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`BEFORE THE PATENT TRIAL AND APPEAL BOARD
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`FAMY CARE LIMITED,
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`Petitioner,
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`v.
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`ALLERGAN, INC.,
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`Patent Owner.
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`Case IPR2017-00570
`Patent 8,642,556
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`AFFIDAVIT OF PETER J. CURTIN IN SUPPORT OF MOTION FOR
`PRO HAC VICE ADMISSION PURSUANT TO 37 C.F.R. § 42.10(C)
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`FAMY CARE - EXHIBIT 1034-0001
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`1. I, Peter J. Curtin, am more than twenty-one years of age, am competent to
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`present this affidavit, and have personal knowledge of the facts set forth herein.
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`2. This affidavit is submitted in support of Petitioner Famy Care Limited’s
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`Motion for Pro Hac Vice Admission.
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`3. I am an attorney in good standing with the Bar of the District of Columbia
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`and am a member of the law firm Rakoczy Molino Mazzochi Siwik LLP, 6 West
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`Hubbard Street, Chicago, IL 60654. I am presently admitted to practice by the
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`District of Columbia Court of Appeals. I am also admitted to practice in the
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`United States Court of Appeals for the Federal Circuit, the U.S. Court of Appeals
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`for the Fourth Circuit, the U.S. District Court for the District of Columbia, the U.S.
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`District Court for the District of Maryland, and the U.S. District Court for the
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`Eastern District of Wisconsin. I am a 1991 graduate of the Georgetown University
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`Law Center, and was admitted to practice law in the District of Columbia in 1991.
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`4. There are no disciplinary proceedings against me, nor have there ever been
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`any such proceedings. Additionally, I have never been denied admission,
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`censured, suspended, disbarred, or otherwise disciplined by any court or
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`administrative body.
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`1
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`FAMY CARE - EXHIBIT 1034-0002
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`5. Lead counsel in this matter, Deanne M. Mazzochi, is a registered patent
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`practitioner (Reg. No. 50,158). My role in the above-captioned matter would be to
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`assist in all aspects of the proceedings.
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`6. I am fully familiar with the underlying facts in the above-captioned matter
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`and represent Famy Care in Allergan, Inc. v. Teva Pharms. USA, Inc., Case No. 2:
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`15-cv-1455 WCB (E.D. Tex.), the litigation relating to the patent at issue here. I
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`have had experience in patent litigation for 21 of the 25 years of my practice, much
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`of which related to pharmaceutical patents.
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`7. I have reviewed and analyzed the Petition and supporting materials, have
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`reviewed and analyzed U.S. Patent No. 8,642,556 (‘556 Patent) as well as its
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`prosecution history, and have reviewed the related IPR petitions filed by Famy
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`Care on related patents and those filed by other parties on the ‘556 Patent.
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`8. I have read and will comply with the Office Patent Trial Practice Guide and
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`the Board’s Rules of Practice for Trials set forth in 37 C.F.R. § 42 et. seq.
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`9. I agree to be subject to the same standards of professional conduct imposed
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`upon members of the United States Patent and Trademark Office Bar as set out in
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`the USPTO Rules of Professional Responsibility set forth in 37 C.F.R. 11.101 et.
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`seq. I agree to be subject to disciplinary jurisdiction under 37 C.F.R. 11.19(a).
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`10. I am concurrently seeking pro hac vice admission in the inter partes
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`challenges to related patents, specifically IPR2017-00566, IPR2017-00567,
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`FAMY CARE - EXHIBIT 1034-0003
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`IPR2017-00568,
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`IPR2017-00569, and IPR2017-0057l.
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`I have not applied
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`previously applied to appear pro hac vice before the Office.
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`Dated: March 27, 2017
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`Respectfully submitted,
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`Peter J. C in
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`slegal.com
`pcurtin@
`RAKOCZY MOLJNO MAZZOCHI SIWIK LLP
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`6 West Hubbard Street, Suite 500
`Chicago, Illinois 60654
`Telephone: (312) 222-7229
`Facsimile: (312) 222-7230
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`November 12. 2015
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`Sworn and subscribed before me
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`this azwday of March, 2017
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`NotaryPublic
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`E
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`DANA BARBARA FASIVLK
`OFFICIAL SEAL
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`= Nolaly Public, Slate oi Ilunoil
`My Commission Expires
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`FAMY CARE - EXHIBIT 1034-0004
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