throbber
Attorney Docket No. 50095-0030IP1
`IPR of U.S. Patent No. 10,562,077
`
`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`
`
`In re Patent of: Walter G. Mayfield, et al.
`U.S. Patent No.:
`10,562,077 Attorney Docket No.: 50095-0030IP1
`Issue Date:
`February 18, 2020
`
`Appl. Serial No.: 16/460,770
`
`Filing Date:
`July 2, 2019
`
`Title:
`SYSTEM COMPRISING A PORTABLE SWITCHING
`DEVICE FOR USE WITH A PORTABLE ELECTRONIC
`DEVICE
`
`
`
`
`
`
`DECLARATION OF DR. JEREMY COOPERSTOCK
`
`
`
`
`
`
`1
`
`APPLE 1003
`
`

`

`Attorney Docket No. 50095-0030IP1
`IPR of U.S. Patent No. 10,562,077
`
`
`TABLE OF CONTENTS
`
`
`
`I.
`
`INTRODUCTION .......................................................................................... 4
`
`II. QUALIFICATIONS ....................................................................................... 5
`
`III. MATERIALS CONSIDERED ....................................................................... 7
`
`IV. SUMMARY OF CONCLUSIONS ............................................................... 13
`
`V.
`
`LEGAL PRINCIPLES .................................................................................. 14
`
`A. Obviousness ........................................................................................ 15
`
`VI. PERSON OF ORDINARY SKILL IN THE ART ........................................ 16
`
`VII. OVERVIEW OF THE ’077 PATENT .......................................................... 16
`
`VIII. GROUND 1A—Claims 1, 2, 8, 9, and 11 are obvious in view of
`Gundlach and Lee. ........................................................................................ 19
`
`A. Overview of Gundlach ........................................................................ 19
`
`B. Overview of Lee ................................................................................. 23
`
`C.
`
`The Gundlach-Lee Combination ........................................................ 26
`
`D. Analysis of Claims 1, 2, 8, 9, and 11 .................................................. 34
`
`IX. GROUND 1B: Claims 2 and 8 are obvious in view of Gundlach, Lee,
`and Nishikawa ............................................................................................... 79
`
`A. Overview of Nishikawa ...................................................................... 79
`
`B.
`
`The Gundlach-Lee-Nishikawa Combination ...................................... 80
`
`C. Analysis of Claims 2 and 8 ................................................................. 80
`
`X. GROUND 1C: Claim 11 is obvious in view of Gundlach, Lee, and
`Rosener.......................................................................................................... 81
`
`A. Overview of Rosener .......................................................................... 81
`
`B.
`
`The Gundlach-Lee-Rosener Combination .......................................... 82
`
`
`
`2
`
`

`

`Attorney Docket No. 50095-0030IP1
`IPR of U.S. Patent No. 10,562,077
`
`C. Analysis of Claim 11 .......................................................................... 84
`
`XI. GROUND 1D: Claims 3 and 7 are obvious in view of Gundlach, Lee,
`and Brown. .................................................................................................... 85
`
`A. Overview of Brown ............................................................................ 85
`
`B.
`
`The Gundlach-Lee-Brown Combination ............................................ 86
`
`C. Analysis of Claims 3 and 7 ................................................................. 88
`
`XII. GROUND 1E: Claims 4, 5, 10, 12, and 13 are obvious in view of
`Gundlach, Lee, and Mak-Fan. ....................................................................... 91
`
`A. Overview of Mak-Fan ......................................................................... 91
`
`B.
`
`The Gundlach-Lee-Mak-Fan Combination ........................................ 92
`
`C. Analysis of Claims 4, 5, 10, 12, and 13 .............................................. 95
`
`XIII. Ground 2A: Claims 1, 2, 8, 9, and 11 are obvious in view of
`Gundlach, Lee, and Kim. .............................................................................. 99
`
`A. Overview of Kim ................................................................................ 99
`
`B.
`
`The Gundlach-Lee-Kim Combination .............................................. 100
`
`C. Analysis of Element [1h] .................................................................. 103
`
`XIV. GROUND 2B: Claims 2 and 8 are obvious in view of Gundlach, Lee,
`Kim, and Nishikawa. ................................................................................... 103
`
`XV. GROUND 2C: Claim 11 is obvious in view of Gundlach, Lee, Kim,
`and Rosener. ................................................................................................ 104
`
`XVI. GROUND 2D: Claims 3 and 7 are obvious in view of Gundlach, Lee,
`Kim, and Brown. ......................................................................................... 104
`
`XVII. GROUND 2E: Claims 4, 5, 10, 12, and 13 are obvious in view of
`Gundlach, Lee, Kim, and Mak-Fan. ............................................................ 104
`
`XVIII. CONCLUSION ......................................................................................... 106
`
`
`
`3
`
`

