throbber
IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`
`Robert J. Davies
`In re Patent of:
`6,993,049 Attorney Docket No.: 39521-0056IP1
`U.S. Patent No.:
`January 31, 2006
`Issue Date:
`Appl. Serial No.: 09/876,514
`Filing Date:
`June 7, 2001
`Title:
`COMMUNICATION SYSTEM
`
`Mail Stop Patent Board
`Patent Trial and Appeal Board
`U.S. Patent and Trademark Office
`P.O. Box 1450
`Alexandria, VA 22313-1450
`
`DECLARATION OF MR. PETER RYSAVY
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`1
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`Exhibit 1033
`Apple, et al. v. Uniloc
`IPR2019-00251
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`

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`Proceeding No.: IPR2019-00251
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`I, Peter Rysavy, do hereby declare as follows:
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`1.
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`I am over the age of 18, have personal knowledge of the facts set forth
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`herein, and am competent to testify to the same. I am not being compensated for
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`my time spent on this declaration and my compensation is not affected by the
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`outcome of this IPR.
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`2.
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`I graduated with BSEE and MSEE degrees from Stanford University
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`in 1979.
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`3.
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`From 1988 to 1993, I was vice president of engineering and
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`technology at Traveling Software (later renamed LapLink), at which projects
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`included LapLink, LapLink Wireless, and connectivity solutions for a wide variety
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`of mobile platforms. During this period, I was responsible for evaluating wireless
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`technologies for use with the LapLink file transfer and synchronization product
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`family. I also managed the development of a short-range wireless modem called
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`LapLink Wireless that replaced a serial-data cable connection between computers.
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`Prior to Traveling Software, I spent seven years at Fluke Corporation, where I
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`worked on data-acquisition products and touch-screen technology.
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`4.
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`I am the president of the consulting firm Rysavy Research LLC and
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`have worked as a consultant in the field of wireless technology since 1993. As a
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`consultant I specialize in wireless technology. One of my clients in 1994 was
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`McCaw Cellular (which later became AT&T Wireless), the leading U.S. cellular
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`Proceeding No.: IPR2019-00251
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`company at the time. I did multiple projects for McCaw Cellular, helping me
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`develop my expertise in wireless and cellular technology.
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`5.
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`Beginning in 1994, I began teaching public wireless courses,
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`including courses that I taught at Portland State University and the University of
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`California, Los Angeles. These courses included content about paging networks,
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`cellular networks (1G to 5G), mobile-data networks, Wi-Fi (IEEE 802.11),
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`Bluetooth, IR-based technologies (IEEE 802.11 and IRDA), satellite systems, and
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`mobile-application architectures.
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`6.
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`I have written more than one hundred and eighty articles, reports, and
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`papers, and have taught more than forty public courses and webcasts, on wireless
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`technology, including both RF- and IR-based systems. I have also performed
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`technical evaluations of many wireless technologies including mobile browser
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`technologies, wireless e-mail systems, municipal/mesh Wi-Fi networks, Wi-Fi
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`hotspot networks, cellular-data services, and social networking applications.
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`7.
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`Further detail on my background and work experience, along with a
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`list of my publications and the cases in which I have given testimony in the past
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`four years, is contained in my CV in Appendix A1.
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`Proceeding No.: IPR2019-00251
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`The Bluetooth Specification
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`8.
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`I have reviewed a copy of Ex.1014 in these IPR proceedings. Ex.
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`1014 was published by the Bluetooth Special Interest Group (“SIG”), and was a
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`well-known specification in the wireless industry upon its publication in December
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`1999. Its full title is “Specification of the Bluetooth System” and its title page
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`reflects that it is the “Core” specification, defining implementation details that
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`developers used to create devices that can communicate using the Bluetooth
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`Protocol. I recall the Bluetooth Specification being published in 1999 and
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`personally reviewed it in 2000, before publishing my article “Wireless Wonders
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`Coming Your Way” in May 2000. This article is available at the following link:
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`https://rysavyresearch.files.wordpress.com/2017/08/2000_05_wireless_wonders.pd
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`f. Ex.1036. I also presented on the Bluetooth Protocol in October 2000, as part of
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`a full day course on “Wireless Data Networks” that I delivered at the WEB2000
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`industry conference, further confirming my recollection that I reviewed and
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`consulted the Bluetooth Specification numerous times in the year after its
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`publication.
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`9.
