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`BEFORE THE PATENT TRIAL AND APPEAL BOARD
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`PETROLEUM GEO-SERVICES INC.,
`Petitioner
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`v.
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`WESTERNGECO LLC
`Patent Owner
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`———————————
`
`Cases
`IPR2014-01475 (U.S. Patent No. 7,162,967)
`IPR2014-01477 (U.S. Patent No. 7,080,607)
`IPR2014-01478 (U.S. Patent No. 7,293,520)
`———————————
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`SUPPLEMENTAL DECLARATION OF ROBIN C. WALKER
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`Pursuant to 28 U.S.C. § 1746, I, Robin C. Walker, the undersigned, hereby declare as
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`follows:
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`1.
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`My name is Robin C. Walker. I am over eighteen years of age, of sound
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`mind, and in all ways qualified and competent to make this declaration. I have personal
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`knowledge of the facts contained in this declaration and they are true and correct.
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`2.
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`I have worked in the marine seismic industry for 30 years in technical,
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`research and customer-facing roles. Through my experience, I have developed first-hand
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`knowledge of the technologies that have driven customer demand and enabled effective
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`acquisition techniques in this industry. During my 30 year tenure at Schlumberger, I rose to be
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`the Vice President of Sales and Marketing Director for WesternGeco from March 2008 to March
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`2013 and a Global Account Director for Schlumberger from March 2013 to January 2015. I am
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`WESTERNGECO Exhibit 2135, pg. 1
`PGS v. WESTERNGECO
`IPR2014-01478
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`particularly knowledgeable about the development, marketing and sales of WesternGeco’s
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`QMarine System and the market’s reception of Q-Marine and other systems that practice the
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`patents I understand to be at issue in this proceeding (“Bittleston patents”).
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`3.
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`Exhibit 2101 is a true and correct copy of a final draft of an
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`industry magazine article entitled “Application of Q-Marine Technology for SPC; Imaging
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`for Pinghu field gas reservoirs” that was produced by employees at WesternGeco and SPC (a
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`customer of WesternGeco) in 2008 and that I received in 2008 and approved in my role as the
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`worldwide Q Product Manager. This article was made and kept in the ordinary course of
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`WesternGeco’s business.
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`4.
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`Exhibit 2102 is a true and correct copy of a customer and marketing
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`presentation entitled “Q-Marine improvements.” I produced and gave this presentation during
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`my time at WesternGeco, specifically during the early to mid-2000s. This presentation was
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`made and kept in the ordinary course of WesternGeco’s business.
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`5.
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`Exhibit 2108 is a true and correct copy of a presentation entitled “4D
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`Acquisition with Q-Marine - Experiences and Strategies” that was produced by employees at
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`WesternGeco and that I received during my time at WesternGeco. Specifically, I received this
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`presentation on or around December 1, 2004. This presentation was made and kept in the
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`ordinary course of WesternGeco’s business.
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`6.
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`Exhibit 2110 is a true and correct copy of an article entitled “Mapping
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`the fluid front and pressure buildup using 4D data on Norne Field” from the September 2006
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`issue of The Leading Edge, an industry magazine of the Society of Exploration Geophysicists
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`(SEG). I received this article during my time at WesternGeco and kept it in the ordinary
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`course of WesternGeco’s business.
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`2
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`WESTERNGECO Exhibit 2135, pg. 2
`PGS v. WESTERNGECO
`IPR2014-01478
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`7.
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`Exhibit 2111 is a true and correct copy of an article entitled “Interpreting
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`reservoir talk” from the September 4, 2003 issue of Offshore Engineer. I received this
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`article during my time at WesternGeco and kept it in the ordinary course of WesternGeco’s
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`business.
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`8.
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`Exhibit 2112 is a true and correct copy of an article entitled “Making
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`a good recovery” from the March 14, 2005 issue of Offshore Engineer. I received this
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`article during my time at WesternGeco and kept it in the ordinary course of WesternGeco’s
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`business.
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`9.
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`Exhibit 2113 is a true and correct copy of ION Technical Forum
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`(ITF) 2010’s Book of Abstracts. A version of this document is available for download
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`from
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`ION’s
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`website.
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`
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`See
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`http://www.iongeo.com/content/documents/pdfs/ITF_2010_Abstracts_.pdf.
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`10.
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`Exhibit 2114 is a true and correct copy of an article entitled “Intelligent
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`Infill for Cost Effective 3D Seismic Marine Acquisitions” from the 71st EAGE Conference and
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`Exhibition.
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`11.
