• All Courts
  • Federal Courts
  • Bankruptcies
  • PTAB
  • ITC
Track Search
Export
Download All
Displaying 39-53 of 123 results

12 Refund Request: PETITIONERS REQUEST FOR REFUND OF POST INSTITUTION FEES

Document IPR2016-00509, No. 12 Refund Request - PETITIONERS REQUEST FOR REFUND OF POST INSTITUTION FEES (P.T.A.B. Mar. 22, 2016)
Case IPR2016-00509 Pursuant to the Patent and Trademark Office’s Final Rule Setting and Adjusting Patent Fees, 78 Fed. Reg. 4212, 4232–4234 (Jan. 18, 2013), Petitioner Crestron Electronics, Inc. (“Petitioner”), requests a refund in the amount of $14,000.00 to be paid to deposit account number 50-5234.
On January 27, 2016, Petitioner filed a Petition for Inter partes Review of U.S. Patent No. 5,945,993 with the Patent Trial and Appeal Board (case number IPR2016-00509).
In accordance with the fee schedule specified in 37 C.F.R. § 42.15 Petitioner deposited an electronic payment in the amount of $9,000.00 with the Board at the time of filing of its Petition to cover associated fees with Petitioner’s inter partes review request, and $14,000.00 in Post-Institution fees.
On March 22, 2016 the Patent Trial and Appeal Board entered a Decision to dismiss this case before Institution.
Accordingly, Petitioner requests a refund for $14,000.00 for the post-institution fees paid to the USPTO in connection with this proceeding.

37 Notice: Joint Request to File Confidential Settlement Agreement As Business Confidential Information Pursuant to 35 USC 317 and 37 CFR 4274

Document IPR2015-01379, No. 37 Notice - Joint Request to File Confidential Settlement Agreement As Business Confidential Information Pursuant to 35 USC 317 and 37 CFR 4274 (P.T.A.B. Mar. 18, 2016...
Case IPR2015-01379 Pursuant to 35 U.S.C. § 317(b) and 37 C.F.R. § 42.74(c), Petitioner CRESTRON ELECTRONICS, INC. and Patent Owner INTUITIVE BUILDING CONTROLS, INC. jointly request to have the Confidential Settlement Agreement (Exhibit 2002), filed with their Joint Motion to Terminate Proceeding, treated as business confidential information and kept separate from the files of the patent at Respectfully submitted,
cite Cite Document

10 Notice: Joint Request to File Confidential Settlement Agreement as Business Co...

Document IPR2016-00509, No. 10 Notice - Joint Request to File Confidential Settlement Agreement as Business Confidential Information Pursuant to 35 USC 317 and 37 CFR 4274 (P.T.A.B. Mar. 18, 2016)

cite Cite Document

35 Notice: Joint Notice of Stipulated Extension of Deadlines for Patent Owner to Respond to the Petition and File a Motion to Amend the Patent

Document IPR2015-01379, No. 35 Notice - Joint Notice of Stipulated Extension of Deadlines for Patent Owner to Respond to the Petition and File a Motion to Amend the Patent (P.T.A.B. Mar. 14, 2016)
Pursuant to the Scheduling Order in this proceeding, (Paper 17), Patent Owner and Petitioner file this Joint Notice of Stipulated Extension of Deadlines for Patent Owner to Respond to the Petition and file a Motion to Amend the Patent.
Patent Owner’s current deadline to file a Response to the Petition and file a Motion to Amend the Patent is March 15, 2016.
Pursuant to the Scheduling Order in this proceeding, (Paper 17), Patent Owner and Petitioner have stipulated to extend this deadline by thirty (30) days to April 14, 2016.
cite Cite Document

11 Motion: Patent Owners Motion for Pro Hac Vice Admission

Document IPR2015-01379, No. 11 Motion - Patent Owners Motion for Pro Hac Vice Admission (P.T.A.B. Jul. 2, 2015)
The following statement of facts shows that there is good cause for the Board to recognize Mr. Kella pro hac vice during this proceeding.
and in two other co-pending district court litigations involving the ’993 patent: Intuitive Building Controls, Inc. v. Control4 Corporation, Case No. 2:15-cv-00503 (E.D.
Mr. Kella has reviewed the filings in these district court litigations, including the Complaints and responses thereto.
Therefore, Patent Owner respectfully submits that there is good cause for the Board to recognize Mr. Kella as counsel pro hac vice during this proceeding.
and in two other co-pending district court litigations involving the ’993 patent: Intuitive Building Controls, Inc. v. Control4 Corporation, Case No. 2:15-cv-00503 (E.D.
cite Cite Document

