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Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 1 of 37
`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 1 of 37
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`EXHIBIT 5
`EXHIBIT 5
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`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 2 of 37
`
`UNITED STATES DISTRICT COURT
`DISTRICT OF MASSACHUSETTS
`
`Plaintiff,
`
`
`
`v.
`
`PHILIPS NORTH AMERICA LLC,
`
`
`
`
`
`FITBIT, INC.
`
`
`
`
`
`Defendant.
`
`C.A. No. 1:19-cv-11586-IT
`
`
`
`)
`)
`)
`)
`)
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`)
`)
`)
`)
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`
`
`PLAINTIFF PHILIPS NORTH AMERICA LLC’S FIRST SUPPLEMENTAL L.R.
`16.6(d)(1) DISCLOSURES
`
`Pursuant to Local Rule 16.6(d)(1) and in accordance with the deadlines agreed to and
`
`adopted by the Court in this action, Philips North America LLC (“Philips,” “Plaintiff” or
`
`“Patentee”), by and through its counsel, makes the below Preliminary Patent-Related
`
`Disclosures.
`
`Discovery in this action is only just beginning, and Defendant has not yet produced any
`
`documents or other discovery in this litigation. Accordingly, these disclosures are based solely
`
`upon publicly available information and Plaintiff’s present understanding of said publicly
`
`available information. Plaintiff’s investigation of the matters disclosed in Preliminary
`
`Patent-Related Disclosures is ongoing. Accordingly, Plaintiff may seek to amend,
`
`modify, or supplement these disclosures based upon further discovery and investigation.
`
`Throughout these disclosures the term “Accused Products” may, depending on context
`
`and the specific patent at issue, mean any of the identified activity tracker products offered by
`
`Fitbit, as well as any software products related to, associated with, or used in conjunction with
`
`said activity tracker products (regardless of whether such software runs on the activity tracker
`
`

`

`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 3 of 37
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`itself, a mobile device, desktop/laptop computer, server, or other computing device). For
`
`example, “Accused Product” may refer to an activity tracker alone or to a system utilizing the
`
`activity tracker in combination with a device running the Fitbit App. An Accused Product may
`
`also refer to a system that further includes server-based software and related hardware and
`
`software.
`
`A.
`
`Infringement Claim Charts
`
`Attached as Exhibits 1-65 are claim charts detailing Defendant’s infringement of
`
`the following U.S. Patents: U.S. Patent Nos. 6,013,007; 7,088,233; 8,277,377; and
`
`6,976,958. Plaintiff asserts that Fitbit both directly and indirectly infringes each asserted
`
`claim under 35 U.S.C. § 271(a), (b), (c) and (f) by making, using, offering for sale,
`
`selling, importing, or exporting the Accused Products or components thereof; directing or
`
`controlling the use of the Accused Products by others (whether in whole or in part);
`
`actively and knowingly inducing others to use the Accused Products in an infringing
`
`manner; and/or contributing to the infringement of others.
`
`Plaintiff asserts that each Asserted Claims is literally present in the Accused Products.
`
`To the extent that any elements of the Asserted Claims are not literally present, Plaintiff asserts
`
`that each element of the Asserted Claims is present under the doctrine of equivalents because any
`
`differences between the features of the Accused Product and the corresponding claim elements
`
`are insubstantial and/or that these features perform substantially the same functions in
`
`substantially the same ways to achieve substantially the same result as the corresponding claim
`
`elements.
`
`Fibit’s First Amended Complaint (Dkt. 25) also details Fitbit’s infringement and is
`
`incorporated herein by reference.
`
`2
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`

