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UNITED STATES PATENT AND TRADEMARK OFFICE
`
`______________
`
`BEFORE THE PATENT TRIAL AND APPEAL BOARD
`
`______________
`
`
`
`FORD MOTOR COMPANY
`Petitioner,
`
`v.
`
`TRILOGY DEVELOPMENT GROUP, INC.
`Patent Owner.
`
`______________
`
`
`
`U.S. Patent No. 7,882,057 to Little et al.
`
`IPR Case No.: 2016-01013
`
`______________
`
`
`
`REQUEST FOR REFUND OF THE POST INSTITUTION FEE
`
`
`
`On May 9, 2016, Ford Motor Company ("Petitioner") filed a Petition for
`
`Inter Partes Review seeking review of claims 17, 30, and 44-46 of U.S. Patent No.
`
`7,882,057. Patent Owner, Trilogy Development Group, Inc., submitted its
`
`Preliminary Response on August 12, 2016 (Paper No. 8). On November 4, 2016,
`
`

`
`Atty. Dkt. No.: FPGP0129IPR2
`
`Case No.: IPR2016-01013
`Patent No.: 7,882,057
`
`
`
`the Patent Trial and Appeal Board issued its Judgment denying Petitioner's
`
`petition. Paper No. 10 at p. 12 ("It is ORDERED that the Petition is denied as to
`
`all challenged claims, and no trial is instituted").
`
`The Rules provide for a refund of the institution fee if the Board does not
`
`institute trial. Payment of the $14,000 post-institution fee was processed through
`
`PRPS on May 9, 2016, and charged to Deposit Account 06-1510. Petitioner
`
`hereby requests a refund of $14,000 for the post-institution fee under 37 C.F.R.
`
`§ 42.15(a)(2).
`
`Upon review and approval of this request, Petitioner respectfully requests
`
`that the Board credit the post-institution fee to Deposit Account 06-1510.
`
`Respectfully submitted,
`
`
`
`
` /Christopher C. Smith/
`John S. LeRoy (Reg. No. 48,158)
`Thomas A. Lewry (Reg. No. 30,770)
`Frank A. Angileri (Reg. No. 36,733)
`John P. Rondini (Reg. No. 64,949)
`Christopher C. Smith (Reg. No. 59,669)
`Jonathan D. Nikkila (Reg. No. 74,694)
`Brooks Kushman P.C.
`1000 Town Center, 22nd Floor
`Southfield, MI 48075
`(248) 358-4400
`
`Attorneys for Petitioner
`
`
`Dated: November 8, 2016
`
`
`
`
`
`
`
`

`
`Atty. Dkt. No.: FPGP0129IPR2
`
`Case No.: IPR2016-01013
`Patent No.: 7,882,057
`
`
`
`Certificate of Service
`
`The undersigned hereby certifies that on November 8, 2016, a copy of
`PETITIONER’S REQUEST FOR REFUND OF THE POST INSTITUTION
`FEE, was served via electronic mail to PTAB@skgf.com which includes those
`individuals shown below:
`
`Robert Greene Sterne (Lead Counsel)
`Salvador M. Bezos (Back-up Counsel)
`Joseph E. Mutschelknaus (Back-up Counsel)
`Jonathan Tuminaro (Back-up Counsel)
`Kent B. Chambers (Back-up Counsel)
`Sharoon Saleem (Back-up Counsel)
`
`
`
`Respectfully submitted,
`
`
`
`
` /Christopher C. Smith/
`John S. LeRoy (Reg. No. 48,158)
`Thomas A. Lewry (Reg. No. 30,770)
`Frank A. Angileri (Reg. No. 36,733)
`John P. Rondini (Reg. No. 64,949)
`Christopher C. Smith (Reg. No. 59,669)
`Jonathan D. Nikkila (Reg. No. 74,694)
`Brooks Kushman P.C.
`1000 Town Center, 22nd Floor
`Southfield, MI 48075
`(248) 358-4400
`
`Attorneys for Petitioner

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