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`Washington, DC
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`March 16, 2016
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`Page 1
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` UNITED STATES PATENT AND TRADEMARK OFFICE
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` ____________________________________
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` BEFORE THE PATENT TRIAL AND APPEAL BOARD
`
` ____________________________________
`
` LUPIN, LTC. and LUPIN PHARMACEUTICALS, INC.,
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` Petitioners
`
` v.
`
`SENJU PHARMACEUTICAL CO. LTD., BAUSCH & LOMB, INC.,
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` and BAUSCH & LOMB PHARMA HOLDINGS CORP.
`
` Patent Owner
`
` ____________________________________
`
` IPR2015-01087 (US Patent No. 8,751,131)
`
` IPR2015-01099 (US Patent No. 8,669,290)
`
` IPR2015-01100 (US Patent No. 8,927,606)
`
` IPR2015-01105 (US Patent No. 8,871,813)
`
` DEPOSITION OF:
`
` JOHN C. JAROSZ
`
` Wednesday, March 16, 2016
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`1-800-FOR-DEPO
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`www.aldersonreporting.com
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`Alderson Court Reporting
`
`Page 1
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`
`
`John C. Jarosz
`
`March 16, 2016
`
`Washington, DC
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`Page 2
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`Page 4
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` C O N T E N T S
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`EXAMINATION BY: PAGE
` Counsel for Petitioners 7, 203
` Counsel for Patent Owner 172
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` JOHN C. JAROSZ, called for cross-examination by
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`counsel for Petitioners, pursuant to notice, at the
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`office of Finnegan, Henderson, Farabow, Garrett &
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`Dunner, LLP, 901 New York Avenue, N.W., Washington,
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`D.C., before SUSAN L. CIMINELLI, CRR, RPR, a Notary
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`Public in and for the District of Columbia,
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`beginning at 9:08 a.m., when were present on behalf
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`of the respective parties:
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`Page 3
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` A P P E A R A N C E S
`On behalf of Petitioners:
` CHIEMI D. SUZUKI, ESQUIRE
` Crowell & Moring, LLP
` 590 Madison Avenue, 20th Floor
` New York, New York 10022-2524
` (212) 803-4050
` csuzuki@crowell.com
` -and-
` DEBORAH H. YELLIN, ESQUIRE
` Crowell & Moring, LLP
` 1001 Pennsylvania Avenue, N.W.
` Washington, D.C. 20004-2595
` (202) 624-2947
` dyellin@crowell.com
`On behalf of Patent Owner:
` JUSTIN J. HASFORD, ESQUIRE
` Finnegan Henderson Farabow Garrett &
` Dunner, LLP
` 901 New York Avenue, N.W.
` Washington, D.C. 20001-4413
` (202) 408-4000
` justin.hasford@finnegan.com
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`Page 5
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` INDEX TO EXHIBITS
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`EXHIBIT DESCRIPTION PAGE
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`Senju 2130 John C. Jarosz declarations in IPRs
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` 2015-01097, 01099, 01100, 01105 39
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`Senju 2052 Alkharashi, et al. article 152
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`Senju 2157 Management Science (01097) 137
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`Senju 2142 September 2000 Journal of Industrial
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` Economics (01099) 144
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`Senju 2143 Ching, et al. article (01097) 146
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`Senju 2119 Rajpal, et al. (01097) 148
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`Senju 2221 Selecting an NSAID, Jackson
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` PROL028722-748 (01100) 156
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`Senju 2160 Ophthalmology Times Donnenfield
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` (01100) 159
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`Senju 2232 Guha, et al. (01100) 118
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`Senju 2191 ASCRS EyeWorld (01097) 159
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`Senju 2228 Bromfenac Ophthalmic Solution 0.07%
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` Dosed Once Daily for Cataract
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` Surgery (01097) 163
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`Senju 2218 Bausch & Lomb Press Release
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` (01100) 167
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`Lupin 1076 Notice of Cross-Examination 172
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`1-800-FOR-DEPO
`
`Alderson Court Reporting
`
`2 (Pages 2 to 5)
`
`www.aldersonreporting.com
`
`Page 2
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`
`
`John C. Jarosz
`
`March 16, 2016
`
`Washington, DC
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`Page 6
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`EXHIBIT DESCRIPTION PAGE
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`Lupin 1077 Arise Health Plan 172
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`Lupin 1078 2015 Aetna Pharmacy Plan Drug List
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` Three Tier Open 172
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`Lupin 1079 Urban article 172
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`Lupin 1080 Galderma Laboratories v Tolmar 172
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`Lupin 1081 Rajpal ProPublica 172
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`Lupin 1082 Jackson ProPublica 172
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`Lupin 1083 172 Donnenfield ProPublica 172
