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Case number 1:21-cv-08116

Alexsam, Inc. v. American Express Travel Related Services Company Inc > Documents

Date Field Doc. No.Description (Pages)
Apr 3, 2023 50 LETTER addressed to Judge Alvin K. Hellerstein from Timothy C. Davis dated April 3, 2023 re: Appeal Status. Document filed by Alexsam, Inc...(Davis, Timothy) (Entered: 04/03/2023) (1)
Sep 13, 2022 49 Order Staying Case (2)
Docket Text: ORDER STAYING CASE. Upon further consideration, having reread Defendant's opening brief and Plaintiff's letter, and in light of the appeal pending before the Federal Circuit, I find that in the interest of judicial economy, this case should be stayed pending the outcome of Plaintiff's appeal because the decision will either dispose of this case entirely or, at least, narrow the issues to be decided. The parties shall provide an update by April 3, 2023 as to the status of the appeal, and either side may move to unstay the case pending a final decision from the Federal Circuit. SO ORDERED. (Signed by Judge Alvin K. Hellerstein on 9/13/22) (yv)
Sep 7, 2022 N/A Notice to Court Regarding Proposed Order (0)
Docket Text: ***NOTICE TO COURT REGARDING PROPOSED ORDER. Document No. [46] Proposed Order was reviewed and approved as to form. (tp)
Sep 7, 2022 47 Order on Motion to Seal (4)
Docket Text: MEMO ENDORSEMENT granting [34] Letter Motion to Seal. ENDORSEMENT: SO ORDERED.. (Signed by Judge Alvin K. Hellerstein on 9/7/2022) (kv)
Sep 7, 2022 48 Order on Motion for Conference (11)
Docket Text: MEMO ENDORSEMENT denying [45] Motion for Conference re: [45] EMERGENCY MOTION for Conference re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity. . ENDORSEMENT: The request is denied. The briefing shall proceed as scheduled. Plaintiff may raise its points in opposition. SO ORDERED.. (Signed by Judge Alvin K. Hellerstein on 9/7/2022) (kv)
Sep 6, 2022 44 Letter (4)
Docket Text: LETTER addressed to Judge Alvin K. Hellerstein from Timothy J. Carroll dated September 6, 2022 re: Letter Brief In Support of Motion to Seal (Dkt. 34). Document filed by Simon Property Group..(Carroll, Timothy)
Sep 6, 2022 45 Motion for Conference (Main Document) (11)
Docket Text: EMERGENCY MOTION for Conference re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity. . Document filed by Alexsam, Inc.. (Attachments: # (1) Exhibit 1 (affidavit and exhibits thereto)).(Hood, Chris)
Sep 6, 2022 45 Motion for Conference (Exhibit 1 (affidavit and exhibits thereto)) (30)
Docket Text: EMERGENCY MOTION for Conference re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity. . Document filed by Alexsam, Inc.. (Attachments: # (1) Exhibit 1 (affidavit and exhibits thereto)).(Hood, Chris)
Sep 6, 2022 46 Proposed Order (1)
Docket Text: PROPOSED ORDER. Document filed by Alexsam, Inc.. Related Document Number: [45]..(Hood, Chris) Proposed Order to be reviewed by Clerk's Office staff.
Sep 3, 2022 43 Declaration in Support of Motion (Main Document) (8)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich) (30)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich) (1)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 3, August 4, 2021 Claim Construction Order) (20)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 4, May 31, 2005 Amex Letter to AlexSam) (1)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 5, February 21, 2007 AlexSam Letter to Amex) (1)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 6, July 16, 2015 Petition for Rehearing in Gap) (13)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 7, September 1, 2015 Errata in Gap) (4)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap) (7)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap) (30)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap) (30)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent) (12)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 12, May 22, 2013 Notice in Gap) (7)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP) (1)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software) (1)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex) (1)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert) (1)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal M) (1)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation) (1)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex) (1)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent) (24)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Pat) (8)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings) (2)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 