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`Page 1
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` IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`
` _________________________
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` BEFORE THE PATENT TRIAL AND APPEAL BOARD
`
` _________________________
`
` COALITION FOR AFFORDABLE DRUGS X LLC,
`
` Petitioner,
`
` v.
`
` ANACOR PHARMACEUTICALS, INC.,
`
` Patent Owner
`
`
`
` Case No. IPR2015-01776
`
` Patent No. 7,582,621
`
` Case No. IPR2015-01780
`
` Patent No. 7,767,657
`
` Case No. IPR2015-01785
`
` Patent No. 7,767,657
`
`
`
` Deposition of PAUL J. REIDER, PH.D.
`
` Washington, D.C.
`
` Thursday, July 21, 2016
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` 8:36 a.m.
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` Volume 1
`
`
`
`Job No. MP-091088
`Pages 1 - 205
`Reported by: Karen Young
`
`DTI Court Reporting Solutions - Minnesota
`1-877-489-0367
`www.deposition.com
`
`CFAD v. Anacor, IPR2015-01776, CFAD EXHIBIT 1048
`
`
`
`PAUL J. REIDER, PH.D July 21, 2016
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`Page 2
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` Deposition of PAUL J. REIDER, PH.D., held
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`at the offices of:
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` COVINGTON & BURLING LLP
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` 850 Tenth Street, Northwest
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` Washington, D.C. 20001
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` (202) 662-6000
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` Pursuant to notice, before Karen Young,
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`Notary Public of the District of Columbia.
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`DTI Court Reporting Solutions - Minnesota
`1-877-489-0367
`www.deposition.com
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`CFAD v. Anacor, IPR2015-01776, CFAD EXHIBIT 1048
`
`
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`PAUL J. REIDER, PH.D July 21, 2016
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`Page 3
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` A P P E A R A N C E S
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` ON BEHALF OF THE PETITIONER:
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` RYAN JAMES FLETCHER, PH.D., ESQUIRE
`
` MERCHANT & GOULD
`
` 1801 California Street
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` Suite 3300
`
` Denver, Colorado 80202-2654
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` rfletcher@merchantgould.com
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` (303) 357-1670
`
`
`
` ON BEHALF OF THE PATENT OWNER:
`
` PAUL J. BERMAN, ESQUIRE
`
` EVAN KRYGOWSKI, PH.D., ESQUIRE
`
` ANDREA REISTER, ESQUIRE (where noted)
`
` COVINGTON & BURLING LLP
`
` One CityCenter
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` 850 Tenth Street, Northwest
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` Washington, D.C. 20001-4956
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` ekrygowski@cov.com
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` pberman@cov.com
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` (202) 662-6000
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`DTI Court Reporting Solutions - Minnesota
`1-877-489-0367
`www.deposition.com
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`CFAD v. Anacor, IPR2015-01776, CFAD EXHIBIT 1048
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`
`
`PAUL J. REIDER, PH.D July 21, 2016
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`Page 4
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` C O N T E N T S
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`EXAMINATION OF PAUL J. REIDER, PH.D. PAGE
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` By Dr. Fletcher............................. 6
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` E X H I B I T S
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`Exhibit 1 Notice of Deposition,
` IPR2015-01776.............................. 18
`
`Exhibit 2 Notice of Deposition,
` IPR2015-01780.............................. 19
`
`Exhibit 3 Notice of Deposition,
` IPR2015-01785.............................. 20
`
`Exhibit 2034-1 Declaration of Paul J. Reider,
` Ph.D., IPR2015-01776....................... 28
`
`Exhibit 2034-2 Declaration of Paul J. Reider,
` Ph.D., IPR2015-01780....................... 29
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`Exhibit 2034-3 Declaration of Paul J. Reider,
` Ph.D., IPR2015--1785....................... 29
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`DTI Court Reporting Solutions - Minnesota
`1-877-489-0367
`www.deposition.com
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`CFAD v. Anacor, IPR2015-01776, CFAD EXHIBIT 1048
`
`
`
`PAUL J. REIDER, PH.D July 21, 2016
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` PREVIOUSLY MARKED EXHIBITS
`
`Exhibit 20 Article by Segal et al............ 146
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`Exhibit 1001 U.S. Patent No. 7,582,621......... 73
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`Exhibit 1001 U.S. Patent No. 7,767,657......... 73
`
`Exhibit 1002 International Patent
