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Paper No. __
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`For the Petitioner
`Backup counsel: Robert W. Hahl, Reg. No. 33,893
`Backup counsel: Robert Mihail, Reg. No. 66,021
`Backup counsel: John K. Pike, Reg. No. 41,253
`Neifeld IP Law, PC
`Backup counsel: James T. Carmichael, Reg. No. 45,306
`Carmichael IP, PLLC
`
`
`
`UNITED STATES PATENT AND TRADEMARK OFFICE
`____________
`
`BEFORE THE PATENT TRIAL AND APPEAL BOARD
`____________
`
`
`Coalition For Affordable Drugs V LLC
`Petitioner
`v.
`
`Biogen MA Inc.
`Patent Owner
`____________
`
`Case IPR2015-01993
`Patent 8,399,514
`Title: TREATMENT FOR MULTIPLE SCLEROSIS
`____________

`
`
`PETITIONER UPDATED MANDATORY NOTICE
`
`
`
`Mail Stop PATENT BOARD
`U.S. Patent Trial & Trademark Office
`P.O. Box 1450
`Alexandria, VA 22313-1450

`
`
`
`1
`
`

`

`
`
`Pursuant to 37 C.F.R. § 42.8(a)(3) and § 42.8(b), Petitioner Coalition For
`
`Affordable Drugs V LLC provides the following updated mandatory notices.
`
`
`
`Petitioner notes, for the sake of clarity that only section III. Designation of
`
`Lead and Backup Counsel 37 C.F.R. § 42.8(b)(3) below is updated to contain new
`
`information.
`
`I. Real Party-In-Interest 37 C.F.R. § 42.8(b)(1)
`Petitioner certifies that Coalition For Affordable Drugs V LLC (“CFAD”),
`
`
`
`Hayman Credes Master Fund, L.P. (“Credes”), Hayman Orange Fund SPC –
`
`Portfolio A (“HOF”), Hayman Capital Master Fund, L.P. (“HCMF”), Hayman
`
`Capital Management, L.P. (“HCM”), Hayman Offshore Management, Inc.
`
`(“HOM”), Hayman Investments, L.L.C. (“HI”), nXn Partners, LLC (“nXnP”), IP
`
`Navigation Group, LLC (“IPNav”), J Kyle Bass, and Erich Spangenberg are the
`
`real parties in interest (collectively, “RPI”). The RPI hereby certify the following
`
`information: CFAD is a wholly owned subsidiary of Credes, HCMF and HOF.
`
`Credes is a limited partnership. HOF is a segregated portfolio company. HCMF is
`
`a limited partnership. HCM is the general partner and investment manager of
`
`Credes and HCMF. HCM is the investment manager of HOF. HOM is the
`
`administrative general partner of Credes and HCMF. HI is the general partner of
`
`HCM. J Kyle Bass is the sole member of HI and sole shareholder of HOM. CFAD,
`
`Credes, HOF and HCMF act, directly or indirectly, through HCM as the general
`
`
`
`2
`
`

`

`partner and/or investment manager of Credes, HOF and HCMF. nXnP is a paid
`
`consultant to HCM. Erich Spangenberg is 98.5% member of nXnP. IPNav is a paid
`
`consultant to nXnP. Erich Spangenberg is the 98.5% member of IPNav. Other than
`
`HCM and J Kyle Bass in his capacity as the Chief Investment Officer of HCM and
`
`nXnP and Erich Spangenberg in his capacity as the Manager/CEO of nXnP, no
`
`other person (including any investor, limited partner, or member or any other
`
`person in any of CFAD, Credes, HOF, HCMF, HCM, HOM, HI, nXnP or IPNav)
`
`has authority to direct or control (i) the timing of, filing of, content of, or any
`
`decisions or other activities relating to this Petition or (ii) any timing, future filings,
`
`content of, or any decisions or other activities relating to the future proceedings
`
`related to this Petition. All of the costs associated with this Petition will be borne
`
`by HCM, CFAD, Credes, HOF and/or HCMF.
`
`II. Related Matters 37 C.F.R. § 42.8(b)(2)
`Interference No 106,023 involves the challenged ‘514 patent and is pending.
`
`A Decision Denying Request for Rehearing of Institution Decision in
`
`
`
`
`
`IPR2015-01136 involving the challenged ‘514 patent was entered October 23,
`
`2015.
`
`
`
`To the best of our knowledge there are no other matters relating to the ‘514
`
`patent that would affect or be affected by this proceeding.
`
`III. Designation of Lead and Backup Counsel 37 C.F.R. § 42.8(b)(3)
`
`
`
`3
`
`

