`
`IN THE UNITED STATES DISTRICT COURT
`FOR THE EASTERN DISTRICT OF TEXAS
`TYLER DIVISION
`
`
`
`
`
`
`
`Civil Action No. 6:15-CV-907-JRG-KNM
`
`
`SIPCO LLC, and
`IP CO., LLC (d/b/a INTUS IQ)
`
`Plaintiffs,
`
`
`
`
`
`
`
`v.
`
`EMERSON ELECTRIC CO., EMERSON
`PROCESS MANAGMENET LLLP,
`FISHER-ROSEMOUNT SYSTEMS, INC.,
`ROSEMOUNT INC., BP PLC, BP
`AMERICA, INC., and BP AMERICA
`PRODUCTION COMPANY
`
`
`
`Emerson Defendants.
`
`§
`§
`§
`§
`§
`§
`§
`§
`§
`§
`§
`§
`
`EMERSON ELECTRIC CO., EMERSON PROCESS MANAGEMENT LLLP, FISHER-
`ROSEMOUNT SYSTEMS, INC., AND ROSEMOUNT INC.’S ANSWER TO FIRST
`AMENDED COMPLAINT
`
`Defendants Emerson Electric Co., Emerson Process Management LLLP, Fisher-
`
`Rosemount Systems, Inc., and Rosemount Inc., (collectively, “Emerson Defendants”), answer
`
`the First Amended Complaint of Plaintiffs SIPCO, LLC (“SIPCO”) and IP CO, LLC
`
`(d/b/a/INTUS IQ) (“IP CO”) (collectively, “Plaintiffs”), as follows in the correspondingly
`
`numbered paragraphs:
`
`1.
`
`2.
`
`Admitted.
`
`Admitted.
`
`
`
`Case 6:15-cv-00907-RWS-KNM Document 30 Filed 01/20/16 Page 2 of 31 PageID #: 815
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`3.
`
`Emerson Defendants admit that Emerson Electric Co. is a corporation organized
`
`and existing under the laws of the State of Missouri and deny the remaining allegations of this
`
`Paragraph.
`
`4.
`
`Emerson Defendants admit that Emerson Process Management LLLP is indirectly
`
`a wholly owned subsidiary of Emerson Electric Co., and is organized and existing under the laws
`
`of the State of Delaware, and deny the remaining allegations of this Paragraph.
`
`5.
`
`6.
`
`7.
`
`Admitted.
`
`Admitted.
`
`Emerson Defendants lack knowledge or information sufficient to form a belief as
`
`to the truth of the allegations of this Paragraph, and therefore deny them.
`
`8.
`
`Emerson Defendants lack knowledge or information sufficient to form a belief as
`
`to the truth of the allegations of this Paragraph, and therefore deny them.
`
`9.
`
`Emerson Defendants lack knowledge or information sufficient to form a belief as
`
`to the truth of the allegations of this Paragraph, and therefore deny them.
`
`10. Admitted that, in general, claims for patent infringement arise under the cited
`
`statutes; denied that the Complaint actually asserts a claim for patent infringement under the
`
`cited statutes.
`
`11. Admitted.
`
`12. Emerson Defendants lack knowledge or information sufficient to form a belief as
`
`to the truth of the allegations of this Paragraph, and therefore deny them.
`
`13. Denied.
`
`- 2 -
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`Case 6:15-cv-00907-RWS-KNM Document 30 Filed 01/20/16 Page 3 of 31 PageID #: 816
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`14. Denied.
`
`15. Denied.
`
`16. Admitted.
`
`17. Emerson Defendants lack knowledge or information sufficient to form a belief as
`
`to the truth of the allegations of this Paragraph, and therefore deny them.
`
`18. Emerson Defendants admit knowledge of the ‘492 patent before the filing of the
`
`Complaint and deny the remaining allegations of this Paragraph.
`
`19. Denied.
`
`20. Admitted.
