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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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`HALLIBURTON ENERGY SERVICES, INC.
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`Petitioner,
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`v.
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`SCHLUMBERGER TECHNOLOGY CORPORATION
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`Patent Owner.
`____________
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`Case Nos. IPR2017-01564, -01775, -01776
`U.S. Patent No. 7,775,278
`
`Case Nos. IPR2017-01567, -01774
`U.S. Patent No. 7,934,556
`
`Case Nos. IPR2017-01569, -01570, -01778, -01779
`U.S. Patent No. 8,220,543
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`Case Nos. IPR2017-01571, -01572, -01773
`U.S. Patent No. 8,646,529
`
`Case Nos. IPR2017-01573, -01574, -01576, -01578, -01771
`U.S. Patent No. 9,322,260
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`Case Nos. IPR2017-01575, -01577, -01579, -01580, -01772
`U.S. Patent No. 8,905,133
`____________
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`STANDING PROTECTIVE ORDER
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`Schlumberger Exhibit 2025, pg. 1
`Halliburton v. Schlumberger
`IPR2017-01773
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`This standing protective order governs the treatment and filing of
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`confidential information, including documents and testimony.
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`1.
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`Confidential information shall be clearly marked “PROTECTIVE
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`ORDER MATERIAL” or using such other designation that indicates the
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`information is confidential.
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`2.
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`Access to confidential information is limited to the following
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`individuals who have executed the acknowledgment appended to this order:
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`(A) Parties. Persons who are owners of a patent involved in the
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`proceeding and other persons who are named parties to the proceeding.
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`(B) Party Representatives. Representatives of record for a party in
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`the proceeding.
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`(C) Experts. Retained experts of a party in the proceeding who sign
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`the Acknowledgement.
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`(D)
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`In-house counsel. In-house counsel of a party.
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`(E) Other Employees of a Party. Employees, consultants or other
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`persons performing work for a party, other than in-house counsel and in-house
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`counsel’s support staff, who sign the Acknowledgement shall be extended access
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`to confidential information.
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`1
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`Schlumberger Exhibit 2025, pg. 2
`Halliburton v. Schlumberger
`IPR2017-01773
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`(F) The Office. Employees and representatives of the Office who
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`have a need for access to the confidential information shall have such access
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`without the requirement to sign an Acknowledgement. Such employees and
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`representatives shall include the Director, members of the Board and their clerical
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`staff, other support personnel, court reporters, and other persons acting on behalf of
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`the Office.
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`(G) Support Personnel. Administrative assistants, clerical staff,
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`court reporters and other support personnel of the foregoing persons who are
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`reasonably necessary to assist those persons in the proceeding shall not be required
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`to sign an Acknowledgement, but shall be informed of the terms and requirements
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`of the Protective Order by the person they are supporting who receives confidential
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`information.
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`3.
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`Persons receiving confidential information shall use reasonable efforts
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`to maintain the confidentiality of the information, including:
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`(A) Maintaining such information in a secure location to which
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`persons not authorized to receive the information shall not have access;
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`(B) Otherwise using reasonable efforts to maintain the
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`confidentiality of the information, which efforts shall be no less rigorous than those
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`the recipient uses to maintain the confidentiality of information not received from
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`the disclosing party;
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`2
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`Schlumberger Exhibit 2025, pg. 3
`Halliburton v. Schlumberger
`IPR2017-01773
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`(C) Ensuring that support personnel of the recipient who have
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`access to the confidential information understand and abide by the obligation to
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`maintain the confidentiality of information received that is designated as
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`confidential; and
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`(D) Limiting the copying of confidential information to a
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`reasonable number of copies needed for conduct of the proceeding and maintaining
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`a record of the locations of such copies.
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`4.
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`Persons receiving confidential information shall use the following
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`procedures to maintain the confidentiality of the information:
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`(A) Documents and Information Filed With the Board.
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`(i) A party may file documents or information with the
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`Board under seal, together with a non-confidential description of the nature of the
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`confidential information that is under seal and the reasons why the information is
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`confidential and should not be made available to the public. The submission shall
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`be treated as confidential and remain under seal, unless, upon motion of a party
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`and after a hearing on the issue, or sua sponte, the Board determines that the
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`documents or information do not to qualify for confidential treatment.