` Application, WO 95/33754.................... 127
`
`Exhibit 1003 U.S. Patent Application
` Publication US 2002/0165121 A1.............. 131
`
`Exhibit 1004 International Patent
` Application, WO 03/009689................... 140
`
`Exhibit 2005 Article by Baldock et al.......... 192
`
`Exhibit 2007 Article by Lefkovits and Topol.... 194
`
`Exhibit 2008 Article by Grassberger,
` Turnowsky and Hildebrandt................... 197
`
`Exhibit 2030 Curriculum Vitae.................. 51
`
`Exhibit 2043 EPA Preliminary Investigation of
` Effects on the Environment of Boron,
` Indium Nickel, Selenium, Tin, Vanadium and
` their Compounds............................. 180
`
`Exhibit 2052 Paper by Soloway, Whitman and
` Messer, 11/20/59............................ 168
`
`Exhibit 2129 Editorial, "Proof of the Pudding". 165
`
`Exhibit 2130 Article by Soloway, Wright and
` Messer...................................... 169
`
`Exhibit 2131 Article by Soloway, Whitman and
` Messer, 10/11/61............................ 178
`
`Exhibit 2133 Article by Dominguez et al........ 182
`
`Exhibit 2134 Article by Fevig et al............ 185
`
`Exhibit 2135 Sax's Dangerous Properties of
` Industrial Materials, excerpt............... 187
`Exhibit 2136 Article by Vyakaranam et al....... 189
`
`DTI Court Reporting Solutions - Minnesota
`1-877-489-0367
`www.deposition.com
`
`CFAD v. Anacor, IPR2015-01776, CFAD EXHIBIT 1048
`
`
`
`PAUL J. REIDER, PH.D July 21, 2016
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`Page 6
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` P R O C E E D I N G S
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` PAUL J. REIDER, PH.D.,
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` having been duly sworn, was examined as follows:
`
` - - -
`
` EXAMINATION BY COUNSEL FOR THE PETITIONER
`
`BY DR. FLETCHER:
`
` Q. How are you today?
`
` A. Well, thank you. Yourself?
`
` Q. Good, thank you. So just let me formally
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`reintroduce myself. So I'm Ryan Fletcher, counsel for
`
`petitioners in the underlying proceedings, and you are
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`aware that your testimony today is actually addressing
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`three different proceedings before the Patent and
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`Trademark Office?
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` A. I am.
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` Q. Thank you. Have you had your deposition
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`taken before?
`
` A. I have.
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` Q. When was the last time?
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` A. Probably 18 months ago.
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` Q. Okay. So let me just touch base then on a
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`couple of the procedural issues with a deposition.
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`Sounds like you're going to be pretty familiar with
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`most of them. First and foremost, just let me finish
`
`my question before you answer. The goal of the
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`DTI Court Reporting Solutions - Minnesota
`1-877-489-0367
`www.deposition.com
`
`CFAD v. Anacor, IPR2015-01776, CFAD EXHIBIT 1048
`
`
`
`PAUL J. REIDER, PH.D July 21, 2016
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`Page 7
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`deposition is a clear record, and not -- and I don't
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`want there to be any confusion. I don't think you
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`want confusion. I don't want any confusion. So let
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`me finish my questions before you answer and then
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`please answer.
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` If you don't understand anything I say, if
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`it's ambiguous to you, if I'm talking too softly,
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`which I'm prone to do, please let me know and we'll
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`work with each other to clarify. If you need to take
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`a break, just let me know. Happy to take a break at
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`any time. My only request is that we don't take a
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`break when a question's pending. Otherwise, you have
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`to go to the bathroom, need something to drink, by all
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`means let me know and we'll take a break. I think
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`we'll probably end up breaking naturally every hour,
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`hour and a half just depending on the flow of the
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`deposition or when your counsel wants a break as well.
