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Displaying 24-38 of 47 results

1007 Exhibit: US Patent Application Publication 20180333523 Chang

Document IPR2024-01296, No. 1007 Exhibit - US Patent Application Publication 20180333523 Chang (P.T.A.B. Aug. 14, 2024)
[ 0018 ] In one or more embodiments , the system can be adapted to visualize a user ' s data and trends as it relates to volume ( from each breast and total ) , and number of sessions on several dimensions ( per day , per week and per month ) .
A door assembly 90 is attached to the flange 14 and configured to swing open and closed to both provide access to an interior of the system 10 as well as to support a robust connection between the fitment 86 and flex - tube collar 82 .
By maintaining at least a latch suction level at all times , the present system provides a more secure and persistent seal to the breast and significantly reduces the potential for leaks of air and / or milk .
The relatively shallow ( small vacuum change range ) and rela tively fast frequency of the pumping during this phase are meant to mimic the initial suckling action of a child at the breast .
A body of the collection or container assembly is generally bladder shaped and includes a gener ally asymmetrical oval central opening 93 created by an interior band seal .
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1026 Exhibit: Order on Motion to Continue Pretrial Deadlines and Strike Trial Date 6424

Document IPR2024-01296, No. 1026 Exhibit - Order on Motion to Continue Pretrial Deadlines and Strike Trial Date 6424 (P.T.A.B. Aug. 14, 2024)
Momcozy argues it could not reasonably have anticipated the need for an extension of the case schedule at the time it was set because it did not know if the new patents would ever issue, or that Elvie intended to add more accused products.
Momcozy states it “cannot adequately prepare for the existing claim construction deadlines and will be unfairly prejudiced if this Court does not expand the case schedule given recent huge increase in the breadth of this litigation.” Dkt. No. 122 at 7.
Elvie states “[t]rue diligence under the circumstances would be supported by a conclusion that despite a showing of conscientious preparation beginning from the earliest moment Momcozy became aware of the asserted patents that they still could not reasonably meet the deadlines in the current schedule.” Dkt. No. 121 at 9 (emphasis in original).
Elvie argues it will be prejudiced by a continuance because “[w]ith each passing day, Momcozy cuts into Elvie’s market share and erodes Elvie’s reputation by releasing blatantly copied products at a fraction of the cost.” Id. at 13.
Elvie’s concerns that it will be prejudiced by Momcozy continuing to sell the allegedly infringing products represent those present in any “garden-variety patent case.” See Dkt. No. 59 at 3.
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1018 Exhibit: US Application Publication 20120116299 Tack

Document IPR2024-01296, No. 1018 Exhibit - US Application Publication 20120116299 Tack (P.T.A.B. Aug. 14, 2024)
Rotation of the drive ele- ment causes the flexible strap to pull andresiliently deform the resilient membrane to create the negative pressure in a vacuum chamber of a breast pump.
[0027] The outside of the vacuum chamber 32 around the bottom wall 34 is provided with a screw thread 42 which is configured to be coupled with a milk-collection bottle 44 to receive expressed milk through the exit port 36 via the one- wayvalve 38.
[0039] The outside of the vacuum chamber132 aroundthe bottom wall 134 is provided with a screw thread 142 which is configured to be coupled with a milk-collection bottle 144 to receive expressed milk through the exit port 136 via the one-way valve 138.
[0040] The bellows section 1306 ofthefirst resilient mem- brane 128 is configured such that it biases the disc portion 130a downwards towards the housing 112 and away from the drive wheel 122 in the direction shown by arrow Y in FIG.3.
[0057] Further advantages of the drive mechanism of the invention are the inherent robustness of the construction, the suitability for a compact design, and the low pump noise due to isolation ofmotor and gearboxvibration.
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1016 Exhibit: Docket Shenzhen Root Tech Co v Chiaro Tech Ltd as of August 13, 2024