`

`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 4 of 37
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`A summary of the asserted patents, infringing products, and asserted claims is
`
`provided below:
`
`U.S. Patent No. 6,013,007
`
`Ex.
`
`Infringing Product
`
`Asserted Claims
`
`Fitbit Ionic
`
`Fitbit Surge
`
`7, 21, 23, 24, 25, 26, 28, 29
`
`7, 21, 23, 24, 25, 26, 28, 29
`
`1
`
`2
`
`
`
`U.S. Patent No. 7,088,233
`
`Ex.
`
`Infringing Device
`
`Asserted Claims
`
`3
`
`4
`
`5
`
`7
`
`8
`
`9
`
`10
`
`11
`
`12
`
`13
`
`14
`
`15
`
`16
`
`Fitbit Ionic
`
`Fitbit Surge
`
`Fitbit Versa
`
`Fitbit Versa Lite
`Edition
`
`1, 7, 8, 9, 10, 13, 14, 15, 16, 22, 24, 25, 26
`
`1, 7, 8, 9, 10, 13, 14, 24, 25, 26
`
`1, 7, 8, 9, 10, 13, 14, 15, 16, 22, 26
`
`1, 7, 8, 9, 10, 13, 14, 26
`
`Fitbit Charge
`
`1, 7, 8, 9, 10, 13, 14, 26
`
`Fitbit Charge HR
`
`1, 7, 8, 9, 10, 13, 14, 26
`
`Fitbit Charge 2
`
`1, 7, 8, 9, 10, 13, 14, 26
`
`Fitbit Charge 3
`
`1, 7, 8, 9, 10, 13, 14, 26
`
`Fitbit Inspire
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`1, 7, 8, 9, 10, 13, 14, 26
`
`Fitbit Inspire HR
`
`1, 7, 8, 9, 10, 13, 14, 26
`
`Fitbit Alta
`
`1, 7, 8, 9, 10, 13, 14, 26
`
`Fitbit Alta HR
`
`1, 7, 8, 9, 10, 13, 14, 26
`
`Fitbit Flex
`
`1, 7, 8, 9, 10, 13, 14, 26
`
`3
`
`

`

`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 5 of 37
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`17
`
`18
`
`19
`
`20
`
`21
`
`22
`
`23
`
`
`
`Fitbit Flex 2
`
`Fitbit Ace
`
`Fitbit Ace 2
`
`Fitbit Zip
`
`Fitbit Blaze
`
`Fitbit Force
`
`Fitbit One
`
`
`
`1, 7, 8, 9, 10, 13, 14, 26
`
`1, 7, 8, 9, 10, 13, 14, 26
`
`1, 7, 8, 9, 10, 13, 14, 26
`
`1, 7, 8, 9, 10, 13, 14, 26
`
`1, 7, 8, 9, 10, 13, 14, 26
`
`1, 7, 8, 9, 10, 13, 14, 26
`
`1, 7, 8, 9, 10, 13, 14, 26
`
`
`
`U.S. Patent No. 8,277,377
`
`Ex.
`
`Infringing Device
`
`Asserted Claims
`
`24
`
`25
`
`26
`
`27
`
`28
`
`30
`
`31
`
`32
`
`34
`
`36
`
`42
`
`Fitbit Ionic
`
`Fitbit Surge
`
`Fitbit Versa
`
`Fitbit Versa 2
`
`Fitbit Versa Lite
`Edition
`
`1, 4, 5, 6, 9, 12
`
`1, 4, 5, 6, 9, 12
`
`1, 4, 5, 6, 9, 12
`
`1, 4, 5, 6, 9, 12
`
`1, 4, 5, 6, 9, 12
`
`Fitbit Charge HR
`
`1, 4, 5, 6, 9, 12
`
`Fitbit Charge 2
`
`Fitbit Charge 3
`
`1, 4, 5, 6, 9, 12
`
`1, 4, 5, 6, 9, 12
`
`Fitbit Inspire HR
`
`1, 4, 5, 6, 9, 12
`
`Fitbit Alta HR
`
`Fitbit Blaze
`
`1, 4, 5, 6, 9, 12
`
`1, 4, 5, 6, 9, 12
`
`4
`
`
`
`
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`

`

`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 6 of 37
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`U.S. Patent No. 6,976,958
`
`Ex.
`
`Infringing Device
`
`Asserted Claims
`
`45
`
`46
`
`47
`
`48
`
`49
`
`50
`
`51
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`52
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`53
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`54
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`55
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`56
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`57
`
`58
`
`59
`
`60
`
`61
`
`62
`
`63
`
`64
`
`65
`
`Fitbit Ionic
`
`Fitbit Surge
`
`Fitbit Versa
`
`Fitbit Versa 2
`
`Fitbit Versa Lite
`Edition
`
`Fitbit Charge
`
`Fitbit Charge HR
`
`Fitbit Charge 2
`
`Fitbit Charge 3
`
`Fitbit Inspire
`
`Fitbit Inspire HR
`
`Fitbit Alta
`
`Fitbit Alta HR
`
`Fitbit Flex
`
`Fitbit Flex 2
`
`Fitbit Ace
`
`Fitbit Ace 2
`
`Fitbit Zip
`
`Fitbit Blaze
`
`Fitbit Force
`
`Fitbit One
`
`15, 16, 17
`
`15, 16, 17
`
`15, 16, 17
`
`15, 16, 17
`
`15, 16, 17
`
`15, 16, 17
`
`15, 16, 17
`
`15, 16, 17
`
`15, 16, 17
`
`15, 16, 17
`
`15, 16, 17
`
`15, 16, 17
`
`15, 16, 17
`
`15, 16, 17
`
`15, 16, 17
`
`15, 16, 17
`
`15, 16, 17
`
`15, 16, 17
`
`15, 16, 17
`
`15, 16, 17
`
`15, 16, 17
`
`5
`
`

