throbber
Papst Licensing GmbH & Co., KG.
`Petitioner - Apple, Inc.
`Patent Owner - Papst Licensing GmbH & Co., KG.
`IPR2016-01842
`EXH. 2002
`
`1
`
`

`

`Applicant: Michael Tasler
`Application No.: Not yet assigned
`Filed: Herewith
`
`Date: August 24, 2006
`Page— 8 -
`
`Operating A Scanner Which Emulates A Disk Drive," is not prior art to any of the
`
`claims submitted herewith. The earliest US filing date of this patent (March 20,
`
`1997) is sixteen days after the earliest effective filing date of the currently
`
`pending claims, which is the March 4, 1997 filing date of German application no.
`
`197 08 755. The Examiner's confirmation of this is earnestly solicited.
`
`US Patent No. 5,508,821 is entitled "Image Scanner And Image Forming
`
`Apparatus With An Interface For Connection With An External Computer."
`
`Column 4, lines 21—23 of this patent state that the "image scanner 20 emulates the
`
`file system of ‘UNIX’ as if it were a hard disc. Accordingly, the image scarmer 20
`
`looks like the hard disc from the workstation 21 can be handled as a hard disk."
`
`In the summary of the invention of this patent, it is stated that an "object" of the
`
`invention is to provide an "image scanner" that "requires no preparation of any
`
`new device driver."
`
`US Patent No. 5,844,961 is entitled “Filmless Digital X—Ray System.” Figure 4
`
`of the patent shows an “electronics package 480” that is a part of a “digital
`
`cassette.” Column 10, lines 4-9 of the patent state that the “electronics package
`
`480 defines an area that will allow for an electronic system being included in the
`
`digital cassette 200. The electronics system will be able to process the
`
`information captured by the imaging array system 450 and communicate that
`
`information to the computer 220.” Column 11, line 10 through column 13, line
`
`12 disclose “digital cassette and the computer communications.”
`
`US Patent No. 5,131,089 is entitled "Solid State disk Drive Emulation."
`
`2
`
`

`

`Applicant: Michael Tasler
`Application No.: Not yet assigned
`Filed: Herewith
`
`Date: August 24, 2006
`Page - 9 -
`
`The abstract of this patent states that the "system permits software written for use
`
`with floppy disks to be used with solid state memory devices such as RAM cards
`
`or ROM without modification of the software."
`
`US Patent No. 4,642,759 is entitled "Bubble Memory Disk Emulation."
`
`A two page printout of text included with Windows 95 is submitted
`
`herewith concerning the "RAMDRIVESYS" command. This document states
`
`that this command allows a computer's RAM memory to simulate a hard disk
`
`drive.
`
`Figure l of US Patent No. 5,724,574 discloses a hardware arrangement that
`
`includes, for example, a high speed scanner 24, a local area network 10, an optical
`
`disk based document server 15, and a number of workstations 18.
`
`An article entitled "Optical Server Uses Network Protocol For Plug-And-
`
`Play lntegration" was published in 1993. Page two of this article states that
`
`"emulation of the magnetic file system with a WORM-specific file system in this
`
`manner has several distinct advantages. The principal advantage is that the
`
`WORM disk appears to applications and utilities as just another disk."
`
`The manual for Polaroid's Digital Camera model no. PDC—2000 indicates
`
`that it was published in 1996. The Examiner is asked to assume, for the sake of
`
`argument, that this is the case. Applicant reserves the right to challenge this in all
`
`forums and proceedings other than the examination of this application.
`
`Page 11 of the manual states that the "PDC-2000 camera is a Small
`
`Computer Systems Interface (SCSI) device," that one can "connect up to seven
`
`3
`
`

`

`Applicant: Michael Tasler
`Application No.: Not yet assigned
`Filed: Herewith
`
`Date: August 24, 2006
`Page —— 10 —
`
`SCSI devices to your computer," and that the "PDC-2000 camera's SCSI ID is
`
`preset to 4 at the factor."
`
`Page 83 of the manual states that to "transfer and work with pictures from
`
`the PDC-2000 camera on your PC, you use the PDC-2000 TWAIN driver .
`
`.
`
`." or
`
`one can install "PDC—2000 Direct" software.
`
`The currently pending claims clearly are supported by the specification as originally
`
`filed. As one example, all of the currently pending claims generally require that a digitized
`
`analog data set be representative of electromagnetic radiation that is representative of an object
`
`that is physically separated from and located not in substantial proximity to an analog data
`
`generating and processing device (ADGPD). These claim features are supported, for example,
`
`by the "diagnostic radiology system" disclosed in paragraph 5 of the specification of the instant
`
`application.
`
`An example of such a "diagnostic radiology system" is, for example, an x-ray machine,
`
`the x-rays being one example of the claimed "analog wave signals." As readily apparent to one
`
`of ordinary skill in the relevant art, typical x-ray machines include two housings — one in which
`
`an x-ray generator is mounted and a second one in which an x-ray transducer is mounted. The x-
`
`ray generator is physically separated from and not located in substantial proximity to the
`
`transducer so that, for example, a patient can position his or her leg between the generator and
`
`the transducer. The transducer creates a set of analog data that comprises an x~ray so that, for
`
`example, a user can determine whether the patient‘s leg is broken.
`
`It should be noted that the scope of the currently pending claims is not limited to
`
`"diagnostic radiology systems" and or to systems that only produce "X-rays." In this regard,
`
`4
`
`