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`Lupin 1084 Silverstein ProPublica 172
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`Lupin 1085 Trattler ProPublica 172
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`Senju 2323 Reply Expert Report of Jarosz on
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` Objective Indicia of
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` Non-obviousness - IPR2015-01097,
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` 01099, 01100 and 01105 178
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`the firm, and I help in management of the firm.
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` Q. Did these engagements of the firm include
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`litigation consulting?
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` A. Sometimes.
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` Q. What percentage of your work involves
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`litigation consulting?
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` A. Are you putting that question to me
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`personally or as a representative of Analysis Group?
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` Q. I'll put it to you personally.
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` A. It changes of course from time to time.
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`But over the last 20 years, something on the order
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`of 85 percent of my work has been in the context of
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`pending litigation, likely litigation, arbitration
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`or mediation.
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` Q. What is the other 15 percent?
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` A. It's outside the context of a dispute.
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` Q. Mr. Jarosz, I introduced myself to you
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`off the record, but my name is Chiemi Suzuki, and
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`I'm with the law firm of Crowell & Moring. We
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`represent the Lupin Petitioners against Senju in IPR
`
`2015-01097 regarding U.S. Patent Number 8,751,131;
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`IPR 2015-01099 regarding U.S. Patent Number
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`Page 7
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`Page 9
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`1
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`8,669,290; IPR 2015-01100 regarding U.S. Patent
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` P R O C E E D I N G S
`
`Whereupon,
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` JOHN C. JAROSZ,
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`was called as a witness by counsel for Petitioners,
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`and having been duly sworn, was examined and
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`testified as follows:
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` CROSS-EXAMINATION
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`BY MS. SUZUKI:
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` Q. Can you please state your name for the
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`record?
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` A. John C. Jarosz.
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` Q. And what is your address?
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` A. My work address is Analysis Group, 800
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`17th Street, Northwest, Washington, D.C., 20006. My
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`home address is 703 Ninovan, which is spelled
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`N-I-N-O-V-A-N, Road, Vienna, Virginia, 22180.
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` Q. What is your current place of employment?
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` A. Analysis Group.
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` Q. What is your title?
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` A. Managing principal.
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` Q. What do you do as a managing principal?
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` A. I help the firm conduct engagements of
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`Number 9 -- excuse me, 8,927,606; and IPR
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`2015-001105 regarding U.S. Patent Number 8,871,813.
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`If I refer to those IPR proceedings today as these
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`IPRs or this IPR, will you understand what I mean?
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` A. I think so, yes.
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` Q. I'm going to ask you a number of
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`questions today and you're to answer the questions
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`to the best of your ability. Do you understand
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`that?
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` A. Yes.
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` Q. Is there any reason that you cannot
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`testify truthfully today?
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` A. No.
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` Q. It's important that you understand each
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`question that I ask. If for any reason you do not
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`understand the question, please tell me and I will
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`rephrase the question into one you can understand.
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`Will you tell me if you do not understand the
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`question that I ask?
