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Displaying 249-263 of 592 results

1006 Exhibit: Excerpts from Wallace Wang, Beginning Programming for Dummies 1999

Document IPR2021-01294, No. 1006-6 Exhibit - Excerpts from Wallace Wang, Beginning Programming for Dummies 1999 (P.T.A.B. Jul. 20, 2021)
Ltd. for Australia and New Zealand; by TransQuest Publishers Pte Ltd. for Singapore, Malaysia, Thailand, Indonesia, and Hong Kong; by Gotop Information Inc. for Taiwan; by ICG Muse, Inc. for Japan; by Norma Comunicaciones S.A. for Colombia; by lntersoft for South Africa; by Eyrolles for France; by International Thomson Publishing for Germany, Austria and Switzerland; by Distribuidora Cuspide for Argentina; by LR International for Brazil; by Galileo Libros for Chile; by Ediciones ZETA S.C.R.
By the time you finish this book, you’ll be able to choose the best program- ming language to accomplish a particular task, understand the tools that programmers use, and even write your own programs for personal use or for sale to others.
Beginners could start learning to program by using C. but the complexities of (T can discour~ age people too soon — sort of like trying to teach a three-yearaild how to ride a bicycle by putting him on a motorcycle in the middle oi rush-hour traffic.
‘ 'Tltt- pens tu exactly match a specific value: Sllt'it as the numhrr 2] or the string " But sometimes you may want to run a set Iii inslt'llt'tiuns ii a variable falls within a range n!
For example, considerthis C program: :r'include
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1005 Exhibit: US Provisional Application No 60819,576 to Jason H Wolfe

Document IPR2021-01294, No. 1005-5 Exhibit - US Provisional Application No 60819,576 to Jason H Wolfe (P.T.A.B. Jul. 20, 2021)
en U.S. Patent and Trademark Offn:e; U.S. DEPARTMENT OF COMMERCE Under the Paperwork Reduction Act of 1995, no persons are required to respond to a collection of information unless it displays a valid 0MB control number.
0MB 0651-0032 U.S. Patent and Trademark Office; U.S. DEPARTMENT OF COMMERCE Under the Paperwork Reduction Act of 1995, no persons are required to respond to a collection of information unless it displays a valid 0MB control number.
[0004] The system and method of the present invention therefore provides an experience akin to a treasure hunt or adventure accessible to the public at large using location-based cell phone technology.
Furthermore, the present invention also does not require actors or administrators "in theater'', as the game is mediated entirely by cell phone - including all puzzles, challenges, score-keeping, and direction.
Express Mail No. EL 889 900 747 US Facebook's Exhibit No. 1005 Page 006 [0010] FIG. 3 is a method for providing a mobile phone based treasure hunt game employable by the system shown in FIGS. 1 and 2.
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1003 Exhibit: US Patent No 7,652,594 to Ivan J Lamont et al

Document IPR2021-01294, No. 1003-3 Exhibit - US Patent No 7,652,594 to Ivan J Lamont et al (P.T.A.B. Jul. 20, 2021)
Provisional Patent Application No. 60/669,828 entitled Architecture For Creating, Organizing, Editing, Manage ment And Delivery Of Locationally-Specific Information To A User In The Field,” and filed on Apr. 8, 2005, and is hereby incorporated by reference.
The client device is assigned the primary role of executing the tour script in response to a user's direction, temporal state, velocity, rate of incline or decline, or any other variable.
Variables affecting the display include but are not limited to: Speed, location, Velocity, rate of incline or decline, The key component in the operation of the system is the trigger point.
A Tour That Connects to Outdoor (GPS and GPRS Trian gulation) and to Indoor (Wireless Network) Triangulation This configuration utilizes the software's ability to take locational data from multiple sources.
The method of claim 6, further comprising the steps of: transferring the multimedia tour from the location-sensing device to a server, and plotting the trigger point on a map generated by a geo graphic information system.
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1012 Exhibit: Scheduling Order dated May 19, 2021 in Case No 220 cv 10753 AD MRW CD Cal

Document IPR2021-01294, No. 1012-12 Exhibit - Scheduling Order dated May 19, 2021 in Case No 220 cv 10753 AD MRW CD Cal (P.T.A.B. Jul. 20, 2021)
Please refer to the Court’s Standing Order for requirements for specific motions, discovery, certain types of filings, courtesy copies, emailing signature items to chambers, alternative dispute resolution, and other matters pertaining to all cases.
Facebook's Exhibit No. 1012 Page 004 04/29/2022 Trial Filings (Second Round) - Oppositions to Motions in Limine - Joint Proposed Final Pretrial Conference Order (C.D.
Counsel must be prepared to discuss streamlining the trial, including presentation of testimony by deposition excerpts or summaries, time limits, stipulations as to undisputed facts, and qualification of experts by admitted resumes.
Pursuant to Local Rule 16-2, lead trial counsel for each party are required to meet and confer in person 40 days in advance to prepare for the FPTC.
Counsel must not make facial expressions, nod, shake their heads, comment, or otherwise exhibit in any way any agreement, disagreement, or other opinion or belief concerning the testimony of a witness.
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2005 Exhibit: Exhibit 2005

