| Date Field | Doc. No. | Description (Pages) |
|---|
| Mar 28, 2022 | 99 | ORDER TO TAKE NOTICE OF RELATED DECISION.. Signed by Judge Alan D Albright. (sv) (Entered: 03/28/2022) (4) |
| Mar 10, 2022 | 96 | ***Vacated per amended order***ORDER GRANTING 16 Motion to Transfer Case. Signed by Judge Alan D Albright. (sv) Modified on 3/10/2022 (sv). (Entered: 03/10/2022) (4) |
| Mar 10, 2022 | 97 | AMENDED MEMORANDUM OPINION AND ORDER of transfer 96 .. Signed by Judge Alan D Albright. (sv) (Entered: 03/10/2022) (4) |
| Mar 10, 2022 | 98 | Report on Patent/Trademark sent to U.S. Patent and Trademark Office. (bot1) (Entered: 03/11/2022) (1) |
| Mar 9, 2022 | 94 | USCA FEDERAL CIRCUIT ORDER - Dispositive Court Order granted Petition for Writ of Mandamus. The petitions for a writ of mandamus are granted, the district court orders denying the motions to dismiss or transfer are vacated, and the case is remanded for further proceedings consistent with this order. Signed by Judge Unassigned. (jc5) Modified on 3/9/2022 (jc5). (Entered: 03/09/2022) (18) |
| Mar 9, 2022 | 95 | MOTION for Discovery Stratosaudio, Inc.'s Motion For Leave For Alternative Service of A Subpoena on Continental AG by STRATOSAUDIO, INC.. (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D, # 5 Exhibit E, # 6 Exhibit F, # 7 Proposed Order)(Lamberson, Jonathan) (Entered: 03/09/2022) (Main Document) (4) |
| Mar 9, 2022 | 95 | MOTION for Discovery Stratosaudio, Inc.'s Motion For Leave For Alternative Service of A Subpoena on Continental AG by STRATOSAUDIO, INC.. (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D, # 5 Exhibit E, # 6 Exhibit F, # 7 Proposed Order)(Lamberson, Jonathan) (Entered: 03/09/2022) (Exhibit A) (4) |
| Mar 9, 2022 | 95 | MOTION for Discovery Stratosaudio, Inc.'s Motion For Leave For Alternative Service of A Subpoena on Continental AG by STRATOSAUDIO, INC.. (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D, # 5 Exhibit E, # 6 Exhibit F, # 7 Proposed Order)(Lamberson, Jonathan) (Entered: 03/09/2022) (Exhibit B) (7) |
| Mar 9, 2022 | 95 | MOTION for Discovery Stratosaudio, Inc.'s Motion For Leave For Alternative Service of A Subpoena on Continental AG by STRATOSAUDIO, INC.. (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D, # 5 Exhibit E, # 6 Exhibit F, # 7 Proposed Order)(Lamberson, Jonathan) (Entered: 03/09/2022) (Exhibit C) (10) |
| Mar 9, 2022 | 95 | MOTION for Discovery Stratosaudio, Inc.'s Motion For Leave For Alternative Service of A Subpoena on Continental AG by STRATOSAUDIO, INC.. (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D, # 5 Exhibit E, # 6 Exhibit F, # 7 Proposed Order)(Lamberson, Jonathan) (Entered: 03/09/2022) (Exhibit D) (4) |
| Mar 9, 2022 | 95 | MOTION for Discovery Stratosaudio, Inc.'s Motion For Leave For Alternative Service of A Subpoena on Continental AG by STRATOSAUDIO, INC.. (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D, # 5 Exhibit E, # 6 Exhibit F, # 7 Proposed Order)(Lamberson, Jonathan) (Entered: 03/09/2022) (Exhibit E) (2) |
| Mar 9, 2022 | 95 | MOTION for Discovery Stratosaudio, Inc.'s Motion For Leave For Alternative Service of A Subpoena on Continental AG by STRATOSAUDIO, INC.. (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D, # 5 Exhibit E, # 6 Exhibit F, # 7 Proposed Order)(Lamberson, Jonathan) (Entered: 03/09/2022) (Exhibit F) (3) |
| Mar 9, 2022 | 95 | MOTION for Discovery Stratosaudio, Inc.'s Motion For Leave For Alternative Service of A Subpoena on Continental AG by STRATOSAUDIO, INC.. (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D, # 5 Exhibit E, # 6 Exhibit F, # 7 Proposed Order)(Lamberson, Jonathan) (Entered: 03/09/2022) (Proposed Order) (1) |
| Mar 7, 2022 | 93 | CORRECTED MOTION to Withdraw as Attorney for Volkswagen Group of America, Inc. by Volkswagen Group of America, Inc.. (Attachments: # 1 Proposed Order on Motion to Withdraw Counsel)(Hannemann, Mark) (Entered: 03/07/2022) (Main Document) (3) |
| Mar 7, 2022 | 93 | CORRECTED MOTION to Withdraw as Attorney for Volkswagen Group of America, Inc. by Volkswagen Group of America, Inc.. (Attachments: # 1 Proposed Order on Motion to Withdraw Counsel)(Hannemann, Mark) (Entered: 03/07/2022) (Proposed Order on Motion to Withdraw Counsel) (1) |
| Mar 4, 2022 | 91 | Unopposed MOTION to Withdraw as Attorney for Volkswagen Group of America, Inc. by Volkswagen Group of America, Inc.. (Attachments: # 1 Proposed Order on Motion to Withdraw Counsel)(Hannemann, Mark) (Entered: 03/04/2022) (Main Document) (3) |
| Mar 4, 2022 | 92 | DEFICIENCY NOTICE: re 91 Unopposed MOTION to Withdraw as Attorney for Volkswagen Group of America, Inc. (sv) (Entered: 03/04/2022) (1) |
| Mar 4, 2022 | 91 | Unopposed MOTION to Withdraw as Attorney for Volkswagen Group of America, Inc. by Volkswagen Group of America, Inc.. (Attachments: # 1 Proposed Order on Motion to Withdraw Counsel)(Hannemann, Mark) (Entered: 03/04/2022) (Proposed Order on Motion to Withdraw Counsel) (1) |
| Mar 1, 2022 | 90 | ORDER GRANTING 88 Motion to Appear Pro Hac Vice for Attorney Hallie Kiernan. Attorney added for STRATOSAUDIO, INC. Pursuant to our Administrative Policies and Procedures for Electronic Filing, the attorney hereby granted to practice pro hac vice in this case must register for electronic filing with our court within 10 days of this order, if he/she has not previously done so for a prior case in this District. Signed by Judge Alan D Albright. (bot1) (Entered: 03/01/2022) (1) |
| Feb 25, 2022 | 88 | MOTION to Appear Pro Hac Vice by Corby R. Vowell for Hallie Kiernan ( Filing fee $ 100 receipt number 0542-15753135) by on behalf of STRATOSAUDIO, INC.. (Attachments: # 1 Proposed Order Order on Motion to Appear Pro Hac Vice)(Vowell, Corby) (Entered: 02/25/2022) (Main Document) (4) |
| Feb 25, 2022 | 89 | NOTICE of Attorney Appearance by Jacqueline P. Altman on behalf of Volkswagen Group of America, Inc.. Attorney Jacqueline P. Altman added to party Volkswagen Group of America, Inc.(pty:dft) (Altman, Jacqueline) (Entered: 02/25/2022) (2) |
| Feb 25, 2022 | 88 | MOTION to Appear Pro Hac Vice by Corby R. Vowell for Hallie Kiernan ( Filing fee $ 100 receipt number 0542-15753135) by on behalf of STRATOSAUDIO, INC.. (Attachments: # 1 Proposed Order Order on Motion to Appear Pro Hac Vice)(Vowell, Corby) (Entered: 02/25/2022) (Proposed Order Order on Motion to Appear Pro Hac Vice) (1) |
| Feb 16, 2022 | 85 | ORDER GRANTING 82 Motion to Appear Pro Hac Vice for Attorney DeMarcus Williams. Attorney added for STRATOSAUDIO, INC. Pursuant to our Administrative Policies and Procedures for Electronic Filing, the attorney hereby granted to practice pro hac vice in this case must register for electronic filing with our court within 10 days of this order, if he/she has not previously done so for a prior case in this District. Signed by Judge Alan D Albright. (bot2) (Entered: 02/17/2022) (1) |
| Feb 16, 2022 | 86 | ORDER GRANTING 83 Motion to Appear Pro Hac Vice for Attorney Daniel E. Yonan. Attorney added for Volkswagen Group of America, Inc. Pursuant to our Administrative Policies and Procedures for Electronic Filing, the attorney hereby granted to practice pro hac vice in this case must register for electronic filing with our court within 10 days of this order, if he/she has not previously done so for a prior case in this District. Signed by Judge Alan D Albright. (bot2) (Entered: 02/17/2022) (1) |
| Feb 16, 2022 | 87 | ORDER GRANTING 84 Motion to Appear Pro Hac Vice for Attorney Michael D. Specht. Attorney added for Volkswagen Group of America, Inc. Pursuant to our Administrative Policies and Procedures for Electronic Filing, the attorney hereby granted to practice pro hac vice in this case must register for electronic filing with our court within 10 days of this order, if he/she has not previously done so for a prior case in this District. Signed by Judge Alan D Albright. (bot2) (Entered: 02/17/2022) (1) |
| Feb 15, 2022 | 82 | MOTION to Appear Pro Hac Vice by Corby R. Vowell for DeMarcus Williams ( Filing fee $ 100 receipt number 0542-15716468) by on behalf of STRATOSAUDIO, INC.. (Attachments: # 1 Proposed Order Order on Motion to Appear Pro Hac Vice)(Vowell, Corby) (Entered: 02/15/2022) (Main Document) (3) |
