`____________________________________________
`
`BEFORE THE PATENT TRIAL AND APPEAL BOARD
`____________________________________________
`
`Intel Corporation
`Petitioner
`
`v.
`
`ParkerVision, Inc.
`Patent Owner
`
`__________________________________________________
`
`Case No. IPR2020-01265
`U.S. Patent No. 7,110,444
`__________________________________________________
`
`DECLARATION OF MICHAEL J. SUMMERSGILL IN SUPPORT OF
`MOTION FOR ADMISSION PRO HAC VICE
`
`Intel v. ParkerVision
`IPR2020-01265
`INTEL 1020
`
`
`
`Case No. IPR2020-01265
`U.S. Patent No. 7,110,444
`Petitioner’s Exhibit No. 1020
`Declaration of Michael J. Summersgill in Support of
`Motion for Admission Pro Hac Vice
`
`
`
`I, Michael J. Summersgill, declare as follows:
`1.
`I am a partner at the law firm of Wilmer Cutler Pickering Hale and
`
`Dorr LLP in Boston, Massachusetts.
`
`2.
`
`I have been practicing law for more than 20 years. My practice during
`
`that time has focused on intellectual property litigation, and particularly, patent
`
`litigation.
`
`3.
`
`I am a member in good standing of the Bar of the Commonwealth of
`
`Massachusetts (Bar No. 81682). I am also admitted to practice before the
`
`Massachusetts Supreme Judicial Court, the United States Court of Appeals for the
`
`Federal Circuit, the United States Court of Appeals for the First Circuit, the United
`
`States Court of Appeals for the Second Circuit, the United States Court of Appeals
`
`for the Ninth Circuit, the United States District Court for the District of
`
`Massachusetts, and the United States District Court for the Eastern District of
`
`Michigan.
`
`4.
`
`I have gained experience with Patent Office rules, regulations, and
`
`procedures by litigating cases involving issues of claim construction, allegations of
`
`inequitable conduct, prosecution history disclaimer, and other issues for which
`
`review of a patent’s prosecution history is critical.
`
`
`
`2
`
`
`
`Case No. IPR2020-01265
`U.S. Patent No. 7,110,444
`Petitioner’s Exhibit No. 1020
`Declaration of Michael J. Summersgill in Support of
`Motion for Admission Pro Hac Vice
`
`5.
`
`I have never been suspended or disbarred by any court or
`
`
`
`
`administrative body.
`
`6.
`
`I have never had a court or administrative body deny my application
`
`for admission to practice.
`
`7.
`
`I have never been sanctioned or cited for contempt by any court or
`
`administrative body.
`
`8.
`
`I have read and will comply with Office Patent Trial Practice Guide
`
`and the Board’s Rules of Practice for Trials, as set forth in Part 42 of 37 C.F.R.
`
`9.
`
`I agree to be subject to the United States Patent and Trademark Office
`
`Rules of Professional Conduct set forth in 37 C.F.R. §§ 11.101 et. seq. and
`
`disciplinary jurisdiction under 37 C.F.R. § 11.19(a).
`
`10.
`
`I have appeared pro hac vice in the following proceedings before the
`
`United States Patent and Trademark Office in the last three years: IPR2017-00705
`
`(Intel Corp. v. R2 Semiconductor, Inc.), IPR2017-00706 (Intel Corp. v. R2
`
`Semiconductor, Inc.), IPR2017-00707 (Intel Corp. v. R2 Semiconductor, Inc.),
`
`IPR2017-00708 (Intel Corp. v. R2 Semiconductor, Inc.), IPR2017-01123 (Intel
`
`Corp. v. R2 Semiconductor, Inc.), IPR2017-01124 (Intel Corp. v. R2
`
`Semiconductor, Inc.), IPR2016-01011 (Akamai Technologies, Inc. v. Limelight
`
`
`
`3
`
`
`
`Case No. IPR2020-01265
`U.S. Patent No. 7,110,444
`Petitioner’s Exhibit No. 1020
`Declaration of Michael J. Summersgill in Support of
`Motion for Admission Pro Hac Vice
`
`
`
`Networks, Inc.), IPR2016-01711 (Limelight Networks, Inc. v. Akamai
`
`Technologies, Inc.), IPR2017-00349 (Limelight Networks, Inc. v. Akamai
`
`Technologies, Inc.), IPR2017-00249 (Limelight Networks, Inc. v. Akamai
`
`Technologies, Inc.), IPR2019-01054 (Precision Planting, LLC et al. v. Deere &
`
`Company), IPR2019-01052 (Precision Planting, LLC et al. v. Deere & Company),
`
`IPR2019-01050 (Precision Planting, LLC et al. v. Deere & Company), IPR2019-
`
`01046 (Precision Planting, LLC et al. v. Deere & Company), IPR2019-01055
`
`(Precision Planting, LLC et al. v. Deere & Company), IPR2019-01048 (Precision
`
`Planting, LLC et al. v. Deere & Company), IPR2019-01044 (Precision Planting,
`
`LLC et al. v. Deere & Company), IPR2019-01053 (Precision Planting, LLC et al.
`
`v. Deere & Company), IPR2019-01051 (Precision Planting, LLC et al. v. Deere &
`
`Company), IPR2016-00287 (Intel Corporation v. DSS Technology Management,
`
`Inc.), IPR2016-00288 (Intel Corporation v. DSS Technology Management, Inc.),
`
`IPR2016-00290 (Intel Corporation v. DSS Technology Management, Inc.).
`
`11.
`
`I am familiar with the subject matter at issue in this proceeding. I
`
`have reviewed the papers and exhibits filed in this proceeding. I also participated
`
`in drafting the Petition for Inter Partes Review in this proceeding and have
`
`reviewed Patent Owner’s Preliminary Response filed in this proceeding.
`
`
`
`4
`
`
`
`Case No. IPR2020-01265
`U.S. Patent No. 7,110,444
`Petitioner’s Exhibit No. 1020
`Declaration of Michael J. Summersgill in Support of
`Motion for Admission Pro Hac Vice
`
`12.
`
`I am representing the Petitioner, Intel Corporation, in the following
`
`
`
`
`United States District Court case: ParkerVision, Inc. v. Intel Corp., No. 6:20-cv-
`
`108-ADA (W.D. Tex.), which involves the patent at issue in this proceeding, as
`
`well as the prior art references at issue in this proceeding.
`
`13.
`
`I hereby declare that all statements made herein of my own
`
`knowledge are true and that all statements made on information and belief are
`
`believed to be true; and further that these statements are made with the knowledge
`
`that willful false statements and the like are punishable by fine, imprisonment, or
`
`both, under Section 1001 of Title 18 of the United States Code.
`
`Respectfully Submitted,
`
`
`/Michael Summersgill/
`Michael Summersgill
`WILMER CUTLER PICKERING
` HALE AND DOOR LLP
`60 State Street
`Boston, MA 02109
`Michael.Summersgill@wilmerhale.com
`Tel.: 617-526-6261
`Fax: 617-526-5000
`
`Dated: April 30, 2021
`
`
`
`5
`
`