`

`Applicant: Michael Tasler
`Application No.2 Not yet assigned
`Filed: Herewith
`
`Date: August 24, 2006
`Page — 11 —
`
`other "modes" of practicing the claimed invention include, for example, the CCD device of a still
`
`camera that is exposed to ambient light with or without a flash, and that creates therefrom an
`
`analog data set that is representative of a picture.
`
`For the Examiner's information, the inclusion of the above—described subject matter in the
`
`currently pending claims is one reason that the Examiner should find the new claims submitted
`
`herewith patentable over, for example, the prior art of record that discloses the use of document
`
`scanners (e.g., US Patent Nos. 5,508,821, 5,532,825 and 5,724,574). In contrast to the currently
`
`pending claims, the scanner references teach a light source that is located inside the scanner and
`
`that is located in substantial proximity to the CCD of the scanner. Such sensors are not adapted
`
`to process electromagnetic radiation that is not in substantial proximity to the scanner housing.
`
`For this reason alone, the currently pending claims should be found to be patentable over the
`
`scanner references.
`
`A still further aspect of the currently pending claims that is fully supported by the
`
`originally filed specification follows. All of the claims presented in this preliminary amendment
`
`generally require that the ADGPD send a response signal that allows a PC to automatically and
`
`without user intervention recognize that it can communicate with the ADGPD as if it were a
`
`commercially available mass storage device even though it is not a commercially available mass
`
`storage device. See, for example, paragraph 54 of the specification submitted herewith, which
`
`states that the use of the present invention includes “simulating a virtual mass storage device.”
`
`The word “virtual” in this context refers, for example, to the fact that a personal computer is led
`
`to believe that it is communicating with a commercially available mass storage device when, in
`
`actuality, it is communicating with an analog data generating and processing device. See also,
`
`5
`
`

`

`Applicant: Michael Tasler
`Application No.: Not yet assigned
`Filed: Herewith
`
`Date: August 24, 2006
`Page — I2 —
`
`for example, paragraph 23 of the specification, which recites:
`
`"The digital signal processor 13 receives this inquiry instruction via the
`
`first connecting device and generates a signal which is sent to the host device (not
`
`shown) again via the first connecting device 12 and the host line 11. This signal
`
`indicates to the host device that, for example, a hard disk drive is attached at the
`
`interface to which the INQUIRY instruction was sent."
`
`It is respectfully submitted that no prior art reference of record, either taken alone or in a
`
`purported combination, teaches or suggests the combinations claimed in the currently pending
`
`claims for a number of different reasons. As one example, US Patent No. 5,508,821 does not
`
`teach or suggest, for example, the above-noted "automatic recognition" feature because, for
`
`example, the system disclosed therein is UNIX based. As readily apparent to one of ordinary
`
`skill in the relevant art, such UNIX based systems affirmatively require user intervention in order
`
`to operate and use the scanner disclosed in the ’821 patent.
`
`As a further example of the patentability of the currently pending claims, the camera
`
`disclosed in the Polaroid manual submitted (assuming, for argument's sake, that it is prior art)
`
`cannot be automatically recognized without human intervention. In this regard, user intervention
`
`always is required because, for example, a user needs to make sure that the camera’s SCSI
`
`identification number does not conflict with the ID number of any other device in a daisy chain
`
`of which the camera forms a part. For this reason alone, for example, the currently pending
`
`claims should be found to be patentable over the Polaroid camera manual (assuming, for
`
`arguments sake, that it is prior art).
`
`It is respectfully submitted that the new claims are in condition for allowance and,
`
`6
`
`

`

`Applicant: Michael Tasler
`Application No.: Not yet assigned
`Filed: Herewith
`
`Date: August 24, 2006
`Page — l3 —
`
`therefore, a formal notice to that effect is earnestly solicited. In this regard, the Examiner is
`
`respectfully requested to contact the undersigned attorney upon entry of this amendment.
`
`Re2.. f.2Y Submit’
`
`Attorney tor Applicant
`Registration No. 37,435
`
`August 24, 2006
`Welsh & Katz, Ltd.
`120 South Riverside Plaza, 22nd Floor
`
`Chicago, IL 60606
`Telephone (312) 655-1500
`Facsimile (312) 655-1501
`
`7
`
`

This document is available on Docket Alarm but you must sign up to view it.


Or .

Accessing this document will incur an additional charge of $.

After purchase, you can access this document again without charge.

Accept $ Charge
throbber

Still Working On It

This document is taking longer than usual to download. This can happen if we need to contact the court directly to obtain the document and their servers are running slowly.

Give it another minute or two to complete, and then try the refresh button.

throbber

A few More Minutes ... Still Working

It can take up to 5 minutes for us to download a document if the court servers are running slowly.

Thank you for your continued patience.

This document could not be displayed.

We could not find this document within its docket. Please go back to the docket page and check the link. If that does not work, go back to the docket and refresh it to pull the newest information.

Your account does not support viewing this document.

You need a Paid Account to view this document. Click here to change your account type.

Your account does not support viewing this document.

Set your membership status to view this document.

With a Docket Alarm membership, you'll get a whole lot more, including:

  • Up-to-date information for this case.
  • Email alerts whenever there is an update.
  • Full text search for other cases.
  • Get email alerts whenever a new case matches your search.

Become a Member

One Moment Please

The filing “” is large (MB) and is being downloaded.

Please refresh this page in a few minutes to see if the filing has been downloaded. The filing will also be emailed to you when the download completes.

Your document is on its way!

If you do not receive the document in five minutes, contact support at support@docketalarm.com.

Sealed Document

We are unable to display this document, it may be under a court ordered seal.

If you have proper credentials to access the file, you may proceed directly to the court's system using your government issued username and password.


Access Government Site

We are redirecting you
to a mobile optimized page.





Document Unreadable or Corrupt

Refresh this Document
Go to the Docket

We are unable to display this document.

Refresh this Document
Go to the Docket