`Patent Owners’ Motion For Admission Pro Hac Vice Of Robert J. Gunther, Jr.
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`Filed on behalf of Patent Owners Genentech, Inc. and City of Hope by:
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`David L. Cavanaugh
`Reg. No. 36,476
`Heather M. Petruzzi
`Reg. No. 71,270
`Owen K. Allen
`Reg. No. 71,118
`Robert J. Gunther, Jr.
`Pro Hac Vice Pending
`WilmerHale
`1875 Pennsylvania Ave., NW
`Washington, DC 20006
`
`
`Adam R. Brausa
`Reg. No. 60,287
`Daralyn J. Durie
`Pro Hac Vice Pending
`Durie Tangri LLP
`217 Leidesdorff Street
`San Francisco, CA 94111
`
`
`Jeffrey P. Kushan
`Reg. No. 43,401
`Sidley Austin LLP
`1501 K Street, N.W.
`Washington, D.C.
`20005
`
`UNITED STATES PATENT AND TRADEMARK OFFICE
`
`____________________________________________
`
`BEFORE THE PATENT TRIAL AND APPEAL BOARD
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`____________________________________________
`
`MYLAN PHARMACEUTICALS INC.,
`Petitioner,
`
`v.
`
`GENENTECH, INC. AND CITY OF HOPE,
`Patent Owners.
`____________________________________________
`
`Case IPR2016-00710
`U.S. Patent 6,331,415
`____________________________________________
`
`
`PATENT OWNERS’ UNOPPOSED MOTION FOR ADMISSION
`PRO HAC VICE OF ROBERT J. GUNTHER, JR.
`
`
`
`Case No. IPR2016-00710
`Patent Owners’ Motion For Admission Pro Hac Vice Of Robert J. Gunther, Jr.
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`I. Statement of Precise Relief Requested
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`Pursuant to 37 C.F.R. § 42.10(c), Patent Owners Genentech, Inc.
`
`(“Genentech”) and City of Hope request that the Patent Trial and Appeal Board
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`(the “Board”) admit Robert J. Gunther, Jr. pro hac vice in this proceeding,
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`IPR2016-00710. Petitioner Mylan Pharmaceuticals Inc. has indicated that it does
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`not oppose this motion.
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`II. Statement of Facts Showing Good Cause for the Board to Recognize
`Counsel Pro Hac Vice During the Proceeding
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`In accordance with 37 C.F.R. § 42.10(c), the Board may recognize counsel
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`pro hac vice during a proceeding upon a showing of good cause, subject to the
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`condition that lead counsel be a registered practitioner and to any other conditions
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`as the Board may impose. Section 42.10(c) indicates that “where lead counsel is a
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`registered practitioner, a motion to appear pro hac vice by counsel who is not a
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`registered practitioner may be granted upon a showing that counsel is an
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`experienced litigating attorney and has an established familiarity with the subject
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`matter at issue in the proceeding.” The facts here establish good cause for the
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`Board to recognize Robert J. Gunther, Jr. pro hac vice in this proceeding.
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`1. Lead counsel, David L. Cavanaugh, is a registered practitioner. Backup
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`counsel, Owen K. Allen, Heather M. Petruzzi, Adam R. Brausa, and Jeffrey
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`P. Kushan are also registered practitioners.
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`Case No. IPR2016-00710
`Patent Owners’ Motion For Admission Pro Hac Vice Of Robert J. Gunther, Jr.
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`2. Counsel, Robert J. Gunther, Jr., is an experienced litigator and has an
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`established familiarity with the subject matter at issue in the proceeding.
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`Accompanying this motion as Exhibit 2001 is the Declaration of Robert J.
`
`Gunther, Jr. in Support of this Motion for Admission Pro Hac Vice
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`(“Gunther Decl.”). In his declaration, Mr. Gunther asserts:
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`I am a member in good standing of the Bar of New York, and
`am admitted to practice before District Courts of the Southern
`District of New York the Eastern District of New York, the
`Western District of New York, the Northern District of
`California, the District of Colorado, the Eastern District of
`Michigan, the Western District of Michigan, and the Northern
`District of Illinois. I am also admitted to practice before the
`U.S. Courts of Appeals for the Second, Ninth, Tenth, and
`Federal Circuits. I am a fellow of The American College of
`Trial Lawyers.
