`Holdings, Inc. - Magistrate Consent Notice to Pltf. ( Filing fee $ 400, receipt
`number 0311-2347547.) - filed by IOENGINE LLC. (Attachments: # 1 Exhibit A, #
`2 Exhibit B, # 3 Exhibit C, # 4 Civil Cover Sheet)(fms) (Entered: 03/26/2018)
`
`Printed By:
`
`RMCALLEN2 on Monday, August 27, 2018 - 6:57 PM
`
`PayPal Inc. v. IOENGINE, LLC
`IPR2019-00887 (US 8,539,047)
`Exhibit 2029
`Page 1 of 206
`
`
`
`
`
`COMPLAINT for Patent Infringement filed with Jury Demand against PayPal Holdings,
`
`Part
`1
`2
`3
`4
`5
`
`Multiple Documents
`
`Description
`100 pages
`Exhibit A
`Exhibit B
`Exhibit C
`Civil Cover Sheet
`
`© 2018 The Bureau of National Affairs, Inc. All Rights Reserved. Terms of Service
` // PAGE 1
`
`PayPal Inc. v. IOENGINE, LLC
`IPR2019-00887 (US 8,539,047)
`Exhibit 2029
`Page 2 of 206
`
`
`
`Case 1:18-cv-00452-UNA Document 1 Filed 03/23/18 Page 1 of 100 PageID #: 1
`
`IN THE UNITED STATES DISTRICT COURT
`FOR THE DISTRICT OF DELAWARE
`
`
`
`
`
`
`
`IOENGINE, LLC,
`
`
`
`
`
`
`
`
`Plaintiff,
`
`v.
`
`
`
`
`
`PAYPAL HOLDINGS, INC.,
`
`Defendant.
`
`
`
`
`
`
`
`
`
`
`
`)
`)
`)
`)
`)
`)
`)
`)
`)
`)
`
`
`
`
`
`
`
`
`
`
`
`C.A. No. _________
`
`
`
`Jury Trial Demanded
`
`COMPLAINT FOR PATENT INFRINGEMENT
`
`Plaintiff IOENGINE, LLC (“Plaintiff” or “IOENGINE”), by and through its
`
`undersigned counsel, alleges as follows:
`
`THE PARTIES
`
`IOENGINE is a limited liability company organized and existing under the laws
`
`of the State of Delaware, with its principal place of business at 22 Ensign Road, Norwalk,
`
`Connecticut 06853.
`
`Defendant PayPal Holdings, Inc. (“Defendant” or “PayPal”) is a corporation
`
`organized and existing under the laws of the State of Delaware, having a place of business at
`
`2211 North First Street, San Jose, California, 95131.
`
`Defendant’s registered agent in the State of Delaware is The Corporation Trust
`
`Company, 1209 Orange Street, City of Wilmington, County of New Castle, 19801.
`
`PayPal Inc. v. IOENGINE, LLC
`IPR2019-00887 (US 8,539,047)
`Exhibit 2029
`Page 3 of 206
`
`
`
`
`
`
`
`Case 1:18-cv-00452-UNA Document 1 Filed 03/23/18 Page 2 of 100 PageID #: 2
`
`
`
`JURISDICTION AND VENUE
`
`This is an action for patent infringement arising under the patent laws of the
`
`United States, 35 U.S.C. § 100 et seq., including, but not limited to, 35 U.S.C. § 271.
`
`This Court has subject matter jurisdiction over this action pursuant to 28 U.S.C.
`
`§§ 1331 and 1338(a).
`
`This Court has personal jurisdiction over PayPal. On information and belief,
`
`Defendant is subject to this Court’s specific and general personal jurisdiction pursuant to due
`
`process and the Delaware Long-Arm Statute, due to its (i) substantial business in this forum,
`
`including at least a portion of the infringing acts alleged herein; (ii) incorporation in the forum;
`
`and (iii) regularly doing or soliciting business, engaging in other persistent courses of conduct,
`
`and deriving substantial revenue from infringing goods and services provided to individuals in
`
`Delaware.
`
`On information and belief, within this state, PayPal has offered for sale and sold,
`
`and continues to offer for sale and sell, products and services embodying the patented
`
`inventions, thereby committing, contributing to, and inducing, and continuing to commit,
`
`contribute to, and induce, acts of patent infringement alleged herein. On information and belief,
`
`PayPal maintains a regular and established place of business in this District, including through a
`
`facility at 3505 Silverside Road, Wilmington, Delaware 19810. PayPal has committed such
`
`purposeful acts and/or transactions in Delaware such that it reasonably should know and expect
`
`that it could be haled into this Court as a consequence of such activity.
