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`BEFORE THE PATENT TRIAL AND APPEAL BOARD
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`
`
`NISSAN NORTH AMERICA, INC.,
`Petitioner
`
`v.
`
`JOAO CONTROL & MONITORING SYSTEMS, LLC
`Patent Owner
`
`
`
`
`Patent No. 6,549,130
`Filing Date: March 29, 1999
`Issue Date: April 15, 2003
`Title: CONTROL APPARATUS AND METHOD FOR VEHICLES AND/OR
`FOR PREMISES
`
`Inter Partes Review No. Unassigned
`
`
`
`
`PETITION FOR INTER PARTES REVIEW
`UNDER 35 U.S.C. §§ 311-319 AND 37 C.F.R. § 42.100 ET SEQ.
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`I.
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`II.
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`II.
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`III.
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`
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`TABLE OF CONTENTS
`Introduction ...................................................................................................... 1
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`Formalities ........................................................................................................ 1
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`A.
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`B.
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`C.
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`Real Party in Interest .............................................................................. 1
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`Related Matters ....................................................................................... 1
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`Fee.......................................................................................................... 1
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`D. Designation of Lead Counsel and Back-up Counsel ............................... 2
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`E.
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`F.
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`G.
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`Service Information ................................................................................ 2
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`Power of Attorney .................................................................................. 2
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`Standing .................................................................................................. 2
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`Statement of Relief Requested .......................................................................... 2
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`Summary of the Prior Art ................................................................................. 4
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`A.
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`B.
`
`C.
`
`D.
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`Background of Relevant Technology ...................................................... 4
`
`Summary of Frossard ............................................................................. 4
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`Summary of Pagliaroli ............................................................................. 5
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`Statement of Non-redundancy ................................................................ 5
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`IV. Motivations to Combine ................................................................................... 6
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`V.
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`Summary of the ’130 Patent .............................................................................. 6
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`VI. Factual Background .......................................................................................... 7
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`A. Declaration Evidence ............................................................................. 7
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`B.
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`Person of Ordinary Skill in the Art of the ’130 patent ............................ 7
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`VII. Claim Construction ........................................................................................... 8
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`i
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`A.
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`The term “interface device” means “a device that allows
`components connected via the interface device to work
`together.”................................................................................................ 8
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`VIII. Full Statement of the Reasons for the Relief Requested .................................... 9
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`A.
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`Claims 26, 29, 33, 42, 48, and 68 are anticipated by
`Frossard .................................................................................................. 9
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`1.
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`2.
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`3.
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`4.
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`5.
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`Claims 26 and 48 .......................................................................... 9
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`Claim 29 ..................................................................................... 16
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`Claim 33 ..................................................................................... 16
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`Claim 42 ..................................................................................... 17
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`Claim 68 ..................................................................................... 23
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`Claims 30 and 43 are rendered obvious by Frossard in view
`of Pagliaroli .......................................................................................... 24
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`Claim 60 is rendered obvious by Frossard in view of Simms ................ 27
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`Claims 26, 29, 30, 42, 43, and 48 are anticipated by
`Pagliaroli ............................................................................................... 32
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`1.
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`2.
`
`3.
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`4.
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`Claims 26 and 48 ........................................................................ 32
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`Claim 29 ..................................................................................... 41
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`Claim 42 ..................................................................................... 42
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`Claims 30 and 43 ........................................................................ 49
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`Claim 33 is rendered obvious by Pagliaroli in view of
`Frossard ................................................................................................ 51
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`Claim 60 is rendered obvious by Pagliaroli in view of
`Simms ................................................................................................... 53
`
`Claim 68 is rendered obvious by Pagliaroli in view of
`Frossard ................................................................................................ 56
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`B.
`
`C.
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`D.
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`E.
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`F.
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`G.
