throbber
1
`
`2
`
`3
`
`4
`
`5
`
`6
`
`7
`
`8
`
`9
`
`10
`
`11
`
`12
`
`13
`
`14
`
`15
`
`16
`
`17
`
`18
`
`19
`
`20
`
`21
`
`22
`
`Brad Myers, PH.D.
`
`May 26, 2016
`
`Page 1
`
` UNITED STATES PATENT AND TRADEMARK OFFICE
`
` BEFORE THE PATENT TRIAL AND APPEAL BOARD
`
`-----------------------:
`
`APPLE, INC., :
`
` :
`
` Petitioner, :
`
` :
`
` v. : Case No. 2015-01899
`
` :
`
`CORE WIRELESS :
`
`LICENSING :
`
`S.A.R.L., :
`
` : Patent 8, 713,476
`
` Patent Owner. :
`
`-----------------------:
`
` Washington, D.C.
`
` Thursday, May 26, 2016
`
`Deposition of:
`
` BRAD A. MYERS, PH.D.,
`
`called for oral examination by counsel for
`
`Plaintiff, pursuant to notice, at the law firm
`
`of, Ropes & Gray, LLP, 2099 Pennsylvania Avenue,
`
`Northwest, Washington, D.C. 20006-6807, on May 26,
`
`2016, before Christina S. Hotsko, RPR, of Capital
`
`Reporting Company, a Notary Public in and for
`
`the District of Columbia Virginia, beginning at
`
`9:08 a.m., when were present on behalf of the
`
`respective parties:
`
`Capital Reporting - A Veritext Company
`(866) 448-DEPO
`
`IPR2015-01898 & IPR2015-01899
`Ex. 2012
`Page 1 of 234
`
`

`
`Brad Myers, PH.D.
`
`May 26, 2016
`
`Page 2
`
` A P P E A R A N C E S
`
`O n B e h a l f o f P e t i t i o n e r :
`
` M E G A N F . R A Y M O N D , E S Q U I R E
`
` R o p e s & G r a y , L L P
`
` 2 0 9 9 P e n n s y l v a n i a A v e n u e , N o r t h w e s t
`
` W a s h i n g t o n , D . C . 2 0 0 0 6 - 6 8 0 7
`
` ( 2 0 2 ) 5 0 8 - 4 6 0 0
`
` K A T H R Y N N . H O N G , E S Q U I R E
`
` R o p e s & G r a y , L L P
`
` 1 9 0 0 U n i v e r s i t y A v e n u e , S i x t h F l o o r
`
` E a s t P a l o A l t o , C a l i f o r n i a 9 4 3 0 3 - 2 2 8 4
`
` ( 6 5 0 ) 6 1 7 - 4 0 0 0
`
`O n B e h a l f o f P a t e n t O w n e r :
`
` W A Y N E H E L G E , E S Q U I R E
`
` W A L T E R D . D A V I S , J R . , E S Q U I R E
`
`1
`
`2
`
`3
`
`4
`
`5
`
`6
`
`7
`
`8
`
`9
`
`1 0
`
`1 1
`
`1 2
`
`1 3
`
`1 4
`
` D a v i d s o n B e r q u e s t J a c k s o n & G o w d e y , L L P
`
` 8 3 0 0 G r e e n s b o r o D r i v e , S u i t e 5 0 0
`
`1 5
`
` M c L e a n , V i r g i n i a 2 2 1 0 2
`
` ( 5 7 1 ) 7 6 5 - 7 7 0 8
`
`1 6
`
`1 7
`
`1 8
`
`1 9
`
`2 0
`
`2 1
`
`2 2
`
`Capital Reporting - A Veritext Company
`(866) 448-DEPO
`
`IPR2015-01898 & IPR2015-01899
`Ex. 2012
`Page 2 of 234
`
`

`
`Brad Myers, PH.D.
`
`May 26, 2016
`
`Page 3
`
` C O N T E N T S
`
`EXAMINATION BY: PAGE
`
` Counsel for Patent Owner 4
`
` Counsel for Petitioner 199
`
`FURTHER EXAMINATION BY: PAGE
`
` Counsel for Patent Owner 200
`
`MYERS DEPOSITION EXHIBITS: * PAGE
`
`2050 Patent 44
`
`2051 Patent 47
`
`2052 Patent 57
`
`2053 Document 160
`
` * (Exhibits attached to transcript.)
`
`Capital Reporting - A Veritext Company
`(866) 448-DEPO
`
`1
`
`2 3
`
`4
`
`5
`
`6 7
`
`8
`
`9
`
`10
`
`11
`
`12
`
`13
`
`14
`
`15
`
`16
`
`17
`
`18
`
`19
`
`20
`
`21
`
`22
`
`IPR2015-01898 & IPR2015-01899
`Ex. 2012
`Page 3 of 234
`
`

