`Filed: August 17, 2017
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`UNITED STATES PATENT AND TRADEMARK OFFICE
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`______________
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`BEFORE THE PATENT TRIAL AND APPEAL BOARD
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`______________
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`R.J. REYNOLDS VAPOR COMPANY,
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`Petitioner
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`v.
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`FONTEM HOLDINGS 1 B.V.
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`Patent Owner
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`______________
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`Case No. IPR2016-01692
`Patent No. 9,326,548
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`PETITIONER REPLY IN SUPPORT OF
`PETITION FOR INTER PARTES REVIEW
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`TABLE OF CONTENTS
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`PETITIONER’S EXHIBIT LIST ............................................................................. iv
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`PATENT OWNER’S EXHIBIT LIST ................................................................... vii
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`I.
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`II.
`
`INTRODUCTION ........................................................................................... 1
`
`P.O.’S PROPOSED CONSTRUCTION OF “SET ON” IS
`IMPROPERLY NARROW ............................................................................. 3
`
`III. CLAIMS 1-7 ARE OBVIOUS ........................................................................ 5
`
`A.
`
`The PHOSITA would have been motivated to combine
`Hon 043 with Whittemore ..................................................................... 5
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`1.
`
`2.
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`3.
`
`Thermal Efficiency Would Have Motivated The
`Proposed Combination ................................................................ 6
`
`Reliable Liquid Delivery Provides Motivation For
`The Proposed Combination....................................................... 11
`
`Supreme Court Endorsed Rationales Support
`Combining Hon 043 and Whittemore ....................................... 12
`
`a.
`
`b.
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`c.
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`d.
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`e.
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`Combination of prior art elements according
`to known methods ........................................................... 12
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`Simple substitution ......................................................... 13
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`Known technique to improve similar devices
`in the same way .............................................................. 14
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`Known device ready for improvement ........................... 15
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`Obvious to try ................................................................. 15
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`B.
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`The Combination of Hon 043 And Whittemore Teaches
`All The Limitations of Claims 1-7 ...................................................... 16
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`1.
`
`2.
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`Hon 043 Teaches a “porous component set on a
`frame” ........................................................................................ 16
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`Hon 043 Teaches a “frame having a run-through
`hole” .......................................................................................... 21
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`C.
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`P.O. Concedes That Hon 043 Meets The “Cylindrical
`Housing” and “Cylindrical Battery” Limitations That Are
`
`
`
`i
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`
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`Also Disclosed By Voges .................................................................... 22
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`D.
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`The Combination Teaches The Limitations of Claims 2-7 ................. 23
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`IV. CLAIMS 8-10 ARE OBVIOUS .................................................................... 23
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`V.
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`CLAIMS 11-14 ARE OBVIOUS .................................................................. 24
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`VI. DR. STURGES’ OPINIONS ARE CONSISTENT AND
`RELIABLE .................................................................................................... 26
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`VII. CONCLUSION .............................................................................................. 31
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`
`ii
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`
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`TABLE OF AUTHORITIES
`
`CASES
`
`In re Fulton,
`391 F.3d 1195 (Fed. Cir. 2004) ............................................................................10
`
`In re Icon Health & Fitness, Inc.,
`496 F.3d 1374 (Fed. Cir. 2007) ............................................................................25
`
`KSR Int’l Co. v. Teleflex Inc.,
`550 U.S. 398 (2007) ...................................................................................... 12, 14
`
`OTHER AUTHORITIES
`
`Manual of Patent Examining Procedure §2143 ................................................ 14, 16
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`iii
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`PETITIONER’S EXHIBIT LIST
`
`Exhibit No.
`
`Description
`
`Exhibit 1001: U.S. Pat. No. 9,326,548 to Lik Hon
`
`Exhibit 1002: Chinese Pat. No. 2719043Y to Lik Hon
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`Exhibit 1003:
`
`Certified English translation of Chinese Pat. No.
`2719043Y to Lik Hon
`
`Exhibit 1004: U.S. Pat. No. 2,057,353 to C. L. Whittemore, Jr
`
`Exhibit 1005:
`
`WO 2005/099494, which is the PCT application
`equivalent of Hon (CN 2719043Y) (“Hon ’494”)
`
`Exhibit 1006:
`
`Certified English translation of WO 2005/099494 pursuant
`to 37 C.F.R. 42.63(b)
`
`Exhibit 1007:
`
`Application Data Sheet and Specification of U.S. Pat.