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`ii
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`IX. Conclusion ...................................................................................................... 58
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`TABLE OF AUTHORITIES
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`Cases
`Innolux Corp. v. Semiconductor Energy Lab. Co., Ltd., IPR2013-00064 (April 30, 2013) ..... 8
`
`KSR Int’l Co. v. Teleflex Inc., 550 U.S. 398 (2007) ................................................................. 6
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`Philips v. AWH Corp., 415 F.3d 1303, 75 U.S.P.Q.2d 1321 (Fed. Cir. 2005) ................... 8
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`TRW Automotive US LLC v. Magna Electronics Inc., Case IPR 2014-00261 (June 16,
`2014) ..................................................................................................................................... 3
`Statutes
`35 U.S.C. § 102(e) ............................................................................................................. 3, 32
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`35 U.S.C. § 311........................................................................................................................ 2
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`35 U.S.C. § 312(a)(1) .............................................................................................................. 2
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`35 U.S.C. §102(a) .................................................................................................................... 3
`Other Authorities
`MPEP § 2143(C) ............................................................................................................ passim
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`MPEP § 2258 I.G ................................................................................................................... 8
`Regulations
`37 C.F.R. § 42.10(b)................................................................................................................ 2
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`37 C.F.R. § 42.15 .................................................................................................................... 1
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`37 C.F.R. § 42.8(b)(1) ............................................................................................................. 1
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`iv
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`LIST OF EXHIBITS
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`Exhibit 1001
`Exhibit 1002
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`Exhibit 1003
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`U.S. 6,549,130 (“the ’130 patent”)
`First Amended Complaint in Joao Control & Monitoring Sys., LLC v.
`Nissan North Am., Inc., No. 1:14-cv-523 (D. Del. 2014) (ECF No.
`5), served on Real Parties in Interest on August 21, 2014.
`Declaration of Mr. David McNamara
`
`Exhibit 1004
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`EP 0505266 to Frossard et al. (“Frossard”)
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`Exhibit 1005
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`Certified English translation of Frossard
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`Exhibit 1006
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`U.S. 5,276,728 to Pagliaroli et al. (“Pagliaroli”)
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`Exhibit 1007
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`U.S. 5,334,974 to Simms et al. (“Simms”)
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`Exhibit 1008
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`Exhibit 1009
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`Exhibit 1010
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`Exhibit 1011
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`Exhibit 1012
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`Exhibit 1013
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`Exhibit 1014
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`Exhibit 1015
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`May 22, 2015 Final Office Action in Reexamination No.
`90/013,301.
`Select Office Action Responses from the 7,397,363 and 7,277,010
`patents
`Trevor O. Jones and Wallace K. Tsuha, “Fully Integrated Truck
`Information and Control Systems (TIACS),” Society of
`Automotive Engineers, 1983.
`Daniel Sellers and Thomas J. Benard, 1992 Proceedings of the
`International Congress on Transportation Electronics, “An
`Update on the OmniTRACS Two-Way Satellite Mobile
`Communications System and its Application to the Schneider
`National Truckload Fleet,” October 1992
`Alan Kay, “Computer Software,” Scientific American, 53-59, vol.
`251, no. 3, Sept. 1984.
`LeRoy G. Hagenbuch, Truck/Mobile Equipment Performance
`Monitoring Management Information Systems (MIS), SAE Technical
`Paper 861249 (1992)
`Dr. W.J. Gillan, PROMETHEUS and DRIVE: Their Implications for
`Traffic Managers, Transportation Road Research Lab UK 1989
`Curriculum Vitae of Mr. David McNamara
`
`Exhibit 1016
`
`List of Related Matters
`
`
`
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`v
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`I.
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`Introduction
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`
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`Through counsel, Petitioner petitions for institution of inter partes review of U.S.
`
`Patent No. 6,549,130 (“the ’130 patent”) (Ex. 1001). The ’130 patent issued on April
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`15, 2003, more than nine months before the filing of this petition. This petition is
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`being filed within one year of the real parties in interest identified below being served
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`with a complaint for infringement of the ’130 patent, which occurred on August 21,
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`2014. See Ex. 1002. Thus, the ’130 patent is eligible for inter partes review.
`
`II.
`
`Formalities
`
`A. Real Party in Interest
`Pursuant to 37 C.F.R. § 42.8(b)(1), the real parties in interest are Nissan North
`
`America, Inc. and Nissan Motor Co., Ltd.
`
`B. Related Matters
`The ’130 patent and U.S. Patent Nos. 5,917,405 (“the ’405 patent”), 6,542,076
`
`(“the ’076 patent”), and 7,397,363 (“the ’363 patent”) overlap in subject matter and
`
`claim language. These patents have been asserted in 32 litigations, some of which have
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`been terminated. Additionally, certain claims of these patents have been challenged in
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`ex parte reexaminations, which are pending. Exhibit 1016 lists the litigation and ex-
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`parte reexamination matters.
`
`C.