`
`Brad Myers, PH.D.
`
`May 26, 2016
`
`Page 4
`
`1
`
`2
`
`3
`
`4
`
`5
`
`6
`
`7
`
`8
`
`9
`
`10
`
`11
`
`12
`
`13
`
`14
`
`15
`
`16
`
`17
`
`18
`
`19
`
`20
`
`21
`
`22
`
` P R O C E E D I N G S
`
`Whereupon,
`
` BRAD A. MYERS, PH.D.,
`
`being first duly sworn or affirmed to testify to
`
`the truth, the whole truth, and nothing but the
`
`truth, was examined and testified as follows:
`
` EXAMINATION BY COUNSEL FOR THE PATENT OWNER
`
`BY MR. HELGE:
`
` Q. Good morning, Dr. Myers.
`
` A. Good morning.
`
` Q. I'm Wayne Helge from Davidson Berquist
`
`Jackson & Gowdey. And we are here today for
`
`deposition on two U.S. patents that are at issue
`
`before the Patent Trial and Appeal Board. And
`
`these are cases in which you've provided
`
`declarations, and I'm going to give you the IPR
`
`numbers. Are you familiar with the IPR numbers
`
`that we're here to talk about today?
`
` A. I don't have them memorized.
`
` Q. Okay. But you understand that you're
`
`here to talk about two declarations that you
`
`submitted for IPRs before the Trial Patent and
`
`Capital Reporting - A Veritext Company
`(866) 448-DEPO
`
`IPR2015-01898 & IPR2015-01899
`Ex. 2012
`Page 4 of 234
`
`

`
`Brad Myers, PH.D.
`
`May 26, 2016
`
`Page 5
`
`1
`
`2
`
`3
`
`4
`
`5
`
`6
`
`7
`
`8
`
`9
`
`10
`
`11
`
`12
`
`13
`
`14
`
`15
`
`16
`
`17
`
`18
`
`19
`
`20
`
`21
`
`22
`
`Appeal Board, correct?
`
` A. Yes.
`
` Q. Dr. Myers, can you please, actually, put
`
`your full name here for the record.
`
` A. Brad Allan Myers.
`
` Q. And Dr. Myers, you are employed by
`
`Carnegie Mellon; is that right?
`
` A. Carnegie Mellon University.
`
` Q. Okay. Yes. Right.
`
` Dr. Myers, have you been deposed before
`
`in an inter partes review proceeding?
`
` A. No.
`
` Q. Have you been deposed before for
`
`litigation?
`
` A. Yes.
`
` Q. Okay. I assume, then, you're familiar
`
`with the general rules for deposition, which
`
`include that I can't talk over you and you can't
`
`talk over me because we have a reporter here who
`
`can only transcribe one person at a time; do you
`
`understand that?
`
` A. Yes.
`
`Capital Reporting - A Veritext Company
`(866) 448-DEPO
`
`IPR2015-01898 & IPR2015-01899
`Ex. 2012
`Page 5 of 234
`
`

`
`Brad Myers, PH.D.
`
`May 26, 2016
`
`Page 6
`
`1
`
`2
`
`3
`
`4
`
`5
`
`6
`
`7
`
`8
`
`9
`
`10
`
`11
`
`12
`
`13
`
`14
`
`15
`
`16
`
`17
`
`18
`
`19
`
`20
`
`21
`
`22
`
` Q. Okay. And do you understand that you
`
`have to answer each question with affirmative
`
`statements; head nodding, for example, or shaking
`
`of the head is not enough?
`
` A. Yes.
`
` Q. Is there any reason today why you cannot
`
`give true and accurate testimony?
`
` A. No.
`
` Q. I'd like to read you something -- and to
`
`read it into the record here. And this comes from
`
`the Office Patent Trial Practice Guide. And it
`
`may be something that's unique to PTAB or
`
`something you haven't experienced before in
`
`litigation depositions. And I'm going to quote
`
`here, "Once the cross-examination of a witness has
`
`commenced and until the cross-examination of the
`
`witness has concluded, counsel offering the
`
`witness on direct examination shall not, A,
`
`consult or confer with the witness regarding the
`
`substance of the witness' testimony already given
`
`or anticipated to be given except for the purpose
`
`of conferring on whether to assert a privilege
`
`Capital Reporting - A Veritext Company
`(866) 448-DEPO
`
`IPR2015-01898 & IPR2015-01899
`Ex. 2012
`Page 6 of 234
`
`

`
`Brad Myers, PH.D.
`
`May 26, 2016
`
`Page 7
`
`1
`
`2
`
`3
`
`4
`
`5
`
`6
`
`7
`
`8
`
`9
`
`10
`
`11
`
`12
`
`13
`
`14
`
`15
`
`16
`
`17
`
`18
`
`19
`
`20
`
`21
`
`22
`
`against testifying or on how to comply with a
`
`board order; or B, suggest to the witness the
`
`manner in which any question should be answered."
`
` Do you understand the guidelines that
`
`I've just read to you?
`
` A. Yes.
`
` Q. Basically means that you're not allowed
`
`to talk to your attorneys about the testimony that
`
`you've already given or that is anticipated to be
`
`given during the course of today's deposition.
`
`Does that make sense?
`
` A. Yes.
`
` Q. Okay. And do you understand that I may
`
`ask you from time to time if you've continued to
`
`comply with this guideline at the conclusion of a
`
`break, for example?
`
` A. Okay.
`
` Q. Dr. Myers, do you understand the critical
`
`date that we're looking at is July 2000 for these
`
`patents at issue in these IPRs?
`
` A. That sounds right.
`
` Q. Was that the basis for your opinion
`
`Capital Reporting - A Veritext Company
`(866) 448-DEPO
`
`IPR2015-01898 & IPR2015-01899
`Ex. 2012
`Page 7 of 234
`
`