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` A. I'll tell you if I don't think I
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`understand your question, but in answering any
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`1-800-FOR-DEPO
`
`Alderson Court Reporting
`
`3 (Pages 6 to 9)
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`www.aldersonreporting.com
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`Page 3
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`
`
`John C. Jarosz
`
`March 16, 2016
`
`Washington, DC
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`Page 10
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`question of yours, I'm not necessarily acknowledging
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`that my understanding of your question is the same
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`as your understanding of your question. If I think
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`I understand it, I will answer it. If I think I
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`need clarification, I'll ask for that, but of
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`course, we are not one and the same person, and so
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`I'm not sure that your understanding of a question
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`will be equivalent to mine.
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` Q. It is also important that you finish your
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`answer before I begin my next question. If I
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`inadvertently cut you off before you've had a chance
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`to finish your answer, I apologize in advance, but I
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`do want you to have the chance to finish your
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`answer. Will you tell me if you have not finished
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`an answer at the time that I ask my next question?
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` A. I will attempt to.
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` Q. Now, please recognize there is a court
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`reporter here recording the deposition. Please keep
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`two things in mind. First, the reporter must be
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`able to hear you. Secondly, the reporter can only
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`record one person as a time so we should try to
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`avoid cross talking of more than one person as much
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`been in my capacity as an expert witness.
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` Q. Without getting into details, what was
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`the subject matter of the deposition where you were
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`a fact witness?
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` A. I had done, alongside people at my firm,
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`an evaluation of certain IP rights and wrote a
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`report or white paper associated with that, and was
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`asked fact questions about that report as I recall.
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` Q. Were the IP rights patent rights?
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` A. I'm not remembering exactly, but it's
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`possible.
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` Q. What year was that deposition?
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` A. It was probably 10 years ago. It might
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`have been a little bit more. It might have been a
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`little bit less.
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` Q. I'd like to ask you a few questions about
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`your preparation for this deposition. And I'm going
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`to attempt not to tread into privileged territory.
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`Yes or no. Did you do anything to prepare for
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`today's deposition?
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` A. Yes.
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` Q. Without revealing privileged information,
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`Page 13
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`Page 11
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`as possible. Do you understand that?
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` A. Yes.
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` Q. Also the reporter cannot take down nods
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`of the head, hand gestures or any other non-verbal
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`responses, so on behalf of the reporter and me,
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`please respond loudly and clearly at all times.
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`Will you do so?
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` A. I will respond to your questions
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`verbally. I may occasionally nod my head or make a
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`hand gesture, but I don't mean for any of those to
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`be picked up on the transcript.
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` Q. Have you had your deposition taken
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`before?
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` A. Yes.
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` Q. On how many occasions?
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` A. Over the years, I've probably been
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`deposed on something like 220 occasions. I'm
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`probably off, but reasonably close.
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` Q. How many of those depositions have been
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`in your capacity as an expert witness?
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` A. All of those. Oh, no, there was one that
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`I was a fact witness for, but all the others have
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`what did you do to prepare?
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` A. Everything I've done in this matter was
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`with the thought that I may eventually give
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`deposition testimony, so everything I've done on
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`this matter is in some sense in preparation for this
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`deposition.
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` Q. Did you meet with counsel?
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` A. Over the course of our engagement, yes.
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` Q. Did you meet with counsel specifically
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`regarding this deposition in the last several days
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`up to today's deposition?
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` A. Yes. Over the phone.
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` Q. How many phone conversations?
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` A. Over the last few days, have I had with
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`counsel? Is that the question?
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` Q. Yes.
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` A. I think one. Although I should mention
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`that there was one in-person meeting.
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` Q. When was the in-person meeting?
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` A. It started about 40 minutes ago.
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` Q. Do you recall when the phone conversation
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`was?
