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` UNITED STATES DISTRICT COURT
` WESTERN DISTRICT OF TEXAS
` WACO DIVISION
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`PARKERVISION, INC.
`
`vs.
`
`INTEL CORPORATION
`
`) Docket No. WA 20-CA-108 ADA
`)
`) Waco, Texas
`)
`) September 2, 2020
`
` TRANSCRIPT OF VIDEOCONFERENCE MOTION HEARING
` BEFORE THE HONORABLE ALAN D. ALBRIGHT
`
`APPEARANCES:
`
`Mr. Jason S. Charkow
`Mr. Ronald M. Daignault
`Mr. Chandran B. Iyer
`Goldberg Segalla, LLP
`711 Third Avenue, Suite 1900
`New York, New York 10017
`
`Ms. Stephanie R. Mandir
`Goldberg Segalla, LLP
`Reston Town Center
`11921 Freedom Drive, 5th Floor
`Reston, Virginia 20190
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`Mr. Raymond W. Mort, III
`The Mort Law Firm, PLLC
`100 Congress Avenue, Suite 2000
`Austin, Texas 78701
`
`Mr. James E. Wren, III
`Baylor University Law School
`One Bear Place #97288
`Waco, Texas 76798
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`For the Plaintiff:
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`For the Defendant:
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`LILY I. REZNIK, OFFICIAL COURT REPORTER
`U.S. DISTRICT COURT, WESTERN DISTRICT OF TEXAS (AUSTIN)
`
`StratosAudio Exhibit 2010
`Volkswagen v StratosAudio
`IPR2021-00716
`Page 1 of 23
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`Case 6:20-cv-00108-ADA Document 52 Filed 10/31/20 Page 2 of 23
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`(Appearances Continued:)
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`For the Defendant:
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`Mr. Jason Choy
`Wilmer, Cutler, Pickering,
`Hale and Door, LLP
`350 South Grand Avenue,
`Suite 2400
`Los Angeles, California 90071
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`Ms. Sarah B. Petty
`Mr. Michael Summersgill
`Wilmer, Cutler, Pickering,
`Hale and Door, LLP
`60 State Street
`Boston, Massachusetts 02109
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`Court Reporter:
`
`
`Ms. Lily Iva Reznik, CRR, RMR
`501 West 5th Street, Suite 4153
`Austin, Texas 78701
`(512)391-8792
`
`Proceedings reported by computerized stenography,
`transcript produced by computer-aided transcription.
`
`LILY I. REZNIK, OFFICIAL COURT REPORTER
`U.S. DISTRICT COURT, WESTERN DISTRICT OF TEXAS (AUSTIN)
`
`StratosAudio Exhibit 2010
`Volkswagen v StratosAudio
`IPR2021-00716
`Page 2 of 23
`
`
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`Case 6:20-cv-00108-ADA Document 52 Filed 10/31/20 Page 3 of 23
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`THE COURT: Good afternoon.
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`MR. WREN: Good afternoon, your Honor.
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`THE COURT: Suzanne, would you be so kind --
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`MR. DAIGNAULT: Good afternoon, Judge.
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`THE COURT: Would you call the case, please?
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`THE CLERK: Sure.
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`Motion hearing in Civil Action W-20-CV-108,
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`styled, ParkerVision, Incorporated vs. Intel Corporation.
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`THE COURT: If I could hear from counsel of
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`record, please, starting with the plaintiff, whoever will
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`be speaking during this hearing.
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`MR. DAIGNAULT: Good afternoon, your Honor.
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`This is Ron Daignault from Goldberg Segalla for
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`the Plaintiff ParkerVision. And with me today are also
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`Jeff Parker, the CEO of ParkerVision, along with Chandran
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`Iyer, Jason Charkow, Ray Mort and Stephanie Mandir.
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`THE COURT: Welcome to all of you, especially
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`your client. I appreciate him taking the time to attend.
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`MR. PARKER: Thank you. Good afternoon.
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`MR. WREN: Your Honor, Jim Wren here for Intel.
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`I want to introduce from Wilmer Hale, Michael Summersgill,
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`Jason Choy and Sarah Petty. I also want to introduce from
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`Intel, Kim Schmitt, Brad Waugh and Lien Dang.