`

`Attorney Docket No. 50095-0030IP1
`IPR of U.S. Patent No. 10,562,077
`
`I, Jeremy Cooperstock, of Montreal, Canada, declare that:
`
`I.
`
`INTRODUCTION
`
`1.
`
`I have been retained by Fish & Richardson, P.C., on behalf of Apple
`
`Inc. (“Petitioner”), as an independent expert consultant in this inter partes review
`
`(“IPR”) proceeding before the United States Patent and Trademark Office
`
`(“PTO”).
`
`2.
`
`I have been asked by Petitioner’s counsel (“Counsel”) to consider
`
`whether certain references teach or suggest the features recited in Claims 1-5 and
`
`7-13 of U.S. Patent No. 10,562,077 (“the ’077 patent”). My opinions and the bases
`
`for my opinions are set forth below. My opinions are based on my education and
`
`experience.
`
`3.
`
`In writing this Declaration, I have considered the following: my own
`
`knowledge and experience, including my teaching and work experience in the
`
`above fields; and my experience of working with others involved in those fields.
`
`4.
`
`I have no financial interest in either party or in the outcome of this
`
`proceeding. I am being compensated for my work as an expert on an hourly basis,
`
`for all tasks involved. My compensation is not dependent on the outcome of these
`
`proceedings or on the content of my opinions.
`
`
`
`4
`
`

`

`Attorney Docket No. 50095-0030IP1
`IPR of U.S. Patent No. 10,562,077
`
`
`II. QUALIFICATIONS
`
`5.
`
`I am a professor in the Department of Electrical and Computer
`
`Engineering at McGill University. My curriculum vitae is provided as Appendix A.
`
`6.
`
`I received my B.Sc. in Electrical Engineering from the University of
`
`British Columbia, my M.Sc. in Computer Science from the University of Toronto
`
`in 1992, and my Ph.D. in Electrical and Computer Engineering from the University
`
`of Toronto in 1996.
`
`7.
`
`I am a member of the Centre for Intelligent Machines, and a founding
`
`member of the Centre for Interdisciplinary Research in Music Media and
`
`Technology at McGill University. I also direct the Shared Reality Lab at McGill,
`
`which focuses on computer mediation to facilitate high-fidelity human
`
`communication and the synthesis of perceptually engaging, multimodal, immersive
`
`environments. I led the development of the Intelligent Classroom, the world's first
`
`Internet streaming demonstrations of Dolby Digital 5.1, multiple simultaneous
`
`streams of uncompressed high-definition video, a high-fidelity orchestra rehearsal
`
`simulator, a simulation environment that renders graphic, audio, and vibrotactile
`
`effects in response to footsteps, and a mobile game treatment for amblyopia.
`
`8. My work on the Ultra-Videoconferencing system was recognized by
`
`an award for Most Innovative Use of New Technology from ACM/IEEE
`
`Supercomputing and a Distinction Award from the Audio Engineering Society.
`
`
`
`5
`
`

`

`Attorney Docket No. 50095-0030IP1
`IPR of U.S. Patent No. 10,562,077
`
`
`The research I supervised on the Autour project earned the Hochhausen Research
`
`Award from the Canadian National Institute for the Blind and an Impact Award
`
`from the Canadian Internet Registry Association, and my Real-Time Emergency
`
`Response project won the Gold Prize (brainstorm round) of the Mozilla Ignite
`
`Challenge.
`
`9.
`
`I have worked with IBM at the Haifa Research Center, Israel, and the
`
`Watson Research Center in Yorktown Heights, New York, the Sony Computer
`
`Science Laboratory in Tokyo, Japan, and was a visiting professor at Bang &
`
`Olufsen, Denmark, where I conducted research on telepresence technologies as
`
`part of the World Opera Project. I led the theme of Enabling Technologies for a
`
`Networks of Centres of Excellence on Graphics, Animation, and New Media
`
`(GRAND) and I am an associate editor of the Journal of the AES.
`
`10.
`
`have carried out significant research involving network
`
`communication protocols, including wireless communication employing IEEE
`
`802.11 (WiFi) and IEEE 802.15 (Bluetooth). My experience in these areas includes
`
`development of the Adaptive File Distribution Protocol (AFDP, 1995), analysis of
`
`the tradeoffs between bandwidth, power demands, and latency for audio streaming
`
`over WiFi, Bluetooth, and ultra-wideband protocols (2007), and assessment of the
`
`performance and scalability of wireless audio streaming for applications requiring
`
`latency-optimized multimedia streaming (2008). I have led all aspects of
`
`
`
`6
`
`