`Fee
`This petition is accompanied by a payment of $23,000 and requests review of 9
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`claims of the ’130 patent. See 37 C.F.R. § 42.15. Thus, this petition meets the fee
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`requirements under 35 U.S.C. § 312(a)(1). The Board is hereby authorized to charge
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`
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`any additional fees required by this action to Deposit Account No. 20-1430.
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`D. Designation of Lead Counsel and Back-up Counsel
`Lead Counsel for Petitioner is David C. Holloway, Registration No. 58,011.
`
`Back-up counsel for Petitioner is Alton Absher III, Registration No. 60,687, both of
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`Kilpatrick Townsend & Stockton LLP.
`
`E.
`Service Information
`A copy of the petition, in its entirety, is being served to the address of the
`
`attorney of record. Petitioner may be served via email to its lead and backup counsels,
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`as well as Nissan-Joao-IPRs@kilpatricktownsend.com.
`
`F.
`Power of Attorney
`A power of attorney is being filed with the designation of counsel in
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`accordance with 37 C.F.R. § 42.10(b).
`
`G.
`Standing
`Petitioner certifies that the ’130 patent is available for inter partes review and that
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`Petitioner is not barred or estopped from requesting inter partes review.
`
`II.
`
`Statement of Relief Requested
`Pursuant to 35 U.S.C. § 311, this petition requests cancellation of claims 26, 29,
`
`30, 33, 42, 43, 48, 60, and 68 as follows.
`
`(1) Claims 26, 29, 33, 42, 48, and 68 are anticipated by Frossard. (2) Claims 30
`
`and 43 are rendered obvious by Frossard in view of Pagliaroli. (3) Claim 60 is
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`2
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`rendered obvious by Frossard in view of Simms. (4) Claims 26, 29, 30, 42, 43, and 48
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`
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`are anticipated by Pagliaroli. (4) Claims 33 and 68 are rendered obvious by Pagliaroli
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`in view of Frossard. (6) Claim 60 is rendered obvious by Pagliaroli in view of Simms.
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`The ’130 patent issued from App. No. 09/277,935, filed on Mar. 29, 1999,
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`which is a continuation of App. No. 08/683,828, filed on Jul. 18, 1996, which is a
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`continuation-in-part of App. No. 08/622,749, filed on Mar. 27, 1996, and a
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`continuation-in-part of App. No. 08/587,628, filed on Jan. 17, 1996, which is a
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`continuation of App. No. 08/489,238, filed on Jun. 12, 1996, which is a continuation
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`of App. No. 08/973,755, filed on Jun. 8, 1993. The ’076 patent also claims the benefit
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`of the priority of U.S. Provisional App. No. 60/187,735, filed Mar. 8, 2000 and U.S.
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`Provisional App. No. 60/190,379, filed Mar. 17, 2000.
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`Frossard was published in the French language on Sep. 23, 1992 and is thus
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`prior art under 35 U.S.C. §102(a).
`
`Pagliaroli was filed on Nov. 6, 1991 and thus is prior art under 35 U.S.C. §
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`102(e). Although Pagliaroli was cited during prosecution of the related 08/587,628
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`and 08/973,755 applications, Pagliaroli was not relied upon by the Examiner during
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`prosecution of the ’076 patent. Thus, Pagliaroli was not applied in any manner to any
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`of the claims. See TRW Automotive US LLC v. Magna Electronics Inc., Case IPR 2014-
`
`00261, p. 6 (Decision to Initiate Trial for Inter Partes Review, June 16, 2014).
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`Simms was filed on Feb. 6, 1992 and thus is prior art under 35 U.S.C. § 102(e).
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`3
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`III. Summary of the Prior Art
`A. Background of Relevant Technology
`The art generally relates to systems capable of performing control operations
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`on a remote object, such as a vehicle. (Ex. 1003, ¶¶ 30-35.) The alleged invention
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`described in the ’130 patent is a “control apparatus and method for vehicles and/or
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`for premises.” (’130 patent, title) Representative claim 26 recites a “control apparatus”
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`that performs well-known actions such as generating and transmitting signals between
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`three devices, and using one of the signals to perform an action on a vehicle, such as
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`activating a device on the vehicle. As described below, systems practicing these steps,
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`alone and in combination, were well-known in the art before the priority date of the
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`’130 patent.
`
`B.
`Summary of Frossard
`Frossard discloses “a system for controlled shutdown and for location of a
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`movable or mobile equipment” such as a motor vehicle. (Frossard, Abstract.)