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`Exhibit 2115 is a true and correct copy of a draft of an industry
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`magazine article entitled “Evolution Through New Functionality and Applications, Q-Marine
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`gets even better” that was produced by employees at WesternGeco. This article was made and
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`kept in the ordinary course of WesternGeco’s business.
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`12.
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`Exhibit 2116 is a true and correct copy of an article entitled
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`“Q- Technology - moving into the mainstream” from the July/August 2003 issue of The Journal
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`of Offshore Technology. Employees at WesternGeco contributed significantly to the content of
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`3
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`WESTERNGECO Exhibit 2135, pg. 3
`PGS v. WESTERNGECO
`IPR2014-01478
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`this article. I received this article during my time at WesternGeco and kept it in the ordinary
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`course of WesternGeco’s business.
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`13.
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`Exhibit 2122 is a true and correct copy of an article
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`entitled WesternGeco, Seeing Below the Surface” from the May 2002 issue of Shell E&P
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`Technology. I received this article during my time at WestemGeco and kept it in the
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`ordinary course of WestemGeco's business.
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`14.
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`Exhibit 2132 is a true and correct copy of my trial demonstratives in
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`the WesternGeco L.L.C. v. ION Geophysical Corp. et al., Civ. No. 09-1827 (S.D. Tex.) litigation.
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`15.
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`Exhibit 2131 is a true and correct copy of email correspondence
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`dating from 2007 with subject line “Libya Technical Seminar,” in which I participated during
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`my time at WesternGeco. This correspondence was made and kept in the ordinary course of
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`WesternGeco’s business.
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`16.
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`Exhibit 2127 is a true and correct copy of a spreadsheet titled “H12305-
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`0007-075305” that I authored between 1994 and 1996 during my time at WesternGeco. This
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`spreadsheet was made and kept in the ordinary course of WesternGeco’s business. I understand
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`that Exhibit 2127 was provided to counsel for Petroleum Geo-Services, Inc. in its native form on
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`April 28, 2015, prior to my deposition commencing on April 30, 2015. I further understand that
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`the electronic filing system used in this proceeding does not allow native documents to be
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`uploaded. I have therefore generated the screenshots attached hereto, which are true and
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`accurate depictions of the various sheets within the native excel document and representative of
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`the totality of information contained within Exhibit 2127.
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`17.
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`Exhibit 2128 is a true and correct copy of a spreadsheet dating from 2010
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`titled “Tims stats 2005 to 2009 Retrieve 1” that was produced by employees at WesternGeco and
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`4
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`WESTERNGECO Exhibit 2135, pg. 4
`PGS v. WESTERNGECO
`IPR2014-01478
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`that I received during my time at WesternGeco. This spreadsheet was made and kept in the
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`ordinary course of WesternGeco’s business. I understand that Exhibit 2128 was provided to
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`counsel for Petroleum Geo-Services, Inc. in its native form on April 28, 2015, prior to my
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`deposition commencing on April 30, 2015. I further understand that the electronic filing system
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`used in this proceeding does not allow native documents to be uploaded. I have therefore
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`generated the screenshots attached hereto, which are true and accurate depictions of the various
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`sheets within the native excel document and representative of the totality of information
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`contained within Exhibit 2128.
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`18.
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`Exhibit 2129 is a true and correct copy of an email dating from 2002 with
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`subject line “Status report for May, 2002,” which I received during my time at WesternGeco.
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`This correspondence was made and kept in the ordinary course of WesternGeco’s business.
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`19.
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`Exhibit 2130 is a true and correct copy of an email chain dating from
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`2005 with subject line "Thanks from Captain and ChevronTexaco," in which I participated
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`during my time at WestemGeco. This correspondence was made and kept in the ordinary
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`course of WestemGeco's business.
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`20.
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`I hereby declare that all statements made herein of my own knowledge are
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`true and that all statements made on information and belief are believed to be true; and further
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`that these statements were made with the knowledge that willful false statements and the like so
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`made are punishable by fine or imprisonment, or both, under Section 1001 of Title 18 of the
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`United States Code and that such willful false statements may jeopardize the results of these
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`proceedings.
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`21.
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`I declare under penalty of perjury under the laws of the United States of
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`America that the foregoing is true and correct.
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`5
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`WESTERNGECO Exhibit 2135, pg. 5
`PGS v. WESTERNGECO
`IPR2014-01478
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`August 7, 2015
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`6
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`WESTERNGECO Exhibit 2135, pg. 6
`PGS v. WESTERNGECO
`IPR2014-01478