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`I recall that the Bluetooth Specification was published and made
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`available for free download from the Bluetooth website:
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`https://www.bluetooth.com/. This recollection is confirmed by archived pages from
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`the Bluetooth website, showing that on December 6, 1999, the “Bluetooth
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`Proceeding No.: IPR2019-00251
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`Specification V 1.0 B [was] published on the Bluetooth.com website.”
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`https://web.archive.org/web/20000517192715/http://www.bluetooth.com/text/news
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`/archive/archive.asp?news=2 (Ex.1037); see also
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`https://web.archive.org/web/20000518114920/http://www.bluetooth.com/text/news
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`/archive/archive.asp?news=list. Ex.1038. It is further confirmed by patents
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`issuing from applications filed in early 2000. See Ex. 1031, 5:35-39 (patent issuing
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`from January 2000 application, stating “[t]he communications industry has adopted
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`the Bluetooth Specification as a recommended communications technique for short
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`distance wireless RF communication applications. The Bluetooth Specification can
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`be found at www.Bluetooth.com or www.Bluetooth.net.”); Ex. 1032, 8:25-38
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`(patent issued from application filed March 2000 describing Bluetooth and the
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`Bluetooth 1.0 specification, and noting that “[t]he Specification may be accessed
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`on the Web at www.bluetooth.com.”). Having reviewed the Bluetooth
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`Specification (Ex. 1014), I believe it to be a true and correct copy of the Core
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`Bluetooth Specification that was publicly available by December 1999.
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`10.
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`I declare under penalty of perjury that the foregoing is true and
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`correct. I hereby declare that all statements made herein of my own knowledge are
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`true and that all statements made on information and belief are believed to be true;
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`and further that these statements were made the knowledge that willful false
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`Proceeding No.: IPR2019-00251
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`statements and the like so made are punishable by fine or imprisonment, or both,
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`under Section 1001 of Title 18 of the United States Code.
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`
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`
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`Dated: January 8, 2020
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`
`
`Peter Rysavy
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`6
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`APPENDIX A1
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`APPENDIX A1
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`7
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`

`Peter Rysavy – Curriculum Vitae
`PO Box 680, Hood River, OR 97031, USA
`+1-541-386-7475, public.temp1@rysavy.com, http://www.rysavy.com
`
`
`Peter Rysavy is an expert in wireless technology,
`mobile computing, and data networking
`
`Contents
` WORK EXPERIENCE ......................................................................................... 1
` PATENTS .......................................................................................................... 4
` TESTIFYING AND CONSULTING EXPERIENCE IN LITIGATION.......................... 4
` PUBLIC SPEAKING ........................................................................................... 8
` PUBLISHED ARTICLES AND REPORTS .............................................................. 8
` WIRELESS COURSES ...................................................................................... 17
`
`
`
` Work Experience
`Rysavy Research. 1993 to Present: President
`Peter Rysavy is president of Rysavy Research LLC, a consulting firm that has
`specialized in wireless technology and mobile computing since 1993. Projects have
`included evaluation of wireless technology capabilities, network performance
`measurement, reports on the evolution of wireless technology, spectrum analysis for
`broadband services, strategic consultations, system design, articles, courses and
`webcasts, and test reports.
`
`Peter Rysavy has expertise in IEEE 802.11 (Wi-Fi), wireless hotspots, mesh
`networks, metro and municipal Wi-Fi, paging technology, 2G, 3G, 4G, 5G, IMT-
`Advanced, IMT-2020, Global System for Mobile Communications (GSM), General
`Packet Radio Service (GPRS), Enhanced Data Rates for GSM Evolution (EDGE),
`Universal Mobile Telecommunications System (UMTS), Code Division Multiple Access
`(CDMA), Wideband CDMA (WCDMA), High Speed Downlink Packet Access (HSDPA),
`High Speed Uplink Packet Access (HSUPA), High Speed Packet Access (HSPA),
`HSPA+, Long Term Evolution (LTE), LTE-Advanced, LTE-Advanced Pro, LTE-Licensed
`Assisted Access (LAA), LTE-U, CDMA2000, CDMA2000 1XRTT, Evolved Data
`Optimized (EV-DO), Bluetooth, WiMAX, IEEE 802.16 (IEEE 802.16e, IEEE 802.16m),
`wireless security, smartphones, smartphone operating systems, Mobile IP, Evolved
`Packet System (EPS), Evolved Packet Core (EPC), e-mail, wireless e-mail, browsers,
`mobile browsers, media gateways, orthogonal frequency division multiplexing
`(OFDM), orthogonal frequency division multiple access (OFDMA), voice over IP
`(VoIP), mobile video, wireless spectrum, spectrum sharing, spectral efficiency,
`capacity analysis, mobile computing architectures, and TCP/IP networking.