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`And, your Honor, conspicuously missing in action
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`today is Steve Ravel, who encountered a hopefully brief
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`LILY I. REZNIK, OFFICIAL COURT REPORTER
`U.S. DISTRICT COURT, WESTERN DISTRICT OF TEXAS (AUSTIN)
`
`StratosAudio Exhibit 2010
`Volkswagen v StratosAudio
`IPR2021-00716
`Page 3 of 23
`
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`Case 6:20-cv-00108-ADA Document 52 Filed 10/31/20 Page 4 of 23
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`health issue this week and for whom I am subbing in. Mr.
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`Ravel is doing well, sends his regards to the Court and
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`opposing counsel.
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`And Mr. Summersgill will be taking the lead for
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`Intel today, and then, I'll join in on some brief points.
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`THE COURT: We missed Mr. Ravel yesterday, as
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`well. So I hope he is -- let him know, I hope he's
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`feeling better.
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`MR. WREN: I will. Thank you, Judge.
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`THE COURT: Okay. Let me tell you part of the
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`reason -- the primary reason I set this. We have done a
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`lot of work already on this motion. I think we feel like
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`we're in pretty good shape, generally speaking, on what
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`you all submitted. The briefs as usual are terrific. But
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`what I don't know is -- other than every other citizen in
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`the United States is what the current status is of the
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`courts in Oregon.
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`And I think it is -- I would like to hear first,
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`I guess, from the defendants since it's their motion to
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`transfer. I'd like to hear first whether or not counsel
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`knows what the current situation is regarding the docket
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`of the federal court where you're seeking this to be
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`transferred to and the impact. I don't know -- I feel
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`kind of ignorant other than seeing the news. But it seems
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`to me as a casual observer that with a hundred nights in a
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`LILY I. REZNIK, OFFICIAL COURT REPORTER
`U.S. DISTRICT COURT, WESTERN DISTRICT OF TEXAS (AUSTIN)
`
`StratosAudio Exhibit 2010
`Volkswagen v StratosAudio
`IPR2021-00716
`Page 4 of 23
`
`
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`Case 6:20-cv-00108-ADA Document 52 Filed 10/31/20 Page 5 of 23
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`row of protests and violence, that that has to have had
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`some impact on the judiciary and what's happening in
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`Portland. But I could be totally wrong. That might just
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`be surmise on my side.
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`So what I'd like to hear if counsel from either
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`side knows, and I'll start with counsel for defendant who
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`is the movant, if you know whether or not the -- what the
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`status of the federal courts are and how the last 100 days
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`or longer has impacted what they're doing with their civil
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`docket.
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`MR. SUMMERSGILL: Your Honor, this is Michael
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`Summersgill.
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`Thank you for holding the hearing. And the way
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`Mr. Wren and I had divided the issues is that I was going
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`to focus more on the private interest factors, and he was
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`going to focus on the public interest factors. But I have
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`spent a fair amount of time in Portland, so I thought I'd
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`like a crack at this. And then, if Mr. Wren has
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`additional thoughts, he could add them.
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`That the court up in Portland is one that we've
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`been before a number of times. There are currently 14
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`patent cases pending up there. So it's a relatively light
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`load. The judges up there are very experienced with
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`patent cases, though, despite the relatively light load.
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`I'm not aware of the protests having any impact
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`LILY I. REZNIK, OFFICIAL COURT REPORTER
`U.S. DISTRICT COURT, WESTERN DISTRICT OF TEXAS (AUSTIN)
`
`StratosAudio Exhibit 2010
`Volkswagen v StratosAudio
`IPR2021-00716
`Page 5 of 23
`
`
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`Case 6:20-cv-00108-ADA Document 52 Filed 10/31/20 Page 6 of 23
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`right now on the judiciary. Now I can't say for certain
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`that it hasn't had any impact at all, your Honor, but I
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`will say this, that for whatever reason, periodically
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`there have been flare-ups like that up in Portland even
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`before these most recent through the COVID-related unrest.
