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Case number 2:19-cv-00351

Genuine Enabling Technology LLC v. Nintendo Co Ltd et al > Documents

Date Field Doc. No.Description (Pages)
Sep 1, 2023 136 JOINT STATUS REPORT signed by all parties. Filed by Plaintiff Genuine Enabling Technology LLC.(Robbennolt, Paul) (Entered: 09/01/2023) (6)
May 9, 2022 135 Mandate of USCA (1)
Docket Text: MANDATE FROM FEDERAL CIRCUIT (20-2167) as to [125] Notice of Appeal, filed by Genuine Enabling Technology LLC, [134] Opinion from USCA. In accordance with the judgment of this Court, entered April 1, 2022, and pursuant to Rule 41 of the Federal Rules of Appellate Procedure, the formal mandate is hereby issued. REVERSED AND REMANDED. (RE)
Apr 1, 2022 134 Memorandum/Opinion from USCA (16)
Docket Text: OPINION FROM FEDERAL CIRCUIT (20-2167) (NOT THE MANDATE) as to [125] Notice of Appeal, filed by Genuine Enabling Technology LLC. REVERSED AND REMANDED. (RE)
Jan 21, 2021 133 Order on Motion for Miscellaneous Relief (10)
Docket Text: ORDER granting in part and denying in part [131] Motion to Retax. The Clerk's Taxation of Costs, Dkt. #[130], shall be amended to reduce the costs awarded by $486.55, for a total taxation of $19,887.98. Signed by Judge Ricardo S. Martinez. (PM)
Oct 28, 2020 10 Application for Leave to Appear Pro Hac Vice (2)
Oct 28, 2020 10 Certification of Peter D. Shapiro (1)
Oct 28, 2020 10 Certification of Giancarlo L. Scaccia (1)
Oct 28, 2020 10 Certification of Christopher M. Gerson (1)
Oct 28, 2020 17 Motion to Dismiss (1)
Oct 28, 2020 17 Text of Proposed Order (1)
Oct 28, 2020 17 Rule 7.1.1 Certification (1)
Oct 28, 2020 19 Motion to Transfer Case (2)
Oct 28, 2020 19 Text of Proposed Order (1)
Oct 28, 2020 19 Rule 7.1.1 Certification (1)
Oct 28, 2020 27 Motion for Leave to File (3)
Oct 28, 2020 27 Text of Proposed Order (1)
Oct 28, 2020 27 Exhibit A - Reply Brief (14)
Oct 28, 2020 30 Motion for Leave to File (2)
Oct 28, 2020 30 Exhibit 1 (13)
Oct 28, 2020 30 Exhibit 2 (9)
Oct 28, 2020 30 Proposed Order (1)
Oct 28, 2020 37 Application for Leave to Appear Pro Hac Vice (2)
Oct 28, 2020 37 (Certification of Josh Calabro) (1)
Oct 28, 2020 71 Motion for Miscellaneous Relief (14)
Oct 28, 2020 71 Proposed Order (2)
Oct 28, 2020 78 Stipulated Motion (5)
Oct 28, 2020 78 Proposed Order Exhibit 1 - Proposed Stipulated Protective Order (25)
Oct 28, 2020 78 Exhibit 2 - Redline Comparison to Model Protective Order (27)
Oct 28, 2020 78 Proposed Order Granting Stipulated Motion (4)
Oct 28, 2020 81 Stipulated Motion (27)
Oct 28, 2020 81 Exhibit B - Redline of Stipulated Protective Order Against Model Protective Orde (31)
Oct 28, 2020 88 Motion for Leave to File Over-length Motions and Briefs (5)
Oct 28, 2020 88 Exhibit 1 (GET discl. of terms) (5)
Oct 28, 2020 88 Exhibit 2 (Nintendo discl. of terms) (8)
Oct 28, 2020 88 Exhibit 3 (Email re SRSI) (4)
Oct 28, 2020 88 Exhibit 4 (Email re converter) (3)
Oct 28, 2020 90 Motion for Summary Judgment (28)
Oct 28, 2020 90 Proposed Order Granting Motion for Summary Judgment (3)
Oct 28, 2020 90 Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary J (3)
Oct 28, 2020 90 Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts (11)
Oct 28, 2020 90 Exhibit 18 - GET Dep. Exhibit 15 (2)
Oct 28, 2020 90 Exhibit 19 - GET Infringement Contentions - Excerpts (27)
Oct 28, 2020 90 Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts (4)
Oct 28, 2020 90 Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts (7)
Oct 28, 2020 90 Exhibit 22 - '730 Patent File History - Additional Excerpts (10)
Oct 28, 2020 90 Declaration of Dr. Howard Chizeck (9)
Oct 28, 2020 90 Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck (17)
Oct 28, 2020 90 Exhibit B - Chizeck Decl. (10)
Oct 28, 2020 90 Exhibit C - Chizeck Decl. (9)
Oct 28, 2020 90 Exhibit D - Chizeck Decl. (28)
Oct 28, 2020 90 Exhibit E - Chizeck Decl. (21)
Oct 28, 2020 90 Exhibit F - Chizeck Decl. (4)
Oct 28, 2020 90 Declaration of Dr. Harry Bims (10)
Oct 28, 2020 90 Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims (37)
Oct 28, 2020 90 Exhibit B - Bims Decl. (32)
Oct 28, 2020 90 Exhibit C - Bims Decl. (2)
Oct 28, 2020 90 Exhibit D - Bims Decl. (3)
Oct 28, 2020 90 Exhibit E - Bims Decl. (3)
Oct 28, 2020 90 Exhibit F - Bims Decl. (2)
Oct 28, 2020 90 Exhibit G - Bims Decl. (2)
Oct 28, 2020 90 Exhibit H - Bims Decl. (2)
Oct 28, 2020 90 Exhibit I - Bims Decl. (6)
Oct 28, 2020 90 Exhibit J - Bims Decl. (3)
Oct 28, 2020 90 Exhibit K - Bims Decl. (7)
Oct 28, 2020 90 Exhibit L - Bims Decl. (5)
Oct 28, 2020 90 Exhibit M - Bims Decl. (5)
Oct 28, 2020 97 Motion to Seal (3)
Oct 28, 2020 97 Proposed Order (2)
Oct 28, 2020 106 Motion for Miscellaneous Relief (4)
Oct 28, 2020 106 Proposed Order (2)
Oct 28, 2020 111 Motion to Amend (5)
Oct 28, 2020 111 Proposed Order (2)
Oct 28, 2020 114 Motion for Miscellaneous Relief (4)
Oct 28, 2020 114 Proposed Order (2)
Oct 28, 2020 127 Motion for Bill of Costs (7)
Oct 28, 2020 127 Exhibit 1 - Bill of Costs, Required Itemization, and Support (25)
Oct 26, 2020 132 Response to Motion (10)
Oct 26, 2020 132 Declaration of Kevin A. Zeck in Opposition to Motion to Retax Costs (3)
Oct 26, 2020 132 Exhibit A (2)
Oct 26, 2020 132 Exhibit B (4)
Oct 26, 2020 132 Exhibit C (3)
Oct 26, 2020 132 Exhibit D (4)
Oct 26, 2020 132 Response to Motion () (10)
Docket Text: RESPONSE, by Defendants Nintendo Co Ltd, Nintendo of America Inc, to [131] MOTION Retax Pursuant to LCR 54(d)(4) re [130] Order on Motion for Bill of Costs . (Attachments: # (1) Declaration of Kevin A. Zeck in Opposition to Motion to Retax Costs, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D)(Zeck, Kevin)
Oct 26, 2020 132 Response to Motion (Declaration of Kevin A. Zeck in Opposition to Motion to Retax Costs) (3)
Docket Text: RESPONSE, by Defendants Nintendo Co Ltd, Nintendo of America Inc, to [131] MOTION Retax Pursuant to LCR 54(d)(4) re [130] Order on Motion for Bill of Costs . (Attachments: # (1) Declaration of Kevin A. Zeck in Opposition to Motion to Retax Costs, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D)(Zeck, Kevin)
Oct 26, 2020 132 Response to Motion (Exhibit A) (2)
Docket Text: RESPONSE, by Defendants Nintendo Co Ltd, Nintendo of America Inc, to [131] MOTION Retax Pursuant to LCR 54(d)(4) re [130] Order on Motion for Bill of Costs . (Attachments: # (1) Declaration of Kevin A. Zeck in Opposition to Motion to Retax Costs, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D)(Zeck, Kevin)
Oct 26, 2020 132 Response to Motion (Exhibit B) (4)
Docket Text: RESPONSE, by Defendants Nintendo Co Ltd, Nintendo of America Inc, to [131] MOTION Retax Pursuant to LCR 54(d)(4) re [130] Order on Motion for Bill of Costs . (Attachments: # (1) Declaration of Kevin A. Zeck in Opposition to Motion to Retax Costs, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D)(Zeck, Kevin)
Oct 26, 2020 132 Response to Motion (Exhibit C) (3)
Docket Text: RESPONSE, by Defendants Nintendo Co Ltd, Nintendo of America Inc, to [131] MOTION Retax Pursuant to LCR 54(d)(4) re [130] Order on Motion for Bill of Costs . (Attachments: # (1) Declaration of Kevin A. Zeck in Opposition to Motion to Retax Costs, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D)(Zeck, Kevin)
Oct 26, 2020 132 Response to Motion (Exhibit D) (4)
Docket Text: RESPONSE, by Defendants Nintendo Co Ltd, Nintendo of America Inc, to [131] MOTION Retax Pursuant to LCR 54(d)(4) re [130] Order on Motion for Bill of Costs . (Attachments: # (1) Declaration of Kevin A. Zeck in Opposition to Motion to Retax Costs, # (2) Exhibit A, # (3) Exhibit B, # (4) Exhibit C, # (5) Exhibit D)(Zeck, Kevin)
Oct 6, 2020 131 Motion for Miscellaneous Relief (15)
Oct 6, 2020 131 Proposed Order (3)
Oct 6, 2020 131 Motion for Miscellaneous Relief () (15)
Docket Text: MOTION Retax Pursuant to LCR 54(d)(4) re [130] Order on Motion for Bill of Costs , filed by Plaintiff Genuine Enabling Technology LLC. (Attachments: # (1) Proposed Order) Noting Date 10/30/2020, (Padmanabhan, Devan)
Oct 6, 2020 131 Motion for Miscellaneous Relief (Proposed Order) (3)
Docket Text: MOTION Retax Pursuant to LCR 54(d)(4) re [130] Order on Motion for Bill of Costs , filed by Plaintiff Genuine Enabling Technology LLC. (Attachments: # (1) Proposed Order) Noting Date 10/30/2020, (Padmanabhan, Devan)
Sep 29, 2020 130 Order on Motion for Bill of Costs (3)
Docket Text: ORDER granting [127] Motion for Bill of Costs in the amount of $ 20,374.53 against Plaintiff GENUINE ENABLING TECHNOLOGY, signed by Deputy In Charge Pat Sherwood.(PS)
Sep 11, 2020 129 Reply to Response to Motion (8)
Sep 11, 2020 129 Declaration of Kevin A. Zeck in Support of Reply Brief (3)
Sep 11, 2020 129 Exhibit 1 - Updated Cost Itemization (5)
Sep 11, 2020 129 Exhibit 2 - Excerpts of GET RFP Responses (5)
Sep 11, 2020 129 Exhibit 3 - Correspondence between counsel (3)
Sep 11, 2020 129 Exhibit 4 - Updated Invoice for Transcript of Deposition of Dr. Harry Bims (3)
Sep 11, 2020 129 Reply to Response to Motion () (8)
Docket Text: REPLY, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc, TO RESPONSE to [127] MOTION FOR BILL OF COSTS (Attachments: # (1) Declaration of Kevin A. Zeck in Support of Reply Brief, # (2) Exhibit 1 - Updated Cost Itemization, # (3) Exhibit 2 - Excerpts of GET RFP Responses, # (4) Exhibit 3 - Correspondence between counsel, # (5) Exhibit 4 - Updated Invoice for Transcript of Deposition of Dr. Harry Bims)(Zeck, Kevin)
Sep 11, 2020 129 Reply to Response to Motion (Declaration of Kevin A. Zeck in Support of Reply Brief) (3)
Docket Text: REPLY, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc, TO RESPONSE to [127] MOTION FOR BILL OF COSTS (Attachments: # (1) Declaration of Kevin A. Zeck in Support of Reply Brief, # (2) Exhibit 1 - Updated Cost Itemization, # (3) Exhibit 2 - Excerpts of GET RFP Responses, # (4) Exhibit 3 - Correspondence between counsel, # (5) Exhibit 4 - Updated Invoice for Transcript of Deposition of Dr. Harry Bims)(Zeck, Kevin)
Sep 11, 2020 129 Reply to Response to Motion (Exhibit 1 - Updated Cost Itemization) (5)
Docket Text: REPLY, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc, TO RESPONSE to [127] MOTION FOR BILL OF COSTS (Attachments: # (1) Declaration of Kevin A. Zeck in Support of Reply Brief, # (2) Exhibit 1 - Updated Cost Itemization, # (3) Exhibit 2 - Excerpts of GET RFP Responses, # (4) Exhibit 3 - Correspondence between counsel, # (5) Exhibit 4 - Updated Invoice for Transcript of Deposition of Dr. Harry Bims)(Zeck, Kevin)
Sep 11, 2020 129 Reply to Response to Motion (Exhibit 2 - Excerpts of GET RFP Responses) (5)
Docket Text: REPLY, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc, TO RESPONSE to [127] MOTION FOR BILL OF COSTS (Attachments: # (1) Declaration of Kevin A. Zeck in Support of Reply Brief, # (2) Exhibit 1 - Updated Cost Itemization, # (3) Exhibit 2 - Excerpts of GET RFP Responses, # (4) Exhibit 3 - Correspondence between counsel, # (5) Exhibit 4 - Updated Invoice for Transcript of Deposition of Dr. Harry Bims)(Zeck, Kevin)
Sep 11, 2020 129 Reply to Response to Motion (Exhibit 3 - Correspondence between counsel) (3)
Docket Text: REPLY, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc, TO RESPONSE to [127] MOTION FOR BILL OF COSTS (Attachments: # (1) Declaration of Kevin A. Zeck in Support of Reply Brief, # (2) Exhibit 1 - Updated Cost Itemization, # (3) Exhibit 2 - Excerpts of GET RFP Responses, # (4) Exhibit 3 - Correspondence between counsel, # (5) Exhibit 4 - Updated Invoice for Transcript of Deposition of Dr. Harry Bims)(Zeck, Kevin)
Sep 11, 2020 129 Reply to Response to Motion (Exhibit 4 - Updated Invoice for Transcript of Deposition of Dr. Harry Bims) (3)
Docket Text: REPLY, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc, TO RESPONSE to [127] MOTION FOR BILL OF COSTS (Attachments: # (1) Declaration of Kevin A. Zeck in Support of Reply Brief, # (2) Exhibit 1 - Updated Cost Itemization, # (3) Exhibit 2 - Excerpts of GET RFP Responses, # (4) Exhibit 3 - Correspondence between counsel, # (5) Exhibit 4 - Updated Invoice for Transcript of Deposition of Dr. Harry Bims)(Zeck, Kevin)
Sep 4, 2020 128 Response to Motion (16)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [127] MOTION FOR BILL OF COSTS . (Robbennolt, Paul)
Aug 26, 2020 N/A Motions Referred (0)
Docket Text: REFERRING [127] MOTION FOR BILL OF COSTS to: Deputy in Charge Pat Sherwood. (LH)
Aug 26, 2020 127 Motion for Bill of Costs () (7)
Docket Text: MOTION FOR BILL OF COSTS , filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. (Attachments: # (1) Exhibit 1 - Bill of Costs, Required Itemization, and Support) Noting Date 9/11/2020, (Zeck, Kevin)
Aug 26, 2020 127 Motion for Bill of Costs (Exhibit 1 - Bill of Costs, Required Itemization, and Support) (25)
Docket Text: MOTION FOR BILL OF COSTS , filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. (Attachments: # (1) Exhibit 1 - Bill of Costs, Required Itemization, and Support) Noting Date 9/11/2020, (Zeck, Kevin)
Aug 18, 2020 126 Appeal Number from USCA (3)
Docket Text: FEDERAL CIRCUIT APPEAL NUMBER 2020-2167 for [125] Notice of Appeal filed by Genuine Enabling Technology LLC. (CDA)
Aug 17, 2020 N/A Appeal Notification Form (0)
Docket Text: APPEAL NOTIFICATION packet sent to the Federal Circuit re [125] Notice of Appeal (CDA)
Aug 14, 2020 125 Notice of Appeal (3)
Docket Text: NOTICE OF APPEAL to Federal Circuit (2020-2167) re [124] Judgment by Court, [123] Order on Motion for Summary Judgment by Plaintiff Genuine Enabling Technology LLC. $505, receipt number AWAWDC-6533155 (cc: USCA) (Robbennolt, Paul) Modified on 8/18/2020 add Fed Circuit appeal # (CDA).
Aug 14, 2020 125 Notice of Appeal* (1)
Aug 6, 2020 124 Judgment by Court (1)
Docket Text: JUDGMENT BY COURT. Nintendo's motion for summary judgment, Dkt. #[90], is GRANTED. Plaintiff's complaint is DISMISSED WITH PREJUDICE. (PM)
Jul 30, 2020 122 Order on Motion to Seal (3)
Docket Text: ORDER granting Plaintiff's [97] Motion to Seal. Nintendo's technical documents, Dkts. #[99], #[100], #[101], #[102], and #[103], shall remain sealed. Signed by Judge Ricardo S. Martinez.(LH)
Jul 30, 2020 123 Order on Motion for Summary Judgment (29)
Docket Text: ORDER granting Defendants Nintendo Co., Ltd. and Nintendo of America, Inc.'s [90] Motion for Summary Judgment. Signed by Judge Ricardo S. Martinez. (PM)
May 20, 2020 121 Order on Stipulated Motion (2)
Docket Text: ORDER AMENDING TRIAL DATE AND RELATED DATES granting parties' [119] Stipulated Motion. Jury Trial is set for 3/8/2021 at 09:00 AM before Judge Ricardo S. Martinez. Expert Witness Disclosure/Reports under FRCP 26(a)(2) due by 10/26/2020, Motions related to discovery due by 10/28/2020, Rebuttal Expert Disclosure/Reports due by 11/16/2020, Discovery completed by 12/4/2020, Dispositive motions due by 12/17/2020, Attorney settlement conference to be held by 2/5/2021, 39.1 mediation to be completed by 2/12/2021, Motions in Limine due by 2/12/2021, Agreed Pretrial Order due by 2/26/2021, Voir dire/jury instructions/trial briefs due by 3/2/2021. Signed by Judge Ricardo S. Martinez.(PM)
May 18, 2020 119 Stipulated Motion (6)
Docket Text: Second Stipulated MOTION to Amend Trial and Related Dates, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Noting Date 5/18/2020, (Zeck, Kevin)
May 18, 2020 120 Proposed Order (Unsigned) (2)
Docket Text: PROPOSED ORDER (Unsigned) re [119] Second Stipulated MOTION to Amend Trial and Related Dates (Zeck, Kevin)
Apr 24, 2020 N/A Order on Application for Leave to Appear Pro Hac Vice (0)
Docket Text: ORDER re [117] Application for Leave to Appear Pro Hac Vice. The Court ADMITS Attorney Andrew Thomas Dufresne for Defendants Nintendo Co Ltd and Nintendo of America Inc, by Clerk William M McCool. No document associated with this docket entry, text only.NOTE TO COUNSEL: Local counsel agrees to sign all filings and to be prepared to handle the matter, including the trial thereof, in the event the applicant is unable to be present on any date scheduled by the court, pursuant to LCR 83.1(d).(DS)
Apr 23, 2020 117 Application for Leave to Appear Pro Hac Vice (3)
Docket Text: APPLICATION OF ATTORNEY Andrew T. Dufresne FOR LEAVE TO APPEAR PRO HAC VICE for Defendants Nintendo Co Ltd, Nintendo of America Inc (Fee Paid) Receipt No. AWAWDC-6290909 (Riedinger, Jerry)
Apr 7, 2020 116 Notice of Withdrawal of Counsel (4)
Docket Text: NOTICE OF WITHDRAWAL OF COUNSEL: Attorney Jonathan L McFarland for Defendants Nintendo Co Ltd, Nintendo of America Inc. (McFarland, Jonathan)
Apr 3, 2020 115 Order on Motion for Miscellaneous Relief (2)
Docket Text: ORDER granting Plaintiff's [114] Motion for Order Rescheduling Depositions in Osaka, Japan. Signed by Judge Ricardo S. Martinez. (PM)
Apr 2, 2020 114 Motion for Miscellaneous Relief () (4)
Docket Text: Unopposed MOTION Unopposed Motion for an Order Rescheduling Depositions in Osaka, Japan , filed by Plaintiff Genuine Enabling Technology LLC. (Attachments: # (1) Proposed Order) Noting Date 4/2/2020, (Dungan, Erin)
Apr 2, 2020 114 Motion for Miscellaneous Relief (Proposed Order) (2)
Docket Text: Unopposed MOTION Unopposed Motion for an Order Rescheduling Depositions in Osaka, Japan , filed by Plaintiff Genuine Enabling Technology LLC. (Attachments: # (1) Proposed Order) Noting Date 4/2/2020, (Dungan, Erin)
Mar 10, 2020 113 Notice-Other (4)
Mar 10, 2020 113 Exhibit A - Memorandum Opinion (GET v. Sony) (45)
Mar 10, 2020 113 Exhibit B - Order Regarding Disputed Claim Terms (GET v. Sony) (3)
Mar 10, 2020 113 Notice-Other () (4)
Docket Text: NOTICE OF CLAIM CONSTRUCTION ORDER IN GET V. SONY (D. DEL.) ; filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. (Attachments: # (1) Exhibit A - Memorandum Opinion (GET v. Sony), # (2) Exhibit B - Order Regarding Disputed Claim Terms (GET v. Sony))(Zeck, Kevin)
Mar 10, 2020 113 Notice-Other (Exhibit A - Memorandum Opinion (GET v. Sony)) (30)
Docket Text: NOTICE OF CLAIM CONSTRUCTION ORDER IN GET V. SONY (D. DEL.) ; filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. (Attachments: # (1) Exhibit A - Memorandum Opinion (GET v. Sony), # (2) Exhibit B - Order Regarding Disputed Claim Terms (GET v. Sony))(Zeck, Kevin)
Mar 10, 2020 113 Notice-Other (Exhibit B - Order Regarding Disputed Claim Terms (GET v. Sony)) (3)
Docket Text: NOTICE OF CLAIM CONSTRUCTION ORDER IN GET V. SONY (D. DEL.) ; filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. (Attachments: # (1) Exhibit A - Memorandum Opinion (GET v. Sony), # (2) Exhibit B - Order Regarding Disputed Claim Terms (GET v. Sony))(Zeck, Kevin)
Mar 5, 2020 112 Order on Motion to Amend (2)
Docket Text: ORDER Amending Trial Date and Related Deadlines re parties' [111] Stipulated Motion to Amend Trial Dates and Related Dates. Jury Trial is set for 11/9/2020 at 0:00 AM before Judge Ricardo S. Martinez. Expert Witness Disclosure/Reports under FRCP 26(a)(2) due by 6/22/2020, Discovery Motions due by 6/24/2020, Rebuttal Expert Disclosure/Reports due by 7/15/2020, Discovery completed by 7/27/2020, Dispositive motions due by 8/10/2020, Attorney settlement conference to be held by 10/5/2020, 39.1 mediation to be completed by 10/12/2020, Motions in Limine due by 10/12/2020, Pretrial Order due by 10/27/2020, Trial briefs to be submitted by 11/3/2020, Proposed voir dire/jury instructions due by 11/3/2020. Signed by Judge Ricardo S. Martinez. (TH)
Mar 4, 2020 111 Motion to Amend () (5)
Docket Text: Stipulated MOTION to Amend [70] Order,,,, Set Deadlines,,, [68] Order Setting Trial Date & Related Dates (Patent),,,,,,, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. (Attachments: # (1) Proposed Order) Noting Date 3/4/2020, (Riedinger, Jerry)
Mar 4, 2020 111 Motion to Amend (Proposed Order) (2)
Docket Text: Stipulated MOTION to Amend [70] Order,,,, Set Deadlines,,, [68] Order Setting Trial Date & Related Dates (Patent),,,,,,, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. (Attachments: # (1) Proposed Order) Noting Date 3/4/2020, (Riedinger, Jerry)
Mar 2, 2020 110 Notice of Filing of Official Transcript (127)
Docket Text: NOTICE OF FILING OF OFFICIAL TRANSCRIPT of Markman Hearing held on 2/24/2020 before Judge Ricardo S. Martinez.Parties have seven (7) calendar days to file with the court a Notice of Intent to Request Redaction of this transcript. If no such Notice is filed, the transcript may be made remotely electronically available to the public without redaction after 90 calendar days.Transcript may be viewed at the court public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. After that date it may be obtained through PACER. Information regarding the policy can be found on the court's website at www.wawd.uscourts.gov.To purchase a copy of the transcript, contact court reporter Nickoline Drury, nickoline_drury@wawd.uscourts.gov, 206-370-8508. Release of Transcript Restriction set for 6/1/2020, (ND)
Feb 24, 2020 N/A Markman Hearing (0)
Docket Text: MINUTE ENTRY for proceedings held before Judge Ricardo S. Martinez- Dep Clerk: Laurie Cuaresma; Pla Counsel: Devan Padmanabhan, Paul Robbennolt; Def Counsel: Jerry Riedinger, Jonathan McFarland, Kevin Zeck, David Pekarek Krohn; CR: Nickie Drury; Time of Hearing: 9:00 AM; Markman Hearing held on 2/24/2020. Parties present technology tutorial for the Court. Court hears argument of counsel regarding select claim terms at issue. Court thanks parties for their presentation and arguments. (LC)
Feb 18, 2020 108 Order on Motion for Miscellaneous Relief (2)
Docket Text: ORDER granting Plaintiff's unopposed [106] Motion for an order commissioning depositions in Osaka, Japan. Signed by Judge Ricardo S. Martinez. (PM)
Feb 14, 2020 107 Reply to Response to Motion (18)
Feb 14, 2020 107 Declaration of James S. Miller (3)
Feb 14, 2020 107 Exhibit 23 - Excerpts of GET Rule 30(b)(6) Deposition (11)
Feb 14, 2020 107 Exhibit 24 - Excerpts of '730 Patent File History (9)
Feb 14, 2020 107 Exhibit 25 - Excerpts of Joint Claim Construction Chart in GET v. Sony (3)
Feb 14, 2020 107 Exhibit 26 - Excerpts of Nintendo's 6/19/2019 Interrog. Responses (8)
Feb 14, 2020 107 Exhibit 27 - 9/27/2019 Letter from Nintendo to GET (3)
Feb 14, 2020 107 Exhibit 28 - 10/9/2019 Letter from Nintendo to GET (3)
Feb 14, 2020 107 Exhibit 29 - 1/24/2020 Letter from GET Serving Discovery (3)
Feb 14, 2020 107 Exhibit 30 - Excerpt of 12/13/2019 Deposition of K. Fernald (9)
Feb 14, 2020 106 Motion for Miscellaneous Relief () (4)
Docket Text: Unopposed MOTION for an order commissioning depositions in Osaka, Japan , filed by Plaintiff Genuine Enabling Technology LLC. (Attachments: # (1) Proposed Order) Noting Date 2/14/2020, (Dungan, Erin)
Feb 14, 2020 106 Motion for Miscellaneous Relief (Proposed Order) (2)
Docket Text: Unopposed MOTION for an order commissioning depositions in Osaka, Japan , filed by Plaintiff Genuine Enabling Technology LLC. (Attachments: # (1) Proposed Order) Noting Date 2/14/2020, (Dungan, Erin)
Feb 14, 2020 107 Reply to Response to Motion () (18)
Docket Text: REPLY, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc, TO RESPONSE to [90] MOTION for Summary Judgment of Non-infringement and Invalidity (Attachments: # (1) Declaration of James S. Miller, # (2) Exhibit 23 - Excerpts of GET Rule 30(b)(6) Deposition, # (3) Exhibit 24 - Excerpts of '730 Patent File History, # (4) Exhibit 25 - Excerpts of Joint Claim Construction Chart in GET v. Sony, # (5) Exhibit 26 - Excerpts of Nintendo's 6/19/2019 Interrog. Responses, # (6) Exhibit 27 - 9/27/2019 Letter from Nintendo to GET, # (7) Exhibit 28 - 10/9/2019 Letter from Nintendo to GET, # (8) Exhibit 29 - 1/24/2020 Letter from GET Serving Discovery, # (9) Exhibit 30 - Excerpt of 12/13/2019 Deposition of K. Fernald)(Riedinger, Jerry)
Feb 14, 2020 107 Reply to Response to Motion (Declaration of James S. Miller) (3)
Docket Text: REPLY, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc, TO RESPONSE to [90] MOTION for Summary Judgment of Non-infringement and Invalidity (Attachments: # (1) Declaration of James S. Miller, # (2) Exhibit 23 - Excerpts of GET Rule 30(b)(6) Deposition, # (3) Exhibit 24 - Excerpts of '730 Patent File History, # (4) Exhibit 25 - Excerpts of Joint Claim Construction Chart in GET v. Sony, # (5) Exhibit 26 - Excerpts of Nintendo's 6/19/2019 Interrog. Responses, # (6) Exhibit 27 - 9/27/2019 Letter from Nintendo to GET, # (7) Exhibit 28 - 10/9/2019 Letter from Nintendo to GET, # (8) Exhibit 29 - 1/24/2020 Letter from GET Serving Discovery, # (9) Exhibit 30 - Excerpt of 12/13/2019 Deposition of K. Fernald)(Riedinger, Jerry)
Feb 14, 2020 107 Reply to Response to Motion (Exhibit 23 - Excerpts of GET Rule 30(b)(6) Deposition) (11)
Docket Text: REPLY, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc, TO RESPONSE to [90] MOTION for Summary Judgment of Non-infringement and Invalidity (Attachments: # (1) Declaration of James S. Miller, # (2) Exhibit 23 - Excerpts of GET Rule 30(b)(6) Deposition, # (3) Exhibit 24 - Excerpts of '730 Patent File History, # (4) Exhibit 25 - Excerpts of Joint Claim Construction Chart in GET v. Sony, # (5) Exhibit 26 - Excerpts of Nintendo's 6/19/2019 Interrog. Responses, # (6) Exhibit 27 - 9/27/2019 Letter from Nintendo to GET, # (7) Exhibit 28 - 10/9/2019 Letter from Nintendo to GET, # (8) Exhibit 29 - 1/24/2020 Letter from GET Serving Discovery, # (9) Exhibit 30 - Excerpt of 12/13/2019 Deposition of K. Fernald)(Riedinger, Jerry)
Feb 14, 2020 107 Reply to Response to Motion (Exhibit 24 - Excerpts of '730 Patent File History) (9)
Docket Text: REPLY, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc, TO RESPONSE to [90] MOTION for Summary Judgment of Non-infringement and Invalidity (Attachments: # (1) Declaration of James S. Miller, # (2) Exhibit 23 - Excerpts of GET Rule 30(b)(6) Deposition, # (3) Exhibit 24 - Excerpts of '730 Patent File History, # (4) Exhibit 25 - Excerpts of Joint Claim Construction Chart in GET v. Sony, # (5) Exhibit 26 - Excerpts of Nintendo's 6/19/2019 Interrog. Responses, # (6) Exhibit 27 - 9/27/2019 Letter from Nintendo to GET, # (7) Exhibit 28 - 10/9/2019 Letter from Nintendo to GET, # (8) Exhibit 29 - 1/24/2020 Letter from GET Serving Discovery, # (9) Exhibit 30 - Excerpt of 12/13/2019 Deposition of K. Fernald)(Riedinger, Jerry)
Feb 14, 2020 107 Reply to Response to Motion (Exhibit 25 - Excerpts of Joint Claim Construction Chart in GET v. Sony) (3)
Docket Text: REPLY, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc, TO RESPONSE to [90] MOTION for Summary Judgment of Non-infringement and Invalidity (Attachments: # (1) Declaration of James S. Miller, # (2) Exhibit 23 - Excerpts of GET Rule 30(b)(6) Deposition, # (3) Exhibit 24 - Excerpts of '730 Patent File History, # (4) Exhibit 25 - Excerpts of Joint Claim Construction Chart in GET v. Sony, # (5) Exhibit 26 - Excerpts of Nintendo's 6/19/2019 Interrog. Responses, # (6) Exhibit 27 - 9/27/2019 Letter from Nintendo to GET, # (7) Exhibit 28 - 10/9/2019 Letter from Nintendo to GET, # (8) Exhibit 29 - 1/24/2020 Letter from GET Serving Discovery, # (9) Exhibit 30 - Excerpt of 12/13/2019 Deposition of K. Fernald)(Riedinger, Jerry)
Feb 14, 2020 107 Reply to Response to Motion (Exhibit 26 - Excerpts of Nintendo's 6/19/2019 Interrog. Responses) (8)
Docket Text: REPLY, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc, TO RESPONSE to [90] MOTION for Summary Judgment of Non-infringement and Invalidity (Attachments: # (1) Declaration of James S. Miller, # (2) Exhibit 23 - Excerpts of GET Rule 30(b)(6) Deposition, # (3) Exhibit 24 - Excerpts of '730 Patent File History, # (4) Exhibit 25 - Excerpts of Joint Claim Construction Chart in GET v. Sony, # (5) Exhibit 26 - Excerpts of Nintendo's 6/19/2019 Interrog. Responses, # (6) Exhibit 27 - 9/27/2019 Letter from Nintendo to GET, # (7) Exhibit 28 - 10/9/2019 Letter from Nintendo to GET, # (8) Exhibit 29 - 1/24/2020 Letter from GET Serving Discovery, # (9) Exhibit 30 - Excerpt of 12/13/2019 Deposition of K. Fernald)(Riedinger, Jerry)