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`1-800-FOR-DEPO
`
`Alderson Court Reporting
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`4 (Pages 10 to 13)
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`www.aldersonreporting.com
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`Page 4
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`
`
`John C. Jarosz
`
`March 16, 2016
`
`Washington, DC
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`Page 14
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` A. Yes.
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` Q. When was that?
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` A. Yesterday.
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` Q. How long was your phone conversation?
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` A. About an hour.
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` Q. Who was present on your phone
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`conversation with counsel?
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` A. Mr. Hasford and Ms. Lebeis.
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` Q. Who is Ms. Lebeis?
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` A. Jessica Lebeis is a lawyer for Finnegan
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`who is working on this matter on behalf of the
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`patentors.
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` Q. And in addition to Mr. Hasford and
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`Ms. Lebeis, was anyone else present on that phone
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`conversation other than yourself?
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` A. No. Not that I know of.
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` Q. In the in-person meeting that was about
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`40 minutes ago or started about 40 minutes ago, who
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`was present at that meeting?
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` A. Mr. Hasford and myself.
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` Q. Anyone else in addition to you two?
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` A. No.
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` A. No. Not that I recall.
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` Q. Did you review deposition transcripts in
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`advance of today's deposition in preparation for
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`today's deposition?
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` A. Yes.
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` Q. Were those your own deposition
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`transcripts?
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` A. Yes.
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` Q. Did you review any deposition transcripts
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`of other people in preparation for today's
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`deposition?
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` A. We have looked at deposition transcripts
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`over the course of our engagement, but over the last
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`several days, the only transcripts that I've looked
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`at are my two transcripts.
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` Q. In answering the previous question, you
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`said we have looked at deposition transcripts. Who
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`is we?
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` A. People at Analysis Group and myself that
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`have worked on this matter.
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` Q. What people at Analysis Group?
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` A. The person who has been most intimately
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`Page 17
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`Page 15
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` Q. Did you review documents in preparation
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`for today's deposition?
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` A. Again, everything I've done on this
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`matter has been with the thought that I would be
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`deposed, so yes, I have reviewed many documents.
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` Q. During your telephone conference of, I
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`believe it was yesterday, did you review documents?
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` A. I don't know quite how to answer that
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`besides saying during the call, we did make
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`reference to my deposition transcript from a couple
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`of weeks ago.
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` Q. Do you recall what case that deposition
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`transcript was a part of?
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` A. I generally think of it as the PTAB
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`matter and I think it was this case or set of cases
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`in which InnoPharma took the lead in deposing me.
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` Q. In addition to the deposition transcript,
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`during that phone conversation, did you review to
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`any other documents?
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` A. No. Not that I recall.
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` Q. In your in-person meeting today with
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`counsel, did you review documents?
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`involved in working with me has been Mike Nolan.
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`Asula Belacova has been an important part of our
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`team.
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` Q. What is Mr. Nolan's position at Analysis
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`Group?
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` A. His title is manager.
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` Q. What is Ms. Belacova's position at
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`Analysis Group?
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` A. Senior analyst.
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` Q. You said that you have reviewed your two
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`deposition transcripts. Which two deposition
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`transcripts were you referring to?
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` A. The one that was taken in the federal
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`case and the one that was taken in the PTAB matter
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`where I was questioned by a lawyer from InnoPharma.
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` Q. The federal case you're talking about, is
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`that Senju v. Watson and others?
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` A. That sounds right to me.
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` Q. And that's a case that's pending in New
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`Jersey?
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` A. Yes, I believe that's correct.
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` Q. Other than counsel and your colleagues,
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`1-800-FOR-DEPO
`
`Alderson Court Reporting
`
`5 (Pages 14 to 17)
`
`www.aldersonreporting.com
`
`Page 5
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`
`
`John C. Jarosz
`
`March 16, 2016
`
`Washington, DC
`
`Page 18
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`Mr. Nolan and Ms. Belacova at Analysis Group, have
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`you discussed this IPR with anyone else?