`
`Venue is proper in this District under 28 U.S.C. §§ 1391(b) and (c), and 1400(b)
`
`because, among other reasons, Defendant is incorporated in and resides in the State of Delaware
`
`and because Defendant regularly transacts or solicits business in this District and has committed
`
`at least a portion of the infringing acts at issue in this case from and within this District. On
`
`2
`
`PayPal Inc. v. IOENGINE, LLC
`IPR2019-00887 (US 8,539,047)
`Exhibit 2029
`Page 4 of 206
`
`
`
`
`
`
`
`
`Case 1:18-cv-00452-UNA Document 1 Filed 03/23/18 Page 3 of 100 PageID #: 3
`
`
`
`information and belief, Defendant has a regular and established place of business in this District
`
`at 3505 Silverside Road, Wilmington, Delaware 19810. In addition, on information and belief,
`
`Defendant employs a number of persons in this District and derives and has derived substantial
`
`revenue from goods and services provided to persons or entities in this District and from
`
`infringing acts occurring within this District.
`
`Venue is additionally proper in this District because IOENGINE is incorporated
`
`in the State of Delaware and because one of the patents-in-suit has twice been litigated and tried
`
`to a jury verdict in this District.1
`
`BACKGROUND
`
`This dispute involves fundamental technology that allows portable electronic
`
`devices, used in conjunction with terminals, to support enhanced functionality. For example,
`
`the technology at issue allows users to interact with portable devices through a terminal’s
`
`interactive user interface, using the terminal’s input and output components, while maintaining
`
`a secure processing environment on the portable device to enable secure communications
`
`between the portable device, the terminal, and a communications network. Further, the
`
`technology at issue describes terminals and portable devices that execute program code in a
`
`coordinated fashion, allowing for a convenient, secure way to conduct electronic transactions,
`
`such as processing mobile credit card payments and refunds.
`
`The technology at issue was invented by Mr. Scott McNulty, who also founded
`
`IOENGINE.
`
`
`
`See IOENGINE, LLC v. Imation, Corp., no. 14-cv-1572 (D. Del.); IOENGINE, LLC v.
`1
`Interactive Media Corp. d/b/a Kanguru Solutions, no. 14-cv-1571 (D. Del.).
`
`3
`
`PayPal Inc. v. IOENGINE, LLC
`IPR2019-00887 (US 8,539,047)
`Exhibit 2029
`Page 5 of 206
`
`
`
`
`
`
`Case 1:18-cv-00452-UNA Document 1 Filed 03/23/18 Page 4 of 100 PageID #: 4
`
`
`
`THE IOENGINE PATENTS-IN-SUIT
`
`On September 17, 2013, the United States Patent and Trademark Office duly and
`
`legally issued United States Patent No. 8,539,047 (the “’047 Patent”), entitled “Apparatus,
`
`Method and System for a Tunneling Client Access Point,” after full and fair examination. The
`
`application that led to the ’047 Patent, U.S. Patent Application Ser. No. 12/950,321, was a
`
`continuation of U.S. Patent Application Ser. No. 10/807,731, filed on March 23, 2004. A true
`
`and correct copy of the ’047 Patent is attached hereto as Exhibit A.
`
`On June 16, 2015, the United States Patent and Trademark Office duly and
`
`legally issued United States Patent No. 9,059,969 (the “’969 Patent”), entitled “Apparatus,
`
`Method and System for a Tunneling Client Access Point” after full and fair examination. The
`
`application that led to the ’969 Patent, U.S. Patent Application Ser. No. 13/960,514, was a
`
`continuation of U.S. Patent Application Ser. No. 12/950,321, which was a continuation of U.S.
`
`Patent Application Ser. No. 10/807,731, filed on March 23, 2004. A true and correct copy of
`
`the ’969 Patent is attached hereto as Exhibit B.
`
`On September 26, 2017, the United States Patent and Trademark Office duly and
`
`legally issued United States Patent No. 9,774,703 (the “’703 Patent”), entitled “Apparatus,
`
`Method and System for a Tunneling Client Access Point” after full and fair examination. The
`
`application that led to the ’703 Patent, U.S. Patent Application Ser. No. 14/721,540, was a
`
`continuation of U.S. Patent Application Ser. No. 13/960,514, which was a continuation of U.S.
