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`PAPER NO. 6
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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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`RIMFROST AS
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`Petitioner
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`v.
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`AKER BIOMARINE ANTARCTIC AS
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`Patent Owner
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`_______________________
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`Case: IPR2018-01178
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`U.S. Patent No. 9,375,453
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`______________________
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`PETITIONER’S FIRST UPDATED SUBMISSION OF
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`MANDATORY NOTICE INFORMATION
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`IPR 2018-01178
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`U.S. Patent No. 9,375,453
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`Petitioner Rimfrost AS provides the following updated Mandatory Notices
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`pursuant to 37 C.F.R. § 42.8. In this case, updated information is provided
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`regarding proceedings before the PTAB in connection with patents in the same
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`patent family as the ‘453 Patent. In connection with two inter partes review
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`proceedings, Final Written Decisions were issued determining that the related
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`patents were unpatentable. See paragraphs in italics below for updated content.
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`RELATED MATTERS
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`Aker has asserted two patents - U.S. Patent Nos. 9,078,905 and 9,028,877 in
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`a pending litigation commenced by Aker against Olympic Holding AS; Rimfrost
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`AS; Emerald Fisheries AS, Rimfrost USA, LLC; Avoca Inc.; and Bioriginal Food
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`& Science Corp. See Case No. 1:16-CV-00035-LPS-CJB (D. Del.). (Complaint,
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`Exhibit 1021). The litigation was stayed pursuant to 28 U.S.C. § 1659 in view of
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`Investigation No. 337-TA-1019 instituted by the U.S. International Trade
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`Commission on September 16, 2016. The ITC proceeding, In the Matter of Certain
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`Krill Oil Products and Krill Meal for Production of Krill Oil Products, related to
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`Aker’s U.S. Patent Nos. 9,028,877, 9,078,905, 9,072,752, 9,320,765, and
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`9,375,453. The ITC Investigation identified Olympic Holding AS, Rimfrost AS,
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`Emerald Fisheries AS, Avoca Inc., Rimfrost USA, LLC, Rimfrost New Zealand
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`IPR 2018-01178
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`Limited and Bioriginal Food & Science Corp. as respondents. (Exhibit 1023). On
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`U.S. Patent No. 9,375,453
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`May 23, 2017, ITC Investigation No. 337-TA-1019 was effectively terminated.
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`(Exhibit 1054). In addition, a Stipulation of Dismissal as to Avoca Inc. was granted
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`by the Delaware District Court on May 30, 2017.
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`On January 27, 2017, Petitioner filed petitions in IPR2017-0745 and
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`IPR2017-0747 requesting review of claims 1-20 of U.S. Patent No. 9,078,905. On
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`February 3, 2017, Petitioner filed petitions in IPR2017-0746 and IPR2017-0748
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`requesting review of claims 1-19 of U.S. Patent No. 9,028,877. Each of these IPRs
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`was instituted on August 16, 2017. On September 6, 2017, the Delaware District
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`Court action was stayed pending resolution of the IPRs. (Exhibit 1078).
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`On December 15, 2017, Petitioner filed a petition in IPR2018-00295
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`requesting review of claims 1-48 of U.S. Patent No. 9,320,765. This IPR was
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`instituted on June 14, 2018.
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`On February 9, 2018, Petitioner filed a petition in PGR2018-0033 requesting
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`review of claims 1-20 of U.S. Patent No. 9,644,170. The Board has not yet issued
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`an Institution Decision for this review.
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`Contemporaneously with the filing of this Petition, Petitioner is also filing a
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`Petition in IPR2018-01179 requesting review and cancellation of claims 33-61 of
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`the ‘453 patent.
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`IPR 2018-01178
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`U.S. Patent No. 9,375,453
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`On August 10, 2018, the PTAB issued Final Written Decisions (FWD) in the
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`following inter partes review proceedings of patents in the same patent family as
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`the ‘453 Patent:
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`IPR2017-00745, FWD determining Claims 1-20, i.e., all claims, of
`U.S. Patent 9,078,905 B2 have been shown to be unpatentable on the
`grounds presented;
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`IPR2017-00746, FWD determining that Claims 1-19, i.e., all
`claims, of U.S. Patent 9,028,877 B2 have been shown to be
`unpatentable on the grounds presented;
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`IPR2017-00747, FWD determining that Claims 1-20 of U.S. Patent
`9,078,905 B2 have not been shown to be unpatentable on the grounds
`presented; and
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`IPR2017-00748, FWD determining that Claims 1-19 of U.S. Patent
`9,028,877 B2 have not been shown to be unpatentable on the grounds
`presented.
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`IPR 2018-01178
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`Dated: August 21, 2018
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`U.S. Patent No. 9,375,453
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`Respectfully submitted,
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`By: /Michael I. Chakansky/
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`Michael I. Chakansky (Reg. No. 31,600)
`Hoffmann & Baron, LLP
`6 Campus Drive
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`Parsippany, N.J. 07054
`mchakansky@hbiplaw.com
`Tel: 973.331.1700
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`First Back-Up Counsel for Petitioner
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`U.S. Patent No. 9,375,453
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`CERTIFICATE OF SERVICE
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`I hereby certify that on this the 21st day of August, 2018, the foregoing
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`PETITIONER’S FIRST UPDATED SUBMISSION OF MANDATORY NOTICE
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`INFORMATION was served in its entirety on the following counsel of record by
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`electronic service by email at the email addresses as set forth below in accordance
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`with the consent set forth in Patent Owner’s Mandatory Notices Pursuant to 37
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`C.F.R. § 42.8 (Paper No. 4, p. 2).
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`David A. Casimir
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`J. Mitchell Jones
`CASIMIR JONES S.C.
`2275 Deming Way, Suite 310
`Middleton, WI 53562
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`docketing@casimirjones.com
`dacasimir@casimirjones.com
`jmjones@casimirjones.com
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`By:
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`/Michael I. Chakansky/
`Michael I. Chakansky (Reg. No. 31,600)
`Hoffmann & Baron, LLP
`6 Campus Drive
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`Parsippany, N.J. 07054
`mchakansky@hbiplaw.com
`Tel: 973.331.1700
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