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` UNITED STATES PATENT AND TRADEMARK OFFICE
` BEFORE THE PATENT TRIAL AND APPEAL BOARD
`__________________________________________________
`
`MEDTRONIC, INC., AND MEDTRONIC
`VASCULAR, INC.,
` Petitioners,
`vs.
`TELEFLEX INNOVATIONS S.A.R.L.,
` Patent Owner.
`___________________________________________________
`
`IPR2020-00126 (Patent 8,048,032 B2)
`IPR2020-00127 (Patent 8,048,032 B2)
`IPR2020-00128 (Patent RE45,380 E)
`IPR2020-00129 (Patent RE45,380 E)
`IPR2020-00130 (Patent RE45,380 E)
`IPR2020-00132 (Patent RE45,760 E)
`IPR2020-00134 (Patent RE45,760 E)
`IPR2020-00135 (Patent RE45,776 E)
`IPR2020-00136 (Patent RE45,776 E)
`IPR2020-00137 (Patent RE47,379 E)
`IPR2020-00138 (Patent RE47,379 E)
`___________________________________________________
`
` REMOTE DEPOSITION OF
`
` MICHAEL JONES
`
`DATE: September 9, 2021
`TIME: 10:05 a.m. Central Time
`PLACE: Veritext Virtual Videoconference
`
`REPORTED BY: PAULA K. RICHTER, RMR, CRR, CRC
`
`www.veritext.com
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`888-391-3376
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`Page 2
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` APPEARANCES
` (All appearances were made via videoconference.)
`ON BEHALF OF THE PETITIONERS:
` Ms. Sharon Roberg-Perez, Esq.
` ROBINS KAPLAN, LLP
` 800 LaSalle Avenue, Suite 2800
` Minneapolis, Minnesota 55401
` (612) 349-8500
` sroberg-perez@robinskaplan.com
`
`ON BEHALF OF THE PATENT OWNER:
` Ms. Megan E. Christner, Esq.
` Mr. Peter M. Kohlhepp, Esq.
` CARLSON, CASPERS, VANDENBURGH & LINDQUIST
` 225 South Sixth Street, Suite 4200
` Minneapolis, Minnesota 55402
` (612) 436-9600
` mchristner@carlsoncaspers.com
` pkohlhepp@carlsoncaspers.com
`
`ALSO PRESENT:
`
`Shelley Gilliss, Robins Kaplan, LLP
`
`Greg Smock
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` INDEX
`WITNESS: MICHAEL JONES PAGE:
` EXAMINATION BY MS. CHRISTNER............... 4
` EXAMINATION BY MS. ROBERG-PEREZ............ 104
`
`EXHIBITS REFERRED TO: PAGE:
`EXHIBIT
`1001-1341 U.S. Patent 8,142,413........... 8
`
`EXHIBIT
`1001-1343 U.S. Patent RE46,116............ 8
`EXHIBIT 1007 U.S. Patent 7,736,355........... 26
`EXHIBIT 1008 U.S. Patent 7,604,612........... 59
`EXHIBIT 1042 Declaration of Richard A.
` Hillstead....................... 55
`
`EXHIBIT 1807 Declaration of Michael Jones.... 14
`
`EXHIBIT 2239 1/18/21 Deposition Transcript
` of Michael Jones, Vol. 1........ 19
`EXHIBIT 2241 1/20/21 Deposition Transcript
` of Michael Jones, Vol. 2........ 19
`
`EXHIBIT 2259 Ellipse with Radius A and B..... 62
`
`EXHIBIT 2263 Itou Device with Angled Side
` Opening and Right Triangle...... 71
`(Original exhibits attached to original transcript;
`copies provided to counsel.)
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` P R O C E E D I N G S
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` (Counsel stipulate that the court
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`reporter can remotely swear in the witness.)
`
` MICHAEL JONES,
`
`duly sworn, was examined and testified as follows:
`
` EXAMINATION
`
`BY MS. CHRISTNER:
`
`Q. Well, good morning, Mr. Jones. I am here
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`from Carlson Caspers on behalf of the Patent
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`Owner. And with me I have my colleague Peter
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`Kohlhepp and a representative from Teleflex,
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`Greg Smock, so they're all on the line, even
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`though you can't see them.