`
`Patent Application Ser. No. 12/950,321, which was a continuation of U.S. Patent Application
`
`Ser. No. 10/807,731, filed on March 23, 2004. A true and correct copy of the ’703 Patent is
`
`attached hereto as Exhibit C.
`
`IOENGINE is the assignee of all right, title, and interest in and to the ’047
`
`Patent, the ’969 Patent, and the ’703 Patent (collectively, the “Patents-in Suit”) and possesses
`
`4
`
`PayPal Inc. v. IOENGINE, LLC
`IPR2019-00887 (US 8,539,047)
`Exhibit 2029
`Page 6 of 206
`
`
`
`
`
`
`
`Case 1:18-cv-00452-UNA Document 1 Filed 03/23/18 Page 5 of 100 PageID #: 5
`
`
`
`all rights of recovery under the Patents-in-Suit, including the right to recover damages for past
`
`infringement.
`
`All of the Patents-in-Suit are valid, enforceable, and unexpired.
`
`PAYPAL’S INFRINGEMENT
`
`IOENGINE repeats, re-alleges, and incorporates by reference the preceding
`
`paragraphs as if fully set forth herein.
`
`As described below, PayPal infringes claims of each of the Patents-in-Suit
`
`directly (alone or jointly), by making, using, selling, offering for sale, and importing into the
`
`United States certain products or services, and indirectly by contributing to and inducing direct
`
`infringement by others, by encouraging and instructing others to make and use such products or
`
`services in an infringing manner.
`
` More specifically, the infringing products (the “PayPal Infringing Products”)
`
`include, but are not limited to, PayPal’s card reader products for mobile payments (for example,
`
`the PayPal Chip Card Reader, PayPal Mobile Card Reader, PayPal Chip and Swipe Reader, and
`
`PayPal Chip and Tap Reader)2 alone or in combination with a credit card, debit card, smart card,
`
`or contactless payment device; PayPal or third party mobile applications used in connection with
`
`PayPal’s card reader products (e.g., the PayPal Here App); PayPal’s secure financial transaction
`
`servers used in connection with PayPal’s card reader products to process credit, debit, and smart
`
`card transactions and contactless payment transactions; products and systems incorporating the
`
`foregoing; and reasonably similar PayPal products with on-board storage and processing
`
`capabilities that embody the apparatuses or practice the methods claimed by each of the Patents-
`
`
`
`2
`
`See, e.g., https://www.paypal.com/us/webapps/mpp/credit-card-reader.
`
`5
`
`PayPal Inc. v. IOENGINE, LLC
`IPR2019-00887 (US 8,539,047)
`Exhibit 2029
`Page 7 of 206
`
`
`
`
`
`
`Case 1:18-cv-00452-UNA Document 1 Filed 03/23/18 Page 6 of 100 PageID #: 6
`
`
`
`in-Suit. The PayPal Infringing Products meet the limitations of at least one claim of each of the
`
`Patents-in-Suit literally and/or under the doctrine of equivalents.
`
`The PayPal Infringing Products include portable card and contactless payment
`
`readers that are designed to provide a “a mobile payment solution” to allow users to “accept
`
`multiple forms of payment simply and securely, wherever your business takes you,” both “on-
`
`the-go or in your store.”3
`
`PayPal instructs and encourages its customers to use the PayPal Infringing
`
`Products in a manner that infringes at least one claim of each of the Patents-in-Suit, including
`
`by providing software development kits for the PayPal Infringing Products,4 by providing
`
`information on its website (available at www.paypal.com) and on third-party platforms (e.g.,
`
`https://www.youtube.com/user/PayPal), including videos, demonstrations, and other
`
`information, and by providing technical support for the PayPal Infringing Products. In each
`
`case, the information and materials provided by PayPal contain detailed descriptions and
`
`instructions for using and implementing functionality claimed in each of the Patents-in-Suit
`
`including, at least, card reader device setup, processing chip card (“EMV”) card payments,
`
`processing magnetic stripe card payments, processing contactless payments, processing refunds,
`
`and processing firmware updates. PayPal additionally instructs and encourages its customers
`
`and third parties to use the PayPal Infringing Products in a manner that infringes at least one
`
`claim of each of the Patents-in-Suit by instructing and encouraging its customers and third
`
`parties to use the PayPal Infringing Products with PayPal’s Point of Sale Partners (e.g., the Lavu
`
`
`
`3
`
`4
`
`https://www.paypal.com/webapps/mpp/credit-card-reader.
