`WESTERN DISTRICT OF TEXAS
`WACO DIVISION
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`INGENIOSHARE, LLC,
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`Plaintiff,
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`v.
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`EPIC GAMES, INC.,
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`Defendant.
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`Civil Action No. 6:21-cv-00663-ADA
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`PLAINTIFF’S PRELIMINARY INFRINGEMENT CONTENTIONS
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`Pursuant to the Court’s Order Governing Proceedings – Patent Cases, Plaintiff
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`IngenioShare, LLC hereby provides its Preliminary Infringement Contentions to Defendant.
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`These infringement contentions are based upon publicly available information. The
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`references contained in the appended claim chart are intended to be exemplary rather than
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`exhaustive. Furthermore, certain technical information concerning the Accused Instrumentalities
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`is not publicly available. Such technical information may provide additional support for
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`Plaintiff’s infringement contentions. Plaintiff reserves the right to amend its infringement
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`contentions and asserted claims as discovery progresses based, for example, upon information
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`obtained through discovery or in response to claim-construction rulings in this case or in any
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`related case.
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`As shown in the appended charts, Plaintiff asserts that Defendant infringes the following
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`claims: claims 1, 2, 3, 6, 7, 8, 9, and 15-17 of U.S. Patent No. 10,708,727 (Claim Chart attached
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`hereto as Exhibit A); claims 7-12, 22-24, and 33-62, 64, 65, and 67 of U.S. Patent No.
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`Epic Games Ex. 1012
`Page 1
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`
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`10,492,038 (Claim Chart attached hereto as Exhibit B); Claims 1-6, 11-15, 17, 19, and 20 of U.S.
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`Patent No. 10,142,810 (Claim Chart attached hereto as Exhibit C); and claims 53, 54, and 56 of
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`U.S. Patent No. 8,744,407 (Claim Chart attached hereto as Exhibit D).
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`All asserted claims are entitled to an effective filing date of June 10, 2005. All asserted
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`claims are also entitled to a priority date from conception and/or reduction to practice of at least
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`as early as April 27, 2005.
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`Plaintiff produces herewith documents numbered IS 000001-IS 001676, which includes a
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`copy of the file histories for the asserted patents and all documents evidencing conception and
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`reduction to practice for each claimed invention currently known to Plaintiff. Should Plaintiff
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`later discover additional documents evidencing conception or reduction to practice, it will
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`supplement its production accordingly.
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`This 16th day of September, 2021.
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`/s/ Cortney S. Alexander
`Stephen R. Risley
`steverisley@kentrisley.com
`Tel: (404) 585-2101
`Cortney S. Alexander
`cortneyalexander@kentrisley.com
`Tel: (404) 855-3867
`KENT & RISLEY LLC
`5755 N Point Pkwy Ste 57
`Alpharetta, GA 30022
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`Attorneys for Plaintiff
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`Epic Games Ex. 1012
`Page 2
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`CERTIFICATE OF SERVICE
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`The undersigned hereby certifies that Plaintiff’s Preliminary Infringement Contentions
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`and Document Production Accompanying Disclosure was served on Defendant’s counsel of
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`record via-email this 16th day of September, 2021.
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`/s/ Cortney S. Alexander
`Cortney S. Alexander
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`Epic Games Ex. 1012
`Page 3
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