`

`Attorney Docket No. 50095-0030IP1
`IPR of U.S. Patent No. 10,562,077
`
`
`development and experimentation in the Autour project (2009-2016), for which
`
`Bluetooth is typically used as a communication layer for audio between the user’s
`
`smartphone and a wireless headset, or, experimentally, to transmit user input
`
`acquired from a wireless game controller. I am currently leading a research project
`
`(MIMIC), which communicates sensor data between two coupled smartwatches
`
`using Bluetooth for local communication between the smartwatches and their
`
`peered smartphones, and the public Internet between the smartphones. I am also
`
`leading a project that uses both Bluetooth and WiFi communication between
`
`smartphones, a GPU-based physics engine, and a microelectronics architecture that
`
`renders vibrotactile effects on mobile footwear.
`
`III. MATERIALS CONSIDERED
`
`11.
`
`I have reviewed the ’077 patent (APPLE-1001) and relevant excerpts
`
`of its prosecution history (APPLE-1002). I understand that the ’077 patent was
`
`filed on July 2, 2019 with a priority claim dating back to the August 5, 2011 filing
`
`date of provisional application No. 61/515,752. While I am not opining on
`
`whether the ’077 patent is entitled to its priority claim, for purposes of this
`
`Declaration, I am using August 5, 2011 as the purported priority date (“Critical
`
`Date”).
`
`12. As part of my independent analysis for this Declaration, I have
`
`considered my personal knowledge and experience; the common knowledge of
`
`
`
`7
`
`

`

`Attorney Docket No. 50095-0030IP1
`IPR of U.S. Patent No. 10,562,077
`
`
`persons of ordinary skill prior to August 5, 2011, and the following publications
`
`and materials:
`
`•
`
`•
`
`•
`
`•
`
`•
`
`•
`
`•
`
`•
`
`•
`
`APPLE-1005
`
`
`
`U.S. Patent Publication No. 2008/0132293
`(“Gundlach”)
`
`APPLE-1006
`
`U.S. Patent No. 7,548,040 (“Lee”)
`
`APPLE-1007
`
`
`
`U.S. Patent Publication No. 2011/0117851
`(“Kim”)
`
`APPLE-1008
`
`U.S. Patent No. 7,631,811 (“Brown”)
`
`APPLE-1009
`
`
`APPLE-1010
`
`
`
`APPLE-1020
`
`
`
`
`
`APPLE-1021
`
`
`
`
`
`
`U.S. Patent Publication No. 2009/0124308
`
`U.S. Patent Publication No. 2008/0012706
`(“Mak-Fan”)
`
`Wireless charging mats and receivers for
`your iPhone, iPod, BlackBerry and other
`devices, Powermat,
`https://web.archive.org/web/2011010305503
`4/http://www.powermat.com/
`
`Palm | HP® Official Store,
`https://web.archive.org/.../http://www.shoppi
`ng.hp.com/webapp/shopping/can.do?storeN
`ame=accessories&landing=handheld&categ
`ory=categories&subcat1=palm&orderflow=
`1&sort=top_sellers
`
`APPLE-1022
`
`
`
`Palm Touchstone Kit Review,
`http://www.palminfocenter.com/news/9819/
`palm-touchstone-kit-review/
`
`•
`
`APPLE-1023
`
`U.S. Pat. No. 7,211,986
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`8
`
`

`

`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`Attorney Docket No. 50095-0030IP1
`IPR of U.S. Patent No. 10,562,077
`
`
`APPLE-1024
`
`U.S. Publication. No. 2008/0085617
`
`APPLE-1025
`
`
`Newton’s Telecom Dictionary (26th
`Expanded and Updated Edition) (excerpt)
`
`APPLE-1026
`
`
`Chambers Dictionary of Science and
`Technology (excerpt)
`
`APPLE-1027
`
`U.S. Publication No. 2008/0152182
`
`APPLE-1028
`
`
`
`
`Lecture 10: Magnetic Force; Magnetic
`Fields; Ampere’s Law, Massachusetts
`Institute of Technology—Department of
`Physics (8.022 Spring 2004)
`
`APPLE-1029
`
`U.S. Pat. No. 7,627,289
`
`APPLE-1030
`
`U.S. Pat. No. 6,076,790
`
`APPLE-1031
`
`
`
`Inclusive design and human factors:
`designing mobile phones for older users
`(Vol. 4, No. 3), PsychNology Journal
`
`APPLE-1032
`
`
`
`
`
`
`Inductive Power Transmission, Wireless
`Power Consortium,
`https://web.archive.org/...b/2011082105154
`4/http://www.wirelesspowerconsortium.com
`/technology/basic-principle-of-inductive-
`power-transmission.html
`
`APPLE-1033
`
`U.S. Publication No. 2011/0151941
`
`APPLE-1034
`
`
`
`AUDIO/VIDEO REMOTE CONTROL
`PROFILE (Version 1.0 Adopted), Bluetooth
`Audio Video Working Group
`
`•
`
`•
`
`•
`
`•
`
`•
`
`•
`
`•
`
`•
`
`•
`
`•
`
`•
`
`•
`
`APPLE-1035
`
`U.S. Publication No. 2006/0166715
`
`
`
`9
`
`

