throbber
Claim
`Number
`
`Claim
`Language
`
`1[a]
`
`A method of
`displaying
`content on a
`television,
`comprising:
`
`Appendix E: Claim Chart for U.S. Patent No. 9,510,0401
`
`
`
`
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`To the extent that the claim’s preamble is determined to be a limitation or otherwise limiting, LG and
`the Accused Instrumentalities perform the following steps.
`
`The Accused Instrumentalities are capable of displaying a launcher menu which comprises a method
`of displaying content on a television.
`
`
`
`1 Pursuant to E.D. Tex. Patent Rule 3-1(c), this claim chart identifies where each element of the asserted claims of this patent is found within all models of LG’s
`currently offered lines of products—OLED TVs, QNED MiniLED TVs, NanoCell TVs, and 4K Ultra HD TVs—as well as any previous versions or models of
`the currently offered lines of products and any other model of LG TV on which any version of LG webOS was installed (collectively, the “Accused
`Instrumentalities”). On information and belief, the operation of these devices with respect to these infringement contentions is substantially the same or identical,
`at least because each runs the LG webOS operating system—previously or alternatively known as webOS, Open webOS, HP webOS, and Palm webOS—which
`governs the functionality of these devices that is relevant to these infringement contentions. Thus, although this claim chart includes exemplary citations and
`images for devices running webOS 5.0, the explanations of how the Accused Instrumentalities meet each limitation of the claims charted herein are substantially
`the same or identical for each LG TV on which any version of LG webOS was installed, except as otherwise noted (e.g., where a citation expressly notes it
`addresses a TV running webOS 2022). Plaintiff Multimedia notes that LG recently announced its 2023 TVs will include a new version of webOS (“webOS
`2023”); based on publicly available information, Multimedia expects discovery to confirm that televisions on which LG’s updated webOS is installed will also
`infringe the asserted patent, at least due to its similarity to previous versions of webOS. See https://www.lgnewsroom.com/2023/01/lgs-2023-oled-tvs-take-
`viewing-immersion-and-user-experience-to-new-heights/. In providing these contentions, Multimedia notes that the identification below of where each element
`of the asserted claims of this patent is found is exemplary; each element of the asserted claims of this patent can be found throughout the Accused
`Instrumentalities, and Multimedia expressly reserves the right to rely on such other applications, features of, and methods of using the Accused Instrumentalities,
`and on other facts adduced through discovery, in proving its case at trial. Additionally, some of the claim elements herein may be software limitations.
`Accordingly, Multimedia reserves the right to amend and/or supplement this claim chart after a complete production of the source code for the Accused
`Instrumentalities and after production of exemplary televisions with webOS 2023 installed.
`1
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`NY 79306737v1
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`EX. 1008
`LG Electronics, Inc. / Page 1 of 28
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`

`

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`The following is an exemplary image of an LG TV display annotated with the key elements of the
`claim:
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`NY 79306737v1
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`2
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`EX. 1008
`LG Electronics, Inc. / Page 2 of 28
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`

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`Global Panel
`
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`NY 79306737v1
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`3
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`EX. 1008
`LG Electronics, Inc. / Page 3 of 28
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`

`

`1[b]
`
`receiving, by a
`processor, an
`indication
`associated with
`a selection by a
`user;
`
`The Accused Instrumentalities are capable of receiving, by a processor, an indication associated with a
`selection by a user.
`
`For example, the processor receives an indication associated with a “home” input from a user via
`remote control.
`
`
`LG User Manual p. 14.
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`4
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`NY 79306737v1
`
`EX. 1008
`LG Electronics, Inc. / Page 4 of 28
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`

`

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`See, e.g., LG Owner’s Manual, at 14 (left); user photo (right).
`
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`NY 79306737v1
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`5
`
`EX. 1008
`LG Electronics, Inc. / Page 5 of 28
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`