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`A. Okay.
`
`Q. So before we get started --
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` MS. ROBERG-PEREZ: Sharon
`
`Roberg-Perez on behalf of petitioner, Medtronic.
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`With me is my colleague, Dr. Shelley Gilliss.
`
`BY MS. CHRISTNER
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`Q. So before we get started, I know you've been
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`deposed before, so we can kind of keep the intro
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`part brief. But I want to go through a couple of
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`guidelines with you to make sure we're on the same
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`page for the rules to follow and to make sure we
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`make things a little easier for Paula while we're
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`talking this morning.
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`A. Okay.
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`Q. First, and this can be harder over video, so
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`we can do our best here, but we'll try our best to
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`speak one at a time. So even if you think that
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`you understand the question, I'm going to ask you,
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`please make sure you wait until I finish the
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`question and then I'll try to do the same while
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`you're giving your answers.
`
` Does that sound okay?
`
`A. Yes.
`
`Q. And also for the court reporter's benefit, I
`
`just ask that you make sure that you give your
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`answers verbally instead of nodding or shaking
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`your head, and we'll both try to speak slowly and
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`clearly for the record.
`
` Is that fair?
`
`A. That sounds fair to me.
`
`Q. And as we go through questions today, if you
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`don't understand a question that I'm asking you,
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`please just ask me to rephrase it. I'm happy to
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`do that. I will assume that if you do answer my
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`question, that you heard it and that you
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`understand it.
`
` Sound okay?
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`A. Yes, it does.
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`Q. All right. And then lastly, and this is
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`probably the most important one from your
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`perspective, but we'll be taking breaks about
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`every hour today, but if you need one or want one
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`earlier than that, just let me know. My only
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`request is that you don't ask for a break when a
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`question is pending, so just answer the question
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`and then we can take a break.
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`A. Okay.
`
`Q. Any other questions before we get started?
`
`A. I don't believe so.
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`Q. And is there anybody in the room with you
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`today, Mr. Jones?
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`A. I'm at home. My wife is running around doing
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`her thing. There's a dog that may bark when the
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`mailman shows up, but other than that, just me on
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`the line.
`
`Q. All right. We're fine with dogs here. That
`
`sounds good.
`
` All right. So before we kind of
`
`dive right into your declaration, I want to ask
`
`you just a few background questions just to get an
`
`understanding of how you went about preparing your
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`declaration and preparing for the deposition.
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` So we can start with the deposition.
`
`Can you just walk me through, and I don't want to
`
`get into any conversations with your counsel, but
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`can you just walk me through what you did to
`
`prepare for your deposition today.
`
`A. Sure. To prepare for my deposition today, I
`
`was on a conference call with Sherry and
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`Shelley -- want to make sure I've got the days.
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`It's a weird week -- on Tuesday to just refresh
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`what was in the declaration since I haven't picked
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`it up since I think early August. And same thing
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`yesterday, going back through the declaration and
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`some of the references cited.
`
`Q. Okay. And did you speak to anyone besides
`
`your Medtronic attorneys as you were preparing?
`
`A. No.
`
`Q. Okay. So you didn't talk to any --
`
`Medtronic's other experts, so Dr. Hillstead,
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`Dr. Brecker, Mr. Zalesky?
`
`A. No, I did not.
`
`Q. One of the things I'd like to do is get a
`
`little background on the things you considered as
`
`you actually wrote your declaration. I'll walk
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`through some sort of specific things rather than
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`have you list them all from your head, and then at
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`the end, you can tell me if we left anything off.
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` Does that sound good?
`
`A. Sure.
`
`Q. So the first thing I'm going to do is
`
`introduce Exhibit 1001, one that we've labeled
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`1001-1341, it is from the 1341 IPR, and one is
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`1001-1343, which is from the 1343 IPR. Give me
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`one minute to introduce them from Exhibit Share
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`even though I know you're working off paper.
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`A. And I see on my email that I have received a
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`password reset request now.
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`Q. Do you want to go ahead and just take care of
`
`that now and we can take a quick break so you're
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`already logged in so we can keep going?
`
`A. Yeah, why don't I do that.
`
` (Off the record.)