`Appl. No. 14/244,376 Filed April 3, 2014
`
`Exhibit 1008:
`
`Non-Final Office Action of September 4, 2014 in
`14/244,376
`
`Exhibit 1009: Compilation of prosecution papers filed in 14/244,376
`
`Exhibit 1010:
`
`Non-Final Office Action of August 20, 2015 in
`14/244,376
`
`Exhibit 1011: Amendment of November 20, 2015 in 14/244,376
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`Exhibit 1012: Notice of Allowance of March 15, 2016 in 14/244,376
`
`Exhibit 1013: Board’s Decision Denying Institution in IPR2015-00859
`
`Exhibit 1014: Board's Order Dismissing Petition IPR2015-01587
`
`Exhibit 1015: Declaration of Dr. Robert Sturges
`
`Exhibit 1016: Rohsenow, “Heat, Mass, And Momentum Transfer”
`
`Exhibit 1017: Merriam-Webster Definition of “Set”
`
`Exhibit 1018: U.S. Pat. No. 6,155,268 to Takeuchi
`
`Exhibit 1019: U.S. Pat. No. 4,947,874 to Brooks et al.
`
`Exhibit 1020: U.S. Pat. No. 4,629,665 to Matsuo
`
`iv
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`
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`Exhibit 1021: U.S. Pat. No. 5,894,841 to Voges
`
`Exhibit 1022: U.S. Pat. Pub. No. 2005/0016550 to Katase
`
`Exhibit 1023: U.S. Pat. No. 5,703,633 to Gehrer et al.
`
`Exhibit 1024: IPR2014-01300, Paper No. 8
`
`Exhibit 1025:
`
`Exhibit 1026:
`
`Exhibit 1027:
`
`Exhibit 1028:
`
`Exhibit 1029:
`
`Exhibit 1030:
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`Exhibit 1031:
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`Exhibit 1032:
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`Exhibit 1033:
`
`Exhibit 1034:
`
`Exhibit 1035:
`
`Exhibit 1036:
`
`Updated translator declaration attached to the Certified
`English translation of Chinese Pat. No. 2719043Y to Lik
`Hon that was previously submitted as Exhibit 1003
`submitted in accordance with PTAB Order in Paper 8
`Supplemental Declaration of Dr. Robert H. Sturges
`submitted in accordance with PTAB Order in Paper 16
`Declaration of Huo Gejun regarding Ex. 1006 submitted
`in accordance with PTAB Order in Paper 16
`IPR2016-01268, Deposition Transcript of Richard P.
`Meyst, June 7, 2017 (“Meyst 742 Dep. Tr.”)
`Deposition Transcript of Richard P. Meyst, July 21, 2017
`(“Meyst 548 Dep. Tr.”)
`IPR2016-01268, Reply Declaration of Dr. Robert Sturges
`(“Sturges 742 Reply Decl.”)
`IPR2016-01268, Supplemental Evidence Declaration of
`Dr. Robert Sturges (“Sturges 742 Suppl. Evidence Decl.”)
`IPR2016-01268, Declaration Of Richard Meyst In Support
`Of Patent Owner’s Preliminary Response To Petition For
`Inter Partes Review (“Meyst 742 Preliminary Decl.”)
`James H. Earle, “Engineering Design Graphics,” Chapter
`16
`Serope Kalpakjian, “Manufacturing Processes for
`Engineering Materials,” Chapter 2
`IPR2015-00859, Patent Owner’s Preliminary Response to
`Petition for Inter Partes Review of U.S. Pat. No.
`8,365,742
`Eugene A. Avallone et al, “Marks’ Standard Handbook for
`Mechanical Engineers,” Chapter 15
`
`Exhibit 1037: U.S. Pat. No. 2,442,004 to J. T. Hayward-Butt
`
`
`
`v
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`Exhibit 1038:
`
`Ascher H. Shapiro, “Shape and Flow: The Fluid Dynamics
`of Drag,” Chapter VI
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`Exhibit 1039: Reply Declaration of Dr. Robert Sturges
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`vi
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`PATENT OWNER’S EXHIBIT LIST
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`Exhibit No.
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`Description
`
`Exhibit 2001: Declaration of Richard Meyst (“Meyst Decl.”)
