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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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`CATERPILLAR INC.,
`Petitioner,
`
`v.
`
`ERNIE BROOKINS,
`Patent Owner.
`____________
`
`Case IPR2017-01020
`Patent 7,824,290 B1
`____________
`
`Record of Oral Hearing
`Held: June 5, 2018
`
`
`
`
`Before JILL D. HILL, BEVERLY M. BUNTING (via videoconference), and
`TIMOTHY J. GOODSON (via phone), Administrative Patent Judges.
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`Case IPR2017-01020
`Patent 7,824,290 B1
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`APPEARANCES:
`
`ON BEHALF OF THE PETITIONER:
`
`
`ROLAND McANDREWS, ESQUIRE
`Bookoff McAndrews, PLLC
`\2020 K Street NW
`Suite 400
`Washington, DC 20006
`
`
`
`ON BEHALF OF THE PATENT OWNER:
`
`
`ERNIE BROOKINS, PRO SE
`GAIL BROOKINS
`643 East Main Avenue
`Suite C
`West Fargo, North Dakota 58078
`
`
`
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`The above-entitled matter came on for hearing on Tuesday, June 5,
`
`2018, commencing at 1:19 p.m., at the U.S. Patent and Trademark Office,
`Madison Building, 600 Dulany Street, Alexandria, Virginia 22314.
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`Case IPR2017-01020
`Patent 7,824,290 B1
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`P R O C E E D I N G S
`- - - - -
` JUDGE HILL: Good afternoon, please be seated. This
`is the final hearing in IPR2017-01020 involving US Patent No.
`7824290. The Petitioner is Caterpillar Incorporated, and the
`Patent Owner is Ernie Brookins, the sole inventor of the 290
`patent.
` I'm Judge Hill and I'll be presiding today from the
`Alexandria office. Judge Bunting is via video from the
`Midwest regional office, and Judge Goodson is participating
`via audio. May I have the appearances of each party please.
`Approach the microphone and state your name.
` MR. McANDREWS: Roland McAndrews for Caterpillar.
` (Inaudible whispering.)
` MR. BROOKINS: Ernie Brookins.
` JUDGE HILL: Okay.
` JUDGE BUNTING: Excuse me, Mr. Brookins, unless you
`step up to the microphone, we can't hear you.
` JUDGE HILL: So let's use the center microphone.
` MR. BROOKINS: Oh, okay. Ernie Brookins.
` JUDGE HILL: Thank you.
` JUDGE BUNTING: Thank you.
` JUDGE HILL: Okay, I'd like to go over how we're
`going to proceed today. Each party will have 30 minutes to
`present its arguments. Petitioner has the burden, so the
`Petitioner will go first and can save time for rebuttal.
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`Following the Petitioner, the Patent Owner will also have 30
`minutes. The Patent Owner, because they're going second,
`does not reserve rebuttal time.
` Okay, so, as I informed you earlier, Judge Bunting
`and Judge Goodson are participating via video and audio
`respectively, and they can't see any demonstratives that
`you're putting up on the screen. So if you are presenting
`your demonstratives, give a description of where you are so
`that they can follow along. They each have printed out
`copies of your demonstratives so that they can follow along
`from where they are.
` The parties are reminded that during this oral
`argument, they can rely only on evidence that was previously
`submitted in this proceeding and may only present arguments
`relied upon in previously submitted papers. Demonstrative exhibits are not
`themselves evidence and are
`intended only to assist the parties in presenting
`their oral argument to the panel.
` As you go through your arguments, I will try to give
`you a reminder or let you know when you have five minutes
`left and three minutes left so that you can time yourselves
`properly.
` This hearing is open to the public, and a full
`transcript of the proceeding, of the hearing, will be made
`part of the record.
` Does anyone have questions? Okay. Petitioner, are
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`you -- would you like to reserve rebuttal time?
` MR. McANDREWS: I would. May I reserve ten minutes?
` JUDGE HILL: Ten minutes. Okay, thank you. Okay,
`you can proceed.
` ORAL ARGUMENT OF ROLAND McANDREWS
` ON BEHALF OF THE PETITIONER, CATERPILLAR INC.
` MR. McANDREWS: Thank you. Your Honors, may it
`please the Court.
` Inventions can be found basically with an
`inventive story, sort of a problem and a solution. It's
`unfortunate here for the Patent Owner that there's simply --
`the prior art is very, very compelling. There simply is not
`this problem and new solution. The 290 patent simply does
`not provide a new solution or improvement over the prior art,
`as I will show.
