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UNITED STATES PATENT AND TRADEMARK OFFICE
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`
`
`
`BEFORE THE PATENT TRIAL AND APPEAL BOARD
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`
`
`RIMFROST AS
`
`Petitioner
`
`v.
`
`AKER BIOMARINE ANTARCTIC AS
`
`Patent Owner
`
`
`
`Case No. IPR2020-01534
`U.S. Patent 10,010,567
`Issue Date: July 3, 2018
`Title: Bioeffective Krill Oil Compositions
`
`
`
`PATENT OWNER’S MANDATORY NOTICES PURSUANT TO
` 37 C.F.R. § 42.8
`
`
`
`
`
`Mail Stop “PATENT BOARD”
`Patent Trial and Appeal Board
`United States Patent and Trademark Office
`P.O. Box 1450
`Alexandria, VA 22313-1450
`
`

`

`
`
`
`
`Case No.: IPR2020-01534
`Patent Owner’s Mandatory Notice
`
`
`PATENT OWNER’S MANDATORY NOTICES UNDER
`
` 37 C.F.R. § 42.8
`
`Real Party-In-Interest under 37 C.F.R. § 42.8(b)(1).
`
`Aker BioMarine Antarctic AS is the Patent Owner and the real party-in
`
`
`
`1.
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`
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`interest in this proceeding.
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`
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`2. Related Matters under 37 C.F.R. § 42.8(b)(2).
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`
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`The following judicial or administrative matters may affect or be affected by
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`a decision in this proceeding:
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`
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`Aker previously asserted the ‘877 and ‘905 patent in a lawsuit captioned
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`Aker Biomarine Antarctic AS v. Olympic Holding AS; Rimfrost AS; Emerald
`
`Fisheries AS, Rimfrost USA, LLC; Avoca Inc.; and Bioriginal Food & Science
`
`Corp. Case No. 1:16-CV-00035-LPS-CJB (D. Del.). This litigation was initially
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`stayed in view of Investigation No. 337-TA-1019 instituted by the United States
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`International Trade Commission on September 16, 2016 as noticed in the Federal
`
`Register. The ITC investigation, In the Matter of Certain Krill Oil Products and
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`Krill Meal for Production of Krill Oil Products, involved the ‘877 and ‘905 patents,
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`as well as Patent Owner’s related ‘765, ‘453 and ‘752 patents. The ITC
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`investigation identified Olympic Holding AS, Rimfrost AS, Emerald Fisheries AS,
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`
`
`1
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`

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`Case No.: IPR2020-01534
`Patent Owner’s Mandatory Notice
`
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`Avoca Inc., Rimfrost USA, LLC, Rimfrost New Zealand Limited and Bioriginal
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`Food & Science Corp. as respondents.
`
`On May 23, 2017, ITC Investigation No. 337-TA-1019 was terminated. In
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`addition, a Stipulation of Dismissal as to Avoca, Inc. was granted by the Delaware
`
`District Court on May 30, 2017.
`
`On January 27, 2017, Petitioner filed petitions in IPR2017-00745 and
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`IPR2017-0747 requesting review of claims 1-20 of the ‘905 patent. On February
`
`3, 2017, Petitioner filed petitions in IPR2017-0746 and IPR2017-00748 requesting
`
`review of claims 1-20 of the ‘877 patent. Each was instituted on August 16, 2017.
`
`On September 6, 2017, the Delaware District Court action was stayed pending
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`resolution of these proceedings. On August 24, 2018, the Board ruled that claims
`
`1-20 of the ‘905 patent and claims 1-20 of the ‘877 patent are unpatentable.
`
`On October 3, 2019, the U.S. Court of Appeals for the Federal Circuit, in a
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`consolidated opinion, affirmed the Board’s Final Written Decisions in IPR2017-
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`00745 and IPR2017-00746 finding all claims of the ‘877 and ‘905 patents
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`unpatentable. Aker Biomarine Antarctic AS v. Rimfrost AS, 786 F. App’x. 251
`
`(2019). On October 28, 2019, based on the Federal Circuit’s affirmance of 877
`
`FWD and 905 FWD, the Delaware District Court action was dismissed with
`
`prejudice.
`
`
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`2
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`
`
`Case No.: IPR2020-01534
`Patent Owner’s Mandatory Notice
`
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`In March 2020, the Patent Office issued Inter Partes Review Certificates
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`
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`cancelling claims 1-20 of the ‘877 patent and claims 1-20 of the ‘905 patent.
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`On December 15, 2017, Petitioner filed a petition in IPR2018-00295
`
`requesting review of claims 1-48 of the ‘765 patent. This IPR was instituted on
`
`June 14, 2018. On June 12, 2009, the Board issued its Final Written Decision
`
`finding all claims of the ‘765 patent unpatentable. As part of the Final Written
`
`Decision, the PTAB also denied Patent Owner’s contingent Motion to Amend that
`
`sought to replace claims 25-32 with substitute claims 49-56. On July 12, 2019,
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`Patent Owner filed a Request for Rehearing limited exclusively to the Board’s
`
`denial of the Motion to Amend. On November 22, 2019, the Board ordered further
`
`briefing related to the Request for Rehearing (Order, Conduct of the Proceeding
`
`Relating to Request on Rehearing of Final Written Decision, Paper 40). On
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`October 1, 2020 the Board issued a decision denying the request for rehearing.
`
`On February 9, 2018, Petitioner filed a petition in PGR2018-0033 requesting
`
`review of claims 1-20 of U.S. Patent No. 9,644,170 (“the ‘170 patent”). On
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`August 29, 2018, the Board determined that the ‘170 patent was not eligible for
`
`post grant review.
`
`On June 26, 2018, Petitioner filed petitions in IPR2018-01178 and IPR2018-
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`01179 requesting review of claims 1-31 and claims 32-61 of the ‘453 patent,
`
`respectively. Both proceedings were instituted on January 14, 2019. On January
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`
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`3
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`Case No.: IPR2020-01534
`Patent Owner’s Mandatory Notice
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`13, 2020, the Board issued Final Written Decisions finding claims 1-31 and claims
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`32-61 unpatentable. The Board also denied Patent Owner’s contingent motions to
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`amend. Patent Owner did not appeal either of these Final Written Decisions.
`
`On September 21, 2018, Petitioner filed a petition in IPR2018-01730
`
`requesting review of claims 1-20 of the ‘752 patent. This IPR was instituted on
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`May 12, 2019. On Mach 6, 2020, the Board issued a Final Written Decision
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`finding claims 1-20 unpatentable, and denied Patent Owner’s contingent motion to
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`amend. Patent Owner did not appeal the Board’s decision.
`
`On September 30, 2020, Petitioner filed petitions in IPR2020-01532 and
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`IPR2020-01533 requesting review of claims 1-20 of U.S. Patent No. 9,644,169
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`(“the ‘169 patent”) and claims 1-19 of U.S. Patent No. 9,816,046 (“the ‘046
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`patent”), respectively. The ‘169 and the ‘046 patents, like the ‘567 patent which is
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`subject of this Petition, are in the same patent family and share a common
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`specification with the ‘877, ‘905, ‘765, ‘453 and ‘752 patents.
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`3. Lead and Back-Up Counsel under 37 C.F.R. § 42.8(b)(3).
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`The Patent Owner designates the following lead and back-up counsel.
`
`4
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`