`
`Brad Myers, PH.D.
`
`May 26, 2016
`
`Page 8
`
`1
`
`2
`
`3
`
`4
`
`5
`
`6
`
`7
`
`8
`
`9
`
`10
`
`11
`
`12
`
`13
`
`14
`
`15
`
`16
`
`17
`
`18
`
`19
`
`20
`
`21
`
`22
`
`testimony in your declaration?
`
` A. Well, I wrote it in my report the exact
`
`date that I used, but it sounds like that's close.
`
` Q. Okay. So if I say July 2000, the reason
`
`I'm saying that is because that corresponds to the
`
`critical date; does that make sense?
`
` A. Okay.
`
` Q. Okay. So Dr. Myers, as of July 2000, I
`
`understand from your declaration you had
`
`experience using Windows CE devices; is that
`
`right?
`
` A. Yes.
`
` Q. What's your understanding of Windows CE
`
`at that time, as of July 2000?
`
` A. So Windows CE was one of Microsoft's
`
`operating systems. CE stands for Compact Edition,
`
`and it was a version of Windows that they had
`
`specifically designed for smaller devices. And
`
`they had it on a range of products from what at
`
`the time were called PDAs to what we now call
`
`smartphones to kind of small portable devices that
`
`looked like mini-laptops. And they also were
`
`Capital Reporting - A Veritext Company
`(866) 448-DEPO
`
`IPR2015-01898 & IPR2015-01899
`Ex. 2012
`Page 8 of 234
`
`

`
`Brad Myers, PH.D.
`
`May 26, 2016
`
`Page 9
`
`1
`
`2
`
`3
`
`4
`
`5
`
`6
`
`7
`
`8
`
`9
`
`10
`
`11
`
`12
`
`13
`
`14
`
`15
`
`16
`
`17
`
`18
`
`19
`
`20
`
`21
`
`22
`
`using it in some consumer electronics, like
`
`automobiles, and they were trying to get it into
`
`smart TVs and set-top boxes using Windows CE.
`
` Q. And do you recall roughly when Windows CE
`
`was released to the public?
`
` A. I don't have that date in mind.
`
` Q. Was it prior to July 2000?
`
` A. Yes.
`
` Q. Do you recall a version of Windows called
`
`Windows 98?
`
` A. Yes.
`
` Q. And when did that release to the public?
`
`Do you recall?
`
` A. I don't recall exactly, but it was
`
`somewhere around 1998, hence the name.
`
` Q. And why was Windows 98 not suitable for
`
`mobile devices?
`
` A. There were a variety of things that
`
`Microsoft did with Windows CE to make it more
`
`suable. One key thing was Instant on. So when
`
`you turn on a regular Windows laptop, it takes a
`
`while for it to go through all of its boot-up
`
`Capital Reporting - A Veritext Company
`(866) 448-DEPO
`
`IPR2015-01898 & IPR2015-01899
`Ex. 2012
`Page 9 of 234
`
`

`
`Brad Myers, PH.D.
`
`May 26, 2016
`
`Page 10
`
`1
`
`2
`
`3
`
`4
`
`5
`
`6
`
`7
`
`8
`
`9
`
`10
`
`11
`
`12
`
`13
`
`14
`
`15
`
`16
`
`17
`
`18
`
`19
`
`20
`
`21
`
`22
`
`sequence. And Windows CE was specifically
`
`designed to go on pretty much right away, which
`
`obviously you need in a small device where you
`
`want to take it out of your pocket and start doing
`
`things right away. So that was one important
`
`difference.
`
` It was also designed with a user
`
`interface more adapted to small devices. And it
`
`was also designed to try to use less power,
`
`battery power.
`
` And there were other differences, too.
`
` Q. Okay. You mentioned a moment ago at the
`
`time, back in 1998 or maybe July 2000, there was a
`
`device referred to as a PDA; is that right?
`
` A. Yes.
`
` Q. And what does that stand for?
`
` A. Personal digital assistant.
`
` Q. And you had some familiarity with PDAs;
`
`is that right?
`
` A. Yes.
`
` Q. You did some work with PDAs?
`
` A. Correct.
`
`Capital Reporting - A Veritext Company
`(866) 448-DEPO
`
`IPR2015-01898 & IPR2015-01899
`Ex. 2012
`Page 10 of 234
`
`

`
`Brad Myers, PH.D.
`
`May 26, 2016
`
`Page 11
`
`1
`
`2
`
`3
`
`4
`
`5
`
`6
`
`7
`
`8
`
`9
`
`10
`
`11
`
`12
`
`13
`
`14
`
`15
`
`16
`
`17
`
`18
`
`19
`
`20
`
`21
`
`22
`
` Q. And you mentioned that we now refer to
`
`these as smartphones; is that right?
`
` A. No. Smartphones today include most of
`
`the functionality that at the time were in PDAs.
`
`For a while, a PDA was a separate set of products.
`
`And they -- there were definitely merged devices
`
`that were both PDAs and smartphones. Well, they
`
`were -- phones and PDAs kind of became
`
`smartphones. And there were some smartphones at
`
`the time. But some PDAs did not have phone
`
`capabilities at the time.
`
` Q. Did they have communications capabilities
`
`at the time in July 2000?
`
` A. Some did, sure.
`
` Q. But not all of them?
`
` A. Well, they all could communicate by a
`
`wire. They -- around 2000 -- and I would really
`
`want to look this up to be sure, but as I recall,
`
`there were still devices that you had to plug in
`
`in order to have them communicate, that they
`
`didn't have a wireless communication capability.
`
`There were others that did, but I think in 2000
`
`Capital Reporting - A Veritext Company
`(866) 448-DEPO
`
`IPR2015-01898 & IPR2015-01899
`Ex. 2012
`Page 11 of 234
`
`