`
` THE WITNESS: Okay. I have the --
`
`it says "Marked Exhibits" folder up on there.
`
`BY MS. CHRISTNER:
`
`Q. And I don't know how recently. You may have
`
`to refresh once to see the two Exhibit 1001s. Can
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`you see those on there?
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`A. I'm refreshing right now. You said 100 --
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`Q. -- 1-1341.
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`A. No, it's not on there right now.
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` MS. CHRISTNER: Sharon, are you able
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`to see them in your folder?
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` MS. ROBERG-PEREZ: Yes, I can.
`
` (Off the record.)
`
` THE WITNESS: Okay. I see 1001-1341
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`and 1001-1343.
`
`BY MS. CHRISTNER:
`
`Q. And you can refer to either the ones in
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`Exhibit Share or your paper copies. Doesn't make
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`any difference to me. We're just introducing them
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`for the record.
`
`A. Okay.
`
`Q. So do you recognize these exhibits?
`
`A. Yes. One is a patent by Howard Root.
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`Another is re-exam done on August 23rd, 2016.
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`Q. And these are the two patents that are at
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`issue in these IPR proceedings, correct?
`
`A. Yes.
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`Q. And do you understand if I refer to them just
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`for the last three patent numbers, is that okay
`
`with you?
`
`A. That's just fine.
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`Q. So did you review the '413 Patent in
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`connection with preparing your declaration?
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`A. I reviewed it, just cursorily looked through
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`the -- you know, the drawings, the abstract,
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`briefly read the first claim, and that's the same
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`for both of the patents.
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`Q. Okay. So you also reviewed the drawings, the
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`specification, and one claim of the '116 Patent,
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`as well?
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`A. Yes.
`
`Q. Okay. Did you review the file histories of
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`either of those two patents?
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`A. No, I did not. I was not asked to do that.
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`Q. And did you review any of the declarations
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`other experts have submitted in these proceedings?
`
`A. Yes. Let me go through that.
`
`Q. If it would be helpful for you, I can kind of
`
`step through the ones I'm thinking of and you can
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`tell me --
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`A. You're welcome to go through those.
`
`Q. So I think Dr. Brecker submitted two
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`declarations in connection with the petition, one
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`for the '413 and one for the '116?
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`A. I don't recall seeing his. I don't believe
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`they're referenced in the -- in my declaration.
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`Q. Okay. And then Dr. Brecker also submitted a
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`reply declaration for the same reply that you had.
`
` Did you review that one?
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`A. Again, I don't believe I've seen that one or
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`reviewed it.
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`Q. And then Dr. Hillstead also submitted two
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`declarations in support of the petition, one for
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`the '413 and one for the '116.
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` Did you review those?
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`A. I reviewed Dr. Hillstead's declaration, yes.
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`Q. Okay. And then Mr. Zalesky has also
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`submitted a couple of declarations.
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` Did you review --
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`A. I don't recall seeing any of Mr. Zalesky's
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`declarations.
`
`Q. Okay. And then moving on to the Teleflex
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`experts, Mr. Keith submitted two declarations in
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`support of the petition.
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` Did you review those -- or I'm
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`sorry, not in support of the petition. In support
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`of our opposition. Did you review those?
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`A. Yes. I reviewed Mr. Keith's declarations.
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`Q. And then there was also a declaration from
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`Dr. Graham.
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` Did you review that one?
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`A. I don't recall seeing anything from
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`Dr. Graham.
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`Q. And how about a Dr. Thompson?
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`A. I don't recall seeing anything from
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`Dr. Thompson either.
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`Q. And how about Dr. Azzalini?
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`A. I don't recall seeing anything from
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`Dr. Azzalini.
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`Q. And, Mr. Jones, when did you first start
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`doing work on this set of IPR proceedings?
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`A. This set of IPR proceedings, I think the
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`first was in June of this year.
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`Q. Okay. Do you recall when you started working
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`on the previous round of IPR proceedings?
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`A. I think it was September or October of 2020.
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`Q. Okay. So sometime in the fall of 2020?
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`A. Yeah. It was -- yeah, sometime in the fall.
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`Q. Close enough for our purposes. That's
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`totally fine.