23, September 24, 2012 Joint Appendix in IDT) (12)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 24, February 26, 2015 Joint Appendix in Gap) (30)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 25, February 25, 2013 Order Regarding Trial in Gap) (6)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap) (10)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap) (3)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 28, June 13, 2014 Notice of Appeal in Gap) (4)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 29, September 8, 2015 Order in Gap) (3)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 30, September 15, 2015 Mandate in Gap) (2)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 31, U.S. Patent No. 6,189,787) (8)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 3, 2022 43 Declaration in Support of Motion (Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich) (14)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, October 11, 2019 Expert Declaration of Ivan Zatkovich, # (2) Exhibit 2, July 23, 2021 Expert Report of Ivan Zatkovich, # (3) Exhibit 3, August 4, 2021 Claim Construction Order, # (4) Exhibit 4, May 31, 2005 Amex Letter to AlexSam, # (5) Exhibit 5, February 21, 2007 AlexSam Letter to Amex, # (6) Exhibit 6, July 16, 2015 Petition for Rehearing in Gap, # (7) Exhibit 7, September 1, 2015 Errata in Gap, # (8) Exhibit 8, January 9, 2013 Answer and Counterclaim in Gap, # (9) Exhibit 9, September 12, 2014 Gap Appeal Brief in Gap, # (10) Exhibit 10, November 26, 2014 AlexSam Appeal Brief in Gap, # (11) Exhibit 11, April 19, 1999 Office Action During Prosecution of the 608 Patent, # (12) Exhibit 12, May 22, 2013 Notice in Gap, # (13) Exhibit 13, July 28, 2021 Deposition Transcript of Timothy Hood of SAP, # (14) Exhibit 14, August 4, 2021 Deposition Transcript of Eddie Deyo of GK Software, # (15) Exhibit 15, July 16, 2021 Deposition Transcript of Jason Heaton of Amex, # (16) Exhibit 16, July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (17) Exhibit 17, Ex. 45 to July 28, 2021 Deposition Transcript of AlexSam Principal Mr. Robert Dorf, # (18) Exhibit 18, January 2017 Presentation on Amex Serve Card Production Activation, # (19) Exhibit 19, July 8, 2021 Deposition Transcript of Amanda Zuniga of Amex, # (20) Exhibit 20, June 24, 1999 Amendment During Prosecution of the 608 Patent, # (21) Exhibit 21, August 5, 1999 Notice of Allowance During Prosecution of the 608 Patent, # (22) Exhibit 22, July 29, 2022 Email re Claim Construction Proceedings, # (23) Exhibit 23, September 24, 2012 Joint Appendix in IDT, # (24) Exhibit 24, February 26, 2015 Joint Appendix in Gap, # (25) Exhibit 25, February 25, 2013 Order Regarding Trial in Gap, # (26) Exhibit 26, July 29, 2013 AlexSam Response to Gap Motion to Dismiss in Gap, # (27) Exhibit 27, May 12, 2014 Order Denying Gap Motion to Dismiss in Gap, # (28) Exhibit 28, June 13, 2014 Notice of Appeal in Gap, # (29) Exhibit 29, September 8, 2015 Order in Gap, # (30) Exhibit 30, September 15, 2015 Mandate in Gap, # (31) Exhibit 31, U.S. Patent No. 6,189,787, # (32) Exhibit 32, July 31, 2020 Declaration of Ivan Zatkovich).(Sheehan, Ryan)
Sep 2, 2022 34 Motion to Seal (4)
Docket Text: MOTION to Seal Defendant American Express Travel Related Services Company, Inc.'s Motion For Summary Judgment of Non-Infringement and Invalidity. Document filed by American Express Travel Related Services Company Inc...(Popovski, Lewis)
Sep 2, 2022 35 Declaration in Support of Motion (Main Document) (3)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [34] MOTION to Seal Defendant American Express Travel Related Services Company, Inc.'s Motion For Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, Emails on August 29, 2022 and September 1, 2022).(Sheehan, Ryan)
Sep 2, 2022 35 Declaration in Support of Motion (Exhibit 1, Emails on August 29, 2022 and September 1, 2022) (5)
Docket Text: DECLARATION of Ryan Joseph Sheehan in Support re: [34] MOTION to Seal Defendant American Express Travel Related Services Company, Inc.'s Motion For Summary Judgment of Non-Infringement and Invalidity.. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit 1, Emails on August 29, 2022 and September 1, 2022).(Sheehan, Ryan)
Sep 2, 2022 40 Motion for Summary Judgment (3)
Docket Text: MOTION for Summary Judgment of Non-Infringement and Invalidity. Document filed by American Express Travel Related Services Company Inc...(Popovski, Lewis)
Sep 2, 2022 41 Memorandum of Law in Support of Motion (30)