| Feb 15, 2022 | 83 | MOTION to Appear Pro Hac Vice by David Philip Whittlesey on behalf of Daniel Yonan ( Filing fee $ 100 receipt number 0542-15718790) by on behalf of Volkswagen Group of America, Inc.. (Attachments: # 1 Proposed Order)(Whittlesey, David) (Entered: 02/15/2022) (Main Document) (3) |
| Feb 15, 2022 | 84 | MOTION to Appear Pro Hac Vice by David Philip Whittlesey on behalf of Michael Specht ( Filing fee $ 100 receipt number 0542-15718877) by on behalf of Volkswagen Group of America, Inc.. (Attachments: # 1 Proposed Order)(Whittlesey, David) (Entered: 02/15/2022) (Main Document) (3) |
| Feb 15, 2022 | 82 | MOTION to Appear Pro Hac Vice by Corby R. Vowell for DeMarcus Williams ( Filing fee $ 100 receipt number 0542-15716468) by on behalf of STRATOSAUDIO, INC.. (Attachments: # 1 Proposed Order Order on Motion to Appear Pro Hac Vice)(Vowell, Corby) (Entered: 02/15/2022) (Proposed Order Order on Motion to Appear Pro Hac Vice) (1) |
| Feb 15, 2022 | 83 | MOTION to Appear Pro Hac Vice by David Philip Whittlesey on behalf of Daniel Yonan ( Filing fee $ 100 receipt number 0542-15718790) by on behalf of Volkswagen Group of America, Inc.. (Attachments: # 1 Proposed Order)(Whittlesey, David) (Entered: 02/15/2022) (Proposed Order) (1) |
| Feb 15, 2022 | 84 | MOTION to Appear Pro Hac Vice by David Philip Whittlesey on behalf of Michael Specht ( Filing fee $ 100 receipt number 0542-15718877) by on behalf of Volkswagen Group of America, Inc.. (Attachments: # 1 Proposed Order)(Whittlesey, David) (Entered: 02/15/2022) (Proposed Order) (1) |
| Feb 9, 2022 | 81 | ORDER GRANTING 80 Motion to Appear Pro Hac Vice for Attorney Yuhan Wang. Attorney added for STRATOSAUDIO, INC. Pursuant to our Administrative Policies and Procedures for Electronic Filing, the attorney hereby granted to practice pro hac vice in this case must register for electronic filing with our court within 10 days of this order, if he/she has not previously done so for a prior case in this District. Signed by Judge Alan D Albright. (bot2) (Entered: 02/09/2022) (1) |
| Feb 7, 2022 | 80 | MOTION to Appear Pro Hac Vice by Corby R. Vowell ( Filing fee $ 100 receipt number 0542-15687152) by on behalf of STRATOSAUDIO, INC.. (Attachments: # 1 Proposed Order Order on Motion to Appear Pro Hac Vice)(Vowell, Corby) (Entered: 02/07/2022) (Main Document) (3) |
| Feb 7, 2022 | 80 | MOTION to Appear Pro Hac Vice by Corby R. Vowell ( Filing fee $ 100 receipt number 0542-15687152) by on behalf of STRATOSAUDIO, INC.. (Attachments: # 1 Proposed Order Order on Motion to Appear Pro Hac Vice)(Vowell, Corby) (Entered: 02/07/2022) (Proposed Order Order on Motion to Appear Pro Hac Vice) (1) |
| Jan 31, 2022 | 79 | REDACTED VERSION OF AMENDED ANSWER to Stratosaudio, Inc.'s 1 Complaint, by Volkswagen Group of America, Inc.. (Hannemann, Mark) (Entered: 01/31/2022) (23) |
| Jan 24, 2022 | 78 | Sealed Document: Volkswagen Group of America, Inc.'s First Amended Answer and Defenses to StratosAudio, Inc.'s Complaint of 1 Complaint, by Volkswagen Group of America, Inc. (Hannemann, Mark) (Entered: 01/24/2022) (0) |
| Dec 27, 2021 | 76 | NOTICE of Filing Subpoena Served Upon Harnan Intl Ind to Appear at Deposition by STRATOSAUDIO, INC. (Vowell, Corby) (Entered: 12/27/2021) (3) |
| Dec 27, 2021 | 77 | NOTICE of Filing Subpoena Served upon Harman Intl Ind for Production of Documents by STRATOSAUDIO, INC. (Vowell, Corby) (Entered: 12/27/2021) (3) |
| Dec 15, 2021 | 75 | CLAIM CONSTRUCTION ORDER. Signed by Judge Alan D Albright. (ir) (Entered: 12/15/2021) (6) |
| Dec 4, 2021 | 74 | Transcript filed of Proceedings held on September 28, 2021, Proceedings Transcribed: Videoconference Markman Hearing. Court Reporter/Transcriber: Lily I. Reznik, Telephone number: 512-391-8792 or Lily_Reznik@txwd.uscourts.gov. Parties are notified of their duty to review the transcript to ensure compliance with the FRCP 5.2(a)/FRCrP 49.1(a). A copy may be purchased from the court reporter or viewed at the clerk's office public terminal. If redaction is necessary, a Notice of Redaction Request must be filed within 21 days. If no such Notice is filed, the transcript will be made available via PACER without redaction after 90 calendar days. The clerk will mail a copy of this notice to parties not electronically noticed Redaction Request due 12/27/2021, Redacted Transcript Deadline set for 1/4/2022, Release of Transcript Restriction set for 3/4/2022, (lr) (Entered: 12/04/2021) (50) |
| Nov 5, 2021 | 71 | DEFICIENCY NOTICE: re 70 MOTION to Withdraw as Attorney Charles Larsen Pursuant to the Standing Order Governing Proceedings Dated 10/8/2021. The proposed Order shall omit the word Proposed from the title.(ir) (Entered: 11/05/2021) (1) |
| Nov 5, 2021 | 72 | CORRECTED MOTION to Withdraw as Attorney Charles Larsen by STRATOSAUDIO, INC.. (Attachments: # 1 Proposed Order)(Lamberson, Jonathan) (Entered: 11/05/2021) (Main Document) (3) |
| Nov 5, 2021 | 73 | Agreed MOTION for Protective Order by STRATOSAUDIO, INC.. (Attachments: # 1 Proposed Order, # 2 Appendix A to Proposed Protective Order)(Lamberson, Jonathan) (Entered: 11/05/2021) (Main Document) (3) |
| Nov 5, 2021 | 73 | Agreed MOTION for Protective Order by STRATOSAUDIO, INC.. (Attachments: # 1 Proposed Order, # 2 Appendix A to Proposed Protective Order)(Lamberson, Jonathan) (Entered: 11/05/2021) (Proposed Order) (25) |
| Nov 5, 2021 | 73 | Agreed MOTION for Protective Order by STRATOSAUDIO, INC.. (Attachments: # 1 Proposed Order, # 2 Appendix A to Proposed Protective Order)(Lamberson, Jonathan) (Entered: 11/05/2021) (Appendix A to Proposed Protective Order) (2) |
| Nov 5, 2021 | 72 | CORRECTED MOTION to Withdraw as Attorney Charles Larsen by STRATOSAUDIO, INC.. (Attachments: # 1 Proposed Order)(Lamberson, Jonathan) (Entered: 11/05/2021) (Proposed Order) (1) |
| Nov 4, 2021 | 70 | MOTION to Withdraw as Attorney Charles Larsen by STRATOSAUDIO, INC.. (Attachments: # 1 Proposed Order)(Lamberson, Jonathan) (Entered: 11/04/2021) (Main Document) (3) |
| Nov 4, 2021 | 70 | MOTION to Withdraw as Attorney Charles Larsen by STRATOSAUDIO, INC.. (Attachments: # 1 Proposed Order)(Lamberson, Jonathan) (Entered: 11/04/2021) (Proposed Order) (1) |
| Oct 14, 2021 | 69 | NOTICE of Filing [Proposed] Order Regarding Discovery Dispute by STRATOSAUDIO, INC. (Lamberson, Jonathan) (Entered: 10/14/2021) (5) |
| Oct 12, 2021 | 67 | Transcript filed of Proceedings held on 10-7-21, Proceedings Transcribed: Discovery Hearing (Zoom). Court Reporter/Transcriber: Kristie Davis, Telephone number: 254-340-6114. (kd) (Entered: 10/12/2021) (12) |
| Oct 8, 2021 | 68 | Standing Order Regarding Order Governing Proceedings Patent Cases. Signed by Judge Alan D Albright. (Entered: 10/13/2021) (11) |
| Oct 7, 2021 | 65 | ORDER, (Discovery Hearing set for 10/7/2021 03:30 PM before Judge Alan D Albright). Signed by Judge Alan D Albright. (bot3) (Entered: 10/07/2021) (1) |
| Oct 7, 2021 | 66 | Minute Entry for proceedings held before Judge Alan D Albright: Discovery Hearing held on 10/7/2021. Case called for Discovery Hearing by Zoom in this and 4 companion cases. Parties argued their discovery issue before the Court. Order will be forthcoming. (Minute entry documents are not available electronically.). (Court Reporter Kristie Davis.)(ir) (Entered: 10/07/2021) (0) |
| Oct 4, 2021 | 64 | ANSWER to 1 Complaint, with Jury Demand by Volkswagen Group of America, Inc..(Hannemann, Mark) (Entered: 10/04/2021) (12) |
| Sep 28, 2021 | 63 | Minute Entry for proceedings held before Judge Alan D Albright: Markman Hearing held on 9/28/2021. Case called for Markman Hearing by Zoom for this and 4 companion cases. The Court heard the disputed claim term definitions and ruled upon the final terms. There will be an Order forthcoming. (Minute entry documents are not available electronically.). (Court Reporter Lily Reznik.)(ir) (Entered: 09/28/2021) (0) |
| Sep 27, 2021 | 62 | ORDER, (Markman Hearing RESET for 9/28/2021 03:00 PM before Judge Alan D Albright). Signed by Judge Alan D Albright. (bot1) (Entered: 09/27/2021) (1) |