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` So when you were retained for the
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`very first set of IPR proceedings, did you
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`understand that you would also be submitting a
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`declaration in these proceedings?
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`A. No, I did not.
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`Q. And when you were retained for these
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`proceedings, did you understand that your
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`declaration would be limited to a declaration in
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`support of Medtronic's reply brief?
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`A. I don't know if I understood that very
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`specific thing, but I -- when I was retained for
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`this, I understood it was for this IPR, so . . .
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`Q. So you were never contacted about submitting
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`a declaration in support of Medtronic's initial
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`petition?
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`A. I don't believe so. I don't think I was
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`involved. I came in somewhere in the middle of
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`the case, in my understanding.
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`Q. Okay. And are you aware that Dr. Hillstead
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`submitted an expert report in support of
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`Medtronic's petition?
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`A. I don't know -- I honestly don't know how to
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`answer that. I looked at his declaration. I
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`believe it's in some ways, if I -- I haven't read
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`anything other than -- that I'm aware of, other
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`than his declaration in this case and in the
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`previous IPR.
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`Q. And you did -- you said you did review that
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`declaration, so that is the declaration we're
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`talking about.
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`A. Okay.
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`Q. And do you have any understanding of why
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`Dr. Hillstead isn't submitting a declaration in
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`support of Medtronic's replies?
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`A. I do not.
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`Q. Have you reviewed any deposition transcripts
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`in connection with preparing your report?
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`A. I reviewed my deposition from January, both
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`days.
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`Q. And you do cite certain deposition
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`transcripts in your report, though, correct?
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`A. You'd have to point me to those, so I --
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`Q. I can do that. Let me -- I'm going to
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`introduce Exhibit 1807 into the record. That will
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`be your report.
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` Okay. So if you refresh your page,
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`you should be able to see Exhibit 1807 in Exhibit
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`Share, and it is also in your binder if you prefer
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`to look at it that way.
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`A. Yes, I have it. I have it open in the
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`binder.
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`Q. And you recognize Exhibit 1807, correct?
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`A. Yes, I do.
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`Q. And it's your declaration in support of
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`Medtronic's replies; is that correct?
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`A. Yes.
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`Q. And then just to confirm, you did submit just
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`one declaration in support of all four of the
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`current IPR proceedings, right?
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`A. To my knowledge, yes. The same declaration
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`was going to be used in all four.
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`Q. Okay. If you could just turn to paragraph 84
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`for me -- I'm sorry. That's not the right
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`paragraph. Give me one moment here.
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` Sorry about that delay here. I'm
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`going to sort of backtrack on that question for a
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`minute, and we're going to move on to something
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`else, if that's all right.
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` So we talked about deposition
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`transcripts. It also looks like you reviewed some
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`of -- some prior art and articles as you prepared
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`your declaration; is that right?
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`A. That's correct.
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`Q. Have you reviewed any that aren't identified
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`in your declaration?
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`A. I'm sorry? You broke up there.
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`Q. That's fine.
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` Have you reviewed any that aren't
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`identified in your declaration?
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`A. Yeah. As part of the -- I think as part of
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`the interaction with the attorneys, I did some of
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`my own searching, looking for references and, you
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`know, whether those -- if they weren't used, they
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`weren't referenced here, but I've looked at other
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`prior art relative to this case.
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`Q. Okay. But to the extent you're relying on
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`that prior art, it's in your declaration?
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`A. If it's not in my declaration, I'm not
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`relying on it.
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`Q. Sounds good.
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` So if a prior patent or an article
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`is cited in your declaration, does that mean you
`
`reviewed the full reference?
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`A. Yes.
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`Q. And would you say you studied all those
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`references in detail or there's some references
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`that you reviewed in more detail than others?
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` MS. ROBERG-PEREZ: Objection; form,
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`compound.
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` THE WITNESS: Can you re-ask that
`
`question so I can make sure I answer it correctly?
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`BY MS. CHRISTNER:
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`Q. Yep. So did you study each reference that
`
`you cited in detail?
`
`A. Yes, I did.
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`Q. Or are there -- so there aren't some
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`references that you reviewed in more detail than
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`others?
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` MS. ROBERG-PEREZ: Objection; form,
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`vague.
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` THE WITNESS: Would you like to --
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`can I get you to ask that question again? Sorry.