Docket Text: MEMORANDUM OF LAW in Support re: [40] MOTION for Summary Judgment of Non-Infringement and Invalidity. . Document filed by American Express Travel Related Services Company Inc...(Popovski, Lewis)
Sep 2, 2022 42 Rule 56.1 Statement (30)
Docket Text: RULE 56.1 STATEMENT. Document filed by American Express Travel Related Services Company Inc...(Popovski, Lewis)
Aug 30, 2022 33 Notice of Appearance (1)
Docket Text: NOTICE OF APPEARANCE by George Soussou on behalf of American Express Travel Related Services Company Inc...(Soussou, George)
Aug 29, 2022 31 Order on Motion to Appear Pro Hac Vice (1)
Docket Text: ORDER ON MOTION FOR ADMISSION PRO HAC VICE FOR CHRISTOPHER B. HOOD granting [29] Motion for Christopher B. Hood to Appear Pro Hac Vice. The motion of Christopher B. Hood for admission to practice Pro Hac Vice as counsel in the above-captioned case on behalf of Plaintiff Alexsam, Inc. is GRANTED. IT IS HEREBY ORDERED that the Applicant is admitted to practice Pro Hac Vice in the above-captioned case in the United States District Court for the Southern District of New York. All attorneys appearing before this Court are subject to the Local Rules of this Court, including the Rules governing discipline of attorneys. (Signed by Judge Alvin K. Hellerstein on 8/29/22) (yv)
Aug 29, 2022 32 Order on Motion to Appear Pro Hac Vice (1)
Docket Text: ORDER ON MOTION FOR ADMISSION PRO HAC VICE FOR TIMOTHY J. CARROLL granting [30] Motion for Timothy J. Carroll to Appear Pro Hac Vice. The motion of Timothy J. Carroll for admission to practice Pro Hac Vice as counsel in the above-captioned case on behalf of non-party Simon Property Group is GRANTED. IT IS HEREBY ORDERED that the Applicant is admitted to practice Pro Hac Vice in the above-captioned case in the United States District Court for the Southern District of New York. All attorneys appearing before this Court are subject to the Local Rules of this Court, including the Rules governing discipline of attorneys. (Signed by Judge Alvin K. Hellerstein on 8/29/22) (yv)
Aug 26, 2022 N/A Notice Regarding Pro Hac Vice Motion (0)
Docket Text: >>>NOTICE REGARDING PRO HAC VICE MOTION. Regarding Document No. [30] MOTION for Timothy J. Carroll to Appear Pro Hac Vice . Filing fee $ 200.00, receipt number ANYSDC-26595291. Motion and supporting papers to be reviewed by Clerk's Office staff.. The document has been reviewed and there are no deficiencies. (sgz)
Aug 25, 2022 30 Motion to Appear Pro Hac Vice (Main Document) (2)
Docket Text: MOTION for Timothy J. Carroll to Appear Pro Hac Vice . Filing fee $ 200.00, receipt number ANYSDC-26595291. Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Simon Property Group. (Attachments: # (1) Affidavit Declaration In Support Of Motion for Admission Pro Hac Vice, # (2) Text of Proposed Order on Motion of Admission Pro Hac Vice).(Carroll, Timothy)
Aug 25, 2022 30 Motion to Appear Pro Hac Vice (Affidavit Declaration In Support Of Motion for Admission Pro Hac Vice) (2)
Docket Text: MOTION for Timothy J. Carroll to Appear Pro Hac Vice . Filing fee $ 200.00, receipt number ANYSDC-26595291. Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Simon Property Group. (Attachments: # (1) Affidavit Declaration In Support Of Motion for Admission Pro Hac Vice, # (2) Text of Proposed Order on Motion of Admission Pro Hac Vice).(Carroll, Timothy)
Aug 25, 2022 30 Motion to Appear Pro Hac Vice (Text of Proposed Order on Motion of Admission Pro Hac Vice) (1)
Docket Text: MOTION for Timothy J. Carroll to Appear Pro Hac Vice . Filing fee $ 200.00, receipt number ANYSDC-26595291. Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Simon Property Group. (Attachments: # (1) Affidavit Declaration In Support Of Motion for Admission Pro Hac Vice, # (2) Text of Proposed Order on Motion of Admission Pro Hac Vice).(Carroll, Timothy)
Aug 23, 2022 N/A Notice Regarding Pro Hac Vice Motion (0)
Docket Text: >>>NOTICE REGARDING PRO HAC VICE MOTION. Regarding Document No. [29] MOTION for Christopher Boyce Hood to Appear Pro Hac Vice . Filing fee $ 200.00, receipt number ANYSDC-26576229. Motion and supporting papers to be reviewed by Clerk's Office staff.. The document has been reviewed and there are no deficiencies. (aea)
Aug 22, 2022 29 Motion to Appear Pro Hac Vice (Main Document) (2)
Docket Text: MOTION for Christopher Boyce Hood to Appear Pro Hac Vice . Filing fee $ 200.00, receipt number ANYSDC-26576229. Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Alexsam, Inc.. (Attachments: # (1) Affidavit Declaration of Christopher B. Hood, # (2) Exhibit Certificate of Good Standing, # (3) Text of Proposed Order Text of Proposed Order).(Hood, Chris)