| Sep 24, 2021 | 61 | Reply Claim Construction Brief regarding 57 Claim Construction Brief,, by STRATOSAUDIO, INC.. (Attachments: # 1 Exhibit 29, # 2 Exhibit 30)(Lamberson, Jonathan) (Entered: 09/24/2021) (Main Document) (23) |
| Sep 24, 2021 | 61 | Reply Claim Construction Brief regarding 57 Claim Construction Brief,, by STRATOSAUDIO, INC.. (Attachments: # 1 Exhibit 29, # 2 Exhibit 30)(Lamberson, Jonathan) (Entered: 09/24/2021) (Exhibit 29) (28) |
| Sep 24, 2021 | 61 | Reply Claim Construction Brief regarding 57 Claim Construction Brief,, by STRATOSAUDIO, INC.. (Attachments: # 1 Exhibit 29, # 2 Exhibit 30)(Lamberson, Jonathan) (Entered: 09/24/2021) (Exhibit 30) (2) |
| Sep 22, 2021 | 60 | Joint Claim Construction Brief or Statement by STRATOSAUDIO, INC.. (Lamberson, Jonathan) (Entered: 09/22/2021) (8) |
| Sep 21, 2021 | 59 | ORDER, (Markman Hearing RESET for 9/28/2021 03:30 PM before Judge Alan D Albright). Signed by Judge Alan D Albright. (bot1) (Entered: 09/21/2021) (1) |
| Sep 20, 2021 | 57 | Reply Claim Construction Brief regarding 49 Claim Construction Brief, by Volkswagen Group of America, Inc.. (Attachments: # 1 Second Declaration of Robert Groselak in Support of Defendants' Reply Claim Construction Brief, # 2 Ex. B (Excerpt of WMS Deposition), # 3 Ex. C (Excerpt of BPM Deposition), # 4 Ex. D ("interactive media receiver" Ngram Viewer), # 5 Ex. E ("responder identifier" Ngram Viewer), # 6 Ex. F ("stream analysis module" Ngram Viewer), # 7 Ex. G ("stream scanner module" Ngram Viewer), # 8 Ex. H ("broadcast scanning module" Ngram Viewer), # 9 Ex. I (Excerpt from '075 File Wrapper), # 10 Ex. J (Excerpt from TAW Deposition))(Hannemann, Mark) (Entered: 09/20/2021) (Main Document) (26) |
| Sep 20, 2021 | 58 | MEMORANDUM OPINION AND ORDER DENYING 16 Defendant's Motion to Dismiss. Signed by Judge Alan D Albright. (ir) (Entered: 09/21/2021) (11) |
| Sep 20, 2021 | 57 | Reply Claim Construction Brief regarding 49 Claim Construction Brief, by Volkswagen Group of America, Inc.. (Attachments: # 1 Second Declaration of Robert Groselak in Support of Defendants' Reply Claim Construction Brief, # 2 Ex. B (Excerpt of WMS Deposition), # 3 Ex. C (Excerpt of BPM Deposition), # 4 Ex. D ("interactive media receiver" Ngram Viewer), # 5 Ex. E ("responder identifier" Ngram Viewer), # 6 Ex. F ("stream analysis module" Ngram Viewer), # 7 Ex. G ("stream scanner module" Ngram Viewer), # 8 Ex. H ("broadcast scanning module" Ngram Viewer), # 9 Ex. I (Excerpt from '075 File Wrapper), # 10 Ex. J (Excerpt from TAW Deposition))(Hannemann, Mark) (Entered: 09/20/2021) (Second Declaration of Robert Groselak in Support of Defendants' Reply Clai) (3) |
| Sep 20, 2021 | 57 | Reply Claim Construction Brief regarding 49 Claim Construction Brief, by Volkswagen Group of America, Inc.. (Attachments: # 1 Second Declaration of Robert Groselak in Support of Defendants' Reply Claim Construction Brief, # 2 Ex. B (Excerpt of WMS Deposition), # 3 Ex. C (Excerpt of BPM Deposition), # 4 Ex. D ("interactive media receiver" Ngram Viewer), # 5 Ex. E ("responder identifier" Ngram Viewer), # 6 Ex. F ("stream analysis module" Ngram Viewer), # 7 Ex. G ("stream scanner module" Ngram Viewer), # 8 Ex. H ("broadcast scanning module" Ngram Viewer), # 9 Ex. I (Excerpt from '075 File Wrapper), # 10 Ex. J (Excerpt from TAW Deposition))(Hannemann, Mark) (Entered: 09/20/2021) (Ex. B (Excerpt of WMS Deposition)) (30) |
| Sep 20, 2021 | 57 | Reply Claim Construction Brief regarding 49 Claim Construction Brief, by Volkswagen Group of America, Inc.. (Attachments: # 1 Second Declaration of Robert Groselak in Support of Defendants' Reply Claim Construction Brief, # 2 Ex. B (Excerpt of WMS Deposition), # 3 Ex. C (Excerpt of BPM Deposition), # 4 Ex. D ("interactive media receiver" Ngram Viewer), # 5 Ex. E ("responder identifier" Ngram Viewer), # 6 Ex. F ("stream analysis module" Ngram Viewer), # 7 Ex. G ("stream scanner module" Ngram Viewer), # 8 Ex. H ("broadcast scanning module" Ngram Viewer), # 9 Ex. I (Excerpt from '075 File Wrapper), # 10 Ex. J (Excerpt from TAW Deposition))(Hannemann, Mark) (Entered: 09/20/2021) (Ex. C (Excerpt of BPM Deposition)) (5) |
| Sep 20, 2021 | 57 | Reply Claim Construction Brief regarding 49 Claim Construction Brief, by Volkswagen Group of America, Inc.. (Attachments: # 1 Second Declaration of Robert Groselak in Support of Defendants' Reply Claim Construction Brief, # 2 Ex. B (Excerpt of WMS Deposition), # 3 Ex. C (Excerpt of BPM Deposition), # 4 Ex. D ("interactive media receiver" Ngram Viewer), # 5 Ex. E ("responder identifier" Ngram Viewer), # 6 Ex. F ("stream analysis module" Ngram Viewer), # 7 Ex. G ("stream scanner module" Ngram Viewer), # 8 Ex. H ("broadcast scanning module" Ngram Viewer), # 9 Ex. I (Excerpt from '075 File Wrapper), # 10 Ex. J (Excerpt from TAW Deposition))(Hannemann, Mark) (Entered: 09/20/2021) (Ex. D ("interactive media receiver" Ngram Viewer)) (3) |
| Sep 20, 2021 | 57 | Reply Claim Construction Brief regarding 49 Claim Construction Brief, by Volkswagen Group of America, Inc.. (Attachments: # 1 Second Declaration of Robert Groselak in Support of Defendants' Reply Claim Construction Brief, # 2 Ex. B (Excerpt of WMS Deposition), # 3 Ex. C (Excerpt of BPM Deposition), # 4 Ex. D ("interactive media receiver" Ngram Viewer), # 5 Ex. E ("responder identifier" Ngram Viewer), # 6 Ex. F ("stream analysis module" Ngram Viewer), # 7 Ex. G ("stream scanner module" Ngram Viewer), # 8 Ex. H ("broadcast scanning module" Ngram Viewer), # 9 Ex. I (Excerpt from '075 File Wrapper), # 10 Ex. J (Excerpt from TAW Deposition))(Hannemann, Mark) (Entered: 09/20/2021) (Ex. E ("responder identifier" Ngram Viewer)) (3) |
| Sep 20, 2021 | 57 | Reply Claim Construction Brief regarding 49 Claim Construction Brief, by Volkswagen Group of America, Inc.. (Attachments: # 1 Second Declaration of Robert Groselak in Support of Defendants' Reply Claim Construction Brief, # 2 Ex. B (Excerpt of WMS Deposition), # 3 Ex. C (Excerpt of BPM Deposition), # 4 Ex. D ("interactive media receiver" Ngram Viewer), # 5 Ex. E ("responder identifier" Ngram Viewer), # 6 Ex. F ("stream analysis module" Ngram Viewer), # 7 Ex. G ("stream scanner module" Ngram Viewer), # 8 Ex. H ("broadcast scanning module" Ngram Viewer), # 9 Ex. I (Excerpt from '075 File Wrapper), # 10 Ex. J (Excerpt from TAW Deposition))(Hannemann, Mark) (Entered: 09/20/2021) (Ex. F ("stream analysis module" Ngram Viewer)) (2) |
| Sep 20, 2021 | 57 | Reply Claim Construction Brief regarding 49 Claim Construction Brief, by Volkswagen Group of America, Inc.. (Attachments: # 1 Second Declaration of Robert Groselak in Support of Defendants' Reply Claim Construction Brief, # 2 Ex. B (Excerpt of WMS Deposition), # 3 Ex. C (Excerpt of BPM Deposition), # 4 Ex. D ("interactive media receiver" Ngram Viewer), # 5 Ex. E ("responder identifier" Ngram Viewer), # 6 Ex. F ("stream analysis module" Ngram Viewer), # 7 Ex. G ("stream scanner module" Ngram Viewer), # 8 Ex. H ("broadcast scanning module" Ngram Viewer), # 9 Ex. I (Excerpt from '075 File Wrapper), # 10 Ex. J (Excerpt from TAW Deposition))(Hannemann, Mark) (Entered: 09/20/2021) (Ex. G ("stream scanner module" Ngram Viewer)) (2) |
| Sep 20, 2021 | 57 | Reply Claim Construction Brief regarding 49 Claim Construction Brief, by Volkswagen Group of America, Inc.. (Attachments: # 1 Second Declaration of Robert Groselak in Support of Defendants' Reply Claim Construction Brief, # 2 Ex. B (Excerpt of WMS Deposition), # 3 Ex. C (Excerpt of BPM Deposition), # 4 Ex. D ("interactive media receiver" Ngram Viewer), # 5 Ex. E ("responder identifier" Ngram Viewer), # 6 Ex. F ("stream analysis module" Ngram Viewer), # 7 Ex. G ("stream scanner module" Ngram Viewer), # 8 Ex. H ("broadcast scanning module" Ngram Viewer), # 9 Ex. I (Excerpt from '075 File Wrapper), # 10 Ex. J (Excerpt from TAW Deposition))(Hannemann, Mark) (Entered: 09/20/2021) (Ex. H ("broadcast scanning module" Ngram Viewer)) (2) |