` The prosecution history is clear that the 290 patent was allowed based
`on a mere byproduct of the
`type of pump that was used in the system. Both the 290
`patent and the prior art expressly agree that the particulars
`of the pump are not important and that any pump can be used
`in this system.
` Going to slide 2, Instituted Grounds, there are three
`instituted grounds or three sets of instituted
`grounds. The first one is anticipation, based on Keiser.
`The second one is obvious, in view of Keiser. And the third
`one takes the position that all the claims are invalid
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`as obvious, based on Keiser and other references, including
`Rush.
` Just a quick overview of claim one, moving to slide
`3, this claim recites a rotational power distribution and
`control system comprising of gear set, a hydrostatic pump, a
`fluid circuit, and a valve to control those, and there's some
`particulars under each one of those, but those are the four
`components of this system.
` As I said before, the prior art is very compelling
`here. As you can see on slide 4, the top view is the 290
`patent, the bottom image is the system of the Keiser prior
`art. As you can see here, there's an input shaft shown in
`yellow in both of these systems. There is a pump, a
`hydrostatic pump, shown in brown, both a lighter brown and a
`darker brown. And then you can see a planetary gear set that
`is coupled to that.
` And how this works, while I use my cursor here, what
`I'm pointing to is the yellow, we have an input shaft where
`power comes in, it goes to the planetary system, and we have
`a pump here that is coupled to one of the elements of the
`planetary gear system.
` We've got a planetary gear system and we've got a
`pump, and that pump is coupled through a hollow shaft. And
`that hollow shaft -- here is the pump here, in Keiser, is
`brown -- hollow shaft, and then yellow, it mates -- actually,
`that is -- that turns into a sun gear at this point here,
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`which then mates with the planetary gears, yellow,
`shown in yellow.
` And what happens is, in both of these systems, as you
`control flow -- in a free-flow situation, you have input and
`you have the gears working together, and what's rotating is
`the pump -- pump shaft is rotating. And when that's in that
`free-flow condition, you're basically pumping
`hydraulic fluid.
` But if you use a control valve at the outlet and you
`start restricting that flow of pump fluid, you're going to
`start locking up that pump. And what's going to happen is
`you're going to convert power from the yellow to the green,
`from the input to the output. And so based on how you
`control that pump flow is how much -- what the ratio of power
`you're going to get out of the output shaft.
` So, as you can see here, all the systems are here.
`The only difference in these two systems is the type of pump
`that is used. We've got a gear pump down here, and we've got
`an axial piston pump up here. They both have a hollow shaft
`connected to a planetary gear set.
` As I said before, both -- so really the
`distinction here, when you take a look at it, we're looking
`at -- and to tie it back to the claims, as I said before, we
`have a gear set, we have a pump, we have a circuit, we have a
`valve. And so those four system -- those four components are
`all here. As I said before, the distinction comes in --
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` JUDGE BUNTING: Counselor, excuse me.
` MR. McANDREWS: Yes.
` JUDGE BUNTING: Counselor, excuse me. I just want to
`clarify.
` MR. McANDREWS: Sure.
` JUDGE BUNTING: What type of pump is required by the
`290 patent?
` MR. McANDREWS: The 290 patent says it can be any
`type of pump and refers to either a radial piston pump or an
`axial piston pump as examples.
` JUDGE BUNTING: All right. And then in figure 1 of
`Keiser, what kind of pump is shown?
` MR. McANDREWS: That is a -- in figure 1, is a gear
`pump, which is a gear within another gear. And it's sort of
`-- they're sort of --
` JUDGE BUNTING: All right.
` MR. McANDREWS: -- eccentric a bit.
` JUDGE BUNTING: And does -- does that gear pump have
`a cylinder block?
` MR. McANDREWS: It does not. So the next step
`is that the -- this is figure 1 of Keiser. Figure 9 of
`Keiser does teach a cylinder block. So this is the cylinder
`block casing here and this is your example of the radio
`piston pump. So we've got pistons that reciprocate in and
`out, and they -- this is referred to as an alternative
`arrangement of this pump here.
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` So our position in the petition is that we think that
`this embodiment, that one of ordinary skill in the art would
`recognize that this embodiment is in fact combined with this
`and thus anticipatory.
` However, we also took the position in the petition
`that one of ordinary skill in the art would combine, if these
`were considered separate teachings, via separate embodiments
`as that would be separate teachings, one of ordinary skill in
`the art would be motivated to combine these two such that
`this is either anticipated or rendered obvious with respect
`to the cylinder block aspects.