Aug 22, 2022 29 Motion to Appear Pro Hac Vice (Affidavit Declaration of Christopher B. Hood) (2)
Docket Text: MOTION for Christopher Boyce Hood to Appear Pro Hac Vice . Filing fee $ 200.00, receipt number ANYSDC-26576229. Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Alexsam, Inc.. (Attachments: # (1) Affidavit Declaration of Christopher B. Hood, # (2) Exhibit Certificate of Good Standing, # (3) Text of Proposed Order Text of Proposed Order).(Hood, Chris)
Aug 22, 2022 29 Motion to Appear Pro Hac Vice (Exhibit Certificate of Good Standing) (1)
Docket Text: MOTION for Christopher Boyce Hood to Appear Pro Hac Vice . Filing fee $ 200.00, receipt number ANYSDC-26576229. Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Alexsam, Inc.. (Attachments: # (1) Affidavit Declaration of Christopher B. Hood, # (2) Exhibit Certificate of Good Standing, # (3) Text of Proposed Order Text of Proposed Order).(Hood, Chris)
Aug 22, 2022 29 Motion to Appear Pro Hac Vice (Text of Proposed Order Text of Proposed Order) (1)
Docket Text: MOTION for Christopher Boyce Hood to Appear Pro Hac Vice . Filing fee $ 200.00, receipt number ANYSDC-26576229. Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Alexsam, Inc.. (Attachments: # (1) Affidavit Declaration of Christopher B. Hood, # (2) Exhibit Certificate of Good Standing, # (3) Text of Proposed Order Text of Proposed Order).(Hood, Chris)
Aug 16, 2022 28 Order on Motion to Appear Pro Hac Vice (1)
Docket Text: ORDER ON MOTION FOR ADMISSION PRO HAC VICE FOR TIMOTHY C. DAVIS granting [25] Motion for Timothy C. Davis to Appear Pro Hac Vice. (Signed by Judge Alvin K. Hellerstein on 8/16/2022) (ks)
Aug 12, 2022 27 Order (1)
Docket Text: ORDER REGULATING PROCEEDINGS, The request for leave to file a motion for summary judgment, filed on August 9, 2022, (ECF No. 26), is granted. The Markman Hearing, Markman v. Westview Inst., Inc., 517 U.S. 370 (1998), is postponed, and all relevant dates are adjourned pending resolution of the motion. Defendant's motion for summary judgment shall be filed by September 2, 2022. Opposition shall be filed by September 21, 2022. Reply, if necessary, shall be filed by September 30, 2022. SO ORDERED. ( Motions due by 9/2/2022., Responses due by 9/21/2022, Replies due by 9/30/2022.) (Signed by Judge Alvin K. Hellerstein on 8/12/22) (yv)
Aug 9, 2022 26 Letter (8)
Docket Text: LETTER addressed to Judge Alvin K. Hellerstein from Lewis Popovski dated August 9, 2022 re: Request for Leave to File a Summary Judgment Motion. Document filed by American Express Travel Related Services Company Inc...(Popovski, Lewis)
Aug 2, 2022 N/A Notice Regarding Pro Hac Vice Motion (0)
Docket Text: >>>NOTICE REGARDING PRO HAC VICE MOTION. Regarding Document No. [25] MOTION for Timothy C. Davis to Appear Pro Hac Vice . Motion and supporting papers to be reviewed by Clerk's Office staff.. The document has been reviewed and there are no deficiencies. (sgz)
Aug 1, 2022 25 Motion to Appear Pro Hac Vice (Main Document) (2)
Docket Text: MOTION for Timothy C. Davis to Appear Pro Hac Vice . Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Alexsam, Inc.. (Attachments: # (1) Affidavit Declaration of Timothy C. Davis, # (2) Exhibit Certificate of Good Standing, # (3) Text of Proposed Order Text of Proposed Order).(Davis, Timothy)
Aug 1, 2022 25 Motion to Appear Pro Hac Vice (Affidavit Declaration of Timothy C. Davis) (2)
Docket Text: MOTION for Timothy C. Davis to Appear Pro Hac Vice . Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Alexsam, Inc.. (Attachments: # (1) Affidavit Declaration of Timothy C. Davis, # (2) Exhibit Certificate of Good Standing, # (3) Text of Proposed Order Text of Proposed Order).(Davis, Timothy)
Aug 1, 2022 25 Motion to Appear Pro Hac Vice (Exhibit Certificate of Good Standing) (1)
Docket Text: MOTION for Timothy C. Davis to Appear Pro Hac Vice . Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Alexsam, Inc.. (Attachments: # (1) Affidavit Declaration of Timothy C. Davis, # (2) Exhibit Certificate of Good Standing, # (3) Text of Proposed Order Text of Proposed Order).(Davis, Timothy)
Aug 1, 2022 25 Motion to Appear Pro Hac Vice (Text of Proposed Order Text of Proposed Order) (1)
Docket Text: MOTION for Timothy C. Davis to Appear Pro Hac Vice . Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Alexsam, Inc.. (Attachments: # (1) Affidavit Declaration of Timothy C. Davis, # (2) Exhibit Certificate of Good Standing, # (3) Text of Proposed Order Text of Proposed Order).(Davis, Timothy)
