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`UNITED STATES PATENT AND TRADEMARK OFFICE
`__________
`
`BEFORE THE PATENT TRIAL AND APPEAL BOARD
`____________
`
`HTC CORPORATION, HTC AMERICA, Inc.,
`ZTE CORPORATION, and ZTE (USA), Inc.,
`Petitioners,
`
`v.
`
`CELLULAR COMMUNICATIONS EQUIPMENT, LLC,
`Patent Owner.
`____________
`
`Case IPR2017-01508 (Patent 8,385,966 B2)
`Case IPR2017-01509 (Patent 9,037,129 B2)
`____________
`
`Record of Oral Hearing
`Held: July 10, 2018
`
`
`
`
`Before BRYAN F. MOORE, JENNIFER S. BISK, and
`GREGG I. ANDERSON, Administrative Patent Judges.
`
`
`

`

`Case IPR2017-01508 (Patent 8,385,966 B2)
`Case IPR2017-01509 (Patent 9,037,129 B2)
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`
`
`APPEARANCES:
`
`ON BEHALF OF THE PETITIONERS:
`
`
`BRIAN C. NASH, ESQ.
`Pillsbury Winthrop Shaw Pittman, LLP
`401 Congress Avenue, Suite 1700
`Austin, Texas 78701-3443
`(512) 580-9629
`brian.nash@pillsburylaw.com
`
`
`
`ON BEHALF OF THE PATENT OWNERS:
`
`
`BARRY J. BUMGARDNER, ESQ.
`MATTHEW JUREN, ESQ.
`Nelson Bumgardner Albritton
`3131 West 7th, Suite 300
`Fort Worth, Texas 76107
`(817) 377-3494
`barry@nbafirm.com
`
`
`
`
`The above-entitled matter came on for hearing on Tuesday, July 10,
`
`2018, commencing at 1 p.m. at the U.S. Patent and Trademark Office, 600
`Dulany Street, Alexandria, Virginia.
`
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`Case IPR2017-01508 (Patent 8,385,966 B2)
`Case IPR2017-01509 (Patent 9,037,129 B2)
`
`P R O C E E D I N G S
`- - - - -
`
` (12:59 p.m.)
`JUDGE BISK: Good afternoon. This is the hearing for IPR2017-
`01508 and 01509 between Petitioner HTC Corporation, HTC America, ZTE
`Corporation, and ZTE (USA), Incorporated, and Cellular Communications
`Equipment, LLC, the owner of the challenged patents, U.S. Patent Number
`8,385,966 in the '1508 matter and U.S. Patent 9,037,129 in the '1509 matter.
`Just a few administrative matters before we begin. I'm Judge Bisk
`and I have Judge Moore with me here on the right. Judge Anderson is on
`video. I guess there's a few videos here today. And he's joining us
`remotely obviously. So just remember, when you're presenting, if you
`could mention the slide number you're talking about so that Judge Anderson
`can follow along. This will also make the transcript easier to read. Per
`our trial order, each party will have 30 minutes to present its argument for
`each proceeding, totaling 2 hours for this hearing. You're not required to
`take all the time. And because Petitioner has the burden to show
`unpatentability of the original claims, Petitioner will proceed first, followed
`by the Patent Owner. Petitioner may reserve time to rebut Patent Owner's
`opposition.
`And just to mention, if there are any objections that you want to
`present to any of the testimony that happens today, we'd prefer you do that
`during your own time so that we don't interrupt each other's presentations.
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`Case IPR2017-01508 (Patent 8,385,966 B2)
`Case IPR2017-01509 (Patent 9,037,129 B2)
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`Okay. At this time, I'd like Counsel to introduce yourselves and
`who you have with you, beginning with Petitioner, please.
`MR. NASH: Your Honor, Brian Nash here on behalf of the
`Petitioners.
`JUDGE BISK: Okay, thank you. And Patent Owner?
`MR. BUMGARDNER: Your Honor, Barry Bumgardner, here on
`behalf of Patent Owner. Along with me is Matt Juren. I will argue the
`first case and Mr. Juren will argue the second case.
`JUDGE BISK: Okay, great.
`MR. BUMGARDNER: And if I may ask, Your Honor, will Judge
`Anderson be able to see what we put on the screen or should we assume that
`he will not be able to view that?
`JUDGE BISK: Well, assume that he won't be able to see the screen
`but he does have all of the slides electronically, so as long as you say the
`slide number or whatever you're looking at, if you can say the electronic
`version, he can keep up.
`MR. BUMGARDNER: Thank you, Your Honor.
`JUDGE BISK: That's correct, isn't it, Judge Anderson? You don't
`see the actual slides, right?