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`Can you state and spell your full name for the record?
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` A. I can.
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` Q. Would you please?
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` A. Yes, my name is Paul Joseph Reider.
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`Spelling of last name is R-E-I-D as in David, E-R.
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` Q. And what's your current address?
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` A. My current address is 377 Walnut Lane,
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`W-A-L-N-U-T, Lane, Princeton, New Jersey 08540.
`
`DTI Court Reporting Solutions - Minnesota
`1-877-489-0367
`www.deposition.com
`
`CFAD v. Anacor, IPR2015-01776, CFAD EXHIBIT 1048
`
`
`
`PAUL J. REIDER, PH.D July 21, 2016
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`Page 8
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` Q. And then one other important rule for IPR
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`depositions, which is going to be a little bit
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`different than probably your experiences with
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`depositions in District Court, and that is, when we do
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`take a break, whether it's for lunch or at the end of
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`the evening, as long as my examination's still open,
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`the IPR rules prohibit you from corresponding with
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`your counsel about the substance of your testimony, so
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`I would just ask that you refrain from doing that. If
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`you do have a question about the substance of your
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`testimony or you want to ask your counsel about
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`something that's occurring during the deposition, I
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`would just ask that you please include me in the
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`conversation, okay?
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` A. Yes.
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` MR. BERMAN: Unless of course the matter
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`involves whether some subject matter is confidential.
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`BY DR. FLETCHER:
`
` Q. So you mentioned you had your deposition
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`taken before, and you said the last time you had your
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`deposition taken was 18 months ago. Can you tell me
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`about that matter?
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` A. I can.
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` Q. Please do.
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` A. I believe the timing is accurate. It would
`
`DTI Court Reporting Solutions - Minnesota
`1-877-489-0367
`www.deposition.com
`
`CFAD v. Anacor, IPR2015-01776, CFAD EXHIBIT 1048
`
`
`
`PAUL J. REIDER, PH.D July 21, 2016
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`Page 9
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`have been a deposition taken in Princeton, New Jersey
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`for a Canadian case involving intellectual property of
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`a -- an HIV protease inhibitor for the treatment of
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`AIDS.
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` Q. And were you testifying on behalf of the
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`plaintiffs or the defendants in that matter?
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` A. On behalf of the innovator company, which
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`would be the plaintiffs.
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` Q. And did your opinions relate to whether the
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`intellectual property was valid?
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` A. In this case they related to whether the
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`intellectual property was infringed.
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` Q. So no opinions on validity.
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` A. For that deposition, I don't recall opinions
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`on validity.
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` Q. Okay. Have you ever given a deposition
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`relating to intellectual property in another case?
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` A. I have.
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` Q. How many times? Let me -- let me rephrase
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`the question. How many different cases?
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` A. The HIV drug involved a number of different
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`venues. If we view that as one case, as an expert,
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`I've given testimony or depositions in a total of
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`three cases.
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` Q. So two additional cases on top of the HIV
`
`DTI Court Reporting Solutions - Minnesota
`1-877-489-0367
`www.deposition.com
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`CFAD v. Anacor, IPR2015-01776, CFAD EXHIBIT 1048
`
`
`
`PAUL J. REIDER, PH.D July 21, 2016
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`Page 10
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`protease case?
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` A. Correct.
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` Q. Okay. So sounds like you gave multiple
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`depositions in the HIV protease case?
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` A. That would be correct.
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` Q. And your testimony in the HIV protease case
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`was always for the plaintiffs, and always
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`concerning -- well, I'll let you answer that first.
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`Always for the plaintiffs?
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` A. Yes.
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` Q. And always concerning infringement.
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` A. No.
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` Q. What was the substance of the other
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`testimony?
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` A. The other testimony --
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` Q. In the HIV case, yes.
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` A. To nonobviousness.