Document IPR2021-01294, No. 2005-18 Exhibit - Exhibit 2005 (P.T.A.B. Oct. 28, 2021)
Defendant further reserves the right to supplement and amend these disclosures and associated document production based on further investigation, analysis, and discovery, Defendant’s consultation with experts and others, and contentions or court rulings on relevant issues such as claim construction and priority dates.
revise, amend, and/or supplement the information provided herein, including identifying, charting, and/or relying upon additional prior art references, relevant disclosures, and bases for Invalidity Contentions.
It is sufficient that a combination of elements was “obvious to try” holding that, “[w]hen there is a design need or market pressure to solve a problem and there are a finite number of identified, predictable solutions, a person of ordinary skill has good reason to pursue the known options within his or her technical grasp.
 Context-based presentation of content generally, including: o Advertising content (e.g., Cantrell ’698, Ferber ’193, Forden ’516, Graham ’891, Martel, Johnson ’234, Link II ’977, Patel ’574, Treyz ’835, COMPASS, Russell ’765, Facebook’s Targeted Ads system, Khivesara ’420, Blegen ’406, Elliot ’406, Minority Report, Aufricht ’493, Kontogouris ’910, Aufricht ’493, Meek ’639, Busch ’459, Doubleclick DART, AdRevolver, Pointcast, Ad-me, MPOS, SmartAds, STAMP, Lazaridis ’351, Lazaridis ’929) o Educational or informational content (e.g., COMPASS, Russell ’765, MOBILearn, PERKAM, Whitham ’351, Citysense) o Alarms or reminders (e.g., Alarm Clock for MAC, Suzuki ’675, Rosenberg ’522, Busch ’459, Citysense, Verbert) o Messaging (e.g., Davis ’029, Boss, Haigh ’603) o Content generally (e.g., Vanska, Agarwal ’413, Yamasaki ’000, Petersen ’288)  Games utilizing user context information (e.g., Benes ’882, Sporgis ’495, Ackley ’203, Treyz ’835)  Context-based data-collection (e.g., MyExperience, PERKAM)  Emergency response (e.g., DCJ, ERSI) Further, for each set of references that together refer to or describe the same system and/or potential improvements to the same system, it would have been obvious to combine such references.
The following references are hereby identified for this grouping:  Boss  Alarm Clock for Mac Wayback Machine Captures  Vänskä  Martel  Yamazaki ’000 e.g., at abstract (describing provision of contents in response to deciding upon a user’s context)
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2001 Exhibit: Exhibit 2001

Document IPR2021-01294, No. 2001-14 Exhibit - Exhibit 2001 (P.T.A.B. Aug. 11, 2021)

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2003 Exhibit: Exhibit 2003

Document IPR2021-01294, No. 2003-16 Exhibit - Exhibit 2003 (P.T.A.B. Oct. 28, 2021)

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2007 Exhibit: Exhibit 2007

Document IPR2021-01294, No. 2007-20 Exhibit - Exhibit 2007 (P.T.A.B. Oct. 28, 2021)

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2004 Exhibit: Exhibit 2004

Document IPR2021-01294, No. 2004-17 Exhibit - Exhibit 2004 (P.T.A.B. Oct. 28, 2021)

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1025 Exhibit: US Pat App Pub No US 20060230337 A1 to Lamont et al

Document IPR2021-01294, No. 1025-48 Exhibit - US Pat App Pub No US 20060230337 A1 to Lamont et al (P.T.A.B. Jul. 8, 2022)

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2018 Exhibit: Steve Smoot Deposition Transcript 2182022

Document IPR2021-01294, No. 2018-37 Exhibit - Steve Smoot Deposition Transcript 2182022 (P.T.A.B. Apr. 15, 2022)

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1021 Exhibit: Excerpts from Computer and Internet Dictionary 3rd ed 1999

Document IPR2021-01294, No. 1021-44 Exhibit - Excerpts from Computer and Internet Dictionary 3rd ed 1999 (P.T.A.B. Jul. 8, 2022)

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1022 Exhibit: Excerpts from Websters II New College Dictionary 3d ed 2005

Document IPR2021-01294, No. 1022-45 Exhibit - Excerpts from Websters II New College Dictionary 3d ed 2005 (P.T.A.B. Jul. 8, 2022)

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1023 Exhibit: US Pat No 6,963,588 B1 to Lynch et al

Document IPR2021-01294, No. 1023-46 Exhibit - US Pat No 6,963,588 B1 to Lynch et al (P.T.A.B. Jul. 8, 2022)

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2021 Exhibit: Dkt 39, Order in Palo Alto Research Center Inc v Facebook, Inc, No 2...

Document IPR2021-01294, No. 2021-50 Exhibit - Dkt 39, Order in Palo Alto Research Center Inc v Facebook, Inc, No 220 cv 10753 AB MRW CD Cal March 16, 2021 (P.T.A.B. Aug. 19, 2022)

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