Jul 15, 2022 N/A Pretrial Conference - Initial (0)
Docket Text: Minute Entry for proceedings held before Judge Alvin K. Hellerstein: Initial Pretrial Conference held on 7/15/2022, ( Markman Hearing set for 9/7/2022 at 02:30 PM in Courtroom 14D, 500 Pearl Street, New York, NY 10007 before Judge Alvin K. Hellerstein.). (Jones, Brigitte)
Jul 15, 2022 24 Order on Motion to Stay (2)
Docket Text: ORDER REGULATING PROCEEDINGS denying [23] Letter Motion to Stay re: [23] MOTION to Stay Case (Opposed)., [13] CONSENT LETTER MOTION for Leave to File Answer To Counterclaims Out Of Time addressed to Judge Paul A. Crotty from Jonathan R. Miller dated October 14, 2021. ; terminating [13] Letter Motion for Leave to File Document. Plaintiff's motion to stay the case (ECF No. 23) is denied. The Clerk of the Court shall terminate the open motion. A Markman Hearing, Markman v. Westview Inst., Inc., 517 U.S. 370 (1998), will be held on September 7, 2022, at 2:30 p.m., in Courtroom 14D, before any discovery takes place. No later than August 26, 2022, the parties jointly will submit a proposed claim construction chart with an appendix stating their respective positions. Immediately following the Markman Hearing on September 7, 2022, at 2:30 p.m., there will be a status conference to further regulate proceedings. SO ORDERED. (Signed by Judge Alvin K. Hellerstein on 7/15/22) (yv)
Jul 14, 2022 N/A Notice Regarding Deficient Motion to Appear Pro Hac vice (0)
Docket Text: >>>NOTICE REGARDING DEFICIENT MOTION TO APPEAR PRO HAC VICE. Notice to RE-FILE Document No. [21] MOTION for Timothy C. Davis to Appear Pro Hac Vice . Filing fee $ 200.00, receipt number ANYSDC-26404945. Motion and supporting papers to be reviewed by Clerk's Office staff. The filing is deficient for the following reason(s): missing Certificate of Good Standing from Supreme Court of Alabama; Re-file the motion as a Motion to Appear Pro Hac Vice - attach the correct signed PDF - select the correct named filer/filers - attach valid Certificates of Good Standing issued within the past 30 days - attach Proposed Order. (sgz)
Jul 14, 2022 23 Motion to Stay (Main Document) (9)
Docket Text: MOTION to Stay Case (Opposed). Document filed by Alexsam, Inc.. (Attachments: # (1) Text of Proposed Order Proposed Order).(Bartlett, Taylor)
Jul 14, 2022 23 Motion to Stay (Text of Proposed Order Proposed Order) (1)
Docket Text: MOTION to Stay Case (Opposed). Document filed by Alexsam, Inc.. (Attachments: # (1) Text of Proposed Order Proposed Order).(Bartlett, Taylor)
Jul 13, 2022 21 Motion to Appear Pro Hac Vice (Main Document) (2)
Docket Text: FILING ERROR - DEFICIENT DOCKET ENTRY - MOTION for Timothy C. Davis to Appear Pro Hac Vice . Filing fee $ 200.00, receipt number ANYSDC-26404945. Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Alexsam, Inc.. (Attachments: # (1) Affidavit Declaration of Timothy C. Davis, # (2) Exhibit Certificate of Good Standing, # (3) Text of Proposed Order Text of Proposed Order).(Davis, Timothy) Modified on 7/14/2022 (sgz).
Jul 13, 2022 21 Motion to Appear Pro Hac Vice (Affidavit Declaration of Timothy C. Davis) (2)
Docket Text: FILING ERROR - DEFICIENT DOCKET ENTRY - MOTION for Timothy C. Davis to Appear Pro Hac Vice . Filing fee $ 200.00, receipt number ANYSDC-26404945. Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Alexsam, Inc.. (Attachments: # (1) Affidavit Declaration of Timothy C. Davis, # (2) Exhibit Certificate of Good Standing, # (3) Text of Proposed Order Text of Proposed Order).(Davis, Timothy) Modified on 7/14/2022 (sgz).
Jul 13, 2022 21 Motion to Appear Pro Hac Vice (Exhibit Certificate of Good Standing) (1)
Docket Text: FILING ERROR - DEFICIENT DOCKET ENTRY - MOTION for Timothy C. Davis to Appear Pro Hac Vice . Filing fee $ 200.00, receipt number ANYSDC-26404945. Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Alexsam, Inc.. (Attachments: # (1) Affidavit Declaration of Timothy C. Davis, # (2) Exhibit Certificate of Good Standing, # (3) Text of Proposed Order Text of Proposed Order).(Davis, Timothy) Modified on 7/14/2022 (sgz).
Jul 13, 2022 21 Motion to Appear Pro Hac Vice (Text of Proposed Order Text of Proposed Order) (1)
Docket Text: FILING ERROR - DEFICIENT DOCKET ENTRY - MOTION for Timothy C. Davis to Appear Pro Hac Vice . Filing fee $ 200.00, receipt number ANYSDC-26404945. Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Alexsam, Inc.. (Attachments: # (1) Affidavit Declaration of Timothy C. Davis, # (2) Exhibit Certificate of Good Standing, # (3) Text of Proposed Order Text of Proposed Order).(Davis, Timothy) Modified on 7/14/2022 (sgz).