| Sep 20, 2021 | 57 | Reply Claim Construction Brief regarding 49 Claim Construction Brief, by Volkswagen Group of America, Inc.. (Attachments: # 1 Second Declaration of Robert Groselak in Support of Defendants' Reply Claim Construction Brief, # 2 Ex. B (Excerpt of WMS Deposition), # 3 Ex. C (Excerpt of BPM Deposition), # 4 Ex. D ("interactive media receiver" Ngram Viewer), # 5 Ex. E ("responder identifier" Ngram Viewer), # 6 Ex. F ("stream analysis module" Ngram Viewer), # 7 Ex. G ("stream scanner module" Ngram Viewer), # 8 Ex. H ("broadcast scanning module" Ngram Viewer), # 9 Ex. I (Excerpt from '075 File Wrapper), # 10 Ex. J (Excerpt from TAW Deposition))(Hannemann, Mark) (Entered: 09/20/2021) (Ex. I (Excerpt from '075 File Wrapper)) (3) |
| Sep 20, 2021 | 57 | Reply Claim Construction Brief regarding 49 Claim Construction Brief, by Volkswagen Group of America, Inc.. (Attachments: # 1 Second Declaration of Robert Groselak in Support of Defendants' Reply Claim Construction Brief, # 2 Ex. B (Excerpt of WMS Deposition), # 3 Ex. C (Excerpt of BPM Deposition), # 4 Ex. D ("interactive media receiver" Ngram Viewer), # 5 Ex. E ("responder identifier" Ngram Viewer), # 6 Ex. F ("stream analysis module" Ngram Viewer), # 7 Ex. G ("stream scanner module" Ngram Viewer), # 8 Ex. H ("broadcast scanning module" Ngram Viewer), # 9 Ex. I (Excerpt from '075 File Wrapper), # 10 Ex. J (Excerpt from TAW Deposition))(Hannemann, Mark) (Entered: 09/20/2021) (Ex. J (Excerpt from TAW Deposition)) (4) |
| Sep 14, 2021 | 56 | Proposed Scheduling Order (Third Amended) by Volkswagen Group of America, Inc.. (Hannemann, Mark) (Entered: 09/14/2021) (8) |
| Sep 10, 2021 | 55 | ORDER, (Markman Hearing RESET for 9/27/2021 03:30 PM before Judge Alan D Albright). Signed by Judge Alan D Albright. (bot1) (Entered: 09/10/2021) (1) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Main Document) (30) |
| Sep 8, 2021 | 54 | MOTION to Appear Pro Hac Vice by Corby R. Vowell ( Filing fee $ 100 receipt number 0542-15201074) for Henry Yee-Der Huang on behalf of STRATOSAUDIO, INC.. (Attachments: # 1 Proposed Order Order on Motion to Appear Pro Hac Vice)(Vowell, Corby) (Entered: 09/08/2021) (Main Document) (3) |
| Sep 8, 2021 | N/A | Text Order GRANTING 54 Motion to Appear Pro Hac Vice for Attorney Henry Yee-Der Huang for STRATOSAUDIO Inc. Before the Court is the Motion for Admission Pro Hac Vice. The Court, having reviewed the Motion, finds it should be GRANTED and therefore orders as follows: IT IS ORDERED the Motion for Admission Pro Hac Vice is GRANTED. IT IS FURTHER ORDERED that Applicant, if he/she has not already done so, shall immediately tender the amount of $100.00, made payable to: Clerk, U.S. District Court, in compliance with Local Rule AT-I (f)(2). Pursuant to our Administrative Policies and Procedures for Electronic Filing, the attorney hereby granted to practice pro hac vice in this case must register for electronic filing with our court within 10 days of this order entered by Judge Alan D Albright. (This is a text-only entry generated by the court. There is no document associated with this entry.) (jc5) (Entered: 09/10/2021) (0) |
| Sep 8, 2021 | 54 | MOTION to Appear Pro Hac Vice by Corby R. Vowell ( Filing fee $ 100 receipt number 0542-15201074) for Henry Yee-Der Huang on behalf of STRATOSAUDIO, INC.. (Attachments: # 1 Proposed Order Order on Motion to Appear Pro Hac Vice)(Vowell, Corby) (Entered: 09/08/2021) (Proposed Order Order on Motion to Appear Pro Hac Vice) (1) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Affidavit Declaration of Jonathan Lamberson) (7) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Exhibit 1 - Lamberson Declaration) (30) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Exhibit 2 - Lamberson Declaration) (30) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Exhibit 3 - Lamberson Declaration) (30) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Exhibit 4 -Lamberson Declaration) (30) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Exhibit 5-Lamberson Declaration) (30) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Exhibit 6-Lamberson Declaration) (30) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Exhibit 7-Lamberson Declaration) (30) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Exhibit 8-Lamberson Declaration) (30) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Exhibit 9-Lamberson Declaration) (30) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Exhibit 10-Lamberson Declaration) (30) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Exhibit 11-Lamberson Declaration) (30) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Exhibit 12-Lamberson Declaration) (30) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Exhibit 13-Lamberson Declaration) (30) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Exhibit 14-Lamberson Declaration) (30) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Exhibit 15-Lamberson Declaration) (30) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Exhibit 16-Lamberson Declaration) (30) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Exhibit 17-Lamberson Declaration) (30) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Exhibit 18-Lamberson Declaration) (30) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Exhibit 19-Lamberson Declaration) (30) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Exhibit 20-Lamberson Declaration) (30) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Exhibit 21-Lamberson Declaration) (30) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Exhibit 22-Lamberson Declaration) (30) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Exhibit 23-Lamberson Declaration) (5) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Exhibit 24-Lamberson Declaration) (30) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Exhibit 25-Lamberson Declaration) (30) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Exhibit 26-Lamberson Declaration) (4) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Exhibit 27-Lamberson Declaration) (30) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Exhibit 28-Lamberson Declaration) (4) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Exhibit 29-Lamberson Declaration) (4) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Affidavit Declaration of Dr. William Mangione-Smith) (27) |
| Sep 8, 2021 | 53 | Reply Claim Construction Brief regarding 49 Opening Claim Construction Brief by Volkswagen Group of America, Inc (Attachments: # 1 Affidavit Declaration of Jonathan Lamberson, # 2 Exhibit 1 - Lamberson Declaration, # 3 Exhibit 2 - Lamberson Declaration, # 4 Exhibit 3 - Lamberson Declaration, # 5 Exhibit 4 -Lamberson Declaration, # 6 Exhibit 5-Lamberson Declaration, # 7 Exhibit 6-Lamberson Declaration, # 8 Exhibit 7-Lamberson Declaration, # 9 Exhibit 8-Lamberson Declaration, # 10 Exhibit 9-Lamberson Declaration, # 11 Exhibit 10-Lamberson Declaration, # 12 Exhibit 11-Lamberson Declaration, # 13 Exhibit 12-Lamberson Declaration, # 14 Exhibit 13-Lamberson Declaration, # 15 Exhibit 14-Lamberson Declaration, # 16 Exhibit 15-Lamberson Declaration, # 17 Exhibit 16-Lamberson Declaration, # 18 Exhibit 17-Lamberson Declaration, # 19 Exhibit 18-Lamberson Declaration, # 20 Exhibit 19-Lamberson Declaration, # 21 Exhibit 20-Lamberson Declaration, # 22 Exhibit 21-Lamberson Declaration, # 23 Exhibit 22-Lamberson Declaration, # 24 Exhibit 23-Lamberson Declaration, # 25 Exhibit 24-Lamberson Declaration, # 26 Exhibit 25-Lamberson Declaration, # 27 Exhibit 26-Lamberson Declaration, # 28 Exhibit 27-Lamberson Declaration, # 29 Exhibit 28-Lamberson Declaration, # 30 Exhibit 29-Lamberson Declaration, # 31 Affidavit Declaration of Dr. William Mangione-Smith, # 32 Exhibit A-Mangione-Williams)(Huang, Henry) Modified on 9/8/2021 (ir). (Entered: 09/08/2021) (Exhibit A-Mangione-Williams) (28) |
| Sep 2, 2021 | 52 | NOTICE Third Supplemental Notice of Inter Partes Review Petitions by STRATOSAUDIO, INC. (Lamberson, Jonathan) (Entered: 09/02/2021) (4) |