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` Q. So then you did give testimony in the HIV
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`protease case on the topic of validity.
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` A. I did.
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` Q. Okay. And was the patent held valid?
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` A. It was.
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` Q. Okay. So you mentioned two other cases
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`other than the HIV protease case.
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` A. That's correct.
`
`DTI Court Reporting Solutions - Minnesota
`1-877-489-0367
`www.deposition.com
`
`CFAD v. Anacor, IPR2015-01776, CFAD EXHIBIT 1048
`
`
`
`PAUL J. REIDER, PH.D July 21, 2016
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`Page 11
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` Q. Can you give me -- let's take the first
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`case. Did you testify on behalf of the plaintiffs or
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`defendants in that case?
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` A. The plaintiffs.
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` Q. As to what topic?
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` A. Canadian section 8 hearing with regard to
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`the value -- economic value of lost sales.
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` Q. So you did not offer any opinions on the
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`validity or invalidity of any patent in that case.
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` A. That is correct.
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` Q. Okay. So it sounds like there was a third
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`case?
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` A. There was.
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` Q. Did you offer opinions on validity in that
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`case?
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` A. I did not.
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` Q. Have you ever testified at trial?
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` A. I have.
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` Q. And your testimony at trial was related to
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`the three cases we've already discussed?
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` A. It was.
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` Q. Did you testify any other times at trial
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`where you did not provide a deposition prior to trial?
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` MR. BERMAN: Can I have the question again
`
`please?
`
`DTI Court Reporting Solutions - Minnesota
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`CFAD v. Anacor, IPR2015-01776, CFAD EXHIBIT 1048
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`PAUL J. REIDER, PH.D July 21, 2016
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`Page 12
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` - - -
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` THE REPORTER: Question: "Did you testify
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`any other times at trial where you did not provide a
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`deposition prior to trial?"
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` - - -
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` A. No.
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` Q. So you've never testified at trial on behalf
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`of a defendant in a patent litigation case?
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` A. Could you repeat the question please?
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` Q. So you've never testified at trial on behalf
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`of a defendant in a patent litigation case?
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` A. That's incorrect.
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` Q. Was that one of the three cases we've just
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`discussed?
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` A. Yes.
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` Q. And which case was that?
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` A. The cases -- consolidated case of Teva,
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`Mylan, Lupin in New Jersey District Federal Court
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`versus Janssen Pharmaceuticals on multiple patents
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`with regard to the HIV protease inhibitor darunavir.
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` Q. So I apologize. I'm a little confused. I
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`thought in the HIV protease case, you just testified
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`that you testified on behalf of plaintiffs as to
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`validity and infringement.
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` A. I did. Did I misunderstand your question?
`
`DTI Court Reporting Solutions - Minnesota
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`CFAD v. Anacor, IPR2015-01776, CFAD EXHIBIT 1048
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`PAUL J. REIDER, PH.D July 21, 2016
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`Page 13
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`Did you ask if -- I'm sorry, please repeat the
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`question.
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` Q. Have you ever testified -- have you ever
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`offered opinions at trial relating to the invalidity
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`of a patent?
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` A. The invalidity.
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` Q. Uh-huh.
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` MR. BERMAN: Counsel, let me interpose an
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`objection that this calls for a legal conclusion, and
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`if you give me permission, I will explain the nature
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`of my objection.
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`BY DR. FLETCHER:
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` Q. Your objection's noted. You can answer the
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`question.
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` A. I have not testified at trial with regard to
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`my opinions on the patent being invalid.
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` Q. But you have offered opinions on behalf of a
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`party as to --
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` A. I need to ask -- this is a confidential
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`question. This is a matter that's currently ongoing
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`--
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` Q. Uh-huh.
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` A. -- that I'm uncomfortable answering your
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`question because I have not yet provided a
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`declaration, I have not yet been deposed, and I have
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`DTI Court Reporting Solutions - Minnesota
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`CFAD v. Anacor, IPR2015-01776, CFAD EXHIBIT 1048
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`
`
`PAUL J. REIDER, PH.D July 21, 2016
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`Page 14
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`not yet appeared at trial, but to make matters a
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`little bit clearer for you, I am currently involved
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`expressing opinions on behalf of -- in an antitrust
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`case challenging the validity of a patent on behalf of
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`the people challenging the patent.