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`Exhibit 2002: U.S. Patent No. 8,365,742 to Hon
`
`Exhibit 2003:
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`Exhibit 2004:
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`Exhibit 2005:
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`Exhibit 2006:
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`Exhibit 2007:
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`Exhibit 2008:
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`Exhibit 2009:
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`Exhibit 2010:
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`Exhibit 2011:
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`Exhibit 2012:
`
`VMR Products LLC v. Fontem Holdings 1 B.V., IPR2015-
`00859, Paper 2, Petition for Inter Partes Review of
`8,365,742, March 10, 2015
`Dominion Dealers Solutions, LLC v. Autoalert, Inc.,
`IPR2013-00220, Paper 13, Decision on Request for
`Rehearing, October 10, 2013
`Nu Mark LLC v. Fontem Holdings 1 B.V., IPR2017-
`00204, Paper 1, Petition for Inter Partes Review of
`9,326,548, November 4, 2016
`Examiner Interview Summary of 12/01/2015 interview
`with Examiner Mayes and Supervisory Examiner Wilson
`in U.S. Patent Application No. 14/244,376 issued as U.S.
`Patent No. 9,326,548 B2
`Statement of Related Applications filed 01/13/2016 in
`U.S. Patent Application No. 14/244,376
`Notice of Allowance in U.S. Patent Application No.
`14/244,376 dated 03/15/2016
`Statement of Related Applications filed 12/22/2015 in
`U.S. Patent Application No. 13/740,011
`Notice of Allowance in U.S. Patent Application No.
`13/740,011 dated 06/21/2016
`Office Action in U.S. Patent Application No. 13/079,937
`dated 07/19/2012
`Examiner Interview Summary in U.S. Patent Application
`No. 13/079,937 dated 08/23/2012
`
`Exhibit 2013: U.S. Patent No. 1,775,947 to Robinson
`
`Exhibit 2014: U.S. Patent No. 5,144,962 to Counts
`
`Exhibit 2015: EP 0 845 220 B1 to Susa
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`vii
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`
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`Exhibit 2016: IPR2016-01268, Ex. 1001 (U.S. Patent No. 8,365,742)
`
`Exhibit 2017:
`
`IPR2016-01268, Ex. 1020 (Sturges Supplemental
`Declaration)
`
`Exhibit 2018:
`
`IPR2016-01268, Ex. 2016 (Deposition Transcript of
`Robert Sturges, March 8, 2017)
`
`Exhibit 2019: IPR2016-01268, Ex. 2015 (Second Meyst Declaration)
`
`Exhibit 2020: New Oxford American Dictionary, 2001, selected pages
`
`Exhibit 2021:
`
`Exhibit 2022:
`
`Exhibit 2023:
`
`Exhibit 2024:
`
`Exhibit 2025:
`
`Random House Webster’s Unabridged Dictionary, 2001,
`selected pages
`NJOY, Inc. v. Fontem Holdings 1 B.V., IPR2014-01300,
`Paper 39, Order Terminating Proceeding (PTAB
`November 24, 2015)
`Nu Mark LLC v. Fontem Holdings B.V. 1, IPR2016-
`01285, Paper 10, Decision Denying Inter Partes Review
`(PTAB November 30, 2016)
`Fluent 6.3 Users Guide, Fluent, Inc., Lebanon, NH,
`September 2006 (excerpt)
`R.J. Reynolds Vapor Company v. Fontem Holdings 1 B.V.,
`IPR2016-01527, Paper 10, Decision Denying Inter Partes
`Review, (PTAB January 30, 2017)
`
`Exhibit 2026: RESERVED
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`Exhibit 2027: RESERVED
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`Exhibit 2028: Declaration of Peter Sher
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`Exhibit 2029: IPR2016-01268, Ex. 1015 (Sturges Declaration)
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`Exhibit 2030: Second Declaration of Richard Meyst
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`Exhibit 2031: Deposition Transcript of Robert Sturges, May 10, 2017
`
`Exhibit 2032: U.S. Patent No. 1,968,509 to Tiffany
`R. Sabersky and Allan J. Acosta, “Fluid Flow: A First
`Course in Fluid Mechanics,” The Macmillan Company,
`New York, 1964 (excerpt)
`
`Exhibit 2033:
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`Exhibit 2034: Declaration of Gabriel Flores
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`viii
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`
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`Exhibit 2035:
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`Exhibit 2036:
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`Exhibit 2037:
`
`Choe, Heeman et al., “Mechanical properties of oxidation-
`resistant Ni-Cr foams,” Materials Science and Engineering
`A384, pp. 184-193, May 2004
`Xi, Zhengping et al., “Progress of Application Researches
`of Porous Fiber Metals,” Materials, Vol. 4, pp. 816-824,
`April 19, 2011
`Su, Wei-Fang, “Principles of Polymer Design and
`Synthesis,” Springer, Heidelberg, 2013, Chapter 2 -
`Polymer Size and Polymer Solutions
`
`
`
`ix
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`
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`I.