| Aug 26, 2021 | N/A | Text Order GRANTING 30 Motion to Withdraw as Attorney. entered by Judge Alan D Albright. Came on for consideration is Plaintiff's Motion to Allow Don Zhe Nan Wang to Withdraw As Counsel. The Court GRANTS the Motion. It is therefore ORDERED that Don Zhe Nan Wang is hereby withdrawn as counsel of record for Plaintiff. It is further ORDERED that the docket be amended to reflect that Don Zhe Nan Wang has withdrawn as counsel for Plaintiff and that he no longer needs to be noticed of any pleadings, motions, or other documents filed or served in this case. (This is a text-only entry generated by the court. There is no document associated with this entry.) (hs) (Entered: 08/26/2021) (0) |
| Aug 23, 2021 | 51 | STATUS REPORT regarding fully-briefed status of Volkswagen's venue motion, filed pursuant to Second Amended Standing Order Regarding Motions for Inter-District Transfer by Volkswagen Group of America, Inc.. (Hannemann, Mark) (Entered: 08/23/2021) (3) |
| Aug 19, 2021 | 50 | MOTION to Appear Pro Hac Vice by Corby R. Vowell ( Filing fee $ 100 receipt number 0542-15137233) by on behalf of STRATOSAUDIO, INC.. (Attachments: # 1 Proposed Order Order)(Vowell, Corby) (Entered: 08/19/2021) (Main Document) (4) |
| Aug 19, 2021 | N/A | Text Order GRANTING 50 Motion to Appear Pro Hac Vice for Attorney Daniel S. Sternberg for STRATOSAUDIO, INC. Before the Court is the Motion for Admission Pro Hac Vice. The Court, having reviewed the Motion, finds it should be GRANTED and therefore orders as follows: IT IS ORDERED the Motion for Admission Pro Hac Vice is GRANTED. IT IS FURTHER ORDERED that Applicant, if he/she has not already done so, shall immediately tender the amount of $100.00, made payable to: Clerk, U.S. District Court, in compliance with Local Rule AT-I (f)(2). Pursuant to our Administrative Policies and Procedures for Electronic Filing, the attorney hereby granted to practice pro hac vice in this case must register for electronic filing with our court within 10 days of this order entered by Judge Alan D Albright. (This is a text-only entry generated by the court. There is no document associated with this entry.) (jc5) (Entered: 08/20/2021) (0) |
| Aug 19, 2021 | 50 | MOTION to Appear Pro Hac Vice by Corby R. Vowell ( Filing fee $ 100 receipt number 0542-15137233) by on behalf of STRATOSAUDIO, INC.. (Attachments: # 1 Proposed Order Order)(Vowell, Corby) (Entered: 08/19/2021) (Proposed Order Order) (1) |
| Aug 17, 2021 | 49 | Opening Claim Construction Brief by Volkswagen Group of America, Inc.. (Attachments: # 1 Declaration of Barry P. Medoff, PH.D., # 2 Declaration of Henry Houh, # 3 Declaration of Tim A. Williams, PH.D., # 4 Declaration of Robert B. Groselak)(Hannemann, Mark) (Entered: 08/17/2021) (Main Document) (30) |
| Aug 17, 2021 | 49 | Opening Claim Construction Brief by Volkswagen Group of America, Inc.. (Attachments: # 1 Declaration of Barry P. Medoff, PH.D., # 2 Declaration of Henry Houh, # 3 Declaration of Tim A. Williams, PH.D., # 4 Declaration of Robert B. Groselak)(Hannemann, Mark) (Entered: 08/17/2021) (Declaration of Barry P. Medoff, PH.D.) (30) |
| Aug 17, 2021 | 49 | Opening Claim Construction Brief by Volkswagen Group of America, Inc.. (Attachments: # 1 Declaration of Barry P. Medoff, PH.D., # 2 Declaration of Henry Houh, # 3 Declaration of Tim A. Williams, PH.D., # 4 Declaration of Robert B. Groselak)(Hannemann, Mark) (Entered: 08/17/2021) (Declaration of Henry Houh) (27) |
| Aug 17, 2021 | 49 | Opening Claim Construction Brief by Volkswagen Group of America, Inc.. (Attachments: # 1 Declaration of Barry P. Medoff, PH.D., # 2 Declaration of Henry Houh, # 3 Declaration of Tim A. Williams, PH.D., # 4 Declaration of Robert B. Groselak)(Hannemann, Mark) (Entered: 08/17/2021) (Declaration of Tim A. Williams, PH.D.) (30) |
| Aug 17, 2021 | 49 | Opening Claim Construction Brief by Volkswagen Group of America, Inc.. (Attachments: # 1 Declaration of Barry P. Medoff, PH.D., # 2 Declaration of Henry Houh, # 3 Declaration of Tim A. Williams, PH.D., # 4 Declaration of Robert B. Groselak)(Hannemann, Mark) (Entered: 08/17/2021) (Declaration of Robert B. Groselak) (9) |
| Aug 13, 2021 | 48 | MOTION to Withdraw as Attorney David Markoff by STRATOSAUDIO, INC.. (Attachments: # 1 Proposed Order)(Lamberson, Jonathan) (Entered: 08/13/2021) (Main Document) (3) |
| Aug 13, 2021 | 48 | MOTION to Withdraw as Attorney David Markoff by STRATOSAUDIO, INC.. (Attachments: # 1 Proposed Order)(Lamberson, Jonathan) (Entered: 08/13/2021) (Proposed Order) (1) |
| Aug 10, 2021 | 47 | NOTICE of New Authority by Volkswagen Group of America, Inc. re 16 MOTION to Dismiss or Transfer for Improper Venue (Attachments: # 1 Appendix Andra Group, LP v. Victorias Secret Stores, L.L.C., Appeal No. 2020-2009, ECF No. 41 (Fed. Cir. Aug. 3, 2021))(Hannemann, Mark) (Entered: 08/10/2021) (Main Document) (3) |
| Aug 10, 2021 | 47 | NOTICE of New Authority by Volkswagen Group of America, Inc. re 16 MOTION to Dismiss or Transfer for Improper Venue (Attachments: # 1 Appendix Andra Group, LP v. Victorias Secret Stores, L.L.C., Appeal No. 2020-2009, ECF No. 41 (Fed. Cir. Aug. 3, 2021))(Hannemann, Mark) (Entered: 08/10/2021) (Appendix Andra Group, LP v. Victorias Secret Stores, L.L.C., Appeal No. 2020-200) (12) |
| Aug 6, 2021 | 46 | Proposed Scheduling Order [Second Amended Joint Scheduling Order] by Volkswagen Group of America, Inc.. (Hannemann, Mark) (Entered: 08/06/2021) (8) |
| Aug 2, 2021 | 45 | NOTICE of Second Supplemental Inter Partes Review Petitions by STRATOSAUDIO, INC. (Markoff, David) (Entered: 08/02/2021) (3) |
| Jul 28, 2021 | 44 | ORDER REGARDING DISCOVERY DISPUTE re 39 Proposed Protective Order filed by Volkswagen Group of America, Inc.. Signed by Judge Alan D Albright. (ir) (Entered: 07/29/2021) (2) |
| Jul 15, 2021 | N/A | Text Order GRANTING 35 Motion to Appear Pro Hac Vice for Attorney David Markoff for STRATOSAUDIO, INC. Before the Court is the Motion for Admission Pro Hac Vice. The Court, having reviewed the Motion, finds it should be GRANTED and therefore orders as follows: IT IS ORDERED the Motion for Admission Pro Hac Vice is GRANTED. IT IS FURTHER ORDERED that Applicant, if he/she has not already done so, shall immediately tender the amount of $100.00, made payable to: Clerk, U.S. District Court, in compliance with Local Rule AT-I (f)(2). Pursuant to our Administrative Policies and Procedures for Electronic Filing, the attorney hereby granted to practice pro hac vice in this case must register for electronic filing with our court within 10 days of this order entered by Judge Alan D Albright. (This is a text-only entry generated by the court. There is no document associated with this entry.) (mm6) (Entered: 07/15/2021) (0) |
| Jul 15, 2021 | 43 | FIRST AMENDED JOINT SCHEDULING ORDER: Markman Hearing set for 10/4/2021 09:30 AM before Judge Alan D Albright. Joinder of Parties due by 11/15/2021. Amended Pleadings due by 1/24/2022. Dispositive and Daubert Motions due by 7/11/2022. Pretrial Conference set for 9/12/2022 before Judge Alan D Albright. Jury Selection set for 10/3/2022 before Judge Jeffrey C. Manske. Jury Trial set for 10/3/2022 before Judge Alan D Albright. Signed by Judge Alan D Albright. (ir) (Entered: 07/15/2021) (5) |
| Jul 14, 2021 | 42 | Proposed Scheduling Order [Proposed] First Amended Joint Scheduling Order by Volkswagen Group of America, Inc.. (Hannemann, Mark) (Entered: 07/14/2021) (8) |
| Jul 9, 2021 | 41 | Memorandum in Support, filed by Volkswagen Group of America, Inc., re 16 MOTION to Dismiss or Transfer for Improper Venue filed by Defendant Volkswagen Group of America, Inc. (Hannemann, Mark) (Entered: 07/09/2021) (7) |
| Jul 5, 2021 | 40 | Memorandum in Opposition to Motion, filed by STRATOSAUDIO, INC., re 16 MOTION to Dismiss or Transfer for Improper Venue filed by Defendant Volkswagen Group of America, Inc. Plaintiff's Supplemental Brief (Attachments: # 1 Exhibit A)(Lamberson, Jonathan) (Entered: 07/05/2021) (Main Document) (8) |
| Jul 5, 2021 | 40 | Memorandum in Opposition to Motion, filed by STRATOSAUDIO, INC., re 16 MOTION to Dismiss or Transfer for Improper Venue filed by Defendant Volkswagen Group of America, Inc. Plaintiff's Supplemental Brief (Attachments: # 1 Exhibit A)(Lamberson, Jonathan) (Entered: 07/05/2021) (Exhibit A) (30) |
| Jun 29, 2021 | 37 | Federal Circuit ORDER filed denying Petition for Writ of Mandamus filed by Volkswagen Group of America, Inc. (lad) (Entered: 06/29/2021) (3) |