`
`Patent Litigation
`
`Peter Rysavy has worked in numerous cases, both as testifying and consulting
`expert. He has trial experience, reports, and depositions. See section 3 for
`
`details
`
`8
`
`

`

`Analysis
`
`Rysavy Research analyzes wireless technologies for capability, compatibility,
`interoperability, and intellectual-property considerations.
`
`Training
`
`Rysavy Research conducts wireless-technology training, both publicly and
`privately.
`
`Testing and Reports
`
`Rysavy Research tests, evaluates, and reports on all major wireless
`technologies.
`
`Application Development and Deployment
`
`Rysavy Research works with companies to define architectures, select
`vendors, perform pilots, and to deploy wireless systems and applications.
`
`Clients (excluding confidential litigation cases) from 1993 to present
`include:
`
`5G Americas, AltaVista, Anchorage Partners, Antenna Software, Apple, Arris,
`AT&T, AT&T Wireless, Aventail, Black Lowe & Graham, Bluetooth SIG,
`Broadbeam, Cingular Wireless, City of Seattle, CMP Media, Compression
`Laboratories, Coinstar, Comverse Network Systems, Cricket Wireless,
`Crosslink Capital, Customer Focused Strategies, Datacomm Research, CTIA –
`The Wireless Association, Data Communications Magazine, Datacomm
`Research, Delco Electronics, Epicenter, Epicron, Ericsson, Fish and
`Richardson, Fluke, Foley Lardner, GE, Gerson Lehrman Group, Gibson Dunn,
`Good, Google, GSMA, Hillman Company, Hobnob, Hughes Network Systems,
`IMS Expert Services, Informa, Information Week, Intel, IT World, iWindsurf,
`Juniper Networks, Kirkland & Ellis, Klarquist Sparkman, MCCI, Medtronic
`Physio-Control, Microsoft, Mobile Computing Promotion Consortium (MCPC),
`Mobile Future, Moffatt Thomas, NetMotion Wireless, Network Magazine,
`Network Computing Magazine, New York State Wireless Association, Nokia,
`Norcom Networks, Novatel Wireless, OmniSky, Pacific Commware, Portable
`Computer and Communications Association (PCCA), Portland State University,
`Powell and Gilbert, Research in Motion (RIM), Park and Associates, Quality in
`Motion, RKM Holdings, Rogers Communications, Ruckus Wireless, Sanyo,
`SkyGo, Sprint, Stratos Product Development Group, Superconductor
`Technologies, Symbian, T-Mobile, TCI, Teklicon, Tektronix, Teledyne
`Electronic Technologies, Traveling Software (LapLink), United Business Media,
`University of British Columbia, UCLA, US Department of Defense, Wells Fargo,
`White & Case, Whitworth Analytics, WiMAX Forum, Wireless Data Forum,
`Wireless Technology Association, WRQ, Xerox Palo Alto Research Center, and
`Xircom.
`
`Wireless Technology Association. 2000 to 2016: Executive Director.
`
`Managed all the logistics of a non-profit industry organization that that evaluated
`wireless technologies, investigated mobile communications architectures, and
`promoted wireless-data interoperability. Organized and moderated more than fifty
`industry workshops.
`
`Peter Rysavy Curriculum Vitae
`
`
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`Page 2
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`9
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`
`Traveling Software (LapLink), Bothell, WA, USA. 1992 to 1993: Vice President of
`Technology.
`
`Researched and evaluated key technologies. Developed Traveling Software's wireless
`communications strategy for local area and wide area connections. Helped define
`overall product and technology directions. Prototyped new technologies. Collaborated
`with technology partners. Developed license agreements for sale and purchase of
`technology. Participated in strategic sales efforts. Frequently traveled around the US
`and Asia. Spoke at conferences. Attended and monitored standards efforts. Managed
`patent applications and patent issues.
`
`Traveling Software (LapLink), Bothell, WA, USA. 1988 to 1992: Vice President,
`Research and Development.
`
`Developed Traveling Software's Research and Development department. Recruited
`over thirty professionals, including managers, design engineers, quality assurance
`engineers and technical writers. Under my management, we implemented:
`documented design and quality assurance procedures; a version control system;
`complete archiving with off-site storage; regular performance appraisals; a bonus
`plan; and well defined career paths. This R&D organization successfully brought in
`house all strategic technology and also released numerous successful software
`products for the retail PC market, including LapLink, LapLink Mac, DOS Connect for
`the HP 95LX, Organizer Link for the Sharp Wizard, and PC Link for the Casio BOSS.