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`JUDGE ANDERSON: Yeah, the hearing room personnel would
`have to turn the camera to the slides. And if you have an Elmo, I think
`somebody had an Elmo there, I can't see that, but just give me the pleading
`you're looking at. I can follow along and certainly I have the slides available.
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`MR. BUMGARDNER: Thank you, Your Honor, I just wanted to
`make sure I knew what was going on here. So, that will all be fine.
`JUDGE BISK: Okay, great. Petitioner, whenever you're ready.
`MR. NASH: Your Honor, I have a couple of hard copies. I don't
`know if you'd like this as well, but I could pass those up.
`JUDGE BISK: Yes, sure.
`MR. NASH: They're very nicely bound.
`JUDGE BISK: Okay. And I'll keep track of time for you if you let
`me know how many minutes you want to reserve for rebuttal.
`MR. NASH: Thank you, Judge. I'd like to try and reserve ten
`minutes for rebuttal.
`JUDGE BISK: Okay, so I'll put 20 minutes on the timer just so you
`can see.
`MR. NASH: On the big red clock.
`JUDGE BISK: Yes.
`MR. NASH: Thank you so much.
`JUDGE BISK: All right, whenever you're ready.
`MR. NASH: Thank you, Judge. Brian Nash on behalf of
`Petitioners. And I'm going to start on Slide 2, Judge Anderson, because I
`think the important aspect of the '966 patent that we're going to discuss
`today is that it relates to power control for Message 3.
`So we see on Slide 3 that there's Figure 1B illustrated here. We've
`got Message 1, which is your random access preamble message being sent
`from the UE to the eNodeB. And then upon the successful transmission,
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`the eNodeB is going to reply with Message 2. And so the question is, what
`do we set the power control for Message 3?
`And what the '966 patent is teaching and relating to is utilizing
`factors and parameters that come from Messages 1 and 2 in setting that
`power control for Message 3. So we see that reflected here on Slide 3.
`In the context of Message 1, we're going to have a parameter called
`P ramp-up, delta P ramp-up. That's the incremental power change that's
`going to be applied to the RACH preamble as a method of trying to get a
`successful transmission.
`And then in Message 2 there's going to be a response, and included
`in that response from the eNodeB will be this power control command, or
`delta P PC. Those are the two factors you're going to see come into play
`here as we turn to Slide 3, because when we're setting the Message 3's initial
`power control, the '966 patent teaches these two equations that we see here
`on Slide 4, Judge Anderson, and that's equations 4A and 4B.
`And you see those factors reflected there in that equation. So
`there's the delta P PC and the delta P ramp-up factors that are included.
`And what's important, as we turn to Slide 5, is that the '966 patent
`teaches that that equation can be reduced using simple math to result in f(0)
`equal to g(0) equal to delta P PC plus delta P ramp-up. So that's a
`simplification of equations 4A and 4B from the '966 patent. So, as we
`turn to Slide 6, we see that these are the key elements. And I've tried to
`highlight the ones that we're going to be discussing today, but you're
`calculating the initial transmit power for that Message 3. And in doing so
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`Case IPR2017-01508 (Patent 8,385,966 B2)
`Case IPR2017-01509 (Patent 9,037,129 B2)
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`you're going to use full path loss, highlighted in purple. And then that
`calculation is going to depend on two things. It's going to depend on
`Message 1 preamble power, highlighted there in green, and it's going to
`depend on the power control adjustment state f(0), highlighted in blue.
`And again, that power control adjustment state is going to utilize a
`specific equation that was called out in the '966 patent. And we see that
`reflected there again at the bottom of Slide 6. So, as we turn into the claim
`language, which is reflected on Slide 7 and 8, we're going to see a
`corresponding highlight that's reflecting those same key elements that we
`just discussed.
`JUDGE ANDERSON: Mr. Nash, let me go back to Slide 6, please.
`So, you've got in there a bullet point of key elements, initialized power
`control, and in the '966 patent it describes the prior art as including the TS
`36.213 standard. And it says the difference that's been invented here is
`the initialization of these power control adjustment states: g(0), f(0). Tell
`me what is the initialization process that we're going through here?
`MR. NASH: Well, the initialization process in the context of the
`'966 patent is that equation that we see reflected below. That's from
`equations 4A and 4B, where we're setting f(0), a specific equation that
`utilizes f(0), and that's reduced to f(0) equal to delta P PC plus delta P ramp-
`up.
`
`JUDGE ANDERSON: So is that the first frame that's transmitted
`after Message 1 and Message 2 as part of Message 3?
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`MR. NASH: Correct, yes, that's the first successful scheduled
`transmission. So the first Message 3 that's being sent.
`JUDGE ANDERSON: Okay. Go ahead.
`MR. NASH: Thank you, Judge. I think it's helpful to take a quick
`look at Qualcomm, and so I'm going to skip to Slide 12, and actually,
`specifically Slide 13.