`
`Frossard discloses transmitting “an access code” and “corresponding intervention
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`order” to a “server center… via a telephone connection or a Minitel, for example.”
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`(Frossard, p. 4 ¶ 3.) The server center receives this signal and then transmits “an order
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`message M to shut down this equipment,” such as “a motor vehicle.” (Id. p. 4, ¶ 4.)
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`The vehicle includes “receiver-decoder circuits” that receive and decode this signal
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`(Id. p. 5, ¶ 2.) One of these circuits then “addresses the corresponding commands to
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`the equipment 3 itself….” (Id. p. 9, ¶ 3.)
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`4
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`C.
`Summary of Pagliaroli
`Pagliaroli discloses “a system through which a stolen, or otherwise
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`misappropriated, vehicle can be remotely disabled….” (Pagliaroli, 2:39-41.) In
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`particular, a receiver “is activated by theft detection sensors when the automobile is
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`stolen.” (Id. 2:43-44.) “Once the owner of the automobile discovers that the
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`automobile has been stolen, the operator dials a predetermined telephone number
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`corresponding to the receiver. The number is then transmitted from the signal towers
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`of the mobile telephone network in use. The receiver receives the transmitted
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`signal….” (Id. 2:47-52.) “If the transmitted signal matches the disabling code, the
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`automobile is disabled.” (Id. 2:54-55.)
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`D.
`Statement of Non-redundancy
`The grounds using Frossard and Pagliaroli as a primary reference, respectively,
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`are meaningfully distinct. Although both references disclose the claimed three control
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`devices and signals, each reference discloses different types of control devices and
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`different types of signals. Frossard describes a server center that interfaces with a
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`network to provide an order message. In comparison, Pagliaroli describes that, within
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`a network, a mobile telephone signal transmitter provides a signal code. Each of the
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`server center and the mobile telephone signal transmitter discloses the claimed second
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`control device of claims 26, 42, and 48. However, the Patent Owner may attempt to
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`distinguish the claimed second control device by limiting it to one of the two network
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`architectures. Thus, all grounds should be instituted for this reason. Additionally,
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`Frossard describes a user utilizing code personalized to the user to provide control
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`
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`over the vehicle. In comparison, Pagliaroli describes that the user dials a phone
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`number of the vehicle (e.g., of a receiver installed in the vehicle) to provide the
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`control over the vehicle. Each of the code and the dialed phone number discloses the
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`claimed third signal of claim 26 and 48 and the claimed first signal of claim 42.
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`However, the Patent Owner may attempt to distinguish the claimed first/third signal
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`by limiting it to include a particular signal type (e.g., personalized or non-personalized
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`signal relative to the user). For this additional reason, all grounds should be instituted.
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`IV. Motivations to Combine
`For the reasons further explained in Part VIII, infra, one of ordinary skill in the
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`art would have been motivated to combine Frossard and Pagliaroli and Simms. A
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`combination of familiar elements according to known methods which yields no more
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`than predictable results is usually obvious to one of skill in the art. KSR Int’l Co. v.
`
`Teleflex Inc., 550 U.S. 398, 416 (2007). One rationale for such an obviousness finding is
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`where use of a known technique improves similar devices (methods, or products) in
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`the intended way. See KSR Int’l, 550 U.S. at 417-18; see also MPEP § 2143(C).
`
`V.
`
`Summary of the ’130 Patent
`The ’130 patent relates to a “[c]ontrol apparatus and method” that includes
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`three “control device[s],” each of which generates and/or transmits a signal. (’130
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`patent, Abstract.) The first control device is “located at a vehicle or premises” and
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`generates and/or transmits a first signal that is for “at least one of activating,
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`deactivating, disabling, and re-enabling, one or more of a plurality of at least one of a
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`respective system, component, device, equipment, equipment system, and/or
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`appliance, of a respective vehicle or premises.” (Id.) The first signal is generated
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`and/or transmitted “in response to a second signal, generated and/or transmitted
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`from a second control device.” (Id.) In turn, the “second control device is responsive
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`to a third signal generated and/or transmitted by a third control device located remote
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`from the vehicle or premises and remote from the second control device.” (Id.)
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`VI. Factual Background
`A. Declaration Evidence
`This petition is supported by the declaration of Mr. David McNamara. Mr.