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`And in fact, even when I have been there for hearings in
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`other cases, that it has had no impact on the judiciary,
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`and I think, in part, it's because they tend to happen in
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`locations that are well away from the court.
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`So it is a jurisdiction that we're very familiar
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`with that we've litigated in, that Intel has litigated in
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`before, and that we're in touch with folks in that
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`jurisdiction and not aware of any disruptions relating to
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`the protests.
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`THE COURT: And can you give me an idea from --
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`with regard to the whatever -- I was going to use the word
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`"handful." Whatever -- I think you said 14, whatever,
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`whatever the number is of patent cases you have any
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`personal experience or general understanding specifically
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`about in terms of how quickly they get things done on
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`patent cases.
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`We always have all these, you know, metrics and
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`we've got Oregon, we've got districts. But I feel much
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`more -- for example, I know when people cite numbers for
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`the Western District of Texas, that doesn't necessarily --
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`LILY I. REZNIK, OFFICIAL COURT REPORTER
`U.S. DISTRICT COURT, WESTERN DISTRICT OF TEXAS (AUSTIN)
`
`StratosAudio Exhibit 2010
`Volkswagen v StratosAudio
`IPR2021-00716
`Page 6 of 23
`
`
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`Case 6:20-cv-00108-ADA Document 52 Filed 10/31/20 Page 7 of 23
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`is not necessarily accurate, for example, the Waco
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`Division. So any information you have that you could put
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`on the record with respect to how quickly things move
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`where you're seeking this litigation be transferred to
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`with regards specifically to patent litigation would be
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`helpful.
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`MR. SUMMERSGILL: Yes, your Honor.
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`And I don't know if Mr. Wren has the specific
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`metrics, but I agree with your Honor that sometimes the --
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`for the general metrics aren't quite accurate. I think
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`the general metrics for Portland are quite fast. Now, in
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`our experience, the patent litigations up in Portland have
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`moved very expeditiously. Trial somewhere between, you
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`know, 24 to 30 months out from the complaint.
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`Again, they don't have the same type of load of
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`patent cases, but they have extensive experience with
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`patent cases and move them along quite quickly. And then,
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`I've had two recent cases there in both -- and I don't
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`remember the specific numbers, your Honor, but trial was
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`set roughly 24 to 28 months after the complaint.
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`THE COURT: So at least from your experience,
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`your personal experience, your anecdotal experience, which
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`is important, it's a relatively -- in a normal patent
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`case, it's a -- it's 24 to whatever number of months.
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`Twenty-four to 30 months would probably be a fair average?
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`LILY I. REZNIK, OFFICIAL COURT REPORTER
`U.S. DISTRICT COURT, WESTERN DISTRICT OF TEXAS (AUSTIN)
`
`StratosAudio Exhibit 2010
`Volkswagen v StratosAudio
`IPR2021-00716
`Page 7 of 23
`
`
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`Case 6:20-cv-00108-ADA Document 52 Filed 10/31/20 Page 8 of 23
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`MR. SUMMERSGILL: Yes, your Honor.
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`THE COURT: Okay.
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`MR. WREN: And, your Honor, if I might join in,
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`it's essentially the same, but when I looked that up on
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`Docket Navigator yesterday, the time to trial on patent
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`cases was essentially equivalent to what's already been
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`quoted to the Court in the briefing for the cases to trial
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`generally, and it was falling in that 24-month category.
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`THE COURT: Okay. Very good.
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`If I could hear from counsel for the plaintiff
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`with respect to initial question about if you have any
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`personal, anecdotal, something you think is inaccurate
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`with respect to what's happening with regard to litigation
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`in federal courts in the Portland area where transfer is
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`sought.
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`It is Portland, right? It's being sought to be
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`transferred to Portland, I think?
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`MR. SUMMERSGILL: That's correct, your Honor.
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`THE COURT: Okay. If the plaintiff would like to
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`-- if the plaintiff has any relevant knowledge they would
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`like to impart to the Court, I welcome it.
