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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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`Ingenico Inc.,
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`Petitioner
`
`v.
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`IOENGINE, LLC,
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`Patent Owner
`
`____________
`
`U.S. Patent No. 8,539,047
`Issue Date: September 17, 2013
`Title: APPARATUS, METHOD AND SYSTEM FOR A
`TUNNELING CLIENT ACCESS POINT
`
`Inter Partes Review No. IPR2019-00416
`____________
`
`PETITION FOR INTER PARTES REVIEW
`UNDER 35 U.S.C. §§ 311-319 AND 37 C.F.R. § 42.100 et seq.
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`PayPal Inc. v. IOENGINE, LLC
`IPR2019-00884 (US 8,539,047)
`Exhibit 2072
`Page 1 of 3
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`Ground 35 U.S.C.
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`Claims
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`References
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`1
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`2
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`3
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`4
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`5
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`6
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`7
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`
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`102(b)
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`1, 3, 4, 6-21, 23-
`25, 27 and 28
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`103(a)
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`103(a)
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`2
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`5
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`103(a)
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`10 and 17
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`103(a)
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`103(a)
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`1-4, 6-21, 23-25,
`27 and 28
`5
`
`U.S. Patent Publication No.
`2003/0020813 to Iida (“Iida”) (Ex.
`1003)
`Iida and US2002/0065872
`(“Genske”) (Ex. 1004)
`Iida and US 2002/0169002 (Imbrie et
`al.)(Ex. 1005)
`Iida and US Patent No. 6,105,042
`(Aganovic) (Ex. 1006)
`Iida and Genske
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`Iida, Genske and Imbrie
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`103(a)
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`10 and 17
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`Iida, Genske and Aganovic
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`For grounds 1-4, Iida is the primary reference. Grounds 5-7 are distinguished
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`in that Iida is combined with the disclosure of graphical user interfaces in Genske
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`to provide the primary basis for unpatentability.
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`IV. THE ’047 PATENT – AN “INTELLIGENT” SECURE
`PERIPHERAL STORAGE DEVICE
`
`Scott McNulty filed his original patent application on March 23, 2004,
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`describing the inventive concept as an “effective solution to securely access,
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`execute and process data … in an extremely compact form.” Ex. 1001, C2:L25-28.
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`He distinguished his concept from bulky personal digital assistants (PDAs), such
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`as the Palm Pilot, which had uncomfortably small user interfaces. Ex. 1001,
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`C1:L19-25; C2:L28-31. The patent application described a tunneling client access
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`point (TCAP) that simply plugs into a desktop or laptop computer giving it access
`5
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`PayPal Inc. v. IOENGINE, LLC
`IPR2019-00884 (US 8,539,047)
`Exhibit 2072
`Page 2 of 3
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`to the user interface on the computer’s display monitor. Ex. 1001,C2:L39-46. The
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`TCAP further provides “storage, execution and/or processing resources” and
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`secure access to remote data. Ex. 1001,C2:L45-51.
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`The claims of the original parent patent U.S. 7,861,006 (the ’006 patent)
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`confirm that the invention was understood to be a universal serial bus (USB)
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`conduit for communication with a computer terminal whose display unit is used to
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`present an interactive user interface. Ex. 1013, C30:L60-C36:L10; Ex. 1002, ¶22.
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`All of the claims further require the storage of encrypted data on the memory of the
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`device. Id. Indeed, encryption is of the essence to a tunneling client. Newton’s
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`Telecom Dictionary in 2002 defined “tunneling” as “to provide a secure,
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`temporary path over the Internet, or other …tunneling is the process of
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`encapsulating an encrypted data packet in an IP packet for secure transmission
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`across an inherently insecure IP network, such as the Internet.” Ex. 1011, p. 4.
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`The ’006 patent prosecution emphasized the presence of intelligence, in
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`particular a processor, on the claimed portable USB device. The invention was
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`distinguished over a prior art USB device that the applicant characterized as
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`“merely a storage device.” Ex. 1012, April 27, 2009 response, p. 181. But
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`applicant had to further distinguish over additional prior art to Margalit by
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`emphasizing the affirmative role played by the claimed device’s processor as
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`opposed to Margalit’s onboard microprocessor that functions as a subservient
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`
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`6
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`PayPal Inc. v. IOENGINE, LLC
`IPR2019-00884 (US 8,539,047)
`Exhibit 2072
`Page 3 of 3
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