Document IPR2024-01296, No. 1016 Exhibit - Docket Shenzhen Root Tech Co v Chiaro Tech Ltd as of August 13, 2024 (P.T.A.B. Aug. 14, 2024)
05/08/2023 05/08/2023 05/08/2023 05/08/2023 WAWD CM/ECF Version 1.7.0.2 9 APPLICATION OF ATTORNEY Joshua Hartman FOR LEAVE TO APPEAR PRO HAC VICE for Plaintiff Shenzhen Root Technology Co Ltd (Fee Paid) Receipt No. AWAWDC- 7999773 (Park, Brian) (Entered: 05/08/2023) 10 APPLICATION OF ATTORNEY Qianwu Yang FOR LEAVE TO APPEAR PRO HAC VICE for Plaintiff Shenzhen Root Technology Co Ltd (Fee Paid) Receipt No. AWAWDC- 7999791 (Park, Brian) (Entered: 05/08/2023) 11 APPLICATION OF ATTORNEY Xiaomin Cao FOR LEAVE TO APPEAR PRO HAC VICE for Plaintiff Shenzhen Root Technology Co Ltd (Fee Paid) Receipt No. AWAWDC- 7999813 (Park, Brian) (Entered: 05/08/2023) 12 ORDER re 8 Application for Leave to Appear Pro Hac Vice.
12/20/2023 12/20/2023 12/20/2023 12/20/2023 12/20/2023 12/20/2023 12/20/2023 12/20/2023 12/20/2023 12/20/2023 WAWD CM/ECF Version 1.7.0.2 AWAWDC-8286928 (Walters, Mark) (Entered: 12/20/2023) 85 APPLICATION OF ATTORNEY Christopher Coleman FOR LEAVE TO APPEAR PRO HAC VICE for Defendant Chiaro Technology Ltd (Fee Paid) Receipt No. AWAWDC- 8286939 (Walters, Mark) (Entered: 12/20/2023) 86 APPLICATION OF ATTORNEY Zachary L. Jacobs FOR LEAVE TO APPEAR PRO HAC VICE for Defendant Chiaro Technology Ltd (Fee Paid) Receipt No. AWAWDC- 8286941 (Walters, Mark) (Entered: 12/20/2023) 87 APPLICATION OF ATTORNEY Michael Webb FOR LEAVE TO APPEAR PRO HAC VICE for Defendant Chiaro Technology Ltd (Fee Paid) Receipt No. AWAWDC-8286945 (Walters, Mark) (Entered: 12/20/2023) 88 APPLICATION OF ATTORNEY Joseph H. Kim FOR LEAVE TO APPEAR PRO HAC VICE for Defendant Chiaro Technology Ltd (Fee Paid) Receipt No. AWAWDC-8286952 (Walters, Mark) (Entered: 12/20/2023) 89 APPLICATION OF ATTORNEY Paige Cloud FOR LEAVE TO APPEAR PRO HAC VICE for Defendant Chiaro Technology Ltd (Fee Paid) Receipt No. AWAWDC-8286959 (Walters, Mark) (Entered: 12/20/2023) 90 APPLICATION OF ATTORNEY Alexander Alfano FOR LEAVE TO APPEAR PRO HAC VICE for Defendant Chiaro Technology Ltd (Fee Paid) Receipt No. AWAWDC- 8286992 (Walters, Mark) (Entered: 12/20/2023) 91 ORDER re 84 Application for Leave to Appear Pro Hac Vice.
(Roller, Jeremy) (Entered: 03/20/2024) 109 REPLY, filed by Counter Claimant Chiaro Technology Ltd, TO RESPONSE to 101 MOTION to Amend Counterclaims (Walters, Mark) (Entered: 03/22/2024) 110 MINUTE ENTRY for proceedings held before District Judge Kymberly K. Evanson - Dep Clerk: D. Staples; Pla Counsel: Qianwu Yang, Jeremy E Roller; Def Counsel: Nirav Desai, Zachary L Jacobs, Mark P Walters; CR: Sheri Schelbert; Time of Hearing: 2:30 PM; Courtroom: held via Zoom; Discovery Hearing held on 3/22/2024.
Release of Transcript Restriction set for 7/1/2024, (SLS) (Entered: 04/01/2024) 113 ORDER granting Counter Claimant's 101 Motion to Amend Counterclaims.
07/25/2024 07/25/2024 07/30/2024 WAWD CM/ECF Version 1.7.0.2 Network Technology Co Ltd (Fee Paid) Receipt No. AWAWDC-8559343 (Roller, Jeremy) (Entered: 07/24/2024) 128 ORDER re 126 Application for Leave to Appear Pro Hac Vice,.
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1006 Exhibit: Curriculum Vitae of Ryan Bauer