` So moving back to page 5 --
` JUDGE GOODSON: Counsel, before you move on from that
`point --
` MR. McANDREWS: Sure.
` JUDGE GOODSON: -- where -- where is it in Keiser
`that discloses the combination of figures 1 and 9?
`It sounds like you're explaining that there's two different
`embodiments.
` MR. McANDREWS: Keiser says that they -- basically
`refers to them as -- the language, if I can find it ...
` (Pause to review documents.)
` MR. McANDREWS: I can't -- I cannot find right now,
`the exact reference to how they are described. And I can
`find that and get back to you on -- in my ten minutes after
`this, but it's -- it's described as a sep- -- another
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`embodiment that you could use in this system, in the figure 1
`system, and I can get the exact quote. I just can't find it
`at this point.
` And that's why we took the position --
` JUDGE GOODSON: Okay.
` MR. McANDREWS: -- that this is either one of
`ordinary skill in the art would view these as a teaching of
`those basically interchangeable, and thus disclosure is
`interchangeable, or as, if you want, a separate teaching, in
`which case they are obvious modifications, it's an obvious
`modification.
` JUDGE BUNTING: Is there any claim construction
`surrounding the term "cylinder block"?
` MR. McANDREWS: Our petition had a -- attempted the -
`- and I can get to that.
` Our claim construction was that cylinder
`block, the plain and ordinary mean- -- the plain and ordinary
`meaning of the phrase "cylinder block" is a metal casing in
`which the cylinders of an internal combustion engine are
`bored, and that's based on the plain and ordinary meaning.
`It wasn't defined in the specification of the 290 patent,
`and, in our petition, I think we had reference to a
`dictionary definition.
` A cylinder block, as you can see here, the pump -- so
`I'm looking at slide 8. A radial piston pump has
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`cylinder bores. It has pistons that are cylinders and such that they
`reciprocate within a bore and that
`would be considered a cylinder block or a casing.
` JUDGE BUNTING: So let me ask you, would a cylinder
`block just be a housing?
` MR. McANDREWS: I think it would have to have a
`cylinder associated with it.
` JUDGE BUNTING: Okay.
` MR. McANDREWS: In which case, this one does because
`it has a cylindrical piston reciprocating within it, as in a
`radial piston pump.
` JUDGE BUNTING: But it doesn't have to be an internal
`combustion engine?
` MR. McANDREWS: This here is just a -- we're --
`right now, we're just talking about a pump. And so this aspect of the system
`-- the internal combustion
`engine actually isn't shown. This is just a pump that when
`this is in a freewheeling situation, you're actually pumping
`in a closed circuit hydraulic fluid.
` And you control that hydraulic fluid through -- via
`this valve. And I'm looking at figure 8, there's a purple --
`I'm sorry, blue valve, pump flow control valve. Again, I'm
`looking at slide 8. That controls what -- how much the pump
`is sort of free-flowing or allowing to pump or you're
`blocking it from pumping.
` In which case when you block it from pumping, you
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`start engaging the ratio such that the input and output, the
`yellow to the green, starts changing so that you're actually
`giving power -- so yellow is, for example, attached
`to the engine and if your -- if your valve -- if your blue
`valve is open, you're just going to be pumping fluid, you're
`not going to have any output.
` But as you close this valve, you're going to get more
`output to green. And eventually, if you close it all, you're
`going to get the gear ratio to green. So you'll have,
`basically, input: yellow, output: green, when that valve is
`completely closed.
` So mov- -- going back to slide 5, the -- during
`prosecution history, the examiner allowed the case based on a
`dependent claim, that was particulars of this --
`the type of pump used, this axial piston pump.
` In slide 6, we see here original claim nine, which is
`a rotational power distribution control system of claim
`eight, wherein -- wherein a cylinder block of the hydrostatic
`pump is coupled to the third rotational interface, basically
`coupled to the gear set.
` So, what that's saying is that there is a
`cylinder block -- going back to slide 4, there's a cylinder
`block of the pump, the pump has a cylinder block, and it's
`coupled to the gear set.
` And so, what we're saying here, in slide 8, is we
`have a similar situation. We have a cylinder block and it's
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`coupled to a gear set.