Feb 14, 2020 107 Reply to Response to Motion (Exhibit 27 - 9/27/2019 Letter from Nintendo to GET) (3)
Docket Text: REPLY, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc, TO RESPONSE to [90] MOTION for Summary Judgment of Non-infringement and Invalidity (Attachments: # (1) Declaration of James S. Miller, # (2) Exhibit 23 - Excerpts of GET Rule 30(b)(6) Deposition, # (3) Exhibit 24 - Excerpts of '730 Patent File History, # (4) Exhibit 25 - Excerpts of Joint Claim Construction Chart in GET v. Sony, # (5) Exhibit 26 - Excerpts of Nintendo's 6/19/2019 Interrog. Responses, # (6) Exhibit 27 - 9/27/2019 Letter from Nintendo to GET, # (7) Exhibit 28 - 10/9/2019 Letter from Nintendo to GET, # (8) Exhibit 29 - 1/24/2020 Letter from GET Serving Discovery, # (9) Exhibit 30 - Excerpt of 12/13/2019 Deposition of K. Fernald)(Riedinger, Jerry)
Feb 14, 2020 107 Reply to Response to Motion (Exhibit 28 - 10/9/2019 Letter from Nintendo to GET) (3)
Docket Text: REPLY, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc, TO RESPONSE to [90] MOTION for Summary Judgment of Non-infringement and Invalidity (Attachments: # (1) Declaration of James S. Miller, # (2) Exhibit 23 - Excerpts of GET Rule 30(b)(6) Deposition, # (3) Exhibit 24 - Excerpts of '730 Patent File History, # (4) Exhibit 25 - Excerpts of Joint Claim Construction Chart in GET v. Sony, # (5) Exhibit 26 - Excerpts of Nintendo's 6/19/2019 Interrog. Responses, # (6) Exhibit 27 - 9/27/2019 Letter from Nintendo to GET, # (7) Exhibit 28 - 10/9/2019 Letter from Nintendo to GET, # (8) Exhibit 29 - 1/24/2020 Letter from GET Serving Discovery, # (9) Exhibit 30 - Excerpt of 12/13/2019 Deposition of K. Fernald)(Riedinger, Jerry)
Feb 14, 2020 107 Reply to Response to Motion (Exhibit 29 - 1/24/2020 Letter from GET Serving Discovery) (3)
Docket Text: REPLY, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc, TO RESPONSE to [90] MOTION for Summary Judgment of Non-infringement and Invalidity (Attachments: # (1) Declaration of James S. Miller, # (2) Exhibit 23 - Excerpts of GET Rule 30(b)(6) Deposition, # (3) Exhibit 24 - Excerpts of '730 Patent File History, # (4) Exhibit 25 - Excerpts of Joint Claim Construction Chart in GET v. Sony, # (5) Exhibit 26 - Excerpts of Nintendo's 6/19/2019 Interrog. Responses, # (6) Exhibit 27 - 9/27/2019 Letter from Nintendo to GET, # (7) Exhibit 28 - 10/9/2019 Letter from Nintendo to GET, # (8) Exhibit 29 - 1/24/2020 Letter from GET Serving Discovery, # (9) Exhibit 30 - Excerpt of 12/13/2019 Deposition of K. Fernald)(Riedinger, Jerry)
Feb 14, 2020 107 Reply to Response to Motion (Exhibit 30 - Excerpt of 12/13/2019 Deposition of K. Fernald) (9)
Docket Text: REPLY, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc, TO RESPONSE to [90] MOTION for Summary Judgment of Non-infringement and Invalidity (Attachments: # (1) Declaration of James S. Miller, # (2) Exhibit 23 - Excerpts of GET Rule 30(b)(6) Deposition, # (3) Exhibit 24 - Excerpts of '730 Patent File History, # (4) Exhibit 25 - Excerpts of Joint Claim Construction Chart in GET v. Sony, # (5) Exhibit 26 - Excerpts of Nintendo's 6/19/2019 Interrog. Responses, # (6) Exhibit 27 - 9/27/2019 Letter from Nintendo to GET, # (7) Exhibit 28 - 10/9/2019 Letter from Nintendo to GET, # (8) Exhibit 29 - 1/24/2020 Letter from GET Serving Discovery, # (9) Exhibit 30 - Excerpt of 12/13/2019 Deposition of K. Fernald)(Riedinger, Jerry)
Feb 13, 2020 105 Notice of Appearance (2)
Docket Text: NOTICE of Appearance by attorney James S Miller, III on behalf of Defendants Nintendo Co Ltd, Nintendo of America Inc. (Miller, James)
Feb 12, 2020 104 Response to Motion (5)
Docket Text: RESPONSE, by Defendants Nintendo Co Ltd, Nintendo of America Inc, to [97] Unopposed MOTION to Seal Documents Designated Confidential by Defendants. (Zeck, Kevin)
Feb 10, 2020 N/A Telephone Conference (0)
Docket Text: MINUTE ENTRY for proceedings held before Judge Ricardo S. Martinez- Dep Clerk: Laurie Cuaresma; Pla Counsel: Devan Padmanabhan, Paul Robbennolt; Def Counsel: Jerry Riedinger, Jonathan McFarland, Kevin Zeck; Time of Hearing: 10:00 AM; Telephone Conference held on 2/10/2020. Court confirms Markman hearing remains set on 2/24/2020 @ 9:00 AM. Parties agree up to 10 disputed claim terms can be addressed at hearing, although the focus will be the top 3-4 terms. Parties will provide a brief (15 min) tutorial for the Court at outset of hearing. The Court will advise the parties prior to the hearing if argument regarding pending summary judgment motion should be presented at conclusion of Markman hearing; argument may be set the following day (TBD). (LC)
Feb 10, 2020 98 Response to Motion (31)
Feb 10, 2020 98 Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment (3)
Feb 10, 2020 98 Exhibit R1 (16)
Feb 10, 2020 98 Exhibit R2 (5)
Feb 10, 2020 98 Exhibit R3 (5)
Feb 10, 2020 98 Exhibit R4 (6)
Feb 10, 2020 98 Exhibit R5 (5)
Feb 10, 2020 98 Exhibit R6 (4)
Feb 10, 2020 98 Exhibit R7 (4)
Feb 10, 2020 98 Exhibit R8 (4)
Feb 10, 2020 98 Exhibit R9 (2)
Feb 10, 2020 98 Exhibit R10 (2)
Feb 10, 2020 98 Exhibit R11 (3)
Feb 10, 2020 98 Exhibit R12 (6)
Feb 10, 2020 98 Exhibit R13 (4)
Feb 10, 2020 98 Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment (20)
Feb 10, 2020 98 Exhibit F1 (9)
Feb 10, 2020 98 Exhibit F2 (5)
Feb 10, 2020 98 Exhibit F3 (3)
Feb 10, 2020 98 Exhibit F4 (3)
Feb 10, 2020 98 Exhibit F5 (5)
Feb 10, 2020 98 Exhibit F6 (2)
Feb 10, 2020 98 Exhibit F7 (2)
Feb 10, 2020 98 Exhibit F8 (2)
Feb 10, 2020 98 Exhibit F9 (2)
Feb 10, 2020 98 Exhibit F10 (2)
Feb 10, 2020 98 Exhibit F11 (2)
Feb 10, 2020 98 Exhibit F12 (2)
Feb 10, 2020 98 Exhibit F13 (2)
Feb 10, 2020 98 Exhibit F14 (2)
Feb 10, 2020 98 Exhibit F15 (2)
Feb 10, 2020 98 Exhibit F16 (2)
Feb 10, 2020 98 Exhibit F17 (2)
Feb 10, 2020 98 Exhibit F18 (2)
Feb 10, 2020 98 Exhibit F19 (2)
Feb 10, 2020 98 Exhibit F20 (2)
Feb 10, 2020 98 Exhibit F21 (34)
Feb 10, 2020 97 Motion to Seal () (3)
Docket Text: Unopposed MOTION to Seal Documents Designated Confidential by Defendants, filed by Plaintiff Genuine Enabling Technology LLC. (Attachments: # (1) Proposed Order) Noting Date 2/10/2020, (Robbennolt, Paul)
Feb 10, 2020 97 Motion to Seal (Proposed Order) (2)
Docket Text: Unopposed MOTION to Seal Documents Designated Confidential by Defendants, filed by Plaintiff Genuine Enabling Technology LLC. (Attachments: # (1) Proposed Order) Noting Date 2/10/2020, (Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion () (30)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment) (3)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit R1) (16)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit R2) (5)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit R3) (5)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit R4) (6)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit R5) (5)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit R6) (4)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit R7) (4)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit R8) (4)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit R9) (2)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit R10) (2)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit R11) (3)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit R12) (6)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit R13) (4)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment) (20)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit F1) (9)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit F2) (5)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit F3) (3)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit F4) (3)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit F5) (5)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit F6) (2)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit F7) (2)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit F8) (2)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit F9) (2)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit F10) (2)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit F11) (2)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit F12) (2)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit F13) (2)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit F14) (2)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit F15) (2)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit F16) (2)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit F17) (2)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit F18) (2)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit F19) (2)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit F20) (2)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 10, 2020 98 Response to Motion (Exhibit F21) (30)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [90] MOTION for Summary Judgment of Non-infringement and Invalidity. Oral Argument Requested. (Attachments: # (1) Declaration of Paul J. Robbennolt in Opposition to Motion for Summary Judgment, # (2) Exhibit R1, # (3) Exhibit R2, # (4) Exhibit R3, # (5) Exhibit R4, # (6) Exhibit R5, # (7) Exhibit R6, # (8) Exhibit R7, # (9) Exhibit R8, # (10) Exhibit R9, # (11) Exhibit R10, # (12) Exhibit R11, # (13) Exhibit R12, # (14) Exhibit R13, # (15) Declaration of Kenneth W. Fernald in Opposition to Motion for Summary Judgment, # (16) Exhibit F1, # (17) Exhibit F2, # (18) Exhibit F3, # (19) Exhibit F4, # (20) Exhibit F5, # (21) Exhibit F6, # (22) Exhibit F7, # (23) Exhibit F8, # (24) Exhibit F9, # (25) Exhibit F10, # (26) Exhibit F11, # (27) Exhibit F12, # (28) Exhibit F13, # (29) Exhibit F14, # (30) Exhibit F15, # (31) Exhibit F16, # (32) Exhibit F17, # (33) Exhibit F18, # (34) Exhibit F19, # (35) Exhibit F20, # (36) Exhibit F21)(Robbennolt, Paul)
Feb 6, 2020 94 Notice-Other (4)
Feb 6, 2020 94 Appendix A - Printout of Technology Tutorial Presentation (79)
Feb 6, 2020 95 Notice of Filing Paper or Physical Materials (4)
Docket Text: NOTICE of Filing USB containing Video File created under Dr. Bims' supervision, which illustrates the key features of the patent-in-suit, U.S. Patent No. 6,219,730 in Paper or Physical Form with the Clerk's Office by Defendants Nintendo Co Ltd, Nintendo of America Inc. (TH) (placed in one accordion folder and placed in Seattle's Clerk's Office filing shelf)
Feb 6, 2020 94 Notice-Other () (4)
Docket Text: NOTICE of Proposed Technology Tutorial Testimony ; filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. (Attachments: # (1) Appendix A - Printout of Technology Tutorial Presentation)(Zeck, Kevin)
Feb 6, 2020 94 Notice-Other (Appendix A - Printout of Technology Tutorial Presentation) (30)
Docket Text: NOTICE of Proposed Technology Tutorial Testimony ; filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. (Attachments: # (1) Appendix A - Printout of Technology Tutorial Presentation)(Zeck, Kevin)
Feb 3, 2020 92 Brief - Responsive (18)
Docket Text: RESPONSIVE BRIEF (Claim Construction) by Defendants Nintendo Co Ltd, Nintendo of America Inc. (McFarland, Jonathan)
Feb 3, 2020 93 Brief - Responsive (28)
Feb 3, 2020 93 Exhibit 21 (Patentee's notebook) (5)
Feb 3, 2020 93 Exhibit 22 (Nintendo's Prel. Constr.) (2)
Feb 3, 2020 93 Exhibit 23 (Adan Dec.) (4)
Feb 3, 2020 93 Exhibit 24 (Petition for IPR) (4)
Feb 3, 2020 93 Exhibit 25 (Patent Owner's Response) (6)
Feb 3, 2020 93 Exhibit 26 (Bims Declaration in IPR on '747 Patent) (8)
Feb 3, 2020 93 Exhibit 27 (Microsoft Comp. Dict.) (5)
Feb 3, 2020 93 Exhibit 28 (Facts on File Dict. Comp. Sci.) (4)
Feb 3, 2020 93 Brief - Responsive () (28)
Docket Text: RESPONSIVE BRIEF (Claim Construction) re [85] Brief - Opening,,,, by Plaintiff Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 21 (Patentee's notebook), # (2) Exhibit 22 (Nintendo's Prel. Constr.), # (3) Exhibit 23 (Adan Dec.), # (4) Exhibit 24 (Petition for IPR), # (5) Exhibit 25 (Patent Owner's Response), # (6) Exhibit 26 (Bims Declaration in IPR on '747 Patent), # (7) Exhibit 27 (Microsoft Comp. Dict.), # (8) Exhibit 28 (Facts on File Dict. Comp. Sci.))(Robbennolt, Paul)
Feb 3, 2020 93 Brief - Responsive (Exhibit 21 (Patentee's notebook)) (5)
Docket Text: RESPONSIVE BRIEF (Claim Construction) re [85] Brief - Opening,,,, by Plaintiff Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 21 (Patentee's notebook), # (2) Exhibit 22 (Nintendo's Prel. Constr.), # (3) Exhibit 23 (Adan Dec.), # (4) Exhibit 24 (Petition for IPR), # (5) Exhibit 25 (Patent Owner's Response), # (6) Exhibit 26 (Bims Declaration in IPR on '747 Patent), # (7) Exhibit 27 (Microsoft Comp. Dict.), # (8) Exhibit 28 (Facts on File Dict. Comp. Sci.))(Robbennolt, Paul)
Feb 3, 2020 93 Brief - Responsive (Exhibit 22 (Nintendo's Prel. Constr.)) (2)
Docket Text: RESPONSIVE BRIEF (Claim Construction) re [85] Brief - Opening,,,, by Plaintiff Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 21 (Patentee's notebook), # (2) Exhibit 22 (Nintendo's Prel. Constr.), # (3) Exhibit 23 (Adan Dec.), # (4) Exhibit 24 (Petition for IPR), # (5) Exhibit 25 (Patent Owner's Response), # (6) Exhibit 26 (Bims Declaration in IPR on '747 Patent), # (7) Exhibit 27 (Microsoft Comp. Dict.), # (8) Exhibit 28 (Facts on File Dict. Comp. Sci.))(Robbennolt, Paul)
Feb 3, 2020 93 Brief - Responsive (Exhibit 23 (Adan Dec.)) (4)
Docket Text: RESPONSIVE BRIEF (Claim Construction) re [85] Brief - Opening,,,, by Plaintiff Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 21 (Patentee's notebook), # (2) Exhibit 22 (Nintendo's Prel. Constr.), # (3) Exhibit 23 (Adan Dec.), # (4) Exhibit 24 (Petition for IPR), # (5) Exhibit 25 (Patent Owner's Response), # (6) Exhibit 26 (Bims Declaration in IPR on '747 Patent), # (7) Exhibit 27 (Microsoft Comp. Dict.), # (8) Exhibit 28 (Facts on File Dict. Comp. Sci.))(Robbennolt, Paul)
Feb 3, 2020 93 Brief - Responsive (Exhibit 24 (Petition for IPR)) (4)
Docket Text: RESPONSIVE BRIEF (Claim Construction) re [85] Brief - Opening,,,, by Plaintiff Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 21 (Patentee's notebook), # (2) Exhibit 22 (Nintendo's Prel. Constr.), # (3) Exhibit 23 (Adan Dec.), # (4) Exhibit 24 (Petition for IPR), # (5) Exhibit 25 (Patent Owner's Response), # (6) Exhibit 26 (Bims Declaration in IPR on '747 Patent), # (7) Exhibit 27 (Microsoft Comp. Dict.), # (8) Exhibit 28 (Facts on File Dict. Comp. Sci.))(Robbennolt, Paul)
Feb 3, 2020 93 Brief - Responsive (Exhibit 25 (Patent Owner's Response)) (6)
Docket Text: RESPONSIVE BRIEF (Claim Construction) re [85] Brief - Opening,,,, by Plaintiff Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 21 (Patentee's notebook), # (2) Exhibit 22 (Nintendo's Prel. Constr.), # (3) Exhibit 23 (Adan Dec.), # (4) Exhibit 24 (Petition for IPR), # (5) Exhibit 25 (Patent Owner's Response), # (6) Exhibit 26 (Bims Declaration in IPR on '747 Patent), # (7) Exhibit 27 (Microsoft Comp. Dict.), # (8) Exhibit 28 (Facts on File Dict. Comp. Sci.))(Robbennolt, Paul)
Feb 3, 2020 93 Brief - Responsive (Exhibit 26 (Bims Declaration in IPR on '747 Patent)) (8)
Docket Text: RESPONSIVE BRIEF (Claim Construction) re [85] Brief - Opening,,,, by Plaintiff Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 21 (Patentee's notebook), # (2) Exhibit 22 (Nintendo's Prel. Constr.), # (3) Exhibit 23 (Adan Dec.), # (4) Exhibit 24 (Petition for IPR), # (5) Exhibit 25 (Patent Owner's Response), # (6) Exhibit 26 (Bims Declaration in IPR on '747 Patent), # (7) Exhibit 27 (Microsoft Comp. Dict.), # (8) Exhibit 28 (Facts on File Dict. Comp. Sci.))(Robbennolt, Paul)
Feb 3, 2020 93 Brief - Responsive (Exhibit 27 (Microsoft Comp. Dict.)) (5)
Docket Text: RESPONSIVE BRIEF (Claim Construction) re [85] Brief - Opening,,,, by Plaintiff Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 21 (Patentee's notebook), # (2) Exhibit 22 (Nintendo's Prel. Constr.), # (3) Exhibit 23 (Adan Dec.), # (4) Exhibit 24 (Petition for IPR), # (5) Exhibit 25 (Patent Owner's Response), # (6) Exhibit 26 (Bims Declaration in IPR on '747 Patent), # (7) Exhibit 27 (Microsoft Comp. Dict.), # (8) Exhibit 28 (Facts on File Dict. Comp. Sci.))(Robbennolt, Paul)
Feb 3, 2020 93 Brief - Responsive (Exhibit 28 (Facts on File Dict. Comp. Sci.)) (4)
Docket Text: RESPONSIVE BRIEF (Claim Construction) re [85] Brief - Opening,,,, by Plaintiff Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 21 (Patentee's notebook), # (2) Exhibit 22 (Nintendo's Prel. Constr.), # (3) Exhibit 23 (Adan Dec.), # (4) Exhibit 24 (Petition for IPR), # (5) Exhibit 25 (Patent Owner's Response), # (6) Exhibit 26 (Bims Declaration in IPR on '747 Patent), # (7) Exhibit 27 (Microsoft Comp. Dict.), # (8) Exhibit 28 (Facts on File Dict. Comp. Sci.))(Robbennolt, Paul)
Jan 29, 2020 N/A Set/Reset Hearings (0)
Docket Text: Set Hearing: Telephone Conference set for 2/10/2020 at 10:00 AM before Judge Ricardo S. Martinez. (LC)
Jan 28, 2020 91 Order on Motion for Leave to File Over-length Motions and Briefs (3)
Docket Text: ORDER denying Plaintiff's [88] Motion for Leave to File Over-length Motions and Briefs signed by Judge Ricardo S. Martinez. (TH)
Jan 23, 2020 89 Proposed Order (Unsigned) (1)
Docket Text: PROPOSED ORDER (Unsigned) re [88] MOTION for Leave to File Over-length Motions and Briefs Responsive Claim Construction Brief (Padmanabhan, Devan)
Jan 23, 2020 88 Motion for Leave to File Over-length Motions and Briefs () (5)
Docket Text: MOTION for Leave to File Over-length Motions and Briefs Responsive Claim Construction Brief, filed by Plaintiff Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 1 (GET discl. of terms), # (2) Exhibit 2 (Nintendo discl. of terms), # (3) Exhibit 3 (Email re SRSI), # (4) Exhibit 4 (Email re converter)) Noting Date 1/23/2020, (Padmanabhan, Devan)
Jan 23, 2020 88 Motion for Leave to File Over-length Motions and Briefs (Exhibit 1 (GET discl. of terms)) (5)
Docket Text: MOTION for Leave to File Over-length Motions and Briefs Responsive Claim Construction Brief, filed by Plaintiff Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 1 (GET discl. of terms), # (2) Exhibit 2 (Nintendo discl. of terms), # (3) Exhibit 3 (Email re SRSI), # (4) Exhibit 4 (Email re converter)) Noting Date 1/23/2020, (Padmanabhan, Devan)
Jan 23, 2020 88 Motion for Leave to File Over-length Motions and Briefs (Exhibit 2 (Nintendo discl. of terms)) (8)
Docket Text: MOTION for Leave to File Over-length Motions and Briefs Responsive Claim Construction Brief, filed by Plaintiff Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 1 (GET discl. of terms), # (2) Exhibit 2 (Nintendo discl. of terms), # (3) Exhibit 3 (Email re SRSI), # (4) Exhibit 4 (Email re converter)) Noting Date 1/23/2020, (Padmanabhan, Devan)
Jan 23, 2020 88 Motion for Leave to File Over-length Motions and Briefs (Exhibit 3 (Email re SRSI)) (4)
Docket Text: MOTION for Leave to File Over-length Motions and Briefs Responsive Claim Construction Brief, filed by Plaintiff Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 1 (GET discl. of terms), # (2) Exhibit 2 (Nintendo discl. of terms), # (3) Exhibit 3 (Email re SRSI), # (4) Exhibit 4 (Email re converter)) Noting Date 1/23/2020, (Padmanabhan, Devan)
Jan 23, 2020 88 Motion for Leave to File Over-length Motions and Briefs (Exhibit 4 (Email re converter)) (3)
Docket Text: MOTION for Leave to File Over-length Motions and Briefs Responsive Claim Construction Brief, filed by Plaintiff Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 1 (GET discl. of terms), # (2) Exhibit 2 (Nintendo discl. of terms), # (3) Exhibit 3 (Email re SRSI), # (4) Exhibit 4 (Email re converter)) Noting Date 1/23/2020, (Padmanabhan, Devan)
Jan 23, 2020 90 Motion for Summary Judgment () (28)
Docket Text: MOTION for Summary Judgment of Non-infringement and Invalidity, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order Granting Motion for Summary Judgment, # (2) Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary Judgment, # (3) Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts, # (4) Exhibit 18 - GET Dep. Exhibit 15, # (5) Exhibit 19 - GET Infringement Contentions - Excerpts, # (6) Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts, # (7) Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts, # (8) Exhibit 22 - '730 Patent File History - Additional Excerpts, # (9) Declaration of Dr. Howard Chizeck, # (10) Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck, # (11) Exhibit B - Chizeck Decl., # (12) Exhibit C - Chizeck Decl., # (13) Exhibit D - Chizeck Decl., # (14) Exhibit E - Chizeck Decl., # (15) Exhibit F - Chizeck Decl., # (16) Declaration of Dr. Harry Bims, # (17) Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims, # (18) Exhibit B - Bims Decl., # (19) Exhibit C - Bims Decl., # (20) Exhibit D - Bims Decl., # (21) Exhibit E - Bims Decl., # (22) Exhibit F - Bims Decl., # (23) Exhibit G - Bims Decl., # (24) Exhibit H - Bims Decl., # (25) Exhibit I - Bims Decl., # (26) Exhibit J - Bims Decl., # (27) Exhibit K - Bims Decl., # (28) Exhibit L - Bims Decl., # (29) Exhibit M - Bims Decl.) Noting Date 2/14/2020, (Riedinger, Jerry)
Jan 23, 2020 90 Motion for Summary Judgment (Proposed Order Granting Motion for Summary Judgment) (3)
Docket Text: MOTION for Summary Judgment of Non-infringement and Invalidity, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order Granting Motion for Summary Judgment, # (2) Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary Judgment, # (3) Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts, # (4) Exhibit 18 - GET Dep. Exhibit 15, # (5) Exhibit 19 - GET Infringement Contentions - Excerpts, # (6) Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts, # (7) Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts, # (8) Exhibit 22 - '730 Patent File History - Additional Excerpts, # (9) Declaration of Dr. Howard Chizeck, # (10) Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck, # (11) Exhibit B - Chizeck Decl., # (12) Exhibit C - Chizeck Decl., # (13) Exhibit D - Chizeck Decl., # (14) Exhibit E - Chizeck Decl., # (15) Exhibit F - Chizeck Decl., # (16) Declaration of Dr. Harry Bims, # (17) Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims, # (18) Exhibit B - Bims Decl., # (19) Exhibit C - Bims Decl., # (20) Exhibit D - Bims Decl., # (21) Exhibit E - Bims Decl., # (22) Exhibit F - Bims Decl., # (23) Exhibit G - Bims Decl., # (24) Exhibit H - Bims Decl., # (25) Exhibit I - Bims Decl., # (26) Exhibit J - Bims Decl., # (27) Exhibit K - Bims Decl., # (28) Exhibit L - Bims Decl., # (29) Exhibit M - Bims Decl.) Noting Date 2/14/2020, (Riedinger, Jerry)
Jan 23, 2020 90 Motion for Summary Judgment (Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary J) (3)
Docket Text: MOTION for Summary Judgment of Non-infringement and Invalidity, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order Granting Motion for Summary Judgment, # (2) Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary Judgment, # (3) Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts, # (4) Exhibit 18 - GET Dep. Exhibit 15, # (5) Exhibit 19 - GET Infringement Contentions - Excerpts, # (6) Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts, # (7) Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts, # (8) Exhibit 22 - '730 Patent File History - Additional Excerpts, # (9) Declaration of Dr. Howard Chizeck, # (10) Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck, # (11) Exhibit B - Chizeck Decl., # (12) Exhibit C - Chizeck Decl., # (13) Exhibit D - Chizeck Decl., # (14) Exhibit E - Chizeck Decl., # (15) Exhibit F - Chizeck Decl., # (16) Declaration of Dr. Harry Bims, # (17) Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims, # (18) Exhibit B - Bims Decl., # (19) Exhibit C - Bims Decl., # (20) Exhibit D - Bims Decl., # (21) Exhibit E - Bims Decl., # (22) Exhibit F - Bims Decl., # (23) Exhibit G - Bims Decl., # (24) Exhibit H - Bims Decl., # (25) Exhibit I - Bims Decl., # (26) Exhibit J - Bims Decl., # (27) Exhibit K - Bims Decl., # (28) Exhibit L - Bims Decl., # (29) Exhibit M - Bims Decl.) Noting Date 2/14/2020, (Riedinger, Jerry)
Jan 23, 2020 90 Motion for Summary Judgment (Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts) (11)
Docket Text: MOTION for Summary Judgment of Non-infringement and Invalidity, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order Granting Motion for Summary Judgment, # (2) Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary Judgment, # (3) Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts, # (4) Exhibit 18 - GET Dep. Exhibit 15, # (5) Exhibit 19 - GET Infringement Contentions - Excerpts, # (6) Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts, # (7) Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts, # (8) Exhibit 22 - '730 Patent File History - Additional Excerpts, # (9) Declaration of Dr. Howard Chizeck, # (10) Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck, # (11) Exhibit B - Chizeck Decl., # (12) Exhibit C - Chizeck Decl., # (13) Exhibit D - Chizeck Decl., # (14) Exhibit E - Chizeck Decl., # (15) Exhibit F - Chizeck Decl., # (16) Declaration of Dr. Harry Bims, # (17) Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims, # (18) Exhibit B - Bims Decl., # (19) Exhibit C - Bims Decl., # (20) Exhibit D - Bims Decl., # (21) Exhibit E - Bims Decl., # (22) Exhibit F - Bims Decl., # (23) Exhibit G - Bims Decl., # (24) Exhibit H - Bims Decl., # (25) Exhibit I - Bims Decl., # (26) Exhibit J - Bims Decl., # (27) Exhibit K - Bims Decl., # (28) Exhibit L - Bims Decl., # (29) Exhibit M - Bims Decl.) Noting Date 2/14/2020, (Riedinger, Jerry)
Jan 23, 2020 90 Motion for Summary Judgment (Exhibit 18 - GET Dep. Exhibit 15) (2)
Docket Text: MOTION for Summary Judgment of Non-infringement and Invalidity, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order Granting Motion for Summary Judgment, # (2) Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary Judgment, # (3) Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts, # (4) Exhibit 18 - GET Dep. Exhibit 15, # (5) Exhibit 19 - GET Infringement Contentions - Excerpts, # (6) Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts, # (7) Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts, # (8) Exhibit 22 - '730 Patent File History - Additional Excerpts, # (9) Declaration of Dr. Howard Chizeck, # (10) Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck, # (11) Exhibit B - Chizeck Decl., # (12) Exhibit C - Chizeck Decl., # (13) Exhibit D - Chizeck Decl., # (14) Exhibit E - Chizeck Decl., # (15) Exhibit F - Chizeck Decl., # (16) Declaration of Dr. Harry Bims, # (17) Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims, # (18) Exhibit B - Bims Decl., # (19) Exhibit C - Bims Decl., # (20) Exhibit D - Bims Decl., # (21) Exhibit E - Bims Decl., # (22) Exhibit F - Bims Decl., # (23) Exhibit G - Bims Decl., # (24) Exhibit H - Bims Decl., # (25) Exhibit I - Bims Decl., # (26) Exhibit J - Bims Decl., # (27) Exhibit K - Bims Decl., # (28) Exhibit L - Bims Decl., # (29) Exhibit M - Bims Decl.) Noting Date 2/14/2020, (Riedinger, Jerry)
Jan 23, 2020 90 Motion for Summary Judgment (Exhibit 19 - GET Infringement Contentions - Excerpts) (27)
Docket Text: MOTION for Summary Judgment of Non-infringement and Invalidity, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order Granting Motion for Summary Judgment, # (2) Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary Judgment, # (3) Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts, # (4) Exhibit 18 - GET Dep. Exhibit 15, # (5) Exhibit 19 - GET Infringement Contentions - Excerpts, # (6) Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts, # (7) Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts, # (8) Exhibit 22 - '730 Patent File History - Additional Excerpts, # (9) Declaration of Dr. Howard Chizeck, # (10) Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck, # (11) Exhibit B - Chizeck Decl., # (12) Exhibit C - Chizeck Decl., # (13) Exhibit D - Chizeck Decl., # (14) Exhibit E - Chizeck Decl., # (15) Exhibit F - Chizeck Decl., # (16) Declaration of Dr. Harry Bims, # (17) Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims, # (18) Exhibit B - Bims Decl., # (19) Exhibit C - Bims Decl., # (20) Exhibit D - Bims Decl., # (21) Exhibit E - Bims Decl., # (22) Exhibit F - Bims Decl., # (23) Exhibit G - Bims Decl., # (24) Exhibit H - Bims Decl., # (25) Exhibit I - Bims Decl., # (26) Exhibit J - Bims Decl., # (27) Exhibit K - Bims Decl., # (28) Exhibit L - Bims Decl., # (29) Exhibit M - Bims Decl.) Noting Date 2/14/2020, (Riedinger, Jerry)