Jul 13, 2022 22 Proposed Case Management Plan (Main Document) (10)
Docket Text: PROPOSED CASE MANAGEMENT PLAN. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit A - Defendant's Proposed Case Management Plan, # (2) Exhibit B - Plaintiff's Proposed Case Management Plan).(Popovski, Lewis)
Jul 13, 2022 22 Proposed Case Management Plan (Exhibit A - Defendant's Proposed Case Management Plan) (4)
Docket Text: PROPOSED CASE MANAGEMENT PLAN. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit A - Defendant's Proposed Case Management Plan, # (2) Exhibit B - Plaintiff's Proposed Case Management Plan).(Popovski, Lewis)
Jul 13, 2022 22 Proposed Case Management Plan (Exhibit B - Plaintiff's Proposed Case Management Plan) (4)
Docket Text: PROPOSED CASE MANAGEMENT PLAN. Document filed by American Express Travel Related Services Company Inc.. (Attachments: # (1) Exhibit A - Defendant's Proposed Case Management Plan, # (2) Exhibit B - Plaintiff's Proposed Case Management Plan).(Popovski, Lewis)
Jun 16, 2022 20 Order for Initial Pretrial Conference (1)
Docket Text: SCHEDULING ORDER: The parties are hereby ordered to appear for an initial pre-trial conference on July 15, 2022, at 10:00 a.m., which will be held via the following call-in number: Call-in number: 888-363-4749, Access code: 7518680. Finally, no later than July 7, 2022, at 12:00 p.m., the parties shall jointly submit to the court (via the email address HellersteinNYSDChambers@nysd.uscourts.gov) a list of all counsel expected to appear on the record, along with their contact information. SO ORDERED. ( Initial Conference set for 7/15/2022 at 10:00 AM before Judge Alvin K. Hellerstein.) (Signed by Judge Alvin K. Hellerstein on 6/16/22) (yv)
Feb 2, 2022 N/A Mail Order by USPS (0)
Docket Text: Mailed a copy of [18] Endorsed Letter via FedEx overnight mail to William Joseph Cornelius, Jr at Wilson Robertson & Cornelius PC, One American Center, 909 ESE Loop 323, Suite 400, P.O. Box 7339, Tyler, TX 75711-7339 (Tracking # 8172 6104 3762). (kh)
Feb 2, 2022 N/A Mail Order by USPS (0)
Docket Text: Mailed a copy of [18] Endorsed Letter via FedEx overnight mail to Eric Hugh Findlay at Findlay Craft PC, 102 N College Avenue, Suite 900, Tyler, TX 75702 (Tracking # 8172 6104 3751). (kh)
Feb 2, 2022 19 Response (1)
Docket Text: RESPONSE re: [18] Endorsed Letter,,,,,, . Document filed by American Express Travel Related Services Company Inc...(Popovski, Lewis)
Feb 1, 2022 N/A Notice Regarding Deleted Document (0)
Docket Text: ***DELETED DOCUMENT. Deleted document number [Letter] Letter from Ruby Krajick, Clerk of Court. The document was incorrectly filed in this case. (ate)
Feb 1, 2022 18 Endorsed Letter (2)
Docket Text: ENDORSED LETTER addressed to Counsel of Record/parties from Ruby J. Krajick, Clerk of Court dated 2/1/2022 re: notice to parties of potential conflict of interest. ENDORSEMENT: I have been contacted by Judge Paul Crotty, U.S.D.J., who presided over the above-named case before it was reassigned to Judge Alvin K. Hellerstein, U.S.D.J., on October 15, 2021. Judge Crotty informed me that it has been brought to his attention that while he presided over the above-referenced case he owned stock in American Express. His ownership of stock neither affected nor impacted his decisions in this case. However, his stock ownership may have required recusal under the Code of Conduct for United States Judges, and thus, Judge Crotty requested reassignment and directed that I notify the parties of the potential conflict. Advisory Opinion 71, from the Judicial Conference Codes of Conduct Committee, provides the following guidance regarding disqualification: [A] judge should disclose to the parties the facts bearing on disqualification as soon as those facts are learned, even though that may occur after entry of the decision. The parties may then determine what relief they may seek and a court (without the disqualified judge) will decide the legal consequence, if any, arising from the participation of the disqualified judge in the entered decision. If you wish to respond to Judge Crotty's disclosure of a potential conflict in this case, please file your response in the above-named case. Any response will be considered without the participation of Judge Crotty. (Signed by Clerk of Court Ruby Krajick on 2/1/2022) (ate) Transmission to Docket Assistant Clerk for processing.