`
`See, e.g., https://developer.paypal.com/docs/integration/paypal-here/.
`
`6
`
`PayPal Inc. v. IOENGINE, LLC
`IPR2019-00887 (US 8,539,047)
`Exhibit 2029
`Page 8 of 206
`
`
`
`
`
`Case 1:18-cv-00452-UNA Document 1 Filed 03/23/18 Page 7 of 100 PageID #: 7
`
`
`
`
`
`Point of Sale App,5 TouchBistro App,6 Vend Register App,7 ERPLY cloud-based POS
`
`software8, Brightpearl POS system,9 and TouchPoint POS system,10each a “POS Partner App”).
`
`FIRST COUNT FOR RELIEF
`(DIRECT INFRINGEMENT OF THE ’047 PATENT)
`
`IOENGINE repeats, re-alleges, and incorporates by reference the preceding
`
`paragraphs as if fully set forth herein.
`
`The ‘047 Patent is presumed valid and PayPal has had actual knowledge of the
`
`’047 Patent at least as early as the filing of this Complaint.
`
`PayPal is not licensed under the ’047 Patent and has no other right or permission
`
`to practice the invention embodied therein.
`
`On information and belief, PayPal has infringed and continues to infringe, directly
`
`(alone or jointly), literally, and/or under the doctrine of equivalents, in violation of 35 U.S.C. §
`
`271, one or more claims of the ’047 Patent by performing, without authority, one or more of the
`
`following acts: making, having made, using, importing, selling, and offering for sale in the
`
`United States one or more products or services that embody the invention claimed in the ’047
`
`Patent, including but not limited to the PayPal Infringing Products. Since at least after receiving
`
`notice of this Complaint, Defendant has knowingly infringed, and continues to infringe, one or
`
`
`
`5
`
`6
`
`7
`
`8
`
`See, e.g., https://www.paypal.com/us/webapps/mpp/partner/lavu-pos.
`
`See, e.g., https://www.paypal.com/us/webapps/mpp/partner/touchbistro-pos.
`
`See, e.g., https://www.paypal.com/us/webapps/mpp/partner/vend-pos.
`
`See, e.g., https://www.paypal.com/us/webapps/mpp/partner/erply-pos.
`
`See, e.g., https://www.paypal.com/us/webapps/mpp/point-of-sale-systems/retail-
`9
`pos/brightpearl.
`
`See, e.g., https://www.paypal.com/us/webapps/mpp/point-of-sale-systems/restaurant-
`10
`pos/touchpoint.
`
`7
`
`PayPal Inc. v. IOENGINE, LLC
`IPR2019-00887 (US 8,539,047)
`Exhibit 2029
`Page 9 of 206
`
`
`
`
`
`
`
`Case 1:18-cv-00452-UNA Document 1 Filed 03/23/18 Page 8 of 100 PageID #: 8
`
`
`
`more claims of the ’047 Patent by making, having made, using, importing, selling, and offering
`
`for sale in the United States the PayPal Infringing Products, which products constitute a material
`
`part of the invention and are not staple articles or commodities of commerce suitable for
`
`substantial non-infringing use.
`
`For example, the PayPal Infringing Products embody the patented invention of the
`
`’047 Patent and infringe at least Claim 1 of the ’047 patent because each of PayPal’s card reader
`
`products for mobile payments is:
`
`“[a] portable device, comprising:
`
`(a) an external communications interface configured to enable the
`transmission of a plurality of communications between the portable
`device and a terminal comprising a terminal processor, a first input
`component, a first output component, and a network interface;
`
`(b) a processor; and
`
`(c) a memory having executable program code stored thereon,
`including:
`
`(1) first program code which, when executed, causes an interactive
`user interface to be presented on the first output component, wherein
`the interactive user interface is configured to enable the user to cause
`the portable device processor to execute program code stored on the
`portable device memory;
`
`(2) second program code which, when executed, enables the
`portable device to (i) receive a communication resulting from user
`interaction with the interactive user interface and (ii) cause a
`communication to be sent through the terminal network interface to
`a communications network node; and
`
`(3) third program code which, when executed by the portable device
`processor in response to a communication resulting from user
`interaction with
`the
`interactive user
`interface, causes a
`communication to be transmitted to a communications network
`node;
`
`wherein the portable device is configured to effect the display on the
`first output component of processing activity of program code stored
`on the portable device memory; and
`
`8
`
`PayPal Inc. v. IOENGINE, LLC
`IPR2019-00887 (US 8,539,047)
`Exhibit 2029
`Page 10 of 206
`
`
`
`
`Case 1:18-cv-00452-UNA Document 1 Filed 03/23/18 Page 9 of 100 PageID #: 9
`
`
`
`wherein the portable device is configured to communicate with the
`terminal and to communicate through the terminal network interface
`with the communications network node.”11
`
`Direct Infringement: PayPal Chip Card Reader.