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` A. Well, I've probably discussed it with
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`other colleagues at Analysis Group. And I think I
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`generally explained to my wife where I was going
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`today, but we didn't talk about the substance of the
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`matter.
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` Q. In addition to your other colleagues at
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`Analysis Group and possibly your wife, did you
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`discuss this IPR with anyone else?
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` A. Did you have on that list counsel and
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`colleagues at Analysis Group?
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` Q. Let me rephrase the question. In
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`addition to your colleagues at Analysis Group, your
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`colleagues Ms. Belacova and Mr. Nolan who you worked
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`with, counsel, and possibly your wife, did you
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`discuss this IPR with anyone else?
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` A. Not that I recall. And just so that we
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`are absolutely clear, Mr. Nolan and Ms. Belacova are
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`colleagues of mine at Analysis Group.
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` Q. I understand. In addition to Ms.
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`Belacova and Mr. Nolan, did you work with anyone
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`efforts necessarily lead to success.
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` Q. Did Ms. Belacova work under your
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`direction in your work on this IPR?
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` A. Generally, she did. Yes.
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` Q. When you say generally yes, what do you
`
`mean?
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` A. Well, I didn't have every conversation
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`that she had on this matter. In other words, she
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`was -- I'm responsible for all the people at
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`Analysis Group who worked on this, and I provided
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`all of them direction, but there certainly were
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`points in time in which there were just interactions
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`between Ms. Belacova and Mr. Nolan, for instance.
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`They had a conversation or part of analysis that I
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`was generally aware of, but wasn't involved in all
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`the details.
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` Q. Did Mr. Nolan work at your direction on
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`this matter?
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` A. Yes.
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` Q. Did Ms. Gumen work under your direction
`
`on this matter?
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` A. Generally, yes. Again, not all of her
`
`Page 21
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`Page 19
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`else from Analysis Group on this IPR?
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` A. Yes, I believe so.
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` Q. Who else from Analysis Group did you work
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`with on this IPR?
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` A. As I sit here tight now, I do not recall
`
`who has all been involved. But we have had other
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`analysts and senior analysts help with certain
`
`aspects of the various projects.
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` Q. When you refer to various projects, what
`
`do you mean?
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` A. The various IPRs and Federal District
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`Court case. Well, there is one non-analyst that
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`comes to mind and that is Anna Gumen at Analysis
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`Group helped us with a certain piece of it as well.
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` Q. What is Anna Gumen's title at Analysis
`
`Group?
`
` A. Associate.
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` Q. And what aspect did Ms. Gumen assist on
`
`in your work on these matters?
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` A. I recall that she helped us to do some
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`research on the issue of pharmaceutical marketing
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`and return to such efforts, and whether those
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`interactions on this matter involved me directly.
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`Just as is the case with Ms. Belacova.
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` Q. Do you know who Ms. Gumen would have
`
`worked with directly on this matter?
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` A. A little bit with me, but a little bit
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`more, as I recall, with Mr. Nolan.
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` Q. Did Mr. Nolan take direction from anyone
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`other than you on this matter?
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` A. No. I oversaw and directed his work. Of
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`course, he had interactions with counsel and looked
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`at materials himself, but I was directly responsible
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`for his work.
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` Q. Did Ms. Belacova also have interactions
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`with counsel on this matter?
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` A. I don't recall if she did. It is
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`possible that she had some, but those probably were
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`limited interactions at best.
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` Q. You mentioned Mr. Nolan had interactions
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`with counsel. Were those in person? If you know.
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` A. I think they were almost entirely, if not
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`entirely over the phone. I'm not sure if you're
`
`calling that in person or not.
`
`1-800-FOR-DEPO
`
`Alderson Court Reporting
`
`6 (Pages 18 to 21)
`
`www.aldersonreporting.com
`
`Page 6
`
`
`
`John C. Jarosz
`
`March 16, 2016
`
`Washington, DC
`
`Page 22
`
`Page 24
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` Q. Were you also involved in the phone
`
`conversations between Mr. Nolan and counsel?