`

`
`
`Pursuant to 37 C.F.R. §§ 42.8(b)(3) and 42.10(a), Petitioner hereby
`
`identifies its lead and backup counsels as shown below.
`
`Lead Counsel for Petitioner
`
`Robert W. Hahl, Reg. No. 33,893
`
`Neifeld IP Law, PC, 5400 Shawnee Road, Suite 310, Alexandria, Virginia 22312
`
`Tel: 1-703-415-0012 Ext. 103
`
`Fax: 1-703-415-0013
`
`Email: rhahl@neifeld.com
`
`Backup Counsel for Petitioner
`
`Robert Mihail, Reg. No. 66,021
`
`Neifeld IP Law, PC, 5400 Shawnee Road, Suite 310, Alexandria, Virginia 22312
`
`Tel: 1-703-415-0012 Ext. 107
`
`Fax: 1-703-415-0013
`
`Email: rmihail@neifeld.com
`
`Backup Counsel for Petitioner
`
`John K. Pike, Reg. No. 41,253
`
`Neifeld IP Law, PC, 5400 Shawnee Road, Suite 310, Alexandria, Virginia 22312
`
`Tel: 1-703-415-0012 Ext. 108
`
`Fax: 1-703-415-0013
`
`Email: jkpike@neifeld.com
`
`
`
`4
`
`

`

`Backup Counsel for Petitioner
`
`James T. Carmichael, Reg. No. 45,306
`
`Carmichael IP, PLLC, 8000 Towers Crescent Drive, 13th Floor,
`
`Tysons Corner, VA 22182
`
`Tel: 1-703-646-9255
`
`M: 1-703-887-0886
`
`Email: jim@carmichaelip.com
`
`IV. Notice of Service Information (37 C.F.R. § 42.8(b)(4))
`Please direct all correspondence to counsel at the following email addresses.
`
`
`
`Petitioner consents to email service at: rhahl@neifeld.com; rmihail@neifeld.com;
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`jkpike@neifeld.com; jim@carmichaelip.com and general@neifeld.com.
`
`
`
`/RobertMihail/
`Robert Mihail, Reg. No. 66,021
`Back-up Counsel for the Petitioner
`Neifeld IP Law, PC
`4813-B Eisenhower Avenue
`Alexandria, VA 22304
`Tel: 1-703-415-0012 Ext. 107
`Fax: 1-703-415-0013
`Email: rmihail@neifeld.com


`
`
`
`5
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`

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`42.6(e) CERTIFICATE OF SERVICE
`
`42.6(e)(1) Agreements on Service: “Under 37 C.F.R. § 42.6(e), Patent Owner
`consents to electronic service by e-mail to michael.flibbert@finnegan.com and
`maureen.queler@finnegan.com.” Patent Owner’s Mandatory Notice of 10/16/2015.
`
`
`I certify that this document was served or simultaneously is being served on each
`opposing party with the filing of this document.
`
`42.6(e)(4)(iii)(A) The date and manner of service:
`
`Manner of service: Email to: michael.flibbert@finnegan.com and
`maureen.queler@finnegan.com.
`
`Date of Service: 2/22/2016
`
`42.6(e)(4)(iii)(B) The name and address of every person served are:
`Lead Counsel for patent owner, telephone and email: Michael J. Flibbert (Reg.
`No. 33,234); Tel: 202.408.4493; Email at: michael.flibbert@finnegan.com.
`Backup Counsel for patent owner, telephone and email: Maureen D. Queler
`(Reg. No. 61,879); Tel: 202.408.4294; Email at: maureen.queler@finnegan.com.
`Postal Address for lead and backup counsel for patent owner: Finnegan,
`Henderson, Farabow, Garrett & Dunner, LLP, 901 New York Avenue, NW,
`Washington, DC 20001.
`Fax Address for lead and backup counsel for patent owner: 202-408-4000.
`
`/RobertMihail/
`Robert Mihail, Reg. No. 66,021
`Back-up Counsel for the Petitioner
`Neifeld IP Law, PC
`4813-B Eisenhower Avenue
`Alexandria, VA 22304
`Tel: 1-703-415-0012 Ext. 107
`Fax: 1-703-415-0013
`Email: rmihail@neifeld.com

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`
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`6
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`

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