`

`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`•
`
`•
`
`•
`
`•
`
`•
`
`•
`
`•
`
`•
`
`•
`
`•
`
`•
`
`•
`
`•
`
`•
`
`Attorney Docket No. 50095-0030IP1
`IPR of U.S. Patent No. 10,562,077
`
`
`APPLE-1036
`
`U.S. Publication No. 2008/0070501
`
`APPLE-1037
`
`U.S. Pat. No. 7,761,091
`
`APPLE-1038
`
`
`Voyager 855 Bluetooth Headset—User
`Guide, Plantronics Sound Innovation
`
`APPLE-1039
`
`Jabra Sport—User Manual, Jabra
`
`APPLE-1040
`
`
`Plantronics Discovery 975—User Guide,
`Plantronics
`
`APPLE-1041
`
`
`
`
`
`Plantronics Discovery 975 Storage Case &
`Charger 79413-02,
`https://web.archive.org/web/2010112423191
`0/https://headsetplus.com/product1200/prod
`uct_info.html
`
`APPLE-1042
`
`U.S. Pat. No. 7,012,802
`
`APPLE-1043
`
`U.S. Publication No. 2008/0167088
`
`APPLE-1044
`
`U.S. Publication No. 2008/0157110
`
`APPLE-1045
`
`
`
`
`
`
`Advantages and Weaknesses of LED
`Application, LEDinside,
`https://web.archive.org/web/2012110208041
`4/https://www.ledinside.com/knowledge/200
`7/12/Advantages_and_weaknesses_of_LED
`_Application_200712
`
`APPLE-1046
`
`U.S. Publication No. 2007/0135185
`
`APPLE-1047
`
`U.S. Pat. No. 7,130,654
`
`APPLE-1048
`
`U.S. Publication No. 2008/0132168
`
`APPLE-1049
`
`Plastics in Electrical and Electronic
`
`
`
`10
`
`

`

`Attorney Docket No. 50095-0030IP1
`IPR of U.S. Patent No. 10,562,077
`
`
`Applications, BPF: British Plastics
`Federation,
`https://web.archive.org/web/2011081117242
`9/https://www.bpf.co.uk/innovation/plastics
`_in_electrical_and_electronic_applications.a
`spx
`
`
`
`
`
`
`
`
`•
`
`•
`
`•
`
`•
`
`•
`
`•
`
`•
`
`•
`
`APPLE-1050
`
`
`U.S. Publication No. 2008/0076489
`(“Rosener”)
`
`APPLE-1051
`
`
`
`
`Next-Generation Stereo Bluetooth Headsets,
`TechHive,
`https://www.techhive.com/article/162341/ste
`reo_bluetooth_headsets.html
`
`APPLE-1052
`
`
`Motorola Elite Sliver—User Guide,
`Motorola
`
`APPLE-1053
`
`U.S. Publication No. 2011/0199727
`
`APPLE-1054
`
`
`
`
`Magnetic Closures For Packaging, Adams
`Magnetic Products,
`https://www.adamsmagnetic.com/blogs/mag
`net-blog-magnets-packaging-closures
`
`APPLE-1055
`
`U.S. Pat. No. 3,716,091
`
`APPLE-1056
`
`
`
`
`
`MacBook Air shells and sleeves Review,
`Macworld,
`https://web.archive.org/web/2012040302210
`6/https://www.macworld.com/article/113491
`9/airshellsleeve.html
`
`APPLE-1057
`
`
`
`Applications for Hall Effect IC Switches in
`Portable Applications, ROHM
`Semiconductor
`
`•
`
`APPLE-1058
`
`ASTM Dictionary of Engineering Science &
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`11
`
`

`

`Attorney Docket No. 50095-0030IP1
`IPR of U.S. Patent No. 10,562,077
`
`
`
`
`
`
`
`
`Technology (10th Edition), ASTM
`
`Committee E02 on Terminology (excerpt)
`
`APPLE-1059
`
`
`
`U.S. Patent Publication No. 2007/0145255
`(“Nishikawa”)
`
`APPLE-1060
`
`U.S. Patent Publication No. 2011/0167287
`
`APPLE-1061
`
`U.S. Patent Publication No. 2008/0168286
`
`APPLE-1062
`
`U.S. Patent No. 7,195,362
`
`APPLE-1063
`
`U.S. Patent No. 8,064,194
`
`APPLE-1064
`
`EP Patent Publication No. 0 517 497
`
`APPLE-1065
`
`U.S. Patent Publication No. 2010/0195860
`
`APPLE-1066
`
`
`
`
`
`Plugfones.com, https://web.archive.org/web/
`20110820072700/
`https://www.plugfones.com/
`
`APPLE-1067
`
`
`
`
`
`
`
`
`
`CES: Hands On with the Kleer Wireless
`Earbuds, Gadget Lab | WIRED,
`
`https://web.archive.org/web/
`20140721204820/http://
`www.wired.com/2007/01/ces_hands_on_wi/
`
`•
`
`•
`
`•
`
`•
`
`•
`
`•
`
`•
`
`•
`
`•
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`•
`
`APPLE-1068
`
`U.S. Patent Publication No. 2006/0111044
`
`13. Note that my citations to non-patent literature throughout this
`
`declaration reference the absolute page number added to the exhibit (as opposed to
`
`the original pagination of the document). For patent literature, I’ve used the
`
`column/line numbers or paragraph numbers. Note also that all emphasis
`
`(bold/italics/underline) in any quoted text has been added.
`
`
`
`12
`
`