`
`The PayPal Chip Card Reader is a portable device that offers a “secure way to process chip card,
`
`contactless, and swipe payments on-the-go or in your store”:
`
`The PayPal Chip Card Reader contains a Freescale MCIMX258CJM4A M09P
`
`12
`
`ARM core processor or its equivalent:
`
`
`
`13
`
`
`
`11
`
`’047 Patent, Claim 1.
`
`See PayPal Chip Card Reader Guide, available at
`12
`https://www.paypal.com/us/webapps/mpp/credit-card-reader-how-to/chip-card-reader (the
`“PayPal Chip Card Reader Guide Website”).
`
`13 Unless otherwise noted, all pictures of the internal components of the PayPal Chip Card
`Reader were taken of a PayPal Chip Card Reader with the plastic covering removed.
`
`9
`
`PayPal Inc. v. IOENGINE, LLC
`IPR2019-00887 (US 8,539,047)
`Exhibit 2029
`Page 11 of 206
`
`
`
`
`
`Case 1:18-cv-00452-UNA Document 1 Filed 03/23/18 Page 10 of 100 PageID #: 10
`
`
`
`The Freescale MCIMX258CJM4A M09P ARM core processor contains 128 KB
`
`SRAM, 32 KB ROM, and/or 16 KB data cache memory, or its equivalent.
`
`The PayPal Chip Card Reader contains a 2GB Micron Flash memory module with
`
`FBGA code NQ282, corresponding to part number MT29F2G08ABBEAHC-IT:E and/or a
`
`512MB SDRAM memory module with FPGA Code D9LQQ, corresponding to part number
`
`MT46H32M16LFBF-5 IT:C, or its equivalent:
`
`
`
`The PayPal Chip Card Reader contains a Bluetooth communications interface
`
`configured to enable the transmission of communications between the PayPal Chip Card Reader
`
`and a terminal (for example, an Apple iOS or Android device having a processor, an input
`
`component such as a touchscreen sensor, an output component such as a display, and a network
`
`interface and that contains the PayPal Here App or a POS Partner App). The PayPal Chip Card
`
`Reader uses Bluetooth to “pair” with the terminal:
`
`
`
`14
`
`See PayPal Chip Card Reader Guide Website.
`
`10
`
`14
`
`PayPal Inc. v. IOENGINE, LLC
`IPR2019-00887 (US 8,539,047)
`Exhibit 2029
`Page 12 of 206
`
`
`
`
`
`
`Case 1:18-cv-00452-UNA Document 1 Filed 03/23/18 Page 11 of 100 PageID #: 11
`
`
`
`On information and belief, the PayPal Chip Card Reader’s memory stores
`
`program code that is configured to cause an interactive user interface to be presented on the
`
`terminal’s display (for example, to indicate that the PayPal Chip Card Reader has been paired
`
`with the terminal, or to display a message that the PayPal Chip Card Reader requires an update),
`
`which the user can interact with (for example, to initiate a credit card transaction, or to initiate a
`
`firmware update).
`
`For example, the PayPal Here App presents a message when a PayPal Chip Card
`
`Reader has been connected and is available for transactions:
`
`Also, if a card reader software (“firmware”) update is necessary, the PayPal Here
`
`App presents a message that a firmware update is required:
`
`15
`
`
`
`15 Unless otherwise noted, all screen captures of PayPal’s instructional videos for the PayPal
`Chip Card Reader were captured from https://youtu.be/nY5tsHB-S70, last visited Mar. 23, 2018,
`also available from https://www.youtube.com/user/PayPal (PayPal’s “verified” YouTube
`channel).