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`McNamara earned a B.S. in Engineering from the University of Michigan in 1973, and
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`a M.S. in Engineering in Solid State Physics from the University of Florida in 1976.
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`Mr. McNamara has over 30 years of direct technical experience in vehicle security and
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`control systems like those in the claims at issue.
`
`Person of Ordinary Skill in the Art of the ’130 patent
`B.
`One of ordinary skill in the art would have at least an undergraduate degree in
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`electrical engineering (or similar field, e.g., physics), and two to three years’ industry
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`experience in the general field of vehicle security and control systems. (Ex. 1003, ¶
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`28.)
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`VII. Claim Construction
`The ’130 patent is expired. (Ex. 1003, ¶ 9.) The Board’s review of the claims of
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`an expired patent is similar to that of a district court’s review. Innolux Corp. v.
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`Semiconductor Energy Lab. Co., Ltd., IPR2013-00064 (SCM), 10 (April 30, 2013); see also
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`MPEP § 2258 I.G (directing Examiners to construe claims pursuant the principles set
`
`forth by the court in Philips v. AWH Corp., 415 F.3d 1303, 1316, 75 U.S.P.Q.2d 1321,
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`1329 (Fed. Cir. 2005)). Because the ’130 patent has expired, its claims and claim terms
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`are properly given their “ordinary and customary meaning.” Philips, 415 F.3d at 1316
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`(words of a claim “are generally given their ordinary and customary meaning” as
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`understood by a person of ordinary skill in the art at the time of the invention).
`
`A. The term “interface device” means “a device that allows
`components connected via the interface device to work together.”
`“Interface device,” as used in the ’130 patent, should be defined to mean “a
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`device that allows components connected via the interface device to work together.”
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`The ’130 patent includes several examples of interface devices, such as the ignition
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`system interface, fuel pump system interface, and vehicle equipment system(s)
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`interface—depicted as elements 8, 10, and 12 in Fig. 1. The patent goes on to state
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`that “any of the interface devices 8, 10, and 12 may include any of the requisite
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`interfacing circuitry which may be necessary to facilitate CPU 4 control over the
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`respective systems which may be utilized.” (’130 patent, 25:6-10 (emphasis
`
`added).) Various additional embodiments also include similar interfaces between
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`8
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`system components—see, e.g., Figs. 5A, 5B, 9 (depicting interfaces between vehicle
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`components); Fig. 12 (interfaces between boat components); Fig. 13 (interfaces
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`between airplane components); Fig. 14 (interfaces between snowmobile components);
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`Fig. 15 (interfaces between home or premises control components); Fig. 16 (interfaces
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`between office or commercial premises control components). Based on the intrinsic
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`record, one of skill in the art would understand that “interface device” means “a
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`device that allows components connected via the interface device to work together.”
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`(Ex. 1003, ¶¶ 36-37.)
`
`VIII. Full Statement of the Reasons for the Relief Requested
`A. Claims 26, 29, 33, 42, 48, and 68 are anticipated by Frossard
`1. Claims 26 and 48
`Claim 26/ Claim 48
`[preamble] A control apparatus, comprising: See Frossard, p. 2, ¶ 1, p. 4, ¶¶ 1-4,
`Fig. 1, Fig. 4; Ex. 1003, ¶ 39.
`
`Frossard discloses a “control apparatus” in the form of a “system for
`
`controlled shutdown and for location of a movable or mobile equipment.” (Frossard,
`
`p. 2 ¶ 1.) A system for controlled shutdown and location of movable or mobile
`
`equipment is a type of “control apparatus.” (Ex. 1003, ¶ 39.)
`
`Claim 26 [A]/ Claim 48 [A]:
`[a] a first control device, [wherein the first control device is
`capable of at least one of activating, de-activating, disabling,
`and re-enabling, one or more of a plurality of at least one of a
`vehicle system, a vehicle component, a vehicle device, a
`vehicle equipment, a vehicle equipment system, and a vehicle
`appliance, of a vehicle,] wherein the first control device at least
`
`See Frossard, Figs.
`1, 2, 4, p. 3, ¶ 3, p.