` The -- as I said before, the -- both the 290 patent
`and the prior art say the type of pump that you use simply is
`not important. Looking to Keiser, and again I'm on slide 6
`and the reference to Keiser there, the pump 14 is coaxially
`mounted to the input shaft and may be any type of positive
`displacement pump known to those with skill in the art, such
`as for example a rotary valve pump, a piston pump.
` And then we look to the 290 patent, the hydraulic
`pump illustrated in figure 1 is an axial piston pump. Other
`hydraulic pump designs known to those skilled in the arts,
`such as radial piston pumps, may be utilized in place or in
`addition to the illustrated axial piston pump.
` So, again, we go back to this -- we're
`searching for where -- where are we -- where is the story?
`Where is the invention here? This was allowed based on a
`subset, basically the cylinder block of a pump. And both the
`issued patent and the prior art say the pump is not important
`here. And so, we found a pri- -- a piece of prior art that
`had a different pump, that had a cylinder block, and we found
`another pump that had an axial piston pump connected to a
`gear set.
` And so, they're just -- there's a struggle here to
`find where this -- inventions should be about a problem and a
`solution. It -- the system here is all disclosed. All we're
`talking about is a difference in a pump and how it's
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`connected.
` We have a hollow shaft connected to a pump with a
`drive shaft in between, again referring to figure 4 -- or
`slide 4, that is. We've got a yellow input shaft in both of
`them that goes through a hollow pump shaft that's connected
`to a gear set. That's the focus of what was missing when the
`examiner examined it.
` And so, that is in the prior art, it's clear in the
`prior art. Now we're just talking about what type of pump
`are we using.
` So, now I'll go to Patent Owner's arguments. This
`is slide 10. There are four basic arguments that we've seen
`in this -- in the reply to the institution.
` The first one is the Patent Owner believes that the
`claim should be restricted to a fluid-controlled
`resistance brake.
` The second one is Patent Owner does not believe a
`hollow shaft is in the prior art.
` The second -- the third argument is that the patent -
`- the prior art should not be applied because none of them
`worked.
` And the fourth one is that there were secondary
`considerations that should've been taken.
` JUDGE HILL: Mr. McAndrews, you have five minutes.
` MR. McANDREWS: Thank you. So to the first argument,
`Patent Owner says, "First, one or more of the limitations
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`required by the challenged claimed would not" -- now I'm on
`slide 11 -- "would not have been taught or suggested by the
`prior art to a person of ordinary skill in the art. For
`example, the asserted prior art would not have taught a
`fluid-controlled resistance brake. That is a clutch that
`does not affect the gear ratio change."
` So what we have here is the Patent Owner
`taking the position that his claim now requires a fluid-
`controlled resistance brake, which is not in the claim at
`all, and then interpreting that to mean a clutch that does
`not affect a gear ratio change. And that simply is
`going way too far outside of the plain and ordinary meaning
`of these claims.
` Our response to this is that it's not in the claims.
`It's -- there was an election of species here and we can get
`it -- we'll get into that a little bit, but the fact that
`there was a re- -- an election of species on a particular
`embodiment, which was fig- -- which included figure 1, which
`includes the same structural aspects and there's very similar
`prior art, the Patent Owner is now trying to say that there
`is some sort of hidden limitation in there that basically
`there is a fluid-controlled resistance
`brake and that there's a clutch that does not affect the gear
`ratio change.
` And so, basically, our position with respect to that,
`is that case law doesn't provide for that, the claims simply
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`don't recite that, and the structural similarities, as
`we pointed out, again referring to slide 4, the structural
`similarities here -- the Patent Owner is trying to say that
`these operate differently, and they're not providing any
`different structure here to provide for this
`difference that is being highlighted.
` They both disclose a gear pump -- or, I'm sorry, they
`both disclose a pump, the planet -- the gear set, the valve,
`and the fluid circuit.
` In addition, the Patent
`Owner, during a response to the restriction, said that the
`species identified by the examiner are not separate and
`distinct inventions. So, even if there is some sort of
`restriction-based distinction, the exam- -- the Patent Owner
`has said that they're all the same so that there
`really isn't a patentable distinction between what he's
`saying is in a different species and this species.
` And then finally, even if you were to say --
` JUDGE GOODSON: I have a question about that --
` MR. McANDREWS: Sure.
` JUDGE GOODSON: -- point.
` MR. McANDREWS: Yeah.
` JUDGE GOODSON: Are you aware of any authority, apart
`from the federal circuit case that was cited in our
`institution decision, that addresses the effect of a
`restriction requirement on the main scopes?
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` MR. McANDREWS: No, especially in the context of
`plain and ordinary meaning.
