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IPR2016-00418
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`PATENT NO. 8,155,342
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`UNITED STATES PATENT AND TRADEMARK OFFICE
`__________________
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`BEFORE THE PATENT TRIAL AND APPEAL BOARD
`__________________________________________________________________
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`TOYOTA MOTOR CORPORATION
`Petitioner
`v.
`
`BLITZSAFE TEXAS, LLC
`Patent Owner
`
`
`
`Patent No. 8,155,342
`Issue Date: April 10, 2012
`Title: MULTIMEDIA DEVICE INTEGRATION SYSTEM
`__________________________________________________________________
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`BLITZSAFE TEXAS, LLC’S LIST OF ANTICIPATED MOTIONS IN
`ADVANCE OF INITIAL CONFERENCE CALL
`
`Case No. IPR2016-00418
`________________________________________________________________
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`I. INTRODUCTION
`In advance of the Initial Conference Call on July 29, 2016 at 2:00 p.m.,
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`IPR2016-00418
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`PATENT NO. 8,155,342
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`Patent Owner Blitzsafe Texas, LLC (“Blitzsafe”) submits the following list of
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`motions that it anticipates filing during this trial. See Office Patent Trial Practice
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`Guide, 77 Fed. Reg. at 48,765-66. This listing is without prejudice to Blitzsafe’s
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`right to seek authorization to bring additional motions as circumstances warrant.
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`(1) Motion for Modification of Scheduling Order. Blitzsafe has contacted
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`counsel for Petitioner Toyota Motor Corporation (“Toyota”) to
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`potentially seek agreement for a joint motion to extend each of Due
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`Dates 1-4. Blitzsafe also intends to raise the timing of the oral argument
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`(Due Date 7) because it overlaps with the parties’ currently scheduled
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`trial in the Eastern District of Texas.
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`(2) Motion for Discovery. The parties did not agree, prior to institution of
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`the trial, to exchange of the initial disclosures set forth in the Office
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`Patent Trial Practice Guide. Pursuant to 37 C.F.R. § 42.51(a)(2),
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`Blitzsafe would move to seek discovery of such information. Blitzsafe
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`may also move for additional discovery relating to secondary
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`considerations.
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`(3) Motion to Amend Claims under 37 C.F.R. § 42.121
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`(4) Motion to Substitute Lead and/or Backup Counsel within the same
`1
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`law firm.
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`IPR2016-00418
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`PATENT NO. 8,155,342
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`Respectfully submitted,
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`Dated July 27, 2016
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`
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`Alfred R. Fabricant
`Admitted Pro Hac Vice
`Backup Counsel for Patent Owner
`Brown Rudnick LLP
`7 Times Square
`New York, NY 10036
`Tel: 212-209-4800
`Fax: 212-209-4801
`Email: afabricant@brownrudnick.com
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`/s/Peter Lambrianakos /
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`Peter Lambrianakos (Reg. No. 58,279)
`Lead Counsel for Patent Owner
`
`Brown Rudnick LLP
`7 Times Square
`New York, NY 10036
`Tel: 212-209-4800
`Fax: 212-209-4801
`Email: plambrianakos@brownrudnick.com
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`2
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`

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`IPR2016-00418
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`PATENT NO. 8,155,342
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`CERTIFICATE OF SERVICE UNDER 37 C.F.R. § 42.6(e)(4) & 42.105(b)
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`A copy of BLITZSAFE TEXAS, LLC’S LIST OF ANTICIPATED
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`MOTIONS IN ADVANCE OF INITIAL CONFERENCE CALL has been served
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`on Petitioner at the correspondence of the Petitioner as follows:
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`SUGHRUE MION PLLC
`c/o William Mandir
`2100 Pennsylvania Ave NW
`Suite 800
`Washington, DC 20037
`toyota@sughrue.com
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`July 27, 2016
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`By:
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` /s/ Peter Lambrianakos/
`
`
`Peter Lambrianakos (Reg. No. 58,279)
`Lead Counsel for Patent Owner
`Brown Rudnick LLP
`7 Times Square
`New York, NY 10036
`Tel: 212-209-4800
`Fax: 212-209-4801

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