`4, ¶¶ 2-4, p. 5, ¶ 2,
`p. 7 ¶ 3 – p. 8, ¶ 3,
`p. 9, ¶¶ 1-4, p. 10,
`¶¶ 2-4, p. 11, ¶ 3,
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`one of generates and transmits a first signal for at least one of
`activating, de-activating, disabling, and re-enabling, [the] at
`least one of a vehicle system, a vehicle component, a vehicle
`device, a vehicle equipment, a vehicle equipment system, and a
`vehicle appliance, [of a vehicle,] wherein the first control
`device is located at the vehicle, [and further] wherein the first
`control device is responsive to a second signal, wherein the
`second signal is at least one of generated by and transmitted
`from a second control device,
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`
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`p. 14, ¶3; Ex. 1003,
`¶¶ 40-46.
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`Frossard discloses a first control device, the “receiver-decoder circuits 4 for the
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`order message to shut down this equipment.” (Frossard, p. 5, ¶ 2.) The receiver-
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`decoder circuits are depicted as element 4 in Figs. 1 and 4, and a detailed drawing of
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`the receiver-decoder circuits is found in Fig. 2. Frossard also discloses that the
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`receiver-decoder circuits receive a second signal—an “order message to shut down
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`the equipment….” (Id. p. 3, ¶ 3.) The receiver-decoder circuits send a first signal—as
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`Frossard explains that a “controlled inhibition means” is “commanded by the
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`receiver-decoder means” in order “to ensure that the equipment is switched to
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`shutdown, startup, or standby status.” (Id.) Frossard further states that the receiver-
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`decoder means “decodes this message” that it received “and addresses the
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`corresponding commands to equipment 3 itself, causing immediate or deferred
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`shutdown depending on the application under consideration.” (Id. p. 9, ¶ 3.) The
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`command from the receiver-decoder means is a signal for activating and deactivating
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`a vehicle system, a vehicle equipment system, a vehicle component, a vehicle device,
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`and vehicle equipment. (Ex. 1003, ¶ 41.)
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`10
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`Frossard discloses that the first signal is used for activating and deactivating a
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`vehicle system, a vehicle equipment system, a vehicle component, a vehicle device,
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`and vehicle equipment, explaining that “[a] controlled inhibition circuit 5 placed in the
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`movable or mobile equipment and responding to receiver-decoder circuits 4 makes it
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`possible to ensure that this equipment 3 is switched to either shutdown or startup or
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`standby status….” (Frossard, p. 5, ¶ 2.) Thus, the first control device (Frossard’s
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`receiver-decoder circuits) device is capable of activating and de-activating a vehicle
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`system, a vehicle equipment system, a vehicle component, a vehicle device, and
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`vehicle equipment. (Ex. 1003, ¶ 42.)
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`Frossard explains that “the movable or mobile equipment 3 is shown non-
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`limitatively and solely by way of example by a motor vehicle.” (Frossard, p. 4, ¶ 4.)
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`Thus, when the “equipment” described in Frossard is shutdown or started up, the
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`entire motor vehicle is shut down or started up. (Ex. 1003, ¶ 43.) And when the entire
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`motor vehicle is shut down, that vehicle’s systems, equipment systems, components,
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`devices, and equipment are shut down. (Id.)
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`Frossard also discloses that the first control device is located at the vehicle,
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`explaining that the “the movable or mobile equipment 3 is shown non-limitatively and
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`solely by way of example by a motor vehicle.” (Frossard, p. 4, ¶ 4.)
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`Frossard discloses that the receiver-decoder circuits generate and transmit a
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`command (the first signal) in response to a second signal, which is “an order message
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`M to shut down this equipment 3.” (Frossard, p. 4, ¶ 4.) Frossard explains that “the
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`RDS receiver described in Fig. 2 decodes this message and addresses the
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`corresponding commands to equipment 3 itself, causing immediate or deferred
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`shutdown depending on the application under consideration.” (Id. p. 9, ¶ 3.) Thus,
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`Frossard discloses the first control device generating the first signal in response to the
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`second signal. (Ex. 1003, ¶ 45.)
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`Frossard also discloses that “the system contains a resource 2 for selective
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`transmission to the aforesaid equipment of an order message M to shut down this
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`equipment 3.” (Frossard, p. 4, ¶ 4.) The “resource 2” is depicted in Fig. 1 as a network
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`in communication with server (element 1). (Id. Fig. 1; Ex. 1003, ¶ 46.) Thus, Frossard
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`discloses that the second control device (the server and network) generate and
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`transmit the second signal. (Ex. 1003, ¶ 46.)
