`Patent RE 46,116
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`DECLARATION OF EMILY J. TREMBLAY IN SUPPORT OF
`MOTION FOR PRO HAC VICE ADMISSION
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`I, Emily J. Tremblay, declare that:
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`1)
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`I am an associate at the law firm of Robins Kaplan LLP and provide this
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`declaration in support of Petitioner’s Motion for my pro hac vice admission.
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`I have personal knowledge of the matters set forth below, and if called as a
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`witness, I could and would testify competently to these matters.
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`2)
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`I have litigated patent infringement disputes for about four years, including
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`fact and expert discovery, claim construction, and dispositive motions in
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`patent infringement matters before both Federal district courts and the
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`United States Court of Appeals for the Federal Circuit. Before joining
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`Robins Kaplan, I spent four years clerking for federal judges, experiencing
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`fact and expert discovery, dispositive motions, oral arguments, and trial in
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`patent infringement matters.
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`3)
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`I am a member in good standing of the State Bar of Minnesota and the State
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`Bar of Wisconsin.
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`4)
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`I have never been suspended or disbarred from practice before any court or
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`administrative body.
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`5)
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`No court or administrative body has ever denied my application for
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`admission to practice before it.
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`Declaration of
`Emily J. Tremblay
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`1
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`IPR2020-01343
`Patent RE 46,116
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`No court or administrative body has ever imposed sanctions or contempt
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`6)
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`citations on me.
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`7)
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`I have read and will comply with the Office’s Patent Trial Practice Guide
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`and the Board’s Rules of Practice for Trials set forth in part 42 of 37 C.F.R.
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`8)
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`In the last three years, I have applied for (and received) pro hac vice
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`admission before the Patent Trial and Appeal Board in the following cases:
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`a. Trane US Inc. v. Semco, LLC, IPR2018-00514;
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`b. Medtronic, Inc., et al. v. Teleflex Medical Devices SARL f/k/a
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`Teleflex Innovations SARL, IPR2020-00126;
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`c. Medtronic, Inc., et al. v. Teleflex Medical Devices SARL f/k/a
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`Teleflex Innovations SARL, IPR2020-00128;
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`d. Medtronic, Inc., et al. v. Teleflex Medical Devices SARL f/k/a
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`Teleflex Innovations SARL, IPR2020-00129;
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`e. Medtronic, Inc., et al. v. Teleflex Medical Devices SARL f/k/a
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`Teleflex Innovations SARL, IPR2020-00132;
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`f. Medtronic, Inc., et al. v. Teleflex Medical Devices SARL f/k/a
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`Teleflex Innovations SARL, IPR2020-00134;
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`g. Medtronic, Inc., et al. v. Teleflex Medical Devices SARL f/k/a
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`Teleflex Innovations SARL, IPR2020-00135; and
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`Declaration of
`Emily J. Tremblay
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`IPR2020-01343
`Patent RE 46,116
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`h. Medtronic, Inc., et al. v. Teleflex Medical Devices SARL f/k/a
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`Teleflex Innovations SARL, IPR2020-00137;
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`9)
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`I am concurrently filing motions for pro hac vice in the following related
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`matters:
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`a. Medtronic, Inc. et al. v. Teleflex Life Sciences Limited,
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`IPR2020-01341; and
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`b. Medtronic, Inc. et al. v. Teleflex Life Sciences Limited,
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`IPR2020-01343;
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`10)
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`I understand that I will be subject to the Office’s Rules of Professional
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`Conduct set forth in 37 C.F.R. §§ 11.101 et seq. and disciplinary jurisdiction
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`under 37 C.F.R. § 11.19(a).
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`11)
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`I have established familiarity with the subject matter at issue in this
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`proceeding. I am supporting Petitioner’s ongoing work in opposition to the
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`conception and reduction to practice briefing that Patent Owner filed on May
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`14, 2021, with its Patent Owner Response and Petitioner’s reply in support
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`of its Petition.
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`Pursuant to 18 U.S.C. § 1001, I declare under penalty of perjury that the
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`foregoing is true and correct.
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`Declaration of
`Emily J. Tremblay
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`3
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`IPR2020-01343
`Patent RE 46,116
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`Dated: July 21, 2021
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`Respectfully submitted,
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`s/ Emily J. Tremblay
`Emily J. Tremblay
`Robins Kaplan LLP
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`Declaration of
`Emily J. Tremblay
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