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`BY MS. CHRISTNER:
`
`Q. So I'm just trying to confirm, are there some
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`references that you reviewed in more detail than
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`others?
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`A. I don't know how to answer that.
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` Yes. The references -- this prior
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`art references I reviewed extensively, I think is
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`the best way to put it. The articles, the same
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`way.
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` I'm trying to think -- I think the
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`only thing that got, I would say, not -- not
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`extensive was the Root patents. I read those
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`briefly for content. I wasn't asked to form any
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`opinion on them.
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`Q. Is there anything else you can think of that
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`we haven't discussed that you would have reviewed?
`
`A. No, not that I can think of.
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`Q. So I think that pretty much covers the
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`materials that you reviewed.
`
` Did you rely on the declaration you
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`submitted in the previous round of IPRs when you
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`wrote the declaration for this round of IPRs?
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`A. Yeah. It's substantially -- it's, I think,
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`substantially the same. There are -- there are
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`minor additions. There were some, I believe,
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`things deleted. But I would say if you look at
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`this, some very large portion of the content is
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`identical.
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`Q. And so fair to say you didn't change any of
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`the opinions you held in your last round of IPRs
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`while you were writing the declaration for this
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`round?
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`A. That is a fair statement.
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`Q. And then is it fair to say that your
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`declaration represents your independent opinion on
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`the issues it addresses?
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`A. Yes, it does.
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`Q. And is it fair to say that in some instances
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`you would have agreed with Dr. Hillstead on the
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`opinions that he had in his declaration?
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`A. I would say -- I'd characterize that as I
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`agreed with Dr. Hillstead on virtually everything.
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`We have, I think, some differences in what's
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`important, but I didn't see -- I did not have any
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`disagreement with his -- anything in his
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`declaration.
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`Q. Okay. So did you occasionally arrive at a
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`Page 19
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`different conclusion than Dr. Hillstead had in his
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`declaration?
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`A. I'm not sure how to answer that. You have to
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`be more specific, I think.
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`Q. We can get into that more specifically later.
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` And then, Mr. Jones, let's just do
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`one more quick housekeeping thing here before we
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`dive into your declaration.
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` I think you said you looked at your
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`prior deposition transcripts.
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`A. Uh-huh.
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`Q. I'm going to introduce Exhibit 2239 and 2241
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`into the record, and they're also in your binder,
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`so you should be able to see them there, too.
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`A. Yes, they're in the binder.
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`Q. Give me one minute to put them in Exhibit
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`Share here. These are big ones. 2239 and there
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`is 2241.
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` So do you recognize what's shown in
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`these two exhibits from your deposition
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`transcripts from January 18?
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`A. Yes.
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`Q. -- and January 20, 2021?
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`A. Yes. I recognize 2239 and 2241 as those
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`transcripts.
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`Q. And did you testify truthfully at your
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`depositions on those two dates?
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`A. Yes, I did.
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`Q. And you did review those deposition
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`transcripts, correct?
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`A. Yes, I did.
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`Q. And I looked, and as far as I know, you did
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`not submit an errata with any corrections to that
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`transcript; is that correct?
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`A. That's correct.
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`Q. And so fair to say that these two deposition
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`transcripts accurately reflect your testimony in
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`the prior IPR proceedings?
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`A. That's correct.
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`Q. And that testimony accurately represents your
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`opinions, correct?
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`A. Yes, it does.
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`Q. And your opinions have not changed since
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`then, correct?
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`A. That is correct.
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`Q. So I think earlier when we were talking about
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`your opinions in your declaration, you mentioned
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`that you and Dr. Hillstead had some differences in
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`terms of what was important when you came to your
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`opinions.
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` Can you tell me what some of those
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`differences were, please?
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` MS. ROBERG-PEREZ: Object to form.
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` THE WITNESS: I'd have to go -- I
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`think the best way to go through is, do you want
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`to go through the whole Hillstead declaration?
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`Because, in general, I didn't disagree with
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`anything that he had put in his declaration.
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`BY MS. CHRISTNER:
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`Q. So one example that comes to mind would be, I
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`think, when we talk about the shape of the
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`Ressemann collar, Dr. Hillstead's declaration
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`stated that there were two inclines, and I believe
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`your conclusion is that there were more than two;
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`is that correct?