`
`11
`
`PayPal Inc. v. IOENGINE, LLC
`IPR2019-00887 (US 8,539,047)
`Exhibit 2029
`Page 13 of 206
`
`
`
`
`
`
`Case 1:18-cv-00452-UNA Document 1 Filed 03/23/18 Page 12 of 100 PageID #: 12
`
`
`
`16
`
`Further, on information and belief, the PayPal Chip Card Reader’s memory stores
`
`program code that is configured to enable the PayPal Chip Card Reader to receive
`
`communications resulting from user interaction with the PayPal Here App or a POS Partner
`
`App’s user interface displayed on the terminal and to cause a communication to be sent to a
`
`network server through the terminal’s network interface (for example, program code to enable
`
`the PayPal Chip Card Reader to receive communications and to cause communications to be sent
`
`via Bluetooth, in connection with the processing of payments or firmware updates).
`
`On information and belief, the PayPal Chip Card Reader’s memory also stores
`
`program code to be executed by the PayPal Chip Card Reader’s processor in response to a
`
`communication resulting from user interaction with a user interface on the terminal that is
`
`configured to cause a communication to be sent to a network server through the terminal’s
`
`network interface (for example, to cause a communication to be sent to PayPal’s secure financial
`
`transaction servers to process payments using the PayPal Here App or a POS Partner App, or to
`
`request firmware updates).
`
`
`
`16 Unless otherwise noted, all screen captures of the PayPal Here App in use with the PayPal
`Chip Card Reader were taken on an iPhone 5s running the PayPal Here App.
`
`12
`
`PayPal Inc. v. IOENGINE, LLC
`IPR2019-00887 (US 8,539,047)
`Exhibit 2029
`Page 14 of 206
`
`
`
`
`
`Case 1:18-cv-00452-UNA Document 1 Filed 03/23/18 Page 13 of 100 PageID #: 13
`
`
`
`For example, the PayPal Here App’s user interface allows the user to enter the
`
`charge amount and to initiate the transaction by pressing the “charge” button:
`
`The PayPal Here App’s user interface also allows the user to initiate a firmware
`
`
`
`update by pressing the “update” button:
`
`
`
`On information and belief, the PayPal Chip Card Reader’s memory stores
`
`program code to be executed by the PayPal Chip Card Reader’s processor in response to a
`
`communication resulting from user interaction with the PayPal Here App’s user interface that is
`
`configured to cause a communication to be transmitted to a communications network to process
`
`the transaction:
`
`13
`
`PayPal Inc. v. IOENGINE, LLC
`IPR2019-00887 (US 8,539,047)
`Exhibit 2029
`Page 15 of 206
`
`
`
`
`
`
`Case 1:18-cv-00452-UNA Document 1 Filed 03/23/18 Page 14 of 100 PageID #: 14
`
`
`
`
`
`On information and belief, the PayPal Chip Card Reader’s memory also stores
`
`program code to be executed by the PayPal Chip Card Reader’s processor in response to a
`
`communication resulting from user interaction with the PayPal Here App’s user interface that is
`
`configured to cause a communication to be transmitted to a communications network to
`
`download a firmware update:
`
`
`
`On information and belief, the PayPal Chip Card Reader is configured to effect
`
`the terminal’s display of processing activity of program code stored on the PayPal Chip Card
`
`Reader’s memory (for example, to indicate successful pairing of the PayPal Chip Card Reader to
`
`the terminal, to display payment processing progress details, to provide payment processing
`
`confirmation, or to display firmware update details).
`
`14
`
`PayPal Inc. v. IOENGINE, LLC
`IPR2019-00887 (US 8,539,047)
`Exhibit 2029
`Page 16 of 206
`
`
`
`
`
`Case 1:18-cv-00452-UNA Document 1 Filed 03/23/18 Page 15 of 100 PageID #: 15
`
`
`
`For example, the PayPal Chip Card Reader is configured to effect the display of
`
`the terminal running the PayPal Here App to indicate that a chip card has been inserted and that
`
`the transaction is processing:
`
`The PayPal Chip Card Reader is also configured to effect the display of the
`
`terminal running the PayPal Here App to indicate that the firmware has been updated
`
`
`
`successfully:
`
`
`
`The PayPal Chip Card Reader is configured to communicate with the terminal
`
`running the PayPal Here App or a POS Partner App, and to communicate through the terminal’s
`
`network interface to a network server (for example, for securely processing credit card or
`
`contactless payment transactions, or firmware updates).
