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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
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`________________
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`APPLE INC., MOTOROLA MOBILITY LLC, and
`TOSHIBA AMERICA INFORMATION SYSTEMS, INC.,
`Petitioners
`
`v.
`
`GLOBAL TOUCH SOLUTIONS, LLC
`Patent Owner
`________________
`
`Case IPR2015-01173
`Patent 7,329,970 B2
`________________
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`
`
`PATENT OWNER’S UNOPPOSED MOTION TO WITHDRAW
`REQUEST FOR REHEARING
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`Pursuant to the Board’s authorization via email of July 21, 2016, Patent
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`Owner Global Touch Solutions, LLC, respectfully submits this Patent Owner’s
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`Unopposed Motion to Withdraw Request for Rehearing (Paper 35) in accordance
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`with 37 C.F.R. §42.22.
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`I. STATEMENT OF MATERIAL FACTS (37 C.F.R. §42.22(a)(2))
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`On June 30, 2016, the Board held a conference call with Patent Owner and
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`Petitioners regarding Petitioners’ seeking permission to correct Petitioners’ Expert
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`Declaration (Exhibit 1003). During the call, Judge Shaw ruled that Petitioners
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`would be allowed to file corrected expert declarations, adding only the
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`inadvertently omitted penalty of perjury acknowledgement. Exhibit 1038 at 18:19-
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`19:2.
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`On July 3, 2016, Petitioner filed a corrected Declaration of Paul Beard
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`(Exhibit 1003).
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`On July 13, 2016, Patent Owner filed with the Board a Patent Owner’s
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`Request for Rehearing (Paper 35).
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`On July 21, 2016, Patent Owner requested, via email, authorization to file
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`this Motion, and the Board granted Patent Owner’s request to file this Motion.
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`2
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`II. STATEMENT OF RELIEF REQUESTED (37 C.F.R. §42.22(a)(1))
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`Patent Owner hereby requests that the Request for Rehearing (Paper 35)
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`filed in this matter on July 13, 2016, be withdrawn from consideration by the
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`Board.
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`The relief requested is warranted at least because Patent Owner no longer
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`wishes to burden the Board with rehearing this issue. No harm to Petitioners will
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`come from the Board’s granting of this unopposed Motion. And, Petitioners
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`indicated that they do not oppose filing of this Motion.
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`Respectfully submitted,
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`/nathan cristler/
`Steven B. Kelber
`Reg. No: 30,073
`The Kelber Law Group
`1875 Eye Street, N.W., Fifth Floor
`Washington, D.C. 20006
`E-Mail: steve@kelberlawgroup.com
`Tel: (240) 506-6702
`
`Nathan Cristler
`Reg. No: 61,736
`Cristler IP, PLLC
`1801 21st Road North
`Arlington, Virginia 22209
`E-Mail: ncristler@cristlerip.com
`Tel: (512) 576-5166
`
`Counsel for Patent Owner
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`3
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`Date: July 22, 2016
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`CERTIFICATE OF SERVICE
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`
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`Pursuant to 37 C.F.R. § 42.6, I hereby certify that on this 22nd Day of July,
`2016, the foregoing PATENT OWNER’S MOTION TO WITHDRAW REQUEST
`FOR REHEARING, was served by e-mail on counsel for Petitioner:
`
`
`Robert Steinberg
`Bob.steinberg@lw.com
`
`Matthew Moore
`Matthew.moore@lw.com
`
`Gabriel Gross
`Gabe.gross@lw.com
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`Doris Hines
`Dori.hines@finnegan.com
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`Luke McCammon
`Luke.mccammon@finnegan.com
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`DeAnna Allen
`dallen@cooley.com
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`Phillip Morton
`pmorton@cooley.com
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`Respectfully submitted,
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`/nathan cristler/
`Nathan Cristler
`Reg. No: 61,736
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`
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`4

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