`
`Brad Myers, PH.D.
`
`May 26, 2016
`
`Page 12
`
`1
`
`2
`
`3
`
`4
`
`5
`
`6
`
`7
`
`8
`
`9
`
`10
`
`11
`
`12
`
`13
`
`14
`
`15
`
`16
`
`17
`
`18
`
`19
`
`20
`
`21
`
`22
`
`there were still some that were not wireless.
`
` Q. And what would you plug them into?
`
` A. Well, you could plug them into a computer
`
`with a wire.
`
` Q. Did the computer provide the
`
`communication capability?
`
` A. The computer enabled the PDA to
`
`communicate to the -- well, the wire enabled the
`
`PDA to communicate to the computer. So for
`
`example, the original PalmPilot, when you plugged
`
`it into a computer, would copy all the information
`
`from the PDA onto the computer so if the PDA got
`
`broken, you didn't lose your information. So it
`
`was communicating just with the computer.
`
` It was also possible to have information
`
`go from the PDA to the computer and then to the
`
`internet or to the world.
`
` Q. And would that happen through software on
`
`the PDA or would that happen through software on
`
`the computer?
`
` A. Both. You'd need both.
`
` Q. You mentioned the original PalmPilot a
`
`Capital Reporting - A Veritext Company
`(866) 448-DEPO
`
`IPR2015-01898 & IPR2015-01899
`Ex. 2012
`Page 12 of 234
`
`

`
`Brad Myers, PH.D.
`
`May 26, 2016
`
`Page 13
`
`moment ago. Do you recall the time period when
`
`that was released to the public?
`
` A. I don't recall the exact dates. It was
`
`the late 1990s.
`
` Q. Before July 2000?
`
` A. Yes.
`
` Q. So Dr. Myers, is it my understanding --
`
`or is my understanding correct that, as of
`
`July 2000, some PDAs had wireless communications
`
`capabilities and others did not?
`
` A. Yes.
`
` Q. And is it my understanding -- or is my
`
`understanding correct that as of July 2000 --
`
`well, I'll withdraw that.
`
` I want to come back to your discussion of
`
`smartphones. You've mentioned -- I believe
`
`very -- earlier on you mentioned what we refer to
`
`as PDAs or the functionality in PDAs has now been
`
`adapted by smartphones.
`
` Were there smartphones as of July 2000?
`
` A. Yes.
`
` Q. What smartphones were there in July 2000?
`
`1
`
`2
`
`3
`
`4
`
`5
`
`6
`
`7
`
`8
`
`9
`
`10
`
`11
`
`12
`
`13
`
`14
`
`15
`
`16
`
`17
`
`18
`
`19
`
`20
`
`21
`
`22
`
`Capital Reporting - A Veritext Company
`(866) 448-DEPO
`
`IPR2015-01898 & IPR2015-01899
`Ex. 2012
`Page 13 of 234
`
`

`
`Brad Myers, PH.D.
`
`May 26, 2016
`
`Page 14
`
`1
`
`2
`
`3
`
`4
`
`5
`
`6
`
`7
`
`8
`
`9
`
`10
`
`11
`
`12
`
`13
`
`14
`
`15
`
`16
`
`17
`
`18
`
`19
`
`20
`
`21
`
`22
`
` A. Well, one in particular that I know was
`
`earlier than that is the IBM Simon phone, which
`
`was actually discussed by the patent during
`
`prosecution -- by the patent owner and the
`
`examiner. One of the patents that they
`
`discussed -- I forget the name of the patent
`
`owner -- I mean, the particular patent number,
`
`but --
`
` Q. Was that the Richard reference?
`
` A. I don't think so.
`
` Q. Okay.
`
` A. It might have been. But one of the
`
`patents they discussed was the IBM smartphone
`
`called the Simon. So that was certainly one that
`
`was available during the time. And there were a
`
`few others.
`
` Q. What made IBM Simon a smartphone?
`
` A. So it had regular telephony capabilities,
`
`obviously. It also had a variety of applications
`
`that you could run. It had contacts, it had
`
`e-mail, it had various kinds of messaging
`
`capabilities, calendaring, so a variety of
`
`Capital Reporting - A Veritext Company
`(866) 448-DEPO
`
`IPR2015-01898 & IPR2015-01899
`Ex. 2012
`Page 14 of 234
`
`

`
`Brad Myers, PH.D.
`
`May 26, 2016
`
`Page 15
`
`1
`
`2
`
`3
`
`4
`
`5
`
`6
`
`7
`
`8
`
`9
`
`10
`
`11
`
`12
`
`13
`
`14
`
`15
`
`16
`
`17
`
`18
`
`19
`
`20
`
`21
`
`22
`
`functions that we would think of as a component of
`
`a modern smartphone already available.
`
` Q. Do you know if it had wireless
`
`capabilities?
`
` A. It was a telephone, so of course.
`
` Q. Did it have wireless data capabilities?
`
` A. Yes. Very slow, but it did have.
`
` Q. And would it be accurate to call that a
`
`WiFi-type connection at the time?
`
` A. No.
`
` Q. What would you call it?
`
` A. So it used -- WiFi hadn't been invented
`
`yet, or it certainly wasn't available for small
`
`devices. The wireless capability on the Simon
`
`used the telephone wireless connection, the
`
`telephone network, through what's called a modem.
`
`So it would send data through the telephone radio
`
`signal.
`
` Q. Do you recall the speed of that modem?
`
` A. No.
`
` Q. You mentioned a term a moment
`
`ago, "applications" dealing with the IBM Simon.
`
`Capital Reporting - A Veritext Company
`(866) 448-DEPO
`
`IPR2015-01898 & IPR2015-01899
`Ex. 2012
`Page 15 of 234
`
`

