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Case 2:17-cv-00514-JRG Document 108-10 Filed 01/25/19 Page 1 of 7 PageID #: 4690
`Case 2:17-cv-00514-JRG Document 108-10 Filed 01/25/19 Page 1 of 7 PageID #: 4690
`
`
`
`EXHIBIT I
`EXHIBIT I
`
`

`

`Case 2:17-cv-00514-JRG Document 108-10 Filed 01/25/19 Page 2 of 7 PageID #: 4691
`
`IN THE UNITED STATES DISTRICT COURT
`FOR THE EASTERN DISTRICT OF TEXAS
`MARSHALL DIVISION
`
`AGIS SOFTWARE DEVELOPMENT, LLC
`
`Plaintiff,
`
`v.
`
`HTC CORPORATION
`
`Defendant.
`
`LEAD CASE NO. 2:17-cv-514-JRG
`
`JURY TRIAL DEMANDED
`
`AGIS SOFTWARE DEVELOPMENT, LLC
`
`MEMBER CASE NO. 2:17-cv-515-JRG
`
`Plaintiff,
`
`v.
`
`LG ELECTRONICS, INC.
`
`Defendant.
`
`JURY TRIAL DEMANDED
`
`DEFENDANT LG ELECTRONICS, INC.’S SECOND
`ELECTION OF PRIOR ART REFERENCES
`
`Pursuant to the Fifth Amended Docket Control Order (Case No. 17-cv-513-JRG, D.I.
`
`183), Defendant LG Electronics, Inc. (“LGEKR” or “Defendant”) hereby serves the following
`
`Second Election of Prior Art References for each of the Patents-In-Suit.1 This election is made
`
`in view of Plaintiff AGIS Software Development, LLC’s (“AGIS”) Election of Asserted Claims
`
`served on Defendant, dated August 15, 2018. LGEKR expressly reserves its rights to assert at or
`
`before trial that the Patents-In-Suit are invalid for additional reasons, including, but not limited
`
`to, being invalid under 35 U.S.C. §§ 101 and/or 112. LGEKR further expressly reserves its
`
`1 “Patents-In-Suit” refers to U.S. Patent Nos. 8,213,970 (the “’970 Patent”), 9,408,055 (the “’055
`Patent”), 9,445,251 (the “’251 Patent”), and 9,467,838 (the “’838 Patent”), which has been
`asserted against LGEKR.
`
`1
`
`

`

`Case 2:17-cv-00514-JRG Document 108-10 Filed 01/25/19 Page 3 of 7 PageID #: 4692
`
`rights to modify this election, as well as to assert additional prior art references uncovered during
`
`the course of fact discovery, including, but not limited to, any references or related information
`
`based upon discovery from third parties. References that are indicative of the state of the art
`
`and/or the knowledge of one of ordinary skill in the art at the time of the inventions of the
`
`Patents-In-Suit are excluded from the scope of this election and LGEKR reserves the right to rely
`
`on any such reference, including any that are identified in its Invalidity Contentions, or any
`
`amendments thereto. Moreover, because LGEKR contends that the Patents-In-Suit are not
`
`entitled to the priority date alleged by AGIS, LGEKR expressly reserves its rights to assert at
`
`trial that, under that correct priority date, the Accused Products render the asserted claims invalid
`
`to the extent that any of them are determined to infringe. LGEKR further reserves its right to
`
`assert at trial that, under the correct priority date, AGIS’s (including AGIS Inc.’s) products or
`
`earlier AGIS (or AGIS Inc.) patents and/or applications, including, but not limited to, U.S. Patent
`
`No. 7,630,724, would also render the claims invalid under at least AIA 35 U.S.C. § 102(a)(1)
`
`because they were publicly available before the effective filing date of the Patents-In-Suit.
`
`Asserted
`Patent
`’970 Patent
`
`1.
`
`Prior Art Elections2
`U.S. Patent Application Publication No. US 2003/0217109
`(Ordille et al.)
`U.S. Patent Application Publication No. US 2008/0219416
`(Roujinsky)
` U.S. Patent No. 7,609,669 (Sweeney)
` U.S. Patent No. 7,386,589 (Tanumihardja et al.)
` U.S. Patent No. 6,816,878 (Zimmers et al.)
` U.S. Patent No. 7,912,913 (Accapadi et al.)
` U.S. Patent No. 7,619,584 (Wolf)
` WO 2008/1188878 (Swanburg et al.)
`
`2.
`3.
`4.
`5.
`6.
`7.
`8.
`
`2 The prior art references listed are set forth in Defendant’s Invalidity Contentions, and each
`identification is made in view of and incorporates the respective disclosures and any related
`documentation and evidence set forth therein, as well as any amendments thereto. Furthermore,
`combinations pursuant to 35 U.S.C. § 103 with respect to these references are specifically
`identified in Defendant’s Invalidity Contentions, or any amendments thereto.
`
`2
`
`