` JUDGE GOODSON: Okay, thanks.
` MR. McANDREWS: And then finally, this fluid-
`controlled resistance brake, it was highlighted
`as even being interpreted, assuming that was in the claim, as
`being interpreted as a clutch does not affect a gear ratio
`change.
` A fluid-controlled resistance brake could be
`-- you could argue is in both of these systems. You have a -
`- a gear -- an aspect of the gear -- of the gear set that is
`being slowed down, it was freewheeling, you close the valve,
`now it's not freewheeling anymore, so it -- that's a braking
`effect. So that is a fluid-controlled, the valve is being
`affected, and thus it is changing whether that
`aspect of the gear set is rotating or not.
` So Petitioner struggles with this aspect as to where
`that limitation is in the claim and how it can be construed
`in the manner presented by Patent Owner.
` The next argument is Patent Owner says that there is
`no hollow shaft. Petitioner's obvious objections are all
`predicated on the (inaudible) assumption that a skilled
`artisan could have achieved a rotational power distribution
`and control system -- I'm sorry, I'm on slide 14. None of them claimed a
`hollow shaft and none of
`them worked. So, clearly, we have prior art in Keiser that
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`Case IPR2017-01020
`Patent 7,824,290 B1
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`teaches a hollow shaft, among other pieces of prior art, as
`shown in slide 15.
` Patent Owner then argues that none of the prior art
`worked, and thus they shouldn’t be prior art. We stated
`that's not a requirement. Is it prior art from a timing
`standpoint is the question. And unless there is clear
`evidence that they're non-operable, which hasn't been
`presented here, so the fact that they've all been abandoned
`is not relevant to that inquiry.
` And the final argument is that Patent Owner says
`secondary considerations warrant non-obviousness. Here,
`there just simply isn't any evidence sort of attached here to
`the secondary considerations, so that -- that's insufficient
`to sort of have a finding. There's no -- there's simply no
`nexus to the claim language, no commercial success, long
`failed unsolved needs, failure of others ... there was
`reference to a press release by the Patent Owner, but
`nothing beyond that.
` And so, basically, as I said before, it really comes
`down to this is an unfortunate situation in the sense that
`sometimes prior art is unforgiving. This prior art is very
`close, and the only distinction is based on a connection of a
`pump and those are well-known aspects, and things in
`the, both the 290 patent and in the prior art, say are not
`important aspects. Thank you.
` JUDGE HILL: Mr. Brookins, let's step up. We gave
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`Case IPR2017-01020
`Patent 7,824,290 B1
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`Mr. McAndrews three extra minutes, so I'll add three minutes
`to your time.
` ORAL ARGUMENT OF ERNIE BROOKINS
` ON BEHALF OF THE PATENT OWNER, ERNIE BROOKINS
` MR. BROOKINS: Yes. We're going to put up on the
`board my opening statement. Okay.
` The problem in the world today is air quality caused
`by motor vehicles. In fact, many states are boo- -- making
`laws on restriction of idling because of idling at a stop.
`Okay?
` Now, since 1989, or '99, I have been issued eight
`patents all on drive trains. Six of the eight of these
`patents use the clutch for launch. And the trans- -- and
`then the clutch is disconnected for high gear. Now, high
`gear is a part of a transmission, not part of a clutch. They
`operate independently, as we will show, as we go along.
` Prior to the 290 patent, high gear was one to one
`gear ratio. I was issued two patents on hydrostatic skid
`steer drives. One of -- one, I added to hydrostatic design
`to make -- to make a planetary transmission powered --
`provides one to one gear ratio. Okay?
` I took off using -- I -- you took off using the
`weight of the vehicle to create the resistance to charge
`under acceleration. Okay? So, the clutch is -- the clutch
`is uncoupled in order to shift the transmission into
`overdrive, which a -- and the two-speed planetary is the --
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`Case IPR2017-01020
`Patent 7,824,290 B1
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`transmissions then provides a 1.7 overdrive. Okay?
` Now, we're going down here to figure -- I filed pro
`se a patent in -- what is the word?
` MS. BROOKINS: Infringement.
` MR. BROOKINS: Infringement lawsuit against
`Caterpillar in federal court in Fargo, North Dakota.
`Caterpillar knew they was -- was going to lose, so they filed
`a IPR petition, and in -- and got a stay in federal court
`case in Fargo, North Dakota. Caterpillar sent me a draft of
`the petition. Okay?