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`MR. DAIGNAULT: No, your Honor. We don't have
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`any specific evidence in how the Portland court is
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`functioning, given, you know, what's going on in Portland
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`these days both with the -- you know, the unrest but,
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`LILY I. REZNIK, OFFICIAL COURT REPORTER
`U.S. DISTRICT COURT, WESTERN DISTRICT OF TEXAS (AUSTIN)
`
`StratosAudio Exhibit 2010
`Volkswagen v StratosAudio
`IPR2021-00716
`Page 8 of 23
`
`
`
`Case 6:20-cv-00108-ADA Document 52 Filed 10/31/20 Page 9 of 23
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`also, with the coronavirus.
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`I do know, for example, in Delaware, not Oregon
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`obviously, but in Delaware, it's taking us about six to
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`nine months before you even get a CMC conference. So one
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`concern that we have is that if this case is, in fact,
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`transferred to Oregon, it may be a while before you even
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`get in front of a judge.
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`Again, we have nothing specific to offer in that
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`regard, but we do share the Court's concerns about that.
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`And in this case, your Honor, we already have a claim
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`construction hearing scheduled for January, a trial date
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`February 7, '22, which actually is about 24 months from
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`when we filed the case. So according to our studies, your
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`Honor, and the information we provided in our declaration
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`and in the brief, the median time for trial in Oregon is
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`25 months while the Western District was the 24.6 months.
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`You know, six -- a slight difference.
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`But also, to pick up on your Honor's comment, I
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`don't believe that takes into consideration the Waco
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`Division's operation and the fact that we now have a trial
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`set for February 7, '22. So even if this case were
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`transferred to Oregon, we believe that it's highly
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`unlikely that we will get a trial date any earlier than
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`that February date in '22.
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`THE COURT: Understood.
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`LILY I. REZNIK, OFFICIAL COURT REPORTER
`U.S. DISTRICT COURT, WESTERN DISTRICT OF TEXAS (AUSTIN)
`
`StratosAudio Exhibit 2010
`Volkswagen v StratosAudio
`IPR2021-00716
`Page 9 of 23
`
`
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`Case 6:20-cv-00108-ADA Document 52 Filed 10/31/20 Page 10 of 23
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`So all -- I'm sorry. Did someone else want to
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`comment?
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`MR. SUMMERSGILL: Your Honor, this is -- go
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`ahead.
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`MR. MORT: Your Honor, this is Ray Mort.
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`I'm just looking here on my -- on some of the
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`numbers. Of the 15 cases, it looks like half of them in
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`Oregon were filed in 2017, one of them 2018. I just
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`looked at one of them in 2017, they're still in discovery.
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`I think if your Honor would want more information, we
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`could pull the data for these cases and pull the
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`scheduling orders and what's happened in that -- this
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`would be helpful to the Court, we could do that.
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`THE COURT: Yeah. I think this is, given the
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`representation -- and, Mr. Summersgill, I'll let you speak
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`in just one second.
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`I think given Mr. Summersgill's representation
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`that -- of how quickly he believes cases are getting to
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`trial, getting through Markman, and then, getting through
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`trial, Mr. Mort, if you have any more -- or whoever for
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`plaintiff, if you have any more granular information and
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`you can get it to the Court, we're working on this right
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`now. I don't know if we'll get it out immediately, but I
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`know that we're focused on this motion and that's why I
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`asked for this hearing to be set.
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`LILY I. REZNIK, OFFICIAL COURT REPORTER
`U.S. DISTRICT COURT, WESTERN DISTRICT OF TEXAS (AUSTIN)
`
`StratosAudio Exhibit 2010
`Volkswagen v StratosAudio
`IPR2021-00716
`Page 10 of 23
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`Case 6:20-cv-00108-ADA Document 52 Filed 10/31/20 Page 11 of 23
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`But, Mr. Mort, if you could get that to us, say,
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`by the end of the workweek, obviously share it with Mr.
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`Summersgill and team, and if there's anything they would
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`like any rebuttal evidence, for lack of a word, or -- what
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`I'm anticipating, Mr. Mort, is you just getting to us the
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`actual documents themselves that would allow us, the
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`Court, to figure out a better idea of what the lay of the
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`land is in Portland.
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`But certainly, Mr. Summersgill, if and when you
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`get the information from Mr. Mort and the plaintiffs, if
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`you feel that it doesn't provide the Court a full picture
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`of what's happening there, I'd certainly invite you -- I
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`certainly want you to have an opportunity to give me the
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`full picture. And so, why don't we do this.