Jan 23, 2020 90 Motion for Summary Judgment (Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts) (4)
Docket Text: MOTION for Summary Judgment of Non-infringement and Invalidity, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order Granting Motion for Summary Judgment, # (2) Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary Judgment, # (3) Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts, # (4) Exhibit 18 - GET Dep. Exhibit 15, # (5) Exhibit 19 - GET Infringement Contentions - Excerpts, # (6) Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts, # (7) Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts, # (8) Exhibit 22 - '730 Patent File History - Additional Excerpts, # (9) Declaration of Dr. Howard Chizeck, # (10) Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck, # (11) Exhibit B - Chizeck Decl., # (12) Exhibit C - Chizeck Decl., # (13) Exhibit D - Chizeck Decl., # (14) Exhibit E - Chizeck Decl., # (15) Exhibit F - Chizeck Decl., # (16) Declaration of Dr. Harry Bims, # (17) Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims, # (18) Exhibit B - Bims Decl., # (19) Exhibit C - Bims Decl., # (20) Exhibit D - Bims Decl., # (21) Exhibit E - Bims Decl., # (22) Exhibit F - Bims Decl., # (23) Exhibit G - Bims Decl., # (24) Exhibit H - Bims Decl., # (25) Exhibit I - Bims Decl., # (26) Exhibit J - Bims Decl., # (27) Exhibit K - Bims Decl., # (28) Exhibit L - Bims Decl., # (29) Exhibit M - Bims Decl.) Noting Date 2/14/2020, (Riedinger, Jerry)
Jan 23, 2020 90 Motion for Summary Judgment (Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts) (7)
Docket Text: MOTION for Summary Judgment of Non-infringement and Invalidity, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order Granting Motion for Summary Judgment, # (2) Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary Judgment, # (3) Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts, # (4) Exhibit 18 - GET Dep. Exhibit 15, # (5) Exhibit 19 - GET Infringement Contentions - Excerpts, # (6) Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts, # (7) Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts, # (8) Exhibit 22 - '730 Patent File History - Additional Excerpts, # (9) Declaration of Dr. Howard Chizeck, # (10) Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck, # (11) Exhibit B - Chizeck Decl., # (12) Exhibit C - Chizeck Decl., # (13) Exhibit D - Chizeck Decl., # (14) Exhibit E - Chizeck Decl., # (15) Exhibit F - Chizeck Decl., # (16) Declaration of Dr. Harry Bims, # (17) Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims, # (18) Exhibit B - Bims Decl., # (19) Exhibit C - Bims Decl., # (20) Exhibit D - Bims Decl., # (21) Exhibit E - Bims Decl., # (22) Exhibit F - Bims Decl., # (23) Exhibit G - Bims Decl., # (24) Exhibit H - Bims Decl., # (25) Exhibit I - Bims Decl., # (26) Exhibit J - Bims Decl., # (27) Exhibit K - Bims Decl., # (28) Exhibit L - Bims Decl., # (29) Exhibit M - Bims Decl.) Noting Date 2/14/2020, (Riedinger, Jerry)
Jan 23, 2020 90 Motion for Summary Judgment (Exhibit 22 - '730 Patent File History - Additional Excerpts) (10)
Docket Text: MOTION for Summary Judgment of Non-infringement and Invalidity, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order Granting Motion for Summary Judgment, # (2) Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary Judgment, # (3) Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts, # (4) Exhibit 18 - GET Dep. Exhibit 15, # (5) Exhibit 19 - GET Infringement Contentions - Excerpts, # (6) Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts, # (7) Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts, # (8) Exhibit 22 - '730 Patent File History - Additional Excerpts, # (9) Declaration of Dr. Howard Chizeck, # (10) Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck, # (11) Exhibit B - Chizeck Decl., # (12) Exhibit C - Chizeck Decl., # (13) Exhibit D - Chizeck Decl., # (14) Exhibit E - Chizeck Decl., # (15) Exhibit F - Chizeck Decl., # (16) Declaration of Dr. Harry Bims, # (17) Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims, # (18) Exhibit B - Bims Decl., # (19) Exhibit C - Bims Decl., # (20) Exhibit D - Bims Decl., # (21) Exhibit E - Bims Decl., # (22) Exhibit F - Bims Decl., # (23) Exhibit G - Bims Decl., # (24) Exhibit H - Bims Decl., # (25) Exhibit I - Bims Decl., # (26) Exhibit J - Bims Decl., # (27) Exhibit K - Bims Decl., # (28) Exhibit L - Bims Decl., # (29) Exhibit M - Bims Decl.) Noting Date 2/14/2020, (Riedinger, Jerry)
Jan 23, 2020 90 Motion for Summary Judgment (Declaration of Dr. Howard Chizeck) (9)
Docket Text: MOTION for Summary Judgment of Non-infringement and Invalidity, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order Granting Motion for Summary Judgment, # (2) Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary Judgment, # (3) Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts, # (4) Exhibit 18 - GET Dep. Exhibit 15, # (5) Exhibit 19 - GET Infringement Contentions - Excerpts, # (6) Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts, # (7) Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts, # (8) Exhibit 22 - '730 Patent File History - Additional Excerpts, # (9) Declaration of Dr. Howard Chizeck, # (10) Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck, # (11) Exhibit B - Chizeck Decl., # (12) Exhibit C - Chizeck Decl., # (13) Exhibit D - Chizeck Decl., # (14) Exhibit E - Chizeck Decl., # (15) Exhibit F - Chizeck Decl., # (16) Declaration of Dr. Harry Bims, # (17) Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims, # (18) Exhibit B - Bims Decl., # (19) Exhibit C - Bims Decl., # (20) Exhibit D - Bims Decl., # (21) Exhibit E - Bims Decl., # (22) Exhibit F - Bims Decl., # (23) Exhibit G - Bims Decl., # (24) Exhibit H - Bims Decl., # (25) Exhibit I - Bims Decl., # (26) Exhibit J - Bims Decl., # (27) Exhibit K - Bims Decl., # (28) Exhibit L - Bims Decl., # (29) Exhibit M - Bims Decl.) Noting Date 2/14/2020, (Riedinger, Jerry)
Jan 23, 2020 90 Motion for Summary Judgment (Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck) (17)
Docket Text: MOTION for Summary Judgment of Non-infringement and Invalidity, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order Granting Motion for Summary Judgment, # (2) Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary Judgment, # (3) Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts, # (4) Exhibit 18 - GET Dep. Exhibit 15, # (5) Exhibit 19 - GET Infringement Contentions - Excerpts, # (6) Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts, # (7) Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts, # (8) Exhibit 22 - '730 Patent File History - Additional Excerpts, # (9) Declaration of Dr. Howard Chizeck, # (10) Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck, # (11) Exhibit B - Chizeck Decl., # (12) Exhibit C - Chizeck Decl., # (13) Exhibit D - Chizeck Decl., # (14) Exhibit E - Chizeck Decl., # (15) Exhibit F - Chizeck Decl., # (16) Declaration of Dr. Harry Bims, # (17) Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims, # (18) Exhibit B - Bims Decl., # (19) Exhibit C - Bims Decl., # (20) Exhibit D - Bims Decl., # (21) Exhibit E - Bims Decl., # (22) Exhibit F - Bims Decl., # (23) Exhibit G - Bims Decl., # (24) Exhibit H - Bims Decl., # (25) Exhibit I - Bims Decl., # (26) Exhibit J - Bims Decl., # (27) Exhibit K - Bims Decl., # (28) Exhibit L - Bims Decl., # (29) Exhibit M - Bims Decl.) Noting Date 2/14/2020, (Riedinger, Jerry)
Jan 23, 2020 90 Motion for Summary Judgment (Exhibit B - Chizeck Decl.) (10)
Docket Text: MOTION for Summary Judgment of Non-infringement and Invalidity, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order Granting Motion for Summary Judgment, # (2) Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary Judgment, # (3) Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts, # (4) Exhibit 18 - GET Dep. Exhibit 15, # (5) Exhibit 19 - GET Infringement Contentions - Excerpts, # (6) Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts, # (7) Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts, # (8) Exhibit 22 - '730 Patent File History - Additional Excerpts, # (9) Declaration of Dr. Howard Chizeck, # (10) Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck, # (11) Exhibit B - Chizeck Decl., # (12) Exhibit C - Chizeck Decl., # (13) Exhibit D - Chizeck Decl., # (14) Exhibit E - Chizeck Decl., # (15) Exhibit F - Chizeck Decl., # (16) Declaration of Dr. Harry Bims, # (17) Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims, # (18) Exhibit B - Bims Decl., # (19) Exhibit C - Bims Decl., # (20) Exhibit D - Bims Decl., # (21) Exhibit E - Bims Decl., # (22) Exhibit F - Bims Decl., # (23) Exhibit G - Bims Decl., # (24) Exhibit H - Bims Decl., # (25) Exhibit I - Bims Decl., # (26) Exhibit J - Bims Decl., # (27) Exhibit K - Bims Decl., # (28) Exhibit L - Bims Decl., # (29) Exhibit M - Bims Decl.) Noting Date 2/14/2020, (Riedinger, Jerry)
Jan 23, 2020 90 Motion for Summary Judgment (Exhibit C - Chizeck Decl.) (9)
Docket Text: MOTION for Summary Judgment of Non-infringement and Invalidity, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order Granting Motion for Summary Judgment, # (2) Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary Judgment, # (3) Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts, # (4) Exhibit 18 - GET Dep. Exhibit 15, # (5) Exhibit 19 - GET Infringement Contentions - Excerpts, # (6) Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts, # (7) Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts, # (8) Exhibit 22 - '730 Patent File History - Additional Excerpts, # (9) Declaration of Dr. Howard Chizeck, # (10) Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck, # (11) Exhibit B - Chizeck Decl., # (12) Exhibit C - Chizeck Decl., # (13) Exhibit D - Chizeck Decl., # (14) Exhibit E - Chizeck Decl., # (15) Exhibit F - Chizeck Decl., # (16) Declaration of Dr. Harry Bims, # (17) Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims, # (18) Exhibit B - Bims Decl., # (19) Exhibit C - Bims Decl., # (20) Exhibit D - Bims Decl., # (21) Exhibit E - Bims Decl., # (22) Exhibit F - Bims Decl., # (23) Exhibit G - Bims Decl., # (24) Exhibit H - Bims Decl., # (25) Exhibit I - Bims Decl., # (26) Exhibit J - Bims Decl., # (27) Exhibit K - Bims Decl., # (28) Exhibit L - Bims Decl., # (29) Exhibit M - Bims Decl.) Noting Date 2/14/2020, (Riedinger, Jerry)
Jan 23, 2020 90 Motion for Summary Judgment (Exhibit D - Chizeck Decl.) (28)
Docket Text: MOTION for Summary Judgment of Non-infringement and Invalidity, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order Granting Motion for Summary Judgment, # (2) Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary Judgment, # (3) Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts, # (4) Exhibit 18 - GET Dep. Exhibit 15, # (5) Exhibit 19 - GET Infringement Contentions - Excerpts, # (6) Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts, # (7) Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts, # (8) Exhibit 22 - '730 Patent File History - Additional Excerpts, # (9) Declaration of Dr. Howard Chizeck, # (10) Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck, # (11) Exhibit B - Chizeck Decl., # (12) Exhibit C - Chizeck Decl., # (13) Exhibit D - Chizeck Decl., # (14) Exhibit E - Chizeck Decl., # (15) Exhibit F - Chizeck Decl., # (16) Declaration of Dr. Harry Bims, # (17) Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims, # (18) Exhibit B - Bims Decl., # (19) Exhibit C - Bims Decl., # (20) Exhibit D - Bims Decl., # (21) Exhibit E - Bims Decl., # (22) Exhibit F - Bims Decl., # (23) Exhibit G - Bims Decl., # (24) Exhibit H - Bims Decl., # (25) Exhibit I - Bims Decl., # (26) Exhibit J - Bims Decl., # (27) Exhibit K - Bims Decl., # (28) Exhibit L - Bims Decl., # (29) Exhibit M - Bims Decl.) Noting Date 2/14/2020, (Riedinger, Jerry)
Jan 23, 2020 90 Motion for Summary Judgment (Exhibit E - Chizeck Decl.) (21)
Docket Text: MOTION for Summary Judgment of Non-infringement and Invalidity, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order Granting Motion for Summary Judgment, # (2) Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary Judgment, # (3) Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts, # (4) Exhibit 18 - GET Dep. Exhibit 15, # (5) Exhibit 19 - GET Infringement Contentions - Excerpts, # (6) Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts, # (7) Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts, # (8) Exhibit 22 - '730 Patent File History - Additional Excerpts, # (9) Declaration of Dr. Howard Chizeck, # (10) Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck, # (11) Exhibit B - Chizeck Decl., # (12) Exhibit C - Chizeck Decl., # (13) Exhibit D - Chizeck Decl., # (14) Exhibit E - Chizeck Decl., # (15) Exhibit F - Chizeck Decl., # (16) Declaration of Dr. Harry Bims, # (17) Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims, # (18) Exhibit B - Bims Decl., # (19) Exhibit C - Bims Decl., # (20) Exhibit D - Bims Decl., # (21) Exhibit E - Bims Decl., # (22) Exhibit F - Bims Decl., # (23) Exhibit G - Bims Decl., # (24) Exhibit H - Bims Decl., # (25) Exhibit I - Bims Decl., # (26) Exhibit J - Bims Decl., # (27) Exhibit K - Bims Decl., # (28) Exhibit L - Bims Decl., # (29) Exhibit M - Bims Decl.) Noting Date 2/14/2020, (Riedinger, Jerry)
Jan 23, 2020 90 Motion for Summary Judgment (Exhibit F - Chizeck Decl.) (4)
Docket Text: MOTION for Summary Judgment of Non-infringement and Invalidity, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order Granting Motion for Summary Judgment, # (2) Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary Judgment, # (3) Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts, # (4) Exhibit 18 - GET Dep. Exhibit 15, # (5) Exhibit 19 - GET Infringement Contentions - Excerpts, # (6) Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts, # (7) Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts, # (8) Exhibit 22 - '730 Patent File History - Additional Excerpts, # (9) Declaration of Dr. Howard Chizeck, # (10) Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck, # (11) Exhibit B - Chizeck Decl., # (12) Exhibit C - Chizeck Decl., # (13) Exhibit D - Chizeck Decl., # (14) Exhibit E - Chizeck Decl., # (15) Exhibit F - Chizeck Decl., # (16) Declaration of Dr. Harry Bims, # (17) Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims, # (18) Exhibit B - Bims Decl., # (19) Exhibit C - Bims Decl., # (20) Exhibit D - Bims Decl., # (21) Exhibit E - Bims Decl., # (22) Exhibit F - Bims Decl., # (23) Exhibit G - Bims Decl., # (24) Exhibit H - Bims Decl., # (25) Exhibit I - Bims Decl., # (26) Exhibit J - Bims Decl., # (27) Exhibit K - Bims Decl., # (28) Exhibit L - Bims Decl., # (29) Exhibit M - Bims Decl.) Noting Date 2/14/2020, (Riedinger, Jerry)
Jan 23, 2020 90 Motion for Summary Judgment (Declaration of Dr. Harry Bims) (10)
Docket Text: MOTION for Summary Judgment of Non-infringement and Invalidity, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order Granting Motion for Summary Judgment, # (2) Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary Judgment, # (3) Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts, # (4) Exhibit 18 - GET Dep. Exhibit 15, # (5) Exhibit 19 - GET Infringement Contentions - Excerpts, # (6) Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts, # (7) Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts, # (8) Exhibit 22 - '730 Patent File History - Additional Excerpts, # (9) Declaration of Dr. Howard Chizeck, # (10) Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck, # (11) Exhibit B - Chizeck Decl., # (12) Exhibit C - Chizeck Decl., # (13) Exhibit D - Chizeck Decl., # (14) Exhibit E - Chizeck Decl., # (15) Exhibit F - Chizeck Decl., # (16) Declaration of Dr. Harry Bims, # (17) Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims, # (18) Exhibit B - Bims Decl., # (19) Exhibit C - Bims Decl., # (20) Exhibit D - Bims Decl., # (21) Exhibit E - Bims Decl., # (22) Exhibit F - Bims Decl., # (23) Exhibit G - Bims Decl., # (24) Exhibit H - Bims Decl., # (25) Exhibit I - Bims Decl., # (26) Exhibit J - Bims Decl., # (27) Exhibit K - Bims Decl., # (28) Exhibit L - Bims Decl., # (29) Exhibit M - Bims Decl.) Noting Date 2/14/2020, (Riedinger, Jerry)
Jan 23, 2020 90 Motion for Summary Judgment (Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims) (30)
Docket Text: MOTION for Summary Judgment of Non-infringement and Invalidity, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order Granting Motion for Summary Judgment, # (2) Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary Judgment, # (3) Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts, # (4) Exhibit 18 - GET Dep. Exhibit 15, # (5) Exhibit 19 - GET Infringement Contentions - Excerpts, # (6) Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts, # (7) Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts, # (8) Exhibit 22 - '730 Patent File History - Additional Excerpts, # (9) Declaration of Dr. Howard Chizeck, # (10) Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck, # (11) Exhibit B - Chizeck Decl., # (12) Exhibit C - Chizeck Decl., # (13) Exhibit D - Chizeck Decl., # (14) Exhibit E - Chizeck Decl., # (15) Exhibit F - Chizeck Decl., # (16) Declaration of Dr. Harry Bims, # (17) Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims, # (18) Exhibit B - Bims Decl., # (19) Exhibit C - Bims Decl., # (20) Exhibit D - Bims Decl., # (21) Exhibit E - Bims Decl., # (22) Exhibit F - Bims Decl., # (23) Exhibit G - Bims Decl., # (24) Exhibit H - Bims Decl., # (25) Exhibit I - Bims Decl., # (26) Exhibit J - Bims Decl., # (27) Exhibit K - Bims Decl., # (28) Exhibit L - Bims Decl., # (29) Exhibit M - Bims Decl.) Noting Date 2/14/2020, (Riedinger, Jerry)
Jan 23, 2020 90 Motion for Summary Judgment (Exhibit B - Bims Decl.) (30)
Docket Text: MOTION for Summary Judgment of Non-infringement and Invalidity, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order Granting Motion for Summary Judgment, # (2) Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary Judgment, # (3) Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts, # (4) Exhibit 18 - GET Dep. Exhibit 15, # (5) Exhibit 19 - GET Infringement Contentions - Excerpts, # (6) Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts, # (7) Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts, # (8) Exhibit 22 - '730 Patent File History - Additional Excerpts, # (9) Declaration of Dr. Howard Chizeck, # (10) Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck, # (11) Exhibit B - Chizeck Decl., # (12) Exhibit C - Chizeck Decl., # (13) Exhibit D - Chizeck Decl., # (14) Exhibit E - Chizeck Decl., # (15) Exhibit F - Chizeck Decl., # (16) Declaration of Dr. Harry Bims, # (17) Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims, # (18) Exhibit B - Bims Decl., # (19) Exhibit C - Bims Decl., # (20) Exhibit D - Bims Decl., # (21) Exhibit E - Bims Decl., # (22) Exhibit F - Bims Decl., # (23) Exhibit G - Bims Decl., # (24) Exhibit H - Bims Decl., # (25) Exhibit I - Bims Decl., # (26) Exhibit J - Bims Decl., # (27) Exhibit K - Bims Decl., # (28) Exhibit L - Bims Decl., # (29) Exhibit M - Bims Decl.) Noting Date 2/14/2020, (Riedinger, Jerry)
Jan 23, 2020 90 Motion for Summary Judgment (Exhibit C - Bims Decl.) (2)
Docket Text: MOTION for Summary Judgment of Non-infringement and Invalidity, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order Granting Motion for Summary Judgment, # (2) Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary Judgment, # (3) Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts, # (4) Exhibit 18 - GET Dep. Exhibit 15, # (5) Exhibit 19 - GET Infringement Contentions - Excerpts, # (6) Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts, # (7) Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts, # (8) Exhibit 22 - '730 Patent File History - Additional Excerpts, # (9) Declaration of Dr. Howard Chizeck, # (10) Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck, # (11) Exhibit B - Chizeck Decl., # (12) Exhibit C - Chizeck Decl., # (13) Exhibit D - Chizeck Decl., # (14) Exhibit E - Chizeck Decl., # (15) Exhibit F - Chizeck Decl., # (16) Declaration of Dr. Harry Bims, # (17) Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims, # (18) Exhibit B - Bims Decl., # (19) Exhibit C - Bims Decl., # (20) Exhibit D - Bims Decl., # (21) Exhibit E - Bims Decl., # (22) Exhibit F - Bims Decl., # (23) Exhibit G - Bims Decl., # (24) Exhibit H - Bims Decl., # (25) Exhibit I - Bims Decl., # (26) Exhibit J - Bims Decl., # (27) Exhibit K - Bims Decl., # (28) Exhibit L - Bims Decl., # (29) Exhibit M - Bims Decl.) Noting Date 2/14/2020, (Riedinger, Jerry)
Jan 23, 2020 90 Motion for Summary Judgment (Exhibit D - Bims Decl.) (3)
Docket Text: MOTION for Summary Judgment of Non-infringement and Invalidity, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order Granting Motion for Summary Judgment, # (2) Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary Judgment, # (3) Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts, # (4) Exhibit 18 - GET Dep. Exhibit 15, # (5) Exhibit 19 - GET Infringement Contentions - Excerpts, # (6) Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts, # (7) Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts, # (8) Exhibit 22 - '730 Patent File History - Additional Excerpts, # (9) Declaration of Dr. Howard Chizeck, # (10) Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck, # (11) Exhibit B - Chizeck Decl., # (12) Exhibit C - Chizeck Decl., # (13) Exhibit D - Chizeck Decl., # (14) Exhibit E - Chizeck Decl., # (15) Exhibit F - Chizeck Decl., # (16) Declaration of Dr. Harry Bims, # (17) Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims, # (18) Exhibit B - Bims Decl., # (19) Exhibit C - Bims Decl., # (20) Exhibit D - Bims Decl., # (21) Exhibit E - Bims Decl., # (22) Exhibit F - Bims Decl., # (23) Exhibit G - Bims Decl., # (24) Exhibit H - Bims Decl., # (25) Exhibit I - Bims Decl., # (26) Exhibit J - Bims Decl., # (27) Exhibit K - Bims Decl., # (28) Exhibit L - Bims Decl., # (29) Exhibit M - Bims Decl.) Noting Date 2/14/2020, (Riedinger, Jerry)
Jan 23, 2020 90 Motion for Summary Judgment (Exhibit E - Bims Decl.) (3)
Docket Text: MOTION for Summary Judgment of Non-infringement and Invalidity, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order Granting Motion for Summary Judgment, # (2) Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary Judgment, # (3) Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts, # (4) Exhibit 18 - GET Dep. Exhibit 15, # (5) Exhibit 19 - GET Infringement Contentions - Excerpts, # (6) Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts, # (7) Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts, # (8) Exhibit 22 - '730 Patent File History - Additional Excerpts, # (9) Declaration of Dr. Howard Chizeck, # (10) Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck, # (11) Exhibit B - Chizeck Decl., # (12) Exhibit C - Chizeck Decl., # (13) Exhibit D - Chizeck Decl., # (14) Exhibit E - Chizeck Decl., # (15) Exhibit F - Chizeck Decl., # (16) Declaration of Dr. Harry Bims, # (17) Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims, # (18) Exhibit B - Bims Decl., # (19) Exhibit C - Bims Decl., # (20) Exhibit D - Bims Decl., # (21) Exhibit E - Bims Decl., # (22) Exhibit F - Bims Decl., # (23) Exhibit G - Bims Decl., # (24) Exhibit H - Bims Decl., # (25) Exhibit I - Bims Decl., # (26) Exhibit J - Bims Decl., # (27) Exhibit K - Bims Decl., # (28) Exhibit L - Bims Decl., # (29) Exhibit M - Bims Decl.) Noting Date 2/14/2020, (Riedinger, Jerry)
Jan 23, 2020 90 Motion for Summary Judgment (Exhibit F - Bims Decl.) (2)
Docket Text: MOTION for Summary Judgment of Non-infringement and Invalidity, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order Granting Motion for Summary Judgment, # (2) Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary Judgment, # (3) Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts, # (4) Exhibit 18 - GET Dep. Exhibit 15, # (5) Exhibit 19 - GET Infringement Contentions - Excerpts, # (6) Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts, # (7) Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts, # (8) Exhibit 22 - '730 Patent File History - Additional Excerpts, # (9) Declaration of Dr. Howard Chizeck, # (10) Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck, # (11) Exhibit B - Chizeck Decl., # (12) Exhibit C - Chizeck Decl., # (13) Exhibit D - Chizeck Decl., # (14) Exhibit E - Chizeck Decl., # (15) Exhibit F - Chizeck Decl., # (16) Declaration of Dr. Harry Bims, # (17) Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims, # (18) Exhibit B - Bims Decl., # (19) Exhibit C - Bims Decl., # (20) Exhibit D - Bims Decl., # (21) Exhibit E - Bims Decl., # (22) Exhibit F - Bims Decl., # (23) Exhibit G - Bims Decl., # (24) Exhibit H - Bims Decl., # (25) Exhibit I - Bims Decl., # (26) Exhibit J - Bims Decl., # (27) Exhibit K - Bims Decl., # (28) Exhibit L - Bims Decl., # (29) Exhibit M - Bims Decl.) Noting Date 2/14/2020, (Riedinger, Jerry)
Jan 23, 2020 90 Motion for Summary Judgment (Exhibit G - Bims Decl.) (2)
Docket Text: MOTION for Summary Judgment of Non-infringement and Invalidity, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order Granting Motion for Summary Judgment, # (2) Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary Judgment, # (3) Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts, # (4) Exhibit 18 - GET Dep. Exhibit 15, # (5) Exhibit 19 - GET Infringement Contentions - Excerpts, # (6) Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts, # (7) Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts, # (8) Exhibit 22 - '730 Patent File History - Additional Excerpts, # (9) Declaration of Dr. Howard Chizeck, # (10) Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck, # (11) Exhibit B - Chizeck Decl., # (12) Exhibit C - Chizeck Decl., # (13) Exhibit D - Chizeck Decl., # (14) Exhibit E - Chizeck Decl., # (15) Exhibit F - Chizeck Decl., # (16) Declaration of Dr. Harry Bims, # (17) Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims, # (18) Exhibit B - Bims Decl., # (19) Exhibit C - Bims Decl., # (20) Exhibit D - Bims Decl., # (21) Exhibit E - Bims Decl., # (22) Exhibit F - Bims Decl., # (23) Exhibit G - Bims Decl., # (24) Exhibit H - Bims Decl., # (25) Exhibit I - Bims Decl., # (26) Exhibit J - Bims Decl., # (27) Exhibit K - Bims Decl., # (28) Exhibit L - Bims Decl., # (29) Exhibit M - Bims Decl.) Noting Date 2/14/2020, (Riedinger, Jerry)
Jan 23, 2020 90 Motion for Summary Judgment (Exhibit H - Bims Decl.) (2)
