`571-272-7822
`
`Paper 17
`Entered: July 16, 2024
`
`
`UNITED STATES PATENT AND TRADEMARK OFFICE
`____________
`
`BEFORE THE PATENT TRIAL AND APPEAL BOARD
`____________
`
`LG ELECTRONICS, INC., LG ELECTRONICS U.S.A., INC., and
`VIZIO, INC.,1
`Petitioner,
`
`v.
`
`MULTIMEDIA TECHNOLOGIES PTE. LTD.,
`Patent Owner.
`____________
`
`IPR2024-00351 (Patent 9,510,040 B2)
`IPR2024-00352 (Patent 9,247,174 B2)
`IPR2024-00354 (Patent 10,419,805 B2)2
`____________
`
`Before ST. JOHN COURTENAY III, MICHAEL R. ZECHER, and
`SHARON FENICK, Administrative Patent Judges.
`
`PER CURIAM.
`
`
`ORDER
`Granting Patent Owner’s Unopposed Motions to Withdraw Counsel
`37 C.F.R. § 42.10(e)
`
`
`
`
`1 VIZIO, Inc. filed petitions in IPR2024-00694, IPR2024-00696, and
`IPR2024-00699 and was joined as a petitioner in each of these proceedings.
`2 The combined caption is for administrative convenience only. The parties
`are not authorized to use this caption without express permission of the
`Board.
`
`
`
`IPR2024-00351 (Patent 9,510,040 B2)
`IPR2024-00352 (Patent 9,247,174 B2)
`IPR2024-00354 (Patent 10,419,805 B2)
`
`
`With the Board’s authorization, Multimedia Technologies Pte. Ltd.
`(“Patent Owner”) filed a Motion to Withdraw Counsel in each of the above-
`listed proceedings (“Motions”).3 Paper 15. Patent Owner requests that Ryan
`J. Singer be permitted to withdraw as back-up counsel. Id. at 1. The
`Motions explain that “Ryan J. Singer is no longer an attorney at Schulte
`Roth & Zabel LLP.” Id. Patent Owner indicates that its “First Amended
`Mandatory Notices lists other back-up counsel for this proceeding.” Id.
`Patent Owner indicates that Petitioner does not oppose the Motions. Id.
`Patent Owner has filed an updated mandatory notice removing Ryan J.
`Singer as counsel. Paper 16, 2–3.
`
`In view of the above, it is
`ORDERED that Patent Owner’s Motions are granted, and Ryan J.
`Singer is allowed to withdraw as counsel from the above-identified
`proceedings; and
`FURTHER ORDERED that Patent Owner is to continue to have lead
`counsel and back-up counsel represent it for the above-identified
`proceedings.
`
`
`
`
`
`3 The Motions in each of the above-captioned proceedings are substantively
`identical. For convenience, all citations are to IPR2024-00351 with the
`understanding that the other proceedings include papers having substantially
`the same substantive content.
`
`2
`
`
`
`IPR2024-00351 (Patent 9,510,040 B2)
`IPR2024-00352 (Patent 9,247,174 B2)
`IPR2024-00354 (Patent 10,419,805 B2)
`
`FOR PETITIONER:
`
`David L. McCombs
`Gregory P. Huh
`Calmann J. Clements
`HAYNES AND BOONE, LLP
`david.mccombs.ipr@haynesboone.com
`gregory.huh.ipr@haynesboone.com
`calmann.clements.ipr@haynesboone.com
`
`
`FOR PATENT OWNER:
`
`James T. Carmichael
`Stephen Schreiner
`Stephen McBride
`Minghui Yang
`CARMICHAEL IP, PLLC
`jim@carmichaelip.com
`schreiner@carmichaelip.com
`stevemcbride@carmichaelip.com
`mitch@carmichaelip.com
`
`
`
`3
`
`