`
`INTRODUCTION
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`The conclusion of obviousness is straightforward. Hon 043 discloses the
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`claimed invention with the exception that Hon 043’s heating wire is not wound on
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`a part of the porous component. However, that teaching is indisputably provided
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`by Whittemore. Opp., 12. It would have been obvious to include Whittemore’s
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`wire-wrapped wick in Hon 043 to achieve the predicted result of improved heating
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`efficiency. The proposed combination is also supported by numerous Supreme
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`Court endorsed rationales.
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`Patent Owner (“P.O.”) devotes a majority of its opposition arguing that Hon
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`043 is allegedly missing the porous component “set on” a frame with a “run-
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`through hole” limitations. But as illustrated below, Hon 043’s porous body 27 is
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`“set on” the cavity wall 25 in the same way the 548 patent’s porous component 81
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`is “set on” a portion of the frame 82. Moreover, Hon 043’s ejection holes 24 are
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`run-through holes.
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`Ex. 1003-00016, Fig. 6
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`Ex. 1001-00010, Fig. 18
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`1
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`Porous
`Body
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`Ejection
`hole
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`Cavity Wall
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`Interfaces
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`
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`In arguing otherwise, P.O. advocates improperly narrow constructions that
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`are contrary to both the plain meaning and the intrinsic evidence. Nevertheless,
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`Hon 043 discloses the “set on” and “run-through hole” limitations even under
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`P.O.’s improperly narrow constructions.
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`P.O. also argues that atomization efficiency would not have motivated the
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`PHOSITA to modify Hon 043 to include Whittemore’s wick. But P.O.’s argument
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`is based on incorrect characterizations of Hon 043’s operation. Hon 043’s relevant
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`embodiment relies on convection – not direct heating – for atomization. Moreover,
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`P.O. has no good answer for the numerous other Supreme Court endorsed
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`rationales that support the proposed combination.
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`Also without merit are P.O.’s attempts to discredit Petitioner’s expert, Dr.
`
`Sturges. Sturges’ opinions are consistent, factually grounded, and based upon
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`sound reasoning.
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`The Board’s initial reaction in granting review was correct. Adding
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`Whittemore’s wick to Hon 043’s e-cigarette is an obvious modification, not a
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`patentable invention. The full record confirms that claims 1-14 should be
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`cancelled.
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`2
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`II.
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`P.O.’S PROPOSED CONSTRUCTION OF “SET ON” IS
`IMPROPERLY NARROW
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`A “porous component set on a frame” simply means that the porous
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`component is positioned, i.e., sits, on the frame. The plain and ordinary meaning
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`of “set” is “1: to cause to sit: place in or on a seat,” or “8: to cause to assume a
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`specified posture or position.” Ex. 1017-00004. Consistent with that plain
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`meaning, the 548 specification illustrates the porous component positioned on the
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`frame.
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`
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`Ex. 1001, Fig. 18
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`P.O. counters that “set on” means that the porous component is held in place
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`by the frame. There are two fundamental problems with P.O.’s proposed
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`construction. First, P.O. narrowly interprets “set” to mean “held in place.”
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`Second, P.O. interprets “on” to mean “by.” Thus, even if “set” were narrowly
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`construed to mean “held in place” (and it should not), P.O.’s construction further
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`rewrites the limitation to say the porous component is held in place by – rather than
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`3
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`Interfaces
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`
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`on – the frame. But the claim says “set on” – not “set by” – the frame. Ex. 1039,
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`¶¶6-12. P.O. never explains why “on” should be construed to mean “by.”
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`The intrinsic evidence supports Petitioner’s, not P.O.’s, proposed
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`construction. Opp., 16-18. Claims 1 and 8 merely refer to the position of the
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`porous component. The porous component is “set on”, i.e., is positioned on, the
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`frame, and the part wrapped in heating wire coil is positioned in “an airflow path in
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`the atomizer assembly.” Ex. 1001, 5:61-65, Figs. 17-18; Ex. 1039, ¶¶7-8. There is
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`no requirement that the porous component is held in place, by the frame or
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`otherwise.
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`Similarly, “set on” as used in the specification signals the relative position of
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`two components. The porous component is positioned on (“set on”) the frame as
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`illustrated in Figs. 17 and 18. Ex. 1001, 5:61-65. The restriction component
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`likewise is positioned on (“set on” or “installed on”) one end of the porous
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`component. Id., 5:17-27; Ex. 1039, ¶¶7-8, 12. The specification is silent about
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`how or what holds these components in place.
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`The dictionary definitions also do not support P.O.’s proposed construction.