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` Q. Are any of your opinions in that case
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`public?
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` A. Not yet.
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` Q. Okay, thank you.
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` A. Sorry. You can understand why it was hard
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`to answer.
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` Q. So maybe you can help me. Maybe I'm
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`misremembering. I remember reading the trial
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`transcript, which I believe was your trial transcript,
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`where you were offering opinions on behalf of a
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`defendant as to a patent that was being asserted
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`against that defendant.
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` A. Could you please remind me of the case?
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` Q. Yeah, I'll have to check on the break.
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`Thanks. So we established you've offered deposition
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`testimony related to intellectual property in three
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`cases?
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` A. I believe that's accurate.
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` Q. Okay, and you've offered trial testimony in
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`one of those three cases?
`
`DTI Court Reporting Solutions - Minnesota
`1-877-489-0367
`www.deposition.com
`
`CFAD v. Anacor, IPR2015-01776, CFAD EXHIBIT 1048
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`
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`PAUL J. REIDER, PH.D July 21, 2016
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`Page 15
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` A. In the U.S., trial testimony that I've done
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`has occurred in court. The Canadian system makes it
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`difficult for me to understand the difference between
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`deposition and trial testimony and when it's used, so
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`I -- with the caveat that the Canadian proceedings,
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`which was very much similar to what we are doing
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`today, could be construed as trial testimony.
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` Q. Okay. Have you ever provided a declaration
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`on behalf of a defendant in a patent case where you
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`were not deposed?
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` A. Yes.
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` Q. How many times, or how many different
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`instances?
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` A. I believe once.
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` Q. Okay. Can you explain to me the facts
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`surrounding that?
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` A. I can.
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` Q. When was it?
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` A. Approximately three years ago.
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` Q. And what was the context of the setting?
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` A. The validity of a composition of matter
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`patent for an HIV drug in which the challengers
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`questioned the validity of the patent.
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` Q. And you were offering a declaration on -- in
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`support of the challengers or of the patent holder?
`
`DTI Court Reporting Solutions - Minnesota
`1-877-489-0367
`www.deposition.com
`
`CFAD v. Anacor, IPR2015-01776, CFAD EXHIBIT 1048
`
`
`
`PAUL J. REIDER, PH.D July 21, 2016
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`Page 16
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` A. In support of the innovator company patent
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`holder.
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` Q. Okay. And you were never deposed and you
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`never offered any testimony at trial.
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` A. The challengers stipulated validity of the
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`patent.
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` Q. Okay. So it was just infringement.
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` A. The trial ended up being limited to
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`infringement.
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` Q. Okay, thanks. Have you ever participated in
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`an IPR before? And by IPR, do you understand what I
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`mean by that?
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` A. I understand. I need clarification when you
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`ask about participation.
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` Q. Have you ever consulted with any party that
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`was involved in an inter partes proceeding?
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` A. I have.
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` Q. Okay. Have you consulted on behalf of the
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`petitioner?
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` A. No.
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` Q. You've only consulted on behalf of the
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`patent owner.
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` A. That is correct.
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` Q. Have you ever been involved in -- let me
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`back up. Did you offer a declaration in that matter?
`
`DTI Court Reporting Solutions - Minnesota
`1-877-489-0367
`www.deposition.com
`
`CFAD v. Anacor, IPR2015-01776, CFAD EXHIBIT 1048
`
`
`
`PAUL J. REIDER, PH.D July 21, 2016
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`Page 17
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` A. I did not.
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` Q. Okay. Have you ever been involved in any
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`other Patent Trial and Appeal Board proceeding?
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` A. I'm not sure if that's two questions. Would
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`you please repeat it?
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` Q. Have you ever been involved in any other
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`Patent Trial and Appeal Board proceeding? Do you
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`understand what I mean by Patent Trial and Appeal
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`Board proceeding?