Docket Text: MOTION for Summary Judgment of Non-infringement and Invalidity, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order Granting Motion for Summary Judgment, # (2) Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary Judgment, # (3) Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts, # (4) Exhibit 18 - GET Dep. Exhibit 15, # (5) Exhibit 19 - GET Infringement Contentions - Excerpts, # (6) Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts, # (7) Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts, # (8) Exhibit 22 - '730 Patent File History - Additional Excerpts, # (9) Declaration of Dr. Howard Chizeck, # (10) Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck, # (11) Exhibit B - Chizeck Decl., # (12) Exhibit C - Chizeck Decl., # (13) Exhibit D - Chizeck Decl., # (14) Exhibit E - Chizeck Decl., # (15) Exhibit F - Chizeck Decl., # (16) Declaration of Dr. Harry Bims, # (17) Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims, # (18) Exhibit B - Bims Decl., # (19) Exhibit C - Bims Decl., # (20) Exhibit D - Bims Decl., # (21) Exhibit E - Bims Decl., # (22) Exhibit F - Bims Decl., # (23) Exhibit G - Bims Decl., # (24) Exhibit H - Bims Decl., # (25) Exhibit I - Bims Decl., # (26) Exhibit J - Bims Decl., # (27) Exhibit K - Bims Decl., # (28) Exhibit L - Bims Decl., # (29) Exhibit M - Bims Decl.) Noting Date 2/14/2020, (Riedinger, Jerry)
Jan 23, 2020 90 Motion for Summary Judgment (Exhibit I - Bims Decl.) (6)
Docket Text: MOTION for Summary Judgment of Non-infringement and Invalidity, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order Granting Motion for Summary Judgment, # (2) Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary Judgment, # (3) Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts, # (4) Exhibit 18 - GET Dep. Exhibit 15, # (5) Exhibit 19 - GET Infringement Contentions - Excerpts, # (6) Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts, # (7) Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts, # (8) Exhibit 22 - '730 Patent File History - Additional Excerpts, # (9) Declaration of Dr. Howard Chizeck, # (10) Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck, # (11) Exhibit B - Chizeck Decl., # (12) Exhibit C - Chizeck Decl., # (13) Exhibit D - Chizeck Decl., # (14) Exhibit E - Chizeck Decl., # (15) Exhibit F - Chizeck Decl., # (16) Declaration of Dr. Harry Bims, # (17) Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims, # (18) Exhibit B - Bims Decl., # (19) Exhibit C - Bims Decl., # (20) Exhibit D - Bims Decl., # (21) Exhibit E - Bims Decl., # (22) Exhibit F - Bims Decl., # (23) Exhibit G - Bims Decl., # (24) Exhibit H - Bims Decl., # (25) Exhibit I - Bims Decl., # (26) Exhibit J - Bims Decl., # (27) Exhibit K - Bims Decl., # (28) Exhibit L - Bims Decl., # (29) Exhibit M - Bims Decl.) Noting Date 2/14/2020, (Riedinger, Jerry)
Jan 23, 2020 90 Motion for Summary Judgment (Exhibit J - Bims Decl.) (3)
Docket Text: MOTION for Summary Judgment of Non-infringement and Invalidity, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order Granting Motion for Summary Judgment, # (2) Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary Judgment, # (3) Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts, # (4) Exhibit 18 - GET Dep. Exhibit 15, # (5) Exhibit 19 - GET Infringement Contentions - Excerpts, # (6) Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts, # (7) Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts, # (8) Exhibit 22 - '730 Patent File History - Additional Excerpts, # (9) Declaration of Dr. Howard Chizeck, # (10) Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck, # (11) Exhibit B - Chizeck Decl., # (12) Exhibit C - Chizeck Decl., # (13) Exhibit D - Chizeck Decl., # (14) Exhibit E - Chizeck Decl., # (15) Exhibit F - Chizeck Decl., # (16) Declaration of Dr. Harry Bims, # (17) Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims, # (18) Exhibit B - Bims Decl., # (19) Exhibit C - Bims Decl., # (20) Exhibit D - Bims Decl., # (21) Exhibit E - Bims Decl., # (22) Exhibit F - Bims Decl., # (23) Exhibit G - Bims Decl., # (24) Exhibit H - Bims Decl., # (25) Exhibit I - Bims Decl., # (26) Exhibit J - Bims Decl., # (27) Exhibit K - Bims Decl., # (28) Exhibit L - Bims Decl., # (29) Exhibit M - Bims Decl.) Noting Date 2/14/2020, (Riedinger, Jerry)
Jan 23, 2020 90 Motion for Summary Judgment (Exhibit K - Bims Decl.) (7)
Docket Text: MOTION for Summary Judgment of Non-infringement and Invalidity, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order Granting Motion for Summary Judgment, # (2) Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary Judgment, # (3) Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts, # (4) Exhibit 18 - GET Dep. Exhibit 15, # (5) Exhibit 19 - GET Infringement Contentions - Excerpts, # (6) Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts, # (7) Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts, # (8) Exhibit 22 - '730 Patent File History - Additional Excerpts, # (9) Declaration of Dr. Howard Chizeck, # (10) Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck, # (11) Exhibit B - Chizeck Decl., # (12) Exhibit C - Chizeck Decl., # (13) Exhibit D - Chizeck Decl., # (14) Exhibit E - Chizeck Decl., # (15) Exhibit F - Chizeck Decl., # (16) Declaration of Dr. Harry Bims, # (17) Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims, # (18) Exhibit B - Bims Decl., # (19) Exhibit C - Bims Decl., # (20) Exhibit D - Bims Decl., # (21) Exhibit E - Bims Decl., # (22) Exhibit F - Bims Decl., # (23) Exhibit G - Bims Decl., # (24) Exhibit H - Bims Decl., # (25) Exhibit I - Bims Decl., # (26) Exhibit J - Bims Decl., # (27) Exhibit K - Bims Decl., # (28) Exhibit L - Bims Decl., # (29) Exhibit M - Bims Decl.) Noting Date 2/14/2020, (Riedinger, Jerry)
Jan 23, 2020 90 Motion for Summary Judgment (Exhibit L - Bims Decl.) (5)
Docket Text: MOTION for Summary Judgment of Non-infringement and Invalidity, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order Granting Motion for Summary Judgment, # (2) Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary Judgment, # (3) Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts, # (4) Exhibit 18 - GET Dep. Exhibit 15, # (5) Exhibit 19 - GET Infringement Contentions - Excerpts, # (6) Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts, # (7) Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts, # (8) Exhibit 22 - '730 Patent File History - Additional Excerpts, # (9) Declaration of Dr. Howard Chizeck, # (10) Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck, # (11) Exhibit B - Chizeck Decl., # (12) Exhibit C - Chizeck Decl., # (13) Exhibit D - Chizeck Decl., # (14) Exhibit E - Chizeck Decl., # (15) Exhibit F - Chizeck Decl., # (16) Declaration of Dr. Harry Bims, # (17) Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims, # (18) Exhibit B - Bims Decl., # (19) Exhibit C - Bims Decl., # (20) Exhibit D - Bims Decl., # (21) Exhibit E - Bims Decl., # (22) Exhibit F - Bims Decl., # (23) Exhibit G - Bims Decl., # (24) Exhibit H - Bims Decl., # (25) Exhibit I - Bims Decl., # (26) Exhibit J - Bims Decl., # (27) Exhibit K - Bims Decl., # (28) Exhibit L - Bims Decl., # (29) Exhibit M - Bims Decl.) Noting Date 2/14/2020, (Riedinger, Jerry)
Jan 23, 2020 90 Motion for Summary Judgment (Exhibit M - Bims Decl.) (5)
Docket Text: MOTION for Summary Judgment of Non-infringement and Invalidity, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order Granting Motion for Summary Judgment, # (2) Declaration of Kevin A. Zeck in Support of Nintendo's Motion for Summary Judgment, # (3) Exhibit 17 - 11/19/2019 Deposition of GET - Excerpts, # (4) Exhibit 18 - GET Dep. Exhibit 15, # (5) Exhibit 19 - GET Infringement Contentions - Excerpts, # (6) Exhibit 20 - 9/27/2019 Fernald Dep. - Excerpts, # (7) Exhibit 21 - 12/13/2019 Fernald Dep. - Excerpts, # (8) Exhibit 22 - '730 Patent File History - Additional Excerpts, # (9) Declaration of Dr. Howard Chizeck, # (10) Exhibit A - Chizeck Decl. - Curriculum Vitae of Dr. Howard Chizeck, # (11) Exhibit B - Chizeck Decl., # (12) Exhibit C - Chizeck Decl., # (13) Exhibit D - Chizeck Decl., # (14) Exhibit E - Chizeck Decl., # (15) Exhibit F - Chizeck Decl., # (16) Declaration of Dr. Harry Bims, # (17) Exhibit A - Bims Decl. - Curriculum Vitae of Dr. Harry Bims, # (18) Exhibit B - Bims Decl., # (19) Exhibit C - Bims Decl., # (20) Exhibit D - Bims Decl., # (21) Exhibit E - Bims Decl., # (22) Exhibit F - Bims Decl., # (23) Exhibit G - Bims Decl., # (24) Exhibit H - Bims Decl., # (25) Exhibit I - Bims Decl., # (26) Exhibit J - Bims Decl., # (27) Exhibit K - Bims Decl., # (28) Exhibit L - Bims Decl., # (29) Exhibit M - Bims Decl.) Noting Date 2/14/2020, (Riedinger, Jerry)
Jan 22, 2020 87 Praecipe to Attach Document (3)
Jan 22, 2020 87 Corrected Appendix A (240)
Jan 22, 2020 87 Praecipe to Attach Document () (3)
Docket Text: PRAECIPE to attach document (Corrected Appendix A (Dkt. 84-01)) re [84] Notice-Other,, by Defendants Nintendo Co Ltd, Nintendo of America Inc (Attachments: # (1) Corrected Appendix A)(McFarland, Jonathan)
Jan 22, 2020 87 Praecipe to Attach Document (Corrected Appendix A) (30)
Docket Text: PRAECIPE to attach document (Corrected Appendix A (Dkt. 84-01)) re [84] Notice-Other,, by Defendants Nintendo Co Ltd, Nintendo of America Inc (Attachments: # (1) Corrected Appendix A)(McFarland, Jonathan)
Jan 21, 2020 85 Brief - Opening (30)
Jan 21, 2020 85 Declaration of David R. Pekarek Krohn (4)
Jan 21, 2020 85 Exhibit 1 (P_0008536-8542) (8)
Jan 21, 2020 85 Exhibit 2 (P_0004404 - excerpts) (5)
Jan 21, 2020 85 Exhibit 3 (Prosecution History - excerpts) (37)
Jan 21, 2020 85 Exhibit 4 (GET v. Sony, GET's Rep. Cl. Constr. Br. - excerpts) (4)
Jan 21, 2020 85 Exhibit 5 (GET v. Sony, Tr. of Cl. Constr. Hrg. - excerpts) (13)
Jan 21, 2020 85 Exhibit 6 (Corrected Decl. of Dr. Howard Chizeck Regarding Claim Constr.) (15)
Jan 21, 2020 85 Exhibit 7 (Tr. of 12/13/2019 Dep. of Dr. Fernald - excerpts) (14)
Jan 21, 2020 85 Exhibit 8 (IPR2018-00542, GET Prelim. Resp. - excerpts) (6)
Jan 21, 2020 85 Exhibit 9 (IPR2018-00543, GET Prelim. Resp. - excerpts) (4)
Jan 21, 2020 85 Exhibit 10 (Decl. of Dr. Harry Bims) (34)
Jan 21, 2020 85 Exhibit 11 (Rebuttal Decl. of Dr. Harry Bims) (7)
Jan 21, 2020 85 Exhibit 12 (GET v. Sony, GET's Opening Cl. Constr. Br. - excerpts) (7)
Jan 21, 2020 85 Exhibit 13 (Tr. of 12/19/2019 Dep. of Dr. Bims - excerpts) (12)
Jan 21, 2020 85 Exhibit 14 (Webster's Dict. of Comp. Terms - excerpts) (7)
Jan 21, 2020 85 Exhibit 15 (Microsoft Comp. Dict. (3d ed.) - excerpts) (4)
Jan 21, 2020 85 Exhibit 16 (Rebuttal Decl. of Dr. Fernald - excerpts) (4)
Jan 21, 2020 86 Brief - Opening (44)
Jan 21, 2020 86 Exhibit 1 (U.S. Patent No. 6,219,730) (16)
Jan 21, 2020 86 Exhibit 2 (File History of the '730 Patent) (170)
Jan 21, 2020 86 Exhibit 3 (Nintendo's Discl. of Claim Terms) (8)
Jan 21, 2020 86 Exhibit 4 (IPR2017-2065 Decision) (30)
Jan 21, 2020 86 Exhibit 5 (IPR2018-543 Decision) (26)
Jan 21, 2020 86 Exhibit 6 (IPR2018-542 Decision) (29)
Jan 21, 2020 86 Exhibit 7 (Signals and Syst. for Speech and Hearing - excerpts) (5)
Jan 21, 2020 86 Exhibit 8 (Computer Networks - excerpts) (12)
Jan 21, 2020 86 Exhibit 9 (Data & Comp. Tele. - excerpts) (16)
Jan 21, 2020 86 Exhibit 10 (Tr. of 12/13/19 Dep. of Dr. Fernald) (59)
Jan 21, 2020 86 Exhibit 11 (Tr. of 12/19/19 Dep. of Dr. Bims) (56)
Jan 21, 2020 86 Exhibit 12 (Data Sheet PM4344 Framer) (4)
Jan 21, 2020 86 Exhibit 13 (Data Sheet PM6388 Framer) (4)
Jan 21, 2020 86 Exhibit 14 (Data Sheet DS26521 Framer - excerpts) (10)
Jan 21, 2020 86 Exhibit 15 (Framer Chip Article) (17)
Jan 21, 2020 86 Exhibit 16 (Datasheet Bt8954 Framer - excerpts) (10)
Jan 21, 2020 86 Exhibit 17 (Webster's Dict. Comp. Terms - excerpts) (6)
Jan 21, 2020 86 Exhibit 18 (Data and Telecom. Dict. - excerpts) (6)
Jan 21, 2020 86 Exhibit 19 (Nintendo's Discl. of Contentions - excerpts) (7)
Jan 21, 2020 86 Exhibit 20 (Dict. Comp. and Int. Terms - excerpts) (6)
Jan 21, 2020 85 Brief - Opening () (30)
Docket Text: OPENING BRIEF (Claim Construction) by Defendants Nintendo Co Ltd, Nintendo of America Inc (Attachments: # (1) Declaration of David R. Pekarek Krohn, # (2) Exhibit 1 (P_0008536-8542), # (3) Exhibit 2 (P_0004404 - excerpts), # (4) Exhibit 3 (Prosecution History - excerpts), # (5) Exhibit 4 (GET v. Sony, GET's Rep. Cl. Constr. Br. - excerpts), # (6) Exhibit 5 (GET v. Sony, Tr. of Cl. Constr. Hrg. - excerpts), # (7) Exhibit 6 (Corrected Decl. of Dr. Howard Chizeck Regarding Claim Constr.), # (8) Exhibit 7 (Tr. of 12/13/2019 Dep. of Dr. Fernald - excerpts), # (9) Exhibit 8 (IPR2018-00542, GET Prelim. Resp. - excerpts), # (10) Exhibit 9 (IPR2018-00543, GET Prelim. Resp. - excerpts), # (11) Exhibit 10 (Decl. of Dr. Harry Bims), # (12) Exhibit 11 (Rebuttal Decl. of Dr. Harry Bims), # (13) Exhibit 12 (GET v. Sony, GET's Opening Cl. Constr. Br. - excerpts), # (14) Exhibit 13 (Tr. of 12/19/2019 Dep. of Dr. Bims - excerpts), # (15) Exhibit 14 (Webster's Dict. of Comp. Terms - excerpts), # (16) Exhibit 15 (Microsoft Comp. Dict. (3d ed.) - excerpts), # (17) Exhibit 16 (Rebuttal Decl. of Dr. Fernald - excerpts))(McFarland, Jonathan)
Jan 21, 2020 85 Brief - Opening (Declaration of David R. Pekarek Krohn) (4)
Docket Text: OPENING BRIEF (Claim Construction) by Defendants Nintendo Co Ltd, Nintendo of America Inc (Attachments: # (1) Declaration of David R. Pekarek Krohn, # (2) Exhibit 1 (P_0008536-8542), # (3) Exhibit 2 (P_0004404 - excerpts), # (4) Exhibit 3 (Prosecution History - excerpts), # (5) Exhibit 4 (GET v. Sony, GET's Rep. Cl. Constr. Br. - excerpts), # (6) Exhibit 5 (GET v. Sony, Tr. of Cl. Constr. Hrg. - excerpts), # (7) Exhibit 6 (Corrected Decl. of Dr. Howard Chizeck Regarding Claim Constr.), # (8) Exhibit 7 (Tr. of 12/13/2019 Dep. of Dr. Fernald - excerpts), # (9) Exhibit 8 (IPR2018-00542, GET Prelim. Resp. - excerpts), # (10) Exhibit 9 (IPR2018-00543, GET Prelim. Resp. - excerpts), # (11) Exhibit 10 (Decl. of Dr. Harry Bims), # (12) Exhibit 11 (Rebuttal Decl. of Dr. Harry Bims), # (13) Exhibit 12 (GET v. Sony, GET's Opening Cl. Constr. Br. - excerpts), # (14) Exhibit 13 (Tr. of 12/19/2019 Dep. of Dr. Bims - excerpts), # (15) Exhibit 14 (Webster's Dict. of Comp. Terms - excerpts), # (16) Exhibit 15 (Microsoft Comp. Dict. (3d ed.) - excerpts), # (17) Exhibit 16 (Rebuttal Decl. of Dr. Fernald - excerpts))(McFarland, Jonathan)
Jan 21, 2020 85 Brief - Opening (Exhibit 1 (P_0008536-8542)) (8)
Docket Text: OPENING BRIEF (Claim Construction) by Defendants Nintendo Co Ltd, Nintendo of America Inc (Attachments: # (1) Declaration of David R. Pekarek Krohn, # (2) Exhibit 1 (P_0008536-8542), # (3) Exhibit 2 (P_0004404 - excerpts), # (4) Exhibit 3 (Prosecution History - excerpts), # (5) Exhibit 4 (GET v. Sony, GET's Rep. Cl. Constr. Br. - excerpts), # (6) Exhibit 5 (GET v. Sony, Tr. of Cl. Constr. Hrg. - excerpts), # (7) Exhibit 6 (Corrected Decl. of Dr. Howard Chizeck Regarding Claim Constr.), # (8) Exhibit 7 (Tr. of 12/13/2019 Dep. of Dr. Fernald - excerpts), # (9) Exhibit 8 (IPR2018-00542, GET Prelim. Resp. - excerpts), # (10) Exhibit 9 (IPR2018-00543, GET Prelim. Resp. - excerpts), # (11) Exhibit 10 (Decl. of Dr. Harry Bims), # (12) Exhibit 11 (Rebuttal Decl. of Dr. Harry Bims), # (13) Exhibit 12 (GET v. Sony, GET's Opening Cl. Constr. Br. - excerpts), # (14) Exhibit 13 (Tr. of 12/19/2019 Dep. of Dr. Bims - excerpts), # (15) Exhibit 14 (Webster's Dict. of Comp. Terms - excerpts), # (16) Exhibit 15 (Microsoft Comp. Dict. (3d ed.) - excerpts), # (17) Exhibit 16 (Rebuttal Decl. of Dr. Fernald - excerpts))(McFarland, Jonathan)
Jan 21, 2020 85 Brief - Opening (Exhibit 2 (P_0004404 - excerpts)) (5)
Docket Text: OPENING BRIEF (Claim Construction) by Defendants Nintendo Co Ltd, Nintendo of America Inc (Attachments: # (1) Declaration of David R. Pekarek Krohn, # (2) Exhibit 1 (P_0008536-8542), # (3) Exhibit 2 (P_0004404 - excerpts), # (4) Exhibit 3 (Prosecution History - excerpts), # (5) Exhibit 4 (GET v. Sony, GET's Rep. Cl. Constr. Br. - excerpts), # (6) Exhibit 5 (GET v. Sony, Tr. of Cl. Constr. Hrg. - excerpts), # (7) Exhibit 6 (Corrected Decl. of Dr. Howard Chizeck Regarding Claim Constr.), # (8) Exhibit 7 (Tr. of 12/13/2019 Dep. of Dr. Fernald - excerpts), # (9) Exhibit 8 (IPR2018-00542, GET Prelim. Resp. - excerpts), # (10) Exhibit 9 (IPR2018-00543, GET Prelim. Resp. - excerpts), # (11) Exhibit 10 (Decl. of Dr. Harry Bims), # (12) Exhibit 11 (Rebuttal Decl. of Dr. Harry Bims), # (13) Exhibit 12 (GET v. Sony, GET's Opening Cl. Constr. Br. - excerpts), # (14) Exhibit 13 (Tr. of 12/19/2019 Dep. of Dr. Bims - excerpts), # (15) Exhibit 14 (Webster's Dict. of Comp. Terms - excerpts), # (16) Exhibit 15 (Microsoft Comp. Dict. (3d ed.) - excerpts), # (17) Exhibit 16 (Rebuttal Decl. of Dr. Fernald - excerpts))(McFarland, Jonathan)
Jan 21, 2020 85 Brief - Opening (Exhibit 3 (Prosecution History - excerpts)) (30)
Docket Text: OPENING BRIEF (Claim Construction) by Defendants Nintendo Co Ltd, Nintendo of America Inc (Attachments: # (1) Declaration of David R. Pekarek Krohn, # (2) Exhibit 1 (P_0008536-8542), # (3) Exhibit 2 (P_0004404 - excerpts), # (4) Exhibit 3 (Prosecution History - excerpts), # (5) Exhibit 4 (GET v. Sony, GET's Rep. Cl. Constr. Br. - excerpts), # (6) Exhibit 5 (GET v. Sony, Tr. of Cl. Constr. Hrg. - excerpts), # (7) Exhibit 6 (Corrected Decl. of Dr. Howard Chizeck Regarding Claim Constr.), # (8) Exhibit 7 (Tr. of 12/13/2019 Dep. of Dr. Fernald - excerpts), # (9) Exhibit 8 (IPR2018-00542, GET Prelim. Resp. - excerpts), # (10) Exhibit 9 (IPR2018-00543, GET Prelim. Resp. - excerpts), # (11) Exhibit 10 (Decl. of Dr. Harry Bims), # (12) Exhibit 11 (Rebuttal Decl. of Dr. Harry Bims), # (13) Exhibit 12 (GET v. Sony, GET's Opening Cl. Constr. Br. - excerpts), # (14) Exhibit 13 (Tr. of 12/19/2019 Dep. of Dr. Bims - excerpts), # (15) Exhibit 14 (Webster's Dict. of Comp. Terms - excerpts), # (16) Exhibit 15 (Microsoft Comp. Dict. (3d ed.) - excerpts), # (17) Exhibit 16 (Rebuttal Decl. of Dr. Fernald - excerpts))(McFarland, Jonathan)
Jan 21, 2020 85 Brief - Opening (Exhibit 4 (GET v. Sony, GET's Rep. Cl. Constr. Br. - excerpts)) (4)
Docket Text: OPENING BRIEF (Claim Construction) by Defendants Nintendo Co Ltd, Nintendo of America Inc (Attachments: # (1) Declaration of David R. Pekarek Krohn, # (2) Exhibit 1 (P_0008536-8542), # (3) Exhibit 2 (P_0004404 - excerpts), # (4) Exhibit 3 (Prosecution History - excerpts), # (5) Exhibit 4 (GET v. Sony, GET's Rep. Cl. Constr. Br. - excerpts), # (6) Exhibit 5 (GET v. Sony, Tr. of Cl. Constr. Hrg. - excerpts), # (7) Exhibit 6 (Corrected Decl. of Dr. Howard Chizeck Regarding Claim Constr.), # (8) Exhibit 7 (Tr. of 12/13/2019 Dep. of Dr. Fernald - excerpts), # (9) Exhibit 8 (IPR2018-00542, GET Prelim. Resp. - excerpts), # (10) Exhibit 9 (IPR2018-00543, GET Prelim. Resp. - excerpts), # (11) Exhibit 10 (Decl. of Dr. Harry Bims), # (12) Exhibit 11 (Rebuttal Decl. of Dr. Harry Bims), # (13) Exhibit 12 (GET v. Sony, GET's Opening Cl. Constr. Br. - excerpts), # (14) Exhibit 13 (Tr. of 12/19/2019 Dep. of Dr. Bims - excerpts), # (15) Exhibit 14 (Webster's Dict. of Comp. Terms - excerpts), # (16) Exhibit 15 (Microsoft Comp. Dict. (3d ed.) - excerpts), # (17) Exhibit 16 (Rebuttal Decl. of Dr. Fernald - excerpts))(McFarland, Jonathan)
Jan 21, 2020 85 Brief - Opening (Exhibit 5 (GET v. Sony, Tr. of Cl. Constr. Hrg. - excerpts)) (13)
Docket Text: OPENING BRIEF (Claim Construction) by Defendants Nintendo Co Ltd, Nintendo of America Inc (Attachments: # (1) Declaration of David R. Pekarek Krohn, # (2) Exhibit 1 (P_0008536-8542), # (3) Exhibit 2 (P_0004404 - excerpts), # (4) Exhibit 3 (Prosecution History - excerpts), # (5) Exhibit 4 (GET v. Sony, GET's Rep. Cl. Constr. Br. - excerpts), # (6) Exhibit 5 (GET v. Sony, Tr. of Cl. Constr. Hrg. - excerpts), # (7) Exhibit 6 (Corrected Decl. of Dr. Howard Chizeck Regarding Claim Constr.), # (8) Exhibit 7 (Tr. of 12/13/2019 Dep. of Dr. Fernald - excerpts), # (9) Exhibit 8 (IPR2018-00542, GET Prelim. Resp. - excerpts), # (10) Exhibit 9 (IPR2018-00543, GET Prelim. Resp. - excerpts), # (11) Exhibit 10 (Decl. of Dr. Harry Bims), # (12) Exhibit 11 (Rebuttal Decl. of Dr. Harry Bims), # (13) Exhibit 12 (GET v. Sony, GET's Opening Cl. Constr. Br. - excerpts), # (14) Exhibit 13 (Tr. of 12/19/2019 Dep. of Dr. Bims - excerpts), # (15) Exhibit 14 (Webster's Dict. of Comp. Terms - excerpts), # (16) Exhibit 15 (Microsoft Comp. Dict. (3d ed.) - excerpts), # (17) Exhibit 16 (Rebuttal Decl. of Dr. Fernald - excerpts))(McFarland, Jonathan)
Jan 21, 2020 85 Brief - Opening (Exhibit 6 (Corrected Decl. of Dr. Howard Chizeck Regarding Claim Constr.)) (15)
Docket Text: OPENING BRIEF (Claim Construction) by Defendants Nintendo Co Ltd, Nintendo of America Inc (Attachments: # (1) Declaration of David R. Pekarek Krohn, # (2) Exhibit 1 (P_0008536-8542), # (3) Exhibit 2 (P_0004404 - excerpts), # (4) Exhibit 3 (Prosecution History - excerpts), # (5) Exhibit 4 (GET v. Sony, GET's Rep. Cl. Constr. Br. - excerpts), # (6) Exhibit 5 (GET v. Sony, Tr. of Cl. Constr. Hrg. - excerpts), # (7) Exhibit 6 (Corrected Decl. of Dr. Howard Chizeck Regarding Claim Constr.), # (8) Exhibit 7 (Tr. of 12/13/2019 Dep. of Dr. Fernald - excerpts), # (9) Exhibit 8 (IPR2018-00542, GET Prelim. Resp. - excerpts), # (10) Exhibit 9 (IPR2018-00543, GET Prelim. Resp. - excerpts), # (11) Exhibit 10 (Decl. of Dr. Harry Bims), # (12) Exhibit 11 (Rebuttal Decl. of Dr. Harry Bims), # (13) Exhibit 12 (GET v. Sony, GET's Opening Cl. Constr. Br. - excerpts), # (14) Exhibit 13 (Tr. of 12/19/2019 Dep. of Dr. Bims - excerpts), # (15) Exhibit 14 (Webster's Dict. of Comp. Terms - excerpts), # (16) Exhibit 15 (Microsoft Comp. Dict. (3d ed.) - excerpts), # (17) Exhibit 16 (Rebuttal Decl. of Dr. Fernald - excerpts))(McFarland, Jonathan)
Jan 21, 2020 85 Brief - Opening (Exhibit 7 (Tr. of 12/13/2019 Dep. of Dr. Fernald - excerpts)) (14)
Docket Text: OPENING BRIEF (Claim Construction) by Defendants Nintendo Co Ltd, Nintendo of America Inc (Attachments: # (1) Declaration of David R. Pekarek Krohn, # (2) Exhibit 1 (P_0008536-8542), # (3) Exhibit 2 (P_0004404 - excerpts), # (4) Exhibit 3 (Prosecution History - excerpts), # (5) Exhibit 4 (GET v. Sony, GET's Rep. Cl. Constr. Br. - excerpts), # (6) Exhibit 5 (GET v. Sony, Tr. of Cl. Constr. Hrg. - excerpts), # (7) Exhibit 6 (Corrected Decl. of Dr. Howard Chizeck Regarding Claim Constr.), # (8) Exhibit 7 (Tr. of 12/13/2019 Dep. of Dr. Fernald - excerpts), # (9) Exhibit 8 (IPR2018-00542, GET Prelim. Resp. - excerpts), # (10) Exhibit 9 (IPR2018-00543, GET Prelim. Resp. - excerpts), # (11) Exhibit 10 (Decl. of Dr. Harry Bims), # (12) Exhibit 11 (Rebuttal Decl. of Dr. Harry Bims), # (13) Exhibit 12 (GET v. Sony, GET's Opening Cl. Constr. Br. - excerpts), # (14) Exhibit 13 (Tr. of 12/19/2019 Dep. of Dr. Bims - excerpts), # (15) Exhibit 14 (Webster's Dict. of Comp. Terms - excerpts), # (16) Exhibit 15 (Microsoft Comp. Dict. (3d ed.) - excerpts), # (17) Exhibit 16 (Rebuttal Decl. of Dr. Fernald - excerpts))(McFarland, Jonathan)
Jan 21, 2020 85 Brief - Opening (Exhibit 8 (IPR2018-00542, GET Prelim. Resp. - excerpts)) (6)
Docket Text: OPENING BRIEF (Claim Construction) by Defendants Nintendo Co Ltd, Nintendo of America Inc (Attachments: # (1) Declaration of David R. Pekarek Krohn, # (2) Exhibit 1 (P_0008536-8542), # (3) Exhibit 2 (P_0004404 - excerpts), # (4) Exhibit 3 (Prosecution History - excerpts), # (5) Exhibit 4 (GET v. Sony, GET's Rep. Cl. Constr. Br. - excerpts), # (6) Exhibit 5 (GET v. Sony, Tr. of Cl. Constr. Hrg. - excerpts), # (7) Exhibit 6 (Corrected Decl. of Dr. Howard Chizeck Regarding Claim Constr.), # (8) Exhibit 7 (Tr. of 12/13/2019 Dep. of Dr. Fernald - excerpts), # (9) Exhibit 8 (IPR2018-00542, GET Prelim. Resp. - excerpts), # (10) Exhibit 9 (IPR2018-00543, GET Prelim. Resp. - excerpts), # (11) Exhibit 10 (Decl. of Dr. Harry Bims), # (12) Exhibit 11 (Rebuttal Decl. of Dr. Harry Bims), # (13) Exhibit 12 (GET v. Sony, GET's Opening Cl. Constr. Br. - excerpts), # (14) Exhibit 13 (Tr. of 12/19/2019 Dep. of Dr. Bims - excerpts), # (15) Exhibit 14 (Webster's Dict. of Comp. Terms - excerpts), # (16) Exhibit 15 (Microsoft Comp. Dict. (3d ed.) - excerpts), # (17) Exhibit 16 (Rebuttal Decl. of Dr. Fernald - excerpts))(McFarland, Jonathan)
Jan 21, 2020 85 Brief - Opening (Exhibit 9 (IPR2018-00543, GET Prelim. Resp. - excerpts)) (4)
Docket Text: OPENING BRIEF (Claim Construction) by Defendants Nintendo Co Ltd, Nintendo of America Inc (Attachments: # (1) Declaration of David R. Pekarek Krohn, # (2) Exhibit 1 (P_0008536-8542), # (3) Exhibit 2 (P_0004404 - excerpts), # (4) Exhibit 3 (Prosecution History - excerpts), # (5) Exhibit 4 (GET v. Sony, GET's Rep. Cl. Constr. Br. - excerpts), # (6) Exhibit 5 (GET v. Sony, Tr. of Cl. Constr. Hrg. - excerpts), # (7) Exhibit 6 (Corrected Decl. of Dr. Howard Chizeck Regarding Claim Constr.), # (8) Exhibit 7 (Tr. of 12/13/2019 Dep. of Dr. Fernald - excerpts), # (9) Exhibit 8 (IPR2018-00542, GET Prelim. Resp. - excerpts), # (10) Exhibit 9 (IPR2018-00543, GET Prelim. Resp. - excerpts), # (11) Exhibit 10 (Decl. of Dr. Harry Bims), # (12) Exhibit 11 (Rebuttal Decl. of Dr. Harry Bims), # (13) Exhibit 12 (GET v. Sony, GET's Opening Cl. Constr. Br. - excerpts), # (14) Exhibit 13 (Tr. of 12/19/2019 Dep. of Dr. Bims - excerpts), # (15) Exhibit 14 (Webster's Dict. of Comp. Terms - excerpts), # (16) Exhibit 15 (Microsoft Comp. Dict. (3d ed.) - excerpts), # (17) Exhibit 16 (Rebuttal Decl. of Dr. Fernald - excerpts))(McFarland, Jonathan)
Jan 21, 2020 85 Brief - Opening (Exhibit 10 (Decl. of Dr. Harry Bims)) (30)
Docket Text: OPENING BRIEF (Claim Construction) by Defendants Nintendo Co Ltd, Nintendo of America Inc (Attachments: # (1) Declaration of David R. Pekarek Krohn, # (2) Exhibit 1 (P_0008536-8542), # (3) Exhibit 2 (P_0004404 - excerpts), # (4) Exhibit 3 (Prosecution History - excerpts), # (5) Exhibit 4 (GET v. Sony, GET's Rep. Cl. Constr. Br. - excerpts), # (6) Exhibit 5 (GET v. Sony, Tr. of Cl. Constr. Hrg. - excerpts), # (7) Exhibit 6 (Corrected Decl. of Dr. Howard Chizeck Regarding Claim Constr.), # (8) Exhibit 7 (Tr. of 12/13/2019 Dep. of Dr. Fernald - excerpts), # (9) Exhibit 8 (IPR2018-00542, GET Prelim. Resp. - excerpts), # (10) Exhibit 9 (IPR2018-00543, GET Prelim. Resp. - excerpts), # (11) Exhibit 10 (Decl. of Dr. Harry Bims), # (12) Exhibit 11 (Rebuttal Decl. of Dr. Harry Bims), # (13) Exhibit 12 (GET v. Sony, GET's Opening Cl. Constr. Br. - excerpts), # (14) Exhibit 13 (Tr. of 12/19/2019 Dep. of Dr. Bims - excerpts), # (15) Exhibit 14 (Webster's Dict. of Comp. Terms - excerpts), # (16) Exhibit 15 (Microsoft Comp. Dict. (3d ed.) - excerpts), # (17) Exhibit 16 (Rebuttal Decl. of Dr. Fernald - excerpts))(McFarland, Jonathan)
Jan 21, 2020 85 Brief - Opening (Exhibit 11 (Rebuttal Decl. of Dr. Harry Bims)) (7)
Docket Text: OPENING BRIEF (Claim Construction) by Defendants Nintendo Co Ltd, Nintendo of America Inc (Attachments: # (1) Declaration of David R. Pekarek Krohn, # (2) Exhibit 1 (P_0008536-8542), # (3) Exhibit 2 (P_0004404 - excerpts), # (4) Exhibit 3 (Prosecution History - excerpts), # (5) Exhibit 4 (GET v. Sony, GET's Rep. Cl. Constr. Br. - excerpts), # (6) Exhibit 5 (GET v. Sony, Tr. of Cl. Constr. Hrg. - excerpts), # (7) Exhibit 6 (Corrected Decl. of Dr. Howard Chizeck Regarding Claim Constr.), # (8) Exhibit 7 (Tr. of 12/13/2019 Dep. of Dr. Fernald - excerpts), # (9) Exhibit 8 (IPR2018-00542, GET Prelim. Resp. - excerpts), # (10) Exhibit 9 (IPR2018-00543, GET Prelim. Resp. - excerpts), # (11) Exhibit 10 (Decl. of Dr. Harry Bims), # (12) Exhibit 11 (Rebuttal Decl. of Dr. Harry Bims), # (13) Exhibit 12 (GET v. Sony, GET's Opening Cl. Constr. Br. - excerpts), # (14) Exhibit 13 (Tr. of 12/19/2019 Dep. of Dr. Bims - excerpts), # (15) Exhibit 14 (Webster's Dict. of Comp. Terms - excerpts), # (16) Exhibit 15 (Microsoft Comp. Dict. (3d ed.) - excerpts), # (17) Exhibit 16 (Rebuttal Decl. of Dr. Fernald - excerpts))(McFarland, Jonathan)
Jan 21, 2020 85 Brief - Opening (Exhibit 12 (GET v. Sony, GET's Opening Cl. Constr. Br. - excerpts)) (7)