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`Opp., 18. Instead, they confirm that “set” signifies position. See e.g., Ex. 2021,
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`p.1751 (“set” defined as “1. to put (something or someone) in a particular place . . .
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`6. to put in the proper position.”); Ex. 2020, p.1559 (“put, lay, or stand (something)
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`
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`4
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`
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`in a specific place or position”) (emphasis included). Although “set” may
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`encompass something that is fixed, it certainly does not require it. Ex. 1039, ¶10.
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`Nevertheless, the “set on” limitation is met by Petitioner’s proposed
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`combination under either proposed construction.
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`III. CLAIMS 1-7 ARE OBVIOUS
`
`A. The PHOSITA would have been motivated to combine Hon
`043 with Whittemore
`
`As illustrated below, it would have been obvious to incorporate
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`Whittemore’s wire-wrapped wick into the e-cigarette of Hon 043. The predicted
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`result would be the reliable transport of liquid to the heating wire for atomization
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`by direct heating, which is thermally more efficient than Hon 043’s indirect,
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`convective heating. Petition, 25-26.
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`
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`Petition, 25
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`5
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`
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`1.
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`Thermal Efficiency Would Have Motivated The
`Proposed Combination
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`In an effort to strip the motivation for the proposed combination, P.O.
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`inflates Hon 043’s purported thermal efficiency.
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`P.O. incorrectly portrays Hon 043, contending that ejection holes 24 are
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`“plain orifice” atomizers, which purportedly require no thermal energy. Opp., 21-
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`23. But ejection holes are not atomizers, so it is irrelevant that they require no
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`thermal energy. Ex. 1039, ¶¶37, 59-64. Atomization occurs after the liquid
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`droplets are ejected from holes 24:
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`The high speed stream passing through the ejection holes [24] drives
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`the nicotine solution in the porous body 27 to eject into the
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`atomization cavity 10 in the form of droplet[s], where the nicotine
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`solution is subjected to the ultrasonic atomization by the first
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`piezoelectric element 23 and is further atomized by the heating
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`element 26.” Ex. 1003-00010-11 (emphasis added).
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`
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`In an alternative embodiment, Hon 043 teaches that the first piezoelectric
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`element may be omitted, and atomization is performed exclusively by heating
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`element:
`
`
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`6
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`
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` [t]o simplify the design, the first piezoelectric element 23 . . . can be
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`omitted, and the atomization of the nicotine solution will be made
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`only by the heating element 26.” Ex. 1003-00011 (emphasis added).
`
`Of course, if ejection holes were atomizers, then Hon 043’s statement that
`
`atomization is “only by” heating element in an embodiment that also includes
`
`ejection holes would be nonsensical.
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`
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`And although the droplets ejected from Hon 043’s holes 24 may be “small,”
`
`that does not mean they are atomized. Ex. 1039, ¶¶59, 61. Indeed, because the
`
`droplets are not atomized, Hon 043 always requires at least one of heating element
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`26 or piezoelectric element 35. Id.
`
`P.O. speculates that heating Hon 043’s “pre-formed” liquid droplets “may”
`
`be more thermally efficient than heating the “bulk” liquid in Whittemore’s wick.
`
`Opp., 23. However, most of the “pre-formed” liquid droplets bypass Hon 043’s
`
`heating wire, and thus are heated by convection. In contrast, Whittemore is
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`thermally more efficient because the liquid comes into direct contact with
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`Whittemore’s heating element. Ex. 1015, ¶¶62-66, Ex. 1026, ¶¶4-11, Ex. 1039,
`
`¶¶46-49.
`
`P.O. also challenges Sturges’ purported “assumption” that only a small
`
`percentage of droplets strike Hon 043’s heating wire. But P.O. and its expert reach
`
`the same conclusion as Sturges. As they note, replacing Hon 043’s heating wire
`7
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`
`
`
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`with a heated sheet would “cause a much larger percentage of droplets” to
`
`directly contact the heating element. Opp., 21, 24 (emphasis added).1 This
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`statement confirms Sturges’ opinion that only a relatively small percentage of
`
`droplets strike Hon 043’s heating wire. Indeed, this is just plain common sense,
`
`given the relatively small space occupied by Hon 043’s heating wire. Ex. 1039,
`
`¶52; Ex. 1003-00016. 2
`
`And even with respect to droplets “aimed” at Hon 043’s heating wire, the
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`PHOSITA would have understood that slipstream flow would cause most of those
`
`droplets to bypass the heating wire. Ex. 1026, ¶¶7-11.