`

`Attorney Docket No. 50095-0030IP1
`IPR of U.S. Patent No. 10,562,077
`
`
`14. Although this declaration refers to selected portions of the cited
`
`references for the sake of brevity, it should be understood that these are examples,
`
`and that one of ordinary skill in the art would have viewed the references cited
`
`herein in their entirety and in combination with other references cited herein or
`
`cited within the references themselves. The references used in this declaration,
`
`therefore, should be viewed as being incorporated herein in their entireties.
`
`15. Counsel has informed me that I should consider these materials
`
`through the lens of a person of ordinary skill in the art (“POSITA,” which is
`
`discussed further in § VI below) as of the Critical Date, and I have done so. Unless
`
`otherwise stated, my testimony below refers to the knowledge of a POSITA as of
`
`the Critical Date.
`
`IV. SUMMARY OF CONCLUSIONS
`
`16. This Declaration explains the conclusions that I have formed based on
`
`my independent analysis. To summarize those conclusions:
`
`• Ground 1A: Claims 1, 2, 8, 9, and 11 are obvious in view of
`
`Gundlach and Lee. See Infra, § VIII.
`
`• Ground 1B: Claims 2 and 8 are obvious in view of Gundlach, Lee,
`
`and Nishikawa. See Infra, § IX.
`
`• Ground 1C: Claim 11 is obvious in view of Gundlach, Lee, and
`
`Rosener. See Infra, § X.
`
`
`
`13
`
`

`

`• Ground 1D: Claims 3 and 7 are obvious in view of Gundlach, Lee,
`
`Attorney Docket No. 50095-0030IP1
`IPR of U.S. Patent No. 10,562,077
`
`
`and Brown. See Infra, § XI.
`
`• Ground 1E: Claims 4, 5, 10, 12, and 13 are obvious in view of
`
`Gundlach, Lee, and Mak-Fan. See Infra, § XII.
`
`• Ground 2A: Claims 1, 2, 8, 9, and 11 are obvious in view of
`
`Gundlach, Lee, and Kim. See Infra, § XIII.
`
`• Ground 2B: Claims 2 and 8 are obvious in view of Gundlach, Lee,
`
`Kim, and Nishikawa. See Infra, § XIV.
`
`• Ground 2C: Claim 11 is obvious in view of Gundlach, Lee, Kim, and
`
`Rosener. See Infra, § XV.
`
`• Ground 2D: Claims 3 and 7 are obvious in view of Gundlach, Lee,
`
`Kim, and Brown. See Infra, § XVI.
`
`• Ground 2E: Claims 4, 5, 10, 12, and 13 are obvious in view of
`
`Gundlach, Lee, Kim, and Mak-Fan. See Infra, § XVII.
`
`V. LEGAL PRINCIPLES
`
`17.
`
`In forming my analysis and conclusions expressed in this Declaration,
`
`I have applied the legal principles described in the following paragraphs, which
`
`were provided to me by counsel for the Petitioner.
`
`
`
`14
`
`

`

`Attorney Docket No. 50095-0030IP1
`IPR of U.S. Patent No. 10,562,077
`
`
`A. Obviousness
`
`18.
`
`I have been informed that a patent claim is invalid as “obvious” in
`
`light of one or more prior art references if it would have been obvious to a person
`
`of ordinary skill in the art at the time of the alleged invention (“POSITA”), taking
`
`into account (1) the scope and content of the prior art, (2) the differences between
`
`the prior art and the claims, (3) the level of ordinary skill in the art, and (4) any so
`
`called “secondary considerations” of non-obviousness, which include: (i) “long felt
`
`need” for the claimed invention, (ii) commercial success attributable to the claimed
`
`invention, (iii) unexpected results of the claimed invention, and (iv) “copying” of
`
`the claimed invention by others.
`
`19.
`
`I have been informed that a claim can be obvious in light of a single
`
`prior art reference or multiple prior art references. To be obvious in light of a
`
`single prior art reference or multiple prior art references, there must be a reason
`
`that would have prompted a POSITA to modify or supplement the single prior art
`
`reference, or to combine two or more references, in a manner that provides the
`
`elements of the claimed invention. This reason may come from a teaching,
`
`suggestion, or motivation to combine, or may come from the reference(s)
`
`themselves, the knowledge or “common sense” of a POSITA, or from the nature of
`
`the problem to be solved, and this reason may be explicit or implicit from the prior
`
`art as a whole. I have been informed that, under the law, the combination of
`
`
`
`15
`
`