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` A. If it's an IPR --
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` Q. Uh-huh.
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` A. -- separate from --
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` Q. Reexamination. Inter partes reexamination
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`or ex parte reexamination.
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` A. So with the caveat if you're asking have I
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`participated as an expert, the answer is not to my
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`recollection.
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` Q. You've participated as an inventor?
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` A. No.
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` Q. How else have you participated?
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` A. As a fact witness.
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` Q. Okay. Have any of -- have any of your
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`previous opinions been excluded by the court?
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` A. Not to my knowledge.
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` DR. FLETCHER: So directed to the -- direct
`
`DTI Court Reporting Solutions - Minnesota
`1-877-489-0367
`www.deposition.com
`
`CFAD v. Anacor, IPR2015-01776, CFAD EXHIBIT 1048
`
`
`
`PAUL J. REIDER, PH.D July 21, 2016
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`Page 18
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`to the court reporter, if we previously used an
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`exhibit in a deposition and it's already marked, let's
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`keep that exhibit number the same unless counsel
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`objects. If it's been a previously served or filed
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`exhibit, so it has an exhibit number on it, I'd like
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`to keep that the same. If we run into any issues with
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`overlapping exhibit numbers between inter partes
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`proceedings, then we'll work at the time to clarify
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`that. In this instance I'd like to introduce just the
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`notice of deposition to Dr. Reider in the 1776
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`petition.
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` - - -
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` (Deposition Exhibit Number 1 was marked for
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`identification.)
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` - - -
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`BY DR. FLETCHER:
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` Q. And while the court reporter's marking
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`exhibits for us, do you know what -- when I'm
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`referring to the 1776 petition, do you understand that
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`I'm referring to Case Number IPR2015-01776?
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` A. This is on the '621 patent?
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` Q. Yes.
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` A. I do.
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` Q. Okay. So -- and by '621 patent, you mean
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`patent number 7,5 -- patent number 7,582,621?
`
`DTI Court Reporting Solutions - Minnesota
`1-877-489-0367
`www.deposition.com
`
`CFAD v. Anacor, IPR2015-01776, CFAD EXHIBIT 1048
`
`
`
`PAUL J. REIDER, PH.D July 21, 2016
`
`Page 19
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` A. I believe that's correct.
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` Q. So we can agree today that if I call it the
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`'621 patent or you call it the '621 patent, we're
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`referring to United States patent number 7,582,621?
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` A. Yes.
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` Q. Okay, and could we also agree today that if
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`I use the term the 1776 petition, that we'll be
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`referring to the petition that relates to the '621
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`patent?
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` A. That would be preferable. Thank you.
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` DR. FLETCHER: Are you done marking this?
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`Here you go. I'd like to introduce Exhibit Number 2
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`for the Reider deposition, should be the notice of
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`deposition for Case Number IPR2015-01780 relating to
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`patent number 7,767,657.
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` - - -
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` (Deposition Exhibit Number 2 was marked for
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`identification.)
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` - - -
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`BY DR. FLETCHER:
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` Q. And Dr. Reider, the same shorthand, we can
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`agree that the same shorthand for that petition can
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`apply, so if I use the term 1780 petition, I'll be
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`referring to the IPR that relates to the '657 patent?
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` A. Yes.
`
`DTI Court Reporting Solutions - Minnesota
`1-877-489-0367
`www.deposition.com
`
`CFAD v. Anacor, IPR2015-01776, CFAD EXHIBIT 1048
`
`
`
`PAUL J. REIDER, PH.D July 21, 2016
`
`Page 20
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` DR. FLETCHER: Okay. I'd like to enter
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`Deposition Exhibit Number 3, which is the notice of
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`deposition in Case Number IPR2015-01785, relating to
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`patent number 7,767,657.
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` - - -
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` (Deposition Exhibit Number 3 was marked for
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`identification.)
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` - - -
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`BY DR. FLETCHER:
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` Q. And Dr. Reider, we can agr