`
`21. Emerson Defendants lack knowledge or information sufficient to form a belief as
`
`to the truth of the allegations of this Paragraph, and therefore deny them.
`
`22. Emerson Defendants admit knowledge of the ‘692 patent before the filing of the
`
`Complaint and deny the remaining allegations of this Paragraph.
`
`23. Denied.
`
`24. Admitted.
`
`25. Emerson Defendants lack knowledge or information sufficient to form a belief as
`
`to the truth of the allegations of this Paragraph, and therefore deny them.
`
`26. Emerson Defendants admit knowledge of the existence of the ‘893 patent before
`
`the filing of the Complaint and deny the remaining allegations of this Paragraph.
`
`27. Denied.
`
`28. Admitted.
`
`- 3 -
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`29. Emerson Defendants lack knowledge or information sufficient to form a belief as
`
`to the truth of the allegations of this Paragraph, and therefore deny them.
`
`30. Emerson Defendants admit knowledge of the existence of the ‘516 patent before
`
`the filing of the Complaint and deny the remaining allegations of this Paragraph.
`
`31. Denied.
`
`32. Admitted.
`
`33. Emerson Defendants lack knowledge or information sufficient to form a belief as
`
`to the truth of the allegations of this Paragraph, and therefore deny them.
`
`34. Emerson Defendants admit knowledge of the ‘661 patent before the filing of the
`
`Complaint and deny the remaining allegations of this Paragraph.
`
`35. Denied.
`
`36. Admitted.
`
`37. Emerson Defendants lack knowledge or information sufficient to form a belief as
`
`to the truth of the allegations of this Paragraph, and therefore deny them.
`
`38. Emerson Defendants admit knowledge of the ‘314 patent before the filing of the
`
`Complaint and deny the remaining allegations of this Paragraph.
`
`39. Denied.
`
`40. Admitted.
`
`41. Emerson Defendants lack knowledge or information sufficient to form a belief as
`
`to the truth of the allegations of this Paragraph, and therefore deny them.
`
`- 4 -
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`Case 6:15-cv-00907-RWS-KNM Document 30 Filed 01/20/16 Page 5 of 31 PageID #: 818
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`42. Emerson Defendants admit knowledge of the existence of the ‘471 patent before
`
`the filing of the Complaint and deny the remaining allegations of this Paragraph.
`
`43. Denied.
`
`44. Admitted.
`
`45. Emerson Defendants lack knowledge or information sufficient to form a belief as
`
`to the truth of the allegations of this Paragraph, and therefore deny them.
`
`46. Emerson Defendants admit knowledge of the existence of the ‘496 patent before
`
`the filing of the Complaint and deny the remaining allegations of this Paragraph.
`
`47. Denied.
`
`48. Admitted.
`
`49. Emerson Defendants lack knowledge or information sufficient to form a belief as
`
`to the truth of the allegations of this Paragraph, and therefore deny them.
`
`50. Emerson Defendants admit knowledge of the existence of the ‘780 patent before
`
`the filing of the Complaint and deny the remaining allegations of this Paragraph.
`
`51. Denied.
`
`52. Admitted.
`
`53. Emerson Defendants lack knowledge or information sufficient to form a belief as
`
`to the truth of the allegations of this Paragraph, and therefore deny them.
`
`54. Denied.
`
`55. Denied.
`
`56. Admitted.
`
`- 5 -
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`Case 6:15-cv-00907-RWS-KNM Document 30 Filed 01/20/16 Page 6 of 31 PageID #: 819
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`57. Emerson Defendants lack knowledge or information sufficient to form a belief as
`
`to the truth of the allegations of this Paragraph, and therefore deny them.
`
`58. Emerson Defendants admit knowledge of the existence of the ‘732 patent before
`
`the filing of the Complaint and deny the remaining allegations of this Paragraph.
`
`59. Emerson Defendants lack knowledge or information sufficient to form a belief as
`
`to the truth of the allegations of this Paragraph, and therefore deny them.