`
`Fluke Corporation, Everett, WA, USA. 1979 to 1981 and 1983 to 1988: Program
`Manager, Project Manager, Design Engineer.
`
`As program manager, managed marketing group to determine target markets, sales
`channels, positioning and promotion in support of Fluke's operator interface
`business. As project manager, managed development of an entire family of
`communications-oriented touch terminals. Fluke introduced the first member, the
`1020 Touch Control Screen in May, 1986. Directed software (C code for 68000 family
`processor), digital hardware (surface mount, semi-custom IC's, computer aided
`engineering), package design (injection molded plastic parts, steel chassis), and
`manuals (in English, French, German and Japanese.) Coordinated many groups:
`design, manufacturing, purchasing, component engineering, and marketing. As
`design engineer from 1979 to 1981, designed hardware and firmware for various
`systems, including: RS-232 communications; IEEE-488 communications; RS-485
`multi-drop communications; thermal printer interface; cartridge drive interface;
`vacuum display driver and keypad driver.
`
`Other Work Experience:
`
`Time Office Computers, Australia, 1981 to 1983: Ethernet networking, random-
`access memory, power supply hardware development.
`
`Stanford University, USA, 1976-1979: software consulting services for
`university/industry collaborations.
`
`Education:
`
`BSEE, MSEE Electrical Engineering, Stanford University, 1979.
`
`Peter Rysavy Curriculum Vitae
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`
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`Page 3
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`
`
`Additional information:
`
`Available at http://www.rysavy.com
` Patents
`Peter Rysavy is the co-inventor of US4929935A, Apparatus for aligning raster scanned
`image to touch panel, filed May 2, 1986.
`
`Peter Rysavy is the co-inventor of US4941845 A, Data transfer cable, filed June 7, 1989.
` Testifying and Consulting Experience in Litigation
`Summary
`
`Thirty-two cases as a testifying expert.
`
`Court testimony as testifying expert in one patent-litigation trial.
`
`Eight patent-litigation depositions.
`
`One breach-of-contract litigation deposition.
`
`Twenty-three expert declarations for Inter Partes Review (twelve patents).
`
`Five expert reports on non-infringement (eleven patents).
`
`Six expert reports on invalidity (nine patents).
`
`Two expert reports on non-breach-of-contract.
`
`Multiple additional cases as consulting expert.
`
`Ongoing Patent-Litigation Cases (most recent on top)
`
`Testifying expert for Motorola. Details available upon request.
`
`Testifying expert for Ericsson. Inter Partes Review. U.S. Patent No. 7,016,676. Firm:
`Haynes and Boone, LLP. Declaration of December 22, 2019.
`
`Testifying expert for RPX. Inter Partes Review. U.S. Patent 7,245,917. Cases no.
`IPR2018-01387, IPR2018-01388. Firm: Klarquist Sparkman. Declaration filed July
`13, 2018. Declaration for opposition to motion to amend filed August 8, 2019.
`
`Testifying expert for Microsoft. Inter Partes Review. U.S. Patent No. 6,664,891. Case
`no. IPR2019-01188. Firm: Klarquist Sparkman. Declaration filed June 11, 2019.
`
`Testifying expert for Microsoft. Inter Partes Review. U.S. Patent No. 7,016,676. Case
`no. IPR2019-01116. Firm: Klarquist Sparkman. Declaration filed May 29, 2019.
`
`Testifying expert for Microsoft. Inter Partes Review. U.S. Patent No. 6,993,049. Case
`no. IPR2019-01026. Firm: Klarquist Sparkman. Declaration filed May 6, 2019.
`
`Prior Patent-Litigation Cases as Testifying Expert (most recent on top)
`
`Peter Rysavy Curriculum Vitae
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`Page 4
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`Testifying expert for Verizon. Non-infringement, U.S. Patent No. 9,642,024. Firm:
`Holland & Knight. Expert report on non-infringement July 17, 2019. Deposed August
`9, 2019. Motion for summary judgement granted September 18, 2019.
`
`Testifying expert for Fossil, non-infringement and invalidity, U.S. Patent No 6490443,
`Freeny v. Fossil, case no. 2:18-cv-00049. Firm: Fish & Richardson. Expert report on
`non-infringement, May 13, 2019. Expert report on invalidity April 22, 2019. Deposed
`May 21, 2019. Parties settled.
`
`Testifying expert for Fossil. Inter Partes Review. U.S. Patent 6,490,443. Case no.