Docket Text: OPENING BRIEF (Claim Construction) by Defendants Nintendo Co Ltd, Nintendo of America Inc (Attachments: # (1) Declaration of David R. Pekarek Krohn, # (2) Exhibit 1 (P_0008536-8542), # (3) Exhibit 2 (P_0004404 - excerpts), # (4) Exhibit 3 (Prosecution History - excerpts), # (5) Exhibit 4 (GET v. Sony, GET's Rep. Cl. Constr. Br. - excerpts), # (6) Exhibit 5 (GET v. Sony, Tr. of Cl. Constr. Hrg. - excerpts), # (7) Exhibit 6 (Corrected Decl. of Dr. Howard Chizeck Regarding Claim Constr.), # (8) Exhibit 7 (Tr. of 12/13/2019 Dep. of Dr. Fernald - excerpts), # (9) Exhibit 8 (IPR2018-00542, GET Prelim. Resp. - excerpts), # (10) Exhibit 9 (IPR2018-00543, GET Prelim. Resp. - excerpts), # (11) Exhibit 10 (Decl. of Dr. Harry Bims), # (12) Exhibit 11 (Rebuttal Decl. of Dr. Harry Bims), # (13) Exhibit 12 (GET v. Sony, GET's Opening Cl. Constr. Br. - excerpts), # (14) Exhibit 13 (Tr. of 12/19/2019 Dep. of Dr. Bims - excerpts), # (15) Exhibit 14 (Webster's Dict. of Comp. Terms - excerpts), # (16) Exhibit 15 (Microsoft Comp. Dict. (3d ed.) - excerpts), # (17) Exhibit 16 (Rebuttal Decl. of Dr. Fernald - excerpts))(McFarland, Jonathan)
Jan 21, 2020 85 Brief - Opening (Exhibit 13 (Tr. of 12/19/2019 Dep. of Dr. Bims - excerpts)) (12)
Docket Text: OPENING BRIEF (Claim Construction) by Defendants Nintendo Co Ltd, Nintendo of America Inc (Attachments: # (1) Declaration of David R. Pekarek Krohn, # (2) Exhibit 1 (P_0008536-8542), # (3) Exhibit 2 (P_0004404 - excerpts), # (4) Exhibit 3 (Prosecution History - excerpts), # (5) Exhibit 4 (GET v. Sony, GET's Rep. Cl. Constr. Br. - excerpts), # (6) Exhibit 5 (GET v. Sony, Tr. of Cl. Constr. Hrg. - excerpts), # (7) Exhibit 6 (Corrected Decl. of Dr. Howard Chizeck Regarding Claim Constr.), # (8) Exhibit 7 (Tr. of 12/13/2019 Dep. of Dr. Fernald - excerpts), # (9) Exhibit 8 (IPR2018-00542, GET Prelim. Resp. - excerpts), # (10) Exhibit 9 (IPR2018-00543, GET Prelim. Resp. - excerpts), # (11) Exhibit 10 (Decl. of Dr. Harry Bims), # (12) Exhibit 11 (Rebuttal Decl. of Dr. Harry Bims), # (13) Exhibit 12 (GET v. Sony, GET's Opening Cl. Constr. Br. - excerpts), # (14) Exhibit 13 (Tr. of 12/19/2019 Dep. of Dr. Bims - excerpts), # (15) Exhibit 14 (Webster's Dict. of Comp. Terms - excerpts), # (16) Exhibit 15 (Microsoft Comp. Dict. (3d ed.) - excerpts), # (17) Exhibit 16 (Rebuttal Decl. of Dr. Fernald - excerpts))(McFarland, Jonathan)
Jan 21, 2020 85 Brief - Opening (Exhibit 14 (Webster's Dict. of Comp. Terms - excerpts)) (7)
Docket Text: OPENING BRIEF (Claim Construction) by Defendants Nintendo Co Ltd, Nintendo of America Inc (Attachments: # (1) Declaration of David R. Pekarek Krohn, # (2) Exhibit 1 (P_0008536-8542), # (3) Exhibit 2 (P_0004404 - excerpts), # (4) Exhibit 3 (Prosecution History - excerpts), # (5) Exhibit 4 (GET v. Sony, GET's Rep. Cl. Constr. Br. - excerpts), # (6) Exhibit 5 (GET v. Sony, Tr. of Cl. Constr. Hrg. - excerpts), # (7) Exhibit 6 (Corrected Decl. of Dr. Howard Chizeck Regarding Claim Constr.), # (8) Exhibit 7 (Tr. of 12/13/2019 Dep. of Dr. Fernald - excerpts), # (9) Exhibit 8 (IPR2018-00542, GET Prelim. Resp. - excerpts), # (10) Exhibit 9 (IPR2018-00543, GET Prelim. Resp. - excerpts), # (11) Exhibit 10 (Decl. of Dr. Harry Bims), # (12) Exhibit 11 (Rebuttal Decl. of Dr. Harry Bims), # (13) Exhibit 12 (GET v. Sony, GET's Opening Cl. Constr. Br. - excerpts), # (14) Exhibit 13 (Tr. of 12/19/2019 Dep. of Dr. Bims - excerpts), # (15) Exhibit 14 (Webster's Dict. of Comp. Terms - excerpts), # (16) Exhibit 15 (Microsoft Comp. Dict. (3d ed.) - excerpts), # (17) Exhibit 16 (Rebuttal Decl. of Dr. Fernald - excerpts))(McFarland, Jonathan)
Jan 21, 2020 85 Brief - Opening (Exhibit 15 (Microsoft Comp. Dict. (3d ed.) - excerpts)) (4)
Docket Text: OPENING BRIEF (Claim Construction) by Defendants Nintendo Co Ltd, Nintendo of America Inc (Attachments: # (1) Declaration of David R. Pekarek Krohn, # (2) Exhibit 1 (P_0008536-8542), # (3) Exhibit 2 (P_0004404 - excerpts), # (4) Exhibit 3 (Prosecution History - excerpts), # (5) Exhibit 4 (GET v. Sony, GET's Rep. Cl. Constr. Br. - excerpts), # (6) Exhibit 5 (GET v. Sony, Tr. of Cl. Constr. Hrg. - excerpts), # (7) Exhibit 6 (Corrected Decl. of Dr. Howard Chizeck Regarding Claim Constr.), # (8) Exhibit 7 (Tr. of 12/13/2019 Dep. of Dr. Fernald - excerpts), # (9) Exhibit 8 (IPR2018-00542, GET Prelim. Resp. - excerpts), # (10) Exhibit 9 (IPR2018-00543, GET Prelim. Resp. - excerpts), # (11) Exhibit 10 (Decl. of Dr. Harry Bims), # (12) Exhibit 11 (Rebuttal Decl. of Dr. Harry Bims), # (13) Exhibit 12 (GET v. Sony, GET's Opening Cl. Constr. Br. - excerpts), # (14) Exhibit 13 (Tr. of 12/19/2019 Dep. of Dr. Bims - excerpts), # (15) Exhibit 14 (Webster's Dict. of Comp. Terms - excerpts), # (16) Exhibit 15 (Microsoft Comp. Dict. (3d ed.) - excerpts), # (17) Exhibit 16 (Rebuttal Decl. of Dr. Fernald - excerpts))(McFarland, Jonathan)
Jan 21, 2020 85 Brief - Opening (Exhibit 16 (Rebuttal Decl. of Dr. Fernald - excerpts)) (4)
Docket Text: OPENING BRIEF (Claim Construction) by Defendants Nintendo Co Ltd, Nintendo of America Inc (Attachments: # (1) Declaration of David R. Pekarek Krohn, # (2) Exhibit 1 (P_0008536-8542), # (3) Exhibit 2 (P_0004404 - excerpts), # (4) Exhibit 3 (Prosecution History - excerpts), # (5) Exhibit 4 (GET v. Sony, GET's Rep. Cl. Constr. Br. - excerpts), # (6) Exhibit 5 (GET v. Sony, Tr. of Cl. Constr. Hrg. - excerpts), # (7) Exhibit 6 (Corrected Decl. of Dr. Howard Chizeck Regarding Claim Constr.), # (8) Exhibit 7 (Tr. of 12/13/2019 Dep. of Dr. Fernald - excerpts), # (9) Exhibit 8 (IPR2018-00542, GET Prelim. Resp. - excerpts), # (10) Exhibit 9 (IPR2018-00543, GET Prelim. Resp. - excerpts), # (11) Exhibit 10 (Decl. of Dr. Harry Bims), # (12) Exhibit 11 (Rebuttal Decl. of Dr. Harry Bims), # (13) Exhibit 12 (GET v. Sony, GET's Opening Cl. Constr. Br. - excerpts), # (14) Exhibit 13 (Tr. of 12/19/2019 Dep. of Dr. Bims - excerpts), # (15) Exhibit 14 (Webster's Dict. of Comp. Terms - excerpts), # (16) Exhibit 15 (Microsoft Comp. Dict. (3d ed.) - excerpts), # (17) Exhibit 16 (Rebuttal Decl. of Dr. Fernald - excerpts))(McFarland, Jonathan)
Jan 21, 2020 86 Brief - Opening () (30)
Docket Text: OPENING BRIEF (Claim Construction) by Plaintiff Genuine Enabling Technology LLC (Attachments: # (1) Exhibit 1 (U.S. Patent No. 6,219,730), # (2) Exhibit 2 (File History of the '730 Patent), # (3) Exhibit 3 (Nintendo's Discl. of Claim Terms), # (4) Exhibit 4 (IPR2017-2065 Decision), # (5) Exhibit 5 (IPR2018-543 Decision), # (6) Exhibit 6 (IPR2018-542 Decision), # (7) Exhibit 7 (Signals and Syst. for Speech and Hearing - excerpts), # (8) Exhibit 8 (Computer Networks - excerpts), # (9) Exhibit 9 (Data & Comp. Tele. - excerpts), # (10) Exhibit 10 (Tr. of 12/13/19 Dep. of Dr. Fernald), # (11) Exhibit 11 (Tr. of 12/19/19 Dep. of Dr. Bims), # (12) Exhibit 12 (Data Sheet PM4344 Framer), # (13) Exhibit 13 (Data Sheet PM6388 Framer), # (14) Exhibit 14 (Data Sheet DS26521 Framer - excerpts), # (15) Exhibit 15 (Framer Chip Article), # (16) Exhibit 16 (Datasheet Bt8954 Framer - excerpts), # (17) Exhibit 17 (Webster's Dict. Comp. Terms - excerpts), # (18) Exhibit 18 (Data and Telecom. Dict. - excerpts), # (19) Exhibit 19 (Nintendo's Discl. of Contentions - excerpts), # (20) Exhibit 20 (Dict. Comp. and Int. Terms - excerpts))(Padmanabhan, Devan)
Jan 21, 2020 86 Brief - Opening (Exhibit 1 (U.S. Patent No. 6,219,730)) (16)
Docket Text: OPENING BRIEF (Claim Construction) by Plaintiff Genuine Enabling Technology LLC (Attachments: # (1) Exhibit 1 (U.S. Patent No. 6,219,730), # (2) Exhibit 2 (File History of the '730 Patent), # (3) Exhibit 3 (Nintendo's Discl. of Claim Terms), # (4) Exhibit 4 (IPR2017-2065 Decision), # (5) Exhibit 5 (IPR2018-543 Decision), # (6) Exhibit 6 (IPR2018-542 Decision), # (7) Exhibit 7 (Signals and Syst. for Speech and Hearing - excerpts), # (8) Exhibit 8 (Computer Networks - excerpts), # (9) Exhibit 9 (Data & Comp. Tele. - excerpts), # (10) Exhibit 10 (Tr. of 12/13/19 Dep. of Dr. Fernald), # (11) Exhibit 11 (Tr. of 12/19/19 Dep. of Dr. Bims), # (12) Exhibit 12 (Data Sheet PM4344 Framer), # (13) Exhibit 13 (Data Sheet PM6388 Framer), # (14) Exhibit 14 (Data Sheet DS26521 Framer - excerpts), # (15) Exhibit 15 (Framer Chip Article), # (16) Exhibit 16 (Datasheet Bt8954 Framer - excerpts), # (17) Exhibit 17 (Webster's Dict. Comp. Terms - excerpts), # (18) Exhibit 18 (Data and Telecom. Dict. - excerpts), # (19) Exhibit 19 (Nintendo's Discl. of Contentions - excerpts), # (20) Exhibit 20 (Dict. Comp. and Int. Terms - excerpts))(Padmanabhan, Devan)
Jan 21, 2020 86 Brief - Opening (Exhibit 2 (File History of the '730 Patent)) (30)
Docket Text: OPENING BRIEF (Claim Construction) by Plaintiff Genuine Enabling Technology LLC (Attachments: # (1) Exhibit 1 (U.S. Patent No. 6,219,730), # (2) Exhibit 2 (File History of the '730 Patent), # (3) Exhibit 3 (Nintendo's Discl. of Claim Terms), # (4) Exhibit 4 (IPR2017-2065 Decision), # (5) Exhibit 5 (IPR2018-543 Decision), # (6) Exhibit 6 (IPR2018-542 Decision), # (7) Exhibit 7 (Signals and Syst. for Speech and Hearing - excerpts), # (8) Exhibit 8 (Computer Networks - excerpts), # (9) Exhibit 9 (Data & Comp. Tele. - excerpts), # (10) Exhibit 10 (Tr. of 12/13/19 Dep. of Dr. Fernald), # (11) Exhibit 11 (Tr. of 12/19/19 Dep. of Dr. Bims), # (12) Exhibit 12 (Data Sheet PM4344 Framer), # (13) Exhibit 13 (Data Sheet PM6388 Framer), # (14) Exhibit 14 (Data Sheet DS26521 Framer - excerpts), # (15) Exhibit 15 (Framer Chip Article), # (16) Exhibit 16 (Datasheet Bt8954 Framer - excerpts), # (17) Exhibit 17 (Webster's Dict. Comp. Terms - excerpts), # (18) Exhibit 18 (Data and Telecom. Dict. - excerpts), # (19) Exhibit 19 (Nintendo's Discl. of Contentions - excerpts), # (20) Exhibit 20 (Dict. Comp. and Int. Terms - excerpts))(Padmanabhan, Devan)
Jan 21, 2020 86 Brief - Opening (Exhibit 3 (Nintendo's Discl. of Claim Terms)) (8)
Docket Text: OPENING BRIEF (Claim Construction) by Plaintiff Genuine Enabling Technology LLC (Attachments: # (1) Exhibit 1 (U.S. Patent No. 6,219,730), # (2) Exhibit 2 (File History of the '730 Patent), # (3) Exhibit 3 (Nintendo's Discl. of Claim Terms), # (4) Exhibit 4 (IPR2017-2065 Decision), # (5) Exhibit 5 (IPR2018-543 Decision), # (6) Exhibit 6 (IPR2018-542 Decision), # (7) Exhibit 7 (Signals and Syst. for Speech and Hearing - excerpts), # (8) Exhibit 8 (Computer Networks - excerpts), # (9) Exhibit 9 (Data & Comp. Tele. - excerpts), # (10) Exhibit 10 (Tr. of 12/13/19 Dep. of Dr. Fernald), # (11) Exhibit 11 (Tr. of 12/19/19 Dep. of Dr. Bims), # (12) Exhibit 12 (Data Sheet PM4344 Framer), # (13) Exhibit 13 (Data Sheet PM6388 Framer), # (14) Exhibit 14 (Data Sheet DS26521 Framer - excerpts), # (15) Exhibit 15 (Framer Chip Article), # (16) Exhibit 16 (Datasheet Bt8954 Framer - excerpts), # (17) Exhibit 17 (Webster's Dict. Comp. Terms - excerpts), # (18) Exhibit 18 (Data and Telecom. Dict. - excerpts), # (19) Exhibit 19 (Nintendo's Discl. of Contentions - excerpts), # (20) Exhibit 20 (Dict. Comp. and Int. Terms - excerpts))(Padmanabhan, Devan)
Jan 21, 2020 86 Brief - Opening (Exhibit 4 (IPR2017-2065 Decision)) (30)
Docket Text: OPENING BRIEF (Claim Construction) by Plaintiff Genuine Enabling Technology LLC (Attachments: # (1) Exhibit 1 (U.S. Patent No. 6,219,730), # (2) Exhibit 2 (File History of the '730 Patent), # (3) Exhibit 3 (Nintendo's Discl. of Claim Terms), # (4) Exhibit 4 (IPR2017-2065 Decision), # (5) Exhibit 5 (IPR2018-543 Decision), # (6) Exhibit 6 (IPR2018-542 Decision), # (7) Exhibit 7 (Signals and Syst. for Speech and Hearing - excerpts), # (8) Exhibit 8 (Computer Networks - excerpts), # (9) Exhibit 9 (Data & Comp. Tele. - excerpts), # (10) Exhibit 10 (Tr. of 12/13/19 Dep. of Dr. Fernald), # (11) Exhibit 11 (Tr. of 12/19/19 Dep. of Dr. Bims), # (12) Exhibit 12 (Data Sheet PM4344 Framer), # (13) Exhibit 13 (Data Sheet PM6388 Framer), # (14) Exhibit 14 (Data Sheet DS26521 Framer - excerpts), # (15) Exhibit 15 (Framer Chip Article), # (16) Exhibit 16 (Datasheet Bt8954 Framer - excerpts), # (17) Exhibit 17 (Webster's Dict. Comp. Terms - excerpts), # (18) Exhibit 18 (Data and Telecom. Dict. - excerpts), # (19) Exhibit 19 (Nintendo's Discl. of Contentions - excerpts), # (20) Exhibit 20 (Dict. Comp. and Int. Terms - excerpts))(Padmanabhan, Devan)
Jan 21, 2020 86 Brief - Opening (Exhibit 5 (IPR2018-543 Decision)) (26)
Docket Text: OPENING BRIEF (Claim Construction) by Plaintiff Genuine Enabling Technology LLC (Attachments: # (1) Exhibit 1 (U.S. Patent No. 6,219,730), # (2) Exhibit 2 (File History of the '730 Patent), # (3) Exhibit 3 (Nintendo's Discl. of Claim Terms), # (4) Exhibit 4 (IPR2017-2065 Decision), # (5) Exhibit 5 (IPR2018-543 Decision), # (6) Exhibit 6 (IPR2018-542 Decision), # (7) Exhibit 7 (Signals and Syst. for Speech and Hearing - excerpts), # (8) Exhibit 8 (Computer Networks - excerpts), # (9) Exhibit 9 (Data & Comp. Tele. - excerpts), # (10) Exhibit 10 (Tr. of 12/13/19 Dep. of Dr. Fernald), # (11) Exhibit 11 (Tr. of 12/19/19 Dep. of Dr. Bims), # (12) Exhibit 12 (Data Sheet PM4344 Framer), # (13) Exhibit 13 (Data Sheet PM6388 Framer), # (14) Exhibit 14 (Data Sheet DS26521 Framer - excerpts), # (15) Exhibit 15 (Framer Chip Article), # (16) Exhibit 16 (Datasheet Bt8954 Framer - excerpts), # (17) Exhibit 17 (Webster's Dict. Comp. Terms - excerpts), # (18) Exhibit 18 (Data and Telecom. Dict. - excerpts), # (19) Exhibit 19 (Nintendo's Discl. of Contentions - excerpts), # (20) Exhibit 20 (Dict. Comp. and Int. Terms - excerpts))(Padmanabhan, Devan)
Jan 21, 2020 86 Brief - Opening (Exhibit 6 (IPR2018-542 Decision)) (29)
Docket Text: OPENING BRIEF (Claim Construction) by Plaintiff Genuine Enabling Technology LLC (Attachments: # (1) Exhibit 1 (U.S. Patent No. 6,219,730), # (2) Exhibit 2 (File History of the '730 Patent), # (3) Exhibit 3 (Nintendo's Discl. of Claim Terms), # (4) Exhibit 4 (IPR2017-2065 Decision), # (5) Exhibit 5 (IPR2018-543 Decision), # (6) Exhibit 6 (IPR2018-542 Decision), # (7) Exhibit 7 (Signals and Syst. for Speech and Hearing - excerpts), # (8) Exhibit 8 (Computer Networks - excerpts), # (9) Exhibit 9 (Data & Comp. Tele. - excerpts), # (10) Exhibit 10 (Tr. of 12/13/19 Dep. of Dr. Fernald), # (11) Exhibit 11 (Tr. of 12/19/19 Dep. of Dr. Bims), # (12) Exhibit 12 (Data Sheet PM4344 Framer), # (13) Exhibit 13 (Data Sheet PM6388 Framer), # (14) Exhibit 14 (Data Sheet DS26521 Framer - excerpts), # (15) Exhibit 15 (Framer Chip Article), # (16) Exhibit 16 (Datasheet Bt8954 Framer - excerpts), # (17) Exhibit 17 (Webster's Dict. Comp. Terms - excerpts), # (18) Exhibit 18 (Data and Telecom. Dict. - excerpts), # (19) Exhibit 19 (Nintendo's Discl. of Contentions - excerpts), # (20) Exhibit 20 (Dict. Comp. and Int. Terms - excerpts))(Padmanabhan, Devan)
Jan 21, 2020 86 Brief - Opening (Exhibit 7 (Signals and Syst. for Speech and Hearing - excerpts)) (5)
Docket Text: OPENING BRIEF (Claim Construction) by Plaintiff Genuine Enabling Technology LLC (Attachments: # (1) Exhibit 1 (U.S. Patent No. 6,219,730), # (2) Exhibit 2 (File History of the '730 Patent), # (3) Exhibit 3 (Nintendo's Discl. of Claim Terms), # (4) Exhibit 4 (IPR2017-2065 Decision), # (5) Exhibit 5 (IPR2018-543 Decision), # (6) Exhibit 6 (IPR2018-542 Decision), # (7) Exhibit 7 (Signals and Syst. for Speech and Hearing - excerpts), # (8) Exhibit 8 (Computer Networks - excerpts), # (9) Exhibit 9 (Data & Comp. Tele. - excerpts), # (10) Exhibit 10 (Tr. of 12/13/19 Dep. of Dr. Fernald), # (11) Exhibit 11 (Tr. of 12/19/19 Dep. of Dr. Bims), # (12) Exhibit 12 (Data Sheet PM4344 Framer), # (13) Exhibit 13 (Data Sheet PM6388 Framer), # (14) Exhibit 14 (Data Sheet DS26521 Framer - excerpts), # (15) Exhibit 15 (Framer Chip Article), # (16) Exhibit 16 (Datasheet Bt8954 Framer - excerpts), # (17) Exhibit 17 (Webster's Dict. Comp. Terms - excerpts), # (18) Exhibit 18 (Data and Telecom. Dict. - excerpts), # (19) Exhibit 19 (Nintendo's Discl. of Contentions - excerpts), # (20) Exhibit 20 (Dict. Comp. and Int. Terms - excerpts))(Padmanabhan, Devan)
Jan 21, 2020 86 Brief - Opening (Exhibit 8 (Computer Networks - excerpts)) (12)
Docket Text: OPENING BRIEF (Claim Construction) by Plaintiff Genuine Enabling Technology LLC (Attachments: # (1) Exhibit 1 (U.S. Patent No. 6,219,730), # (2) Exhibit 2 (File History of the '730 Patent), # (3) Exhibit 3 (Nintendo's Discl. of Claim Terms), # (4) Exhibit 4 (IPR2017-2065 Decision), # (5) Exhibit 5 (IPR2018-543 Decision), # (6) Exhibit 6 (IPR2018-542 Decision), # (7) Exhibit 7 (Signals and Syst. for Speech and Hearing - excerpts), # (8) Exhibit 8 (Computer Networks - excerpts), # (9) Exhibit 9 (Data & Comp. Tele. - excerpts), # (10) Exhibit 10 (Tr. of 12/13/19 Dep. of Dr. Fernald), # (11) Exhibit 11 (Tr. of 12/19/19 Dep. of Dr. Bims), # (12) Exhibit 12 (Data Sheet PM4344 Framer), # (13) Exhibit 13 (Data Sheet PM6388 Framer), # (14) Exhibit 14 (Data Sheet DS26521 Framer - excerpts), # (15) Exhibit 15 (Framer Chip Article), # (16) Exhibit 16 (Datasheet Bt8954 Framer - excerpts), # (17) Exhibit 17 (Webster's Dict. Comp. Terms - excerpts), # (18) Exhibit 18 (Data and Telecom. Dict. - excerpts), # (19) Exhibit 19 (Nintendo's Discl. of Contentions - excerpts), # (20) Exhibit 20 (Dict. Comp. and Int. Terms - excerpts))(Padmanabhan, Devan)
Jan 21, 2020 86 Brief - Opening (Exhibit 9 (Data & Comp. Tele. - excerpts)) (16)
Docket Text: OPENING BRIEF (Claim Construction) by Plaintiff Genuine Enabling Technology LLC (Attachments: # (1) Exhibit 1 (U.S. Patent No. 6,219,730), # (2) Exhibit 2 (File History of the '730 Patent), # (3) Exhibit 3 (Nintendo's Discl. of Claim Terms), # (4) Exhibit 4 (IPR2017-2065 Decision), # (5) Exhibit 5 (IPR2018-543 Decision), # (6) Exhibit 6 (IPR2018-542 Decision), # (7) Exhibit 7 (Signals and Syst. for Speech and Hearing - excerpts), # (8) Exhibit 8 (Computer Networks - excerpts), # (9) Exhibit 9 (Data & Comp. Tele. - excerpts), # (10) Exhibit 10 (Tr. of 12/13/19 Dep. of Dr. Fernald), # (11) Exhibit 11 (Tr. of 12/19/19 Dep. of Dr. Bims), # (12) Exhibit 12 (Data Sheet PM4344 Framer), # (13) Exhibit 13 (Data Sheet PM6388 Framer), # (14) Exhibit 14 (Data Sheet DS26521 Framer - excerpts), # (15) Exhibit 15 (Framer Chip Article), # (16) Exhibit 16 (Datasheet Bt8954 Framer - excerpts), # (17) Exhibit 17 (Webster's Dict. Comp. Terms - excerpts), # (18) Exhibit 18 (Data and Telecom. Dict. - excerpts), # (19) Exhibit 19 (Nintendo's Discl. of Contentions - excerpts), # (20) Exhibit 20 (Dict. Comp. and Int. Terms - excerpts))(Padmanabhan, Devan)
Jan 21, 2020 86 Brief - Opening (Exhibit 10 (Tr. of 12/13/19 Dep. of Dr. Fernald)) (30)
Docket Text: OPENING BRIEF (Claim Construction) by Plaintiff Genuine Enabling Technology LLC (Attachments: # (1) Exhibit 1 (U.S. Patent No. 6,219,730), # (2) Exhibit 2 (File History of the '730 Patent), # (3) Exhibit 3 (Nintendo's Discl. of Claim Terms), # (4) Exhibit 4 (IPR2017-2065 Decision), # (5) Exhibit 5 (IPR2018-543 Decision), # (6) Exhibit 6 (IPR2018-542 Decision), # (7) Exhibit 7 (Signals and Syst. for Speech and Hearing - excerpts), # (8) Exhibit 8 (Computer Networks - excerpts), # (9) Exhibit 9 (Data & Comp. Tele. - excerpts), # (10) Exhibit 10 (Tr. of 12/13/19 Dep. of Dr. Fernald), # (11) Exhibit 11 (Tr. of 12/19/19 Dep. of Dr. Bims), # (12) Exhibit 12 (Data Sheet PM4344 Framer), # (13) Exhibit 13 (Data Sheet PM6388 Framer), # (14) Exhibit 14 (Data Sheet DS26521 Framer - excerpts), # (15) Exhibit 15 (Framer Chip Article), # (16) Exhibit 16 (Datasheet Bt8954 Framer - excerpts), # (17) Exhibit 17 (Webster's Dict. Comp. Terms - excerpts), # (18) Exhibit 18 (Data and Telecom. Dict. - excerpts), # (19) Exhibit 19 (Nintendo's Discl. of Contentions - excerpts), # (20) Exhibit 20 (Dict. Comp. and Int. Terms - excerpts))(Padmanabhan, Devan)
Jan 21, 2020 86 Brief - Opening (Exhibit 11 (Tr. of 12/19/19 Dep. of Dr. Bims)) (30)
Docket Text: OPENING BRIEF (Claim Construction) by Plaintiff Genuine Enabling Technology LLC (Attachments: # (1) Exhibit 1 (U.S. Patent No. 6,219,730), # (2) Exhibit 2 (File History of the '730 Patent), # (3) Exhibit 3 (Nintendo's Discl. of Claim Terms), # (4) Exhibit 4 (IPR2017-2065 Decision), # (5) Exhibit 5 (IPR2018-543 Decision), # (6) Exhibit 6 (IPR2018-542 Decision), # (7) Exhibit 7 (Signals and Syst. for Speech and Hearing - excerpts), # (8) Exhibit 8 (Computer Networks - excerpts), # (9) Exhibit 9 (Data & Comp. Tele. - excerpts), # (10) Exhibit 10 (Tr. of 12/13/19 Dep. of Dr. Fernald), # (11) Exhibit 11 (Tr. of 12/19/19 Dep. of Dr. Bims), # (12) Exhibit 12 (Data Sheet PM4344 Framer), # (13) Exhibit 13 (Data Sheet PM6388 Framer), # (14) Exhibit 14 (Data Sheet DS26521 Framer - excerpts), # (15) Exhibit 15 (Framer Chip Article), # (16) Exhibit 16 (Datasheet Bt8954 Framer - excerpts), # (17) Exhibit 17 (Webster's Dict. Comp. Terms - excerpts), # (18) Exhibit 18 (Data and Telecom. Dict. - excerpts), # (19) Exhibit 19 (Nintendo's Discl. of Contentions - excerpts), # (20) Exhibit 20 (Dict. Comp. and Int. Terms - excerpts))(Padmanabhan, Devan)
Jan 21, 2020 86 Brief - Opening (Exhibit 12 (Data Sheet PM4344 Framer)) (4)
Docket Text: OPENING BRIEF (Claim Construction) by Plaintiff Genuine Enabling Technology LLC (Attachments: # (1) Exhibit 1 (U.S. Patent No. 6,219,730), # (2) Exhibit 2 (File History of the '730 Patent), # (3) Exhibit 3 (Nintendo's Discl. of Claim Terms), # (4) Exhibit 4 (IPR2017-2065 Decision), # (5) Exhibit 5 (IPR2018-543 Decision), # (6) Exhibit 6 (IPR2018-542 Decision), # (7) Exhibit 7 (Signals and Syst. for Speech and Hearing - excerpts), # (8) Exhibit 8 (Computer Networks - excerpts), # (9) Exhibit 9 (Data & Comp. Tele. - excerpts), # (10) Exhibit 10 (Tr. of 12/13/19 Dep. of Dr. Fernald), # (11) Exhibit 11 (Tr. of 12/19/19 Dep. of Dr. Bims), # (12) Exhibit 12 (Data Sheet PM4344 Framer), # (13) Exhibit 13 (Data Sheet PM6388 Framer), # (14) Exhibit 14 (Data Sheet DS26521 Framer - excerpts), # (15) Exhibit 15 (Framer Chip Article), # (16) Exhibit 16 (Datasheet Bt8954 Framer - excerpts), # (17) Exhibit 17 (Webster's Dict. Comp. Terms - excerpts), # (18) Exhibit 18 (Data and Telecom. Dict. - excerpts), # (19) Exhibit 19 (Nintendo's Discl. of Contentions - excerpts), # (20) Exhibit 20 (Dict. Comp. and Int. Terms - excerpts))(Padmanabhan, Devan)
Jan 21, 2020 86 Brief - Opening (Exhibit 13 (Data Sheet PM6388 Framer)) (4)
Docket Text: OPENING BRIEF (Claim Construction) by Plaintiff Genuine Enabling Technology LLC (Attachments: # (1) Exhibit 1 (U.S. Patent No. 6,219,730), # (2) Exhibit 2 (File History of the '730 Patent), # (3) Exhibit 3 (Nintendo's Discl. of Claim Terms), # (4) Exhibit 4 (IPR2017-2065 Decision), # (5) Exhibit 5 (IPR2018-543 Decision), # (6) Exhibit 6 (IPR2018-542 Decision), # (7) Exhibit 7 (Signals and Syst. for Speech and Hearing - excerpts), # (8) Exhibit 8 (Computer Networks - excerpts), # (9) Exhibit 9 (Data & Comp. Tele. - excerpts), # (10) Exhibit 10 (Tr. of 12/13/19 Dep. of Dr. Fernald), # (11) Exhibit 11 (Tr. of 12/19/19 Dep. of Dr. Bims), # (12) Exhibit 12 (Data Sheet PM4344 Framer), # (13) Exhibit 13 (Data Sheet PM6388 Framer), # (14) Exhibit 14 (Data Sheet DS26521 Framer - excerpts), # (15) Exhibit 15 (Framer Chip Article), # (16) Exhibit 16 (Datasheet Bt8954 Framer - excerpts), # (17) Exhibit 17 (Webster's Dict. Comp. Terms - excerpts), # (18) Exhibit 18 (Data and Telecom. Dict. - excerpts), # (19) Exhibit 19 (Nintendo's Discl. of Contentions - excerpts), # (20) Exhibit 20 (Dict. Comp. and Int. Terms - excerpts))(Padmanabhan, Devan)
Jan 21, 2020 86 Brief - Opening (Exhibit 14 (Data Sheet DS26521 Framer - excerpts)) (10)
Docket Text: OPENING BRIEF (Claim Construction) by Plaintiff Genuine Enabling Technology LLC (Attachments: # (1) Exhibit 1 (U.S. Patent No. 6,219,730), # (2) Exhibit 2 (File History of the '730 Patent), # (3) Exhibit 3 (Nintendo's Discl. of Claim Terms), # (4) Exhibit 4 (IPR2017-2065 Decision), # (5) Exhibit 5 (IPR2018-543 Decision), # (6) Exhibit 6 (IPR2018-542 Decision), # (7) Exhibit 7 (Signals and Syst. for Speech and Hearing - excerpts), # (8) Exhibit 8 (Computer Networks - excerpts), # (9) Exhibit 9 (Data & Comp. Tele. - excerpts), # (10) Exhibit 10 (Tr. of 12/13/19 Dep. of Dr. Fernald), # (11) Exhibit 11 (Tr. of 12/19/19 Dep. of Dr. Bims), # (12) Exhibit 12 (Data Sheet PM4344 Framer), # (13) Exhibit 13 (Data Sheet PM6388 Framer), # (14) Exhibit 14 (Data Sheet DS26521 Framer - excerpts), # (15) Exhibit 15 (Framer Chip Article), # (16) Exhibit 16 (Datasheet Bt8954 Framer - excerpts), # (17) Exhibit 17 (Webster's Dict. Comp. Terms - excerpts), # (18) Exhibit 18 (Data and Telecom. Dict. - excerpts), # (19) Exhibit 19 (Nintendo's Discl. of Contentions - excerpts), # (20) Exhibit 20 (Dict. Comp. and Int. Terms - excerpts))(Padmanabhan, Devan)
Jan 21, 2020 86 Brief - Opening (Exhibit 15 (Framer Chip Article)) (17)
Docket Text: OPENING BRIEF (Claim Construction) by Plaintiff Genuine Enabling Technology LLC (Attachments: # (1) Exhibit 1 (U.S. Patent No. 6,219,730), # (2) Exhibit 2 (File History of the '730 Patent), # (3) Exhibit 3 (Nintendo's Discl. of Claim Terms), # (4) Exhibit 4 (IPR2017-2065 Decision), # (5) Exhibit 5 (IPR2018-543 Decision), # (6) Exhibit 6 (IPR2018-542 Decision), # (7) Exhibit 7 (Signals and Syst. for Speech and Hearing - excerpts), # (8) Exhibit 8 (Computer Networks - excerpts), # (9) Exhibit 9 (Data & Comp. Tele. - excerpts), # (10) Exhibit 10 (Tr. of 12/13/19 Dep. of Dr. Fernald), # (11) Exhibit 11 (Tr. of 12/19/19 Dep. of Dr. Bims), # (12) Exhibit 12 (Data Sheet PM4344 Framer), # (13) Exhibit 13 (Data Sheet PM6388 Framer), # (14) Exhibit 14 (Data Sheet DS26521 Framer - excerpts), # (15) Exhibit 15 (Framer Chip Article), # (16) Exhibit 16 (Datasheet Bt8954 Framer - excerpts), # (17) Exhibit 17 (Webster's Dict. Comp. Terms - excerpts), # (18) Exhibit 18 (Data and Telecom. Dict. - excerpts), # (19) Exhibit 19 (Nintendo's Discl. of Contentions - excerpts), # (20) Exhibit 20 (Dict. Comp. and Int. Terms - excerpts))(Padmanabhan, Devan)
Jan 21, 2020 86 Brief - Opening (Exhibit 16 (Datasheet Bt8954 Framer - excerpts)) (10)
Docket Text: OPENING BRIEF (Claim Construction) by Plaintiff Genuine Enabling Technology LLC (Attachments: # (1) Exhibit 1 (U.S. Patent No. 6,219,730), # (2) Exhibit 2 (File History of the '730 Patent), # (3) Exhibit 3 (Nintendo's Discl. of Claim Terms), # (4) Exhibit 4 (IPR2017-2065 Decision), # (5) Exhibit 5 (IPR2018-543 Decision), # (6) Exhibit 6 (IPR2018-542 Decision), # (7) Exhibit 7 (Signals and Syst. for Speech and Hearing - excerpts), # (8) Exhibit 8 (Computer Networks - excerpts), # (9) Exhibit 9 (Data & Comp. Tele. - excerpts), # (10) Exhibit 10 (Tr. of 12/13/19 Dep. of Dr. Fernald), # (11) Exhibit 11 (Tr. of 12/19/19 Dep. of Dr. Bims), # (12) Exhibit 12 (Data Sheet PM4344 Framer), # (13) Exhibit 13 (Data Sheet PM6388 Framer), # (14) Exhibit 14 (Data Sheet DS26521 Framer - excerpts), # (15) Exhibit 15 (Framer Chip Article), # (16) Exhibit 16 (Datasheet Bt8954 Framer - excerpts), # (17) Exhibit 17 (Webster's Dict. Comp. Terms - excerpts), # (18) Exhibit 18 (Data and Telecom. Dict. - excerpts), # (19) Exhibit 19 (Nintendo's Discl. of Contentions - excerpts), # (20) Exhibit 20 (Dict. Comp. and Int. Terms - excerpts))(Padmanabhan, Devan)
Jan 21, 2020 86 Brief - Opening (Exhibit 17 (Webster's Dict. Comp. Terms - excerpts)) (6)
Docket Text: OPENING BRIEF (Claim Construction) by Plaintiff Genuine Enabling Technology LLC (Attachments: # (1) Exhibit 1 (U.S. Patent No. 6,219,730), # (2) Exhibit 2 (File History of the '730 Patent), # (3) Exhibit 3 (Nintendo's Discl. of Claim Terms), # (4) Exhibit 4 (IPR2017-2065 Decision), # (5) Exhibit 5 (IPR2018-543 Decision), # (6) Exhibit 6 (IPR2018-542 Decision), # (7) Exhibit 7 (Signals and Syst. for Speech and Hearing - excerpts), # (8) Exhibit 8 (Computer Networks - excerpts), # (9) Exhibit 9 (Data & Comp. Tele. - excerpts), # (10) Exhibit 10 (Tr. of 12/13/19 Dep. of Dr. Fernald), # (11) Exhibit 11 (Tr. of 12/19/19 Dep. of Dr. Bims), # (12) Exhibit 12 (Data Sheet PM4344 Framer), # (13) Exhibit 13 (Data Sheet PM6388 Framer), # (14) Exhibit 14 (Data Sheet DS26521 Framer - excerpts), # (15) Exhibit 15 (Framer Chip Article), # (16) Exhibit 16 (Datasheet Bt8954 Framer - excerpts), # (17) Exhibit 17 (Webster's Dict. Comp. Terms - excerpts), # (18) Exhibit 18 (Data and Telecom. Dict. - excerpts), # (19) Exhibit 19 (Nintendo's Discl. of Contentions - excerpts), # (20) Exhibit 20 (Dict. Comp. and Int. Terms - excerpts))(Padmanabhan, Devan)