| Jun 29, 2021 | 38 | Proposed Scheduling Order by Volkswagen Group of America, Inc.. (Whittlesey, David) (Entered: 06/29/2021) (8) |
| Jun 29, 2021 | 39 | Proposed Pretrial Order Regarding Discovery Dispute by Volkswagen Group of America, Inc.. (Whittlesey, David) (Entered: 06/29/2021) (5) |
| Jun 26, 2021 | 36 | Transcript filed of Proceedings held on 6-23-21, Proceedings Transcribed: Motion Hearing. Court Reporter/Transcriber: Kristie Davis, Telephone number: 254-340-6114. Parties are notified of their duty to review the transcript to ensure compliance with the FRCP 5.2(a)/FRCrP 49.1(a). A copy may be purchased from the court reporter or viewed at the clerk's office public terminal. If redaction is necessary, a Notice of Redaction Request must be filed within 21 days. If no such Notice is filed, the transcript will be made available via PACER without redaction after 90 calendar days. The clerk will mail a copy of this notice to parties not electronically noticed Redaction Request due 7/19/2021, Redacted Transcript Deadline set for 7/27/2021, Release of Transcript Restriction set for 9/24/2021, (kd) (Entered: 06/26/2021) (41) |
| Jun 23, 2021 | 34 | Minute Entry for proceedings held before Judge Alan D Albright: Discovery Hearing held on 6/23/2021. Case called for Motion and Discovery Hearing for this and companion case. The Court heard argument regarding the Motion to Transfer Venue for the cases. The Court took the motion to transfer venue under advisement and an Order will issue with the Court's ruling. The Court also heard argument regarding the schedule in this case. The Court is not inclined to make any scheduling changes at this time. (Minute entry documents are not available electronically.) (Court Reporter Kristie Davis.) (ir) (Entered: 06/23/2021) (0) |
| Jun 23, 2021 | 35 | MOTION to Appear Pro Hac Vice by Corby R. Vowell for David Markoff ( Filing fee $ 100 receipt number 0542-14943503) by on behalf of STRATOSAUDIO, INC.. (Vowell, Corby) (Entered: 06/23/2021) (4) |
| Jun 17, 2021 | 33 | ORDER RESETTING Zoom Motion Hearing for 6/23/2021 09:30 AM before Judge Alan D Albright. Signed by Judge Alan D Albright. (bot3) (Entered: 06/17/2021) (1) |
| Jun 16, 2021 | 32 | Standing Order regarding Scheduling Order. Signed by Judge Alan D Albright. (Entered: 06/17/2021) (5) |
| Jun 14, 2021 | 31 | ORDER Setting Zoom Motion Hearing for 6/21/2021 01:30 PM before Judge Alan D Albright. Signed by Judge Alan D Albright. (bot3) (Entered: 06/15/2021) (1) |
| Jun 8, 2021 | 30 | MOTION to Withdraw as Attorney Don Zhe Nan Wang by STRATOSAUDIO, INC.. (Attachments: # 1 Proposed Order)(Lamberson, Jonathan) (Entered: 06/08/2021) (Main Document) (3) |
| Jun 8, 2021 | 30 | MOTION to Withdraw as Attorney Don Zhe Nan Wang by STRATOSAUDIO, INC.. (Attachments: # 1 Proposed Order)(Lamberson, Jonathan) (Entered: 06/08/2021) (Proposed Order) (1) |
| May 27, 2021 | 29 | Joint MOTION for Entry of Disputed Scheduling Orders by STRATOSAUDIO, INC.. (Attachments: # 1 Exhibit A to Joint Motion, # 2 Exhibit B to Joint Motion)(Lamberson, Jonathan) (Entered: 05/27/2021) (Main Document) (22) |
| May 27, 2021 | 29 | Joint MOTION for Entry of Disputed Scheduling Orders by STRATOSAUDIO, INC.. (Attachments: # 1 Exhibit A to Joint Motion, # 2 Exhibit B to Joint Motion)(Lamberson, Jonathan) (Entered: 05/27/2021) (Exhibit A to Joint Motion) (6) |
| May 27, 2021 | 29 | Joint MOTION for Entry of Disputed Scheduling Orders by STRATOSAUDIO, INC.. (Attachments: # 1 Exhibit A to Joint Motion, # 2 Exhibit B to Joint Motion)(Lamberson, Jonathan) (Entered: 05/27/2021) (Exhibit B to Joint Motion) (7) |
| May 17, 2021 | 28 | NOTICE of Supplemental Inter Partes Review Petitions by STRATOSAUDIO, INC. (Nan Wang, Don) (Entered: 05/17/2021) (3) |
| Apr 30, 2021 | 27 | NOTICE of Inter Partes Review Petitions by STRATOSAUDIO, INC. (Nan Wang, Don) (Entered: 04/30/2021) (3) |
| Apr 12, 2021 | N/A | Text Order GRANTING 26 Motion to Withdraw as Attorney. entered by Judge Alan D Albright. Came on for consideration is Plaintiff's Motion to Allow Ryuk Park to Withdraw As Counsel. Noting that it is unopposed, the Court GRANTS the motion. It is therefore ORDERED that Ryuk Park is hereby withdrawn as counsel of record for Plaintiff. It is further ORDERED that the docket be amended to reflect that Ryuk Park has withdrawn as counsel for Plaintiff and that she no longer needs to be noticed of any pleadings, motions, or other documents filed or served in this case. (This is a text-only entry generated by the court. There is no document associated with this entry.) (hs) (Entered: 04/12/2021) (0) |
| Apr 7, 2021 | 26 | MOTION to Withdraw as Attorney Ryuk Park by STRATOSAUDIO, INC.. (Attachments: # 1 Proposed Order)(Lamberson, Jonathan) (Entered: 04/07/2021) (Main Document) (3) |
| Apr 7, 2021 | 26 | MOTION to Withdraw as Attorney Ryuk Park by STRATOSAUDIO, INC.. (Attachments: # 1 Proposed Order)(Lamberson, Jonathan) (Entered: 04/07/2021) (Proposed Order) (1) |
| Apr 1, 2021 | N/A | Text Order GRANTING 24 Motion to Appear Pro Hac Vice for Attorney Jonathan J. Lamberson for STRATOSAUDIO, INC. Before the Court is the Motion for Admission Pro Hac Vice. The Court, having reviewed the Motion, finds it should be GRANTED and therefore orders as follows: IT IS ORDERED the Motion for Admission Pro Hac Vice is GRANTED. IT IS FURTHER ORDERED that Applicant, if he/she has not already done so, shall immediately tender the amount of $100.00, made payable to: Clerk, U.S. District Court, in compliance with Local Rule AT-I (f)(2). Pursuant to our Administrative Policies and Procedures for Electronic Filing, the attorney hereby granted to practice pro hac vice in this case must register for electronic filing with our court within 10 days of this order entered by Judge Alan D Albright. (This is a text-only entry generated by the court. There is no document associated with this entry.) (mm6) (Entered: 04/01/2021) (0) |
| Apr 1, 2021 | N/A | Text Order GRANTING 25 Motion to Appear Pro Hac Vice for Attorney Don Zhe Nan Wang for STRATOSAUDIO, INC. Before the Court is the Motion for Admission Pro Hac Vice. The Court, having reviewed the Motion, finds it should be GRANTED and therefore orders as follows: IT IS ORDERED the Motion for Admission Pro Hac Vice is GRANTED. IT IS FURTHER ORDERED that Applicant, if he/she has not already done so, shall immediately tender the amount of $100.00, made payable to: Clerk, U.S. District Court, in compliance with Local Rule AT-I (f)(2). Pursuant to our Administrative Policies and Procedures for Electronic Filing, the attorney hereby granted to practice pro hac vice in this case must register for electronic filing with our court within 10 days of this order entered by Judge Alan D Albright. (This is a text-only entry generated by the court. There is no document associated with this entry.) (mm6) (Entered: 04/01/2021) (0) |
| Mar 29, 2021 | 24 | MOTION to Appear Pro Hac Vice by Corby R. Vowell for Jonathan J. Lamberson ( Filing fee $ 100 receipt number 0542-14640694) by on behalf of STRATOSAUDIO, INC.. (Vowell, Corby) (Entered: 03/29/2021) (5) |
| Mar 29, 2021 | 25 | MOTION to Appear Pro Hac Vice by Corby R. Vowell for Don Zhe Nan Wang ( Filing fee $ 100 receipt number 0542-14640815) by on behalf of STRATOSAUDIO, INC.. (Vowell, Corby) (Entered: 03/29/2021) (4) |
| Mar 12, 2021 | 23 | REPLY to Response to Motion, filed by Volkswagen Group of America, Inc., re 16 MOTION to Dismiss or Transfer for Improper Venue filed by Defendant Volkswagen Group of America, Inc. (Whittlesey, David) (Entered: 03/12/2021) (8) |
| Mar 5, 2021 | 22 | RESPONSE to Motion, filed by STRATOSAUDIO, INC., re 16 MOTION to Dismiss or Transfer for Improper Venue filed by Defendant Volkswagen Group of America, Inc. (Attachments: # 1 Affidavit Declaration of Ryuk Park, # 2 Exhibit A - VW Dealer Agreement, # 3 Exhibit B - VW Dealer Agreement Standard Provisions, # 4 Exhibit C - 2007 VW Operating Standards, # 5 Exhibit D - Audi Dealer Agreement, # 6 Exhibit E - Audi Dealer Agreement Standard Provisions, # 7 Exhibit F - Audi America Dealer Operating Standards)(Vowell, Corby) (Entered: 03/05/2021) (Main Document) (21) |