` Now, in that petition, we knew we could win because
`they're calling it a continuously variable-speed
`transmission. Okay?
` So now we're going to take here, in figure 1, that
`the clutch -- the clutch, the piston block, and everything
`that's tied together operates independent from the
`transmission -- and you can see in this figure, figure 1
`here, they're independent. One operates independent from the
`other one. So, the weight of the vehicle is charging the
`vehicle, so I guess that's -- now, moving along here, figure
`-- figure 1 shows the pump is from -- separate from the
`transmission. They operate independently of each other.
` Now, the restriction requirement on -- of the 290
`patent, was required by pri- -- the primary examiner, Dirk
`Wright, requesting me to choose a species questioning the
`rules -- quoting the rules. I chose species 1. Species 1,
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`Case IPR2017-01020
`Patent 7,824,290 B1
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`which figure -- is 1 through 3 -- which shows a variable
`speed --
` MS. BROOKINS: (Inaudible, whispering.)
` MR. BROOKINS: -- no, a variable valve-controlling
`resistance brake for a planetary gear set. Okay?
` I -- I withdrew all claims, all claims and so they're
`gone. The CVT is gone. I have nothing about a CVT.
` MS. BROOKINS: (Inaudible, whispering.)
` MR. BROOKINS: What?
` MS. BROOKINS: (Inaudible, whispering.)
` MR. BROOKINS: Okay. We turn to the next page -- or
`we brought it up there, the restriction.
` MS. BROOKINS: (Inaudible, whispering.)
` MR. BROOKINS: What?
` MS. BROOKINS: It's an expert report.
` MR. BROOKINS: Oh, it's an expert report, showing on
`paragraph 15, a continuously variable transmission. On
`paragraph 18, it shows a continuously variable transmission.
`It does not show a continuously variable transmission.
` MS. BROOKINS: (Inaudible, whispering.)
` MR. BROOKINS: Clutch. It is a continuously variable
`clutch, not a transmission.
` Okay, we go to -- I was issued the two patents on
`wheel mechanical drives for a hydrostatic skid steer. Okay,
`the hydrostatic skid steer, the reason it's called
`hydrostatic skid steer is because you've got to lock up one
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`Case IPR2017-01020
`Patent 7,824,290 B1
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`side of the two wheels to turn it. Okay? When you do that,
`then you send power to the other side and what was happening,
`the reasons that they issued me -- the reason we got these
`two patents was because it was breaking the axles caused by
`the weight of the vehicle.
` Instead of having a 100-horsepower engine, and I was
`using racecar axels which was good for 2,000 horsepower and I
`only had 100 horsepower, so when I -- I -- they brought me
`one, and I was driving, skidding it around the shop, and when
`I come in the shop, I broke that other axel. So what that
`means is that instead of having 100 horsepower, I had 13,000
`pounds of foot pound torque. So that's what broke the axle.
` So how did I solve that? As you see in the pictures
`here, the skid steers here, the skid steers here, and they're
`all using my patented technology. Okay? So what I --
` JUDGE BUNTING: Mr. Brookins.
` MR. BROOKINS: Yes.
` JUDGE BUNTING: Excuse me, Mr. Brookins. I have a
`question for you.
` MR. BROOKINS: Yes.
` JUDGE BUNTING: In this slide, you're talking about a
`couple of patents: the 6022083 patent, the 6182780 patent --
`there's two patents. Are those patents related to the patent
`in dispute today?
` MR. BROOKINS: Yes, they are.
` JUDGE BUNTING: The 290 patent?
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`Case IPR2017-01020
`Patent 7,824,290 B1
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` MR. BROOKINS: Yes, they are.
` JUDGE BUNTING: Okay. How are -- how are they
`related? Are they part of the same family?
` MR. BROOKINS: Okay.
` JUDGE BUNTING: In terms of ...
` MR. BROOKINS: Okay. All my patents that was issued
`is on a clutch and a separate piece, a transmission. So
`they're two separate pieces. One is a transmission that is
`not a variable speed. It's impossible to build a variable
`speed transmission. Can't be done. It's impossible.
`There's no question about it.
` Then so now we're -- what the answer is for you, I
`think, is that all of these patents become previous art.
`They're all previous art to my system, not to -- not to the
`other ones that they claim is previous art. Their previous
`art is on a planetary set that is not -- does not change gear
`ratio. They say -- we'll bring it up, we'll bring the
`planetary set up now.
` FEMALE SPEAKER: (Inaudible, whispering.)
`