Jan 21, 2020 86 Brief - Opening (Exhibit 18 (Data and Telecom. Dict. - excerpts)) (6)
Docket Text: OPENING BRIEF (Claim Construction) by Plaintiff Genuine Enabling Technology LLC (Attachments: # (1) Exhibit 1 (U.S. Patent No. 6,219,730), # (2) Exhibit 2 (File History of the '730 Patent), # (3) Exhibit 3 (Nintendo's Discl. of Claim Terms), # (4) Exhibit 4 (IPR2017-2065 Decision), # (5) Exhibit 5 (IPR2018-543 Decision), # (6) Exhibit 6 (IPR2018-542 Decision), # (7) Exhibit 7 (Signals and Syst. for Speech and Hearing - excerpts), # (8) Exhibit 8 (Computer Networks - excerpts), # (9) Exhibit 9 (Data & Comp. Tele. - excerpts), # (10) Exhibit 10 (Tr. of 12/13/19 Dep. of Dr. Fernald), # (11) Exhibit 11 (Tr. of 12/19/19 Dep. of Dr. Bims), # (12) Exhibit 12 (Data Sheet PM4344 Framer), # (13) Exhibit 13 (Data Sheet PM6388 Framer), # (14) Exhibit 14 (Data Sheet DS26521 Framer - excerpts), # (15) Exhibit 15 (Framer Chip Article), # (16) Exhibit 16 (Datasheet Bt8954 Framer - excerpts), # (17) Exhibit 17 (Webster's Dict. Comp. Terms - excerpts), # (18) Exhibit 18 (Data and Telecom. Dict. - excerpts), # (19) Exhibit 19 (Nintendo's Discl. of Contentions - excerpts), # (20) Exhibit 20 (Dict. Comp. and Int. Terms - excerpts))(Padmanabhan, Devan)
Jan 21, 2020 86 Brief - Opening (Exhibit 19 (Nintendo's Discl. of Contentions - excerpts)) (7)
Docket Text: OPENING BRIEF (Claim Construction) by Plaintiff Genuine Enabling Technology LLC (Attachments: # (1) Exhibit 1 (U.S. Patent No. 6,219,730), # (2) Exhibit 2 (File History of the '730 Patent), # (3) Exhibit 3 (Nintendo's Discl. of Claim Terms), # (4) Exhibit 4 (IPR2017-2065 Decision), # (5) Exhibit 5 (IPR2018-543 Decision), # (6) Exhibit 6 (IPR2018-542 Decision), # (7) Exhibit 7 (Signals and Syst. for Speech and Hearing - excerpts), # (8) Exhibit 8 (Computer Networks - excerpts), # (9) Exhibit 9 (Data & Comp. Tele. - excerpts), # (10) Exhibit 10 (Tr. of 12/13/19 Dep. of Dr. Fernald), # (11) Exhibit 11 (Tr. of 12/19/19 Dep. of Dr. Bims), # (12) Exhibit 12 (Data Sheet PM4344 Framer), # (13) Exhibit 13 (Data Sheet PM6388 Framer), # (14) Exhibit 14 (Data Sheet DS26521 Framer - excerpts), # (15) Exhibit 15 (Framer Chip Article), # (16) Exhibit 16 (Datasheet Bt8954 Framer - excerpts), # (17) Exhibit 17 (Webster's Dict. Comp. Terms - excerpts), # (18) Exhibit 18 (Data and Telecom. Dict. - excerpts), # (19) Exhibit 19 (Nintendo's Discl. of Contentions - excerpts), # (20) Exhibit 20 (Dict. Comp. and Int. Terms - excerpts))(Padmanabhan, Devan)
Jan 21, 2020 86 Brief - Opening (Exhibit 20 (Dict. Comp. and Int. Terms - excerpts)) (6)
Docket Text: OPENING BRIEF (Claim Construction) by Plaintiff Genuine Enabling Technology LLC (Attachments: # (1) Exhibit 1 (U.S. Patent No. 6,219,730), # (2) Exhibit 2 (File History of the '730 Patent), # (3) Exhibit 3 (Nintendo's Discl. of Claim Terms), # (4) Exhibit 4 (IPR2017-2065 Decision), # (5) Exhibit 5 (IPR2018-543 Decision), # (6) Exhibit 6 (IPR2018-542 Decision), # (7) Exhibit 7 (Signals and Syst. for Speech and Hearing - excerpts), # (8) Exhibit 8 (Computer Networks - excerpts), # (9) Exhibit 9 (Data & Comp. Tele. - excerpts), # (10) Exhibit 10 (Tr. of 12/13/19 Dep. of Dr. Fernald), # (11) Exhibit 11 (Tr. of 12/19/19 Dep. of Dr. Bims), # (12) Exhibit 12 (Data Sheet PM4344 Framer), # (13) Exhibit 13 (Data Sheet PM6388 Framer), # (14) Exhibit 14 (Data Sheet DS26521 Framer - excerpts), # (15) Exhibit 15 (Framer Chip Article), # (16) Exhibit 16 (Datasheet Bt8954 Framer - excerpts), # (17) Exhibit 17 (Webster's Dict. Comp. Terms - excerpts), # (18) Exhibit 18 (Data and Telecom. Dict. - excerpts), # (19) Exhibit 19 (Nintendo's Discl. of Contentions - excerpts), # (20) Exhibit 20 (Dict. Comp. and Int. Terms - excerpts))(Padmanabhan, Devan)
Jan 6, 2020 84 Notice-Other (20)
Jan 6, 2020 84 Appendix A - LPR 132(b) Chart (240)
Jan 6, 2020 84 Appendix B - Declaration of Dr. Harry Bims (34)
Jan 6, 2020 84 Appendix C - Rebuttal Declaration of Dr. Bims (7)
Jan 6, 2020 84 Appendix D - Curriculum Vitae - Dr. Bims (37)
Jan 6, 2020 84 Appendix E - Declaration of Dr. Howard Chizeck (15)
Jan 6, 2020 84 Appendix F - Curriculum Vitae - Dr. Chizeck (16)
Jan 6, 2020 84 Appendix G - Declaration of Dr. Kenneth Fernald (12)
Jan 6, 2020 84 Appendix H - Rebuttal Declaration of Dr. Fernald (9)
Jan 6, 2020 84 Notice-Other () (20)
Docket Text: NOTICE (Joint Claim Construction and Prehearing Statement) ; filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. (Attachments: # (1) Appendix A - LPR 132(b) Chart, # (2) Appendix B - Declaration of Dr. Harry Bims, # (3) Appendix C - Rebuttal Declaration of Dr. Bims, # (4) Appendix D - Curriculum Vitae - Dr. Bims, # (5) Appendix E - Declaration of Dr. Howard Chizeck, # (6) Appendix F - Curriculum Vitae - Dr. Chizeck, # (7) Appendix G - Declaration of Dr. Kenneth Fernald, # (8) Appendix H - Rebuttal Declaration of Dr. Fernald)(Zeck, Kevin)
Jan 6, 2020 84 Notice-Other (Appendix A - LPR 132(b) Chart) (30)
Docket Text: NOTICE (Joint Claim Construction and Prehearing Statement) ; filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. (Attachments: # (1) Appendix A - LPR 132(b) Chart, # (2) Appendix B - Declaration of Dr. Harry Bims, # (3) Appendix C - Rebuttal Declaration of Dr. Bims, # (4) Appendix D - Curriculum Vitae - Dr. Bims, # (5) Appendix E - Declaration of Dr. Howard Chizeck, # (6) Appendix F - Curriculum Vitae - Dr. Chizeck, # (7) Appendix G - Declaration of Dr. Kenneth Fernald, # (8) Appendix H - Rebuttal Declaration of Dr. Fernald)(Zeck, Kevin)
Jan 6, 2020 84 Notice-Other (Appendix B - Declaration of Dr. Harry Bims) (30)
Docket Text: NOTICE (Joint Claim Construction and Prehearing Statement) ; filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. (Attachments: # (1) Appendix A - LPR 132(b) Chart, # (2) Appendix B - Declaration of Dr. Harry Bims, # (3) Appendix C - Rebuttal Declaration of Dr. Bims, # (4) Appendix D - Curriculum Vitae - Dr. Bims, # (5) Appendix E - Declaration of Dr. Howard Chizeck, # (6) Appendix F - Curriculum Vitae - Dr. Chizeck, # (7) Appendix G - Declaration of Dr. Kenneth Fernald, # (8) Appendix H - Rebuttal Declaration of Dr. Fernald)(Zeck, Kevin)
Jan 6, 2020 84 Notice-Other (Appendix C - Rebuttal Declaration of Dr. Bims) (7)
Docket Text: NOTICE (Joint Claim Construction and Prehearing Statement) ; filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. (Attachments: # (1) Appendix A - LPR 132(b) Chart, # (2) Appendix B - Declaration of Dr. Harry Bims, # (3) Appendix C - Rebuttal Declaration of Dr. Bims, # (4) Appendix D - Curriculum Vitae - Dr. Bims, # (5) Appendix E - Declaration of Dr. Howard Chizeck, # (6) Appendix F - Curriculum Vitae - Dr. Chizeck, # (7) Appendix G - Declaration of Dr. Kenneth Fernald, # (8) Appendix H - Rebuttal Declaration of Dr. Fernald)(Zeck, Kevin)
Jan 6, 2020 84 Notice-Other (Appendix D - Curriculum Vitae - Dr. Bims) (30)
Docket Text: NOTICE (Joint Claim Construction and Prehearing Statement) ; filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. (Attachments: # (1) Appendix A - LPR 132(b) Chart, # (2) Appendix B - Declaration of Dr. Harry Bims, # (3) Appendix C - Rebuttal Declaration of Dr. Bims, # (4) Appendix D - Curriculum Vitae - Dr. Bims, # (5) Appendix E - Declaration of Dr. Howard Chizeck, # (6) Appendix F - Curriculum Vitae - Dr. Chizeck, # (7) Appendix G - Declaration of Dr. Kenneth Fernald, # (8) Appendix H - Rebuttal Declaration of Dr. Fernald)(Zeck, Kevin)
Jan 6, 2020 84 Notice-Other (Appendix E - Declaration of Dr. Howard Chizeck) (15)
Docket Text: NOTICE (Joint Claim Construction and Prehearing Statement) ; filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. (Attachments: # (1) Appendix A - LPR 132(b) Chart, # (2) Appendix B - Declaration of Dr. Harry Bims, # (3) Appendix C - Rebuttal Declaration of Dr. Bims, # (4) Appendix D - Curriculum Vitae - Dr. Bims, # (5) Appendix E - Declaration of Dr. Howard Chizeck, # (6) Appendix F - Curriculum Vitae - Dr. Chizeck, # (7) Appendix G - Declaration of Dr. Kenneth Fernald, # (8) Appendix H - Rebuttal Declaration of Dr. Fernald)(Zeck, Kevin)
Jan 6, 2020 84 Notice-Other (Appendix F - Curriculum Vitae - Dr. Chizeck) (16)
Docket Text: NOTICE (Joint Claim Construction and Prehearing Statement) ; filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. (Attachments: # (1) Appendix A - LPR 132(b) Chart, # (2) Appendix B - Declaration of Dr. Harry Bims, # (3) Appendix C - Rebuttal Declaration of Dr. Bims, # (4) Appendix D - Curriculum Vitae - Dr. Bims, # (5) Appendix E - Declaration of Dr. Howard Chizeck, # (6) Appendix F - Curriculum Vitae - Dr. Chizeck, # (7) Appendix G - Declaration of Dr. Kenneth Fernald, # (8) Appendix H - Rebuttal Declaration of Dr. Fernald)(Zeck, Kevin)
Jan 6, 2020 84 Notice-Other (Appendix G - Declaration of Dr. Kenneth Fernald) (12)
Docket Text: NOTICE (Joint Claim Construction and Prehearing Statement) ; filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. (Attachments: # (1) Appendix A - LPR 132(b) Chart, # (2) Appendix B - Declaration of Dr. Harry Bims, # (3) Appendix C - Rebuttal Declaration of Dr. Bims, # (4) Appendix D - Curriculum Vitae - Dr. Bims, # (5) Appendix E - Declaration of Dr. Howard Chizeck, # (6) Appendix F - Curriculum Vitae - Dr. Chizeck, # (7) Appendix G - Declaration of Dr. Kenneth Fernald, # (8) Appendix H - Rebuttal Declaration of Dr. Fernald)(Zeck, Kevin)
Jan 6, 2020 84 Notice-Other (Appendix H - Rebuttal Declaration of Dr. Fernald) (9)
Docket Text: NOTICE (Joint Claim Construction and Prehearing Statement) ; filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. (Attachments: # (1) Appendix A - LPR 132(b) Chart, # (2) Appendix B - Declaration of Dr. Harry Bims, # (3) Appendix C - Rebuttal Declaration of Dr. Bims, # (4) Appendix D - Curriculum Vitae - Dr. Bims, # (5) Appendix E - Declaration of Dr. Howard Chizeck, # (6) Appendix F - Curriculum Vitae - Dr. Chizeck, # (7) Appendix G - Declaration of Dr. Kenneth Fernald, # (8) Appendix H - Rebuttal Declaration of Dr. Fernald)(Zeck, Kevin)
Dec 27, 2019 83 Notice-Other (4)
Docket Text: NOTICE Regarding Live Testimony At Claim Construction Hearing ; filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. (Zeck, Kevin)
Aug 19, 2019 82 Protective Order (27)
Docket Text: STIPULATED PROTECTIVE ORDER re parties' [81] Stipulated MOTION for Protective Order. Signed by Judge Ricardo S. Martinez. (PM)
Aug 15, 2019 81 Stipulated Motion () (27)
Docket Text: Stipulated MOTION for Protective Order, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. (Attachments: # (1) Exhibit B - Redline of Stipulated Protective Order Against Model Protective Order) Noting Date 8/15/2019, (Zeck, Kevin)
Aug 15, 2019 81 Stipulated Motion (Exhibit B - Redline of Stipulated Protective Order Against Model Protective Orde) (30)
Docket Text: Stipulated MOTION for Protective Order, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. (Attachments: # (1) Exhibit B - Redline of Stipulated Protective Order Against Model Protective Order) Noting Date 8/15/2019, (Zeck, Kevin)
Aug 12, 2019 80 Order on Motion for Miscellaneous Relief (13)
Docket Text: ORDER denying Defendants' [71] Motion to Partially Strike Plaintiff's Infringement Contentions. Signed by Judge Ricardo S. Martinez. (PM)
Jul 11, 2019 79 Order on Stipulated Motion (3)
Docket Text: ORDER denying parties' [78] Stipulated Motion for Protective Order. Signed by Judge Ricardo S. Martinez. (PM)
Jul 8, 2019 78 Stipulated Motion () (5)
Docket Text: Stipulated MOTION , filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. (Attachments: # (1) Proposed Order Exhibit 1 - Proposed Stipulated Protective Order, # (2) Exhibit 2 - Redline Comparison to Model Protective Order, # (3) Proposed Order Granting Stipulated Motion) Noting Date 7/8/2019, (Riedinger, Jerry)
Jul 8, 2019 78 Stipulated Motion (Proposed Order Exhibit 1 - Proposed Stipulated Protective Order) (25)
Docket Text: Stipulated MOTION , filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. (Attachments: # (1) Proposed Order Exhibit 1 - Proposed Stipulated Protective Order, # (2) Exhibit 2 - Redline Comparison to Model Protective Order, # (3) Proposed Order Granting Stipulated Motion) Noting Date 7/8/2019, (Riedinger, Jerry)
Jul 8, 2019 78 Stipulated Motion (Exhibit 2 - Redline Comparison to Model Protective Order) (27)
Docket Text: Stipulated MOTION , filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. (Attachments: # (1) Proposed Order Exhibit 1 - Proposed Stipulated Protective Order, # (2) Exhibit 2 - Redline Comparison to Model Protective Order, # (3) Proposed Order Granting Stipulated Motion) Noting Date 7/8/2019, (Riedinger, Jerry)
Jul 8, 2019 78 Stipulated Motion (Proposed Order Granting Stipulated Motion) (4)
Docket Text: Stipulated MOTION , filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. (Attachments: # (1) Proposed Order Exhibit 1 - Proposed Stipulated Protective Order, # (2) Exhibit 2 - Redline Comparison to Model Protective Order, # (3) Proposed Order Granting Stipulated Motion) Noting Date 7/8/2019, (Riedinger, Jerry)
Jun 28, 2019 76 Reply to Response to Motion (10)
Docket Text: REPLY, filed by Defendants Nintendo Co Ltd, Nintendo of America Inc, TO RESPONSE to [71] MOTION TO PARTIALLY STRIKE INFRINGEMENT CONTENTIONS (McFarland, Jonathan)
Jun 28, 2019 77 Declaration (3)
Jun 28, 2019 77 Exhibit 5 - Photos from Ifixit.com (2)
Jun 28, 2019 77 Exhibit 6 - MIC-A2 User Manual (9)
Jun 28, 2019 77 Exhibit 7 - Excerpts - Nintendo Invalidity Contentions (18)
Jun 28, 2019 77 Exhibit 8 - Excerpts - GET Preliminary Response - PTAB Case No. IPR2018-00543 (11)
Jun 28, 2019 77 Exhibit 9 - Excerpts - GET Preliminary Response - PTAB Case No. IPR2018-00542 (7)
Jun 28, 2019 77 Declaration () (3)
Docket Text: DECLARATION of Kevin A. Zeck in Support of Reply Brief on Motion to Partially Strike Infringement Contentions filed by Defendants Nintendo Co Ltd, Nintendo of America Inc re [71] MOTION TO PARTIALLY STRIKE INFRINGEMENT CONTENTIONS (Attachments: # (1) Exhibit 5 - Photos from Ifixit.com, # (2) Exhibit 6 - MIC-A2 User Manual, # (3) Exhibit 7 - Excerpts - Nintendo Invalidity Contentions, # (4) Exhibit 8 - Excerpts - GET Preliminary Response - PTAB Case No. IPR2018-00543, # (5) Exhibit 9 - Excerpts - GET Preliminary Response - PTAB Case No. IPR2018-00542)(McFarland, Jonathan)
Jun 28, 2019 77 Declaration (Exhibit 5 - Photos from Ifixit.com) (2)
Docket Text: DECLARATION of Kevin A. Zeck in Support of Reply Brief on Motion to Partially Strike Infringement Contentions filed by Defendants Nintendo Co Ltd, Nintendo of America Inc re [71] MOTION TO PARTIALLY STRIKE INFRINGEMENT CONTENTIONS (Attachments: # (1) Exhibit 5 - Photos from Ifixit.com, # (2) Exhibit 6 - MIC-A2 User Manual, # (3) Exhibit 7 - Excerpts - Nintendo Invalidity Contentions, # (4) Exhibit 8 - Excerpts - GET Preliminary Response - PTAB Case No. IPR2018-00543, # (5) Exhibit 9 - Excerpts - GET Preliminary Response - PTAB Case No. IPR2018-00542)(McFarland, Jonathan)
Jun 28, 2019 77 Declaration (Exhibit 6 - MIC-A2 User Manual) (9)
Docket Text: DECLARATION of Kevin A. Zeck in Support of Reply Brief on Motion to Partially Strike Infringement Contentions filed by Defendants Nintendo Co Ltd, Nintendo of America Inc re [71] MOTION TO PARTIALLY STRIKE INFRINGEMENT CONTENTIONS (Attachments: # (1) Exhibit 5 - Photos from Ifixit.com, # (2) Exhibit 6 - MIC-A2 User Manual, # (3) Exhibit 7 - Excerpts - Nintendo Invalidity Contentions, # (4) Exhibit 8 - Excerpts - GET Preliminary Response - PTAB Case No. IPR2018-00543, # (5) Exhibit 9 - Excerpts - GET Preliminary Response - PTAB Case No. IPR2018-00542)(McFarland, Jonathan)
Jun 28, 2019 77 Declaration (Exhibit 7 - Excerpts - Nintendo Invalidity Contentions) (18)
Docket Text: DECLARATION of Kevin A. Zeck in Support of Reply Brief on Motion to Partially Strike Infringement Contentions filed by Defendants Nintendo Co Ltd, Nintendo of America Inc re [71] MOTION TO PARTIALLY STRIKE INFRINGEMENT CONTENTIONS (Attachments: # (1) Exhibit 5 - Photos from Ifixit.com, # (2) Exhibit 6 - MIC-A2 User Manual, # (3) Exhibit 7 - Excerpts - Nintendo Invalidity Contentions, # (4) Exhibit 8 - Excerpts - GET Preliminary Response - PTAB Case No. IPR2018-00543, # (5) Exhibit 9 - Excerpts - GET Preliminary Response - PTAB Case No. IPR2018-00542)(McFarland, Jonathan)
Jun 28, 2019 77 Declaration (Exhibit 8 - Excerpts - GET Preliminary Response - PTAB Case No. IPR2018-00543) (11)
Docket Text: DECLARATION of Kevin A. Zeck in Support of Reply Brief on Motion to Partially Strike Infringement Contentions filed by Defendants Nintendo Co Ltd, Nintendo of America Inc re [71] MOTION TO PARTIALLY STRIKE INFRINGEMENT CONTENTIONS (Attachments: # (1) Exhibit 5 - Photos from Ifixit.com, # (2) Exhibit 6 - MIC-A2 User Manual, # (3) Exhibit 7 - Excerpts - Nintendo Invalidity Contentions, # (4) Exhibit 8 - Excerpts - GET Preliminary Response - PTAB Case No. IPR2018-00543, # (5) Exhibit 9 - Excerpts - GET Preliminary Response - PTAB Case No. IPR2018-00542)(McFarland, Jonathan)
Jun 28, 2019 77 Declaration (Exhibit 9 - Excerpts - GET Preliminary Response - PTAB Case No. IPR2018-00542) (7)
Docket Text: DECLARATION of Kevin A. Zeck in Support of Reply Brief on Motion to Partially Strike Infringement Contentions filed by Defendants Nintendo Co Ltd, Nintendo of America Inc re [71] MOTION TO PARTIALLY STRIKE INFRINGEMENT CONTENTIONS (Attachments: # (1) Exhibit 5 - Photos from Ifixit.com, # (2) Exhibit 6 - MIC-A2 User Manual, # (3) Exhibit 7 - Excerpts - Nintendo Invalidity Contentions, # (4) Exhibit 8 - Excerpts - GET Preliminary Response - PTAB Case No. IPR2018-00543, # (5) Exhibit 9 - Excerpts - GET Preliminary Response - PTAB Case No. IPR2018-00542)(McFarland, Jonathan)
Jun 24, 2019 74 Response to Motion (14)
Docket Text: RESPONSE, by Plaintiff Genuine Enabling Technology LLC, to [71] MOTION TO PARTIALLY STRIKE INFRINGEMENT CONTENTIONS . (Padmanabhan, Devan)
Jun 24, 2019 75 Declaration (2)
Jun 24, 2019 75 Exhibit A (29)
Jun 24, 2019 75 Exhibit B (26)
Jun 24, 2019 75 Exhibit C (77)
Jun 24, 2019 75 Exhibit D (5)
Jun 24, 2019 75 Exhibit E (4)
Jun 24, 2019 75 Declaration () (2)
Docket Text: DECLARATION of Paul J. Robbennolt filed by Plaintiff Genuine Enabling Technology LLC re [71] MOTION TO PARTIALLY STRIKE INFRINGEMENT CONTENTIONS (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E)(Padmanabhan, Devan)
Jun 24, 2019 75 Declaration (Exhibit A) (29)
Docket Text: DECLARATION of Paul J. Robbennolt filed by Plaintiff Genuine Enabling Technology LLC re [71] MOTION TO PARTIALLY STRIKE INFRINGEMENT CONTENTIONS (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E)(Padmanabhan, Devan)
Jun 24, 2019 75 Declaration (Exhibit B) (26)
Docket Text: DECLARATION of Paul J. Robbennolt filed by Plaintiff Genuine Enabling Technology LLC re [71] MOTION TO PARTIALLY STRIKE INFRINGEMENT CONTENTIONS (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E)(Padmanabhan, Devan)
Jun 24, 2019 75 Declaration (Exhibit C) (30)
Docket Text: DECLARATION of Paul J. Robbennolt filed by Plaintiff Genuine Enabling Technology LLC re [71] MOTION TO PARTIALLY STRIKE INFRINGEMENT CONTENTIONS (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E)(Padmanabhan, Devan)
Jun 24, 2019 75 Declaration (Exhibit D) (5)
Docket Text: DECLARATION of Paul J. Robbennolt filed by Plaintiff Genuine Enabling Technology LLC re [71] MOTION TO PARTIALLY STRIKE INFRINGEMENT CONTENTIONS (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E)(Padmanabhan, Devan)
Jun 24, 2019 75 Declaration (Exhibit E) (4)
Docket Text: DECLARATION of Paul J. Robbennolt filed by Plaintiff Genuine Enabling Technology LLC re [71] MOTION TO PARTIALLY STRIKE INFRINGEMENT CONTENTIONS (Attachments: # (1) Exhibit A, # (2) Exhibit B, # (3) Exhibit C, # (4) Exhibit D, # (5) Exhibit E)(Padmanabhan, Devan)
Jun 20, 2019 73 Notice of Appearance (2)
Docket Text: NOTICE of Appearance by attorney Kevin A. Zeck on behalf of Defendants Nintendo Co Ltd, Nintendo of America Inc. (Zeck, Kevin)
Jun 13, 2019 72 Declaration (3)
Jun 13, 2019 72 Exhibit 1 (2)
Jun 13, 2019 72 Exhibit 2 (15)
Jun 13, 2019 72 Exhibit 3 (9)
Jun 13, 2019 72 Exhibit 4 (12)
Jun 13, 2019 71 Motion for Miscellaneous Relief () (14)
Docket Text: MOTION TO PARTIALLY STRIKE INFRINGEMENT CONTENTIONS , filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order) Noting Date 6/28/2019, (McFarland, Jonathan)
Jun 13, 2019 71 Motion for Miscellaneous Relief (Proposed Order) (2)
Docket Text: MOTION TO PARTIALLY STRIKE INFRINGEMENT CONTENTIONS , filed by Defendants Nintendo Co Ltd, Nintendo of America Inc. Oral Argument Requested. (Attachments: # (1) Proposed Order) Noting Date 6/28/2019, (McFarland, Jonathan)
Jun 13, 2019 72 Declaration () (3)
Docket Text: DECLARATION of Jonathan McFarland filed by Defendants Nintendo Co Ltd, Nintendo of America Inc re [71] MOTION TO PARTIALLY STRIKE INFRINGEMENT CONTENTIONS (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4)(McFarland, Jonathan)
Jun 13, 2019 72 Declaration (Exhibit 1) (2)
Docket Text: DECLARATION of Jonathan McFarland filed by Defendants Nintendo Co Ltd, Nintendo of America Inc re [71] MOTION TO PARTIALLY STRIKE INFRINGEMENT CONTENTIONS (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4)(McFarland, Jonathan)
Jun 13, 2019 72 Declaration (Exhibit 2) (15)
Docket Text: DECLARATION of Jonathan McFarland filed by Defendants Nintendo Co Ltd, Nintendo of America Inc re [71] MOTION TO PARTIALLY STRIKE INFRINGEMENT CONTENTIONS (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4)(McFarland, Jonathan)
Jun 13, 2019 72 Declaration (Exhibit 3) (9)
Docket Text: DECLARATION of Jonathan McFarland filed by Defendants Nintendo Co Ltd, Nintendo of America Inc re [71] MOTION TO PARTIALLY STRIKE INFRINGEMENT CONTENTIONS (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4)(McFarland, Jonathan)
Jun 13, 2019 72 Declaration (Exhibit 4) (12)
Docket Text: DECLARATION of Jonathan McFarland filed by Defendants Nintendo Co Ltd, Nintendo of America Inc re [71] MOTION TO PARTIALLY STRIKE INFRINGEMENT CONTENTIONS (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4)(McFarland, Jonathan)
May 29, 2019 70 Order (2)
Docket Text: AMENDED ORDER SETTING TRIAL DATES AND RELATED DATES re parties' [69] Stipulation: Disclosure of Asserted Claims and Infringement Contentions under Local Patent Rule 120 by 5/27/2019, Disclosure of Non-Infringement and Invalidity Contentions under Local Patent Rule 121 by 6/26/2019, Exchange of Proposed Terms and ClaimElements for Construction under Local PatentRule 130 by 9/16/2019, Exchange of Preliminary Claim Constructions by 9/23/2019, Substantial Completion of DocumentProduction by 10/9/2019, Expert Witness Disclosure/Reports under FRCP 26(a)(2) due by 4/20/2020, Rebuttal Expert Disclosure/Reports due by 5/15/2020, Discovery completed by 5/27/2020, Discovery Motions due by 4/24/2020. Signed by Judge Ricardo S. Martinez. (SWT)
May 24, 2019 69 Stipulation (4)
May 24, 2019 69 Proposed Order (2)
May 24, 2019 69 Stipulation () (4)
Docket Text: STIPULATION AND PROPOSED ORDER To Amend Order Setting Trial Dates and Related Dates by parties (Attachments: # (1) Proposed Order)(Padmanabhan, Devan)
May 24, 2019 69 Stipulation (Proposed Order) (2)
Docket Text: STIPULATION AND PROPOSED ORDER To Amend Order Setting Trial Dates and Related Dates by parties (Attachments: # (1) Proposed Order)(Padmanabhan, Devan)
May 20, 2019 N/A Scheduling Conference (0)
Docket Text: MINUTE ENTRY for proceedings held before Judge Ricardo S. Martinez- Dep Clerk: Laurie Cuaresma; Pla Counsel: Devan Padmanabhan, Mike Matesky; Def Counsel: Jerry Riedinger, Jonathan McFarland, Kristopher Kiel; Time of Hearing: 10:00 AM; Scheduling Conference held on 5/20/2019. Parties address issues of protective order, phasing of trial, dispositive motions and total deposition time with Court. Court advises jury trial in this matter will not be bifurcated at this time, and scheduling order will be issued setting trial for late August/early September 2020. (LC)
May 20, 2019 68 Order Setting Trial Date & Related Dates (Patent) (5)
May 20, 2019 68 Order Setting Trial Date & Related Dates (Patent) (5)
Docket Text: MINUTE ORDER SETTING TRIAL DATE AND RELATED DATES by Judge Ricardo S. Martinez. Length of Trial: *5 days*. Jury Trial is set for 9/8/2020 at 09:00 AM before Judge Ricardo S. Martinez. Statement of asserted claims and preliminary infringement contentions due 9/6/2019, Statement of preliminary invalidity contentions due 9/26/2019, Reports from expert witnesses regarding Markman issues due 10/23/2019, Joinder of Parties due by 11/8/2019, Amended Pleadings due by 11/18/2019, Rebuttal expert reports regarding Markman issues due 11/26/2019, Proposed terms and Claim Elements and Preliminary Claim Chart due 12/6/2019, Joint claim chart due 1/6/2020, Opening claim construction briefs due 1/21/2020, Responsive claim construction briefs due 2/3/2020, Markman Hearing set for 2/24/2020 at 09:00 AM before Judge Ricardo S. Martinez, Expert Witness Disclosure/Reports under FRCP 26(a)(2) due by 3/13/2020, Rebuttal Expert Disclosure/Reports due by 4/13/2020, Motions due by 4/20/2020, Discovery Motions due by 4/20/2020, Discovery completed by 5/11/2020, Dispositive motions due by 6/8/2020, Attorney settlement conference to be held by 8/3/2020, 39.1 mediation to be completed by 8/11/2020, Motions in Limine due by 8/11/2020, Pretrial Order due by 8/27/2020, Trial briefs to be submitted by 9/3/2020, Proposed voir dire/jury instructions due by 9/3/2020. (LC)
May 9, 2019 N/A Set/Reset Hearings (0)
May 3, 2019 66 Joint Status Report (16)
Docket Text: JOINT STATUS REPORT signed by all parties estimated Trial Days: 5. (Matesky, Michael)
Apr 18, 2019 58 Application for Leave to Appear Pro Hac Vice (3)
Docket Text: APPLICATION OF ATTORNEY Britta S. Loftus FOR LEAVE TO APPEAR PRO HAC VICE for Plaintiff Genuine Enabling Technology LLC (Fee Paid) Receipt No. 0981-5734514 (Matesky, Michael)
Apr 18, 2019 59 Application for Leave to Appear Pro Hac Vice (3)
Docket Text: APPLICATION OF ATTORNEY Devan V. Padmanabhan FOR LEAVE TO APPEAR PRO HAC VICE for Plaintiff Genuine Enabling Technology LLC (Fee Paid) Receipt No. 0981-5734525 (Matesky, Michael)
Apr 18, 2019 60 Application for Leave to Appear Pro Hac Vice (3)
Docket Text: APPLICATION OF ATTORNEY Michelle E. Dawson FOR LEAVE TO APPEAR PRO HAC VICE for Plaintiff Genuine Enabling Technology LLC (Fee Paid) Receipt No. 0981-5734536 (Matesky, Michael)
Apr 18, 2019 61 Application for Leave to Appear Pro Hac Vice (3)
Docket Text: APPLICATION OF ATTORNEY Paul J. Robbennolt FOR LEAVE TO APPEAR PRO HAC VICE for Plaintiff Genuine Enabling Technology LLC (Fee Paid) Receipt No. 0981-5734554 (Matesky, Michael)
Apr 18, 2019 N/A Order on Application for Leave to Appear Pro Hac Vice (0)
Apr 18, 2019 N/A Order on Application for Leave to Appear Pro Hac Vice (0)
Apr 18, 2019 N/A Order on Application for Leave to Appear Pro Hac Vice (0)
Apr 18, 2019 N/A Order on Application for Leave to Appear Pro Hac Vice (0)
Mar 28, 2019 56 Application for Leave to Appear Pro Hac Vice (3)
Docket Text: APPLICATION OF ATTORNEY David R. Pekarek Krohn FOR LEAVE TO APPEAR PRO HAC VICE for Defendants Nintendo Co Ltd, Nintendo of America Inc (Fee Paid) Receipt No. 0981-5705810 (Riedinger, Jerry)
Mar 28, 2019 N/A Order on Application for Leave to Appear Pro Hac Vice (0)
Mar 25, 2019 54 Application for Leave to Appear Pro Hac Vice (3)
Docket Text: APPLICATION OF ATTORNEY Erin O Dunggan Dungan FOR LEAVE TO APPEAR PRO HAC VICE for Plaintiff Genuine Enabling Technology LLC (Fee Paid) Receipt No. 0981-5701181 (Matesky, Michael) Corrected PHV attorney name on 3/25/2019 (DS).