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`A. Yeah. I identified -- what I identified, I
`
`interpreted it as three. With a different
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`drawing, there might be more, but I think it was
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`pretty easy to identify three on.
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`Q. Any other differences that you can think of
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`off the top of your head?
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`A. No, not off the top of my head.
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`Q. Okay. What about the design of the Kontos
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`device modified with the collars from the various
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`references? Is it accurate to say that you
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`modified the Kontos device a little differently
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`than Dr. Kontos did?
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` MS. ROBERG-PEREZ: Objection.
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`Object to form.
`
` Go ahead, Mike.
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` THE WITNESS: Like I said, probably
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`best thing to do there is -- is there a paragraph
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`in my declaration we can refer to?
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`BY MS. CHRISTNER:
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`Q. Sure, we can go through that when we get to
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`your declaration.
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` Do you recall, generally speaking,
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`are there differences?
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` MS. ROBERG-PEREZ: Object to form,
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`vague.
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` THE WITNESS: I don't recall. I'd
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`have to go look at -- have a specific question
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`relative to the declaration.
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`BY MS. CHRISTNER:
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`Q. Okay. So let's go ahead and move to your
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`declaration, so we've introduced that as
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`Exhibit 1807.
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`A. Okay.
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`Q. And as we go through here, I may kind of flip
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`you back and forth between to your declaration and
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`Page 23
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`some of the references you're talking about. But
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`if you want to always keep your book handy, I'll
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`try to be clear which one I'm referring to, but
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`we'll be jumping --
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`A. The easiest for me is to keep the declaration
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`open and the paper copy, and if we need to look at
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`an exhibit, look at it up on Exhibit Share, I
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`think.
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`Q. Okay.
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`A. That will work best for me.
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`Q. That sounds good.
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` So let's go ahead and start at
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`paragraph 28 of your declaration.
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`A. Okay.
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`Q. Let me know when you're there.
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`A. I'm there. Let me just review it here for a
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`second. (Reviews document.) Okay.
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`Q. So is it fair to say that the opinion you are
`
`discussing in this paragraph is limited to the
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`structure of Itou's device?
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` MS. ROBERG-PEREZ: Object to form.
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` Mike, go ahead.
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` THE WITNESS: Okay. So can you ask
`
`that question again? I just want to make sure --
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`I'm looking back through this section of the
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`declaration.
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`BY MS. CHRISTNER:
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`Q. Yep. So paragraph 28 says, "I have been
`
`asked to opine on whether suction catheter (2) of
`
`Itou is sufficiently sized to receive a balloon or
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`stent catheter."
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` Is that right?
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`A. Okay. You're saying paragraph 28?
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`Q. Yeah. That very first sentence there.
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`A. That is not what I have in this -- I'm sorry.
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`I've got the wrong -- excuse me.
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`Q. No problem.
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`A. I was in the other declaration. That might
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`help clarify things.
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`Q. You had me worried for a minute.
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`A. I was getting really worried, so . . .
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` Okay. So let me just make sure --
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`I'm in my declaration now, not the other -- not
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`Hillstead's.
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` Okay. So now we're both on the same
`
`paragraph 28.
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`Q. All right. So that very first sentence there
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`says, "I have been asked to opine on whether
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`suction catheter (2) of Itou is sufficiently sized
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`to receive a stent or balloon catheter."
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` Is that right?
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`A. That is correct.
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`Q. So my question for you is: Is it fair to say
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`that that opinion is limited to the structure of
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`Itou's device?
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` MS. ROBERG-PEREZ: Object to form.
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` THE WITNESS: I'm not sure I
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`understand -- understand your question fully,
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`so . . .
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`BY MS. CHRISTNER:
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`Q. So I'm just wondering, when you're giving
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`your opinion about whether suction catheter (2) of
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`Itou is sufficiently sized to receive the devices
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`you have listed here, is your opinion looking at
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`the structure of Itou's device or is it looking at
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`how the device is --
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`A. I'm sorry. You broke up on the very end of
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`that last sentence.
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`Q. No problem. I can re-ask you the question.
