`
`From:
`Sent:
`To:
`
`Cc:
`Subject:
`
`Day, Jim (19) x4414
`Thursday, December 2, 2021 11:43 AM
`Kenneth Weatherwax; Nathan Lowenstein; Parham Hendifar; Patrick Maloney; Jason
`Linger; Daniel Hipskind; eem@bergerhipskind.com
`Callaway, Daniel (19) x4924; Liaw, Winston (19) x4497
`Cloudflare, Inc. v. Sable Networks, Inc., IPR2021-00909 (USP 8,243,593)
`
`Counsel:
`
`You will have noticed in the recent Institution Decision in this matter (on pages 38 and 39) the Board identified a typo in
`the Petition. To avoid ambiguity, I can confirm that Sections VII.A.8 (addressing claims 17 and 37) and VII.A.9
`(addressing claims 18 and 38) should have been located in Section VII.B because they depend from claims addressed in
`that section of the Petition (i.e., Ground 2 based on Yung and Copeland).
`
`If you have any questions about our contentions regarding claims 17, 18, 37, and 38, please let me know.
`
`-Jim
`
`
`
`Jim Day
`Partner
`jday@fbm.com
`D. 415.954.4414
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`
`235 Montgomery Street 17th FL
`San Francisco, CA 94104
`www.fbm.com
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`1
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`Cloudflare - Exhibit 1102
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