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` A. Some.
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` Q. By some, do you mean half?
`
` A. I don't know the number.
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` Q. Less than half?
`
` A. Again, I don't know the number.
`
` Q. More than half?
`
` A. I don't know the percentage.
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` Q. And Ms. Gumen, did she have any
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`interactions with counsel?
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` A. I don't think so.
`
` Q. Other than your meeting today with
`
`counsel and your phone conference with counsel in
`
`the last several days -- let me rephrase that.
`
`Other than your meeting with counsel and your phone
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`conversation with counsel recently, did you do
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`anything else to prepare for today's deposition?
`
` A. Yes. Everything I've done on this matter
`
`was with the thought that I might be deposed.
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` Q. Mr. Jarosz, I handed you a document, a
`
`multipage document labelled on the front,
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` THE WITNESS: I've been involved in
`
`matters where Finnegan was counsel to the client and
`
`I was -- and our firm provided economic services to
`
`that same client in that same matter.
`
`BY MS. SUZUKI:
`
` Q. How many matters?
`
` A. How many matters have I worked alongside
`
`Finnegan? Is that the question? Over the years,
`
`it's been a couple or a few dozen. I don't know the
`
`exact number because I've, over the years, had
`
`something like 350 engagements. So it's a little
`
`bit hard to remember precisely how many I worked on
`
`with any particular set of lawyers, but I think a
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`couple or a few dozen with people at Finnegan.
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` Q. Was that 350 or 315?
`
` A. 50, though I could be off by a fair
`
`amount.
`
` Q. But who's counting. Have you worked with
`
`Mr. Hasford from Finnegan previously in your work as
`
`an expert on any case where Finnegan has been
`
`counsel?
`
` MR. HASFORD: You can answer yes or no.
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`Page 25
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`Petitioner's Notice of Cross-examination of John C.
`
`Page 23
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`Jarosz. Do you see that?
`
` A. Yes.
`
` Q. Do you recognize this document?
`
` A. I don't think I've seen it before, but --
`
`so I guess in that regard, I don't recognize it.
`
` MS. SUZUKI: Counsel, can we stipulate
`
`that Mr. Jarosz is here pursuant to this notice of
`
`cross-examination?
`
` MR. HASFORD: So stipulated.
`
` MS. SUZUKI: Counsel, can we stipulate
`
`that the questions I ask today, unless otherwise
`
`stated, apply equally to IPR 2015-01097, IPR
`
`2015-01099, IPR 2015-01100 and IPR 2015-01105.
`
` MR. HASFORD: So stipulated.
`
` MS. SUZUKI: You can put that document
`
`aside, Mr. Jarosz.
`
`BY MS. SUZUKI:
`
` Q. Mr. Jarosz, have you served as an expert
`
`for a matter for counsel from Finnegan previously?
`
` MR. HASFORD: You can answer that
`
`question yes or no.
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` THE WITNESS: Yes.
`
`BY MS. SUZUKI:
`
` Q. On how many occasions have you worked
`
`with Mr. Hasford in your expert role in cases where
`
`Finnegan has been counsel?
`
` A. I don't know the precise number, but my
`
`best guess is that it's something on the order of
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`half a dozen. I could be wrong.
`
` Q. Have you worked with Ms. Lebeis
`
`previously in your role as an expert for cases -- in
`
`cases where Finnegan was counsel?
`
` A. Not other than this set of cases having
`
`generally to do with Prolensa.
`
` Q. And your work with Mr. Hasford, was that
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`approximately a half dozen cases in addition to the
`
`actions and IPRs concerning Prolensa?
`
` A. Yes. Though I could be wrong.
`
` Q. Have you served as an expert in any
`
`matter for Senju previously?