Oct 18, 2021 N/A Notice to Attorney to Re-File Document - Deficient Docket Entry Error (0)
Docket Text: ***NOTICE TO ATTORNEY TO RE-FILE DOCUMENT - DEFICIENT DOCKET ENTRY ERROR. Notice to Attorney Lewis V. Popovski to RE-FILE Document [16] Rule 7.1 Corporate Disclosure Statement. ERROR(S): Not All Corporate Parents/Other affiliates were added. Please re-file this document and when prompted: Are there any corporate parents or other affiliates?, select the YES radio button and enter the Corporate Parent(s) or Affiliate(s). (ldi)
Oct 18, 2021 17 Rule 7.1 Corporate Disclosure Statement (3)
Docket Text: RULE 7.1 CORPORATE DISCLOSURE STATEMENT. Identifying Corporate Parent American Express Company, Corporate Parent Berkshire Hathaway Inc. for American Express Travel Related Services Company Inc., American Express Travel Related Services Company Inc.. Document filed by American Express Travel Related Services Company Inc...(Popovski, Lewis)
Oct 15, 2021 N/A Notice of Case Assignment/Reassignment (0)
Docket Text: NOTICE OF CASE REASSIGNMENT to Judge Alvin K. Hellerstein. Judge Paul A. Crotty is no longer assigned to the case. (aea)
Oct 15, 2021 14 Notice of Appearance (1)
Docket Text: NOTICE OF APPEARANCE by Lewis V. Popovski on behalf of American Express Travel Related Services Company Inc...(Popovski, Lewis)
Oct 15, 2021 15 Notice of Appearance (1)
Docket Text: NOTICE OF APPEARANCE by Ryan Joseph Sheehan on behalf of American Express Travel Related Services Company Inc...(Sheehan, Ryan)
Oct 15, 2021 16 Rule 7.1 Corporate Disclosure Statement (3)
Docket Text: FILING ERROR - NOT ALL CORPORATE PARENTS/OTHER AFFILIATES WERE ADDED - RULE 7.1 CORPORATE DISCLOSURE STATEMENT. Identifying Corporate Parent American Express Company for American Express Travel Related Services Company Inc., American Express Travel Related Services Company Inc.. Document filed by American Express Travel Related Services Company Inc...(Popovski, Lewis) Modified on 10/18/2021 (ldi).
Oct 14, 2021 N/A Order on Motion to Appear Pro Hac Vice (0)
Docket Text: ORDER granting [9] Motion for Jonathan R. Miller to Appear Pro Hac Vice. (HEREBY ORDERED by Judge Paul A. Crotty)(Text Only Order) (dgo)
Oct 14, 2021 12 Answer to Counterclaim (6)
Docket Text: ANSWER to [4] Counterclaim. Document filed by Alexsam, Inc...(Miller, Jonathan)
Oct 14, 2021 13 Motion for Leave to File Document (2)
Docket Text: CONSENT LETTER MOTION for Leave to File Answer To Counterclaims Out Of Time addressed to Judge Paul A. Crotty from Jonathan R. Miller dated October 14, 2021. Document filed by Alexsam, Inc...(Miller, Jonathan)
Oct 13, 2021 N/A Notice Regarding Pro Hac Vice Motion (0)
Docket Text: >>>NOTICE REGARDING PRO HAC VICE MOTION. Regarding Document No. [9] MOTION for Jonathan R. Miller to Appear Pro Hac Vice . Filing fee $ 200.00, receipt number ANYSDC-25189125. Motion and supporting papers to be reviewed by Clerk's Office staff.. The document has been reviewed and there are no deficiencies. (wb)
Oct 13, 2021 9 Motion to Appear Pro Hac Vice (Main Document) (3)
Docket Text: MOTION for Jonathan R. Miller to Appear Pro Hac Vice . Filing fee $ 200.00, receipt number ANYSDC-25189125. Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Alexsam, Inc.. (Attachments: # (1) Affidavit in Support of Motion for Admission Pro Hac Vice for Jonathan R. Miller, # (2) Text of Proposed Order).(Miller, Jonathan)
Oct 13, 2021 9 Motion to Appear Pro Hac Vice (Affidavit in Support of Motion for Admission Pro Hac Vice for Jonathan R. Miller) (2)
Docket Text: MOTION for Jonathan R. Miller to Appear Pro Hac Vice . Filing fee $ 200.00, receipt number ANYSDC-25189125. Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Alexsam, Inc.. (Attachments: # (1) Affidavit in Support of Motion for Admission Pro Hac Vice for Jonathan R. Miller, # (2) Text of Proposed Order).(Miller, Jonathan)
Oct 13, 2021 9 Motion to Appear Pro Hac Vice (Text of Proposed Order) (1)