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`Mr. Mort, if you could get to me -- it's
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`Wednesday -- by at the end of the week, by the end of the
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`workday Friday, whatever you're going to submit, obviously
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`provide it to counsel for defendant. I'll wait. I'm not
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`going to formally state anything, but I'll give the
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`defendant through the end of the day Tuesday to supplement
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`you all's record to make sure I have an accurate picture
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`of what's happening procedurally in Portland.
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`Mr. Summersgill, let me start with -- Mr. Mort,
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`does that give you sufficient time?
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`MR. MORT: Absolutely.
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`LILY I. REZNIK, OFFICIAL COURT REPORTER
`U.S. DISTRICT COURT, WESTERN DISTRICT OF TEXAS (AUSTIN)
`
`StratosAudio Exhibit 2010
`Volkswagen v StratosAudio
`IPR2021-00716
`Page 11 of 23
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`Case 6:20-cv-00108-ADA Document 52 Filed 10/31/20 Page 12 of 23
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`THE COURT: And, Mr. Summersgill, does that give
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`defendants sufficient time?
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`MR. SUMMERSGILL: Yes, your Honor.
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`THE COURT: Okay. So that being said, why don't
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`we do this and I -- y'all may have gotten more inspired
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`and more ready for this hearing than what I needed to get
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`done today, and if so, I apologize because I have another
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`hearing I've gotta take up. We covered what I really care
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`about.
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`I also think that having the additional
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`information, Mr. Mort, addressed -- I think that's going
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`to be an important issue in this particular motion. Maybe
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`more so than -- I think it will be because it is a
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`different can of worms than my ordinary transfer to
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`northern California, which I'm pretty aware of the delta
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`in that situation.
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`So I would feel more comfortable having that
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`additional information because I think it really may make
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`a difference in this case. And so, what I would propose
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`we do and since I get to propose and decide that's what
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`we'll do both, but at least because their client's on
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`board, I don't want them to think I'm too much of a flake.
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`I think having the additional information would
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`be better, and we'll reset this hearing for next -- end of
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`next week, Thursday or -- Wednesday, Thursday or Friday,
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`LILY I. REZNIK, OFFICIAL COURT REPORTER
`U.S. DISTRICT COURT, WESTERN DISTRICT OF TEXAS (AUSTIN)
`
`StratosAudio Exhibit 2010
`Volkswagen v StratosAudio
`IPR2021-00716
`Page 12 of 23
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`Case 6:20-cv-00108-ADA Document 52 Filed 10/31/20 Page 13 of 23
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`once I have the information and we can assess it.
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`Whatever you've done to prepare for today, I'll be happy
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`to take up next week. But I also may have -- you should
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`also come prepared, if you want to, to be able to, you
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`know, to talk about what's happening in Portland.
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`I think -- I do think it's very important to make
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`sure that the plaintiff gets essentially -- as one of the
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`factors, gets essentially the same track towards trial
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`they might get here, but that's just one of the factors.
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`And I'll hear about the other factors, as well.
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`All that being said, I'll start with Mr.
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`Summersgill, if there's anything you just absolutely feel
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`compelled that you were prepared to say today that you
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`think I couldn't live without hearing and my life would be
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`better if I heard it today, I'm happy to hear it from you,
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`and then, I'll make -- I'll give the same invitation to
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`the plaintiff.
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`MR. SUMMERSGILL: Your Honor, I just wanted to
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`THE COURT: Okay.
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`MR. SUMMERSGILL: In response to comments, which
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`one of my colleagues pointed out to me that Exhibit 35 to
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`our papers are the Lex Machina time to trial results and
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`that the median time to trial in Oregon since 2000 is 22
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`months, which is consistent with my experience. And my
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`LILY I. REZNIK, OFFICIAL COURT REPORTER
`U.S. DISTRICT COURT, WESTERN DISTRICT OF TEXAS (AUSTIN)
`
`StratosAudio Exhibit 2010
`Volkswagen v StratosAudio
`IPR2021-00716
`Page 13 of 23
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`Case 6:20-cv-00108-ADA Document 52 Filed 10/31/20 Page 14 of 23
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`experience, as I said, are the cases we've been involved
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`with have been a little bit more complicated than the
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`average case, so it's been more like 24 to 28 months.