`IPR2019-00755. Firm: Fish & Richardson. Declaration filed April 1, 2019.
`
`Testifying expert for Microsoft. Inter Partes Review. U.S. Patent 9,531,657. Case no.
`IPR2017-01411. Firm: Klarquist Sparkman. Declaration filed May 8, 2017. On
`November 28, 2018, the Patent Trial and Appeal Board ruled all claims to be
`unpatentable.
`
`Testifying expert for Arris. Non-infringement and invalidity (one patent), Sony v.
`Arris, ITC No. 337-TA-1049. Firm: Fish & Richardson. Expert report on non-
`infringement, October 13, 2017. Expert report on invalidity September 27, 2017.
`Case settled in December 2017.
`
`Testifying expert for Microsoft. Inter Partes Review. U.S. Patent 8,848,892. Case no.
`IPR2017-01052. Firm: Klarquist Sparkman. Declaration filed March 9, 2017. Deposed
`November 30, 2017. On September 19, 2018, the Patent Trial and Appeal Board
`ruled all claims to be unpatentable.
`
`Testifying expert for Apple, non-infringement (three patents) and invalidity (two
`patents), Unwired Planet v. Apple, case No. 13-cv-04134. Firm: Gibson Dunn. Expert
`report on non-infringement January 12, 2015. Expert report on invalidity December
`3, 2014; rebuttal-reply report on invalidity January 26, 2015. Deposed February 13,
`2015. Case settled in April 2017.
`
`Testifying expert for Google, Inter Partes Review.
`
`U.S. Patent 5,809,428. Case nos. IPR2017-00529, IPR2017-00530, and
`IPR2017-00559. Three declarations filed December 30, 2016. Firm: Fish &
`Richardson. Parties settled as of May 2017 and IPR proceedings terminated.
`
`U.S. Patent 5,754,946. Case nos. IPR2017-00536 and IPR2017-00537. Two
`declarations filed December 29, 2016. Firm: Fish & Richardson. Parties settled
`as of May 2017 and IPR proceedings terminated.
`
`U.S. Patent 5,894,506. Case nos. IPR2017-00532, IPR2017-00533, IPR2017-
`00534, and IPR2017-00535. Four declarations filed December 28, 2016. Firm:
`Fish & Richardson. Parties settled as of May 2017 and IPR proceedings
`terminated.
`
`Testifying expert for RPX, Inter Partes Review.
`
`U.S. Patents 8,135,342 and 8,879,987. Case nos. IPR2016-01052, IPR2016-
`01053, and IPR2016-01054. Declaration filed May 17, 2016. Firm: Klarquist
`Sparkman. January 2017, all IPRs were instituted on a majority of the claims
`in the petitions, and patent owner ultimately canceled all instituted claims.
`
`Peter Rysavy Curriculum Vitae
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`Page 5
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`U.S. Patents 8,135,342 and 8,879,987. Case nos. IPR2016-00985 and
`IPR2016-00989. Declaration filed April 30, 2016. Firm: Klarquist Sparkman.
`January 2017, both IPRs were instituted on a majority of the claims in the
`petitions, and patent owner ultimately canceled all instituted claims.
`
`Testifying expert for Microsoft, invalidity and non-infringement (two patents), in
`Eleven Engineering Inc. et al. v. Microsoft Corporation et al., No. 09-903-LPS (D.
`Del.). Firm: Fish & Richardson. Plaintiff conceded to non-infringement based on claim
`construction July 2016 prior to report submission.
`
`Testifying expert for LG Electronics, non-infringement (one patent), in Cellular
`Communication Equipment LLC v. LG Electronics, Inc., et al., Case no. 6:13-cv-
`00508 (EDTX). Firm: Mayer Brown. Case settled July 2016 prior to report
`submission.
`
`Testifying expert for T-Mobile, non-infringement (five patents), Intellectual Ventures
`v. T-Mobile US, case no. 1:13-cv-01632-LPS. Firm: Gibson Dunn. Expert report May
`26, 2016. Deposed September 20, 2016. Parties settled.
`
`Testifying expert for Amazon, Barnes & Noble, MediaTek, Nokia, Samsung, Texas
`Instruments, invalidity (one patent), in CSIRO v. MediaTek et al., Case No. 6:12-cv-
`578-LED-KNM. Firms: Covington & Burling, O'Melveny & Myers, Quinn Emanuel
`Urquhart & Sullivan, White & Case. Report on invalidity December 19, 2014.
`Deposed March 6, 2015. Case settled July 2015.