`
`60. Emerson Defendants lack knowledge or information sufficient to form a belief as
`
`to the truth of the allegations of this Paragraph, and therefore deny them.
`
`61. Emerson Defendants lack knowledge or information sufficient to form a belief as
`
`to the truth of the allegations of this Paragraph, and therefore deny them.
`
`62. Emerson Defendants lack knowledge or information sufficient to form a belief as
`
`to the truth of the allegations of this Paragraph, and therefore deny them.
`
`63. Emerson Defendants lack knowledge or information sufficient to form a belief as
`
`to the truth of the allegations of this Paragraph, and therefore deny them.
`
`64. Emerson Defendants lack knowledge or information sufficient to form a belief as
`
`to the truth of the allegations of this Paragraph, and therefore deny them.
`
`65. Emerson Defendants admit that they sell and offer for sale products marketed by
`
`reference to “Smart Wireless Solutions.” Emerson Defendants lack knowledge or information
`
`sufficient to form a belief as to the truth of the remaining allegations of this Paragraph, and
`
`therefore deny them.
`
`- 6 -
`
`
`
`Case 6:15-cv-00907-RWS-KNM Document 30 Filed 01/20/16 Page 7 of 31 PageID #: 820
`
`66. Emerson Defendants admit that they sell and offer for sale products marketed by
`
`reference to “Smart Wireless Solutions” that may include gateways, devices, sensors, and
`
`software that support some aspects of the WirelessHART standard. Emerson Defendants lack
`
`knowledge or information sufficient to form a belief as to the truth of the remaining allegations
`
`of this Paragraph, and therefore deny them.
`
`67. Emerson Defendants admit that gateways may receive wireless messages
`
`according to some aspects of the WirelessHART standard. Emerson Defendants lack knowledge
`
`or information sufficient to form a belief as to the truth of the remaining allegations of this
`
`Paragraph, and therefore deny them
`
`68. Denied.
`
`69. Emerson Defendants deny all allegations in this paragraph, or lack knowledge or
`
`information sufficient to form a belief as to the truth of the allegations of this Paragraph, and
`
`therefore deny them, except the Emerson Defendants admit that: on or about August 2015
`
`Emerson and BP agreed to agree upon terms and conditions that would apply if and when BP
`
`requests and Emerson sells various products including some wirelessly-enabled products
`
`marketed by reference to “Smart Wireless Solutions” and Emerson believes that BP’s upstream
`
`oil and gas operations include wellheads at oil and gas fields around the globe.
`
`70. Denied.
`
`71. Admitted.
`
`72. Admitted that Emerson Electric Co. received a license to certain patents owned by
`
`SIPCO and IP CO, including the ‘511, ‘062, ‘516, ‘492, ‘692, ‘661, ‘893, ‘314, ‘471, and other
`
`- 7 -
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`
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`Case 6:15-cv-00907-RWS-KNM Document 30 Filed 01/20/16 Page 8 of 31 PageID #: 821
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`patents, and that the license had specific terms including field of use and licensed products; the
`
`remaining contentions of this Paragraph are denied.
`
`73. Denied.
`
`74. Denied.
`
`75. Denied.
`
`76. Denied.
`
`77. Denied.
`
`78. Denied.
`
`79. Denied.
`
`80. Denied.
`
`81. Admitted that Emerson Electric Co. had knowledge of the existence of the ‘511,
`
`‘062, ‘516, ‘492, ‘692, ‘661, ‘893, and 314 patents before October 25, 2011 and denied as to the
`
`remaining allegations of this Paragraph.
`
`82. Admitted that Emerson Process Management LLLP had knowledge of the
`
`existence of the ‘511, ‘062, ‘516, ‘492, ‘692, ‘661, ‘893, and 314 patents before October 25,
`
`2011 and denied as to the remaining allegations of this Paragraph.