`

`1[c]
`
`determining, by
`the processor,
`based on the
`received
`indication, a
`global panel to
`display via the
`television;
`
`The Accused Instrumentalities are capable of determining, by the processor, based on the received
`indication, a global panel to display via the television.
`
`The operating system determines, by the processor, based on the received indication, a global panel to
`display via the television. The global panel can be displayed on the entire screen or a part of the screen
`of the LG Smart TV:
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`NY 79306737v1
`
`6
`
`EX. 1008
`LG Electronics, Inc. / Page 6 of 28
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`

`

`1[d]
`
`retrieving, by
`the processor,
`from memory, a
`first content
`information for
`display in the
`global panel;
`and
`
`The Accused Instrumentalities are capable of retrieving, by the processor, from memory, a first
`content information for display in the global panel.
`
`The operating system retrieves, by the processor, from memory, a first content information for display
`in the global panel. The global panel (launcher menu) displays at least a first content information (e.g.
`information about the content available in a certain source). For example, the LG TV displays the type
`of content available via HDMI port 2, scrolling “FIOS New York Plus” when selected:
`
`
`Other sources similarly display information or graphics about their content when selected and
`enlarged.
`
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`
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`NY 79306737v1
`
`7
`
`EX. 1008
`LG Electronics, Inc. / Page 7 of 28
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`

`

`The Accused Instrumentalities are capable of displaying, via the television, the retrieved content
`information in the global panel, wherein the global panel includes a list of sources of content for the
`intelligent television, wherein at least one of the sources is highlighted as being associated with the
`first content information. For example, as shown below, the icon indicating that source associated
`with the first content information becomes enlarged and highlighted, and also alternates text between
`the source name (HDMI2) and the first content information (“FIOS New York Plus”), showing that it
`is currently selected from among the applications available in the global panel:
`
`
`1[e]
`
`displaying, via
`the television,
`the retrieved
`content
`information in
`the global
`panel, wherein
`the global panel
`includes a list
`of sources of
`content for the
`intelligent
`television,
`wherein at least
`one of the
`sources is
`highlighted as
`being
`associated with
`the first content
`information,
`and
`
`
`
`
`Similarly for other sources, when they are selected they display source-specific information or
`graphics in the emphasized box.
`
`
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`NY 79306737v1
`
`8
`
`EX. 1008
`LG Electronics, Inc. / Page 8 of 28
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`

`

`1[f]
`
`wherein the
`sources include
`a live television
`source, a video
`on demand
`source, a media
`center source,
`an applications
`source, and an
`electrical input
`associated with
`the television.
`
`
`NY 79306737v1
`
`The Accused Instrumentalities are capable of wherein the sources include a live television source, a
`video on demand source, a media center source, an applications source, and an electrical input
`associated with the television.
`
`For example, the operating system launcher menu contains sources that include at least a live
`television source, a video on demand source, a media center source, an applications source, and an
`electrical input associated with the television.
`
`
`1. Live TV source—the panel contains a live television source:
`
`
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`
`9
`
`
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`EX. 1008
`LG Electronics, Inc. / Page 9 of 28
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`

`

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`2. Video on demand source – the launcher allows access to VOD apps (e.g., Netflix)
`
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`10
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`NY 79306737v1
`
`EX. 1008
`LG Electronics, Inc. / Page 10 of 28
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`

`

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`
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`3. Media center source – the launcher contains sources of media such as “Music”:
`
`
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`
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`
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`NY 79306737v1
`
`11
`
`EX. 1008
`LG Electronics, Inc. / Page 11 of 28
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`

`

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`NY 79306737v1
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`4. Applications source – the launcher contains a number of applications (e.g. Netflix), and also
`contains a mechanism by which users can download additional applications onto the
`television, the “LG Content Store”:
`
`
`
`
`
`
`
`
`12
`
`EX. 1008
`LG Electronics, Inc. / Page 12 of 28
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`

`

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`5. An electrical input associated with the television source – the launcher contains indications
`of the current electrical input source and a mechanism for changing the source:
`
`
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`
`
`As noted in footnote 1, supra, Multimedia contends, and expects that discovery will show, that other
`verisions of webOS infringe Claim 1 (and all subsequent charted claims below) for substantially the
`13
`
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`
`
`NY 79306737v1
`
`EX. 1008
`LG Electronics, Inc. / Page 13 of 28
`
`

