`
`BEFORE THE PATENT TRIAL AND APPEAL BOARD
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`Bright House Networks, LLC,
`WideOpenWest Finance, LLC,
`Knology of Florida, Inc.
`Birch Communications, Inc.
`Petitioners
`
`v.
`
`Focal IP, LLC,
`Patent Owner
`
`Case No. IPR2016-01263
`U.S. Patent No. 8,155,298
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`PETITIONERS’ FIRST SET OF OBJECTIONS TO PATENT OWNER’S
`EVIDENCE PURSUANT TO 37 C.F.R. 42.6
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`
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`Pursuant to 37 C.F.R. § 42.64(b)(1), Petitioners Bright House Networks,
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`LLC, WideOpenWest Finance, LLC, Knology of Florida, Inc., and Birch
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`Communications, Inc. (collectively “Petitioners”) hereby submit the following
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`objections to Patent Owner Focal IP, LLC’s (“Patent Owner”) Exhibits 2011,
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`2021, 2023-2026, and 2027-2030, and any reference to/reliance on the foregoing,
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`in Patent Owner’s Response in the above-captioned inter partes review
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`(“Response”). As required by 37 C.F.R. § 42.62, Petitioners’ objections below
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`apply the Federal Rules of Evidence (“F.R.E.”).
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`Petitioners’ objections are timely under 37 C.F.R. § 42.64(b)(1) because
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`they are being filed and served within five (5) business days of the filing of Patent
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`Owner’s Response on April 3, 2017. Petitioners’ objections provide notice to
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`Patent Owner that Petitioners may move to exclude these exhibits under 37 C.F.R.
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`§ 42.64(c).
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`I.
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`OBJECTIONS TO EXHIBITS 2021, 2024, 2025, AND 2027- 2030, AND ANY
`REFERENCE TO/RELIANCE THEREON
`Evidence objected to: Exhibits 2021, 2024, 2025, and 2027-2030, and any
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`reference to or reliance thereon. Exhibits 2021 and 2027 are respective copies of
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`excerpts of the trial transcript of the cross-examination of Mr. Dean Willis, and
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`excerpts of a declaration of Mr. Dean Willis, from inter partes review proceedings
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`IPR2016-01254 and IPR2016-01257. Exhibit 2024 is a copy of excerpts of Cisco
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`1
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`
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`Systems, Inc.’s petition for inter partes review from inter partes review proceeding
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`IPR2016-01254.
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`Exhibits 2028-2030 are respective copies of excerpts of the trial transcript of
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`the cross-examination of Dr. Tal Lavian, and excerpts of a declaration of Dr. Tal
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`Lavian, from inter partes review proceedings IPR2016-01256, IPR2016-01258,
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`and IPR2016-01260. Exhibit 2025 is a copy of excerpts of YMax Corporation’s
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`petition for inter partes review from inter partes review proceeding IPR2016-
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`01260.
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`Neither Mr. Willis nor Dr. Lavian are witnesses in the present proceeding
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`and have not submitted declarations or any direct testimony in the present case.
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`Additionally, neither Cisco Systems, Inc. nor YMax Corporation are petitioners in
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`the present case.
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`Grounds for objection:
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`In addition to the objections already made of record during the cross
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`examination as reflected in the transcripts per 37 C.F.R. § 42.64(a) for Exhibits
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`2021 and 2029, Petitioners object to Exhibits 2021, 2024, 2025, and 2027-2030,
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`and Patent Owner’s reference to or reliance thereon, under F.R.E. 106
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`(incomplete), 402 (relevance), 403 (confusing, waste of time, unfair prejudice),
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`and/or 1006 (improper summary), as testimony of persons that are not witnesses
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`nor declarants in the present case, as submissions by entities that are not petitioners
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`2
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`in the present case, as incomplete transcripts and submissions of such witnesses
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`and entities, and as Patent Owner’s reference to or reliance thereon is taken out of
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`context.