`

`Case 2:17-cv-00514-JRG Document 108-10 Filed 01/25/19 Page 4 of 7 PageID #: 4693
`
`’251 Patent
`
`’838 Patent
`
` U.S. Patent No. 6,854,007 (Hammond)
`9.
`10. U.S. Patent No. 5,325,310 (Johnson et al.)
`11. U.S. Patent No. 5,742,905 (Pepe et al.)
`U.S. Patent Application Publication No. US 2006/0218232
`12.
`(Kubala et al.)
`13. U.S. Patent No. 8,369,843 (Fux)
`14. U.S. Patent No. 8,250,155 (Corry et al.)
`15. U.S. Pub. No. 2010/0125636 (Kuhlke et al.)
`U.S. Patent Application Publication No. US 2007/0281690
`1.
`(Altman et al.)
`2.
` U.S. Patent No. 6,867,733 (Sandhu et al.)
`3.
` U.S. Patent No. 7,271,742 (Sheha et al.)
`U.S. Patent Application Publication No. US 2002/0115453 (Poulin
`4.
`et al.)
`5.
` U.S. Patent No. 7,917,866 (Karam)
`6.
` U.S. Patent No. 6,204,844 (Fumarolo)
`7.
` U.S. Patent No. 6,366,782 (Fumarolo et al.)
`8.
` U.S. Patent No. 7,353,034 (Haney)
`U.S. Patent Application Publication No. US 2002/0173906
`9.
`(Muramatsu)
`10. U.S. Patent Application Publication No. US 2002/0027901 (Liu et
`al.)
`11. The ActiveCampus system (including related documents)
`The AGIS’s LifeRing Product and its prototypes (the “AGIS
`12.
`system”) (including related documents)
`The Automatic Packet/Position Reporting System (“APRS
`13.
`System”) (including related documents and protocols)
`14. The Navizon system (including related documents)
`Force XXI Battle Command, Brigade And Below (“FBCB2”)
`15.
`(including related documents)
`U.S. Patent Application Publication No. US 2007/0281690
`1.
`(Altman et al.)*
` U.S. Patent No. 6,867,733 (Sandhu et al.)*
`2.
` U.S. Patent No. 7,271,742 (Sheha et al.)*
`3.
`U.S. Patent Application Publication No. US 2002/0115453 (Poulin
`4.
`et al.)*
` U.S. Patent No. 7,917,866 (Karam)*
`5.
` U.S. Patent No. 6,204,844 (Fumarolo)*
`6.
` U.S. Patent No. 6,366,782 (Fumarolo et al.)*
`7.
` U.S. Patent No. 7,353,034 (Haney)*
`8.
`U.S. Patent Application Publication No. US 2002/0173906
`9.
`(Muramatsu)*
`10. U.S. Patent Application Publication No. US 2002/0027901 (Liu et
`al.)*
`
`3
`
`