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`That's point number one.
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`Point number two is, you know, Mr. Daignault
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`referred to the fact that sometimes you have to wait in
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`Delaware six, seven, eight months for a status conference.
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`That's been our experience in Delaware, as well, and I
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`think the reason for that is just because there are so
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`many cases filed there. That's not been our experience in
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`Portland. The judges set status conferences quite
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`quickly, in my experience, and set out the rules of the
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`expeditiously and efficiently.
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`THE COURT: Then why don't -- I'll slightly
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`modify. Thank you for that information. I don't -- like
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`I said, I'm not quite as granular on the exhibits. I've
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`So with that as a starting point, Mr. Mort, I
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`would look at the exhibit number. I think Mr. Summersgill
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`said 33 that they've done. If you believe there are any
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`-- if you believe there's any additional information you
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`need to add to supplement what the defendant has done in
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`that regard with respect to information about time to
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`trial, time to status conference, whatever, please feel
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`LILY I. REZNIK, OFFICIAL COURT REPORTER
`U.S. DISTRICT COURT, WESTERN DISTRICT OF TEXAS (AUSTIN)
`
`StratosAudio Exhibit 2010
`Volkswagen v StratosAudio
`IPR2021-00716
`Page 14 of 23
`
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`Case 6:20-cv-00108-ADA Document 52 Filed 10/31/20 Page 15 of 23
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`free to do that by at the end of Friday.
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`If Mr. Summersgill and team feel there's
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`additional information that the Court would want to have,
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`get that to us by the end of the day Tuesday next week,
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`and we will set a hearing by the end of next week on this
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`motion. And at least for right now, my plan would be to
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`-- at least we won't have anything written, but I'll come
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`into the hearing ready, pretty armed to get through it,
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`and I would anticipate you all will get a decision -- an
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`oral decision at the end of the hearing. So we're not
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`losing that much time.
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`I just -- I really wanted to hear the information
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`about what's going on in Portland right now because what's
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`in the news, and I had no other source for that.
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`So is there anything else -- I'll start with the
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`plaintiff -- that you all would like to take up before we
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`break today? Anything that would be helpful to put me on
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`notice of before I have the hearing or anything like that?
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`MR. DAIGNAULT: One more point, your Honor, on
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`the court statistics.
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`THE COURT: Yes, sir.
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`MR. DAIGNAULT: We pointed out in our brief that
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`83 percent of the patent cases in Oregon are stayed when
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`an IPR is filed. While that statistic for Western
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`District is 30 percent and obviously in Waco, percentage
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`LILY I. REZNIK, OFFICIAL COURT REPORTER
`U.S. DISTRICT COURT, WESTERN DISTRICT OF TEXAS (AUSTIN)
`
`StratosAudio Exhibit 2010
`Volkswagen v StratosAudio
`IPR2021-00716
`Page 15 of 23
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`Case 6:20-cv-00108-ADA Document 52 Filed 10/31/20 Page 16 of 23
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`is even less, if not, you know.
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`THE COURT: Zero.
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`MR. DAIGNAULT: Zero.
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`THE COURT: Zero is less.
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`MR. DAIGNAULT: Right.
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`And the point they made in their reply brief, I
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`believe, is Intel said, well, we're not going to file a
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`motion for a stay. You know, that may be their present
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`thinking now. But even if that is the case, obviously a
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`district court judge has the ability to sua sponte invite
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`a motion to stay or even grant a stay.