`

`same or identical reasons, at least because, as Multimedia expects discovery to show, the relevant
`functionality of each version of webOS is substantially the same or identical.2 For example, Accused
`Instrumentalities running webOS 2022 also have a global panel accessible from the Home button that
`functions in accordance with the claims:
`
`
`
`Or, alternatively:
`
`
`
`
`
`2 Again, the identification herein of where each element of the asserted claims of this patent is found is exemplary; each element of the asserted claims of this
`patent can be found throughout the Accused Instrumentalities, and Multimedia expressly reserves the right to rely on such other applications, features of, and
`methods of using the Accused Instrumentalities, and on other facts adduced through discovery, in proving its case at trial.
`14
`
`
`NY 79306737v1
`
`EX. 1008
`LG Electronics, Inc. / Page 14 of 28
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`

`

`
`
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`
`
`
`
`The Accused Instrumentalities are capable of the method of claim 1.
`
`See Claim 1.
`
`
`
`15
`
`2[a]
`
`The method of
`claim 1, further
`comprising:
`
`
`NY 79306737v1
`
`
`
`EX. 1008
`LG Electronics, Inc. / Page 15 of 28
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`

`

`2[b]
`
`identifying a
`user associated
`with the
`received
`indication;
`
`2[c]
`
`retrieving one
`or more settings
`associated with
`the identified
`user;
`
`2[d]
`
`retrieving, from
`memory,
`content
`information
`associated with
`the identified
`user; and
`
`
`NY 79306737v1
`
`The Accused Instrumentalities are capable of identifying a user associated with the received
`indication.
`
`For example, and as will be shown after further discovery, the Accused Instrumentalities permit users
`to log into a MyLG Account, which results in an individual profile—including personalized content
`and settings—being displayed on the Accused Instrumentalities. See, e.g.,
`https://www.youtube.com/watch?v=eedsVvKgg-Q.
`
`Additionally, LG offers personalized VOD content recommendations available to users on the home
`screen. https://www.lgnewsroom.com/2022/08/more-personalized-more-convenient-lg-smart-tvs-
`enhance-the-prime-video-viewing-experience/
`
`
`The Accused Instrumentalities are capable of retrieving one or more settings associated with the
`identified user.
`
`For example, and as will be shown after further discovery, the Accused Instrumentalities permit users
`to log into a MyLG Account, which results in an individual profile—including personalized content
`and settings—being displayed on home panel of the Accused Instrumentalities, indicating that the
`Accused Instrumentalities retrieve one or more settings associated with the identified user. See, e.g.,
`https://www.youtube.com/watch?v=eedsVvKgg-Q.
`
`Additionally, LG offers personalized VOD content recommendations available to users on the home
`screen. https://www.lgnewsroom.com/2022/08/more-personalized-more-convenient-lg-smart-tvs-
`enhance-the-prime-video-viewing-experience/
`The Accused Instrumentalities are capable of retrieving, from memory, content information associated
`with the identified user.
`
`For example, and as will be shown after further discovery, the Accused Instrumentalities permit users
`to log into a MyLG Account, which results in an individual profile—including personalized content
`and settings—being displayed on home panel of the Accused Instrumentalities, indicating that the
`Accused Instrumentalities retrieve one or more settings associated with the identified user. See, e.g.,
`https://www.youtube.com/watch?v=eedsVvKgg-Q.
`16
`
`EX. 1008
`LG Electronics, Inc. / Page 16 of 28
`
`

