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`BEFORE THE PATENT TRIAL AND APPEAL BOARD
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`ASSA ABLOY AB, ASSA ABLOY INC., ASSA ABLOY RESIDENTIAL
`GROUP, INC., AUGUST HOME, INC., HID GLOBAL CORPORATION,
`ASSA ABLOY GLOBAL SOLUTIONS, INC.,
`Petitioner,
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`v.
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`CPC PATENT TECHNOLOGIES PTY LTD.,
`Patent Owner.
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`Case IPR2022-01094
`Patent 8,620,039
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`JOINT NOTICE OF STIPULATION REGARDING MODIFICATION OF
`DUE DATES 1, 2, AND 3
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`Patent Owner and Petitioner, by and through their respective counsel of
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`record, have stipulated as follows:
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`1.
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`On February 2, 2023, the Patent Trial and Appeal Board issued a
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`Scheduling Order in this proceeding, setting forth due dates for the parties to take
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`action in this trial.
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`2.
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`The Scheduling Order provided that the “parties may stipulate
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`different dates for DUE DATES 1, 5, and 6, as well as the portion of DUE DATE
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`2 related to Petitioner’s reply (earlier or later, but no later than DUE DATE 3 for
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`Patent Owner’s sur-reply) and the portion of DUE DATE 3 related to Patent
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`Owner’s sur-reply (earlier or later, but no later than DUE DATE 7).” (Paper 21 at
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`8.)
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`3.
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`The parties have stipulated to modify DUE DATE 1 as follows:
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`Original Date
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`DUE DATE 1:
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`April 27, 2023
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`Modified Date
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`May 11, 2023
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`4.
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`The parties have stipulated to modify the portion of DUE DATE 2
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`related to Petitioner’s reply as follows:
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`Original Date
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`DUE DATE 2:
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`July 20, 2023
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`Modified Date
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`July 28, 2023
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`1
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`5.
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`The parties have stipulated to modify the portion of DUE DATE 3
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`related to Patent Owner’s sur-reply as follows:
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`Original Date
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`DUE DATE 3: August 31, 2023
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`Modified Date
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`September 8, 2023
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`6.
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`This joint stipulation does not extend or otherwise modify the
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`remaining portion of DUE DATES 2-3 or DUE DATES 4-8 on the Scheduling
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`Order.
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`Respectfully submitted this 5th day of April, 2023.
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`/Andrew C. Ryan/
`Andrew C. Ryan
`Steven M. Coyle
`Nicholas A. Geiger
`CANTOR COLBURN LLP
`20 Church Street, 22nd Floor
`Hartford, CT 06103
`aryan@cantorcolburn.com
`scoyle@cantorcolburn.com
`ngeiger@cantorcolburn.com
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`Attorneys for Patent Owner
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`/ Dion Bregman /
`Dion Bregman
`Andrew Devkar
`James J. Kritsas
`Morgan, Lewis & Bockius LLP
`1400 Page Mill Road
`Palo Alto, CA 94304
`HID-IPRs@morganlewis.com
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`Attorneys for Petitioners
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`2
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`CERTIFICATE OF SERVICE
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`Pursuant to 37 C.F.R. § 42.6(e), the undersigned certifies that on this 5th day
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`of April, 2023, service of the foregoing document was made on the counsel of
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`record for the Petitioner by filing this document through the PTAB’s P-TACTS
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`platform as well as delivering a copy via electronic mail to the following address:
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`Dion Bregman
`Andrew Devkar
`James J. Kritsas
`Morgan, Lewis & Bockius LLP
`1400 Page Mill Road
`Palo Alto, CA 94304
`HID-IPRs@morganlewis.com
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`Dated: April 5, 2023
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`By:
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`/Andrew C. Ryan/
`Andrew C. Ryan
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`3
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