`

`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 7 of 37
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`
`
`B.
`
`Prosecution History
`
`Copies of the prosecution histories for each asserted patent, as well as copies of
`
`file histories for parent applications and provisional applications, are being produced
`
`concurrently with Bates Nos. PNA-FB0001299-PNA-FB0002218 and PNA-FB0002460-
`
`PNA-FB0003429. Plaintiff will supplement their production with additional information
`
`concerning conception and/or reduction to practice of the invention if and when it falls
`
`within Plaintiff’s possession, custody, or control.
`
`C. Ownership Evidence
`
`Copies of assignments related to the Asserted Patents are being concurrently
`
`produced with Bates Nos. PNAFB0002219 - PNAFB0002344.
`
`
`
`
`
`D. Real Parties in Interest
`
`Plaintiff is presently unaware of any specific documents identifying real parties in
`
`interest beyond Philips North America LLC, though does note that as matter of public
`
`record that Philips North America LLC is a subsidiary of Koninklijke Philips N.V., which
`
`is publicly traded.
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`
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`6
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`

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`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 8 of 37
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`
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`Dated: May 15, 2020
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`Respectfully Submitted,
`
`
`
`
` /s/ Eley O. Thompson
`Lucas I. Silva (BBO 673,935)
`Ruben J. Rodrigues (BBO 676,573)
`John W. Custer (BBO 705,258)
`FOLEY & LARDNER LLP
`111 Huntington Avenue
`Suite 2500
`Boston, MA 02199-7610
`Phone: (617) 342-4000
`Fax: (617) 342-4001
`lsilva@foley.com
`
`
`
`Eley O. Thompson (pro hac vice to be filed)
`FOLEY & LARDNER LLP
`321 N. Clark Street
`Suite 2800
`Chicago, IL 60654-5313
`Phone: (312) 832-4359
`Fax: (312) 832-4700
`ethompson@foley.com
`
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`Counsel for Plaintiff
` Philips North America LLC
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`7
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`

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`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 9 of 37
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`CERTIFICATE OF SERVICE
`
`The undersigned hereby certifies that a true and correct copy of the above document was
`
`served on May 15, 2020 on counsel for Defendant via electronic mail.
`
`
`
`
`
`
`/s/ Ruben J. Rodrigues
`
`
`
`
`8
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`

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`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 10 of 37
`
`Phillips North America LLC v. Fitbit, Inc., No. 1:19-cv-11586-IT (D. Mass)
`First Supplemental Exhibit 30 - Infringement Claim Chart: U.S. Patent No. 8,277,377
`
`Fitbit Charge HR
`
`The Accused Product provides a method for interactive exercise monitoring:
`
`
`
`U.S. Patent No.
`8,277,377
`
`Claim 1
`A method for
`interactive exercise
`monitoring, the
`method comprising
`the steps of
`
`
`PNA-FB0001256; See also video at https://youtu.be/aunF4Sog_UQ
`
`
`
`

`

`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 11 of 37
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`Phillips North America LLC v. Fitbit, Inc., No. 1:19-cv-11586-IT (D. Mass)
`Exhibit 30 - Infringement Claim Chart: U.S. Patent No. 8,277,377
`
`The method provided by the Accused Product involves downloading an application (the “Fitbit App”) to a
`web-enabled wireless phone directly from a remote server over the internet:
`
`a. downloading an
`application to a web-
`enabled wireless
`phone directly from a
`remote server over the
`internet;
`
`PNA-FB0001257
`
`2
`
`
`
`
`
`
`
`

