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`BEFORE THE PATENT TRIAL AND APPEAL BOARD
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`MEDTRONIC, INC., AND MEDTRONIC VASCULAR, INC.
`Petitioners,
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`v.
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`TELEFLEX INNOVATIONS S.A.R.L.
`Patent Owner.
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`Case IPR2020-01343
`Patent RE46,116
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`PATENT OWNER’S UNOPPOSED MOTION FOR
`PRO HAC VICE ADMISSION OF ALEXANDER S. RINN
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`Patent Owner Teleflex hereby respectfully moves for the pro hac vice
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`admission of Alexander S. Rinn due to his experience representing the Patent
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`Owner in other patent-related matters concerning the GuideLiner technology and
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`his familiarity with the technical and substantive issues involved in this
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`proceeding. The parties have conferred, and the Petitioner does not oppose this
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`Motion.
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`In support of this motion, Patent Owner states as follows:
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`The Board may recognize counsel pro hac vice upon a showing of good
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`cause, subject to the condition that lead counsel be a registered practitioner and to
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`any other conditions the Board may impose. 37 C.F.R. § 42.10(c). A motion for
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`pro hac vice admission may be granted where a party shows that “counsel is an
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`experienced litigating attorney and has an established familiarity with the subject
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`matter at issue in the proceeding.” Id.
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`Good cause exists under 37 C.F.R. § 42.10(c) for the pro hac vice admission
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`of Alexander S. Rinn as backup co-counsel in this matter. Mr. Rinn has
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`represented Teleflex in a related patent infringement action in the District of
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`Minnesota (Civil Action. No. 19-cv-1760 (PJS/TNL), filed July 2, 2019) involving
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`the same parties and the same patent at issue in this proceeding. Mr. Rinn has also
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`assisted the lead counsel, Mr. Vandenburgh, representing the Patent Owner in this
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`IPR, and related IPRs IPR2020-00126, IPR2020-00127, IPR2020-00128,
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`IPR2020-00129, IPR2020-00130, IPR2020-00132, IPR2020-00134, IPR2020-
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`00135, IPR2020-00136, IPR2020-00137, IPR2020-00138, IPR2021-01341,
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`IPR2020-01342, and IPR2020-01344.
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`As a result of these experiences, Mr. Rinn has developed an intimate
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`familiarity with the patents at issue and the Petitioner’s validity challenges, and the
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`Patent Owner wishes to have Mr. Rinn continue representing it in this matter
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`before the Board.
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`The Patent Owner has invested significant financial resources in the related
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`proceedings described above, in which Mr. Rinn has served as counsel. If this
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`motion was denied, the Patent Owner would be prejudiced because it would have
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`to undertake the burdensome and costly task of educating another attorney
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`regarding the patent at issue in this proceeding, and the related evidence. The
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`Patent Owner respectfully requests that the Board avoid this prejudice and grant
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`this Motion.
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`Pursuant to the requirements of 37 C.F.R. § 42.10(c), Derek Vandenburgh, a
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`registered practitioner, will remain as lead counsel in this matter. Mr. Vandenburgh
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`is a partner at Carlson Caspers, the same law firm that is representing the Patent
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`Owner in the related federal court action involving the patent at issue here, as well
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`as the patents at issue in the related instituted inter partes review proceedings. Mr.
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`Rinn has worked with Mr. Vandenburgh on other similar matters.
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`Pursuant to the requirements of the “Order -- Authorizing Motion for Pro
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`Hac Vice Admission” Case IPR2013-00639, Paper 7, this Motion is also supported
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`by the Declaration of Alexander S. Rinn (Exhibit 2216), filed herewith.
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`In the Declaration of Alexander S. Rinn (Ex. 2216), Mr. Rinn attests that he
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`has read and will comply with the Patent Office Trial Practice Guide and the
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`Board’s Rules of Practice set forth in 37 C.F.R. § 42. Mr. Rinn further attests that
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`he agrees to be subject to the USPTO’s Rules of Professional Conduct as set forth
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`in 37 C.F.R. §§ 11.101 et seq. and disciplinary jurisdiction under 37 C.F.R. §
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`11.19(a).
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`For the foregoing reasons, and in view of the Declaration submitted
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`herewith, Patent Owner submits that good cause exists for the pro hac vice
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`admission of Alexander S. Rinn and respectfully requests that the Board grant this
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`motion.
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`Dated: April 12, 2021.
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`Respectfully submitted,
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`/ J. Derek Vandenburgh /
`J. Derek Vandenburgh (Lead Counsel)
`Registration No. 32,179
`Carlson, Caspers, Vandenburgh
` & Lindquist, P.A.
`225 South Sixth Street, Suite 4200
`Minneapolis, MN 55402
`Telephone: (612) 436-9600
`Facsimile: (612) 436-9650
`Email: DVandenburgh@carlsoncaspers.com
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`Lead Counsel for Patent Owner
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`CERTIFICATION OF SERVICE
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`Pursuant to 37 C.F.R. § 42.6(e) and the agreement of the parties, the
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`undersigned certifies that on April 12, 2021, a true and correct copy of the
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`foregoing Patent Owner’s Unopposed Motion for Pro Hac Vice Admission of
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`Alexander S. Rinn, along with the accompanying Exhibit 2216, was served via
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`electronic mail upon the following:
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`Cyrus A. Morton (Reg. No. 44,954)
`Sharon Roberg-Perez (Reg. No. 69,600)
`Christopher A. Pinahs (Reg. No. 76,375)
`Robins Kaplan LLP
`800 LaSalle Avenue, Suite 2800
`Minneapolis, MN 55401
`Phone: 349-8500
`Fax: 612-339-4181
`Email: Cmorton@robinskaplan.com
`Email: Sroberg-perez@robinskaplan.com
`Email: Cpinahs@robinskaplan.com
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`/ J. Derek Vandenburgh /
`J. Derek Vandenburgh (Lead Counsel)
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