`

`
`Additionally, LG offers personalized VOD content recommendations available to users on the home
`screen. https://www.lgnewsroom.com/2022/08/more-personalized-more-convenient-lg-smart-tvs-
`enhance-the-prime-video-viewing-experience/
`
`The Accused Instrumentalities are capable of displaying, via the television, the retrieved content
`information in the global panel.
`
`For example, and as will be shown after further discovery, the Accused Instrumentalities permit users
`to log into a MyLG Account, which results in an individual profile—including personalized content
`and settings—being displayed on home panel of the Accused Instrumentalities. See, e.g.,
`https://www.youtube.com/watch?v=eedsVvKgg-Q.
`
`Additionally, LG offers personalized VOD content recommendations available to users on the home
`screen. https://www.lgnewsroom.com/2022/08/more-personalized-more-convenient-lg-smart-tvs-
`enhance-the-prime-video-viewing-experience/
`
`
`The Accused Instrumentalities are capable of the method of claim 1.
`
`
`
`The Accused Instrumentalities are capable of identifying a user associated with the received
`indication.
`
`See Claim 2[b].
`
`The Accused Instrumentalities are capable of retrieving, from memory, one or more settings
`associated with the identified user.
`
`See Claim 2[c].
`
`
`
`17
`
`2[e]
`
`3[a]
`
`3[b]
`
`3[c]
`
`displaying, via
`the television,
`the retrieved
`content
`information in
`the global
`panel.
`
`The method of
`claim 1, further
`comprising:
`
`identifying a
`user associated
`with the
`received
`indication;
`retrieving, from
`memory, one or
`more settings
`associated with
`the identified
`user;
`
`
`NY 79306737v1
`
`EX. 1008
`LG Electronics, Inc. / Page 17 of 28
`
`

`

`3[d]
`
`3[e]
`
`4[a]
`
`4[b]
`
`4[c]
`
`retrieving, from
`memory,
`content
`information
`associated with
`the identified
`user and the one
`or more settings
`associated with
`the user; and
`displaying, via
`the television,
`the retrieved
`content
`information in
`the global
`panel.
`The method of
`claim 1, further
`comprising:
`
`receiving a
`second
`indication
`associated with
`a selection by a
`user;
`determining,
`based on the
`second
`indication, a
`source of
`content
`
`
`NY 79306737v1
`
`The Accused Instrumentalities are capable of retrieving, from memory, content information associated
`with the identified user and the one or more settings associated with the user.
`
`See Claim 2[d].
`
`
`
`The Accused Instrumentalities are capable of displaying, via the television, the retrieved content
`information in the global panel.
`
`See Claim 2[e].
`
`
`
`The Accused Instrumentalities are capable of the method of claim 1.
`
`
`
`The Accused Instrumentalities are capable of receiving a second indication associated with a selection
`by a user.
`
`For example, a user may select a second application within the global panel, such as a different input
`source (e.g., HDMI3). See also Claim 1[c].
`
`The Accused Instrumentalities are capable of determining, based on the second indication, a source of
`content information to be displayed in the global panel based.
`
`For example, the operating system determines, by the processor, based on the received indication, a
`source of content information (e.g., the input plugged into HDMI3). See also Claim 1[d]-1[e].
`
`
`18
`
`EX. 1008
`LG Electronics, Inc. / Page 18 of 28
`
`

`

`The Accused Instrumentalities are capable of retrieving at least a portion of content information from
`the determined source.
`
`For example, as indicated by the functionality of the Accused Instrumentalities, information from the
`determined source (e.g., the input plugged into HDMI3) is retrieved and subsequently displayed.
`
`
`The Accused Instrumentalities are capable of displaying, via the television, the content information
`associated with the determined source.
`
`For example, the Accused Instrumentalities display the information associated with HDMI3. See also,
`Claim 1[d]-1[e].
`
`
`To the extent that the claim’s preamble is determined to be a limitation or otherwise limiting, the
`Accused Instrumentalities comprise a non-transitory computer readable information storage medium
`having stored thereon instructions that cause a computing system to execute a method of displaying
`content on a television, comprising:
`
`
`
`
`4[e]
`
`4[d]
`
`information to
`be displayed in
`the global panel
`based;
`retrieving at
`least a portion
`of content
`information
`from the
`determined
`source; and
`displaying, via
`the television,
`the content
`information
`associated with
`the determined
`source.
`11[a] A non-
`transitory
`computer
`readable
`information
`storage medium
`having stored
`thereon
`instructions that
`cause a
`computing
`system to
`execute a
`method of
`displaying
`
`
`NY 79306737v1
`
`19
`
`EX. 1008
`LG Electronics, Inc. / Page 19 of 28
`
`