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`(ii) Where confidentiality is alleged as to some but not all of
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`the information submitted to the Board, the submitting party shall file confidential
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`and non-confidential versions of its submission, together with a Motion to Seal the
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`3
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`Schlumberger Exhibit 2025, pg. 4
`Halliburton v. Schlumberger
`IPR2017-01773
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`confidential version setting forth the reasons why the information redacted from
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`the non-confidential version is confidential and should not be made available to the
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`public. The non-confidential version of the submission shall clearly indicate the
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`locations of information that has been redacted. The confidential version of the
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`submission shall be filed under seal. The redacted information shall remain under
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`seal unless, upon motion of a party and after a hearing on the issue, or sua sponte,
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`the Board determines that some or all of the redacted information does not qualify
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`for confidential treatment.
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`(B) Documents and Information Exchanged Among the Parties.
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`Information designated as confidential that is disclosed to another party during
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`discovery or other proceedings before the Board shall be clearly marked as
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`“PROTECTIVE ORDER MATERIAL” or such other designation indicating that
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`the information is confidential and shall be produced in a manner that maintains its
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`confidentiality.
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`5.
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`Standard Acknowledgement of Protective Order. The form attached
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`as Appendix A may be used to acknowledge a protective order and gain access to
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`information covered by the protective order.
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`4
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`Schlumberger Exhibit 2025, pg. 5
`Halliburton v. Schlumberger
`IPR2017-01773
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`Agreed upon by the parties.
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`Respectfully submitted,
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`POLSINELLI PC
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`
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`/Henry A. Petri, Jr./
`Henry A. Petri, Jr. (Reg. No. 33,063)
`Lead Attorney for Petitioner
`Halliburton Energy Services, Inc.
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`Date: June 1, 2018
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`OBLON, MCCLELLAND, MAIER &
` NEUSTADT, LLP
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`
`/Michael L. Kiklis/
`Michael L. Kiklis (Reg. No. 38,939)
`Lead Attorney for Patent Owner
`Schlumberger Technology Corp.
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`Date: June 1, 2018
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`5
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`Schlumberger Exhibit 2025, pg. 6
`Halliburton v. Schlumberger
`IPR2017-01773
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`APPENDIX A
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`
`UNITED STATES PATENT AND TRADEMARK OFFICE
`____________
`
`BEFORE THE PATENT TRIAL AND APPEAL BOARD
`____________
`
`HALLIBURTON ENERGY SERVICES, INC.
`Petitioner,
`
`v.
`
`SCHLUMBERGER TECHNOLOGY CORPORATION
`Patent Owner.
`____________
`
`Case Nos. IPR2017-01564, -01775, -01776
`U.S. Patent No. 7,775,278
`
`Case Nos. IPR2017-01567, -01774
`U.S. Patent No. 7,934,556
`
`Case Nos. IPR2017-01569, -01570, -01778, -01779
`U.S. Patent No. 8,220,543
`
`Case Nos. IPR2017-01571, -01572, -01773
`U.S. Patent No. 8,646,529
`
`Case Nos. IPR2017-01573, -01574, -01576, -01578, -01771
`U.S. Patent No. 9,322,260
`
`Case Nos. IPR2017-01575, -01577, -01579, -01580, -01772
`U.S. Patent No. 8,905,133
`____________
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`Standard Acknowledgment for Access to Protective Order Material
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`Schlumberger Exhibit 2025, pg. 7
`Halliburton v. Schlumberger
`IPR2017-01773
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`Order;
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`I ________________________, affirm that I have read the Protective
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`that I will abide by its terms;
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`that I will use the confidential information only in connection with this
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`proceeding and for no other purpose;
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`that I will only allow access to support staff who are reasonably necessary to
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`assist me in this proceeding;
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`that prior to any disclosure to such support staff I informed or will inform
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`them of the requirements of the Protective Order;
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`that I am personally responsible for the requirements of the terms of the
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`Protective Order and I agree to submit to the jurisdiction of the Office and the
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`United States District Court for the Eastern District of Virginia for purposes of
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`enforcing the terms of the Protective Order and providing remedies for its breach.
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`SIGNED this _______ day of _________________________ 20____ at
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`______________________________________.
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`____________________________
`(signature)
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`__________________________
`(print name)
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`1
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`Schlumberger Exhibit 2025, pg. 8
`Halliburton v. Schlumberger
`IPR2017-01773
`
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