`
`83. Admitted that Fisher-Rosemount Systems, Inc. had knowledge of the existence of
`
`the ‘511, ‘062, ‘516, ‘492, ‘692, ‘661, ‘893, and 314 patents before October 25, 2011 and denied
`
`as to the remaining allegations of this Paragraph.
`
`- 8 -
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`Case 6:15-cv-00907-RWS-KNM Document 30 Filed 01/20/16 Page 9 of 31 PageID #: 822
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`84. Admitted that Rosemount, Inc. had knowledge of the existence of the ‘511, ‘062,
`
`‘516, ‘492, ‘692, ‘661, ‘893, and 314 patents before October 25, 2011 and denied as to the
`
`remaining allegations of this Paragraph.
`
`85. Admitted that BP is not a party to the License Agreement; Emerson Defendants
`
`lack knowledge or information sufficient to form a belief as to the truth of the remaining
`
`allegations of this Paragraph, and therefore deny them.
`
`86. Emerson Defendants lack knowledge or information sufficient to form a belief as
`
`to the truth of the allegations of this Paragraph, and therefore deny them.
`
`87. Emerson Defendants restate and incorporate the answers set forth in the preceding
`
`paragraphs.
`
`88. Denied.
`
`89. Denied.
`
`90. Denied.
`
`91. Denied.
`
`92. Denied.
`
`93. Denied.
`
`94. Denied.
`
`95. Denied.
`
`96. Denied.
`
`97. Denied.
`
`98. Denied.
`
`- 9 -
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`
`Case 6:15-cv-00907-RWS-KNM Document 30 Filed 01/20/16 Page 10 of 31 PageID #: 823
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`99. Denied.
`
`100. Emerson Defendants restate and incorporate the answers set forth in the preceding
`
`paragraphs.
`
`101. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`102. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`103. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`104. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`105. Emerson Defendants restate and incorporate the answers set forth in the preceding
`
`paragraphs.
`
`106. Denied.
`
`- 10 -
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`
`Case 6:15-cv-00907-RWS-KNM Document 30 Filed 01/20/16 Page 11 of 31 PageID #: 824
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`107. Denied.
`
`108. Denied.
`
`109. Denied.
`
`110. Denied.
`
`111. Emerson Defendants restate and incorporate the answers set forth in the preceding
`
`paragraphs.
`
`112. Denied.
`
`113. Denied.
`
`114. Denied.
`
`115. Denied.
`
`116. Denied.
`
`117. Denied.
`
`118. Denied.
`
`119. Denied.
`
`120. Denied.
`
`121. Denied.
`
`122. Denied.
`
`123. Denied.
`
`124. Emerson Defendants restate and incorporate the answers set forth in the preceding
`
`paragraphs.
`
`- 11 -
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`125. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`126. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`127. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`128. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.Emerson
`
`129. Defendants restate and incorporate the answers set forth in the preceding
`
`paragraphs.
`
`130. Denied.
`
`131. Denied.
`
`132. Denied.
`
`133. Denied.
`
`- 12 -
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`Case 6:15-cv-00907-RWS-KNM Document 30 Filed 01/20/16 Page 13 of 31 PageID #: 826
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`134. Denied.
`
`135. Emerson Defendants restate and incorporate the answers set forth in the preceding
`
`paragraphs.
`
`136. Denied.
`
`137. Denied.
`
`138. Denied.
`
`139. Denied.
`
`140. Denied.
`
`141. Denied.
`
`142. Denied.
`
`143. Denied.
`
`144. Denied.
`
`145. Denied.
`
`146. Denied.
`
`147. Denied.
`
`148. Emerson Defendants restate and incorporate the answers set forth in the preceding
`
`paragraphs
`
`149. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`- 13 -
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`Case 6:15-cv-00907-RWS-KNM Document 30 Filed 01/20/16 Page 14 of 31 PageID #: 827
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`150. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`151. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`152. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`153. Defendants restate and incorporate the answers set forth in the preceding
`
`paragraphs.
`
`154. Denied.
`
`155. Denied.
