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IPR No.: IPR2019-01015
`United States Patent No. 8,799,468
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`UNITED STATES PATENT AND TRADEMARK OFFICE
`____________________________
`BEFORE THE PATENT TRIAL AND APPEAL BOARD
`____________________________
`
`DISH NETWORK L.L.C.,
`Petitioner
`v.
`MULTIMEDIA CONTENT MANAGEMENT LLC,
`Patent Owner
`────────────────────────
`
`IPR No.: IPR2019-01015
`U.S. Patent No. 8,799,468
`____________________________
`
`PETITIONER’S REQUEST FOR REFUND OF POST-INSTITUTION FEE
`FOR INTER PARTES REVIEW OF U.S. PATENT NO. 8,799,468
`
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`1
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`

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`IPR No.: IPR2019-01015
`United States Patent No. 8,799,468
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`On April 23, 2019, DISH NETWORK L.L.C. (“Petitioner”) filed a Petition
`
`for inter partes review of U.S. Patent No. 8,799,468 (“the ‘468 Patent”) under 37
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`C.F.R. § 42.100 et. seq. (Paper 2), seeking inter partes review of claims 1, 6, 13,
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`15, 19, 23, 24, 25, 27, 28, 29, 30, 32, 33, and 41 of the ‘468 Patent. The Board
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`issued a Decision Denying Institution of inter partes review on November 13, 2019
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`(Paper 11). Finally, on March 9, 2020, the Board issued a Decision Denying
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`Request for Rehearing (Paper 17).
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`Payment of the $15,000 Post-Institution Fees was processed through the
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`PTAB’s E2E system on April 23, 2019. Upon review and approval of this request,
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`Petitioner respectfully requests that the Board credit the Post-Institution fees, and
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`any additional amounts to be refunded to Deposit Account No. 02-0384, Ref. No.:
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`081841.0120.
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`Respectfully Submitted,
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`Date: March 10, 2020
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`
` /Eliot D. Williams/
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`Eliot D. Williams (Reg. No. 50,822)
`Hopkins Guy (Reg. No. 35,886)
`1001 Page Mill Road, Bld. 1, Suite 200
`Palo Alto, California 94304-1007
`Phone: 650.739.7511
`Facsimile: 650.739.7611
`eliot.williams@bakerbotts.com
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`2
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`IPR No.: IPR2019-01015
`United States Patent No. 8,799,468
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`Ali Dhanani (Reg. No. 66,233)
`910 Louisiana Street
`Houston, Texas 77002
`Phone: 713.229.1234
`Facsimile: 713.229.1522
`ali.dhanani@bakerbotts.com
`
`Kurt Pankratz (Reg. No.46,977)
`2001 Ross Avenue, Suite 900
`Dallas, TX 75201-2980
`Phone: 214.953.6500
`Facsimile: 214.661.4584
`kurt.pankratz@bakerbotts.com
`
`Bradley Bowling (Reg. No. 52,641)
`910 Louisiana St.
`Houston, TX 77002
`Phone: 713.229.1234
`Facsimile: 713-229-7702
`brad.bowling@bakerbotts.com
`
`Attorneys for Petitioner, DISH Network
`L.L.C.
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`IPR No.: IPR2019-01015
`United States Patent No. 8,799,468
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`CERTIFICATE OF SERVICE
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` In accordance with 37 C.F.R. § 42.6(e), the undersigned certifies that on the
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`10th day of March 2020, a complete and entire copy of the foregoing
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`PETITIONER’S REQUEST FOR REFUND OF POST-INSTITUTION FEE
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`FOR INTER PARTES REVIEW OF U.S. PATENT NO. 8,799,468, was served
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`by e-mail directed to counsel of record for the Patent Owner as follows:
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`Lead Counsel
`Benjamin R. Johnson
`Reg. No. 64,483
`McDonnell, Boehnen, Hulbert &
`Berghoff, L.L.P.
`300 South Wacker Drive
`Chicago, IL 78759
`bjohnson@mbhb.com
`Tel. 312-913-3314
`Fax 312-913-0002
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`Date: March 10, 2020
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`Back-up Counsel
`Jeffrey G. Toler
`Reg. No. 38,342
`McDonnell, Boehnen, Hulbert &
`Berghoff, L.L.P.
`300 South Wacker Drive
`Chicago, IL 78759
`toler@mbhb.com
`Tel. 312-913-3311
`Fax 312-913-0002
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`
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`Respectfully Submitted,
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`
` /Eliot D. Williams/
`Eliot D. Williams (Reg. No. 50,822)
`1001 Page Mill Road, Bld. 1, Suite 200
`Palo Alto, California 94304-1007
`650.739.7511
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`4
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