`
` A. Not other than in this set of matters
`
`having to do with Prolensa, as I recall.
`
` Q. Have you served as an expert for any
`
`1-800-FOR-DEPO
`
`Alderson Court Reporting
`
`7 (Pages 22 to 25)
`
`www.aldersonreporting.com
`
`Page 7
`
`
`
`John C. Jarosz
`
`March 16, 2016
`
`Washington, DC
`
`Page 26
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`Page 28
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`matter with Bausch & Lomb previously?
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` A. It's possible that I did many years ago,
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`but I only have a vague memory of that.
`
` Q. Did that case concern 6 ophthalmic drug
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`formulations?
`
` A. Not the one that I'm remembering right
`
`now, but my memory is a little bit vague.
`
` Q. Do you recall --
`
` A. With regard to Bausch & Lomb.
`
` Q. I'm sorry. Did you have a chance to
`
`finish your answer?
`
` A. Yes.
`
` Q. Do you recall if your previous case for
`
`Bausch & Lomb concerned pharmaceutical products?
`
` A. I don't think it did, and that's what
`
`makes me hesitate a little bit. Because I think of
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`them as an eye care company. My memory tells me I
`
`worked on something with them a long time ago that
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`didn't have to do with eye care, and so it makes me
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`hesitate.
`
` Q. Have you served as an expert in any
`
`matter for Valiant?
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`your own personal work has been devoted to the
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`Prolensa related IPRs and District Court cases?
`
` A. I don't know the answer to that. I would
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`just be estimating, but my best estimate is that
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`it's less than 5 percent of my work. I can't be any
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`more precise than that.
`
` Q. How about Mr. Nolan's work? What
`
`percentage of his work in the last two years has
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`been directed to the Prolensa related IPRs and
`
`District Court case?
`
` A. I think it's probably higher than my
`
`percentage. I'm reasonably sure that it is, but I
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`can't be much more precise than that. I'm sorry.
`
` Q. And for Ms. Belacova, what percentage of
`
`her work in the last two years has been directed to
`
`the Prolensa related IPRs and District Court case?
`
` A. I think it's probably somewhere in
`
`between my percentage and Mr. Nolan's percentage,
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`but I'm sorry. I can't be any more precise than
`
`that.
`
` Q. Have you served as an expert in an IPR
`
`concerning pharmaceutical patents previously?
`
`Page 29
`
`Page 27
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` A. I don't think so. Although I've been
`
`involved in lots over the years. I'd have to go
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`back and check my records, but I don't think I have.
`
` Q. To date, do you know how much Analysis
`
`Group has invoiced Finnegan in relation to Analysis
`
`Group's work on this IPR?
`
` A. I don't think I know that.
`
` Q. Do you know to date how much Analysis
`
`Group has invoiced Finnegan for in relation to
`
`Analysis Group's work on the various IPRs and the
`
`District Court case regarding Prolensa?
`
` A. As a factual matter, I'm not sure our
`
`retention is with Finnegan. It might be. So I'm
`
`not quite sure that we've invoiced Finnegan but we
`
`have sent invoices to Finnegan that perhaps Senju or
`
`someone else is responsible for. I just don't
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`recall. Having said that, collectively, we've
`
`billed in the hundreds of thousands of dollars, but
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`I can't be any more specific than that. In other
`
`words, I'm reasonably sure it's over $100,000, but
`
`I'm not certain how much over.
`
` Q. In the last two years, what percentage of
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` A. Yes. Although I'm not quite sure what
`
`you mean by a pharmaceutical patent, but I'm
`
`assuming you're meaning a patent that can be used in
`
`a pharmaceutical product.
`
` Q. So you have served as an expert in an IPR
`
`concerning patents that can be used in a
`
`pharmaceutical product previously?
`
` A. Yes.
`
` Q. On how many occasions have you served as
`
`an expert in an IPR concerning a patent that can be
`
`used in a pharmaceutical product?