`
`Testifying expert for Apple, invalidity (three patents) in GPNE v. Apple, case no. 12-
`CV-02885-LHK. Firm: Fish & Richardson. Report on invalidity January 4, 2014.
`Deposed February 20, 2014. Testified in court October 17 and October 20, 2014.
`Jury verdict of non-infringement on all three patents.
`
`Testifying expert for HTC, invalidity (one patent), in Nokia v. HTC, ITC Investigation
`No. 337-TA-847. Firm: White & Case. Report 2013. Patent withdrawn from dispute.
`
`
`Other Patent-Litigation Testimony
`
`Claim-construction declaration for Microsoft in Eleven Engineering Inc. et al. v.
`Microsoft Corporation et al., No. 09-903-LPS (D. Del.), January 28, 2016. Case
`details above.
`
`Claim-construction declaration for Apple in Unwired Planet v. Apple, April 7, 2014.
`Case details above.
`
`Declaration “In re Patent Application of Han-Jin JOH, 11/266,114.” Docket No.
`P2481US00, April 18, 2012. Firm: H.C. Park & Associates, PLC.
`
`Declarations for Front Row Technologies in Inter Partes Reexam. 95/001,565, April
`4, 2011; 95/001,568, March 7, 2011; 95/001,566, March 4, 2011. Firm: Black,
`Lowe & Graham PLLC.
`
`Breach-of-Contract Litigation
`
`Testifying expert for Sprint, non-breach-of-contract, in Truckstop.net vs. Sprint
`Communications, Case No. CV-04-561-S-BLW. Firm: Moffatt Thomas. Report March
`31, 2006, supplemental report September 28, 2006. Deposed May 3, 2007. Worked
`on case 2005 to 2010.
`
`Peter Rysavy Curriculum Vitae
`
`
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`Page 6
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`Consulting Expert History
`
`Consulting expert for Maynard, Coper & Gale. SMS technology review, Pre-Lit IPR.
`2018.
`
`Consulting expert for T-Mobile in Intellectual Ventures v. T-Mobile USA, No. 13-cv-
`1671, No. 14-cv-1232, No. 2:17-cv-00577-JRG. Firm: Keker & Van Nest. 2016-2018.
`
`Consulting expert for Huawei in UK litigation, Unwired Planet International Limited v
`Huawei Technologies (UK) Co., Limited and others, Claim no. HP14 801038. Firm:
`Powell Gilbert. 2015-2016.
`
`Consulting expert for Nokia in Mobile Enhancement Solutions LLC v. Nokia Corp. et
`al., 3:13-cv-03977-M. Firm: King & Spalding. 2014.
`
`Consulting expert for Amazon in GPNE v. Amazon.com, et al. No. 1-11-CV-00426.
`Firm: Klarquist Sparkman. 2012.
`
`Consulting expert for Motorola in Microsoft Corp. v. Motorola Mobility, Inc. - UK
`Litigation. Claim No. HCll C04536. Firm: Powell Gilbert. 2012.
`
`Consulting expert for Pantech in GPNE v. Amazon.com, et al., No. 1-11-CV-00426.
`Firm: HC Park & Associates. 2012.
`
`Consulting expert for SkyTel (Verizon) in EON Corp. IP Holdings, LLC v. SkyTel, et
`al., Case No. 3:08-CV-385. Firm: Simpson, Thacher & Bartlett. 2009.
`
`Consulting expert for Research in Motion in Visto Corp. v. Research in Motion Corp.
`Firm: Kirkland & Ellis. 2008.
`
`Consulting expert for Starent Networks in UT Starcom, Inc. v. Starent Networks,
`Corp, No. 07 CV 2582. Firm: Finnegan, Henderson, Farabow, Garrett & Dunner.
`2008.
`
`Consulting expert for Apple in Apple Computer/Creative Labs Patent Disputes. Firm:
`Kirkland & Ellis. 2006.
`
`Consulting expert for Samsung in Reese v. Samsung Telecommunications America
`L.P. et al., Civil Action No. 2:05-CV-00415-DF. Firm: Kirkland & Ellis. 2006.
`
`Consulting expert for Sanyo in Antor Media Corporation v. Nokia, Inc., Utstarcom
`Personal Communications, LLC, Audiovox Communications Corp., Kyocera Wireless
`Corp., Sanyo North America Corp., Sharp Electronics Corp., NEC America, Inc.,
`Research In Motion Corp., Virgin Mobile USA, LLC, LG Electronics Mobilecomm
`U.S.A., Inc., Palmone, Inc., and Panasonic Corp. of North America, Case No. 2-05cv-
`186 LED. Firm: Kirkland & Ellis. 2005.
