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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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`APPLE INC.,
`Petitioner,
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`v.
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`REALTIME DATA LLC,
`Patent Owner.
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`Case IPR2016-01738
`Patent 8,880,862
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`JOINT STIPULATION TO MODIFY DUE DATES 2 AND 3
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`OF THE SCHEDULING ORDER
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`

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`Proceeding No.: IPR2016-01738
`Attorney Docket: 39521-0025IP2
`The parties to this proceeding have reached an agreement to extend Due
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`Dates 2 and 3 as set forth in the Scheduling Order entered on March 20, 2017
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`(Paper 8). As permitted by the Scheduling Order, the parties hereby stipulate to,
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`and jointly request entry of, the modification of Due Date 2 from August 30, 2017
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`to August 31, 2017, and Due Date 3 from September 29, 2017 to October 2, 2017.
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`This stipulation does not affect any other Due Dates set in the Scheduling
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`Order.
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`Date: September 6, 2017
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`/Jeremy J. Monaldo/
`W. Karl Renner, Reg. No. 41,265
`Jeremy Monaldo, Reg. No. 58,680
`Fish & Richardson P.C.
`3200 RBC Plaza
`60 South Sixth Street
`Minneapolis, MN 55402
`T: 202-783-5070
`F: 877-769-7945
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`Attorneys for Petitioner
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`1
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`

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`Proceeding No.: IPR2016-01738
`Attorney Docket: 39521-0025IP2
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`
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`CERTIFICATE OF SERVICE
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`Pursuant to 37 CFR §§ 42.6(e)(1) and 42.6(e)(4)(iii), the undersigned
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`certifies that on September 6, 2017, a complete and entire copy of this Joint
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`Stipulation to Modify Due Dates 2 and 3 was provided via email to the Patent
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`Owner by serving the email correspondence addresses of record as follows:
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`
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`Joseph F. Edell, Richard Z. Zhang, Desmond S. Jui (pro hac vice)
`Fisch Sigler LLP
`5301 Wisconsin Avenue NW, Fourth Floor
`Washington, DC 20015
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`William P. Rothwell, Kayvan B. Noroozi (pro hac vice)
`Noroozi PC
`2245 Texas Drive, Suite 300
`Sugar Land, TX 77479
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`Email: Joe.Edell.IPR@fischllp.com
`Richard.Zhang.IPR@fischllp.com
`Desmond.Jui.IPR@fischllp.com
`William@noroozipc.com
`Kayvan@noroozipc.com
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`/Diana Bradley/
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`Diana Bradley
`Fish & Richardson P.C.
`60 South Sixth Street, Suite 3200
`Minneapolis, MN 55402
`(858) 678-5667
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`

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`IPR2016-01738
`Patent 8,880,862 B2
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`DUE DATE APPENDIX
`INITIAL CONFERENCE CALL ...................................... UPON REQUEST
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`ADR STATEMENT DUE............................15 business days after institution
`DUE DATE 1 .............................................................................June 14, 2017
`Patent Owner’s response to the Petition
`Patent Owner’s motion to amend the patent
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`______
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`August 31, 2017
`DUE DATE 2 .........................................................................August 30, 2017
`Petitioner’s reply to Patent Owner’s response to the Petition
`Petitioner’s opposition to motion to amend
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`October 2, 2017
`DUE DATE 3 ................................................................... September 29, 2017
`Patent Owner’s reply to Petitioner’s opposition to motion to amend
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`_______
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`DUE DATE 4 ....................................................................... October 20, 2017
`Motion for observation regarding cross-examination of reply witness
`Motion to exclude evidence
`Request for oral argument
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`DUE DATE 5 ..................................................................... November 3, 2017
`Response to observation
`Opposition to motion to exclude
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`DUE DATE 6 ..................................................................... November 9, 2017
`Reply to opposition to motion to exclude
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`DUE DATE 7 ................................................................... November 30, 2017
`Oral argument (if requested)
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`9
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`

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