`
`Brad Myers, PH.D.
`
`May 26, 2016
`
`Page 16
`
`1
`
`2
`
`3
`
`4
`
`5
`
`6
`
`7
`
`8
`
`9
`
`10
`
`11
`
`12
`
`13
`
`14
`
`15
`
`16
`
`17
`
`18
`
`19
`
`20
`
`21
`
`22
`
`What did you do by applications?
`
` MS. RAYMOND: Objection to form.
`
` THE WITNESS: So the term "applications"
`
`is one of the claim terms in the patents we're
`
`discussing. So are you asking me to construe it
`
`in the context of the patent or just in general?
`
`BY MR. HELGE:
`
` Q. Well, Dr. Myers, I'm just saying that you
`
`used the term "applications." And I want to know
`
`what you meant when you said the term
`
`"applications."
`
` MS. RAYMOND: Objection to form.
`
` MR. HELGE: And I want to know what the
`
`basis of that objection is.
`
` MS. RAYMOND: Well, I think the question
`
`could be used in a misleading way to suggest
`
`applications in the patent is limited to
`
`applications as he was using it in the context of
`
`one particular smartphone at the time.
`
` MR. HELGE: Okay. Well, I'm going to
`
`stand on my question because I think it's a valid
`
`question.
`
`Capital Reporting - A Veritext Company
`(866) 448-DEPO
`
`IPR2015-01898 & IPR2015-01899
`Ex. 2012
`Page 16 of 234
`
`

`
`Brad Myers, PH.D.
`
`May 26, 2016
`
`Page 17
`
`1
`
`2
`
`3
`
`4
`
`5
`
`6
`
`7
`
`8
`
`9
`
`10
`
`11
`
`12
`
`13
`
`14
`
`15
`
`16
`
`17
`
`18
`
`19
`
`20
`
`21
`
`22
`
`BY MR. HELGE:
`
` Q. I'm just asking you to explain what you
`
`meant by the term "applications" when you talked
`
`about the IBM Simon.
`
` A. Okay.
`
` MS. RAYMOND: Same objection.
`
` THE WITNESS: So at the time, when I was
`
`talking about the IBM Simon and not in reference
`
`to the patent at issue, applications are programs
`
`that you can run on a device that perform a set of
`
`functions for the user.
`
`BY MR. HELGE:
`
` Q. Is an application the same thing as a
`
`program?
`
` MS. RAYMOND: Objection to form.
`
` THE WITNESS: I guess in the context of
`
`the IBM Simon and for other consumer products of
`
`the time, there's probably not any important
`
`differences. I think they're probably pretty
`
`synonymous.
`
`BY MR. HELGE:
`
` Q. Are there any differences?
`
`Capital Reporting - A Veritext Company
`(866) 448-DEPO
`
`IPR2015-01898 & IPR2015-01899
`Ex. 2012
`Page 17 of 234
`
`

`
`Brad Myers, PH.D.
`
`May 26, 2016
`
`Page 18
`
`1
`
`2
`
`3
`
`4
`
`5
`
`6
`
`7
`
`8
`
`9
`
`10
`
`11
`
`12
`
`13
`
`14
`
`15
`
`16
`
`17
`
`18
`
`19
`
`20
`
`21
`
`22
`
` MS. RAYMOND: Same objection.
`
` THE WITNESS: I think an application has
`
`the connotation that it's a consumer-facing
`
`program that the -- it's a program that does
`
`something for consumers. You can use the
`
`word "program" to be things that are, like -- an
`
`operating system could be a program or other
`
`internal things that you probably wouldn't call an
`
`application. So I think program is probably a
`
`more general, broader term than application.
`
`BY MR. HELGE:
`
` Q. So you said an operating system would be
`
`a type of program also?
`
` A. Yes.
`
` Q. Okay. What is the difference between an
`
`operating system and an application?
`
` A. So again --
`
` MS. RAYMOND: Same objection.
`
` THE WITNESS: -- in the -- you know,
`
`not -- I guess the word "operating system" --
`
`well, it's in the spec, but it's not part of the
`
`claim terms. But again, separate from the claim
`
`Capital Reporting - A Veritext Company
`(866) 448-DEPO
`
`IPR2015-01898 & IPR2015-01899
`Ex. 2012
`Page 18 of 234
`
`

`
`Brad Myers, PH.D.
`
`May 26, 2016
`
`Page 19
`
`1
`
`2
`
`3
`
`4
`
`5
`
`6
`
`7
`
`8
`
`9
`
`10
`
`11
`
`12
`
`13
`
`14
`
`15
`
`16
`
`17
`
`18
`
`19
`
`20
`
`21
`
`22
`
`language, applications are -- well, an operating
`
`system is typically built into a device. It's the
`
`low-level part of the software that enables most
`
`of the functions that are needed by an
`
`application. I could certainly come up with a
`
`much more formal definition, but kind of in
`
`general terms, it's thought of as the low-level
`
`software that kind of comes with a device.
`
`BY MR. HELGE:
`
` Q. Did you say it enables the functions
`
`needed for applications?
`
` A. Yes.
`
` Q. And what did you mean by that?
`
` A. So applications in general need to do
`
`things like store stuff, communicate using
`
`whatever networking is available, access the
`
`screen, access the input devices, like the
`
`keyboard or printing device or touchscreen.
`
` And typically, the operating system
`
`includes the device drivers that enables all of
`
`those pieces of hardware to be used.
`
` Q. Are you providing that testimony on the
`
`Capital Reporting - A Veritext Company
`(866) 448-DEPO
`
`IPR2015-01898 & IPR2015-01899
`Ex. 2012
`Page 19 of 234
`
`

