`BEFORE THE PATENT TRIAL AND APPEAL BOARD
`
`MYLAN PHARMACEUTICALSINC., TEVA PHARMACEUTICALS USA,
`INC., and AKORN INC.,!
`Petitioners,
`
`Vv.
`
`ALLERGAN,INC.,
`Patent Owner.
`
`Case IPR2016-01127 (8,685,930 B2)
`Case IPR2016-01128 (8,629,111 B2)
`Case IPR2016-01129 (8,642,556 B2)
`Case IPR2016-01130 (8,633,162 B2)
`Case IPR2016-01131 (8,648,048 B2)
`Case IPR2016-01132 (9,248,191 B2)
`
`DECLARATION OF CHRISTOPHERL. EVANS IN SUPPORT OF
`PATENT OWNER’S MOTION FOR PRO HAC VICE ADMISSION OF
`CHRISTOPHER L. EVANS UNDER37 C.E.R.§ 42.10(c)
`
`' Cases IPR2017-00576 and IPR2017-00594, IPR2017-00578 and IPR2017- 00596,
`IPR2017-00579 and IPR2017-00598, [PR2017-00583 and IPR2017- 00599,
`IPR2017-00585 and IPR2017-00600, and IPR2017-00586 and IPR2017-00601, have
`respectively been joined with the captioned proceedings. The word-for-word
`identical paperis filed in each proceeding identified in the caption pursuantto the
`Board’s Scheduling Order (Paper 10).
`
`SRMT 2088
`MYLAN PHARMACEUTICALS V. ALLERGAN
`IPR2016-01130
`
`SRMT 2088
`MYLAN PHARMACEUTICALS V. ALLERGAN
`IPR2016-01130
`
`
`
`I, Christopher L. Evans, declare as follows:
`
`1. lam more than twenty-one years of age, competentto present this affidavit, and
`
`have personal knowledge ofthe facts set forth herein.
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`2. This affidavit is given in support of Patent Owner’s Motion for Pro Hac Vice
`
`Admission of Christopher L. Evans.
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`3. I amapartnerat the law firm Shore Chan DePumpo LLP.
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`4. I have been practicing law since 2009 and have extensive experiencelitigating
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`patent infringement cases in many different courts across the United States.
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`5. I have beenlitigating patent cases for over eight years.
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`6. My experiencein patentlitigation matters includes being co-lead counselin
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`trial, arguing multiple Markman hearings, and many other patent-related hearings
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`concerning variousissues, such as validity and infringement.
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`7. 1am a memberin goodstanding of the Bar of Texas (admitted 2009), as well as
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`the following Federal Courts: U.S. District Court for the Eastern District of Texas,
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`U.S. District Court for the Northern District of Texas, U.S. District Court for the
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`Southern District of Texas, U.S District Court for New Mexico, and the United States
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`Court of Appeals for the Federal Circuit.
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`8. I have never been suspendedor disbarred from practice before any court or
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`administrative body.
`
`
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`9. No court or administrative body has ever denied my application for admission
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`to practice beforeit.
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`10. No court or administrative body has imposed sanctions or contemptcitations
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`on me.
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`11. I have read and will comply with the Office Patent Trial Practice Guide and
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`the Board’s Rules of Practice for Trials set forth in in 37 C.F.R. § 42.
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`12. I understandthat I will be subject to the USPTO Code of Professional
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`Responsibility set forth in 37 C.F.R. §§ 10.20 et seg. and disciplinary jurisdiction
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`under 37 C.F.R. § 11.19(a).
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`13. I have not applied to appearpro hac vice in any other proceedings before the
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`Office in the last three years.
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`14. I currently represent Patent Owner, Saint Regis MohawkTribe, in other patent
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`matters and as a result have specialized knowledgeoftribal sovereign immunity,
`
`whichis a subject matter at issue in this proceeding.
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`15. I have also represented other sovereigns, such as the University of Florida
`
`Research Foundation,Inc., which gives me unique and specialized knowledge
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`concerning the applicationoftribal sovereign immunity in interpartes review.
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`16. 1 am familiar with the subject matter of U.S. Patent Nos. 8,685,930, 8,629,111,
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`8,642,556, 8,633,162, 8,648,048, and 9,248,191 that at issue in this proceeding,
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`including their prosecution histories.
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`
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`17. | hereby declare that all statements made herein of my own knowledgeare true
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`and further that all statements herein are made with knowledgethat willful false
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`statements andthe like are punishable by fine or imprisonment, or both, under
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`Section 1001 of Title 18 of the United States Code.
`
`Dated: August 29, 2017
`
`By:
`
`Cue
`
`Christopher L. Evans
`Shore Chan DePumpo LLP
`901 Main Street, Suite 3300
`Dallas, TX 75201
`214-593-9118
`cevans@shorechan.com
`
`