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` So when you're giving the opinion
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`that you have in paragraph 28 about whether the
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`suction catheter (2) of Itou is sufficiently sized
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`to receive the devices you have listed here, is
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`your opinion looking at the structure of Itou's
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`device or is it looking at how the device is used
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`Page 26
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`in Itou?
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`A. It's looking at the structure outlined in the
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`Itou patent.
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`Q. And did you consider how the device disclosed
`
`in Itou was used when you arrived at your opinion,
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`or did you strictly limit your opinion to the
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`structure?
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`A. I considered -- I did consider how it's used.
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`I'm not a doctor, so I don't make the decisions on
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`how something is specifically going to be used.
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` But as an engineer, I considered the
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`required functions to assemble it and then to
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`disassemble it in Itou.
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`Q. And let's go ahead and introduce Itou's, so
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`we're actually looking at something. So I'm going
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`to introduce Exhibit 1007. That one is also in
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`your binder. So if you refresh your Exhibit
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`Share, Exhibit 1007 should be there if that's the
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`way you prefer to look at it.
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`A. Okay.
`
`Q. And I'm just going to ask you -- you don't
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`need to look at any particular part of 1007 right
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`now, but if you'd like to refer to it, you're free
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`to.
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` So Itou teaches that protective
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`Page 27
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`catheter 5 is inserted into suction catheter (2)
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`outside the body; is that correct?
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`A. Yes, it is.
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`Q. And then those two, the protective catheter 5
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`and the suction catheter (2) are advanced through
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`the guide catheter, correct?
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`A. I believe that's what it says in getting down
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`to the body. But my recollection is that's a fair
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`reconstruction of what they specified.
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`Q. And then once the suction catheter is inside
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`the body, does Itou teach inserting anything
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`through the suction catheter in a proximal to
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`distal direction?
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`A. No, it does not.
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`Q. And so Itou does not teach inserting a
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`balloon catheter or stent into the suction
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`catheter (2), correct?
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`A. No, it does not.
`
`Q. So in your declaration, going back to
`
`Exhibit 1807, did you have an opinion about
`
`whether a person of ordinary skill in the art
`
`would be motivated to put a balloon or stent
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`catheter through Itou's suction catheter?
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`A. Can you say that again?
`
`Q. Yep. Do you have an opinion about whether a
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`Page 28
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`person of ordinary skill in the art would be
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`motivated to put a balloon or a stent catheter
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`through Itou's suction catheter?
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`A. I wasn't asked to make an opinion on that,
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`so . . .
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`Q. Okay. And then if we could turn to
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`paragraph 35, I just have one question on that
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`paragraph for you.
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`A. Okay. Let me just review it, please.
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`Q. No problem.
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`A. (Reviews document.)
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` Okay. I've reviewed it. Your
`
`question, please?
`
`Q. So in the second-to-last sentence, it says,
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`"A change in diameter of pushrod 25 is not
`
`unsurprising."
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` Is that right?
`
`A. That's what it says, yes.
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`Q. And if we rephrase that sentence to get rid
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`of the double negative, is it your opinion that a
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`change in diameter of the pushrod 25 is
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`surprising?
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`A. Can you restate -- can you restate that?
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`Q. Yeah.
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`A. I'm a visual person, so audio definitely
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`throws me for a loop. But go ahead.
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`Q. I 100 percent understand. I like writing
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`too.
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` So your sentence says, "A change in
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`diameter of pushrod 25 is not unsurprising."
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`A. That is correct. That is what the
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`declaration says.
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`Q. Okay. And so I'm just -- this "not
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`unsurprising," are you saying it is surprising?
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`A. No. It is not -- changes in diameter of that
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`pushrod is not a surprising result, or a
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`surprising design intent.
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`Q. Okay. Let's go to paragraph 52, please.
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`A. Okay. Let me just review it, please.
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`Q. No problem.
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`A. (Reviews document.)
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` Okay. All righty.
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`Q. So I'm looking at the second sentence in that
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`paragraph which says, "Itou discloses that its
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`guiding catheter 1 includes an inner layer 110
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`made of a resin material having a sliding property
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`such as fluorocarbon resin represented by PTFE."
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` Is that right?
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`A. Yes, it is.
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`Q. And you cite the Itou reference, which is
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