| Mar 5, 2021 | 22 | RESPONSE to Motion, filed by STRATOSAUDIO, INC., re 16 MOTION to Dismiss or Transfer for Improper Venue filed by Defendant Volkswagen Group of America, Inc. (Attachments: # 1 Affidavit Declaration of Ryuk Park, # 2 Exhibit A - VW Dealer Agreement, # 3 Exhibit B - VW Dealer Agreement Standard Provisions, # 4 Exhibit C - 2007 VW Operating Standards, # 5 Exhibit D - Audi Dealer Agreement, # 6 Exhibit E - Audi Dealer Agreement Standard Provisions, # 7 Exhibit F - Audi America Dealer Operating Standards)(Vowell, Corby) (Entered: 03/05/2021) (Affidavit Declaration of Ryuk Park) (3) |
| Mar 5, 2021 | 22 | RESPONSE to Motion, filed by STRATOSAUDIO, INC., re 16 MOTION to Dismiss or Transfer for Improper Venue filed by Defendant Volkswagen Group of America, Inc. (Attachments: # 1 Affidavit Declaration of Ryuk Park, # 2 Exhibit A - VW Dealer Agreement, # 3 Exhibit B - VW Dealer Agreement Standard Provisions, # 4 Exhibit C - 2007 VW Operating Standards, # 5 Exhibit D - Audi Dealer Agreement, # 6 Exhibit E - Audi Dealer Agreement Standard Provisions, # 7 Exhibit F - Audi America Dealer Operating Standards)(Vowell, Corby) (Entered: 03/05/2021) (Exhibit A - VW Dealer Agreement) (11) |
| Mar 5, 2021 | 22 | RESPONSE to Motion, filed by STRATOSAUDIO, INC., re 16 MOTION to Dismiss or Transfer for Improper Venue filed by Defendant Volkswagen Group of America, Inc. (Attachments: # 1 Affidavit Declaration of Ryuk Park, # 2 Exhibit A - VW Dealer Agreement, # 3 Exhibit B - VW Dealer Agreement Standard Provisions, # 4 Exhibit C - 2007 VW Operating Standards, # 5 Exhibit D - Audi Dealer Agreement, # 6 Exhibit E - Audi Dealer Agreement Standard Provisions, # 7 Exhibit F - Audi America Dealer Operating Standards)(Vowell, Corby) (Entered: 03/05/2021) (Exhibit B - VW Dealer Agreement Standard Provisions) (30) |
| Mar 5, 2021 | 22 | RESPONSE to Motion, filed by STRATOSAUDIO, INC., re 16 MOTION to Dismiss or Transfer for Improper Venue filed by Defendant Volkswagen Group of America, Inc. (Attachments: # 1 Affidavit Declaration of Ryuk Park, # 2 Exhibit A - VW Dealer Agreement, # 3 Exhibit B - VW Dealer Agreement Standard Provisions, # 4 Exhibit C - 2007 VW Operating Standards, # 5 Exhibit D - Audi Dealer Agreement, # 6 Exhibit E - Audi Dealer Agreement Standard Provisions, # 7 Exhibit F - Audi America Dealer Operating Standards)(Vowell, Corby) (Entered: 03/05/2021) (Exhibit C - 2007 VW Operating Standards) (30) |
| Mar 5, 2021 | 22 | RESPONSE to Motion, filed by STRATOSAUDIO, INC., re 16 MOTION to Dismiss or Transfer for Improper Venue filed by Defendant Volkswagen Group of America, Inc. (Attachments: # 1 Affidavit Declaration of Ryuk Park, # 2 Exhibit A - VW Dealer Agreement, # 3 Exhibit B - VW Dealer Agreement Standard Provisions, # 4 Exhibit C - 2007 VW Operating Standards, # 5 Exhibit D - Audi Dealer Agreement, # 6 Exhibit E - Audi Dealer Agreement Standard Provisions, # 7 Exhibit F - Audi America Dealer Operating Standards)(Vowell, Corby) (Entered: 03/05/2021) (Exhibit D - Audi Dealer Agreement) (6) |
| Mar 5, 2021 | 22 | RESPONSE to Motion, filed by STRATOSAUDIO, INC., re 16 MOTION to Dismiss or Transfer for Improper Venue filed by Defendant Volkswagen Group of America, Inc. (Attachments: # 1 Affidavit Declaration of Ryuk Park, # 2 Exhibit A - VW Dealer Agreement, # 3 Exhibit B - VW Dealer Agreement Standard Provisions, # 4 Exhibit C - 2007 VW Operating Standards, # 5 Exhibit D - Audi Dealer Agreement, # 6 Exhibit E - Audi Dealer Agreement Standard Provisions, # 7 Exhibit F - Audi America Dealer Operating Standards)(Vowell, Corby) (Entered: 03/05/2021) (Exhibit E - Audi Dealer Agreement Standard Provisions) (24) |
| Mar 5, 2021 | 22 | RESPONSE to Motion, filed by STRATOSAUDIO, INC., re 16 MOTION to Dismiss or Transfer for Improper Venue filed by Defendant Volkswagen Group of America, Inc. (Attachments: # 1 Affidavit Declaration of Ryuk Park, # 2 Exhibit A - VW Dealer Agreement, # 3 Exhibit B - VW Dealer Agreement Standard Provisions, # 4 Exhibit C - 2007 VW Operating Standards, # 5 Exhibit D - Audi Dealer Agreement, # 6 Exhibit E - Audi Dealer Agreement Standard Provisions, # 7 Exhibit F - Audi America Dealer Operating Standards)(Vowell, Corby) (Entered: 03/05/2021) (Exhibit F - Audi America Dealer Operating Standards) (30) |
| Mar 4, 2021 | 21 | STATUS REPORT Case Readiness Status Report by STRATOSAUDIO, INC.. (Vowell, Corby) (Entered: 03/04/2021) (4) |
| Mar 3, 2021 | N/A | Text Order GRANTING 20 Motion to Appear Pro Hac Vice for Attorney Michael J. Songer for STRATOSAUDIO, INC. Before the Court is the Motion for Admission Pro Hac Vice. The Court, having reviewed the Motion, finds it should be GRANTED and therefore orders as follows: IT IS ORDERED the Motion for Admission Pro Hac Vice is GRANTED. IT IS FURTHER ORDERED that Applicant, if he/she has not already done so, shall immediately tender the amount of $100.00, made payable to: Clerk, U.S. District Court, in compliance with Local Rule AT-I (f)(2). Pursuant to our Administrative Policies and Procedures for Electronic Filing, the attorney hereby granted to practice pro hac vice in this case must register for electronic filing with our court within 10 days of this order entered by Judge Alan D Albright. (This is a text-only entry generated by the court. There is no document associated with this entry.) (mm6) (Entered: 03/03/2021) (0) |
| Feb 26, 2021 | 20 | MOTION to Appear Pro Hac Vice by Corby R. Vowell for Michael Songer ( Filing fee $ 100 receipt number 0542-14532176) by on behalf of STRATOSAUDIO, INC.. (Vowell, Corby) (Entered: 02/26/2021) (4) |
| Feb 26, 2021 | N/A | Text Order GRANTING 17 Motion to Appear Pro Hac Vice for Attorney Charles Larsen for STRATOSAUDIO, INC. Before the Court is the Motion for Admission Pro Hac Vice. The Court, having reviewed the Motion, finds it should be GRANTED and therefore orders as follows: IT IS ORDERED the Motion for Admission Pro Hac Vice is GRANTED. IT IS FURTHER ORDERED that Applicant, if he/she has not already done so, shall immediately tender the amount of $100.00, made payable to: Clerk, U.S. District Court, in compliance with Local Rule AT-I (f)(2). Pursuant to our Administrative Policies and Procedures for Electronic Filing, the attorney hereby granted to practice pro hac vice in this case must register for electronic filing with our court within 10 days of this order entered by Judge Alan D Albright. (This is a text-only entry generated by the court. There is no document associated with this entry.) (mm6) (Entered: 02/26/2021) (0) |
| Feb 26, 2021 | N/A | Text Order GRANTING 18 Motion to Appear Pro Hac Vice for Attorney Ryuk Park for STRATOSAUDIO, INC. Before the Court is the Motion for Admission Pro Hac Vice. The Court, having reviewed the Motion, finds it should be GRANTED and therefore orders as follows: IT IS ORDERED the Motion for Admission Pro Hac Vice is GRANTED. IT IS FURTHER ORDERED that Applicant, if he/she has not already done so, shall immediately tender the amount of $100.00, made payable to: Clerk, U.S. District Court, in compliance with Local Rule AT-I (f)(2). Pursuant to our Administrative Policies and Procedures for Electronic Filing, the attorney hereby granted to practice pro hac vice in this case must register for electronic filing with our court within 10 days of this order entered by Judge Alan D Albright. (This is a text-only entry generated by the court. There is no document associated with this entry.) (mm6) (Entered: 02/26/2021) (0) |
| Feb 24, 2021 | 17 | MOTION to Appear Pro Hac Vice by Corby R. Vowell for Charles Larsen ( Filing fee $ 100 receipt number 0542-14521141) by on behalf of STRATOSAUDIO, INC.. (Vowell, Corby) (Entered: 02/24/2021) (4) |
| Feb 24, 2021 | 18 | MOTION to Appear Pro Hac Vice by Corby R. Vowell for Ryuk Park ( Filing fee $ 100 receipt number 0542-14521162) by on behalf of STRATOSAUDIO, INC.. (Vowell, Corby) (Entered: 02/24/2021) (4) |
| Feb 19, 2021 | 16 | MOTION to Dismiss or Transfer for Improper Venue by Volkswagen Group of America, Inc.. (Attachments: # 1 Declaration)(Whittlesey, David) (Entered: 02/19/2021) (Main Document) (7) |