7 Motion: Motion to Withdraw

Document IPR2015-01379, No. 7 Motion - Motion to Withdraw (P.T.A.B. Jun. 26, 2015)
As authorized by the Board on Fri June 26, 2015, David Shifren, respectfully files this motion to request withdrawal from further representation of Petitioner in this proceeding under 37 C.F.R. §§ 11.116 and 42.10(e).
.” Paragraph (c) of this Section provides that “[a] practitioner must comply with applicable law requiring notice to or permission of a tribunal when terminating a representation.
Samir Termanini, a registered practitioner (Reg. No. 56,591), hereby agrees to take steps to the extent reasonably practicable to protect Petitioner’s interests;
Philip L. Kirkpatrick, a registered practitioner (Reg. No. 46,015), hereby agrees to take steps to the extent reasonably practicable to protect Petitioner’s interests;
Further, the withdrawal will not cause prejudice to the rights of the Petitioner as Samir Termanini and Philip L. Kirkpatrick are registered practitioners and are familiar with the underlying legal and technical issues of the instant proceedings.
cite Cite Document

31 Notice: Patent Owners Objections to Supplemental Evidence Pursuant to 37 CFR 4264

Document IPR2015-01379, No. 31 Notice - Patent Owners Objections to Supplemental Evidence Pursuant to 37 CFR 4264 (P.T.A.B. Feb. 19, 2016)
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.
cite Cite Document

6 Power of Attorney: Power of Attorney

Document IPR2016-00509, No. 6 Power of Attorney - Power of Attorney (P.T.A.B. Feb. 17, 2016)
Case No. IPR2016-00509 Patent No. 5,945,993 Intuitive Building Controls, Inc., as the owner of U.S. Patent No. 5,945,993, hereby appoints the following as its attorneys to transact all business in the United States Patent & Trademark Office associated with the above-captioned inter partes rev1ew: Lead Counsel: Anthony G. Simon, Esq.- Registration No. 40813 Backup Counsel (pro hac vice to be requested upon grant of authorization): Michael P. Kella, Esq.

7 Notice: Related Matters

Document IPR2016-00509, No. 7 Notice - Related Matters (P.T.A.B. Feb. 17, 2016)

cite Cite Document

3 Petition: Petition for IPR of US Pat No 5,945,993

Document IPR2015-01379, No. 3 Petition - Petition for IPR of US Pat No 5,945,993 (P.T.A.B. Jun. 11, 2015)

cite Cite Document

29 Notice: Patent Owners Objections to Supplemental Evidence andor Information...

Document IPR2015-01379, No. 29 Notice - Patent Owners Objections to Supplemental Evidence andor Information Pursuant to 37 CFR 4264 (P.T.A.B. Feb. 10, 2016)

cite Cite Document

28 Notice: SUBMISSION OF SUPPLEMENTAL INFORMATION AND UPDATED EXH...

Document IPR2015-01379, No. 28 Notice - SUBMISSION OF SUPPLEMENTAL INFORMATION AND UPDATED EXHIBIT LIST (P.T.A.B. Feb. 3, 2016)

cite Cite Document

3 Notice: Related Matters

Document IPR2016-00509, No. 3 Notice - Related Matters (P.T.A.B. Jan. 27, 2016)

cite Cite Document

2 Power of Attorney: Power of Attorney

Document IPR2016-00509, No. 2 Power of Attorney - Power of Attorney (P.T.A.B. Jan. 27, 2016)

cite Cite Document

25 Notice: Patent Owners Objections to Supplemental Evidence Pursuant to 37 CF...

Document IPR2015-01379, No. 25 Notice - Patent Owners Objections to Supplemental Evidence Pursuant to 37 CFR 4264 (P.T.A.B. Jan. 20, 2016)

cite Cite Document
<< 1 2 3 4 5 6 7 8 9 >>