`
`
`1 P.O. incorrectly contends that Sturges did not know that Hon 043 disclosed a
`
`heating sheet. Opp., 24. Sturges merely noted that a particular type of heating
`
`sheet was not disclosed, i.e., a sheet that would capture and retain liquid droplets.
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`Ex. 2018, 162:22-168:14.
`
`2 As the PHOSITA would have understood, in order to prolong battery life, Hon
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`043’s heating wire is relatively thin, occupying a relatively small space within the
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`atomization chamber. Ex. 1039, ¶¶51-53.
`
`8
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`
`
`
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`Ex. 1026-00007
`
`
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`Hon 043 implicitly acknowledges the presence of slipstream. The “eddy
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`flow” referenced by Hon 043 (Ex. 1003-00011) is caused by the heating wire,
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`which disrupts airflow, resulting in an eddying wake downstream and a boundary
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`layer upstream of the heating wire. The upstream boundary layer causes a majority
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`of the droplets to bypass the heating wire. Ex. 1039, ¶¶56-57. The PHOSITA
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`would have understood that Whittemore’s wick would compensate for slipstream
`
`by transporting liquid directly to Hon 043’s heating wire. Id., ¶49, Ex. 1015, ¶¶
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`62-66; Ex. 1026, ¶¶ 4-11.
`
`P.O. argues that Whittemore’s wick is unnecessary, because a shape heating
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`wire would purportedly “mitigate” slipstream. Opp., 25-26.3 But P.O. never
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`3 P.O.’s supporting figure (Opp., 26) is contrived, and in any event does not
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`accurately reflect fluid flow. Ex. 1039, ¶¶57-58.
`
`
`
`9
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`
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`explains how a coiled wire addresses slipstream flow, or would otherwise cause
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`more droplets to strike the heating element. Opp., 25-26; Ex. 1039, ¶¶57-58.4
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`P.O. also argues that, instead of using Whittemore’s wick, the PHOSITA
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`would have made other modifications designed to increase the number of droplets
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`striking the Hon 043’s heating element, such as by adjusting the spray pattern
`
`and/or making the heating element larger. Opp., 26-27. But the PHOSITA would
`
`have appreciated that these solutions had shortcomings. For example, regardless of
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`the spray pattern, slipstream would nonetheless limit the extent to which droplets
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`would strike Hon 043’s heating element. Ex. 1039, ¶¶50-56. Significantly
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`increasing the size of the heating element could interfere with airflow and would
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`decrease battery life. Id.
`
`Nevertheless, even if the PHOSITA would have considered P.O.’s
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`alternative solutions, this does not make using Whittemore’s wick non-obvious.
`
`See In re Fulton, 391 F.3d 1195, 1201 (Fed. Cir. 2004) (“The prior art’s mere
`
`
`4 Sturges never “confirmed” that slipstreams play no role in Hon 043. Opp., 26.
`
`Sturges testified that he lacked sufficient information to determine whether
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`stacking several cylinders would change the flow pattern shown in Fig. 6-1d of
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`Ex. 1026-00007. Ex. 2031, 106:14-107:10.
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`10
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`
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`disclosure of more than one alternative does not constitute a teaching away from
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`any of these alternatives because such disclosure does not criticize, discredit, or
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`otherwise discourage the solution claimed…”).
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`Finally, the POHISTA would have retained the ejection holes because they
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`control airflow through Hon’s device. Ex. 1039, ¶¶45-46, 48.
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`2.
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`Reliable Liquid Delivery Provides Motivation For
`The Proposed Combination
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`Disputing the motivation for incorporating Whittemore’s wick, P.O. argues
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`that Hon 043’s porous body 27 already transports liquid via capillary action for
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`atomization at the ejection holes 24 or 30. Opp., 29-30. But Hon 043’s ejection
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`holes are not atomizers. Rather, droplets are atomized by Hon’s heating element
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`after they are ejected into Hon 043’s atomization cavity. The PHOSITA would
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`have been motivated to insert Whittemore’s wick so that liquid is reliably
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`transported from Hon 043’s porous body to the heating element for atomization by
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`direct heating.
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`P.O.’s “teaching away” argument fares no better. The PHOSITA would not
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`have been concerned about Whittemore’s wick reabsorbing liquid droplets in the
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`proposed combination. The droplets ejected by Hon 043’s holes 24 are not
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`atomized. Hon 043 teaches that large droplets are reabsorbed by Hon 043’s porous
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`body 27 through overflow holes 29. Ex. 1003-00011. That some of these droplets
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`11
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`
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`might instead be reabsorbed by Whittemore’s wick would not have caused the
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`PHOSITA any concern. And even if droplets ejected from holes 24 were
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`sufficiently small to be considered atomized, the PHOSITA would have
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`understood that few if any droplets would be reabsorbed by Whittemore’s wick,
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`because Whittemore’s wire-wrapped wick is designed to release vaporized liquid,
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`not reabsorb atomized liquid droplets. Ex. 1039, ¶¶37-38.