`
`156. Denied.
`
`157. Denied.
`
`158. Denied.
`
`159. Emerson Defendants restate and incorporate the answers set forth in the preceding
`
`paragraphs.
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`- 14 -
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`Case 6:15-cv-00907-RWS-KNM Document 30 Filed 01/20/16 Page 15 of 31 PageID #: 828
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`160. Denied.
`
`161. Denied.
`
`162. Denied.
`
`163. Denied.
`
`164. Denied.
`
`165. Denied.
`
`166. Denied.
`
`167. Denied.
`
`168. Denied.
`
`169. Denied.
`
`170. Denied.
`
`171. Denied.
`
`172. Emerson Defendants restate and incorporate the answers set forth in the preceding
`
`paragraphs.
`
`173. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`174. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`- 15 -
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`Case 6:15-cv-00907-RWS-KNM Document 30 Filed 01/20/16 Page 16 of 31 PageID #: 829
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`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`175. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`176. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`177. Emerson Defendants restate and incorporate the answers set forth in the preceding
`
`paragraphs.
`
`178. Denied.
`
`179. Denied.
`
`180. Denied.
`
`181. Denied.
`
`182. Denied.
`
`183. Denied.
`
`184. Denied.
`
`185. Denied.
`
`186. Denied.
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`- 16 -
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`Case 6:15-cv-00907-RWS-KNM Document 30 Filed 01/20/16 Page 17 of 31 PageID #: 830
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`187. Denied.
`
`188. Denied.
`
`189. Denied.
`
`190. Emerson Defendants restate and incorporate the answers set forth in the preceding
`
`paragraphs.
`
`191. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`192. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`193. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`194. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`- 17 -
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`Case 6:15-cv-00907-RWS-KNM Document 30 Filed 01/20/16 Page 18 of 31 PageID #: 831
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`195. Emerson Defendants restate and incorporate the answers set forth in the preceding
`
`paragraphs.
`
`196. Denied.
`
`197. Denied.
`
`198. Denied.
`
`199. Denied.
`
`200. Denied.
`
`201. Denied.
`
`202. Denied.
`
`203. Denied.
`
`204. Denied.
`
`205. Denied.
`
`206. Denied.
`
`207. Denied.
`
`208. Emerson Defendants restate and incorporate the answers set forth in the preceding
`
`paragraphs.
`
`209. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`- 18 -
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`210. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`211. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`212. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`213. Emerson Defendants restate and incorporate the answers set forth in the preceding
`
`paragraphs.
`
`214. Denied.
`
`215. Denied.
`
`216. Denied.
`
`217. Denied.
`
`218. Denied.
`
`219. Denied.
`
`220. Denied.
`
`- 19 -
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`Case 6:15-cv-00907-RWS-KNM Document 30 Filed 01/20/16 Page 20 of 31 PageID #: 833
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`221. Denied.
`
`222. Denied.
`
`223. Denied.
`
`224. Denied.
`
`225. Denied.
`
`226. Emerson Defendants restate and incorporate the answers set forth in the preceding
`
`paragraphs.
`
`227. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`228. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`229. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`230. Emerson Defendants restate and incorporate the answers set forth in the preceding
`
`paragraphs.
`
`- 20 -
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`Case 6:15-cv-00907-RWS-KNM Document 30 Filed 01/20/16 Page 21 of 31 PageID #: 834
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`231. Denied.
`
`232. Denied.
`
`233. Denied.
`
`234. Denied.
`
`235. Denied.
`
`236. Denied.
`
`237. Denied.
`
`238. Denied.
`
`239. Denied.
`
`240. Denied.
`
`241. Denied.
`
`242. Denied.
`
`243. Emerson Defendants restate and incorporate the answers set forth in the preceding
`
`paragraphs.
`
`244. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`245. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`- 21 -
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`
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`Case 6:15-cv-00907-RWS-KNM Document 30 Filed 01/20/16 Page 22 of 31 PageID #: 835
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`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`246. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`247. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`248. Emerson Defendants restate and incorporate the answers set forth in the preceding
`
`paragraphs.