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`Petitioners also object to Exhibits 2021 and 2029 under Rule 106
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`(incomplete) and Rule 403 (misleading, confusing, unfair prejudice) to the extent
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`they respectively lack Mr. Willis’ and Dr. Lavian’s errata sheet.
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`II. OBJECTIONS TO EXHIBIT 2011 AND ANY REFERENCE TO/RELIANCE
`THEREON
`Evidence objected to: Exhibit 2011 and any reference to or reliance thereon.
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`Exhibit 2011 is an opening claim construction expert declaration of Dr. Eric
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`Burger filed by Bright House Networks, LLC, WideOpenWest Finance, LLC,
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`Knology of Florida, Inc., Birch Communications, Inc., and T3 Communications,
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`Inc., in district court litigation Case Nos. 3:15- cv-742-J-32MCR, 3:15-cv-743-J-
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`32MCR, 3:15-cv-746-J-32MCR, 3:15-cv-747-J-32MCR.
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`Grounds for objection:
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`Petitioners object to Exhibit 2011, and Patent Owner’s reference to or
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`reliance thereon, under F.R.E. 402 (relevance) and 403 (confusing, waste of time,
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`unfair prejudice) as this declaration was filed in a different forum with a different
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`claim construction standard and its use would unfairly prejudice Petitioners, waste
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`time and confuse the issues in this proceeding.
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`III. OBJECTIONS TO EXHIBIT 2023 AND 2026, AND ANY REFERENCE
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`3
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`
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`TO/RELIANCE THEREON IN THIS PROCEEDING
`Evidence objected to: Exhibits 2023 and 2026 and any reference to or
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`reliance thereon in this proceeding. Exhibit 2023 is a copy of excerpts from a
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`petition for inter partes review from inter partes review proceeding IPR2016-
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`01261. Exhibit 2026 is a copy of excerpts from the declaration of Dr. Thomas F.
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`La Porta from inter partes review proceeding IPR2016-01262. IPR2016-01261
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`and IPR2016-01262 are both different proceedings from this proceeding (IPR2016-
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`01263), and Petitioners challenge different patents, and different claims in such
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`patents, in IPR2016-01261 and IPR2016-01262 than in this proceeding.
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`Grounds for objection:
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`Petitioners object to Exhibits 2023 and 2026, and Patent Owner’s reference
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`to or reliance thereon in this proceeding, under F.R.E. 106 (incomplete), 402
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`(relevance), 403 (confusing, waste of time, unfair prejudice), and/or 1006
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`(improper summary), because the exhibits do not contain the opinions of Dr.
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`Thomas F. La Porta, or the submissions of Petitioners, that are relevant to this
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`proceeding, the challenged patent in this proceeding, nor the challenged claims in
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`this proceeding.
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`4
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`Respectfully submitted,
`BAKER BOTTS LLP
`
`By:
`
`/s/ Wayne Stacy
`Wayne Stacy
`Reg. No. 45,125
`Lead Counsel
`
`Dated: April 10, 2017
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`BAKER BOTTS LLP
`ATTN: Wayne Stacy
`101 California Street
`Suite 3070, 30th Floor
`San Francisco, CA 94111
`
`Tel: 214-953-6678
`Fax: 415-291-6300
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`
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`5
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`
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`CERTIFICATE OF SERVICE
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`Pursuant to 37 C.F.R. § 42.53, the undersigned certifies that on April 10, 2017, a
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`complete and entire electronic copy of Petitioners’ Objections to Patent Owner’s
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`Evidence Pursuant to 37 C.F.R. § 42.6 was served electronically via email on the
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`following:
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`Brent N. Bumgardner
`brent@nelbum.com
`PAL-IPR@nelbum.com
`
`John Murphy
`murphy@nelbum.com
`
`NELSON BUMGARDNER, P.C.
`3131 W. 7th Street, Suite 300
`Fort Worth, Texas 76107
`
`Victor Siber
`vsiber@siberlaw.com
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`Hanna Madbak
`hmadbak@siberlaw.com
`
`By: /s/ Christopher J. Tyson
`Christopher J. Tyson
`Reg. No. 63,850
`Back-up Counsel
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`1
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