`

`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 12 of 37
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`Phillips North America LLC v. Fitbit, Inc., No. 1:19-cv-11586-IT (D. Mass)
`Exhibit 30 - Infringement Claim Chart: U.S. Patent No. 8,277,377
`
`The method provided by the Accused Product involves coupling the web-enabled wireless phone to a device
`(the Fitbit Charge HR) via “syncing,” which provides exercise-related information:
`
`PNA-FB0001257
`
`PNA-FB0001259
`
`3
`
`
`
`
`
`
`
`b. coupling the a web-
`enabled wireless
`phone to a device
`which provides
`exercise-related
`information;
`
`
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`

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`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 13 of 37
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`Phillips North America LLC v. Fitbit, Inc., No. 1:19-cv-11586-IT (D. Mass)
`Exhibit 30 - Infringement Claim Chart: U.S. Patent No. 8,277,377
`
` PNA-FB0000048
`
`4
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`

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`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 14 of 37
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`Phillips North America LLC v. Fitbit, Inc., No. 1:19-cv-11586-IT (D. Mass)
`Exhibit 30 - Infringement Claim Chart: U.S. Patent No. 8,277,377
`
`The method provided by the Accused Product involves rendering a user interface on the web-enable wireless
`phone (via the Fitbit App):
`
`c. rendering a user
`interface on the web-
`enabled wireless
`phone;
`
`
`PNA-FB0000130
`
`
`5
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`

`

`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 15 of 37
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`Phillips North America LLC v. Fitbit, Inc., No. 1:19-cv-11586-IT (D. Mass)
`Exhibit 30 - Infringement Claim Chart: U.S. Patent No. 8,277,377
`
`PNA-FB0000039
`
`
`
`6
`
`
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`

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`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 16 of 37
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`Phillips North America LLC v. Fitbit, Inc., No. 1:19-cv-11586-IT (D. Mass)
`Exhibit 30 - Infringement Claim Chart: U.S. Patent No. 8,277,377
`
`The method provided by the Accused Product involves receiving data indicating a physiologic status of a
`subject (such as heart rate) using the application (the Fitbit App):
`
`d. using the
`application, receiving
`data indicating a
`physiologic status of a
`subject;
`
`
`PNA-FB0001263
`
`
`7
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`

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`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 17 of 37
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`Phillips North America LLC v. Fitbit, Inc., No. 1:19-cv-11586-IT (D. Mass)
`Exhibit 30 - Infringement Claim Chart: U.S. Patent No. 8,277,377
`
`PNA-FB0000065
`
`
`
`
`8
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`

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`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 18 of 37
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`Phillips North America LLC v. Fitbit, Inc., No. 1:19-cv-11586-IT (D. Mass)
`Exhibit 30 - Infringement Claim Chart: U.S. Patent No. 8,277,377
`
`PNA-FB0000259
`
`
`
`9
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`

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`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 19 of 37
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`Phillips North America LLC v. Fitbit, Inc., No. 1:19-cv-11586-IT (D. Mass)
`Exhibit 30 - Infringement Claim Chart: U.S. Patent No. 8,277,377
`
`PNA-FB0000039
`
`
`
`
`10
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`
`
`
`
`

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`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 20 of 37
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`Phillips North America LLC v. Fitbit, Inc., No. 1:19-cv-11586-IT (D. Mass)
`Exhibit 30 - Infringement Claim Chart: U.S. Patent No. 8,277,377
`
`The method provided by the Accused Product involves receiving data indicating an amount of exercise
`performed by the subject (such as number of steps, active minutes, and distance) using the application (the
`Fitbit App):
`
`PNA-FB0001263
`
`
`11
`
`
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`
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`e. using the
`application, receiving
`data indicating an
`amount of exercise
`performed by the
`subject;
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`
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`

`

`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 21 of 37
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`Phillips North America LLC v. Fitbit, Inc., No. 1:19-cv-11586-IT (D. Mass)
`Exhibit 30 - Infringement Claim Chart: U.S. Patent No. 8,277,377
`
` PNA-FB0000065
`
`
`
`
`12
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`
`
`
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`

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`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 22 of 37
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`Phillips North America LLC v. Fitbit, Inc., No. 1:19-cv-11586-IT (D. Mass)
`Exhibit 30 - Infringement Claim Chart: U.S. Patent No. 8,277,377
`
`PNA-FB0003450
`
`
`
`13
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`