`

`11[b]
`
`11[c]
`
`11[d]
`
`11[e]
`
`content on a
`television,
`comprising:
`receiving an
`indication
`associated with
`a selection by a
`user;
`
`determining,
`based on the
`received
`indication, a
`global panel to
`display via the
`television;
`
`retrieving from
`memory, a first
`content
`information for
`display in the
`global panel;
`and
`
`displaying, via
`the television,
`the retrieved
`content
`information in
`the global
`panel, wherein
`
`
`NY 79306737v1
`
`The Accused Instrumentalities comprise a non-transitory computer readable information storage
`medium having stored thereon instructions that cause a computing system to execute a method of
`displaying content on a television, comprising: receiving an indication associated with a selection by a
`user.
`
`See Claim 1[b].
`
`The Accused Instrumentalities comprise a non-transitory computer readable information storage
`medium having stored thereon instructions that cause a computing system to execute a method of
`displaying content on a television, comprising: determining, based on the received indication, a global
`panel to display via the television.
`
`See Claim 1[c].
`
`
`The Accused Instrumentalities comprise a non-transitory computer readable information storage
`medium having stored thereon instructions that cause a computing system to execute a method of
`displaying content on a television, comprising: retrieving from memory, a first content information for
`display in the global panel.
`
`See Claim 1[d].
`
`
`The Accused Instrumentalities comprise a non-transitory computer readable information storage
`medium having stored thereon instructions that cause a computing system to execute a method of
`displaying content on a television, comprising: displaying, via the television, the retrieved content
`information in the global panel, wherein the global panel includes a list of sources of content for the
`intelligent television, wherein at least one of the sources is highlighted as being associated with the
`first content information, and wherein the sources include a live television source, a video on demand
`
`20
`
`EX. 1008
`LG Electronics, Inc. / Page 20 of 28
`
`

`

`the global panel
`includes a list
`of sources of
`content for the
`intelligent
`television,
`wherein at least
`one of the
`sources is
`highlighted as
`being
`associated with
`the first content
`information,
`and wherein the
`sources include
`a live television
`source, a video
`on demand
`source, a media
`center source,
`an applications
`source, and an
`electrical input
`associated with
`the television.
`The non-
`transitory
`computer-
`readable
`medium of
`claim 11,
`wherein the
`
`12[a]
`
`
`NY 79306737v1
`
`source, a media center source, an applications source, and an electrical input associated with the
`television.
`
`See Claim 1[e].
`
`
`
`The Accused Instrumentalities comprise a non-transitory computer-readable medium of claim 11,
`wherein the instructions further comprise:
`
`See Claim 2[a].
`
`
`21
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`EX. 1008
`LG Electronics, Inc. / Page 21 of 28
`
`

`

`12[b]
`
`12[c]
`
`12[d]
`
`12[e]
`
`13[a]
`
`instructions
`further
`comprise:
`identifying a
`user associated
`with the
`received
`indication;
`retrieving one
`or more settings
`associated with
`the identified
`user;
`
`retrieving, from
`memory,
`content
`information
`associated with
`the identified
`user; and
`displaying, via
`the television,
`the retrieved
`content
`information in
`the global
`panel.
`The non-
`transitory
`computer-
`readable
`medium of
`
`
`NY 79306737v1
`
`The Accused Instrumentalities comprise a non-transitory computer-readable medium of claim 11,
`wherein the instructions further comprise: identifying a user associated with the received indication.
`
`See Claim 2[b]
`
`The Accused Instrumentalities comprise a non-transitory computer-readable medium of claim 11,
`wherein the instructions further comprise: retrieving one or more settings associated with the
`identified user.
`
`See Claim 2[c].
`
`The Accused Instrumentalities comprise a non-transitory computer-readable medium of claim 11,
`wherein the instructions further comprise: retrieving, from memory, content information associated
`with the identified user.
`
`See Claim 2[d].
`
`
`The Accused Instrumentalities comprise a non-transitory computer-readable medium of claim 11,
`wherein the instructions further comprise: displaying, via the television, the retrieved content
`information in the global panel.
`
`See Claim 2[e].
`
`
`The Accused Instrumentalities comprise a non-transitory computer-readable medium of claim 11,
`wherein the instructions further comprise:
`
`See Claim 3[a].
`
`
`22
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`EX. 1008
`LG Electronics, Inc. / Page 22 of 28
`
`