`
`Consulting expert for Sanyo in Zoltar Satellite Systems, Inc. [sic] v. LG Electronics
`Mobile Communications Co., et al., 2:05-CV-002150 LED. Firm: Foley & Lardner.
`2005.
`
`Consulting expert for Sanyo in William Reber L.L.C. v. Samsung Electronics America,
`Inc., et al. Civ. Action No. 03 C 4174. Firm: Foley Lardner. 2004.
`
`Peter Rysavy Curriculum Vitae
`
`
`
`Page 7
`
`14
`
`

`

` Public Speaking
`Peter Rysavy has spoken at more than 50 public events, such as conferences, as a keynote
`presenter, moderator, and panelist. See https://rysavy.com/speaking/ for details.
` Published Articles and Reports
`The more-than-180 articles, reports and white papers that Peter Rysavy has had published,
`listed from most recent to oldest, include the following:
`
`1. “Virtualization Will Transform the Wireless Industry,” December 2019. Article for
`Fierce Wireless.
`
`2. “Global 5G: Implications of a Transformational Technology,” September 2019. Report
`published by 5G Americas.
`
`3. “How Title II Net Neutrality Undermines 5G,” June 2019. Report published by Rysavy
`Research.
`
`4. “How the ‘Save the Internet’ Act Breaks 5G,” May 2019. Article for Bloomberg Law.
`
`5. “Bad Idea of Nationalized 5G Network Put to Rest,” April 2019. Article for Fierce
`Wireless.
`
`6. “Untangling C-band for a New Broadband Future,” January 2019. Article for Fierce
`Wireless.
`
`7. “Broadband Disruption: How 5G Will Reshape the Competitive Landscape—Second
`Edition,” November 2018. Report published by Datacomm Research.
`
`8. “LTE to 5G: The Global Impact of Wireless Innovation,” August 2018. Report
`published by 5G Americas.
`
`9. “Mid-Band Spectrum for 5G Needed Now,” August 2018. Article published by Fierce
`Wireless.
`
`10. “Small Cells – Suddenly Essential,” March 2018. Article published by RCR Wireless.
`
`11. “How 5G Will Solve Rural Broadband,” January 2018. Article published by Fierce
`Wireless.
`
`12. “The Power of Wireless Broadband,” November 2017. Report published by Rysavy
`Research.
`
`13. “Broadband Disruption: How 5G Will Reshape the Competitive Landscape,” August
`2017. Report published by Datacomm Research.
`
`14. “Why 5G Will Be a Game Changer,” August 2017. Article published by Fierce
`Wireless.
`
`15. “LTE to 5G: Cellular and Broadband Innovation,” August 2017. Report published by
`5G Americas.
`
`16. Declaration of Peter Rysavy. Exhibit to CTIA Comments to Federal Communications
`Commission, WC Docket No. 17-108, Restoring Internet Freedom. 2017.
`
`Peter Rysavy Curriculum Vitae
`
`
`
`Page 8
`
`15
`
`

`

`17. “How "Title II" Net Neutrality Undermines 5G,” April 2017. Report published by
`Rysavy Research.
`
`18. “Accelerating Innovation in Unlicensed Spectrum,” November 2016. Article published
`by Fierce Wireless.
`
`19. “IoT &5G: Wait or Move?” October 2016. Report published by Informa.
`
`20. “Mobile Broadband Transformation,” August 2016. Report published by 5G Americas.
`
`21. “Threading the Spectrum Needle - Can LTE and Wi-Fi Coexist?” February 2016.
`Article published by Fierce Wireless.
`
`22. “5G – Promises and Pitfalls,” November 2015. Article published by RCR Wireless
`News.
`
`23. “LTE and 5G Innovation: Igniting Mobile Broadband,” August 2015. Report published
`by 4G Americas.
`
`24. “Latest FCC Auction Shatters Spectrum Myths,” January 2015. Article published by
`Gigaom.
`
`25. “LTE Congestion Management - Enabling Innovation and Improving the Consumer
`Experience,” January 2015. Report published by Mobile Future.
`
`26. “Mobile Broadband Networks Should Not Be Hampered by Net Neutrality
`Constraints,” September 2014. Article published by Fierce Wireless.
`
`27. “How Wireless is Different - Considerations for the Open Internet Rulemaking,”
`September 2014. Report for Mobile Future.
`
`28. “Beyond LTE: Enabling the Mobile Broadband Explosion,” August 2014. Report
`published by 4G Americas.