`
`Brad Myers, PH.D.
`
`May 26, 2016
`
`Page 20
`
`1
`
`2
`
`3
`
`4
`
`5
`
`6
`
`7
`
`8
`
`9
`
`10
`
`11
`
`12
`
`13
`
`14
`
`15
`
`16
`
`17
`
`18
`
`19
`
`20
`
`21
`
`22
`
`basis of the IBM Simon as well, or is that more
`
`general?
`
` A. I think that those descriptions of what
`
`an operating system is apply pretty generally and
`
`are probably still pretty much valid today.
`
` Q. Now, you provided some testimony about
`
`what you meant by the term "application," and you
`
`said that you were providing an explanation based
`
`on the IBM Simon. How does your description of an
`
`application differ if you're talking about the
`
`'020 or the '476 patents?
`
` A. So I haven't been asked to provide
`
`constructions. And I have been informed that the
`
`parties agreed that all these terms should have
`
`their plain and ordinary meaning. So I was just
`
`using the plain and ordinary meaning as a person
`
`of ordinary skill in the art would understand the
`
`claim terms like "application."
`
` Q. So the description that you just gave to
`
`me for application, based on the IBM Simon, is
`
`that consistent with the plain and ordinary
`
`meaning that would have been applied by a person
`
`Capital Reporting - A Veritext Company
`(866) 448-DEPO
`
`IPR2015-01898 & IPR2015-01899
`Ex. 2012
`Page 20 of 234
`
`

`
`Brad Myers, PH.D.
`
`May 26, 2016
`
`Page 21
`
`1
`
`2
`
`3
`
`4
`
`5
`
`6
`
`7
`
`8
`
`9
`
`10
`
`11
`
`12
`
`13
`
`14
`
`15
`
`16
`
`17
`
`18
`
`19
`
`20
`
`21
`
`22
`
`of ordinary skill in the art as of July 2000?
`
` A. I believe it's consistent with what
`
`somebody would understand an application to be. I
`
`wouldn't try to provide that as a formal
`
`construction that describes kind of the complete
`
`balance of what an application would be required
`
`to have in order to meet the patent, but certainly
`
`that would -- the kind of things I said would be
`
`included in what a person of ordinary skill in the
`
`art would have understood as of July 2000.
`
` Q. You mentioned a moment ago that
`
`application is the user-facing program; is that
`
`right?
`
` A. That sounds like a reasonable summary of
`
`some of the things I said.
`
` Q. And what did you mean by "user-facing"?
`
` A. So we're talking about devices that
`
`people can use. And there are some, as we had
`
`said a little while ago, some programs that are
`
`internal that people would never really see, and
`
`other programs that a person using the device
`
`would see running or see their name on menus or
`
`Capital Reporting - A Veritext Company
`(866) 448-DEPO
`
`IPR2015-01898 & IPR2015-01899
`Ex. 2012
`Page 21 of 234
`
`

`
`Brad Myers, PH.D.
`
`May 26, 2016
`
`Page 22
`
`1
`
`2
`
`3
`
`4
`
`5
`
`6
`
`7
`
`8
`
`9
`
`10
`
`11
`
`12
`
`13
`
`14
`
`15
`
`16
`
`17
`
`18
`
`19
`
`20
`
`21
`
`22
`
`see their name in the icons or something like
`
`that.
`
` So it's generally the idea that this is a
`
`program that users can run, they can see it, they
`
`can benefit from the functions it provides.
`
` Q. You mentioned a term a moment ago "icon."
`
`What is an icon?
`
` A. So icons have a variety of uses. It's
`
`generally used to denote small graphic element, a
`
`small piece of graphics, a small picture or
`
`something like that, but represents something else
`
`in the computer.
`
` Q. And you also mentioned a term "menu."
`
`What's a menu?
`
` MS. RAYMOND: Objection to form.
`
` THE WITNESS: So again, menu is one of
`
`the claim terms. So I wasn't asked to construe
`
`any of the claim terms, just give it its plain and
`
`ordinary meaning as a person of ordinary skill in
`
`the art would have understood it at the time of
`
`patent.
`
` So that's what I did in terms of using
`
`Capital Reporting - A Veritext Company
`(866) 448-DEPO
`
`IPR2015-01898 & IPR2015-01899
`Ex. 2012
`Page 22 of 234
`
`

`
`Brad Myers, PH.D.
`
`May 26, 2016
`
`Page 23
`
`1
`
`2
`
`3
`
`4
`
`5
`
`6
`
`7
`
`8
`
`9
`
`10
`
`11
`
`12
`
`13
`
`14
`
`15
`
`16
`
`17
`
`18
`
`19
`
`20
`
`21
`
`22
`
`those terms to understand how the art that I
`
`described would be -- would map to the claim
`
`terms.
`
`BY MR. HELGE:
`
` Q. Okay. And what is that plain and
`
`ordinary meaning as of July of 2000 for the
`
`term "menu"?
`
` A. So I think menus include a list of, I
`
`guess, functions, a list of operations, that -- I
`
`guess it's not just that. It could also be a list
`
`of values. So it's kind of a list of anything
`
`that enables the user to pick one or more of the
`
`items.
`
` Q. So they have to be selectable?
`
` A. I can't imagine -- well, there are menus
`
`where the items are disabled, so -- and a menu --
`
`you can certainly have a menu where all the items
`
`are disabled and, therefore, you can't select them
`
`at this time.
`
` So like I said, I really wasn't trying to
`
`come up with a formal construction that describes
`
`the entire balance of what these terms mean in the
`
`Capital Reporting - A Veritext Company
`(866) 448-DEPO
`
`IPR2015-01898 & IPR2015-01899
`Ex. 2012
`Page 23 of 234
`
`