`
` A. Sitting here right now, I clearly
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`remember one, and there might be another one. I'd
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`have to go back and check my files. And I assume
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`you're saying other than the pending matters, other
`
`than the Prolensa matters.
`
` Q. Yes. So other than the Prolensa matters,
`
`you recall one and maybe one other IPR in which you
`
`have served as an expert on a pharmaceutical patent
`
`concerning IPR?
`
` MR. HASFORD: Object to the form.
`
` THE WITNESS: I think that's right, and
`
`1-800-FOR-DEPO
`
`Alderson Court Reporting
`
`8 (Pages 26 to 29)
`
`www.aldersonreporting.com
`
`Page 8
`
`
`
`John C. Jarosz
`
`March 16, 2016
`
`Washington, DC
`
`Page 30
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`Page 32
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`I'm also assuming when you're using the term serve
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`as an expert that I've gotten to the point of
`
`submitting a declaration or report. I've worked on
`
`other matters that are IPRs and in pharmaceutical
`
`settings, but I think only one and possibly two
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`others have gotten to the point of a filed report,
`
`besides the Prolensa matters.
`
`BY MS. SUZUKI:
`
` Q. And those previous IPRs that you've
`
`worked on in a pharmaceutical setting where it did
`
`not get to the point of submitting a declaration,
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`did the parties settle?
`
` A. No. The ones that I'm thinking of right
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`now are pending matters. It's possible some have
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`settled. I'm not remembering that right now, but
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`it's possible but I am involved in several
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`pharmaceutical IPR matters that are pending matters.
`
` Q. How many pending IPR matters in a
`
`pharmaceutical setting are you working on right now?
`
` A. Besides the Prolensa matters? I'd have
`
`to go back and check. It might be two or three.
`
` Q. In the two to three matters that you just
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`matters, the previous matter you discussed and the
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`current matters that you have, have you ever served
`
`as an expert on behalf of the Petitioner?
`
` A. I don't recall that being the case. I
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`have been approached by several Petitioners in IPR
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`matters, but I don't think we accepted the retention
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`in any of those matters.
`
` Q. And by we in your last answer, were you
`
`referring to Analysis Group?
`
` A. Yes.
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` Q. Does Analysis Group ever accept retention
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`by Petitioners in IPRs in the pharmaceutical
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`setting?
`
` A. It's possible. I'd have to go back and
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`look at our corporate records.
`
` Q. Have you ever served as an expert in a
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`District Court litigation related to pharmaceutical
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`patents previously?
`
` A. Yes.
`
` Q. On how many occasions have you served as
`
`an expert in a District Court litigation related to
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`pharmaceutical patents?
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`Page 33
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`Page 31
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`mentioned, that you are working on currently that
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`are IPRs in the pharmaceutical setting, do you know
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`what party you are working for?
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` A. I'd have to go back and check my files.
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`I just haven't committed those to memory.
`
` Q. And you mentioned that you recall at
`
`least one occasion where you previously served as an
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`IPR -- strike that.
`
` You mentioned that you recall that
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`previously you served as an expert in an IPR in a
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`pharmaceutical setting. Do you recall what party
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`you were working for on that matter?
`
` A. I recall that it was the patent owner,
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`but I -- as I sit here right now, I'm not
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`remembering the name of the party.
`
` Q. In the two to three IPRs in a
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`pharmaceutical setting that you are working on
`
`currently, are you working on behalf of the patent
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`owner?
`
` A. As I recall, yes.
`
` Q. In your work on IPRs in the
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`pharmaceutical setting as a whole, the Prolensa
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` A. Many times over the years. My best guess
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`is it's something on the order of 50. I might be
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`wrong on that.
`
` Q. Have you ever testified at trial in those
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`District Court litigations related to pharmaceutical
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`patents where you served as an expert?
`
` A. Yes.
`
` Q. On how many occasions have you testified
`
`a