`
`29. “Will LTE in Unlicensed Spectrum Unlock a Vast Store of Mobile Broadband Capacity?”
`June 2014. Article published by MIMO World.
`
`30. “How will 5G compare to fiber, cable or DSL?” May 2014. Article published by Fierce
`Wireless.
`
`31. “It’s Time for a Rational Perspective on Wi-Fi,” April 2014. Article published by
`Gigaom.
`
`32. “Complexities of Spectrum Sharing - How to Move Forward,” April 2014. Report
`published by Mobile Future.
`
`33. “Canadian 700 MHz Auction: Analysis of Results.” April 2014. Analysis of auction that
`concluded February 2014 in Canada.
`
`34. “Challenges and Considerations in Defining Spectrum Efficiency,” March 2014. Article
`for Proceedings of the IEEE.
`
`35. “The High and Wide Future of Radio,” March 2014. Column for Fierce Wireless.
`
`36. “Uncertain Government Spectrum Policies Have Far-Reaching Consequences,”
`November, 2013. Article for Bloomberg BNA Insights.
`
`Peter Rysavy Curriculum Vitae
`
`
`
`Page 9
`
`16
`
`

`

`37. “Who Owns the Internet of Things?”, September 2013. Column for Fierce Wireless
`co-authored with Chris Rezendes.
`
`38. “Mobile Broadband Explosion - The 3GPP Wireless Evolution,” August 2013. Report
`for 4G Americas.
`
`39. “Learn How Technology Will Turn Less Desirable Airwaves into ‘Beachfront’
`Spectrum,” June 2013. Article for Gigaom.
`
`40. “Efficiency of Spectrum Use,” May 2013. Article for Fierce Wireless.
`
`41. “2013 Mobile Commerce Survey,” May 2013. Report for Information Week.
`
`42. “Trends in Enterprise Cellular Network Data Usage,” March 2013. Market research
`and report done in conjunction with NetMotion Wireless.”
`
`43. “White Spaces Networks Are Not “Super” Nor Even Wi-Fi,” March 2013. Article for
`Gigaom.
`
`44. “Mobile Commerce: State of the Market,” February 2013. Coauthored report for
`Information Week.
`
`45. “Vehicles and Mobility Are Converging but Fragmentation, Lack of Standards May
`Hinder Progress,” February 2013. Column for Fierce Wireless.
`
`46. “4G: Carriers, IT Pros Square Off,” December 2012. Report for Information Week.
`
`47. “Spectrum – All Options Essential, Including Incentive Auctions,” December 2012.
`Blog for HighTech Forum.
`
`48. “Spectrum Sharing with LTE is Conceivable But Not Trivial,” November 2012. Column
`for Fierce Wireless.
`
`49. “4G World: The Need For More Spectrum,” October 2012. Column for Information
`Week.
`
`50. “Spectrum Sharing Opens a Potential Attack Route,” October 2012. Article for
`Giagaom.
`
`51. “No Silver Bullets for FCC, NTIA Spectrum Challenge,” September 2012. Article for
`Bloomberg BNA.
`
`52. “Mobile Broadband Explosion – The 3GPP Wireless Evolution,” September 2012.
`Report for 4G Americas.
`
`53. “Spectrum Sharing – The Promise and The Reality,” July 2012. Report for Mobile
`Future.
`
`54. “Mobile Network Design and Deployment: How Incumbent Operators Plan for
`Technology Upgrades and Related Spectrum Needs,” June 2012. Rysavy Research
`report.
`
`55. “LTE: Huge Technology, Huge Challenges,” March 2012. Report for Information
`Week.
`
`56. “Wireless Spectrum Doomsday Looms,” January, 2012. Column for InformationWeek.
`
`Peter Rysavy Curriculum Vitae
`
`
`
`Page 10
`
`17
`
`

`

`57. “Unleashing the Wireless Power of Long-Term Evolution: Spectrum, and Lots of It,”
`December 2011. Article for Bureau of National Affairs (BNA).
`
`58. “Convergence of 3G/4G and Wi-Fi, October 2011. Report for InformationWeek.
`
`59. “Comments on Citi ‘Wireless Supply and Demand’,” October 2011. Analysis and
`report.
`
`60. “Mobile Broadband Explosion. 3GPP Broadband Evolution to IMT-Advanced (4G),”
`September 2011. Detailed report for 4G Americas.
`
`61. “Public Safety Spectrum,” July 2011. Analysis and report.
`
`62. “Efficient Use of Spectrum,” May, 2011. Report sponsored by CTIA,

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