`
`15
`
`PayPal Inc. v. IOENGINE, LLC
`IPR2019-00887 (US 8,539,047)
`Exhibit 2029
`Page 17 of 206
`
`
`
`
`
`
`Case 1:18-cv-00452-UNA Document 1 Filed 03/23/18 Page 16 of 100 PageID #: 16
`
`
`
`Direct Infringement: PayPal Mobile Card Reader.
`
`The PayPal Mobile Card Reader is a portable device that “fits in your pocket and works
`
`with compatible mobile devices to help get you paid on-the-go”:
`
`The PayPal Mobile Card Reader contains a EFM32 TG110F32 ARM Cortex-M3
`
`17
`
`processor or its equivalent:
`
`18
`
`The PayPal Mobile Card Reader contains memory, including at least up to 32 KB
`
`Flash memory and up to 4KB RAM memory integrated into an EFM32 TG110F32 ARM Cortex-
`
`M3 processor, or its equivalent.
`
`The PayPal Mobile Card Reader includes an audio jack communications interface
`
`(e.g., an AHJ connector) configured to enable the transmission of communications between the
`
`
`
`See PayPal Mobile Card Reader Guide, available at
`17
`https://www.paypal.com/us/webapps/mpp/credit-card-reader-how-to/mobile-card-reader (the
`“PayPal Mobile Card Reader Guide Website”).
`
`18 Unless otherwise noted, all pictures of the internal components of the PayPal Mobile Card
`Reader were taken of a PayPal Mobile Card Reader with the plastic covering removed.
`
`16
`
`PayPal Inc. v. IOENGINE, LLC
`IPR2019-00887 (US 8,539,047)
`Exhibit 2029
`Page 18 of 206
`
`
`
`
`
`
`
`Case 1:18-cv-00452-UNA Document 1 Filed 03/23/18 Page 17 of 100 PageID #: 17
`
`
`
`PayPal Mobile Card Reader and a terminal (for example, an Apple iOS or Android device having
`
`a processor, an input component such as a touchscreen sensor, an output component such as a
`
`display, and a network interface and that contains the PayPal Here App or a POS Partner App).
`
`On information and belief, the PayPal Mobile Card Reader’s memory stores
`
`program code that is configured to cause an interactive user interface to be presented on the
`
`terminal’s display (for example, to indicate that the PayPal Mobile Card Reader has been
`
`connected to the terminal and detected), which the user can interact with (for example, to initiate
`
`a credit card transaction).
`
`For example, the PayPal Here App presents a message when the PayPal Mobile
`
`Card Reader has been detected:
`
`19
`
`Further, on information and belief, the PayPal Mobile Card Reader’s memory
`
`stores program code that is configured to enable the PayPal Mobile Card Reader to receive
`
`communications (for example, an audio-data communication sent to the PayPal Mobile Card
`
`
`
`19 Unless otherwise noted, all screen captures of the PayPal Here App in use with the PayPal
`Mobile Card Reader were taken on an iPhone 5s running the PayPal Here App.
`
`17
`
`PayPal Inc. v. IOENGINE, LLC
`IPR2019-00887 (US 8,539,047)
`Exhibit 2029
`Page 19 of 206
`
`
`
`
`
`
`Case 1:18-cv-00452-UNA Document 1 Filed 03/23/18 Page 18 of 100 PageID #: 18
`
`
`
`Reader device over audio pins (pins 3 and 4) of the AHJ interface) resulting from user interaction
`
`with the PayPal Here App or a POS Partner App’s user interface displayed on the terminal and to
`
`cause a communication to be sent to a network server through the terminal’s network interface
`
`(for example, program code to enable the PayPal Mobile Card Reader to receive communications
`
`and to cause communications to be sent via audio-data communication, in connection with the
`
`processing of payments).
`
`On information and belief, the PayPal Mobile Card Reader’s memory also stores
`
`program code to be executed by the PayPal Mobile Card Reader’s processor in response to a
`
`communication resulting from user interaction with a user interface on the terminal that is
`
`configured to cause a communication to be sent to a network server through the terminal’s
`
`network interface (for example, to cause a communication to be sent to PayPal’s secure financial
`
`transaction servers to process payments using the PayPal Here App or a POS Partner App).
