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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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`_____________________________
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`MYLAN PHARMACEUTICALS INC., TEVA PHARMACEUTICALS USA,
`INC. and AKORN INC.,1
`Petitioners,
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`v.
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`ALLERGAN, INC.
`Patent Owner.
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`_____________________________
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`Case IPR2016-01127 (US 8,685,930 B2)
`Case IPR2016-01128 (US 8,629,111 B2)
`Case IPR2016-01129 (US 8,642,556 B2)
`Case IPR2016-01130 (US 8,633,162 B2)
`Case IPR2016-01131 (US 8,648,048 B2)
`Case IPR2016-01132 (US 9,248,191 B2)
`_____________________________
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`DECLARATION OF ANNA G. PHILLIPS IN SUPPORT OF
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`PETITIONER’S MOTION FOR PRO HAC VICE ADMISSION
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`1 Cases IPR2017-00576 and IPR2017-00594, IPR2017-00578 and IPR2017-
`00596, IPR2017-00579 and IPR2017-00598, IPR2017-00583 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 paper is filed in each proceeding identified in the caption pursuant to the
`Board’s Scheduling Order (Paper 10).
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`
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`0001
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`MYLAN - EXHIBIT 1133
`Mylan Pharmaceuticals Inc. et al. v. Allergan, Inc.
`IPR2016-01127, -01128, -01129, -01130, -01131, & -01132
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`I, ANNA G. PHILLIPS, hereby declare the following:
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`1.
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`I am a member in good standing of the state bars of Texas and California, as
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`well as numerous United States District Courts and the United States Court of Appeals for
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`the Federal Circuit.
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`2.
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`I have not been suspended or disbarred from practice before any court or
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`administrative body.
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`3.
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`I have never had an application for admission to practice before any court or
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`administrative body denied.
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`4.
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`No sanction or contempt citation has been imposed against me by any court or
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`administrative body.
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`5.
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`I have read and will comply with the Office of Patent Trial Practice Guide and
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`the Board’s rules of Practice for Trials set forth in part 42 of the Code of Federal
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`Regulations.
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`6.
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`I will be subject to the USPTO Rules of Professional Conduct set forth in 37
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`C.F.R. §§ 11.101 et seq. and disciplinary jurisdiction under 37 C.F.R. § 11.19(a).
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`7.
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`I am a patent litigation attorney with experience representing clients in a
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`number of United States District Courts. I have experience in all stages of litigation, from
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`preliminary injunction through trial and appeal, and across a wide range of technologies,
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`including pharmaceutical drugs, formulations, and dosages. My biography is attached hereto
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`as Exhibit A.
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`
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`1
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`0002
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`
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`8.
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`In a related matter involving the Patents-at-Issue,2 I am representing Petitioner
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`Mylan Pharmaceuticals Inc. in consolidated litigation currently pending in the Eastern
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`District of Texas. See Allergan, Inc. v. Teva Pharmaceuticals USA, Inc. et al., No. 2:15- cv-
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`01455 (Lead Case). As a result, I have reviewed the Patents-at-Issue, their relevant file
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`histories, and the prior art (including the prior art at issue in this Inter Partes Review
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`proceeding). In addition, I have gained significant familiarity with claim construction issues
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`pertaining to the Patents-at-Issue.
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`9.
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`I have performed a detailed review of the Patents-at-Issue, the parties’
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`submissions in the present Inter Partes Review proceeding, and the Board’s Decision
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`instituting Inter Partes Review of the Patents-at-Issue. Additionally, I have served an
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`essential role in this Inter Partes Review proceeding, including working with the present
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`Lead Counsel to prepare the Petitioner’s Reply. Based on the foregoing, I have a detailed
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`understanding of the Patents-at-Issue and the substantive and technical issues involved in this
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`proceeding.
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`10.
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`I am currently applying for leave to appear pro hac vice before the PTAB in
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`the following related IPR proceedings: (1) IPR2016-01127; (2) IPR2016-01128; (3)
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`IPR2016-01129; (4) IPR2016-01130; (5) IPR2016-01131; and (6) IPR2016-01132. I have
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`not applied to appear pro hac vice in any other Inter Partes Review proceedings.
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`2 The “Patents-at-Issue” are U.S. Patent Nos. 8,685,930 B2; 8,629,111 B2;
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`8,642,556 B2; 8,633,162 B2; 8,648,048 B2; 9,248,191 B2.
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`-2-
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`0003
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`
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`11.
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`I hereby declare that all statements made herein of my own knowledge are true
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`and that all statements made on information and belief are believed to be true; and further
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`that these statements were made with the knowledge that willful false statements and the like
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`so made are punishable by fine or imprisonment, or both, under Section 1001 of Title 18 of
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`the United States Code.
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`
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`Date: July 7, 2017
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`/ Anna G. Phillips /
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`Anna G. Phillips
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`-3-
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`0004
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`
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`EXHIBIT A
`EXHIBIT A
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`
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`
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`0005
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`0005
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`
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`Anna G. Phillips - Attorney Biography - Wilson Sonsini Goodrich & Rosati
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`Page 1 of 1
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`Contact Information
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`900 South Capital of
`Texas Highway
`Las Cimas IV, Fifth Floor
`Austin, TX 78746
`Phone | 512-338-5447
`Fax | 512-338-5499
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`anphillips@wsgr.com
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`Areas of Expertise
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`Patent Litigation
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`ANNA G. PHILLIPS
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`Associate
`Litigation
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`EXPERIENCE:
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`Anna Phillips is an associate in the Austin office of Wilson Sonsini Goodrich &
`Rosati, where her practice focuses on patent litigation, including Hatch-Waxman
`litigation. She has successfully represented clients in district courts across the
`country and the U.S. Court of Appeals for the Federal Circuit. Anna has had
`success in obtaining favorable outcomes for her clients, including, for example,
`preliminary injunctions prohibiting further commercial sale of potentially infringing
`products. Her strong technical background provides the flexibility and expertise to
`work with a variety of technologies.
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`Prior to joining the firm, Anna served as a law clerk to the Honorable John D.
`Love of the Eastern District of Texas for three years.
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`EDUCATION:
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`(cid:1) J.D., University of San Diego School of Law, 2010
`Cum Laude; Lead Articles Editor, San Diego International Law Journal;
`Editor, Journal of Contemporary Legal Issues
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`(cid:1) B.S., Architectural Engineering, and B.A., Plan II Honors, The University of
`Texas at Austin, 2007
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`ASSOCIATIONS AND MEMBERSHIPS:
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`(cid:1) Member, The Austin Intellectual Property American Inn of Court
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`SELECT PUBLICATIONS:
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`(cid:1) "Copyright or Trademark? Can One Boy Wizard Prevent Film Title
`Duplication?" 11 San Diego International Law Journal 319, 2009
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`ADMISSIONS:
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`(cid:1) State Bar of California
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`(cid:1) State Bar of Texas
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`(cid:1) U.S. District Court for the Northern District of California
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`(cid:1) U.S. District Court for the Eastern District of Texas
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`(cid:1) U.S. District Court for the Northern District of Texas
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`(cid:1) U.S. District Court for the Southern District of Texas
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`(cid:1) U.S. District Court for the Western District of Texas
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`(cid:1) U.S. Court of Appeals for the Federal Circuit
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`https://www.wsgr.com/WSGR/DBIndex.aspx?SectionName=attorneys/BIOS/11671.htm
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`7/7/2017
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`0006
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`