`To:
`Cc:
`
`Subject:
`Date:
`
`Canavera, Kyle (Perkins Coie)
`Trials
`jrondini@brookskushman.com; jleroy@brookskushman.com; mlorelli@brookskushman.com; Schnurer-
`ptab@perkinscoie.com; lu-ptab@perkinscoie.com; Canavera-ptab@perkinscoie.com; David Gosse; Nicholas
`Peters; bradford.cangro@pvuslaw.com
`RE: PTAB Case No. IPR2020-01609: Request to File Joint Motion to Terminate
`Thursday, March 18, 2021 4:26:01 PM
`
`Dear Honorable Judges Dang, Chang, and Cherry,
`
`We understand that the below email may not have been routed to your Honors, so we are resending
`for your convenience.
`
`Thank you,
`
`Counsel for Petitioners,
`John P. Schnurer
`Yun (Louise) Lu
`Kyle R. Canavera
`
`Kyle R. Canavera
`D. +1.858.720.5782
`E. KCanavera@perkinscoie.com
`
`From: Canavera, Kyle Ryan (SDO)
`Sent: 19 February, 2021 11:39
`To: trials@uspto.gov
`Cc: 'jrondini@brookskushman.com' <jrondini@brookskushman.com>; 'jleroy@brookskushman.com'
`<jleroy@brookskushman.com>; 'mlorelli@brookskushman.com' <mlorelli@brookskushman.com>;
`*Schnurer-ptab <Schnurer-ptab@perkinscoie.com>; *lu-ptab <lu-ptab@perkinscoie.com>;
`*Canavera-ptab <Canavera-ptab@perkinscoie.com>
`Subject: PTAB Case No. IPR2020-01609: Request to File Joint Motion to Terminate
`
`Dear Honorable Board,
`
`We write to request authorization to file a Joint Motion to Terminate in proceeding IPR2020-01609.
`The parties have reached a written agreement to settle this inter partes review and wish to file the
`Joint Motion to Terminate as soon as authorized by the Board.
`
`The undersigned attorneys represent Petitioners TCT Mobile (US) Inc.., Huizhou TCL Mobile
`Communication Co. Ltd., and Shenzhen TCL Creative Cloud Technology Co., Ltd. (“TCL”), and counsel
`for the Patent Owner Ancora Technologies, Inc. (“Ancora”) are copied on this email. The Petition
`was accorded a filing date on September 30, 2020, and a decision instituting review was issued on
` February 16, 2021. No other proceedings on the merits have taken place. The parties were recently
`able to reach an agreement on settlement. The parties are requesting authorization to file a Joint
`Motion to Terminate along with a copy of the written agreement, as well as a Joint Request that the
`written agreement be treated as business confidential information and kept separate pursuant to 35
`U.S.C. § 317(b) and 37 C.F.R. § 42.74.
`
`Ancora's Exhibit 2007
`HTC v. Ancora IPR2021-00570
`Page 1 of 2
`
`
`
`
`Counsel for both parties are available at the Board’s earliest convenience, if needed, for a
`teleconference or to provide further information.
`
`Best Regards,
`
`Counsel for Petitioners,
`John P. Schnurer
`Yun (Louise) Lu
`Kyle R. Canavera
`
`Kyle R. Canavera | Perkins Coie LLP
`COUNSEL
`11452 El Camino Real, Suite 300
`San Diego, CA 92130-2080
`D. +1.858.720.5782
`F. +1.858.720.5799
`E. KCanavera@perkinscoie.com
`
`
`NOTICE: This communication may contain privileged or other confidential information. If you have received it in error, please advise the
`sender by reply email and immediately delete the message and any attachments without copying or disclosing the contents. Thank you.
`
`Ancora's Exhibit 2007
`HTC v. Ancora IPR2021-00570
`Page 2 of 2
`
`