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`3.
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`Supreme Court Endorsed Rationales Support
`Combining Hon 043 and Whittemore
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`There are numerous Supreme Court endorsed rationales that support the
`
`proposed combination, any one of which standing alone is sufficient to support
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`Petitioner’s obviousness case.5
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`a.
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`Combination of prior art elements according to
`known methods
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`In the proposed combination, the heating coil and wick perform the same
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`functions as they do separately. The wick transports liquid via capillary action.
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`The heating wire vaporizes liquid. See e.g., KSR Int’l Co. v. Teleflex Inc., 550 U.S.
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`398, 416 (2007) (a combination that “only unites old elements with no change in
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`their respective functions” is obvious).
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`5 Notwithstanding P.O.’s contention, Petitioner applied these Supreme Court
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`endorsed rationales to the specific facts of this case. Petition, 27-30.
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`
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`12
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`
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`P.O.’s contention that the heating wire performs a different function in the
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`proposed combination is without merit. Opp., 31-32. Whether it “further
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`atomizes” (as in one Hon 043 embodiment) or “solely” atomizes (as in the
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`proposed combination), the heating wire atomizes liquid. P.O. also ignores that
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`Hon 043 discloses an embodiment in which atomization is “only” by the heating
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`wire, just as in the proposed combination. Ex. 1003-00011.
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`b.
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`Simple substitution
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`P.O. does not seriously dispute that the proposed combination is the
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`substitution of one known element (Whittemore’s wire-wrapped wick) for another
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`(Hon 043’s heating wire) to obtain predictable results.
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`Instead, P.O. irrelevantly faults Petitioner for failing to explain the fate of
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`the droplets ejected from Hon 043’s ejection holes in the proposed combination.
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`They meet the same fate as taught by Hon 043. Atomized droplets are carried
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`away in an aerosol while un-atomized droplets are reabsorbed by the porous body
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`27 via the overflow holes. Ex. 1003-0010- 11; Ex. 1039, ¶¶37-38, 46, 48.
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`Also without merit is P.O.’s alternative “simple” substitution, which
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`involves substituting Whittemore’s wire-wrapped wick for Hon 043’s wire and
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`porous body. Opp., 34. But P.O.’s proposed substitution would involve a major
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`redesign that, as even P.O.’s expert acknowledges, the PHOISTA would not
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`
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`13
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`
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`consider to be an improvement over Hon 043. Ex. 1028, 128:6-16. Sturges agrees.
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`Ex. 1039, ¶48.
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`The simplest and most straightforward substitution that the PHOSITA would
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`have pursued, and the one that poses a minimal impact on airflow through Hon
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`043’s device, is to substitute Whittemore’s wire-wrapped wick for Hon 043’s
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`heating wire. Id.
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`c.
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`Known technique to improve similar devices in the
`same way
`
`An invention that improves a “base” device in the same way as a
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`“comparable” device is obvious. See KSR, 550 U.S. at 417 (a claim is obvious “if
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`a technique has been used to improve one device, and a person of ordinary skill in
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`the art would recognize that it would improve similar devices in the same way”);
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`MPEP §2143(I)(C).
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`Hon 043 is the “base” device and Whittemore is the “comparable” device.
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`The wick improves the “base” Hon 043 device in the same way as it improves the
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`“comparable” Whittemore device; it provides for the reliable delivery of liquid to a
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`heating element for atomization by direct heating. Ex. 1039, ¶47.
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` P.O. misapplies the analysis, wrongly contending that Petitioner was
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`obligated to identify a second “base” device that is “comparable” to Hon 043 and
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`which Whittemore improves upon. Opp., 35-36. But the only base device required
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`
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`14
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`
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`by the analysis is the device that the invention improves upon, which as noted
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`above is Hon 043.
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`d. Known device ready for improvement
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`P.O. argues that Hon 043 was not ready for the improvement taught by
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`Whittemore. According to P.O., Hon 043 “already makes use” of a porous body to
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`deliver liquid to ejection holes 24 where the liquid is purportedly atomized. Opp.,
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`38. But this argument is based upon the same mischaracterization of Hon 043
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`repeated throughout P.O.’s opposition. Hon 043’s ejection holes are not atomizers.