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`So that -- in addition to congestion or speed to
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`trial issues we're talking about, we are also concerned
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`about the IPR situation and the 83 percent of staying
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`cases in Oregon because Intel has informed us that they do
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`intend to file IPRs on all of the patents in the case, and
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`they've already filed one. So, you know, I just wanted to
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`address the point they made in their reply about we're not
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`going to file a motion for stay. Again, that may be the
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`case, but that doesn't mean that the district court itself
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`in Oregon could not do that when he or she --
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`THE COURT: Well, let me, then, tell you all
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`this. That's a good thing to know not because it sways me
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`one way or the other, but it does -- I'm not sure I'll
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`still remember we had this conversation by the end of next
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`LILY I. REZNIK, OFFICIAL COURT REPORTER
`U.S. DISTRICT COURT, WESTERN DISTRICT OF TEXAS (AUSTIN)
`
`StratosAudio Exhibit 2010
`Volkswagen v StratosAudio
`IPR2021-00716
`Page 16 of 23
`
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`Case 6:20-cv-00108-ADA Document 52 Filed 10/31/20 Page 17 of 23
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`week. There will be a lot of hearings.
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`But if I don't ask you this, Mr. Wren, I'll put
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`it on you. Ordinarily it will be Mr. Ravel, but he's MIA.
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`But someone needs to remind me. I certainly understand
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`the point that you just made. What I am unaware of is, at
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`least as of right now, whether or not the potential, or
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`even the likelihood, that the Court to which a case might
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`be sent might stay it.
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`Does that have -- should that be considered by me
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`or not? And so, I certainly understand the impact of the
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`statistic that you just gave. I'm not certain I've seen
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`any law that tells me I'm supposed to bake that into my
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`decision about whether or not to transfer cases. I am
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`very aware of what I've done with regard to staying cases
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`on IPR.
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`So y'all don't need to do any additional briefing
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`on that. But it would be fascinating to me for you all if
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`there is -- if there are any cases out there, if there
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`aren't any cases but should be, if philosophically that
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`should be an important consideration in terms of whether
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`or not the Court transfers a case, I would certainly -- I
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`would invite lawyers of this caliber to come next week and
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`help me get that right. Because maybe that's a question
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`that should be asked. I don't -- I don't know if it
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`should be or not, but it certainly, from my perspective,
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`LILY I. REZNIK, OFFICIAL COURT REPORTER
`U.S. DISTRICT COURT, WESTERN DISTRICT OF TEXAS (AUSTIN)
`
`StratosAudio Exhibit 2010
`Volkswagen v StratosAudio
`IPR2021-00716
`Page 17 of 23
`
`
`
`Case 6:20-cv-00108-ADA Document 52 Filed 10/31/20 Page 18 of 23
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`having practiced patent litigation for 20 years, certainly
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`seems like it should be something that's relevant, but
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`maybe it's not.
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`But I will be -- I will certainly be prepared to
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`hear that argument next week. Primarily of whether or not
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`I can, slash, or should take that into consideration.
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`Anything else from the plaintiff?
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`MR. DAIGNAULT: No, your Honor.
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`THE COURT: Mr. Summersgill?
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`MR. SUMMERSGILL: Your Honor, just to correct one
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`thing factually. We have not informed the plaintiffs that
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`we intend to file IPRs on all the patents; and in fact, we
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`don't. And in my experience, I have yet to have a judge
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`sua sponte stay a case that where I wanted it stayed. So
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`maybe Mr. Daignault's experience has been a little bit
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`different. We'll certainly come prepared next week to
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`address that.
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`THE COURT: Well, again, Mr. Summersgill, I am
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`more on the level of whether or not it should or should
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`not happen. But to the extent -- but I'm on his team in
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`terms of knowing that it does happen. And so -- because I
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`have seen -- you know, I understand that there are certain
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`judges who would prefer to stay patent cases. There's
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`certain judges who would prefer to transfer patent cases.
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`They don't have the affliction other judges do of actually
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`LILY I. REZNIK, OFFICIAL COURT REPORTER
`U.S. DISTRICT COURT, WESTERN DISTRICT OF TEXAS (AUSTIN)
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`StratosAudio Exhibit 2010
`Volkswagen v StratosAudio
`IPR2021-00716
`Page 18 of 23
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`Case 6:20-cv-00108-ADA Document 52 Filed 10/31/20 Page 19 of 23
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`enjoying patent cases, and so, I know that happens.
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`But let me make clear on the record that that
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`happens, I don't know is something that would be an
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`appropriate consideration for me to make. And that's
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`really what I'll care about next week is h