`

`13[b]
`
`13[c]
`
`13[d]
`
`13[e]
`
`claim 11,
`wherein the
`instructions
`further
`comprise:
`identifying a
`user associated
`with the
`received
`indication;
`retrieving, from
`memory, one or
`more settings
`associated with
`the identified
`user;
`retrieving, from
`memory,
`content
`information
`associated with
`the identified
`user and the one
`or more settings
`associated with
`the user; and
`displaying, via
`the television,
`the retrieved
`content
`information in
`the global
`panel.
`
`The Accused Instrumentalities comprise a non-transitory computer-readable medium of claim 11,
`wherein the instructions further comprise: identifying a user associated with the received indication.
`
`See Claim 3[b].
`
`The Accused Instrumentalities comprise a non-transitory computer-readable medium of claim 11,
`wherein the instructions further comprise: retrieving, from memory, one or more settings associated
`with the identified user.
`
`See Claim 3[c].
`
`The Accused Instrumentalities comprise a non-transitory computer-readable medium of claim 11,
`wherein the instructions further comprise: retrieving, from memory, content information associated
`with the identified user and the one or more settings associated with the user.
`
`See Claim 3[d].
`
`
`The Accused Instrumentalities comprise a non-transitory computer-readable medium of claim 11,
`wherein the instructions further comprise: displaying, via the television, the retrieved content
`information in the global panel.
`
`See Claim 3[e].
`
`
`
`NY 79306737v1
`
`23
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`EX. 1008
`LG Electronics, Inc. / Page 23 of 28
`
`

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`14[a]
`
`14[b]
`
`14[c]
`
`14[d]
`
`The non-
`transitory
`computer-
`readable
`medium of
`claim 11,
`wherein the
`instructions
`further
`comprise:
`receiving a
`second
`indication
`associated with
`a selection by a
`user;
`determining,
`based on the
`second
`indication, a
`source of
`content
`information to
`be displayed in
`the global panel
`based;
`retrieving at
`least a portion
`of content
`information
`from the
`determined
`source; and
`
`
`NY 79306737v1
`
`The Accused Instrumentalities comprise a non-transitory computer-readable medium of claim 11,
`wherein the instructions further comprise:
`
`See Claim 4[a].
`
`
`The Accused Instrumentalities comprise a non-transitory computer-readable medium of claim 11,
`wherein the instructions further comprise: receiving a second indication associated with a selection by
`a user.
`
`See Claim 4[b].
`
`The Accused Instrumentalities comprise a non-transitory computer-readable medium of claim 11,
`wherein the instructions further comprise: determining, based on the second indication, a source of
`content information to be displayed in the global panel based.
`
`See Claim 4[c].
`
`
`The Accused Instrumentalities comprise a non-transitory computer-readable medium of claim 11,
`wherein the instructions further comprise: retrieving at least a portion of content information from the
`determined source.
`
`See Claim 4[d].
`
`
`24
`
`EX. 1008
`LG Electronics, Inc. / Page 24 of 28
`
`

