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`BEFORE THE PATENT TRIAL AND APPEAL BOARD
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`MICROSOFT CORPORATION,
`Petitioner
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`v.
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`DAEDALUS BLUE, LLC,
`Patent Owner
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`
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`Case No. IPR2021-00832
`U.S. Patent No. 8,381,209
`Original Issue Date: February 19, 2013
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`Title: MOVEABLE ACCESS CONTROL LIST (ACL) MECHANISMS FOR
`HYPERVISORS AND VIRTUAL MACHINES AND VIRTUAL PORT
`FIREWALLS
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`DECLARATION OF JARED BOBROW IN SUPPORT OF PETITIONER’S
`MOTION FOR ADMISSION PRO HAC VICE
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`Microsoft Ex. 1048, p. 1
`Microsoft v. Daedalus Blue
`IPR2021-00832
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`I, Jared Bobrow, hereby declare as follows:
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`1.
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`I am a member in good standing of the State Bar of California. I
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`was admitted to the California State Bar on June 16, 1988. My California Bar
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`membership number is 133712. I am admitted to practice before the District
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`Courts of the Northern, Central, Southern and Eastern Districts of California,
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`and the Eastern District of Texas. I am also admitted to practice before the
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`California State Supreme Court and the U.S. Courts of Appeals for the Federal
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`Circuit, Ninth Circuit, and First Circuit. Since 1988, I have practiced in the field
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`of civil litigation. For over 30 years, my practice has been focused on the field
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`of intellectual property, particularly patent litigation.
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`2.
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`I have never been suspended or disbarred from practice before any
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`court or administrative body.
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`3.
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`I have never had a court or administrative body deny my application
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`for admission to practice.
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`4.
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`I have never had any sanctions or contempt citations imposed on me
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`by any court or administrative body.
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`5.
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`I have read and will comply with the Office Patent Trial Practice
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`Guide and the Board’s Rules of Practice for Trials set forth in part 42 of 37
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`C.F.R.
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`Microsoft Ex. 1048, p. 2
`Microsoft v. Daedalus Blue
`IPR2021-00832
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`6.
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`I agree to be subject to the United States Patent and Trademark
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`Office Rules of Professional Conduct set forth in 37 C.F.R. §§ 11.101 et seq., and
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`disciplinary jurisdiction under 37 C.F.R. § 11.19(a).
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`7.
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`I have applied, and have been admitted by the office, to appear pro hac
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`vice before the office in the following proceedings in the past three years:
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`(a)
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`Zscaler Inc. v. Symantec Corporation (admitted as back-up counsel on
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`February 22, 2019):
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`IPR2018-00912
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`IPR2018-00913
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`(b) Micron Technology, Inc. v. North Star Innovations, Inc. (admitted as
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`back-up counsel on March 19, 2019):
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`IPR2018-00989
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`IPR2018-00998
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`IPR2018-00999
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`IPR2018-01000
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`IPR2018-01004
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`IPR2018-01005
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`Microsoft Ex. 1048, p. 3
`Microsoft v. Daedalus Blue
`IPR2021-00832
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`(c)
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`Zscaler Inc. v. Symantec Corporation (admitted as back-up counsel on
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`May 2, 2019):
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`IPR2018-00920
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`IPR2018-00929
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`(d) Micron Technology, Inc. v. SecureWave Storage Solutions, Inc.
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`(admitted as back-up counsel on June 4, 2019):
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`IPR2019-00932
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`(e) PayPal, Inc. v. IOENGINE, LLC (admitted as back-up counsel on July
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`18, 2019):
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`IPR2019-00884
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`IPR2019-00885
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`IPR2019-00886
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`IPR2019-00887
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`(f)
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`Zscaler Inc. v. Symantec Corporation (admitted as back-up counsel on
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`August 1, 2019):
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`IPR2018-00916
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`(g)
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`Stripe, Inc., Shopify Inc., and Shopify (USA) Inc. v. Boom! Payments,
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`Inc. (admitted as back-up counsel on January 21, 2020):
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`CBM2020-00002
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`CBM2020-00003
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`Microsoft Ex. 1048, p. 4
`Microsoft v. Daedalus Blue
`IPR2021-00832
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`CBM2020-00004
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`(h) Micron Technology, Inc. v. Godo Kaisha IP Bridge 1 (admitted as back-
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`up counsel on December 7, 2020):
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`IPR2020-01007
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`IPR2020-01008
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`IPR2020-01009
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`(i) Micron Technology, Inc. v. Flash-Control, LLC (admitted as back-up
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`counsel on April 21, 2021):
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`IPR2020-01709
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`IPR2020-01710
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`I have also applied to appear pro hac vice before the office in the following
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`proceedings in the past three years. These proceedings were denied institution or
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`terminated before my application for admission pro hac vice was decided.
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`(j)
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`PayPal, Inc. v. IOENGINE, LLC (applied to appear on June 7, 2019)
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`IPR2019-00906
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`IPR2019-00907
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`IPR2019-00930
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`IPR2019-00931
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`(k) Oracle Corporation and Oracle America, Inc. v. Teleputers, LLC
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`(applied to appear on December, 16, 2020)
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`Microsoft Ex. 1048, p. 5
`Microsoft v. Daedalus Blue
`IPR2021-00832
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`IPR2021-00078
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`I am also concurrently applying to appear pro hac vice before this office in
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`the following related proceedings.
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`IPR2021-00830
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`IPR2021-00831
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`8.
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`I am an experienced litigation attorney, with particular experience in
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`patent infringement litigations in District Courts across the country, including
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`experience with fact and expert deposition discovery, claim construction, Markman
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`hearings, motion practice, trials, and hearings.
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`9.
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`I am familiar with the subject matter at issue in this proceeding and in
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`the related litigation in the United States District Court for the Western District of
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`Texas, in which U.S. Patent No. 8,381,209 has been asserted by the Patent Owner,
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`Daedalus Blue, LLC v. Microsoft Corporation, Case No. 6:20-cv-01152-ADA
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`(W.D. Tex., filed Dec. 16, 2020). I also am familiar with the prior art raised in this
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`IPR proceeding, including: U.S. Patent Publication No. 2007/0079307 to Dhawan et
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`al. (Ex. 1005, “Dhawan”), Clark et al., Live Migration of Virtual Machines (Ex.
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`1006, “Clark”), Warfield et al., Isolation of Shared Network Resources in
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`XenoServers (Ex. 1007, “Warfield”), and U.S. Patent No. 8,107,370 to Chandika et
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`al. (Ex. 1008, “Chandika”). I have reviewed the papers filed in this IPR proceeding
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`and in the related district court proceeding.
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`Microsoft Ex. 1048, p. 6
`Microsoft v. Daedalus Blue
`IPR2021-00832
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`10.
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`I declare that all statements made herein of my own knowledge are true
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`and correct and that all statements made on information and belief are believed to be
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`true, and further that these statements were made with the knowledge that willful
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`false statements and the like so made are punishable by fine or imprisonment, or
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`both, under Section 1001 of Title 18 of the United States Code.
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`
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`Dated: August 26, 2021
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`/Jared Bobrow/
`Jared Bobrow
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`Microsoft Ex. 1048, p. 7
`Microsoft v. Daedalus Blue
`IPR2021-00832
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