Document IPR2024-01296, No. 1006 Exhibit - Curriculum Vitae of Ryan Bauer (P.T.A.B. Aug. 14, 2024)
• Partner with global sales and marketing to establish ‘digital threads’ to showcase digital transformation vision for customers and stakeholders and support in bridging the technical solution and industry needs.
• Major cost reductions and quality improvements on core products for lifecycle management • Design enhancements and DFM to scale products and shift portfolio mix due to massive impact of the Affordable Care Act in terms of volumes, commoditization, reduced ASP • Significant maturation and establishment of organization development and capabilities.
Engineering Team Lead Medela LLC July 2008 to June 2010 Supervisory and execution responsibilities for new product development with particular emphasis on hospital channels.
Researched, executed, & launched multiple new products for hospital & NICU market ranging from simple parts to complex electromechanical assemblies & associated disposables.
in Mechanical Engineering Purdue University - W Lafayette, IN Skills • R&D Strategy Development and Execution • Leadership/management of technical staff • Medical device regulatory compliance • Manufacturing Automation & Implementation • Stage Gate Process Development & Execution • Cross-Discipline Aptitude & Communications • Intellectual property management/strategy • Risk Assessment & Management • Statistical Processes & Tools • Project Management • Quality Methods (Systems & Implementation) • Structured problem solving (8D) • External resource management • Electromechanical, Reusable, & Disposable Development
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1008 Exhibit: CN Utility Model CN205913571U Fang CN

Document IPR2024-01296, No. 1008 Exhibit - CN Utility Model CN205913571U Fang CN (P.T.A.B. Aug. 14, 2024)
Ay FHA HEIL 2H ky Ha, IHR AyBREDs Wi EA LIN Ty TOR AS EF [0003]
food] «ASK fn AME re HBR AS Ud LEAST SR HE:ASGH IE,LSE
HY a1 3 ESI Eo ROPE HY at MEPr 7 2228 EE BeEE [0021] EJB, BRAS5Lb iLe ABe,aE 7 13
[0025] ARSE ADAM aSAEs 1 SCY CEDAREEL IPR IER E AE URE EDL, BURBS 1B 0 16 2PEaNESTESILE, _, SE st HE o
fy eos ace BorSOS ceey rcacageaTee
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1003 Exhibit: Declaration of Ryan Bauer

Document IPR2024-01296, No. 1003 Exhibit - Declaration of Ryan Bauer (P.T.A.B. Aug. 14, 2024)
None of Chang, Park, Fang, or Yuen were applied in any claim rejection in any office action during prosecution of the ’380 patent.
... of a challenged patent claim by “a preponderance of the evidence.” I understand that the preponderance of the evidence standard requires that a reasonable factfinder could find a material fact is more probable than the nonexistence ...
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1027 Exhibit: Momcozy’s Motion to Continue Pre Trial Deadlines and Strike Trial Date

Document IPR2024-01296, No. 1027 Exhibit - Momcozy’s Motion to Continue Pre Trial Deadlines and Strike Trial Date (P.T.A.B. Aug. 14, 2024)
No. 2:23-cv-00631-KKE – Page 2 By this lawsuit, Momcozy also sought to remedy Elvie’s removal, through an extrajudicial process called an Amazon Patent Evaluation Express Procedure (“APEX”), of Momcozy’s S12 Pro product from Amazon’s marketplace.
Shortly after filing the lawsuit, Momcozy sought a temporary restraining order requiring Elvie to withdraw its infringement complaints from Amazon as to Momcozy’s products.
After this Court granted Elvie’s Motion for Leave to Amend Counterclaims, Momcozy again proposed an adjustment to the remaining pre-trial schedule, which suggested an even smaller extension of the pre-Markman deadlines.
Further, Momcozy has acted to move this case forward efficiently by, for example, authorizing its lawyers to accept service of a summons and Elvie’s Amended Counterclaims on behalf of Xitao so that Elvie would not have to go through the hassle and delay of serving in accordance with the Hague Convention.
Assuming that claim construction issues are resolved by April of 2025 (which is an aggressive assumption), this would allow ten months to complete discovery, expert reports, and dispositive motions prior to trial.
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1010 Exhibit: US Patent Application Publication 20130023821 Khalil