`

`Attorney Docket No. 50095-0030IP1
`IPR of U.S. Patent No. 10,562,077
`
`familiar elements according to known methods is likely to be obvious when it does
`
`no more than yield predictable results. I also understand it is improper to rely on
`
`hindsight in making the obviousness determination.
`
`VI. PERSON OF ORDINARY SKILL IN THE ART
`
`20. Based on my knowledge and experience in the field and my review of
`
`the ’077 patent and its file history, I believe that would have had would have had at
`
`least a Bachelor’s degree in an academic area emphasizing electrical engineering,
`
`mechanical engineering, or a similar discipline, and at least two years of
`
`experience in the field working with electronic devices. Superior education could
`
`compensate for a deficiency in work experience, and vice-versa.
`
`VII. OVERVIEW OF THE ’077 PATENT
`
`21. The ’077 patent traces its lineage back to the disclosures of nine
`
`provisional applications filed between August 2011 and June 2012.
`
`22. Eight of those provisional applications (yellow, below) are directed to
`
`various embodiments of a device for cleaning the view screens of portable
`
`electronic devices. Such a device is described in the provisionals and the ’077
`
`patent as a “cleaning device.” (E.g., ’077 patent, 3:58-67.)
`
`
`
`16
`
`

`

`Attorney Docket No. 50095-0030IP1
`IPR of U.S. Patent No. 10,562,077
`
`
`
`
`23. The remaining provisional application in the ’077 patent’s priority
`
`chain (green, above) discloses various embodiments of a “switching device” for
`
`activating and deactivating the magnetic switch of a portable electronic device.
`
`This “switching device” provisional disclosure is what most closely resembles the
`
`claimed subject matter of the ’077 patent, which is aptly entitled “SYSTEM
`
`COMPRISING A PORTABLE SWITCHING DEVICE FOR USE WITH A PORTABLE
`
`ELECTRONIC DEVICE.” (See ’077 patent, 21:37-39 (“What is claimed is: 1. A
`
`system comprising: a portable switching device . . .).)
`
`
`
`17
`
`

`

`Attorney Docket No. 50095-0030IP1
`IPR of U.S. Patent No. 10,562,077
`
`
`24. The ’077 patent’s SUMMARY references “a switching device for use
`
`with a portable electronic device having . . . at least one switch that can be
`
`activated or de-activated.” (’077 patent, 4:1-7.) As one example, the switch of the
`
`portable electronic device can be activated/deactivated “by introducing a magnetic
`
`field to the at least one switch” via a magnet in the switching device. (Id.)
`
`25. Figure 24 (below) is a front view of a switching device 2401 and a
`
`portable electronic device 2402 discussed in the ’077 patent’s DETAILED
`
`DESCRIPTION. (’077, 18:6-31.) As shown, the switching device 2401 “is
`
`selectively coupled to the front of the portable electronic device 2402.” (Id., 18:7-
`
`10.) And consistent with the above-discussed example in the SUMMARY, the
`
`electronic device 2402 includes a magnetic switch 2404 activated/deactivated by
`
`applying the switching device 2401 either “directly to the magnetic switch or [] to
`
`either side of the switch and then slid past it.” (Id., 18:10-18; see also 17:55-59,
`
`20:14-16 (“The switching devices have a functionality of being able to activ[ate]
`
`magnetic switches on devices having such switches.”).) In one embodiment,
`
`activation/deactivation of the switch causes the device to turn on/off. (Id., 17:55-
`
`59.)
`
`
`
`18
`
`

`

`Attorney Docket No. 50095-0030IP1
`IPR of U.S. Patent No. 10,562,077
`
`
`
`
`VIII. GROUND 1A—Claims 1, 2, 8, 9, and 11 are obvious in view of
`Gundlach and Lee.
`
`A. Overview of Gundlach
`
`26. Gundlach’s disclosure—entitled “WIRELESS HEADSET”—was inspired
`
`by the demand for “wireless technologies” that emerged when the industry sought
`
`to eliminate the burden of “managing the wires” on mobile device peripherals.
`
`(Gundlach, [0003].) But wireless peripherals brought about their own problems—
`
`e.g., “keeping track of [them] and keeping them charged and ready to use.” (Id.,
`
`[0005].) Gundlach set out to address these problems, and did so by providing “a
`
`device that when in [an expanded] configuration . . . becomes a wireless mono or
`
`stereo headset and when in a [collapsed] configuration . . . may be stored and
`
`
`
`19
`
`