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`Claim 26 [B] / Claim 48 [B]
`[b] wherein the second control device is located at a
`location which is remote from the vehicle, [and] wherein
`the second signal is transmitted from the second control
`device to the first control device, and further wherein
`the second signal is automatically received by the first
`control device,
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`See Frossard Figs. 1, 2, 4;
`p. 3, ¶ 3, p. 4, ¶¶ 2-4, p.
`5, ¶ 2, p. 6, ¶ 1, p. 7 ¶ 1
`– p. 8, ¶ 3, p. 9, ¶¶ 1-4, p.
`10, ¶¶ 2-4, p. 11, ¶ 3, p.
`14, ¶3; Ex. 1003, ¶¶ 47-
`49.
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`Frossard discloses that the receiver-decoder circuits generate and transmit a
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`command (the first signal) in response to a second signal, which is “an order message
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`M to shut down this equipment 3.” (Frossard, p. 4, ¶ 4.) Frossard explains that “the
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`RDS receiver described in Fig. 2 decodes this message and addresses the
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`corresponding commands to equipment 3 itself, causing immediate or deferred
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`shutdown depending on the application under consideration.” (Id. p. 9, ¶ 3.) Thus,
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`Frossard discloses the second control device transmits the second signal to the first
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`control device, which automatically receives the second signal. (Ex. 1003, ¶ 48.)
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`Frossard discloses that “the system contains a resource 2 for selective
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`transmission to the aforesaid equipment of an order message M to shut down this
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`equipment 3.” (Frossard, p. 4, ¶ 4.) The “resource 2” is depicted in Fig. 1 as a network
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`that is located remote from the vehicle which is depicted as element 3 in Fig. 1. (Id.
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`Fig. 1; Ex. 1003, ¶ 49.)
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`Claim 26 [C] / Claim 48 [C]:
`[c] wherein the second control device is responsive to a third
`signal, wherein the third signal is at least one of generated by
`and transmitted from a third control device, wherein the third
`control device is located at a location which is remote from the
`vehicle and remote from the second control device, wherein
`the third signal is transmitted from the third control device to
`the second control device, and further wherein the third signal
`is automatically received by the second control device[.]
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`See Frossard, Figs.
`1, 2, 4, p. 3, ¶ 3, p.
`4, ¶¶ 2-4, p. 5, ¶ 2,
`p. 7, ¶ 1-3, p. 9, ¶¶
`1-3; Ex. 1003, ¶¶
`50-53.
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`Frossard discloses that a user can “communicate the aforesaid access code and
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`the corresponding intervention order to the server center 1, as shown I Fig. 1, via a
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`telephone connection or a Minitel for example.” (Frossard, p. 4, ¶ 3.) The telephone
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`and Minitel are two examples of a third control device, and the “access code and the
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`corresponding intervention order” is an example of the third signal which is
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`transmitted from the third control device to the second control device (the server
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`center). Frossard discloses that “[t]he introduction of the access code in the server
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`center and the noting of the corresponding intervention order may be effected either
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`by an operator or in totally automatic manner without going beyond the scope of
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`the present invention.” (Id. p. 4, ¶ 4) (emphasis added.) Thus, Frossard discloses that
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`the third signal is automatically received by the second control device. (Ex. 1003, ¶
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`51.)
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`Frossard discloses that “[t]he introduction of the access code in the server
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`center and the noting of the corresponding intervention order may be effected by
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`either an operator or in totally automatic manner without going beyond the scope of
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`the present invention.” (Frossard, p. 4, ¶ 3.) Frossard further discloses that “the
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`system contains a resource 2 for selective transmission to the aforesaid equipment of
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`an order message M to shut down this equipment 3.” (Id. p. 4, ¶ 4.) As explained
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`above, the “order message M” is an example of the second signal. The “resource 2” is
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`the network that the server center uses to transmit the second signal to the first
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`control device. (Ex. 1003, ¶ 52.) Frossard also explains that “[t]he shutdown order is
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`then validated by the server center 1 and next transmitted to the box of equipment 3
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`via message M described above.” (Frossard, p. 9, ¶ 3.) Thus, Frossard discloses that
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`the server center and network (second control device) generate and transmit the
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`second signal (message M) in response to the third signal (access code and
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`corresponding intervention order). (Ex. 1003, ¶ 52.)
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`Frossard discloses that the third control device (telephone or Minitel) is at a
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`location remote from the vehicle and remote from the second control device (server
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`center). (Frossard, Fig. 1.) Frossard explains that “a subscribing owner or authorized
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`agent” can effect “controlled sh