`

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`
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`LEAD COUNSEL
`J. Mitchell Jones, Ph.D.
`(Reg. No. 44,174)
`jmjones@casimirjones.com
`docketing@casimirjones.com
`
`CASIMIR JONES S.C.
`2275 Deming Way, Suite 310
`Middleton, WI 53562
`(608) 662-1277 (phone)
`(608) 662-1276 (facsimile)
`
`
`
`Case No.: IPR2020-01534
`Patent Owner’s Mandatory Notice
`
`
`
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`BACK-UP COUNSEL
`David A. Casimir, Ph.D.
`(Reg. No. 42,395)
`dacasimir@casimirjones.com
`docketing@casimirjones.com
`
`CASIMIR JONES S.C.
`2275 Deming Way, Suite 310
`Middleton, WI 53562
`(608) 662-1277 (phone)
`(608) 662-1276 (facsimile)
`
`4.
`
`Service Information under 37 C.F.R. § 42.8(b)(4).
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`
`
`Please address all correspondence to the lead and back-up counsel at the
`
`address as shown above. Patent Owner also consents to electronic service by e-
`
`mail at: docketing@casimirjones.com , dacasimir@casimirjones.com , and
`
`jmjones@casimirjones.com .
`
`
`
`The Office is authorized to charge fee deficiencies to Deposit Account 50-
`
`4302.
`
`Date: November 30, 2020
`
`
`
`
`
`CASIMIR JONES S.C.
`
`2275 Deming Way, Suite 310
`Middleton, WI 53562
`
`(608) 662-1277 (phone)
`(608) 662-1276 (facsimile)
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`Respectfully submitted,
`Casimir Jones, S.C.
`By:
`/J. Mitchell Jones/
`
`J. Mitchell Jones, Ph.D.
`
`Reg. No. 44,174
`
`
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`5
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`Case No.: IPR2020-01534
`Patent Owner’s Mandatory Notice
`
`
`CERTIFICATE OF SERVICE
`
`The undersigned hereby certifies that on this 30th day of November 2020, a
`
`
`
`
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`copy of the foregoing MANDATORY NOTICES UNDER 37 C.F.R. § 42.8 and
`
`the PATENT OWNER’S POWER OF ATTORNEY, were served in their
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`entireties via e-mail to the attorneys of record at the following addresses:
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`James F. Harrington
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`Reg. No. 44,741
`
`Hoffmann & Baron, LLP
`jfhdocket@hbiplaw.com
`
`John T. Gallagher
`Reg. No. 35,516
`Hoffman & Baron, LLP
`jtgdocket@hbiplaw.com
`
`567ipr@hbiplaw.com
`
`Michael I. Chakansky
`Reg. No. 31,600
`Hoffman & Baron, LLP
`micdocket@hbiplaw.com
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`By: /J. Mitchell Jones/
`J. Mitchell Jones, Ph.D.
`Registration No. 44,174
`Counsel for Patent Owner
`CASIMIR JONES, S.C.
`2275 Deming Way
`Suite 310
`Middleton, Wisconsin 53562
`(608) 662-1277
`
`6
`
`

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