`
`Brad Myers, PH.D.
`
`May 26, 2016
`
`Page 24
`
`context of the patent. Normally, items in menus
`
`are selectable, but I certainly wouldn't rule out
`
`something present in a computer where nothing was
`
`selectable to say that can't be classified as a
`
`menu.
`
` Q. Dr. Myers, you would agree that an
`
`application can include tasks, wouldn't you?
`
` MS. RAYMOND: Objection to form.
`
` THE WITNESS: I probably wouldn't use the
`
`word "tasks."
`
`BY MR. HELGE:
`
` Q. What would you use?
`
` A. Functions, operations.
`
` Q. What is a function as you've just
`
`described it, or as you've just used the term?
`
` A. Sure.
`
` MS. RAYMOND: Objection to form.
`
` THE WITNESS: Yeah, I guess functions are
`
`a claim term as well. So again, I'm --
`
`BY MR. HELGE:
`
` Q. Just to be clear, Dr. Myers, I'm not
`
`asking you for a construction. I'm asking you
`
`1
`
`2
`
`3
`
`4
`
`5
`
`6
`
`7
`
`8
`
`9
`
`10
`
`11
`
`12
`
`13
`
`14
`
`15
`
`16
`
`17
`
`18
`
`19
`
`20
`
`21
`
`22
`
`Capital Reporting - A Veritext Company
`(866) 448-DEPO
`
`IPR2015-01898 & IPR2015-01899
`Ex. 2012
`Page 24 of 234
`
`

`
`Brad Myers, PH.D.
`
`May 26, 2016
`
`Page 25
`
`1
`
`2
`
`3
`
`4
`
`5
`
`6
`
`7
`
`8
`
`9
`
`10
`
`11
`
`12
`
`13
`
`14
`
`15
`
`16
`
`17
`
`18
`
`19
`
`20
`
`21
`
`22
`
`what you meant by the term as you have just used
`
`it. You told me that I was wrong for using
`
`"tasks" and you said "function" is a better term.
`
` I just want to know what you -- what
`
`meaning you ascribe to the term "function."
`
` A. Sure.
`
` MS. RAYMOND: Objection to form.
`
` THE WITNESS: So outside the patent, just
`
`in general, as I was talking about it a minute
`
`ago, a function would be, well, an operation, a
`
`thing that you could do in a computer program.
`
`BY MR. HELGE:
`
` Q. When you say you could do, do you mean
`
`the user?
`
` A. The user would -- you know, if the user
`
`selected the function, then it would do something
`
`in the program.
`
` Q. Okay. So a user has to select a
`
`function; is that right?
`
` A. Well, we were talking about in the
`
`context of a menu. So if a user selects a
`
`function, then it would do something.
`
`Capital Reporting - A Veritext Company
`(866) 448-DEPO
`
`IPR2015-01898 & IPR2015-01899
`Ex. 2012
`Page 25 of 234
`
`

`
`Brad Myers, PH.D.
`
`May 26, 2016
`
`Page 26
`
`1
`
`2
`
`3
`
`4
`
`5
`
`6
`
`7
`
`8
`
`9
`
`10
`
`11
`
`12
`
`13
`
`14
`
`15
`
`16
`
`17
`
`18
`
`19
`
`20
`
`21
`
`22
`
` Q. Is there any characteristic of an
`
`application that would allow you, as of July 2000,
`
`to distinguish one application from another? Does
`
`that make sense?
`
` A. I think what you're asking is, if there
`
`were two applications on a device, how would the
`
`user tell them apart?
`
` Q. Yes.
`
` A. There are a variety of ways. Typically,
`
`applications have names. Typically, they also
`
`have a program -- a program file location,
`
`depending on the device.
`
` So probably the most general thing is
`
`that they have names, and often you invoke them by
`
`selecting their names. They may also have the
`
`name displayed while they're running somewhere so
`
`that you can tell that it's running.
`
` There are a variety of ways that
`
`different devices have presented applications so
`
`users can distinguish them.
`
` Q. Is it correct to say that as of
`
`July 2000, an application could have two different
`
`Capital Reporting - A Veritext Company
`(866) 448-DEPO
`
`IPR2015-01898 & IPR2015-01899
`Ex. 2012
`Page 26 of 234
`
`

`
`Brad Myers, PH.D.
`
`May 26, 2016
`
`Page 27
`
`1
`
`2
`
`3
`
`4
`
`5
`
`6
`
`7
`
`8
`
`9
`
`10
`
`11
`
`12
`
`13
`
`14
`
`15
`
`16
`
`17
`
`18
`
`19
`
`20
`
`21
`
`22
`
`windows?
`
` A. Yes.
`
` MS. RAYMOND: Objection to form.
`
`BY MR. HELGE:
`
` Q. And so even though two different windows
`
`are displayed, it could be the same application;
`
`is that right?
`
` MS. RAYMOND: Objection to form.
`
` THE WITNESS: There were many
`
`applications that had multiple windows.
`
`BY MR. HELGE:
`
` Q. Is the window the same thing as -- well,
`
`I'll withdraw that.
`
` Is the window the same thing as a
`
`function?
`
` A. No.
`
` Q. They're different?
`
` A. Yes.
`
` Q. How are they different?
`
` A. So windows are generally understood to
`
`mean -- and again, this is generally not with
`
`respect to the patent terms. Windows are
`
`Capital Reporting - A Veritext Company
`(866) 448-DEPO
`
`IPR2015-01898 & IPR2015-01899
`Ex. 2012
`Page 27 of 234
`
`

