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`UNITED STATES PATENT AND TRADEMARK OFFICE
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`
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`BEFORE THE PATENT TRIAL AND APPEAL BOARD
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`MEDTRONIC, INC., AND MEDTRONIC VASCULAR, INC.
`Petitioners,
`
`v.
`
`TELEFLEX INNOVATIONS S.A.R.L.
`Patent Owner.
`
`
`
`
`Case IPR2020-01344
`Patent RE46,116
`
`
`
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`Declaration of Shelleaha L. Jonas in Support of Patent Owner’s Unopposed
`Motion for Pro Hac Vice Admission
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`I, Shelleaha L. Jonas, hereby declare as follows:
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`1.
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`I am an attorney with the law firm of Carlson, Caspers,
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`Vandenburgh & Lindquist P.A. (“Carlson Caspers”). This declaration is
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`submitted on behalf of Patent Owner Teleflex in support of its Unopposed
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`Motion for Pro Hac Vice Admission of Litigation Counsel. This declaration is
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`made on my own personal knowledge, except as otherwise indicated.
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`2.
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`I am a member in good standing of the Bar of the State of
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`Minnesota (Minnesota Bar Number 0398417).
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`3.
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`I have never been suspended or disbarred from any court
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`or administrative body.
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`4.
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`No application for admission to practice before any court or
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`administrative body that I have filed or that has been filed on my behalf has
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`ever been denied.
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`5.
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`No sanctions or contempt citations have been imposed on me by
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`any court or administrative body.
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`6.
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`I have read and will comply with the Office Patent Trial Practice
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`Guide and the Board’s Rules of Practice for Trials set forth in part 42 of 37
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`C.F.R.
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`

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`7.
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`I agree to be subject to USPTO Rules of Professional Conduct set
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`forth 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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`8.
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`In the past three years I have not applied for pro hac vice admission
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`before the Patent Trial and Appeal Board. I am concurrently filing motions for
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`pro hac vice admission in the following related matters: Medtronic, Inc. et al. v.
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`Teleflex Innovations S.A.R.L., IPR2020-01341, IPR2020-01342, and IPR2020-
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`01343.
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`9.
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`I have been involved in many litigations involving patent
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`infringement in multiple federal District Courts. I have practiced law for more
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`than four years and I have litigated patent cases during that entire time period. I
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`have extensive experience with patent issues related to anticipation under 35
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`U.S.C. § 102 and obviousness under 35 U.S.C. § 103, which are the legal
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`theories on which this Inter Partes Review was instituted. In the course of my
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`experience litigating patents, I have analyzed many pieces of prior art, prepared
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`many prior art statements and responses, worked with validity experts, and
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`drafted and filed briefing related to anticipation and obviousness arguments.
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`10.
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`I am familiar with the subject matter at issue in this proceeding.
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`My law firm, Carlson Caspers, represents Patent Owner in a patent infringement
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`lawsuit that is pending in the United States District Court for the District of
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`

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`Minnesota (Civil Action. No. 19-cv-1760 (PJS/TNL), filed July 2, 2019), in
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`which I am an attorney of record for Patent Owner. This lawsuit involves the
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`patents at issue in this and related Inter Partes Reviews, U.S. Patent Nos.
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`RE46,116, 8,142,413, 8,048,032, RE45,380, RE45,760, RE45,776, and
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`RE47,379, and involves the same parties. Through my work on this case, I have
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`gained familiarity with the subjects at issue and the patents at issue in this IPR
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`and the related IPR proceedings.
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`11.
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`I have also reviewed in detail each of U.S. Patent Nos. RE46,116,
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`8,142,413, 8,048,032, RE45,380, RE45,760, RE45,776, and RE47,379, the
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`Petitions and corresponding exhibits and expert declarations filed by Petitioner
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`Medtronic in this and the related proceedings, the Patent Owner’s Preliminary
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`Responses, and the Board’s Decisions instituting review. Further, I have
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`reviewed in detail the prior art references cited by Medtronic’s Petitions and
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`relied on by the Board in instituting this review.
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`12. My technical background provides me with additional
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`understanding of the subject matter at issue. I completed a Bachelor of Arts
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`undergraduate degree in Biology and a Doctor of Pharmacy degree, which
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`included coursework in human anatomy and physiology (including
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`cardiovascular pathophysiology).
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`

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`I state under penalty of perjury that the foregoing is true and correct.
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`Dated: June 25, 2021.
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`/ Shelleaha L. Jonas /
`Shelleaha L. Jonas
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