`BEFORE THE PATENT TRIAL AND APPEAL BOARD
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`ACUITY BRANDS LIGHTING, INC.,
`Petitioner
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`v.
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`LYNK LABS, INC.,
`Patent Owner
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`
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`Case IPR2016-01133
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`U.S. Patent No. 8,841,855
`Title: LED Circuits and Assemblies
`Filed: April 19, 2012
`Issued: September 23, 2014
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`DECLARATION OF LISA M. SCHOEDEL
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`Acuity v. Lynk
` IPR2016-01133
`Acuity Ex.
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`1030
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`I, Lisa M. Schoedel, declare the following:
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`1.
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`I am an attorney at Jenner &Block, LLP.
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`2.
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`I was a principal draftsperson for both petitions for IPR Case No.
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`2016-01116 and IPR Case No. 2016-01133 (collectively, the "Lynk IPRs").
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`3.
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`All of Jenner &Block's time, including my time, billed for working
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`on the Lynk IPRs after the sale of Juno to Petitioner Acuity on December 10, 2015
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`was billed to Acuity, and not to Schneider Electric USA, Inc. ("SE USA").
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`4.
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`At all times since December 10, 2015, Acuity has controlled, directed
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`and been responsible for paying for Jenner &Block's work on the Lynk IPRs.
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`5.
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`At all times since December 10, 2015, SE USA has not controlled,
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`directed, or paid for any of Jenner &Block's work on the Lynk IPRs, nor has SE
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`USA had any input, feedback, or involvement in any way in the Lynk IPRs.
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`~
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`~
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`~
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`I hereby declare under penalty of perjury that all statements made herein of
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`my own knowledge are true and correct and that all statements made on
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`information and belief are believed to be true and correct.
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`Executed September 30, 2016
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`~ %~v (- t!~~~L~=e-C
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`Lisa M. Schoedel