`

`Attorney Docket No. 50095-0030IP1
`IPR of U.S. Patent No. 10,562,077
`
`
`charged.” (Id., [0055].) Gundlach’s disclosure includes a variety of embodiments
`
`consistent with the theme of an expandable/collapsible wireless headset having a
`
`“relatively thin shape [that] may allow the headset to be stored and charged in a
`
`portable cradle,” such as “a holder, clip, case or card.” (Id., [0055-0056].)
`
`27. Gundlach describes the basic components of its wireless headset with
`
`reference to a schematic view provided in Figure 1 (below). (See Gundlach,
`
`[0058].) As was conventional at the time, Gundlach’s wireless headset 100
`
`includes a housing 101 for supporting various functional components, including a
`
`microphone 102 and a speaker 105 directing sound through an earpiece 104. (Id.)
`
`The housing 101 further supports “a transceiver 106 for sending and receiving
`
`information 108 from a host device 110, such as a computer, a cell phone or a
`
`media player,” and a power source 111 in the form of a rechargeable battery. (Id.)
`
`
`
`
`
`20
`
`

`

`Attorney Docket No. 50095-0030IP1
`IPR of U.S. Patent No. 10,562,077
`
`
`28. Gundlach’s Figures 2a-2d (below) provide perspective, front, bottom,
`
`and top views of the wireless headset 200, highlighting its compact design.
`
`
`
`29. Figures 3a-3b (below) illustrate the expanded and collapsed states of
`
`Gundlach’s wireless headset 300. In the expanded state (Fig. 3b), an arm 314
`
`carrying the earpiece 304 is pivoted away from the housing via a hinge connection
`
`316, exposing earpiece 304 for insertion within the user’s ear. (Gundlach, [0060];
`
`see also id., [0055-0056].) In the collapsed state (Fig. 3a), the arm 314 is pivoted
`
`back towards the housing, tucking the earpiece 304 back into the housing, which
`
`provides a slim volume envelope for storage and charging. (Id.)
`
`
`
`21
`
`

`

`Attorney Docket No. 50095-0030IP1
`IPR of U.S. Patent No. 10,562,077
`
`
`
`
`30. Gundlach’s disclosure is expansive on the topic of “storage,” noting
`
`broadly at the outset that the wireless headset can be “stored and charged in a
`
`portable cradle,” such as “a holder, clip, case or card.” (Gundlach, [0056].)
`
`Gundlach then goes on to illustrate and describe a variety of exemplary cradle
`
`designs with embedded magnets and/or mechanical elements for retaining the
`
`wireless headset. (E.g., id., [0068], [0073], [0075], Figures 10a-19b.) As one
`
`example, in Figures 18a-18b (below) the “portable cradle” is a clamshell case 1860
`
`that retains the wireless headset 1800 within a contoured recess 1846 in one of two
`
`opposing lids. (Id., [0080].)
`
`
`
`22
`
`

`

`Attorney Docket No. 50095-0030IP1
`IPR of U.S. Patent No. 10,562,077
`
`
`
`
`B. Overview of Lee
`
`31. Lee is entitled “WIRELESS BATTERY CHARGING OF ELECTRONIC
`
`DEVICES SUCH AS WIRELESS HEADSETS/HEADPHONES.” Similar to Gundlach, and
`
`as its title suggests, Lee “relates to wireless battery charging of wireless
`
`headphones/headsets.” (Lee, 3:21-22; see also id., 1:14-29.) And while Gundlach
`
`was more concerned with the physical form factor and envelope of the wireless
`
`headset and charging case, Lee sought improvements relating to energy transfer.
`
`Specifically, Lee recognized that conventional conductive charging techniques
`
`(such as described by Gundlach) “add size [to the wireless headset] by way of the
`
`necessity of connectors and increase the risk of failure via failure of mechanical
`
`components caused by fatigue and corrosion of contact elements.” (Id., 1:62-2:2.)
`
`
`
`23
`
`

`

`Attorney Docket No. 50095-0030IP1
`IPR of U.S. Patent No. 10,562,077
`
`
`In Lee’s words, “[w]hat is needed in the art is a mechanism to re-charge batteries
`
`in wireless headphones/headsets in order to minimize size and weight, maximize
`
`reliability, and improve end user experience.” (Id., 3:17-20.)
`
`32. The basic paradigm of Lee’s solution is illustrated in Figures 5 and 18
`
`(below), where “[t]he power source 200 provides energy via a conductive means
`
`202 to a power adapter 201,” and “[t]he power adapter 201 provides power to the
`
`wireless headphone/headset apparatus 204 via non-conductive means 203,
`
`typically inductive coupling.” (Lee, 3:32-37.) Notably, and consistent with
`
`Gundlach, Lee’s “power adapter” is illustrated in certain embodiments with the
`
`physical form factor of a protective case. (Id., 6:31-38.)
`
`33. Lee provides more detail about the disclosed inductive charging
`
`solution with reference to Figure 12 (below). As shown, energy transferred to the
`
`headset apparatus 460 is received by an energy collection element 465 via
`
`
`
`
`
`24
`
`