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`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 23 of 37
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`Phillips North America LLC v. Fitbit, Inc., No. 1:19-cv-11586-IT (D. Mass)
`Exhibit 30 - Infringement Claim Chart: U.S. Patent No. 8,277,377
`
`PNA-FB0000252-253
`
`
`
`14
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`

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`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 24 of 37
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`Phillips North America LLC v. Fitbit, Inc., No. 1:19-cv-11586-IT (D. Mass)
`Exhibit 30 - Infringement Claim Chart: U.S. Patent No. 8,277,377
`
`PNA-FB0000254-255
`
`
`
`15
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`

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`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 25 of 37
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`Phillips North America LLC v. Fitbit, Inc., No. 1:19-cv-11586-IT (D. Mass)
`Exhibit 30 - Infringement Claim Chart: U.S. Patent No. 8,277,377
`
`The Accused Product provides a method wherein at least one of the data indicating a physiologic status of a
`subject or the data indicating an amount of exercise performed by the subject is received from the device (the
`Fitbit Charge HR) which provides exercise related information:
`
`PNA-FB0001263
`
`
`16
`
`
`
`f. wherein at least one
`of the data indicating
`a physiologic status of
`a subject or the data
`indicating an amount
`of exercise performed
`by the subject is
`received from the
`device which provides
`exercise-related
`information,
`
`
`
`
`
`

`

`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 26 of 37
`
`Phillips North America LLC v. Fitbit, Inc., No. 1:19-cv-11586-IT (D. Mass)
`Exhibit 30 - Infringement Claim Chart: U.S. Patent No. 8,277,377
`
`The Accused Product provides a method wherein the data indicating a physiologic status of a subject is
`received at least partially while the subject is exercising. The Fitbit App and Fitbit Charge HR automatically
`“sync,” including while a subject is exercising:
`
`PNA-FB0001259
`
`
`
`17
`
`and wherein the data
`indicating a
`physiologic status of a
`subject is received at
`least partially while
`the subject is
`exercising;
`
`
`
`
`
`
`

`

`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 27 of 37
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`Phillips North America LLC v. Fitbit, Inc., No. 1:19-cv-11586-IT (D. Mass)
`Exhibit 30 - Infringement Claim Chart: U.S. Patent No. 8,277,377
`
`PNA-FB0001263
`
`
`18
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`
`
`
`
`
`
`

`

`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 28 of 37
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`Phillips North America LLC v. Fitbit, Inc., No. 1:19-cv-11586-IT (D. Mass)
`Exhibit 30 - Infringement Claim Chart: U.S. Patent No. 8,277,377
`
`The method of the Accused Product involves sending the exercise related information to an internet server
`via a wireless network as demonstrated by the fact that this data can then be accessed through the fitbit.com
`dashboard website:
`
`g. sending the
`exercise-related
`information to an
`internet server via a
`wireless network;
`
`
`
`
`
`
` PNA-FB0000065
`
`
` PNA-FB0000113
`
`
`19
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`
`
`
`

`

`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 29 of 37
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`Phillips North America LLC v. Fitbit, Inc., No. 1:19-cv-11586-IT (D. Mass)
`Exhibit 30 - Infringement Claim Chart: U.S. Patent No. 8,277,377
`
` PNA-FB0000045
`
`
`
`
`20
`
`
`
`
`
`

`

`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 30 of 37
`
`Phillips North America LLC v. Fitbit, Inc., No. 1:19-cv-11586-IT (D. Mass)
`Exhibit 30 - Infringement Claim Chart: U.S. Patent No. 8,277,377
`
`PNA-FB0000261
`
`
`
`
`21
`
`
`
`
`
`

`

`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 31 of 37
`
`Phillips North America LLC v. Fitbit, Inc., No. 1:19-cv-11586-IT (D. Mass)
`Exhibit 30 - Infringement Claim Chart: U.S. Patent No. 8,277,377
`
`The method of the Accused Product involves receiving a variety of different calculated responses from the
`server (such as cardio fitness score, heart rate zones, and resting heart rates), the responses associated with a
`calculation performed by the server based on the exercise-related information:
`
` PNA-FB0000113
`
`
`
`
`22
`
`h. receiving a
`calculated response
`from the server, the
`response associated
`with a calculation
`performed by the
`server based on the
`exercise-related
`information; and
`
`
`
`
`
`