`
`For example, the PayPal Here App’s user interface allows the user to enter the
`
`charge amount and to initiate the transaction by pressing the “charge” button:
`
`
`
`
`
`On information and belief, the PayPal Mobile Card Reader’s memory stores
`
`program code to be executed by the PayPal Mobile Card Reader’s processor in response to a
`
`18
`
`PayPal Inc. v. IOENGINE, LLC
`IPR2019-00887 (US 8,539,047)
`Exhibit 2029
`Page 20 of 206
`
`
`
`
`
`
`Case 1:18-cv-00452-UNA Document 1 Filed 03/23/18 Page 19 of 100 PageID #: 19
`
`
`
`communication resulting from user interaction with the PayPal Here App’s user interface that is
`
`configured to cause a communication to be transmitted to a communications network to process
`
`the transaction:
`
`
`
`On information and belief, the PayPal Mobile Card Reader is configured to effect
`
`the terminal’s display of processing activity of program code stored on the PayPal Mobile Card
`
`Reader’s memory (for example, to indicate successful connection to the terminal and detection of
`
`the PayPal Mobile Card Reader, or to display payment processing progress details and to provide
`
`payment processing confirmation).
`
`For example, the PayPal Mobile Card Reader is configured to effect the display of
`
`the terminal running the PayPal Here App to indicate that the PayPal Mobile Card Reader has
`
`been detected:
`
`19
`
`PayPal Inc. v. IOENGINE, LLC
`IPR2019-00887 (US 8,539,047)
`Exhibit 2029
`Page 21 of 206
`
`
`
`
`
`Case 1:18-cv-00452-UNA Document 1 Filed 03/23/18 Page 20 of 100 PageID #: 20
`
`
`
`The PayPal Mobile Card Reader is also configured to effect the display of the
`
`terminal running the PayPal Here App to indicate that a credit card swipe was successful:
`
`
`
`
`
`The PayPal Mobile Card Reader is configured to communicate with the terminal
`
`running the PayPal Here App or a POS Partner App, and to communicate through the terminal’s
`
`network interface to a network server (for example, for securely processing credit card
`
`transactions).
`
`
`
`
`
`20
`
`PayPal Inc. v. IOENGINE, LLC
`IPR2019-00887 (US 8,539,047)
`Exhibit 2029
`Page 22 of 206
`
`
`
`
`
`Case 1:18-cv-00452-UNA Document 1 Filed 03/23/18 Page 21 of 100 PageID #: 21
`
`
`
`Direct Infringement: PayPal Chip and Swipe Reader.
`
`The PayPal Chip and Swipe Reader is a portable device that allows users to “[g]et paid where
`
`your business takes you”:
`
`The PayPal Chip and Swipe Reader contains an ARM STM 32F103 Series
`
`20
`
`microprocessor or its equivalent:
`
`The PayPal Chip and Swipe Reader contains memory, including 16 Kbytes to 1
`
`Mbyte of Flash and 6K to 96K SRAM memory integrated into an ARM STM 32F103 Series
`
`
`
`21
`
`microprocessor, or its equivalent.
`
`
`
`See PayPal Chip and Swipe Reader Guide, available at
`20
`https://www.paypal.com/us/webapps/mpp/credit-card-reader-how-to/chip-and-swipe-reader (the
`“PayPal Chip and Swipe Reader Guide Website”).
`
`21 Unless otherwise noted, all pictures of the internal components of the PayPal Chip and
`Swipe Reader were taken of a PayPal Chip and Swipe Reader with the plastic covering removed.
`
`21
`
`PayPal Inc. v. IOENGINE, LLC
`IPR2019-00887 (US 8,539,047)
`Exhibit 2029
`Page 23 of 206
`
`
`
`
`
`
`Case 1:18-cv-00452-UNA Document 1 Filed 03/23/18 Page 22 of 100 PageID #: 22
`
`
`
`The PayPal Chip and Swipe Reader contains a Bluetooth communications
`
`interface configured to enable the transmission of communications between the PayPal Chip and
`
`Swipe Reader and a terminal (for example, an Apple iOS or Android device having a processor,
`
`an input component such as a touchscreen sensor, an output component such as a display, and a
`
`network interface and that contains the PayPal Here App or a POS Partner App). The PayPal
`
`Chip and Swipe Reader uses Bluetooth to “pair” with the terminal:
`
`22
`
`On information and belief, the PayPal Chip and Swipe Reader’s memory stores
`
`program code that is configured to cause an interactive us