`
`Brad Myers, PH.D.
`
`May 26, 2016
`
`Page 28
`
`1
`
`2
`
`3
`
`4
`
`5
`
`6
`
`7
`
`8
`
`9
`
`10
`
`11
`
`12
`
`13
`
`14
`
`15
`
`16
`
`17
`
`18
`
`19
`
`20
`
`21
`
`22
`
`generally considered to be an area of the screen,
`
`typically rectangular, but not necessarily, in
`
`which a variety of functions and a variety of
`
`activities and data can be displayed and executed.
`
` So there's really no relation between
`
`functions and windows. Windows are an area of the
`
`screen and functions are something the computer
`
`executes.
`
` Q. So you said that was in the context of
`
`generally and not with respect to the patent. How
`
`would your answer differ if we're talking
`
`specifically about the patent?
`
` A. Well, again, I wasn't asked to do a
`
`construction specifically of the term "window"
`
`with respect to the patent. The patent has the
`
`term "summary window," I think. Something like
`
`that. And it provides examples of what that
`
`means. If you give me the patent, I'll show you
`
`what I'm referring to.
`
` So I think the patent has a very
`
`particular set of things it says about the summary
`
`window that wouldn't necessarily be the same as
`
`Capital Reporting - A Veritext Company
`(866) 448-DEPO
`
`IPR2015-01898 & IPR2015-01899
`Ex. 2012
`Page 28 of 234
`
`

`
`1
`
`2
`
`3
`
`4
`
`5
`
`6
`
`7
`
`8
`
`9
`
`10
`
`11
`
`12
`
`13
`
`14
`
`15
`
`16
`
`17
`
`18
`
`19
`
`20
`
`21
`
`22
`
`Brad Myers, PH.D.
`
`May 26, 2016
`
`Page 29
`
`just the general understanding of the word
`
`"window."
`
` Q. Okay. Dr. Myers, what did you do to
`
`prepare for this deposition?
`
` A. So I re-read my reports and all of the --
`
`well, certainly all of the main references that I
`
`used and skimmed a large number of other
`
`references that I mentioned. And I discussed with
`
`counsel the prior art.
`
` Q. Which were the main references that you
`
`reviewed? Do you recall?
`
` A. I don't recall the names, but it's the
`
`main ones that I discussed. I'd be happy to point
`
`them out if you hand me my report.
`
` Q. Schnarel?
`
` A. Sure.
`
` Q. Aberg?
`
` A. Probably. Sounds right.
`
` Q. How about Nason?
`
` A. Yes.
`
` Q. Smith?
`
` A. Sure.
`
`Capital Reporting - A Veritext Company
`(866) 448-DEPO
`
`IPR2015-01898 & IPR2015-01899
`Ex. 2012
`Page 29 of 234
`
`

`
`Brad Myers, PH.D.
`
`May 26, 2016
`
`Page 30
`
`1
`
`2
`
`3
`
`4
`
`5
`
`6
`
`7
`
`8
`
`9
`
`10
`
`11
`
`12
`
`13
`
`14
`
`15
`
`16
`
`17
`
`18
`
`19
`
`20
`
`21
`
`22
`
` Q. Wagner?
`
` A. Yes.
`
` Q. Yerkovick?
`
` A. Yes.
`
` Q. And you said you re

This document is available on Docket Alarm but you must sign up to view it.


Or .

Accessing this document will incur an additional charge of $.

After purchase, you can access this document again without charge.

Accept $ Charge
throbber

Still Working On It

This document is taking longer than usual to download. This can happen if we need to contact the court directly to obtain the document and their servers are running slowly.

Give it another minute or two to complete, and then try the refresh button.

throbber

A few More Minutes ... Still Working

It can take up to 5 minutes for us to download a document if the court servers are running slowly.

Thank you for your continued patience.

This document could not be displayed.

We could not find this document within its docket. Please go back to the docket page and check the link. If that does not work, go back to the docket and refresh it to pull the newest information.

Your account does not support viewing this document.

You need a Paid Account to view this document. Click here to change your account type.

Your account does not support viewing this document.

Set your membership status to view this document.

With a Docket Alarm membership, you'll get a whole lot more, including:

  • Up-to-date information for this case.
  • Email alerts whenever there is an update.
  • Full text search for other cases.
  • Get email alerts whenever a new case matches your search.

Become a Member

One Moment Please

The filing “” is large (MB) and is being downloaded.

Please refresh this page in a few minutes to see if the filing has been downloaded. The filing will also be emailed to you when the download completes.

Your document is on its way!

If you do not receive the document in five minutes, contact support at support@docketalarm.com.

Sealed Document

We are unable to display this document, it may be under a court ordered seal.

If you have proper credentials to access the file, you may proceed directly to the court's system using your government issued username and password.


Access Government Site

We are redirecting you
to a mobile optimized page.





Document Unreadable or Corrupt

Refresh this Document
Go to the Docket

We are unable to display this document.

Refresh this Document
Go to the Docket