`

`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 32 of 37
`
`Phillips North America LLC v. Fitbit, Inc., No. 1:19-cv-11586-IT (D. Mass)
`Exhibit 30 - Infringement Claim Chart: U.S. Patent No. 8,277,377
`
`
`PNA-FB0000257-259
`
`
`
`
`23
`
`
`
`
`
`

`

`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 33 of 37
`
`Phillips North America LLC v. Fitbit, Inc., No. 1:19-cv-11586-IT (D. Mass)
`Exhibit 30 - Infringement Claim Chart: U.S. Patent No. 8,277,377
`
`The Accused Product provides a method, using the application (the Fitbit App), that displays the response:
`
`
`i. using the
`application,
`displaying the
`response.
`
`PNA-FB0000257-259
`
`
`
`
`24
`
`
`
`
`
`

`

`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 34 of 37
`
`Phillips North America LLC v. Fitbit, Inc., No. 1:19-cv-11586-IT (D. Mass)
`Exhibit 30 - Infringement Claim Chart: U.S. Patent No. 8,277,377
`
`The Accused Product provides a method wherein the web-enabled wireless phone receives exercise-related
`information over a transmission medium, the transmission medium including a wireless connection:
`
`PNA-FB0001259
`The Accused Product provides a method wherein the web-enabled wireless connection includes a radio
`frequency communication protocol including a short-range wireless transmission scheme:
`
`
`
`PNA-FB0001259
`
`
`
`25
`
`Claim 4
`The method of claim
`1, wherein the web-
`enabled wireless
`phone receives
`exercise-related
`information over a
`transmission medium,
`the transmission
`medium including a
`wired connection or a
`wireless connection.
`
`Claim 5
`The method of claim
`4, wherein the
`wireless connection
`includes an infrared
`connection or a radio
`frequency
`communication
`protocol including a
`short-range wireless
`transmission scheme.
`
`
`
`
`
`

`

`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 35 of 37
`
`Phillips North America LLC v. Fitbit, Inc., No. 1:19-cv-11586-IT (D. Mass)
`Exhibit 30 - Infringement Claim Chart: U.S. Patent No. 8,277,377
`
`The Accused Product provides a method wherein the short-range wireless transmission scheme includes
`short-wavelength radio transmission in the ISM band of 2400-2480 MHZ:
`
`PNA-FB0001259
`
`
`
`26
`
`Claim 6
`The method of claim
`5, wherein the short-
`range wireless
`transmission scheme
`includes IEEE 802.11
`protocol or short-
`wavelength radio
`transmission in the
`ISM band of 2400-
`2480 MHZ.
`
`
`
`
`
`

`

`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 36 of 37
`
`Phillips North America LLC v. Fitbit, Inc., No. 1:19-cv-11586-IT (D. Mass)
`Exhibit 30 - Infringement Claim Chart: U.S. Patent No. 8,277,377
`
`The Accused Product provides a method wherein the data indicating an amount of exercise performed is
`received from an accelerometer:
`
`PNA-FB0001275
`
`
`
`
`27
`
`Claim 9
`The method of claim
`1, wherein the data
`indicating an amount
`of exercise performed
`is received from a
`device selected from
`the group consisting
`of: a treadmill, a
`stepper, an exercise
`cycle, an
`accelerometer, a
`rowing machine,
`physiotherapy
`equipment, an aerobic
`or anaerobic exercise
`device, and a device
`that monitors an
`amount of work or
`rate of work
`performed.
`
`
`
`
`
`

`

`Case 1:19-cv-11586-FDS Document 365-5 Filed 03/30/22 Page 37 of 37
`
`Phillips North America LLC v. Fitbit, Inc., No. 1:19-cv-11586-IT (D. Mass)
`Exhibit 30 - Infringement Claim Chart: U.S. Patent No. 8,277,377
`
`The Accused Product provides for the method of claim 1, wherein the data indicating a physiologic status of
`a subject is received from a heart rate monitor device:
`
`PNA-FB0001275
`See also the discussion of each element of claim 1 above.
`
`
`
`
`28
`
`Claim 12
`The method of claim
`1, wherein the data
`indicating a
`physiologic status of a
`subject is received
`from a device selected
`from the group
`consisting of: a heart
`rate monitor, a blood
`pressure monitor, a
`body temperature
`monitor, a respiratory
`monitor, a
`biofeedback device,
`an electronic body
`weight scale, and a
`body fat gauge.
`
`
`
`
`
`
`
`
`
`
`
`

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