Mar 25, 2019 N/A Order on Application for Leave to Appear Pro Hac Vice (0)
Mar 22, 2019 52 Joint Status Report Order Form for District Judges (5)
Docket Text: ORDER REGARDING INITIAL DISCLOSURES AND JOINT STATUS REPORT Joint Status Report due by 5/3/2019, FRCP 26f Conference Deadline is 4/19/2019, Initial Disclosure Deadline is 4/26/2019, by Judge Ricardo S. Martinez. (LW)
Mar 22, 2019 53 Notice of Appearance (2)
Docket Text: NOTICE of Appearance by attorney Michael P Matesky, II on behalf of Plaintiff Genuine Enabling Technology LLC. (Matesky, Michael)
Mar 12, 2019 N/A Docket Annotation (0)
Docket Text: Clerk received phone call from attorney Andrew Russell advising that he and Karen Elizabeth Keller will not be appearing pro hac vice in this district for this case. (PM)
Mar 12, 2019 N/A Add and Terminate Attorneys (0)
Docket Text: Per counsel's phone call Attorney Christopher M. Gerson and Peter D. Shapiro terminated; re [48] Judge Assignment Letter (Removal & Transfer cases only). (TH)
Mar 11, 2019 N/A Case Transferred Out - District Transfer (0)
Docket Text: Case transferred to United States District Court for the Western District of Washington. Case transferred electronically. (ceg) [Transferred from ded on 3/11/2019.]
Mar 11, 2019 N/A Add and Terminate Judges (0)
Docket Text: Judge Ricardo S. Martinez added. (SNP)
Mar 11, 2019 N/A Docket Annotation (0)
Mar 11, 2019 47 Case Transferred In - District Transfer (8)
Mar 11, 2019 47 *Restricted* (8)
Mar 11, 2019 48 Judge Assignment Letter (Removal & Transfer cases only) (1)
Mar 11, 2019 49 Notice of Appearance (2)
Docket Text: NOTICE of Appearance by attorney Jerry A Riedinger on behalf of Defendants Nintendo Co Ltd, Nintendo of America Inc. (Riedinger, Jerry)
Mar 11, 2019 50 Notice of Appearance (2)
Docket Text: NOTICE of Appearance by attorney Jonathan L McFarland on behalf of Defendants Nintendo Co Ltd, Nintendo of America Inc. (McFarland, Jonathan)
Mar 11, 2019 51 Notice of Withdrawal of Counsel (3)
Docket Text: NOTICE OF WITHDRAWAL OF COUNSEL: Attorney Lane Polozola for Defendants Nintendo Co Ltd, Nintendo of America Inc. (Polozola, Lane)
Mar 11, 2019 47 Case Transferred In - District Transfer () (8)
Docket Text: Case transferred in from District of Delaware; Case Number 1:17-cv-00134.
Mar 11, 2019 48 Judge Assignment Letter (Removal & Transfer cases only) (1)
Docket Text: LETTER from Clerk to counsel re receipt of case from District of Delaware and advising of WAWD case number and judge assignment. (SNP)
Mar 1, 2019 46 Answer to Complaint (9)
Docket Text: ANSWER to [1] Complaint, with Jury Demand by Nintendo of America Inc..(Keller, Karen) [Transferred from ded on 3/11/2019.]
Feb 25, 2019 44 Memorandum & Opinion (16)
Feb 25, 2019 45 Order (2)
Docket Text: ORDER: "Defendant Nintendo of America Inc.'s Motion to Dismiss or Transfer Venue to the Western District of Washington Pursuant to § 1406(a)" (Doc. No. [17]) is GRANTED and this matter is to be TRANSFERRED to the United States District Court for the Western District of Washington. "Nintendo Co., Ltd.'s Motion and Nintendo of America Inc.'s Alternative Motion to Transfer Venue to the Western District of Washington" (Doc. No. [19]) is DENIED AS MOOT. Signed by Judge Mitchell S. Goldberg on 2/25/2019. (ceg) [Transferred from ded on 3/11/2019.]
Feb 25, 2019 44 Memorandum & Opinion (16)
Docket Text: MEMORANDUM OPINION. Signed by Judge Mitchell S. Goldberg on 2/25/2019. (ceg) [Transferred from ded on 3/11/2019.]
Jan 31, 2019 N/A Notice to Filer (0)
Docket Text: Pro Hac Vice Attorney William T. Hangley for Nintendo Co. Ltd. and Nintendo of America Inc. added for electronic noticing. Pursuant to Local Rule 83.5 (d)., Delaware counsel shall be the registered users of CM/ECF and shall be required to file all papers. (ddp) [Transferred from ded on 3/11/2019.]
Jan 28, 2019 43 Order on Application for Leave to Appear Pro Hac Vice (2)
Docket Text: ORDER granting D.I. [41] MOTION for Pro Hac Vice Appearance of Attorney William T. Hangley. Signed by Judge Mitchell S. Goldberg on 1/28/2019. (nmg) [Transferred from ded on 3/11/2019.]
Jan 24, 2019 41 Application for Leave to Appear Pro Hac Vice (3)
Docket Text: MOTION for Pro Hac Vice Appearance of Attorney William T. Hangley - filed by Nintendo Co. Ltd., Nintendo of America Inc.. (Russell, Andrew) [Transferred from ded on 3/11/2019.]
Jan 24, 2019 42 Letter (2)
Docket Text: Letter to The Honorable Mitchell S. Goldberg from Andrew E. Russell regarding (1) Nintendo's outstanding motions to dismiss and/or transfer (D.I. Nos. 17, 19) and (2) the case schedule recently established in Plaintiff Genuine Enabling Technology's (parallel lawsuit against Sony - re [19] MOTION to Transfer Case to [NINTENDO CO., LTD.'S MOTION AND NINTENDO OF AMERICA INC.'S ALTERNATIVE MOTION TO TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON], [17] MOTION to Dismiss Based upon [DEFENDANT NINTENDO OF AMERICA INC.'S MOTION TO DISMISS OR TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON PURSUANT TO § 1406(a)]. (Russell, Andrew) [Transferred from ded on 3/11/2019.]
Sep 24, 2018 40 Letter (1)
Docket Text: Letter to The Honorable Mitchell S. Goldberg from Karen E. Keller regarding Joint Status Report. (Keller, Karen) [Transferred from ded on 3/11/2019.]
Aug 15, 2018 39 Letter (1)
Docket Text: Letter to Counsel from Judge Goldberg regarding Delaware Case Assignments. (gvw) [Transferred from ded on 3/11/2019.]
May 3, 2018 38 Order on Application for Leave to Appear Pro Hac Vice (2)
Docket Text: ORDER granting [37] MOTION for Pro Hac Vice Appearance of Attorney Josh Calabro. Signed by Judge Mitchell S. Goldberg on 5/3/2018. (crb) [Transferred from ded on 3/11/2019.]
May 2, 2018 37 Application for Leave to Appear Pro Hac Vice () (2)
Docket Text: MOTION for Pro Hac Vice Appearance of Attorney Josh Calabro - filed by Genuine Enabling Technology LLC. (Attachments: # (1) (Certification of Josh Calabro))(Brauerman, Stephen) [Transferred from ded on 3/11/2019.]
May 2, 2018 37 Application for Leave to Appear Pro Hac Vice ((Certification of Josh Calabro)) (1)
Docket Text: MOTION for Pro Hac Vice Appearance of Attorney Josh Calabro - filed by Genuine Enabling Technology LLC. (Attachments: # (1) (Certification of Josh Calabro))(Brauerman, Stephen) [Transferred from ded on 3/11/2019.]
Oct 25, 2017 36 Letter (2)
Docket Text: Letter to The Honorable Mitchell S. Goldberg from Stephen B. Brauerman, Esquire regarding Motion to Dismiss or Transfer Venue to the Western District of Washington. (Brauerman, Stephen) [Transferred from ded on 3/11/2019.]
Sep 25, 2017 35 Notice-Other (2)
Sep 25, 2017 35 Exhibit A (21)
Sep 25, 2017 35 Notice-Other () (2)
Docket Text: NOTICE of SUBSEQUENT AUTHORITY by Nintendo of America Inc. (Attachments: # (1) Exhibit A)(Russell, Andrew) [Transferred from ded on 3/11/2019.]
Sep 25, 2017 35 Notice-Other (Exhibit A) (21)
Docket Text: NOTICE of SUBSEQUENT AUTHORITY by Nintendo of America Inc. (Attachments: # (1) Exhibit A)(Russell, Andrew) [Transferred from ded on 3/11/2019.]
Sep 19, 2017 34 Notice-Other (30)
Docket Text: NOTICE of of Subsequent Authority by Nintendo of America Inc. re [17] MOTION to Dismiss Based upon [DEFENDANT NINTENDO OF AMERICA INC.'S MOTION TO DISMISS OR TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON PURSUANT TO § 1406(a)] (Russell, Andrew) [Transferred from ded on 3/11/2019.]
Jul 27, 2017 31 Order on Motion for Leave to File (1)
Docket Text: ORDER granting [27] Motion for Leave to File; granting [30] Motion for Leave to File. The Clerk of Court shall docket Defendants' combined reply brief which is attached as "Exhibit A" to Doc. No. [27]. The Clerk shall docket Plaintiff's combined surreply which is attached as "Exhibit 1" to Doc. No. [30]. Signed by Judge Mitchell S. Goldberg on 7/27/17. (gvw) [Transferred from ded on 3/11/2019.]
Jul 27, 2017 32 Reply to Response to Motion (14)
Docket Text: COMBINED REPLY BRIEF in support of Nintendo of America Inc.'s Motion to Dismiss or Transfer [17], [31] filed by Nintendo Co. Ltd., Nintendo of America Inc.. (gvw) [Transferred from ded on 3/11/2019.]
Jul 27, 2017 33 Surreply (11)
Docket Text: SUR-REPLY BRIEF in opposition to Nintendo of America Inc.'s Motion to Dismiss or Transfer [17], [31] filed by Genuine Enabling Technology LLC. (gvw) [Transferred from ded on 3/11/2019.]
Jul 10, 2017 30 Motion for Leave to File () (2)
Docket Text: MOTION for Leave to File /Plaintiff's Motion for Leave to File Combined Surreply in Opposition to Nintendo of America Inc.'s Motion to Dismiss or Transfer and Defendants' Motion to Transfer - filed by Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Proposed Order)(Brauerman, Stephen) [Transferred from ded on 3/11/2019.]
Jul 10, 2017 30 Motion for Leave to File (Exhibit 1) (13)
Docket Text: MOTION for Leave to File /Plaintiff's Motion for Leave to File Combined Surreply in Opposition to Nintendo of America Inc.'s Motion to Dismiss or Transfer and Defendants' Motion to Transfer - filed by Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Proposed Order)(Brauerman, Stephen) [Transferred from ded on 3/11/2019.]
Jul 10, 2017 30 Motion for Leave to File (Exhibit 2) (9)
Docket Text: MOTION for Leave to File /Plaintiff's Motion for Leave to File Combined Surreply in Opposition to Nintendo of America Inc.'s Motion to Dismiss or Transfer and Defendants' Motion to Transfer - filed by Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Proposed Order)(Brauerman, Stephen) [Transferred from ded on 3/11/2019.]
Jul 10, 2017 30 Motion for Leave to File (Proposed Order) (1)
Docket Text: MOTION for Leave to File /Plaintiff's Motion for Leave to File Combined Surreply in Opposition to Nintendo of America Inc.'s Motion to Dismiss or Transfer and Defendants' Motion to Transfer - filed by Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Proposed Order)(Brauerman, Stephen) [Transferred from ded on 3/11/2019.]
Jun 30, 2017 29 Request (2)
Docket Text: REQUEST for Oral Argument by Nintendo Co. Ltd., Nintendo of America Inc. re [19] MOTION to Transfer Case to [NINTENDO CO., LTD.'S MOTION AND NINTENDO OF AMERICA INC.'S ALTERNATIVE MOTION TO TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON], [17] MOTION to Dismiss Based upon [DEFENDANT NINTENDO OF AMERICA INC.'S MOTION TO DISMISS OR TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON PURSUANT TO § 1406(a)]. (Russell, Andrew) [Transferred from ded on 3/11/2019.]
Jun 28, 2017 28 Notice-Other (7)
Docket Text: NOTICE of Subsequent Authority by Nintendo Co. Ltd., Nintendo of America Inc. re [17] MOTION to Dismiss Based upon [DEFENDANT NINTENDO OF AMERICA INC.'S MOTION TO DISMISS OR TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON PURSUANT TO § 1406(a)] (Russell, Andrew) [Transferred from ded on 3/11/2019.]
Jun 26, 2017 27 Motion for Leave to File () (3)
Docket Text: MOTION for Leave to File a Combined Reply Brief in Support of Motion to Dismiss or Transfer pursuant to § 1406(a) and Defendants' Motion to Transfer Pursuant to § 1404 [DI 17; DI 19] - filed by Nintendo Co. Ltd., Nintendo of America Inc.. (Attachments: # (1) Text of Proposed Order, # (2) Exhibit A - Reply Brief)(Russell, Andrew) [Transferred from ded on 3/11/2019.]
Jun 26, 2017 27 Motion for Leave to File (Text of Proposed Order) (1)
Docket Text: MOTION for Leave to File a Combined Reply Brief in Support of Motion to Dismiss or Transfer pursuant to § 1406(a) and Defendants' Motion to Transfer Pursuant to § 1404 [DI 17; DI 19] - filed by Nintendo Co. Ltd., Nintendo of America Inc.. (Attachments: # (1) Text of Proposed Order, # (2) Exhibit A - Reply Brief)(Russell, Andrew) [Transferred from ded on 3/11/2019.]
Jun 26, 2017 27 Motion for Leave to File (Exhibit A - Reply Brief) (14)
Docket Text: MOTION for Leave to File a Combined Reply Brief in Support of Motion to Dismiss or Transfer pursuant to § 1406(a) and Defendants' Motion to Transfer Pursuant to § 1404 [DI 17; DI 19] - filed by Nintendo Co. Ltd., Nintendo of America Inc.. (Attachments: # (1) Text of Proposed Order, # (2) Exhibit A - Reply Brief)(Russell, Andrew) [Transferred from ded on 3/11/2019.]
Jun 13, 2017 N/A Notice to Filer (0)
Jun 13, 2017 23 Reply to Response to Motion (17)
Docket Text: ANSWERING BRIEF in Opposition re [17] MOTION to Dismiss Based upon [DEFENDANT NINTENDO OF AMERICA INC.'S MOTION TO DISMISS OR TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON PURSUANT TO § 1406(a)] filed by Genuine Enabling Technology LLC.Reply Brief due date per Local Rules is 6/20/2017. (Brauerman, Stephen) [Transferred from ded on 3/11/2019.]
Jun 13, 2017 24 Reply to Response to Motion (17)
Docket Text: ANSWERING BRIEF in Opposition re [19] MOTION to Transfer Case to [NINTENDO CO., LTD.'S MOTION AND NINTENDO OF AMERICA INC.'S ALTERNATIVE MOTION TO TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON] filed by Genuine Enabling Technology LLC.Reply Brief due date per Local Rules is 6/20/2017. (Brauerman, Stephen) [Transferred from ded on 3/11/2019.]
Jun 13, 2017 25 Declaration (non motion) (3)
Docket Text: DECLARATION re [24] Answering Brief in Opposition, [23] Answering Brief in Opposition, /Declaration of Nghi Nho Nguyen by Genuine Enabling Technology LLC. (Brauerman, Stephen) [Transferred from ded on 3/11/2019.]
Jun 13, 2017 26 Declaration (non motion) (4)
Jun 13, 2017 26 Exhibit 1 (5)
Jun 13, 2017 26 Exhibit 2 (2)
Jun 13, 2017 26 Exhibit 3 (30)
Jun 13, 2017 26 Exhibit 4 (73)
Jun 13, 2017 26 Exhibit 5 (7)
Jun 13, 2017 26 Exhibit 6 (15)
Jun 13, 2017 26 Exhibit 7 (2)
Jun 13, 2017 26 Exhibit 8 (3)
Jun 13, 2017 26 Exhibit 9 (2)
Jun 13, 2017 26 Exhibit 10 (2)
Jun 13, 2017 26 Exhibit 11 (2)
Jun 13, 2017 26 Exhibit 12 (6)
Jun 13, 2017 26 Exhibit 13 (3)
Jun 13, 2017 26 Declaration (non motion) () (4)
Docket Text: DECLARATION re [23] Answering Brief in Opposition, [24] Answering Brief in Opposition, /Declaration of Giancarlo L. Scaccia by Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13)(Brauerman, Stephen) [Transferred from ded on 3/11/2019.]
Jun 13, 2017 26 Declaration (non motion) (Exhibit 1) (5)
Docket Text: DECLARATION re [23] Answering Brief in Opposition, [24] Answering Brief in Opposition, /Declaration of Giancarlo L. Scaccia by Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13)(Brauerman, Stephen) [Transferred from ded on 3/11/2019.]
Jun 13, 2017 26 Declaration (non motion) (Exhibit 2) (2)
Docket Text: DECLARATION re [23] Answering Brief in Opposition, [24] Answering Brief in Opposition, /Declaration of Giancarlo L. Scaccia by Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13)(Brauerman, Stephen) [Transferred from ded on 3/11/2019.]
Jun 13, 2017 26 Declaration (non motion) (Exhibit 3) (30)
Docket Text: DECLARATION re [23] Answering Brief in Opposition, [24] Answering Brief in Opposition, /Declaration of Giancarlo L. Scaccia by Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13)(Brauerman, Stephen) [Transferred from ded on 3/11/2019.]
Jun 13, 2017 26 Declaration (non motion) (Exhibit 4) (30)
Docket Text: DECLARATION re [23] Answering Brief in Opposition, [24] Answering Brief in Opposition, /Declaration of Giancarlo L. Scaccia by Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13)(Brauerman, Stephen) [Transferred from ded on 3/11/2019.]
Jun 13, 2017 26 Declaration (non motion) (Exhibit 5) (7)
Docket Text: DECLARATION re [23] Answering Brief in Opposition, [24] Answering Brief in Opposition, /Declaration of Giancarlo L. Scaccia by Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13)(Brauerman, Stephen) [Transferred from ded on 3/11/2019.]
Jun 13, 2017 26 Declaration (non motion) (Exhibit 6) (15)
Docket Text: DECLARATION re [23] Answering Brief in Opposition, [24] Answering Brief in Opposition, /Declaration of Giancarlo L. Scaccia by Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13)(Brauerman, Stephen) [Transferred from ded on 3/11/2019.]
Jun 13, 2017 26 Declaration (non motion) (Exhibit 7) (2)
Docket Text: DECLARATION re [23] Answering Brief in Opposition, [24] Answering Brief in Opposition, /Declaration of Giancarlo L. Scaccia by Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13)(Brauerman, Stephen) [Transferred from ded on 3/11/2019.]
Jun 13, 2017 26 Declaration (non motion) (Exhibit 8) (3)
Docket Text: DECLARATION re [23] Answering Brief in Opposition, [24] Answering Brief in Opposition, /Declaration of Giancarlo L. Scaccia by Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13)(Brauerman, Stephen) [Transferred from ded on 3/11/2019.]
Jun 13, 2017 26 Declaration (non motion) (Exhibit 9) (2)
Docket Text: DECLARATION re [23] Answering Brief in Opposition, [24] Answering Brief in Opposition, /Declaration of Giancarlo L. Scaccia by Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13)(Brauerman, Stephen) [Transferred from ded on 3/11/2019.]
Jun 13, 2017 26 Declaration (non motion) (Exhibit 10) (2)
Docket Text: DECLARATION re [23] Answering Brief in Opposition, [24] Answering Brief in Opposition, /Declaration of Giancarlo L. Scaccia by Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13)(Brauerman, Stephen) [Transferred from ded on 3/11/2019.]
Jun 13, 2017 26 Declaration (non motion) (Exhibit 11) (2)
Docket Text: DECLARATION re [23] Answering Brief in Opposition, [24] Answering Brief in Opposition, /Declaration of Giancarlo L. Scaccia by Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13)(Brauerman, Stephen) [Transferred from ded on 3/11/2019.]
Jun 13, 2017 26 Declaration (non motion) (Exhibit 12) (6)
Docket Text: DECLARATION re [23] Answering Brief in Opposition, [24] Answering Brief in Opposition, /Declaration of Giancarlo L. Scaccia by Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13)(Brauerman, Stephen) [Transferred from ded on 3/11/2019.]
Jun 13, 2017 26 Declaration (non motion) (Exhibit 13) (3)
Docket Text: DECLARATION re [23] Answering Brief in Opposition, [24] Answering Brief in Opposition, /Declaration of Giancarlo L. Scaccia by Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5, # (6) Exhibit 6, # (7) Exhibit 7, # (8) Exhibit 8, # (9) Exhibit 9, # (10) Exhibit 10, # (11) Exhibit 11, # (12) Exhibit 12, # (13) Exhibit 13)(Brauerman, Stephen) [Transferred from ded on 3/11/2019.]
Jun 5, 2017 N/A Add and Terminate Judges (0)
Jun 1, 2017 N/A Minute Order (0)
Docket Text: SO ORDERED D.I. [14] MOTION for Pro Hac Vice Appearance of Attorney Jerry A. Riedinger, Jonathan L. McFarland, Lane M. Polozola, and David R. Pekarek Krohn filed by Nintendo of America Inc., Nintendo Co. Ltd. Ordered by Judge Christopher J. Burke on 6/1/2017. (dlb) [Transferred from ded on 3/11/2019.]
May 30, 2017 15 Answer to Complaint (9)
Docket Text: ANSWER to [1] Complaint, with JURY DEMAND by Nintendo Co. Ltd..(Keller, Karen) [Transferred from ded on 3/11/2019.]
May 30, 2017 16 Corporate Disclosure Statement (1)
Docket Text: Disclosure Statement pursuant to Rule 7.1: identifying Corporate Parent Nintendo Co., Ltd. for Nintendo of America Inc. filed by Nintendo Co. Ltd., Nintendo of America Inc.. (Keller, Karen) [Transferred from ded on 3/11/2019.]
May 30, 2017 18 Brief - Responsive (15)
Docket Text: OPENING BRIEF in Support re [17] MOTION to Dismiss Based upon [DEFENDANT NINTENDO OF AMERICA INC.'S MOTION TO DISMISS OR TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON PURSUANT TO § 1406(a)] filed by Nintendo of America Inc..Answering Brief/Response due date per Local Rules is 6/13/2017. (Keller, Karen) [Transferred from ded on 3/11/2019.]
May 30, 2017 20 Brief - Responsive (22)
Docket Text: OPENING BRIEF in Support re [19] MOTION to Transfer Case to [NINTENDO CO., LTD.'S MOTION AND NINTENDO OF AMERICA INC.'S ALTERNATIVE MOTION TO TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON] filed by Nintendo Co. Ltd., Nintendo of America Inc..Answering Brief/Response due date per Local Rules is 6/13/2017. (Keller, Karen) [Transferred from ded on 3/11/2019.]
May 30, 2017 21 Declaration (non motion) (6)
Docket Text: DECLARATION re [19] MOTION to Transfer Case to [NINTENDO CO., LTD.'S MOTION AND NINTENDO OF AMERICA INC.'S ALTERNATIVE MOTION TO TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON], [17] MOTION to Dismiss Based upon [DEFENDANT NINTENDO OF AMERICA INC.'S MOTION TO DISMISS OR TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON PURSUANT TO § 1406(a)] [DECLARATION OF KRISTOPHER KIEL] by Nintendo Co. Ltd., Nintendo of America Inc.. (Keller, Karen)[Transferred from ded on 3/11/2019.]
May 30, 2017 22 Declaration (non motion) (5)
May 30, 2017 22 Exhibit a (3)
May 30, 2017 22 Exhibit b (2)
May 30, 2017 22 Exhibit c (5)
May 30, 2017 22 Exhibit d (2)
May 30, 2017 22 Exhibit e (2)
May 30, 2017 22 Exhibit f (6)
May 30, 2017 22 Exhibit g (6)
May 30, 2017 22 Exhibit h (2)
May 30, 2017 22 Exhibit i (2)
May 30, 2017 22 Exhibit j (3)
May 30, 2017 22 Exhibit k (2)
May 30, 2017 22 Exhibit l (3)
May 30, 2017 22 Exhibit m (3)
May 30, 2017 22 Exhibit n (14)
May 30, 2017 22 Exhibit o (13)
May 30, 2017 22 Exhibit p (43)
May 30, 2017 22 Exhibit q (5)
May 30, 2017 22 Exhibit r (5)
May 30, 2017 22 Exhibit s (5)
May 30, 2017 22 Exhibit t (11)
May 30, 2017 17 Motion to Dismiss () (1)
Docket Text: MOTION to Dismiss Based upon [DEFENDANT NINTENDO OF AMERICA INC.'S MOTION TO DISMISS OR TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON PURSUANT TO § 1406(a)] - filed by Nintendo of America Inc.. (Attachments: # (1) Text of Proposed Order, # (2) Rule 7.1.1 Certification)Motions referred to Christopher J. Burke.(Keller, Karen) [Transferred from ded on 3/11/2019.]
May 30, 2017 17 Motion to Dismiss (Text of Proposed Order) (1)
Docket Text: MOTION to Dismiss Based upon [DEFENDANT NINTENDO OF AMERICA INC.'S MOTION TO DISMISS OR TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON PURSUANT TO § 1406(a)] - filed by Nintendo of America Inc.. (Attachments: # (1) Text of Proposed Order, # (2) Rule 7.1.1 Certification)Motions referred to Christopher J. Burke.(Keller, Karen) [Transferred from ded on 3/11/2019.]
May 30, 2017 17 Motion to Dismiss (Rule 7.1.1 Certification) (1)
Docket Text: MOTION to Dismiss Based upon [DEFENDANT NINTENDO OF AMERICA INC.'S MOTION TO DISMISS OR TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON PURSUANT TO § 1406(a)] - filed by Nintendo of America Inc.. (Attachments: # (1) Text of Proposed Order, # (2) Rule 7.1.1 Certification)Motions referred to Christopher J. Burke.(Keller, Karen) [Transferred from ded on 3/11/2019.]
May 30, 2017 19 Motion to Transfer Case () (2)
Docket Text: MOTION to Transfer Case to [NINTENDO CO., LTD.'S MOTION AND NINTENDO OF AMERICA INC.'S ALTERNATIVE MOTION TO TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON] - filed by Nintendo Co. Ltd., Nintendo of America Inc.. (Attachments: # (1) Text of Proposed Order, # (2) Rule 7.1.1 Certification)Motions referred to Christopher J. Burke.(Keller, Karen) [Transferred from ded on 3/11/2019.]
May 30, 2017 19 Motion to Transfer Case (Text of Proposed Order) (1)
Docket Text: MOTION to Transfer Case to [NINTENDO CO., LTD.'S MOTION AND NINTENDO OF AMERICA INC.'S ALTERNATIVE MOTION TO TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON] - filed by Nintendo Co. Ltd., Nintendo of America Inc.. (Attachments: # (1) Text of Proposed Order, # (2) Rule 7.1.1 Certification)Motions referred to Christopher J. Burke.(Keller, Karen) [Transferred from ded on 3/11/2019.]
May 30, 2017 19 Motion to Transfer Case (Rule 7.1.1 Certification) (1)
Docket Text: MOTION to Transfer Case to [NINTENDO CO., LTD.'S MOTION AND NINTENDO OF AMERICA INC.'S ALTERNATIVE MOTION TO TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON] - filed by Nintendo Co. Ltd., Nintendo of America Inc.. (Attachments: # (1) Text of Proposed Order, # (2) Rule 7.1.1 Certification)Motions referred to Christopher J. Burke.(Keller, Karen) [Transferred from ded on 3/11/2019.]
May 30, 2017 22 Declaration (non motion) () (5)
Docket Text: DECLARATION re [19] MOTION to Transfer Case to [NINTENDO CO., LTD.'S MOTION AND NINTENDO OF AMERICA INC.'S ALTERNATIVE MOTION TO TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON], [17] MOTION to Dismiss Based upon [DEFENDANT NINTENDO OF AMERICA INC.'S MOTION TO DISMISS OR TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON PURSUANT TO § 1406(a)] [DECLARATION OF JONATHAN L. MCFARLAND] by Nintendo Co. Ltd., Nintendo of America Inc.. (Attachments: # (1) Exhibit a, # (2) Exhibit b, # (3) Exhibit c, # (4) Exhibit d, # (5) Exhibit e, # (6) Exhibit f, # (7) Exhibit g, # (8) Exhibit h, # (9) Exhibit i, # (10) Exhibit j, # (11) Exhibit k, # (12) Exhibit l, # (13) Exhibit m, # (14) Exhibit n, # (15) Exhibit o, # (16) Exhibit p, # (17) Exhibit q, # (18) Exhibit r, # (19) Exhibit s, # (20) Exhibit t)(Keller, Karen) [Transferred from ded on 3/11/2019.]