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`Gunther Decl. ¶ 2 (Ex. 2001). Mr. Gunther also states that he has a long-
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`standing relationship with Patent Owner Genentech, Inc. and its parent
`
`Roche. Gunther Decl. ¶ 11 (Ex. 2001). Mr. Gunther also demonstrates that
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`he has a detailed working knowledge of the relevant subject matter through
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`his participation in a prior litigation involving the ʼ415 patent as well as his
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`familiarity with antibody technologies as a result of participation as counsel
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`in prior antibody-related patent cases. Gunther Decl. ¶ 12 (Ex. 2001).
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`Case No. IPR2016-00710
`Patent Owners’ Motion For Admission Pro Hac Vice Of Robert J. Gunther, Jr.
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`3. In his declaration, Mr. Gunther also attests to each of the listed items
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`required by the Order – Authorizing Motion for Pro Hac Vice Admission –
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`37 C.F.R. § 42.10 in IPR2013-00639. See Gunther Decl. ¶¶ 1-13 (Ex.
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`2001). Mr. Gunther attests that he has read and will comply with the Office
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`Patent Trial Practice Guide and the Board’s Rules of Practice for Trials set
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`forth in 37 C.F.R. § 42. See id. ¶ 8. Mr. Gunther further attests that he
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`agrees to be subject to the United States Patent and Trademark Office’s
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`Rules of Professional Conduct as set forth in 37 C.F.R. §§ 11.101 et seq. and
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`disciplinary jurisdiction under 37 C.F.R. § 11.19(a). See id. ¶ 9.
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`III. Conclusion
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`For the foregoing reasons, Patent Owners respectfully request that the Board
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`admit Robert J. Gunther, Jr. pro hac vice in this proceeding.
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`
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`Date: September 23, 2016
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`Respectfully submitted,
`
`By: /David L. Cavanaugh/
`David L. Cavanaugh
`Reg. No. 36,476
`Wilmer Cutler Pickering Hale and Dorr LLP
`1875 Pennsylvania Avenue NW
`Washington, DC 20006
`
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`Case No. IPR2016-00710
`Patent Owners’ Motion For Admission Pro Hac Vice Of Robert J. Gunther, Jr.
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`PATENT OWNERS’ EXHIBIT LIST
`IPR2016-00710
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`2001 Declaration of Robert J. Gunther, Jr. in Support of Motion for
`Admission Pro Hac Vice
`2002 Declaration of Daralyn J. Durie in Support of Motion for Admission
`Pro Hac Vice
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`
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`Case No. IPR2016-00710
`Patent Owners’ Motion For Admission Pro Hac Vice Of Robert J. Gunther, Jr.
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`CERTIFICATE OF SERVICE
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`I hereby certify that, on September 23, 2016, I caused a true and correct
`copy of the following materials:
`
` Patent Owners’ Unopposed Motion for Admission Pro Hac Vice of
`Robert J. Gunther, Jr.
` Exhibit 2001
` Patent Owners’ Exhibit List
`
`to be served via electronic mail on the following attorneys of record:
`
`
`
`Deanne M. Mazzochi
`Paul J. Molino
`William A. Rakoczy
`Eric Hunt
`Rakoczy Molino Mazzochi Siwik LLP
`6 West Hubbard Street, Suite 500
`Chicago, Illinois 60654
`dmazzochi@rmmslegal.com
`paul@rmmslegal.com
`wrakoczy@rmmslegal.com
`ehunt@rmmslegal.com
`Mylan_IPR_Service@rmmslegal.com
`
`
`
`/Owen K. Allen/
`Owen K. Allen
`Reg. No. 71,118
`Wilmer Cutler Pickering Hale and Dorr LLP
`950 Page Mill Road
`Palo Alto, CA 94304
`(650) 600-5029
`
`
`
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`ActiveUS 157979961v.1
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