`

`Case 2:17-cv-00514-JRG Document 108-10 Filed 01/25/19 Page 5 of 7 PageID #: 4694
`
`’055 patent
`
`1.
`2.
`3.
`4.
`5.
`6.
`7.
`8.
`9.
`
`11. The ActiveCampus system (including related documents)*
`The AGIS’s LifeRing Product and its prototypes (the “AGIS
`12.
`system”) (including related documents)*
`The Automatic Packet/Position Reporting System (“APRS
`13.
`System”) (including related documents and protocols)*
`14. The Navizon system (including related documents)*
`Force XXI Battle Command, Brigade And Below (“FBCB2”)
`15.
`(including related documents)*
`U.S. Patent Application Publication No. US 2007/0281690
`(Altman et al.)*
` U.S. Patent No. 6,867,733 (Sandhu et al.)*
` U.S. Patent No. 7,271,742 (Sheha et al.)*
` U.S. Patent No. 7,450,003 (Weber et al.)
`U.S. Patent Application Publication No. US 2002/0115453 (Poulin
`et al.)*
`U.S. Patent No. 7,917,866 (Karam)*
`U.S. Patent No. 6,366,782 (Fumarolo et al.)*
`The ActiveCampus system (including related documents)*
`The AGIS’s LifeRing Product and its prototypes (the “AGIS
`system”) (including related documents)*
`The Automatic Packet/Position Reporting System (“APRS
`10.
`System”) (including related documents and protocols)*
`11. The Navizon system (including related documents)*
`Force XXI Battle Command, Brigade And Below (“FBCB2”)
`12.
`(including related documents)*
`13. U.S. Patent Application Publication No. US 2004/0054428 (Sheha
`et al.)*
`14. U.S. Patent Application Publication No. US 2004/0157590
`(Lazaridis et al.)
`15. U.S. Patent Application Publication No. US 2005/0221876 (Van
`Bosch et al.)
`* references marked with an asterisks are duplicate and should not be counted against
`Defendant’s cumulative reference limit.
`
`Dated: August 29, 2018
`
`Respectfully submitted by:
`
`
`
`/s/ Nicholas H. Lee
`Mark Mann
`SBN: 12926150
`mark@themannfirm.com
`G. Blake Thompson
`SBN: 24042033
`blake@themannfirm.com
`MANN TINDEL THOMPSON
`300 West Main Street
`
`4
`
`

`

`Case 2:17-cv-00514-JRG Document 108-10 Filed 01/25/19 Page 6 of 7 PageID #: 4695
`
`Henderson, Texas 75652
`Tel: 903-657-8540
`
`Michael A. Berta
`Michael.berta@arnoldporter.com
`ARNOLD & PORTER
`KAYE SCHOLER LLP
`Three Embarcadero Center
`10th Floor
`San Francisco, CA 94111-4024
`Tel: 415-471-3100
`
`Matthew M. Wolf
`Matthew.wolf@arnoldporter.com
`ARNOLD & PORTER
`KAYE SCHOLER LLP
`601 Massachusetts Ave., NW
`Washington, DC 20001-3743
`Tel: 202-942-5000
`
`James S. Blackburn
`James.blackburn@arnoldporter.com
`Nicholas H. Lee
`Nicholas.lee@arnoldporter.com
`ARNOLD & PORTER
`KAYE SCHOLER LLP
`777 South Figueroa Street
`44th Floor
`Los Angeles, CA 90017-5844
`Tel: 213-243-4000
`
`ATTORNEYS FOR DEFENDANT
`LG ELECTRONICS INC.
`
`5
`
`

`

`Case 2:17-cv-00514-JRG Document 108-10 Filed 01/25/19 Page 7 of 7 PageID #: 4696
`
`CERTIFICATE OF SERVICE
`
`The undersigned hereby certifies that on August 29, 2018, a true and correct copy of the
`
`foregoing was served via electronic mail on all counsel of record who are deemed to have
`
`consented to electronic service.
`
`/s/ Nicholas H. Lee
`
`
`
`

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