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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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`APPLE INC.,
`Petitioner
`
`v.
`
`MPH TECHNOLOGIES OY,
`Patent Owner
`____________________
`
`Case IPR2019-00820
`Patent 7,937,581
`____________________
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`
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`JOINT NOTICE OF STIPULATION TO MODIFY
`TRIAL DUE DATES 5 AND 6
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`Mail Stop PATENT BOARD
`Patent Trial and Appeal Board
`U.S. Patent & Trademark Office
`P.O. Box 1450
`Alexandria, VA 22313-1450
`
`

`

`Case IPR2019-00820
`U.S. Patent No. 7,937,581
`Petitioner, Apple Inc., and Patent Owner, MPH Technologies Oy, have
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`conferred and jointly agree to modify the December 9, 2019 Joint Notice of
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`Stipulation to Modify Trial Due Dates 5 and 6 (Paper 20) to correct incorrect dates.
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`Specifically, Petitioner and Patent Owner have agreed to modify DUE
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`DATES 5 and 6 for Petitioner’s Sur-Reply to Reply to Opposition to Motion to
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`Amend; Motion to Exclude Evidence; Opposition to Motion to Exclude; and
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`Request for Prehearing Conference:
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`
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`Due Date 5:
`Petitioner’s Sur-Reply to
`Reply to Opposition to
`Motion to Amend;
`Motion to Exclude
`Evidence
`Due Date 6:
`Opposition to Motion to
`Exclude; Request for
`Prehearing Conference
`
`
`Previous Due Date
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`Newly Stipulated Due
`Date
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`June 24, 2020
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`June 4, 2020
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`July 1, 2020
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`June 11, 2020
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`- 1 -
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`

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`Case IPR2019-00820
`U.S. Patent No. 7,937,581
`All other DUE DATES in the Scheduling Order remain the same as
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`
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`previously modified in the Joint Notice of Stipulation to Modify Trial Due Dates 1,
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`2, and 3 previously submitted on November 26, 2019. It is not believed that any
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`other action, by the parties or by the Board, is required to put the requested
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`schedule modification into effect.
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`
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`Respectfully submitted,
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`/Daniel S. Block/
`
`Daniel S. Block, Reg. No. 68,395
`Attorney for Petitioner, Apple Inc.
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`
`
`/STS/
`
`Stephen T. Schreiner, Reg. No. 43,097
`Attorney for Patent Owner,
`MPH Technologies Oy
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`
`
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`Date: December 19, 2019
`
`Date: December 16, 2019
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`
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`- 2 -
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`

`

`Case IPR2019-00820
`U.S. Patent No. 7,937,581
`CERTIFICATE OF SERVICE (37 C.F.R. § 42.6(e))
`
`The undersigned hereby certifies that the foregoing JOINT NOTICE OF
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`STIPULATION TO MODIFY TRIAL DUE DATES 5 AND 6 was served
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`electronically via e-mail on December 19, 2019, in its entirety to the following
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`counsel of record for Patent Owner:
`
`James T. Carmichael
`(Lead Counsel)
`
`Kenneth J. Weatherwax
`(First Back-Up Counsel)
`
`jim@carmichaelip.com
`
`weatherwax@lowensteinweatherwax.com
`
`Stephen T. Schreiner (Back-Up Counsel) schreiner@carmichaelip.com
`Christopher J. Lee (Back-Up Counsel) clee@leesheikh.com
`Richard B. Megley (Back-Up Counsel) rmegley@leesheikh.com
`Brian E. Haan (Back-Up Counsel) bhaan@leesheikh.com
`Ashley E. LaValley (Back-Up Counsel) alavalley@leesheikh.com
`Patrick Maloney (Back-Up Counsel) maloney@lowensteinweatherwax.com
`Jason C. Linger (Back-Up Counsel) linger@lowensteinweatherwax.com
`
`CARMICHAEL IP, PLLC
`MPH-IPRs@carmichaelip.com
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`Respectfully Submitted,
`
`STERNE, KESSLER, GOLDSTEIN & FOX P.L.L.C.
`
`/Daniel S. Block/
`
`Daniel S. Block, Reg. No. 68,395
`Counsel for Petitioner
`
`Date: December 19, 2019
`
`1100 New York Avenue, N.W.
`Washington, D.C. 20005-3934
`(202) 371-2600
`
`
`
`
`

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