May 30, 2017 22 Declaration (non motion) (Exhibit a) (3)
Docket Text: DECLARATION re [19] MOTION to Transfer Case to [NINTENDO CO., LTD.'S MOTION AND NINTENDO OF AMERICA INC.'S ALTERNATIVE MOTION TO TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON], [17] MOTION to Dismiss Based upon [DEFENDANT NINTENDO OF AMERICA INC.'S MOTION TO DISMISS OR TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON PURSUANT TO § 1406(a)] [DECLARATION OF JONATHAN L. MCFARLAND] by Nintendo Co. Ltd., Nintendo of America Inc.. (Attachments: # (1) Exhibit a, # (2) Exhibit b, # (3) Exhibit c, # (4) Exhibit d, # (5) Exhibit e, # (6) Exhibit f, # (7) Exhibit g, # (8) Exhibit h, # (9) Exhibit i, # (10) Exhibit j, # (11) Exhibit k, # (12) Exhibit l, # (13) Exhibit m, # (14) Exhibit n, # (15) Exhibit o, # (16) Exhibit p, # (17) Exhibit q, # (18) Exhibit r, # (19) Exhibit s, # (20) Exhibit t)(Keller, Karen) [Transferred from ded on 3/11/2019.]
May 30, 2017 22 Declaration (non motion) (Exhibit b) (2)
Docket Text: DECLARATION re [19] MOTION to Transfer Case to [NINTENDO CO., LTD.'S MOTION AND NINTENDO OF AMERICA INC.'S ALTERNATIVE MOTION TO TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON], [17] MOTION to Dismiss Based upon [DEFENDANT NINTENDO OF AMERICA INC.'S MOTION TO DISMISS OR TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON PURSUANT TO § 1406(a)] [DECLARATION OF JONATHAN L. MCFARLAND] by Nintendo Co. Ltd., Nintendo of America Inc.. (Attachments: # (1) Exhibit a, # (2) Exhibit b, # (3) Exhibit c, # (4) Exhibit d, # (5) Exhibit e, # (6) Exhibit f, # (7) Exhibit g, # (8) Exhibit h, # (9) Exhibit i, # (10) Exhibit j, # (11) Exhibit k, # (12) Exhibit l, # (13) Exhibit m, # (14) Exhibit n, # (15) Exhibit o, # (16) Exhibit p, # (17) Exhibit q, # (18) Exhibit r, # (19) Exhibit s, # (20) Exhibit t)(Keller, Karen) [Transferred from ded on 3/11/2019.]
May 30, 2017 22 Declaration (non motion) (Exhibit c) (5)
Docket Text: DECLARATION re [19] MOTION to Transfer Case to [NINTENDO CO., LTD.'S MOTION AND NINTENDO OF AMERICA INC.'S ALTERNATIVE MOTION TO TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON], [17] MOTION to Dismiss Based upon [DEFENDANT NINTENDO OF AMERICA INC.'S MOTION TO DISMISS OR TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON PURSUANT TO § 1406(a)] [DECLARATION OF JONATHAN L. MCFARLAND] by Nintendo Co. Ltd., Nintendo of America Inc.. (Attachments: # (1) Exhibit a, # (2) Exhibit b, # (3) Exhibit c, # (4) Exhibit d, # (5) Exhibit e, # (6) Exhibit f, # (7) Exhibit g, # (8) Exhibit h, # (9) Exhibit i, # (10) Exhibit j, # (11) Exhibit k, # (12) Exhibit l, # (13) Exhibit m, # (14) Exhibit n, # (15) Exhibit o, # (16) Exhibit p, # (17) Exhibit q, # (18) Exhibit r, # (19) Exhibit s, # (20) Exhibit t)(Keller, Karen) [Transferred from ded on 3/11/2019.]
May 30, 2017 22 Declaration (non motion) (Exhibit d) (2)
Docket Text: DECLARATION re [19] MOTION to Transfer Case to [NINTENDO CO., LTD.'S MOTION AND NINTENDO OF AMERICA INC.'S ALTERNATIVE MOTION TO TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON], [17] MOTION to Dismiss Based upon [DEFENDANT NINTENDO OF AMERICA INC.'S MOTION TO DISMISS OR TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON PURSUANT TO § 1406(a)] [DECLARATION OF JONATHAN L. MCFARLAND] by Nintendo Co. Ltd., Nintendo of America Inc.. (Attachments: # (1) Exhibit a, # (2) Exhibit b, # (3) Exhibit c, # (4) Exhibit d, # (5) Exhibit e, # (6) Exhibit f, # (7) Exhibit g, # (8) Exhibit h, # (9) Exhibit i, # (10) Exhibit j, # (11) Exhibit k, # (12) Exhibit l, # (13) Exhibit m, # (14) Exhibit n, # (15) Exhibit o, # (16) Exhibit p, # (17) Exhibit q, # (18) Exhibit r, # (19) Exhibit s, # (20) Exhibit t)(Keller, Karen) [Transferred from ded on 3/11/2019.]
May 30, 2017 22 Declaration (non motion) (Exhibit e) (2)
Docket Text: DECLARATION re [19] MOTION to Transfer Case to [NINTENDO CO., LTD.'S MOTION AND NINTENDO OF AMERICA INC.'S ALTERNATIVE MOTION TO TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON], [17] MOTION to Dismiss Based upon [DEFENDANT NINTENDO OF AMERICA INC.'S MOTION TO DISMISS OR TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON PURSUANT TO § 1406(a)] [DECLARATION OF JONATHAN L. MCFARLAND] by Nintendo Co. Ltd., Nintendo of America Inc.. (Attachments: # (1) Exhibit a, # (2) Exhibit b, # (3) Exhibit c, # (4) Exhibit d, # (5) Exhibit e, # (6) Exhibit f, # (7) Exhibit g, # (8) Exhibit h, # (9) Exhibit i, # (10) Exhibit j, # (11) Exhibit k, # (12) Exhibit l, # (13) Exhibit m, # (14) Exhibit n, # (15) Exhibit o, # (16) Exhibit p, # (17) Exhibit q, # (18) Exhibit r, # (19) Exhibit s, # (20) Exhibit t)(Keller, Karen) [Transferred from ded on 3/11/2019.]
May 30, 2017 22 Declaration (non motion) (Exhibit f) (6)
Docket Text: DECLARATION re [19] MOTION to Transfer Case to [NINTENDO CO., LTD.'S MOTION AND NINTENDO OF AMERICA INC.'S ALTERNATIVE MOTION TO TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON], [17] MOTION to Dismiss Based upon [DEFENDANT NINTENDO OF AMERICA INC.'S MOTION TO DISMISS OR TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON PURSUANT TO § 1406(a)] [DECLARATION OF JONATHAN L. MCFARLAND] by Nintendo Co. Ltd., Nintendo of America Inc.. (Attachments: # (1) Exhibit a, # (2) Exhibit b, # (3) Exhibit c, # (4) Exhibit d, # (5) Exhibit e, # (6) Exhibit f, # (7) Exhibit g, # (8) Exhibit h, # (9) Exhibit i, # (10) Exhibit j, # (11) Exhibit k, # (12) Exhibit l, # (13) Exhibit m, # (14) Exhibit n, # (15) Exhibit o, # (16) Exhibit p, # (17) Exhibit q, # (18) Exhibit r, # (19) Exhibit s, # (20) Exhibit t)(Keller, Karen) [Transferred from ded on 3/11/2019.]
May 30, 2017 22 Declaration (non motion) (Exhibit g) (6)
Docket Text: DECLARATION re [19] MOTION to Transfer Case to [NINTENDO CO., LTD.'S MOTION AND NINTENDO OF AMERICA INC.'S ALTERNATIVE MOTION TO TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON], [17] MOTION to Dismiss Based upon [DEFENDANT NINTENDO OF AMERICA INC.'S MOTION TO DISMISS OR TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON PURSUANT TO § 1406(a)] [DECLARATION OF JONATHAN L. MCFARLAND] by Nintendo Co. Ltd., Nintendo of America Inc.. (Attachments: # (1) Exhibit a, # (2) Exhibit b, # (3) Exhibit c, # (4) Exhibit d, # (5) Exhibit e, # (6) Exhibit f, # (7) Exhibit g, # (8) Exhibit h, # (9) Exhibit i, # (10) Exhibit j, # (11) Exhibit k, # (12) Exhibit l, # (13) Exhibit m, # (14) Exhibit n, # (15) Exhibit o, # (16) Exhibit p, # (17) Exhibit q, # (18) Exhibit r, # (19) Exhibit s, # (20) Exhibit t)(Keller, Karen) [Transferred from ded on 3/11/2019.]
May 30, 2017 22 Declaration (non motion) (Exhibit h) (2)
Docket Text: DECLARATION re [19] MOTION to Transfer Case to [NINTENDO CO., LTD.'S MOTION AND NINTENDO OF AMERICA INC.'S ALTERNATIVE MOTION TO TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON], [17] MOTION to Dismiss Based upon [DEFENDANT NINTENDO OF AMERICA INC.'S MOTION TO DISMISS OR TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON PURSUANT TO § 1406(a)] [DECLARATION OF JONATHAN L. MCFARLAND] by Nintendo Co. Ltd., Nintendo of America Inc.. (Attachments: # (1) Exhibit a, # (2) Exhibit b, # (3) Exhibit c, # (4) Exhibit d, # (5) Exhibit e, # (6) Exhibit f, # (7) Exhibit g, # (8) Exhibit h, # (9) Exhibit i, # (10) Exhibit j, # (11) Exhibit k, # (12) Exhibit l, # (13) Exhibit m, # (14) Exhibit n, # (15) Exhibit o, # (16) Exhibit p, # (17) Exhibit q, # (18) Exhibit r, # (19) Exhibit s, # (20) Exhibit t)(Keller, Karen) [Transferred from ded on 3/11/2019.]
May 30, 2017 22 Declaration (non motion) (Exhibit i) (2)
Docket Text: DECLARATION re [19] MOTION to Transfer Case to [NINTENDO CO., LTD.'S MOTION AND NINTENDO OF AMERICA INC.'S ALTERNATIVE MOTION TO TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON], [17] MOTION to Dismiss Based upon [DEFENDANT NINTENDO OF AMERICA INC.'S MOTION TO DISMISS OR TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON PURSUANT TO § 1406(a)] [DECLARATION OF JONATHAN L. MCFARLAND] by Nintendo Co. Ltd., Nintendo of America Inc.. (Attachments: # (1) Exhibit a, # (2) Exhibit b, # (3) Exhibit c, # (4) Exhibit d, # (5) Exhibit e, # (6) Exhibit f, # (7) Exhibit g, # (8) Exhibit h, # (9) Exhibit i, # (10) Exhibit j, # (11) Exhibit k, # (12) Exhibit l, # (13) Exhibit m, # (14) Exhibit n, # (15) Exhibit o, # (16) Exhibit p, # (17) Exhibit q, # (18) Exhibit r, # (19) Exhibit s, # (20) Exhibit t)(Keller, Karen) [Transferred from ded on 3/11/2019.]
May 30, 2017 22 Declaration (non motion) (Exhibit j) (3)
Docket Text: DECLARATION re [19] MOTION to Transfer Case to [NINTENDO CO., LTD.'S MOTION AND NINTENDO OF AMERICA INC.'S ALTERNATIVE MOTION TO TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON], [17] MOTION to Dismiss Based upon [DEFENDANT NINTENDO OF AMERICA INC.'S MOTION TO DISMISS OR TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON PURSUANT TO § 1406(a)] [DECLARATION OF JONATHAN L. MCFARLAND] by Nintendo Co. Ltd., Nintendo of America Inc.. (Attachments: # (1) Exhibit a, # (2) Exhibit b, # (3) Exhibit c, # (4) Exhibit d, # (5) Exhibit e, # (6) Exhibit f, # (7) Exhibit g, # (8) Exhibit h, # (9) Exhibit i, # (10) Exhibit j, # (11) Exhibit k, # (12) Exhibit l, # (13) Exhibit m, # (14) Exhibit n, # (15) Exhibit o, # (16) Exhibit p, # (17) Exhibit q, # (18) Exhibit r, # (19) Exhibit s, # (20) Exhibit t)(Keller, Karen) [Transferred from ded on 3/11/2019.]
May 30, 2017 22 Declaration (non motion) (Exhibit k) (2)
Docket Text: DECLARATION re [19] MOTION to Transfer Case to [NINTENDO CO., LTD.'S MOTION AND NINTENDO OF AMERICA INC.'S ALTERNATIVE MOTION TO TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON], [17] MOTION to Dismiss Based upon [DEFENDANT NINTENDO OF AMERICA INC.'S MOTION TO DISMISS OR TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON PURSUANT TO § 1406(a)] [DECLARATION OF JONATHAN L. MCFARLAND] by Nintendo Co. Ltd., Nintendo of America Inc.. (Attachments: # (1) Exhibit a, # (2) Exhibit b, # (3) Exhibit c, # (4) Exhibit d, # (5) Exhibit e, # (6) Exhibit f, # (7) Exhibit g, # (8) Exhibit h, # (9) Exhibit i, # (10) Exhibit j, # (11) Exhibit k, # (12) Exhibit l, # (13) Exhibit m, # (14) Exhibit n, # (15) Exhibit o, # (16) Exhibit p, # (17) Exhibit q, # (18) Exhibit r, # (19) Exhibit s, # (20) Exhibit t)(Keller, Karen) [Transferred from ded on 3/11/2019.]
May 30, 2017 22 Declaration (non motion) (Exhibit l) (3)
Docket Text: DECLARATION re [19] MOTION to Transfer Case to [NINTENDO CO., LTD.'S MOTION AND NINTENDO OF AMERICA INC.'S ALTERNATIVE MOTION TO TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON], [17] MOTION to Dismiss Based upon [DEFENDANT NINTENDO OF AMERICA INC.'S MOTION TO DISMISS OR TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON PURSUANT TO § 1406(a)] [DECLARATION OF JONATHAN L. MCFARLAND] by Nintendo Co. Ltd., Nintendo of America Inc.. (Attachments: # (1) Exhibit a, # (2) Exhibit b, # (3) Exhibit c, # (4) Exhibit d, # (5) Exhibit e, # (6) Exhibit f, # (7) Exhibit g, # (8) Exhibit h, # (9) Exhibit i, # (10) Exhibit j, # (11) Exhibit k, # (12) Exhibit l, # (13) Exhibit m, # (14) Exhibit n, # (15) Exhibit o, # (16) Exhibit p, # (17) Exhibit q, # (18) Exhibit r, # (19) Exhibit s, # (20) Exhibit t)(Keller, Karen) [Transferred from ded on 3/11/2019.]
May 30, 2017 22 Declaration (non motion) (Exhibit m) (3)
Docket Text: DECLARATION re [19] MOTION to Transfer Case to [NINTENDO CO., LTD.'S MOTION AND NINTENDO OF AMERICA INC.'S ALTERNATIVE MOTION TO TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON], [17] MOTION to Dismiss Based upon [DEFENDANT NINTENDO OF AMERICA INC.'S MOTION TO DISMISS OR TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON PURSUANT TO § 1406(a)] [DECLARATION OF JONATHAN L. MCFARLAND] by Nintendo Co. Ltd., Nintendo of America Inc.. (Attachments: # (1) Exhibit a, # (2) Exhibit b, # (3) Exhibit c, # (4) Exhibit d, # (5) Exhibit e, # (6) Exhibit f, # (7) Exhibit g, # (8) Exhibit h, # (9) Exhibit i, # (10) Exhibit j, # (11) Exhibit k, # (12) Exhibit l, # (13) Exhibit m, # (14) Exhibit n, # (15) Exhibit o, # (16) Exhibit p, # (17) Exhibit q, # (18) Exhibit r, # (19) Exhibit s, # (20) Exhibit t)(Keller, Karen) [Transferred from ded on 3/11/2019.]
May 30, 2017 22 Declaration (non motion) (Exhibit n) (14)
Docket Text: DECLARATION re [19] MOTION to Transfer Case to [NINTENDO CO., LTD.'S MOTION AND NINTENDO OF AMERICA INC.'S ALTERNATIVE MOTION TO TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON], [17] MOTION to Dismiss Based upon [DEFENDANT NINTENDO OF AMERICA INC.'S MOTION TO DISMISS OR TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON PURSUANT TO § 1406(a)] [DECLARATION OF JONATHAN L. MCFARLAND] by Nintendo Co. Ltd., Nintendo of America Inc.. (Attachments: # (1) Exhibit a, # (2) Exhibit b, # (3) Exhibit c, # (4) Exhibit d, # (5) Exhibit e, # (6) Exhibit f, # (7) Exhibit g, # (8) Exhibit h, # (9) Exhibit i, # (10) Exhibit j, # (11) Exhibit k, # (12) Exhibit l, # (13) Exhibit m, # (14) Exhibit n, # (15) Exhibit o, # (16) Exhibit p, # (17) Exhibit q, # (18) Exhibit r, # (19) Exhibit s, # (20) Exhibit t)(Keller, Karen) [Transferred from ded on 3/11/2019.]
May 30, 2017 22 Declaration (non motion) (Exhibit o) (13)
Docket Text: DECLARATION re [19] MOTION to Transfer Case to [NINTENDO CO., LTD.'S MOTION AND NINTENDO OF AMERICA INC.'S ALTERNATIVE MOTION TO TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON], [17] MOTION to Dismiss Based upon [DEFENDANT NINTENDO OF AMERICA INC.'S MOTION TO DISMISS OR TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON PURSUANT TO § 1406(a)] [DECLARATION OF JONATHAN L. MCFARLAND] by Nintendo Co. Ltd., Nintendo of America Inc.. (Attachments: # (1) Exhibit a, # (2) Exhibit b, # (3) Exhibit c, # (4) Exhibit d, # (5) Exhibit e, # (6) Exhibit f, # (7) Exhibit g, # (8) Exhibit h, # (9) Exhibit i, # (10) Exhibit j, # (11) Exhibit k, # (12) Exhibit l, # (13) Exhibit m, # (14) Exhibit n, # (15) Exhibit o, # (16) Exhibit p, # (17) Exhibit q, # (18) Exhibit r, # (19) Exhibit s, # (20) Exhibit t)(Keller, Karen) [Transferred from ded on 3/11/2019.]
May 30, 2017 22 Declaration (non motion) (Exhibit p) (30)
Docket Text: DECLARATION re [19] MOTION to Transfer Case to [NINTENDO CO., LTD.'S MOTION AND NINTENDO OF AMERICA INC.'S ALTERNATIVE MOTION TO TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON], [17] MOTION to Dismiss Based upon [DEFENDANT NINTENDO OF AMERICA INC.'S MOTION TO DISMISS OR TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON PURSUANT TO § 1406(a)] [DECLARATION OF JONATHAN L. MCFARLAND] by Nintendo Co. Ltd., Nintendo of America Inc.. (Attachments: # (1) Exhibit a, # (2) Exhibit b, # (3) Exhibit c, # (4) Exhibit d, # (5) Exhibit e, # (6) Exhibit f, # (7) Exhibit g, # (8) Exhibit h, # (9) Exhibit i, # (10) Exhibit j, # (11) Exhibit k, # (12) Exhibit l, # (13) Exhibit m, # (14) Exhibit n, # (15) Exhibit o, # (16) Exhibit p, # (17) Exhibit q, # (18) Exhibit r, # (19) Exhibit s, # (20) Exhibit t)(Keller, Karen) [Transferred from ded on 3/11/2019.]
May 30, 2017 22 Declaration (non motion) (Exhibit q) (5)
Docket Text: DECLARATION re [19] MOTION to Transfer Case to [NINTENDO CO., LTD.'S MOTION AND NINTENDO OF AMERICA INC.'S ALTERNATIVE MOTION TO TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON], [17] MOTION to Dismiss Based upon [DEFENDANT NINTENDO OF AMERICA INC.'S MOTION TO DISMISS OR TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON PURSUANT TO § 1406(a)] [DECLARATION OF JONATHAN L. MCFARLAND] by Nintendo Co. Ltd., Nintendo of America Inc.. (Attachments: # (1) Exhibit a, # (2) Exhibit b, # (3) Exhibit c, # (4) Exhibit d, # (5) Exhibit e, # (6) Exhibit f, # (7) Exhibit g, # (8) Exhibit h, # (9) Exhibit i, # (10) Exhibit j, # (11) Exhibit k, # (12) Exhibit l, # (13) Exhibit m, # (14) Exhibit n, # (15) Exhibit o, # (16) Exhibit p, # (17) Exhibit q, # (18) Exhibit r, # (19) Exhibit s, # (20) Exhibit t)(Keller, Karen) [Transferred from ded on 3/11/2019.]
May 30, 2017 22 Declaration (non motion) (Exhibit r) (5)
Docket Text: DECLARATION re [19] MOTION to Transfer Case to [NINTENDO CO., LTD.'S MOTION AND NINTENDO OF AMERICA INC.'S ALTERNATIVE MOTION TO TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON], [17] MOTION to Dismiss Based upon [DEFENDANT NINTENDO OF AMERICA INC.'S MOTION TO DISMISS OR TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON PURSUANT TO § 1406(a)] [DECLARATION OF JONATHAN L. MCFARLAND] by Nintendo Co. Ltd., Nintendo of America Inc.. (Attachments: # (1) Exhibit a, # (2) Exhibit b, # (3) Exhibit c, # (4) Exhibit d, # (5) Exhibit e, # (6) Exhibit f, # (7) Exhibit g, # (8) Exhibit h, # (9) Exhibit i, # (10) Exhibit j, # (11) Exhibit k, # (12) Exhibit l, # (13) Exhibit m, # (14) Exhibit n, # (15) Exhibit o, # (16) Exhibit p, # (17) Exhibit q, # (18) Exhibit r, # (19) Exhibit s, # (20) Exhibit t)(Keller, Karen) [Transferred from ded on 3/11/2019.]
May 30, 2017 22 Declaration (non motion) (Exhibit s) (5)
Docket Text: DECLARATION re [19] MOTION to Transfer Case to [NINTENDO CO., LTD.'S MOTION AND NINTENDO OF AMERICA INC.'S ALTERNATIVE MOTION TO TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON], [17] MOTION to Dismiss Based upon [DEFENDANT NINTENDO OF AMERICA INC.'S MOTION TO DISMISS OR TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON PURSUANT TO § 1406(a)] [DECLARATION OF JONATHAN L. MCFARLAND] by Nintendo Co. Ltd., Nintendo of America Inc.. (Attachments: # (1) Exhibit a, # (2) Exhibit b, # (3) Exhibit c, # (4) Exhibit d, # (5) Exhibit e, # (6) Exhibit f, # (7) Exhibit g, # (8) Exhibit h, # (9) Exhibit i, # (10) Exhibit j, # (11) Exhibit k, # (12) Exhibit l, # (13) Exhibit m, # (14) Exhibit n, # (15) Exhibit o, # (16) Exhibit p, # (17) Exhibit q, # (18) Exhibit r, # (19) Exhibit s, # (20) Exhibit t)(Keller, Karen) [Transferred from ded on 3/11/2019.]
May 30, 2017 22 Declaration (non motion) (Exhibit t) (11)
Docket Text: DECLARATION re [19] MOTION to Transfer Case to [NINTENDO CO., LTD.'S MOTION AND NINTENDO OF AMERICA INC.'S ALTERNATIVE MOTION TO TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON], [17] MOTION to Dismiss Based upon [DEFENDANT NINTENDO OF AMERICA INC.'S MOTION TO DISMISS OR TRANSFER VENUE TO THE WESTERN DISTRICT OF WASHINGTON PURSUANT TO § 1406(a)] [DECLARATION OF JONATHAN L. MCFARLAND] by Nintendo Co. Ltd., Nintendo of America Inc.. (Attachments: # (1) Exhibit a, # (2) Exhibit b, # (3) Exhibit c, # (4) Exhibit d, # (5) Exhibit e, # (6) Exhibit f, # (7) Exhibit g, # (8) Exhibit h, # (9) Exhibit i, # (10) Exhibit j, # (11) Exhibit k, # (12) Exhibit l, # (13) Exhibit m, # (14) Exhibit n, # (15) Exhibit o, # (16) Exhibit p, # (17) Exhibit q, # (18) Exhibit r, # (19) Exhibit s, # (20) Exhibit t)(Keller, Karen) [Transferred from ded on 3/11/2019.]
May 24, 2017 14 Application for Leave to Appear Pro Hac Vice (6)
Docket Text: MOTION for Pro Hac Vice Appearance of Attorney Jerry A. Riedinger, Jonathan L. McFarland, Lane M. Polozola, and David R. Pekarek Krohn - filed by Nintendo Co. Ltd., Nintendo of America Inc.. Motions referred to Christopher J. Burke.(Keller, Karen)[Transferred from ded on 3/11/2019.]
May 19, 2017 12 Notice of Appearance (1)
Docket Text: NOTICE of Appearance by Andrew Russell on behalf of Nintendo Co. Ltd., Nintendo of America Inc. (Russell, Andrew) [Transferred from ded on 3/11/2019.]
May 19, 2017 13 Notice of Appearance (1)
Docket Text: NOTICE of Appearance by Karen Elizabeth Keller on behalf of Nintendo Co. Ltd., Nintendo of America Inc. (Keller, Karen) [Transferred from ded on 3/11/2019.]
Apr 17, 2017 N/A Notice to Filer (0)
Apr 7, 2017 N/A Minute Order (0)
Mar 29, 2017 10 Application for Leave to Appear Pro Hac Vice () (2)
Docket Text: MOTION for Pro Hac Vice Appearance of Attorney Peter D. Shapiro, Giancarlo L. Scaccia, and Christopher M. Gerson - filed by Genuine Enabling Technology LLC. (Attachments: # (1) Certification of Peter D. Shapiro, # (2) Certification of Giancarlo L. Scaccia, # (3) Certification of Christopher M. Gerson)Motions referred to Christopher J. Burke.(Brauerman, Stephen) [Transferred from ded on 3/11/2019.]
Mar 29, 2017 10 Application for Leave to Appear Pro Hac Vice (Certification of Peter D. Shapiro) (1)
Docket Text: MOTION for Pro Hac Vice Appearance of Attorney Peter D. Shapiro, Giancarlo L. Scaccia, and Christopher M. Gerson - filed by Genuine Enabling Technology LLC. (Attachments: # (1) Certification of Peter D. Shapiro, # (2) Certification of Giancarlo L. Scaccia, # (3) Certification of Christopher M. Gerson)Motions referred to Christopher J. Burke.(Brauerman, Stephen) [Transferred from ded on 3/11/2019.]
Mar 29, 2017 10 Application for Leave to Appear Pro Hac Vice (Certification of Giancarlo L. Scaccia) (1)
Docket Text: MOTION for Pro Hac Vice Appearance of Attorney Peter D. Shapiro, Giancarlo L. Scaccia, and Christopher M. Gerson - filed by Genuine Enabling Technology LLC. (Attachments: # (1) Certification of Peter D. Shapiro, # (2) Certification of Giancarlo L. Scaccia, # (3) Certification of Christopher M. Gerson)Motions referred to Christopher J. Burke.(Brauerman, Stephen) [Transferred from ded on 3/11/2019.]
Mar 29, 2017 10 Application for Leave to Appear Pro Hac Vice (Certification of Christopher M. Gerson) (1)
Docket Text: MOTION for Pro Hac Vice Appearance of Attorney Peter D. Shapiro, Giancarlo L. Scaccia, and Christopher M. Gerson - filed by Genuine Enabling Technology LLC. (Attachments: # (1) Certification of Peter D. Shapiro, # (2) Certification of Giancarlo L. Scaccia, # (3) Certification of Christopher M. Gerson)Motions referred to Christopher J. Burke.(Brauerman, Stephen) [Transferred from ded on 3/11/2019.]
Mar 27, 2017 N/A Case Referred to Magistrate Judge (0)
Docket Text: CASE REFERRED to Magistrate Judge Christopher J. Burke. (This matter has been assigned to the Vacant Judgeship and referred to a Magistrate Judge for handling through case-dispositive motions. The Magistrate Judge has full authority permitted by law to manage this matter, including entering schedules through trial, deciding non-dispositive matters and making recommendations as to the resolution of dispositive matters. Litigants and counsel are reminded that they have the option of consenting to the Magistrate Judge to handle the case in full, including trial, or consenting to having a particular motion resolved by the Magistrate Judge.) Associated Cases: 1:17-cv-00134-VAC-CJB, 1:17-cv-00135-VAC-CJB (rjb)[Transferred from ded on 3/11/2019.]
Mar 2, 2017 N/A Minute Order (0)
Mar 2, 2017 9 Motion for Extension of Time (2)
Docket Text: MOTION for Extension of Time to \Unopposed Motion to Extend Time for Defedants to Move Answer or Otherwise Respond to Complaint until May 30, 2017 - filed by Genuine Enabling Technology LLC. Motions referred to Sherry R. Fallon.(Brauerman, Stephen) [Transferred from ded on 3/11/2019.]
Feb 28, 2017 11 Affidavit of Service of Summons and Complaint (5)
Docket Text: Postal Receipt(s) for the mailing of process to Nintendo Co. Ltd. (jcs) [Transferred from ded on 3/11/2019.]
Feb 17, 2017 8 Notice of Withdrawal and Substitution of Counsel (2)
Docket Text: NOTICE OF SUBSTITUTION OF COUNSEL re Genuine Enabling Technology LLC : Entry of appearance of attorney Stephen B. Brauerman. Attorney Dana K. Severance and Womble Carlyle Sandridge & Rice, LLP terminated. (Brauerman, Stephen)[Transferred from ded on 3/11/2019.]
Feb 15, 2017 N/A Case Assigned/Reassigned (0)
Docket Text: Case Assigned to Vacant Judgeship (2017). Please include initials of VAC after the case number on all documents filed. Associated Cases: 1:17-cv-00134-VAC, 1:17-cv-00135-VAC (rjb) [Transferred from ded on 3/11/2019.]
Feb 15, 2017 N/A Case Referred to Magistrate Judge (0)
Feb 10, 2017 6 Praecipe for a Summons (1)
Docket Text: PRAECIPE filed by Dana Kathryn Severance on behalf of Genuine Enabling Technology LLC requesting Clerk to issue service as to Nintendo Co., Ltd. under Federal Rule of Civil Procedure 4(f)(2)(C)(ii) (Severance, Dana)[Transferred from ded on 3/11/2019.]
Feb 10, 2017 7 Affidavit (2)
Docket Text: AFFIDAVIT of Dana K. Severance re [6] Praecipe filed by Genuine Enabling Technology LLC. (Severance, Dana) [Transferred from ded on 3/11/2019.]
Feb 9, 2017 N/A Summons Issued (0)
Docket Text: Summons Issued with Magistrate Consent Notice attached as to Nintendo Co. Ltd. on 2/9/2017. (ceg) [Transferred from ded on 3/11/2019.]
Feb 9, 2017 5 Summons Returned Executed (2)
Docket Text: SUMMONS Returned Executed by Genuine Enabling Technology LLC. Nintendo of America Inc. served on 2/8/2017, answer due 3/1/2017. (Severance, Dana) [Transferred from ded on 3/11/2019.]
Feb 8, 2017 N/A Summons Issued (0)
Feb 8, 2017 1 Complaint (9)
Feb 8, 2017 1 Exhibit A (16)
Feb 8, 2017 1 Civil Cover Sheet (1)
Feb 8, 2017 2 Notice-Other (3)
Docket Text: Notice, Consent and Referral forms re: U.S. Magistrate Judge jurisdiction. (sar) [Transferred from ded on 3/11/2019.]
Feb 8, 2017 3 Report Regarding Patent & Trademark (1)
Feb 8, 2017 4 Corporate Disclosure Statement (1)
Docket Text: Disclosure Statement pursuant to Rule 7.1: No Parents or Affiliates Listed filed by Genuine Enabling Technology LLC. (sar) [Transferred from ded on 3/11/2019.]
Feb 8, 2017 1 Complaint () (9)
Docket Text: COMPLAINT FOR PATENT INFRINGEMENT filed with Jury Demand against Nintendo Co. Ltd., Nintendo of America Inc. - Magistrate Consent Notice to Pltf. ( Filing fee $ 400, receipt number 0311-2081116.) - filed by Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit A, # (2) Civil Cover Sheet)(sar) [Transferred from ded on 3/11/2019.]
Feb 8, 2017 1 Complaint (Exhibit A) (16)
Docket Text: COMPLAINT FOR PATENT INFRINGEMENT filed with Jury Demand against Nintendo Co. Ltd., Nintendo of America Inc. - Magistrate Consent Notice to Pltf. ( Filing fee $ 400, receipt number 0311-2081116.) - filed by Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit A, # (2) Civil Cover Sheet)(sar) [Transferred from ded on 3/11/2019.]
Feb 8, 2017 1 Complaint (Civil Cover Sheet) (1)
Docket Text: COMPLAINT FOR PATENT INFRINGEMENT filed with Jury Demand against Nintendo Co. Ltd., Nintendo of America Inc. - Magistrate Consent Notice to Pltf. ( Filing fee $ 400, receipt number 0311-2081116.) - filed by Genuine Enabling Technology LLC. (Attachments: # (1) Exhibit A, # (2) Civil Cover Sheet)(sar) [Transferred from ded on 3/11/2019.]
Feb 8, 2017 3 Report Regarding Patent & Trademark (1)
Docket Text: Report to the Commissioner of Patents and Trademarks for Patent/Trademark Number(s) US 6,219,730;. (sar) [Transferred from ded on 3/11/2019.]
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