Pursuant to 37 C.F.R. § 42.64(b)(1), Patent Owner Intuitive Building Controls, Inc. (“IBC” or “Patent Owner”) submits its objections to supplemental evidence served on IBC by Petitioner Crestron Electronics, Inc.’s on February 11, 2016.
Masses” article, For example: excerpted from o There is insufficient evidence to support a Issue No. 57 of finding that Peter House Jr. has personal Circuit Cellar (April 1995), knowledge of the matters asserted in paragraphs 2-5. attached hereto as The House Decl., including Exhibit A thereto, is Exhibit A” irrelevant.
For example: (“House Decl.”) o The House Decl. appears to refer to an alleged magazine and article, or copy or version thereof, that is different from Exhibit 1011 upon which review was instituted.
The House Decl., including Exhibit A thereto, is hearsay to the extent offered to prove the truth of any matter asserted therein.
The statements in the House Decl., including but not limited to paragraphs 2-5, are hearsay, including to the extent offered to prove the date on which the documents at issue were published within the meaning of 35 U.S.C. § 102, or the date on which they were disseminated or otherwise made available to the extent that persons interested and ordinarily skilled in the subject matter or art, exercising reasonable diligence, could locate them.