Document IPR2024-01296, No. 1010 Exhibit - US Patent Application Publication 20130023821 Khalil (P.T.A.B. Aug. 14, 2024)
[0012] WO 2011/035448 discloses a breastpump for expressing humanbreastmilk, in which a vacuumline is used at the sametime as a milk line and in which a membraneof a diaphragm vacuum pump serves as media separator.
[0016] Alternatively or in addition, the membrane, viewed in the direction of extension of a centre axis of the receiving part, is arranged on a side of the under-pressure chamber facing towardsthe nipple.
The membranefor generating an underpressure in the underpres- sure chamberis, viewed in the direction of extension of a centre axis of the receiving part, arranged on a side ofthis milk port facing towards the mother’s breast.
The breastshield unit according to claim 12, wherein the membraneis arranged in a pump chamberhavinga first outlet, which leads to the vacuum port, and a secondoutlet, whichleads to the underpressure chamber.
The breastshield unit according to claim 36, wherein the membraneis arranged in a pump chamberhavinga first outlet, which leads to the vacuum port, and a secondoutlet, whichleads to the underpressure chamber.
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1015 Exhibit: US Patent Application Publication US20170080135 Chen

Document IPR2024-01296, No. 1015 Exhibit - US Patent Application Publication US20170080135 Chen (P.T.A.B. Aug. 14, 2024)
The present invention relates the field of mother and baby products, in particular to a breast pump and components thereof.
The present invention aims to overcome the defects in the prior art and to provide a tee joint component and a breast pump with the same.
Compared with the prior art, the tee joint component can reduce the negative pressure loss during transmission, thereby enhancing breast pump suc tion; the tee joint component is very convenient to clean, disassemble and assemble; and meanwhile, with the use of a single passage, the purity of milk is ensured; the sanitary conditions of the breast pump are improved and the steril ization process is also simplified.
Unlike the traditional tee joint components made of plastics or other rigid materials, the tee joint component is overall made of food-grade silicone rubber, which can effectively compress the space of a negative pressure pas sage, simplify the part assembly process, and reduce the negative pressure loss during transmission, thereby enhanc ing the suction applied to a human breast; the tee joint component is very convenient to clean, disassemble and assemble; at the same time, the sanitary conditions of the milking passage are improved, and the purity of milk is ensured.
0019 FIG. 4 is an exploded schematic diagram of a manual breast pump with the tee joint component of the present invention.
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1020 Exhibit: US Application Publication 20150157775 Hu

Document IPR2024-01296, No. 1020 Exhibit - US Application Publication 20150157775 Hu (P.T.A.B. Aug. 14, 2024)
In addition, the heating elementis subject to the natural properties of the carbon fiber, which often has disadvantages such as nonuni- form hotspots, irregular resistance variation, and the occur- rence of focal temperature.
In view of the above-described problems, it is one [0006] objective of the invention to provide a breast pumpthat has a stable and compactstructure, features a constant and safe heat supply, and is convenientto clean andsterilize.
[0038] The working voltage of the electric heating film 13 is 7.4 VDC,the resistance thereof is about 30 ohm, and the powerthereofis about 1.8 W. Such low powerenablesthe host unit to employ a miniature rechargeable lithium polymer battery, so that the breast pump is small and convenient for carrying and using.
The silicone protection pad 4 has adapted curve surface with the electric heating cup and comprises convex points for mas- sage, thereby improving the usage comfort.
[0041] The conducting plates are fixed on the outer cover 12 through secondary injection molding andare in electric connection to the contact chips at the lower front end of the host unit.
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1019 Exhibit: US Patent Application Publication 20160082166 Guthrie