| Feb 19, 2021 | 16 | MOTION to Dismiss or Transfer for Improper Venue by Volkswagen Group of America, Inc.. (Attachments: # 1 Declaration)(Whittlesey, David) (Entered: 02/19/2021) (Declaration) (3) |
| Feb 12, 2021 | 19 | Standing Order Regarding Filing Documents Under Seal and Redacted Pleadings in Patent Cases. Signed by Judge Alan D Albright. as of 2/12/2021. (bot1) (Entered: 02/24/2021) (1) |
| Jan 14, 2021 | N/A | Text Order GRANTING 10 Motion to Appear Pro Hac Vice. Pursuant to our Administrative Policies and Procedures for Electronic Filing, the attorney hereby granted to practice pro hac vice in this case must register for electronic filing with our court within 10 days of this order.; GRANTING 11 Motion to Appear Pro Hac Vice. Pursuant to our Administrative Policies and Procedures for Electronic Filing, the attorney hereby granted to practice pro hac vice in this case must register for electronic filing with our court within 10 days of this order.; GRANTING 12 Motion to Appear Pro Hac Vice. Pursuant to our Administrative Policies and Procedures for Electronic Filing, the attorney hereby granted to practice pro hac vice in this case must register for electronic filing with our court within 10 days of this order.; GRANTING 13 Motion to Appear Pro Hac Vice. Pursuant to our Administrative Policies and Procedures for Electronic Filing, the attorney hereby granted to practice pro hac vice in this case must register for electronic filing with our court within 10 days of this order.; GRANTING 14 Motion to Appear Pro Hac Vice. Pursuant to our Administrative Policies and Procedures for Electronic Filing, the attorney hereby granted to practice pro hac vice in this case must register for electronic filing with our court within 10 days of this order. entered by Judge Alan D Albright. Before the Court are the above Motions for Admission Pro Hac Vice. The Court, having reviewed the Motions, finds they should be GRANTED and therefore orders as follows: IT IS ORDERED the above Motions for Admission Pro Hac Vice are GRANTED. IT IS FURTHER ORDERED that Applicants, if they have not already done so, shall immediately tender the amount of $100.00, made payable to: Clerk, U.S. District Court, in compliance with Local Rule AT-I (f)(2). (This is a text-only entry generated by the court. There is no document associated with this entry.) (hs) (Entered: 01/14/2021) (0) |
| Jan 6, 2021 | 14 | MOTION to Appear Pro Hac Vice by David Philip Whittlesey on behalf of Mark Hannemann ( Filing fee $ 100 receipt number 0542-14344760) by on behalf of Volkswagen Group of America, Inc.. (Attachments: # 1 Proposed Order)(Whittlesey, David) (Entered: 01/06/2021) (Main Document) (3) |
| Jan 6, 2021 | 15 | ATTACHMENT Addendum to 13 MOTION to Appear Pro Hac Vice by David Philip Whittlesey on behalf of Thomas R. Makin ( Filing fee $ 100 receipt number 0542-14341986) by Volkswagen Group of America, Inc.. (Whittlesey, David) (Entered: 01/06/2021) (1) |
| Jan 6, 2021 | 14 | MOTION to Appear Pro Hac Vice by David Philip Whittlesey on behalf of Mark Hannemann ( Filing fee $ 100 receipt number 0542-14344760) by on behalf of Volkswagen Group of America, Inc.. (Attachments: # 1 Proposed Order)(Whittlesey, David) (Entered: 01/06/2021) (Proposed Order) (1) |
| Jan 5, 2021 | N/A | Text Order GRANTING 8 Motion for Extension of Time to File Response/Reply entered by Judge Alan D Albright. Came on for consideration is Defendant's Motion. Noting that it is unopposed, the Court GRANTS the Motion. Defendant shall have up to and including February 19, 2021 to answer or otherwise respond to Plaintiff's Complaint.(This is a text-only entry generated by the court. There is no document associated with this entry.) (hs) (Entered: 01/05/2021) (0) |
| Jan 5, 2021 | N/A | Reset Deadlines: Volkswagen Group of America, Inc. answer due 2/19/2021. (lad) (Entered: 01/05/2021) (0) |
| Jan 5, 2021 | 9 | RULE 7 DISCLOSURE STATEMENT filed by Volkswagen Group of America, Inc.. (Whittlesey, David) (Entered: 01/05/2021) (2) |
| Jan 5, 2021 | 10 | MOTION to Appear Pro Hac Vice by David Philip Whittlesey on behalf of Ahmed E. ElDessouki ( Filing fee $ 100 receipt number 0542-14341740) by on behalf of Volkswagen Group of America, Inc.. (Attachments: # 1 Proposed Order)(Whittlesey, David) (Entered: 01/05/2021) (Main Document) (3) |
| Jan 5, 2021 | 11 | MOTION to Appear Pro Hac Vice by David Philip Whittlesey on behalf of Daniel M. Chozick ( Filing fee $ 100 receipt number 0542-14341911) by on behalf of Volkswagen Group of America, Inc.. (Attachments: # 1 Proposed Order)(Whittlesey, David) (Entered: 01/05/2021) (Main Document) (3) |
| Jan 5, 2021 | 12 | MOTION to Appear Pro Hac Vice by David Philip Whittlesey on behalf of Eric S. Lucas ( Filing fee $ 100 receipt number 0542-14341958) by on behalf of Volkswagen Group of America, Inc.. (Attachments: # 1 Proposed Order)(Whittlesey, David) (Entered: 01/05/2021) (Main Document) (3) |
| Jan 5, 2021 | 13 | MOTION to Appear Pro Hac Vice by David Philip Whittlesey on behalf of Thomas R. Makin ( Filing fee $ 100 receipt number 0542-14341986) by on behalf of Volkswagen Group of America, Inc.. (Attachments: # 1 Proposed Order)(Whittlesey, David) (Entered: 01/05/2021) (Main Document) (3) |
| Jan 5, 2021 | 11 | MOTION to Appear Pro Hac Vice by David Philip Whittlesey on behalf of Daniel M. Chozick ( Filing fee $ 100 receipt number 0542-14341911) by on behalf of Volkswagen Group of America, Inc.. (Attachments: # 1 Proposed Order)(Whittlesey, David) (Entered: 01/05/2021) (Proposed Order) (1) |
| Jan 5, 2021 | 12 | MOTION to Appear Pro Hac Vice by David Philip Whittlesey on behalf of Eric S. Lucas ( Filing fee $ 100 receipt number 0542-14341958) by on behalf of Volkswagen Group of America, Inc.. (Attachments: # 1 Proposed Order)(Whittlesey, David) (Entered: 01/05/2021) (Proposed Order) (1) |
| Jan 5, 2021 | 13 | MOTION to Appear Pro Hac Vice by David Philip Whittlesey on behalf of Thomas R. Makin ( Filing fee $ 100 receipt number 0542-14341986) by on behalf of Volkswagen Group of America, Inc.. (Attachments: # 1 Proposed Order)(Whittlesey, David) (Entered: 01/05/2021) (Proposed Order) (1) |
| Jan 5, 2021 | 10 | MOTION to Appear Pro Hac Vice by David Philip Whittlesey on behalf of Ahmed E. ElDessouki ( Filing fee $ 100 receipt number 0542-14341740) by on behalf of Volkswagen Group of America, Inc.. (Attachments: # 1 Proposed Order)(Whittlesey, David) (Entered: 01/05/2021) (Proposed Order) (1) |
| Dec 31, 2020 | 8 | Unopposed MOTION for Extension of Time to File Response/Reply as to 1 Complaint, by Volkswagen Group of America, Inc.. (Attachments: # 1 Proposed Order)(Whittlesey, David) (Entered: 12/31/2020) (Main Document) (3) |
| Dec 31, 2020 | 8 | Unopposed MOTION for Extension of Time to File Response/Reply as to 1 Complaint, by Volkswagen Group of America, Inc.. (Attachments: # 1 Proposed Order)(Whittlesey, David) (Entered: 12/31/2020) (Proposed Order) (1) |
| Dec 17, 2020 | 7 | SUMMONS Returned Executed by STRATOSAUDIO, INC.. Volkswagen Group of America, Inc. served on 12/15/2020, answer due 1/5/2021. (Vowell, Corby) (Entered: 12/17/2020) (2) |
| Dec 14, 2020 | 6 | RULE 7 DISCLOSURE STATEMENT filed by STRATOSAUDIO, INC.. (Vowell, Corby) (Entered: 12/14/2020) (2) |
| Dec 11, 2020 | 2 | REQUEST FOR ISSUANCE OF SUMMONS by STRATOSAUDIO, INC.. (Vowell, Corby) (Entered: 12/11/2020) (2) |
| Dec 11, 2020 | 3 | Notice of Filing of Patent/Trademark Form (AO 120). AO 120 forwarded to the Director of the U.S. Patent and Trademark Office. (Vowell, Corby) (Entered: 12/11/2020) (1) |
| Dec 11, 2020 | N/A | Case assigned to Judge Alan D Albright. CM WILL NOW REFLECT THE JUDGE INITIALS AS PART OF THE CASE NUMBER. PLEASE APPEND THESE JUDGE INITIALS TO THE CASE NUMBER ON EACH DOCUMENT THAT YOU FILE IN THIS CASE. (bw) (Entered: 12/11/2020) (0) |
| Dec 11, 2020 | 5 | Summons Issued as to Volkswagen Group of America, Inc.. (bw) (Entered: 12/11/2020) (2) |
| Dec 11, 2020 | 1 | Complaint* (1) |
| Nov 19, 2020 | 4 | Standing Order Regarding Notice of Readiness v2.1. Signed by Judge Alan D Albright. (bw) (Entered: 12/11/2020) (4) |