`
`249. Denied.
`
`250. Denied.
`
`251. Denied.
`
`252. Denied.
`
`253. Denied.
`
`254. Denied.
`
`255. Denied.
`
`256. Denied.
`
`257. Denied.
`
`- 22 -
`
`
`
`Case 6:15-cv-00907-RWS-KNM Document 30 Filed 01/20/16 Page 23 of 31 PageID #: 836
`
`258. Denied.
`
`259. Denied.
`
`260. Denied.
`
`261. Emerson Defendants restate and incorporate the answers set forth in the preceding
`
`paragraphs.
`
`262. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`263. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`264. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`265. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`- 23 -
`
`
`
`Case 6:15-cv-00907-RWS-KNM Document 30 Filed 01/20/16 Page 24 of 31 PageID #: 837
`
`266. Emerson Defendants restate and incorporate the answers set forth in the preceding
`
`paragraphs.
`
`267. Denied.
`
`268. Denied.
`
`269. Denied.
`
`270. Denied.
`
`271. Denied.
`
`272. Denied.
`
`273. Denied.
`
`274. Denied.
`
`275. Denied.
`
`276. Denied.
`
`277. Denied.
`
`278. Denied.
`
`279. Emerson Defendants restate and incorporate the answers set forth in the preceding
`
`paragraphs.
`
`280. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`- 24 -
`
`
`
`Case 6:15-cv-00907-RWS-KNM Document 30 Filed 01/20/16 Page 25 of 31 PageID #: 838
`
`281. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`282. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`283. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`284. Emerson Defendants restate and incorporate the answers set forth in the preceding
`
`paragraphs.
`
`285. Denied.
`
`286. Denied.
`
`287. Denied.
`
`288. Denied.
`
`289. Denied.
`
`290. Denied.
`
`291. Denied.
`
`- 25 -
`
`
`
`Case 6:15-cv-00907-RWS-KNM Document 30 Filed 01/20/16 Page 26 of 31 PageID #: 839
`
`292. Denied.
`
`293. Denied.
`
`294. Denied.
`
`295. Denied.
`
`296. Denied.
`
`297. Emerson Defendants restate and incorporate the answers set forth in the preceding
`
`paragraphs.
`
`298. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`299. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`300. Emerson Defendants deny the allegations of this Paragraph as to the Emerson
`
`products specifically identified; Emerson Defendants lack knowledge or information sufficient to
`
`form a belief as to the truth of the allegations of this Paragraph as to the products not specifically
`
`identified, and therefore deny them.
`
`EMERSON DEFENDANTS’ RESPONSE TO
`PLAINTIFFS’ PRAYER FOR RELIEF
`
`- 26 -
`
`
`
`Case 6:15-cv-00907-RWS-KNM Document 30 Filed 01/20/16 Page 27 of 31 PageID #: 840
`
`Emerson Defendants deny that Plaintiffs are entitled to any of the relief sought in their
`
`prayer for relief.
`
`EMERSON DEFENDANTS’ JURY DEMAND
`
`Emerson Defendants demand a trial by jury.
`
`EMERSON DEFENDANTS’ DEFENSES
`
`Emerson Defendants assert the following additional defenses to the Complaint, without
`
`altering the burden of proof. Emerson Defendants do not assume the burden of proof on any
`
`issue that is Plaintiffs’ burden as a matter of law. Emerson Defendants reserve the right to
`
`amend or supplement these defenses upon discovery and further investigation.
`
`FIRST DEFENSE
`FAILURE TO STATE A CLAIM
`
`Plaintiffs’ Complaint fails to state a claim upon which relief may be granted and/or fails
`
`to plead the allegations with sufficient particularity.
`
`SECOND DEFENSE
`NONINFRINGEMENT
`
`Emerson Defendants do not infringe and have not infringed any vali