar Associations,
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`American Intellectual Property Law Association, International Trademark
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`Association, International Trade Commission Trial Lawyers Association, Houston
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`Intellectual Property Law Association and Defense Counsel of America.
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`4.
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`I have been in private practice since November 1985, and litigating
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`patent cases since September 1993, been lead counsel on several patent cases over
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`my career, and litigated many of them through both trial and appeal.
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`5.
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`I have never been suspended, disbarred, sanctioned or cited for
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`contempt by an court or administrative body.
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`6.
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`I have never had a court or administrative body deny my application
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`for admission to practice.
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`7.
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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, as set forth in Part 42 of the
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`CFR.
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`NY 787113v.l
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`2
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`2
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`8.
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`I agree to be subject to the United States Patent and Trademark Office
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`Rules of Professional Conduct set forth in 37 CFR §§ 1 1.101 et seq. and
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`disciplinaryjurisdiction under 37 CFR § 1 l .19(a).
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`9.
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`In the past three (3) years, I have not appeared pro hac vice in any
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`proceedings before the United States Patent and Trademark Office.
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`10.
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`I am familiar with the subject matter at issue in the proceeding.
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`1 am
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`lead counsel in the following proceeding, which is a related matter and involves
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`the same patent issue in this proceeding: Nidec Motor Corporation v. Broad
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`Ocean Motor LLC et al., Civil Action No. 4:13-CV—01895—JCH (E. D. Mo.) (filed
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`September 25, 2013).
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`1 1.
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`As part of my role in the above related proceeding 1 have extensively
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`reviewed and analyzed the patent at issue as well as the presently cited art.
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`12.
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`I hereby declare that all statements made herein of my own
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`knowledge are true and that all statements made on information and belief are
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`believed to be true; and further that these statements are made with the knowledge
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`that willful false statements and the like so made are punishable by fine or
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`imprisonment, or both, under Section 1001 of Title 18 of the United States Code
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`and that such willful false statements may jeopardize the validity of US. Patent
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`No. 7,626,349.
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`NY 787ll3v.l
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`3
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`3
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`Dated: March {2'72015
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`Respectful
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`upzhitted,
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`Charles S. Baker (pro hac vice)
`Locke Lord LLP
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`2800 JP Morgan Chase Tower
`600 Travis
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`Houston, TX 77002—3095
`Telephone: (713) 226—1200
`Fax: (713) 223-3717
`cbaker@lockelord.com
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`NY 787113v.1
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`4
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`CERTIFICATE OF SERVICE
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`Pursuant to 37 C.F.R. §42.6(e) and 37 C.F.R. §42.105(b), the undersigned
`hereby certifies that on March 16, 2015, a complete and entire copy of the
`foregoing Declaration of Charles S. Baker in Support of Motion for Admission
`Pro Hac Vice was electronically served in its entirety on the Patent Owner of
`record
`(as
`agreed
`upon
`by
`counsel)
`at
`sbrown@hoveywilliams.com,
`mwalters@hoveywilliams.com, and litigation@hoveywilliams.com.
`
`Additionally, the undersigned certifies that on March 16, 2015, a complete
`and entire copy of the foregoing Declaration of Charles S. Baker in Support of
`Motion for Admission Pro Hac Vice was electronically served on the Patent
`Owner’s below-listed counsel of record at
`jschwent@thompsoncobu1n. com,
`11)1r1k111s@tho111pso11coburn com,
`and
`syoo@thompsoncoburn.com,
`in
`the
`co—pending litigation Nia’ec Motor Corporation v Broad Ocean Motor LLC et al.,
`Civil Action No. 4: 13-CV- 01 895—JCH (E D. Mo ), as agreed upon by the parties.
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`Dated: March 16, 2015
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`
`/ Steven F. Meyer/
`Steven F. Meyer (Reg. No. 35,613)
`LOCKE LORD LLP
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`Three World Financial Center
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`New York, New York 10281-2101
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`(212) 415—8535
`smeyer@lockelord.com
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`Attorneys for Petitioner Zhongshan
`Broad Ocean Motor Co, Ltd. ;
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`Broad Ocean Motor LLC,‘ and
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`Broad Ocean Technologies, LLC
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`NY 7871 l3v.1
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