`

`The Accused Instrumentalities comprise a non-transitory computer-readable medium of claim 11,
`wherein the instructions further comprise: displaying, via the television, the content information
`associated with the determined source.
`
`See Claim 4[e].
`
`
`The Accused Instrumentalities are capable of the non-transitory computer-readable medium of claim
`11, further comprising retrieving from memory a second content information for display in the global
`panel; and displaying, via the television, the retrieved first content information and the retrieved
`second content information in the global panel.
`
`See Claim 4.
`
`
`14[e]
`
`15
`
`displaying, via
`the television,
`the content
`information
`associated with
`the determined
`source.
`The non-
`transitory
`computer-
`readable
`medium of
`claim 11,
`further
`comprising
`retrieving from
`memory a
`second content
`information for
`display in the
`global panel;
`and displaying,
`via the
`television, the
`retrieved first
`content
`information and
`the retrieved
`second content
`information in
`the global
`panel.
`
`
`NY 79306737v1
`
`25
`
`EX. 1008
`LG Electronics, Inc. / Page 25 of 28
`
`

`

`21[a] A system for
`displaying
`content on a
`television,
`comprising:
`an input device
`associated with
`the television;
`
`21[b]
`
`To the extent that the claim’s preamble is determined to be a limitation or otherwise limiting, the
`Accused Instrumentalities are systems with a system for displaying content on a television.
`
`
`
`The Accused Instrumentalities are systems with an input device associated with the television.
`
`See Claim 1[b]
`
`a memory; and The Accused Instrumentalities are systems with a memory.
`
`As indicated by the functionality of the Accused Instrumentalities and as will be shown further in
`discovery, the Accused Instrumentalities have a memory. See Claim 1[d]; Claim 2; Claim 3.
`
`The Accused Instrumentalities are systems with a microprocessor that is programmed.
`
`As will be shown after further discovery, the Accused Instrumentalities include a microprocessor that
`is capable of being used in this manner. For example, the LG OLED evo C3 77 in 4K Smart TV 2023
`includes at least the α9 Gen6 AI Processor:
`
`
`a
`microprocessor
`that is
`programmed to:
`
`21[c]
`
`21[d]
`
`
` See https://www.lg.com/us/tvs/lg-oled77c3pua; see also https://www.lg.com/us/tvs (linking to
`specifications for LG TVs).
`
`
`The Accused Instrumentalities are capable of receiving an indication associated with a selection by a
`user.
`
`
`
`26
`
`21[e]
`
`receive an
`indication
`
`
`NY 79306737v1
`
`EX. 1008
`LG Electronics, Inc. / Page 26 of 28
`
`

`

`
`See Claim 1[b].
`
`The Accused Instrumentalities are re capable of determining, based on the received indication, a
`global panel to display via the television.
`
`See Claim 1[c].
`
`
`The Accused Instrumentalities are capable of retrieving from the memory, a first content information
`for display in the global panel.
`
`See Claim 1[d].
`
`
`The Accused Instrumentalities are capable of displaying, via the television, the retrieved content
`information in the global panel, wherein the global panel includes a list of sources of content for the
`intelligent television, wherein at least one of the sources is highlighted as being associated with the
`first content information, and wherein the sources include a live television source, a video on demand
`source, a media center source, an applications source, and an electrical input associated with the
`television.
`
`See Claim 1[e] – 1[f].
`
`21[f]
`
`21[g]
`
`21[h]
`
`associated with
`a selection by a
`user;
`determine,
`based on the
`received
`indication, a
`global panel to
`display via the
`television;
`retrieve from
`the memory, a
`first content
`information for
`display in the
`global panel;
`and
`display, via the
`television, the
`retrieved
`content
`information in
`the global
`panel, wherein
`the global panel
`includes a list
`of sources of
`content for the
`intelligent
`television,
`wherein at least
`one of the
`sources is
`
`
`NY 79306737v1
`
`27
`
`EX. 1008
`LG Electronics, Inc. / Page 27 of 28
`
`

`

`highlighted as
`being
`associated with
`the first content
`information,
`and wherein the
`sources include
`a live television
`source, a video
`on demand
`source, a media
`center source,
`an applications
`source, and an
`electrical input
`associated with
`the television.
`
`
`
`
`NY 79306737v1
`
`
`
`28
`
`EX. 1008
`LG Electronics, Inc. / Page 28 of 28
`
`

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