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`Ex. 1039, ¶¶37, 59-64. Instead, the droplets ejected from holes 24 are atomized in
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`the atomization cavity by convective heat from the heating wire.
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`Thus, the PHOSITA would have recognized that Hon 043 was ready for the
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`improvement taught by Whittemore. By adding Whittemore’s wick, liquid is
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`transported from Hon 043’s porous body to the heating wire where it is atomized
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`by direct heating. Id., ¶¶46-47.
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`e.
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`Obvious to try
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`For an invention to be obvious to try there must have been “a recognized
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`problem or need in the art” with “a finite number of identified, predictable
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`solutions.” MPEP §2143(I)(E). As Petitioner explained, Whittemore’s wire-
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`wrapped wick was one of a finite number of identified, predictable solutions, for
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`solving Hon 043’s thermal inefficiency problem. Petition, 29-30.
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`15
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`
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`
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`P.O. responds that Hon 043’s ejection holes were not a recognized problem
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`but instead an “atomization method.” But, as already noted, Hon 043’s ejection
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`holes are not atomizers; they are an inefficient means for delivering liquid to a
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`heating wire for atomization.
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`B.
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`The Combination of Hon 043 And Whittemore Teaches All
`The Limitations of Claims 1-7
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`P.O. argues that the proposed combination is missing a porous component
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`“set on a frame” with the frame having a “run-through hole.” Opp., 40. P.O. is
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`mistaken.
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`1. Hon 043 Teaches a “porous component set on a
`frame”
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`Hon 043’s porous body 27 is “set on” cavity wall 25 in essentially the same
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`manner as the 548 patent’s porous component 81 is “set on” a part of the frame 82.
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`Hon 043’s porous body and the 548 patent’s porous component, respectively,
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`envelop the portion of the frame upon which they are set.
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`
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`
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`Ex. 1003, Fig. 6
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`
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`
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`
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`Ex. 1001, Fig. 18
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`
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`16
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`Porous
`Body
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`Cavity Wall
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`Interfaces
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`
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`P.O. responds that, because Hon 043’s cavity wall 25 purportedly does not
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`provide weight-bearing support for porous body 27, the porous body cannot be
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`sitting on the cavity wall. Opp., 41-42. But the “set on” limitation merely requires
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`that the porous body is positioned on the cavity wall, regardless of whether the
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`cavity wall provides actual weight-bearing support.
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`Nevertheless, Hon 043’s cavity wall provides weight-bearing support in the
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`same manner as the 548 patent’s frame provides weight-bearing support for the
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`porous component. The frames of both Hon 043 and the 548 patent support the
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`weight of the liquid-filled porous body so that it does not sag, impinging upon the
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`atomization cavity. Ex. 1039, ¶¶20-21; Ex. 2018, 126:12-17, 186:23-187:15; Ex.
`
`1035, ¶45.
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`
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`
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`Ex. 1003, Fig. 6
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`
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`
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`Ex. 1001, Fig. 18
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`
`
`17
`
`Porous
`Body
`
`Force of
`gravity
`
`Atomization
`Cavity Wall
`
`Frame
`
`Porous
`component
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`Force of
`gravity
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`
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`In arguing otherwise, P.O. relies on the Board’s decision in IPR2015-00859
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`refusing to institute trial on claims from a different patent. Nonetheless, the record
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`here is different and more fully developed. As Sturges explains, and P.O.’s expert
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`agrees, Hon 043’s porous body 27 may be made from relatively compliant
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`materials. Ex. 1015, ¶77; Ex. 1026, ¶¶12-19; Ex. 1029, 17:8-18:6. As such, Hon
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`043’s porous body would sag but for the weight-bearing support provided by
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`cavity wall 25. Ex. 1030, ¶¶21-22; Ex. 2018, 126:12-17, 186:23-187:15. Thus,
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`even if weight-bearing support is the litmus test, the porous body is “set on” the
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`frame under P.O.’s proposed construction.
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`Also without merit are P.O.’s linguistic gymnastics. Pointing to the
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`annotated figure below, P.O. argues that it shows the cavity wall “sitting in or on
`
`the porous body – not the porous body ‘sitting on’ the cavity wall;” and that the
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`cavity wall 25 is “placed in” the porous body but the porous body is not “placed
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`on” the cavity wall. Opp. 42-43. But in this case a picture is worth a thousand
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`words. Regardless of P.O.’s spin, Hon 043’s porous body sits on the cavity wall;
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`there is simply no getting around that.6
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`