Document IPR2024-01296, No. 1019 Exhibit - US Patent Application Publication 20160082166 Guthrie (P.T.A.B. Aug. 14, 2024)
Given the relative small size of a particular cup portion, milk capture and collection element 101 maybepersistently and comfort- ably held in place by a nursing bra for a substantial period of time.
Smart sensor 204 may further receive con- trol instructions via wireless communication circuitry 205 from, for example, mobile device 104 shown in FIG.1, that asserts control over milk capture and collection element 203.
Accord- ingly, adapter 405 may connect directly or indirectly to a source of power, such as a standard homeelectrical outlet, in order to charge the electrical components of the milk capture and collection element 101 shown in FIG. 1.
For example, Network interface connection 504 may be implemented using Wi-Fi, ZigBee, Z-Wave, RF4CE,Ethernet, telephone line, cellular channels, or others that operate in accordance with protocols defined in JEEE(Institute of Electrical and Electronics Engineers) 802.
Accordingly, another parent, guardian, health care profes- sional, doctor, counselor, or any other allowed person may monitor, download, and backup data in real time via the web browser.
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1005 Exhibit: File History of US Application 17181,057 as of August 12, 2024

Document IPR2024-01296, No. 1005 Exhibit - File History of US Application 17181,057 as of August 12, 2024 (P.T.A.B. Aug. 14, 2024)
... family members International application No. PCT/BRR201 6/005271 Patent document cited in search report Publication date Patent family member Publication date US 8702646 B2 22/04/2014 KR 20-0466652 1 06/08/2013 NONE ...
] Noneofthe: a) MAI b) 1) Some* 1.
... Final Original|01/12/2022|10/17/2022|03/24/2023|10/06/2023| 06/13/2024 TUTTI LTEERE LEER TLLLTTTLETTTEEPPPPFTE TTT TTT LETT U.S. Patent and Trademark Office Part of Paper No.: 20240613 Page 1 of 1 99 99 NONE ...
... 134.957 OTOOLEet al | | | Examiner COURTNEY FREDRICKSON ArtUnit 3783 Claims renumberedin the same order as presented by applicant NONE Total Claims Allowed: U.S. Patent and Trademark Office (Assistant Examiner) ...
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1025 Exhibit: PCT Publication WO 2008137678 Myers 678

Document IPR2024-01296, No. 1025 Exhibit - PCT Publication WO 2008137678 Myers 678 (P.T.A.B. Aug. 14, 2024)
... Information on patent family members PCT/US2008/062422 Publication date member(s) Oereeneeseneeeeeeeee US 2002193731 Al 19-12-2002 NONE , Form PCT/ISA/210 (patentfamily annex) (April 2005) 52 52
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1023 Exhibit: Elvie’s Disclosure of Asserted Claims and Supplemental Infringement

Document IPR2024-01296, No. 1023 Exhibit - Elvie’s Disclosure of Asserted Claims and Supplemental Infringement (P.T.A.B. Aug. 14, 2024)
Momcozy recently disclosed in discovery responses its ownership of eight additional breast pump products sold under the Paruu and Pibur brands.
Elvie further reserves the right to move to amend and/or supplement these disclosures based on, including without limitation, any documents, information, or things received from or produced to Momcozy during fact or expert discovery.
(See Momcozy between the milk container, breast shield, and housing works in substantially the same way using a in a compact arrangement such that the Mobile Flow device can be in-bra wearable.
Momcozy Mobile Flow chamber; pumping defines a cavity that a recess or battery, and rechargeable circuit and the power charging power to the transferring socket for (USB) charging Serial Bus a Universal Claim Language The Momcozy Mobile Flow includes, literally or under the doctrine of equivalents, every element of claims 1-13, 15-24, 26-39 and 41-46 of the ’380 Patent.
applied to the pressure is not that negative air pump to ensure applied by the pressure being negative air when there is stays sealed bill valve that through a duck- milk container and into the nipple tunnel opening in the through an under gravity milk flows that expressed configured so device is in-bra wearable self-contained, wherein the claim 1, pump device of The breast The Momcozy Mobile Flow includes, literally or under the doctrine of equivalents, every element of claims 1-13, 15-24, 26-39 and 41-46 of the ’380 Patent.
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