Docket Text: MOTION for Jonathan R. Miller to Appear Pro Hac Vice . Filing fee $ 200.00, receipt number ANYSDC-25189125. Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Alexsam, Inc.. (Attachments: # (1) Affidavit in Support of Motion for Admission Pro Hac Vice for Jonathan R. Miller, # (2) Text of Proposed Order).(Miller, Jonathan)
Oct 13, 2021 10 Notice of Appearance (1)
Docket Text: NOTICE OF APPEARANCE by Taylor Christopher Bartlett on behalf of Alexsam, Inc...(Bartlett, Taylor)
Sep 30, 2021 N/A Case Designated ECF (0)
Docket Text: Case Designated ECF. (sjo)
Sep 30, 2021 N/A Case Designation (0)
Docket Text: Magistrate Judge James L. Cott is so designated. Pursuant to 28 U.S.C. Section 636(c) and Fed. R. Civ. P. 73(b)(1) parties are notified that they may consent to proceed before a United States Magistrate Judge. Parties who wish to consent may access the necessary form at the following link: https://nysd.uscourts.gov/sites/default/files/2018-06/AO-3.pdf. (sjo)
Sep 30, 2021 N/A Note to Out of State Attorneys (0)
Docket Text: NOTE TO OUT OF STATE ATTORNEYS: Please visit the Court's website at https://nysd.uscourts.gov/ for information regarding admission to the S.D.N.Y. Bar and the CM/ECF Rules & Filing Instructions. (sjo)
Sep 30, 2021 N/A Case Opening Initial Assignment Notice - Transfer In (0)
Docket Text: CASE OPENING INITIAL ASSIGNMENT NOTICE - TRANSFER CASE: This case is assigned to: Judge Paul A. Crotty. Please download and review the Individual Practices of the assigned District Judge, located at https://nysd.uscourts.gov/judges/district-judges. Attorneys are responsible for providing courtesy copies to judges where their Individual Practices require such. Please download and review the ECF Rules and Instructions, located at https://nysd.uscourts.gov/rules/ecf-related-instructions..(sjo)
Sep 30, 2021 8 Case Transferred In - District Transfer (Main Document Public Docket Sheet) (3)
Docket Text: CASE TRANSFERRED IN from the United States District Court - District of Texas Eastern; Case Number: 2:21-cv-00347. Original file certified copy of transfer order and docket entries received. (sjo)
Sep 24, 2021 5 Notice of Appearance (3)
Docket Text: NOTICE of Attorney Appearance by Jonathan R Miller on behalf of Alexsam, Inc. (Miller, Jonathan) [Transferred from Texas Eastern on 9/30/2021.]
Sep 24, 2021 6 Notice of Appearance (3)
Docket Text: NOTICE of Attorney Appearance by Jacqueline K Burt on behalf of Alexsam, Inc. (Burt, Jacqueline) [Transferred from Texas Eastern on 9/30/2021.]
Sep 24, 2021 7 Notice of Appearance (3)
Docket Text: NOTICE of Attorney Appearance by Timothy C Davis on behalf of Alexsam, Inc. (Davis, Timothy) [Transferred from Texas Eastern on 9/30/2021.]
Sep 22, 2021 4 Answer to Amended Complaint (30)
Docket Text: Defendant American Express Travel Related Services Company, Inc.'s ANSWER to [2] Amended Complaint (Third), COUNTERCLAIM against Alexsam, Inc. by American Express Travel Related Services Company Inc.(Findlay, Eric)[Transferred from Texas Eastern on 9/30/2021.]
Sep 15, 2021 N/A Case Referred to Magistrate Judge (0)
Docket Text: CASE REFERRED to Magistrate Judge Roy S. Payne. (ch, ) [Transferred from Texas Eastern on 9/30/2021.]
Sep 3, 2021 1 Order (7)
Docket Text: ORDER TO TRANSFER. Signed by District Judge Rodney Gilstrap on 09/03/2021. (klc, ) [Transferred from Texas Eastern on 9/30/2021.]
Sep 3, 2021 2 Amended Complaint (Main Document) (30)
Docket Text: THIRD AMENDED COMPLAINT (Attachments: # (1) Supplement, # (2) Supplement)(klc, ) [Transferred from Texas Eastern on 9/30/2021.]
Sep 3, 2021 2 Amended Complaint (Supplement) (30)
Docket Text: THIRD AMENDED COMPLAINT (Attachments: # (1) Supplement, # (2) Supplement)(klc, ) [Transferred from Texas Eastern on 9/30/2021.]
Sep 3, 2021 2 Amended Complaint (Supplement) (30)
Docket Text: THIRD AMENDED COMPLAINT (Attachments: # (1) Supplement, # (2) Supplement)(klc, ) [Transferred from Texas Eastern on 9/30/2021.]
Sep 3, 2021 3 Answer to Amended Complaint (30)
Docket Text: FILED IN ERROR. PLEASE IGNORE. PLEASE SEE DKT #4 ANSWER to [2] Amended Complaint (klc, ) Modified on 9/22/2021 (klc, ). Modified on 9/22/2021 (klc, ). [Transferred from Texas Eastern on 9/30/2021.]
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