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Case 2:17-cv-00514-JRG Document 135-8 Filed 01/29/19 Page 1 of 4 PageID #: 9720
`
`Exhibit 4
`
`

`

`Case 2:17-cv-00514-JRG Document 135-8 Filed 01/29/19 Page 2 of 4 PageID #: 9721
`
`Exhibit C for U.S. Patent No. 9,445,251 Against LG Accused Products
`
`
`In these Infringement Contentions, AGIS Software Development LLC (“AGIS”) contends that at least the following claims of
`
`U.S. Patent No. 9,445,251 (the “’251 Patent”) identified below are infringed by the Accused Products (e.g., phones and tablets) which
`are manufactured, sold, offered for sale, and/or used by LG Electronics, Inc. (“LG”).
`
`
`
`The Accused Products comprise LG products running the Android mobile operating system and manufactured, used, or sold
`
`during and after 2011. For example, the Accused Products comprise the following Android-based phones: V30 (H931, LS998U,
`H932, H932U, VS996, US998, AS998), X charge (US601, SP320, M327, M322), Q6 (US700), G6+ (US997U), G6 (US997, VS988,
`AS993, H871, H872, LS993), Fiesta 2 (L173BL, L164VL), V20 (LS997, H910, H918, US996, VS995), X venture (US701, H700),
`Stylo 3 (LS777), Stylo 3 Plus (MP450, TP450), Tribute HD (LS676), Rebel 2 (L57BL, L58BL, L58VL), Fiesta LTE (L63BL,
`L64VL), Stylo 3 LTE (L83BL, L84VL), K20 plus (MP260, TP260), Grace LTE (L59BL), K3 (AS110, US110, LS450), Stylo 3
`(LS777, M430), Phoenix 3 (M150), Risio 2 (M154), K8 2017 (US215), Stylo 2 V (VS835), K20 (M255, RS501), K20 V (VS501),
`Aristo (M210), Harmony (M257), G5 (VS987, AS992, H820, H830, LS992, RS988, US992), Aristo Silver (MS210), Aristo Cobalt
`Blue (MS210UK), Stylo 2 Plus (MS550BK, K550), Fortune (M153), Tribute HD (LS676), X power (K212, K450, LS755, US610),
`K10 (MS428, K425, K428SG), Stylo 2 (LS775, K540), G Vista (VS880), Escape 3 (K373), Classic (L18VC), Rebel LTE (L43AL,
`L44VL), Treasure LTE (L51AL, L52VL), Premier LTE (L61AL, L62VL), Stylo 2 LTE (L82VL), K7 (MS330, AS375, K330), K8
`(RS500, US375), G4 (US991), K4 (VS425), Optimus Zone 3 (VS425PP), K8 V (VS500, VS500PP), Phoenix 2 (K371), Tribute 5
`(LS675), Spree (K120), G Vista 2 (H740), Escape 2 (H443), Risio (H343), Access LTE (L31L), Leon LTE (H345, MS345), G Stylo
`(H631, MS631, H634, LS770), Volt 2 (LS751), Tribute 2 (LS665), Escape 2 (H445), Logos (US550), Transpyre (VS810PP), G3
`(D850, LS990, D851, AS985, VS985, AS990, US990), Ultimate 2 (L41C), Tribute (LS660), G3 Vigor (D725), Realm (LS620), G
`Vista (D631), Volt (LS740), Optimus Fuel (L34C), Optimus L90 (D415), Optimus F3Q (D520), D820 (D820), G2 (VS9801, D800,
`D801, LS980), Optimus F6 (D500), Enact (VS890), Optimus F3 (VM720, LS720), Rumor Reflex S (LN272S), Optimus F7 (LG870,
`US780), Optimus F5 (AS870), Optimus G Pro (E980), Lucid2 (VS870), Spirit 3G (MS870), LGE960 (LGE960), Optimus REGARD
`(LW770), Mach (LS860), Optimus G (LS970, E970), Optimus L9 (P769), Venice (LG730), Escape (P870), Spectrum 2 (VS930),
`Splendor (US730), Intuition (VS950), Motion 4 (MS770), Optimus Plus (AS695), Elite (LS696), Viper (LS840), Optimus M+
`(MS695), Lucid (VS840), Nitro (P930), Spectrum (VS920), Marquee (LG855), Connect 4G(MS830), Optimus Q (LGL55C), Optimus
`2 (AS680), Ignite (AS855), myTouch Q (LGC800DG, LGC800VL), Optimus One (P504), myTouch (LGE739BK), DoublePlay
`(C729), Optimus Slider (VM701), Esteem (MS910), Enlighten (VS700), Marquee (LS855), Thrill 4G (P925), Revolution (VS910),
`Genesis (US760), G2x (P999), Thrive (P506), Phoenix (P505), Optimus C (LW690), Optimus V (WM670), Optimus U (US670),
`Optimus M (MS690), Axis (LGAS740), Apex (US740), Vortex (VS660), Optimus S (LS670), Ally (VS740), and Optimus T (P509).
`
`
`
`C-1
`
`