`

`Attorney Docket No. 50095-0030IP1
`IPR of U.S. Patent No. 10,562,077
`
`
`inductive coupling 461. (Lee, 4:51-57.) Energy received by collection element
`
`465 is converted from AC voltage to DC voltage by rectifier 464 and filtered using
`
`an energy storage capacitor 469 en route to a battery charging circuit 462 that
`
`provides the proper voltage to the battery 463. (Id., 4:59-5:66.)
`
`34. Recognizing that “audio distortion” may occur when the energy
`
`collection element 465, a speaker transducer coil, is connected to the above-
`
`discussed charging components, Lee provides an isolation switch 470. (Lee, 5:12-
`
`26.) Closing switch 470 places the headset apparatus 460 in a “charging mode”
`
`
`
`
`
`25
`
`

`

`Attorney Docket No. 50095-0030IP1
`IPR of U.S. Patent No. 10,562,077
`
`
`and opening switch 470 places headset apparatus 460 in a “non-charging mode.”
`
`(Id.) Operation of switch 470 occurs either automatically when the power adapter
`
`is “sense[d]” near the headset apparatus 460, or in response to a wireless control
`
`signal from the power adapter. (Id., 5:30-40.)
`
`C. The Gundlach-Lee Combination
`
`35. As I’ve explained (§ VIII.A), Gundlach is focused on providing a
`
`wireless headset that, when not in use, collapses down to a “relatively thin shape”
`
`for storage and charging. (Gundlach, [0055-0056].) Consistent with this theme,
`
`Gundlach teaches a variety of embodiments featuring “a wireless mono or stereo
`
`headset” that is “stored and charged” in a “portable cradle,” such as “a holder, clip
`
`case or card that may fit inside” a slot or cavity “designed into a laptop or cell
`
`phone.” (Id.) While robust on structural aspects of the wireless headset and
`
`storage solutions, Gundlach provides significantly less guidance and
`
`implementation details on the subject of charging. I note a handful of remarks by
`
`Gundlach that “[t]he case may contain . . . charging circuitry” and “electrical
`
`contacts,” but little more. (Gundlach, [0069] (electrical contacts), [0073]
`
`(electrical contacts), [0079] (electrical contacts) [0080] (charging circuitry).) A
`
`POSITA considering Gundlach, and noting its limited disclosure on charging,
`
`would have seen a need for elaboration and description of design options to
`
`implement the charging functionality. A search for supplemental disclosure on
`
`
`
`26
`
`

`

`Attorney Docket No. 50095-0030

This document is available on Docket Alarm but you must sign up to view it.


Or .

Accessing this document will incur an additional charge of $.

After purchase, you can access this document again without charge.

Accept $ Charge
throbber

Still Working On It

This document is taking longer than usual to download. This can happen if we need to contact the court directly to obtain the document and their servers are running slowly.

Give it another minute or two to complete, and then try the refresh button.

throbber

A few More Minutes ... Still Working

It can take up to 5 minutes for us to download a document if the court servers are running slowly.

Thank you for your continued patience.

This document could not be displayed.

We could not find this document within its docket. Please go back to the docket page and check the link. If that does not work, go back to the docket and refresh it to pull the newest information.

Your account does not support viewing this document.

You need a Paid Account to view this document. Click here to change your account type.

Your account does not support viewing this document.

Set your membership status to view this document.

With a Docket Alarm membership, you'll get a whole lot more, including:

  • Up-to-date information for this case.
  • Email alerts whenever there is an update.
  • Full text search for other cases.
  • Get email alerts whenever a new case matches your search.

Become a Member

One Moment Please

The filing “” is large (MB) and is being downloaded.

Please refresh this page in a few minutes to see if the filing has been downloaded. The filing will also be emailed to you when the download completes.

Your document is on its way!

If you do not receive the document in five minutes, contact support at support@docketalarm.com.

Sealed Document

We are unable to display this document, it may be under a court ordered seal.

If you have proper credentials to access the file, you may proceed directly to the court's system using your government issued username and password.


Access Government Site

We are redirecting you
to a mobile optimized page.





Document Unreadable or Corrupt

Refresh this Document
Go to the Docket

We are unable to display this document.

Refresh this Document
Go to the Docket