`

`Case 2:17-cv-00514-JRG Document 135-8 Filed 01/29/19 Page 3 of 4 PageID #: 9722
`
`Exhibit C for U.S. Patent No. 9,445,251 Against LG Accused Products
`
`
`
`
`AGIS reserves the right to amend this list of accused phones as discovery progresses. For example, the Accused Products comprise
`the following Android-based tablets: G Pad F2 8.0 (LK460), G Pad X II 8.0 Plus (V530), G Pad X II 10.1 (UK750), G Pad F 8.0 2nd
`Gen (AK495, UK495), G Pad X 8.0 (V520, V521), G Pad II 10.1 Full HD (V940N), G Pad X 10.1 (V930), G Pad II 8.0 HD+ (V498),
`G Pad 8.0 (V480), G Pad 10.1 (V700), G Pad 7.0 (V400), G Pad F 8.0 1st Gen (AK495, V495, V496, UK495), G Pad X 8.3 (VK815,
`VK810), G Pad F 7.0 (LK430), G Pad 7.0 LTE (VK410, UK410, V410), G Pad 10.1 LTE (VK700), G Pad 8.3 Google Play Edition
`(V510), G Pad 8.3 Black (V500). AGIS reserves the right to amend this list of accused tablets as discovery progresses. For example,
`the Accused Products comprise LG products, including but not limited to the phones and tablets as described herein, running the
`following versions (and all intervening updates and sub-versions) of the Android mobile operating system: Android 2.3, 4.0, 4.1, 4.2,
`4.3, 4.4, 5.0, 5.1, 6.0, 7.0, 7.1, 8.0, and 8.1. For example, the Accused Products comprise LG products, including but not limited to the
`phones and tablets as described herein, running any versions of the following Android-based applications and/or software: Android
`Device Manager, Find My Phone, Find My Device, Google Latitude, Google Plus, Google Hangouts, Google Maps, Google Assistant,
`Google Search, Google Messages, Android Messenger, Google Allo, Google Duo, GMail, and Google Chrome. For example, the
`Accused Products comprise LG products, including but not limited to the phones and tablets described herein, participating in any
`networks and/or services related to the execution and/or use of the Android mobile operating system versions and Android-based
`applications and/or software described herein.
`
`AGIS does not concede that any claims of the ’251 Patent that are not listed below are not infringed by the identified products.
`
`Moreover, the citations to certain documents and other information below are intended to be exemplary only and in no way foreclose
`AGIS from citing or relying on additional documents, information, source code, and/or testimony at a later time. These contentions
`are preliminary in nature, and an analysis of LG’s products, internal documentation, source code, and/or testimony from relevant
`witnesses may more fully and accurately describe the infringing features of its accused products. Accordingly, AGIS reserves the
`right to supplement, correct, modify, and/or amend these contentions once such additional information is made available to AGIS.
`Furthermore, AGIS reserves the right to supplement, correct, modify, and/or amend these contentions as discovery in this case
`progresses; in view of the Court’s claim construction order(s); in view of any positions taken by LG, including but not limited to
`positions on claim construction, invalidity, and/or non-infringement; and in connection with the preparation and exchange of expert
`reports.
`
`US9445251B2
`1[P]. A computer-
`implemented method
`
`LG
`LG infringes directly and/or indirectly by performing, inducing others to perform, and/or contributing to the
`performance of: a computer-implemented method [of claim 1].
`
`
`
`C-2
`
`

`

`
`US9445251B2
`comprising:
`
`Case 2:17-cv-00514-JRG Document 135-8 Filed 01/29/19 Page 4 of 4 PageID #: 9723
`
`Exhibit C for U.S. Patent No. 9,445,251 Against LG Accused Products
`
`
`
`LG
`
`The Accused Products meet the claim limitations by providing device-location tracking features such as those
`features described below. For example, the Accused Products meet the claim limitations because they are
`pre-installed with Android mobile operating systems containing code for providing device-location tracking
`features as provided in the claims limitations herein. For example, the Accused Products run applications
`and/or software that run within the Android mobile operating system and that use components of the Android
`mobile operating system to provide device-location tracking features. Upon information and belief, in
`addition to the components and features of the Android mobile operating system itself, the following
`applications and/or software run within the Android mobile operating system and use components of the
`Android mobile operating system to provide device-location tracking features: Android Device Manager,
`Find My Device, Google Latitude, Google Plus, Google Hangouts (including Allo and Duo), Google Maps,
`Google Chrome, Google Messages, and Android Messenger.
`
`Find My Device (also known as “Android Device Manager”)
`
`Android Device Manager is the predecessor to Find My Device and has been available as a standard, pre-
`installed feature since 2013 and downloadable as a software application. The current iteration, Find My
`Device, often called the “new and improved Android Device Manager” or “rebranded Android Device
`Manager” is now part of the standard Google Play Protect suite, which is “built in and enabled on all
`devices,” i.e., the Accused Products running Android OS. Upon information and belief, the Find My Device
`method also uses and/or works in conjunction with functionalities associated with Google Maps, Google
`Messages, Android Messenger, Google Chrome, Location Access, and other features, which come pre-
`installed on the Accused Products. For the purposes of avoiding needlessly presenting cumulative and
`duplicative evidence, AGIS sets forth the Find My Device feature of the Accused Products as representative
`of this first exemplary method. AGIS reserves the right to supplement these contentions to the extent that
`defendant requires additional information in accordance with P.R. 3-1 and for any other reason. In the cases
`where Find My Device may not be pre-installed as a stand-alone “app,” the functionality is available within
`the Google Chrome browser, which is preinstalled on all Android devices. Find My Device below refers to
`both the native app as well as the Chrome browser version, which appears to be identical to the native app.
`
`See, e.g., https://www.androidcentral.com/find-my-device;
`https://support.google.com/android/answer/6160491?hl=en; https://android.googleblog.com/2013/08/find-
`
`
`
`C-3
`
`

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