`So Qualcomm is obviously one of the primary issues in dispute, and
`as we look on Slide 13 we see that Qualcomm itself teaches each of those
`three key elements. And I'm using that same colored highlighting that we
`were talking about before.
`So first we see on Slide 13 that Qualcomm's got an Equation 4 that it
`discloses for PUSCH_power. And PUSCH_power is that transmit power
`for Message 3. And the first thing it depends on, you see there, is
`RACH_power. That RACH_power is the Message 1 preamble power.
`So we've got that first element in Qualcomm. And then as we turn
`to Slides 14, 15, 16, 17, and 18, we're going to see that there's some math
`that can be applied to Qualcomm's equations. And by utilizing Equations 1
`and 2 in Qualcomm, we can modify that Equation 4 to the result that we see
`here reflected on Slide 18.
`And so this is the rewritten Qualcomm Equation 4. And as we see
`there, we've got that PUSCH_power equation again. And now we've got
`these new variables in there, power_ramp_up plus PC_correction. Those
`are highlighted in blue there. And those are important provisions because
`each of those variables are the exact same as what we're talking about in the
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`context of a '966 patent. That is your delta P PC plus your delta P ramp-up.
`So now we've shown that there's this initialization of f(0), your power
`control adjustment state, because it's teaching those provisions.
`And then finally, with respect to that third purple highlighted
`provision, which is the full path loss compensation aspect, we see on Slide
`19 that that's also reflected in Qualcomm, or one of skill in the art would
`understand that to be reflected in Qualcomm. And there's two reasons why
`that's the case; each can be done in the alternative here.
`The first reason why that's the case is because Qualcomm teaches
`that Equation 4 involves the RACH preamble, and the RACH preamble in
`the context of Qualcomm is determined using an open-loop method. The
`reason why that's important is because the prior art 3GPP specifications
`require RACH preambles to be transmitted using full path loss
`compensation.
`And the '966 patent even admits that. It admits that preamble
`power is calculated using full path loss compensation when it's being done in
`an open loop method. So we see that reflected here on Slide 19. So, that
`alone would teach one with skill in the art that we've got full path loss
`compensation in the context of Qualcomm's Equation 4.
`JUDGE ANDERSON: Okay, so let me understand. The patent,
`then, the challenged patent, shows or agrees that the prior art uses a full path
`loss in the preamble, correct?
`MR. NASH: Correct, Judge.
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`JUDGE ANDERSON: And that is the basis for you to look at
`Qualcomm and the equations on RACH preamble that are in there -- excuse
`me, yes, RACH preamble power -- and assume that those also use full path
`loss, is that right?
`MR. NASH: That's correct, Your Honor.
`JUDGE ANDERSON: Okay. What is the reason, give me the best
`explanation you can, because it's a little bit unclear at this point in my
`understanding of the case, why you necessarily would use the path loss of
`one from the prior art in the Qualcomm equations that you're relying on?
`MR. NASH: Well, I think what we're trying to point out is that
`there's a baseline understanding of those skilled in the art, and that's that the
`prior art, as the '966 patent admits, understood the RACH preamble, if
`calculated using an open-loop method, is necessarily required to use full
`path loss.
`And as a result, when somebody's reading, the skilled artisan is
`reading the Qualcomm reference and sees in Equation 4 that the
`PUSCH_power is equal to the RACH_power, it knows, well, RACH_power
`is the preamble power for Message 1 and the preamble power for Message 1
`was calculated using an open-loop method, so, as a result, I know that
`parameter is using full path loss.
`And so when you're asking the question do the claims require a
`Message 3 transmit power that's calculated and depends on full path loss
`compensation, it does, because it depends on that RACH_power or the
`preamble power. Does that answer your question, Your Honor?
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`Case IPR2017-01508 (Patent 8,385,966 B2)
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`JUDGE ANDERSON: Yeah, I want to make sure I understand this
`as well as I can. So, first of all, Qualcomm is an open-loop system, right?
`MR. NASH: Correct.
`JUDGE ANDERSON: And so, because it's an open-loop system,
`we look at this preamble power and path loss in the preamble power based
`on what's known, and that is using full path loss. Once you do that, then
`you can fall into and look -- and you understand that in Qualcomm from
`Equation 4 because it mentions RACH power.
`MR. NASH: That's correct, Your Honor.
`JUDGE ANDERSON: Okay.
`MR. NASH: There's also a different basis that we walk through in
`the petition as well. You can see that reflected here in Slides 20, 21, and
`22. That involves Qualcomm's Equation 2, but that's a separate and
`additional basis for concluding that there's full path loss in the Qualcomm
`reference.
`I think it's helpful to quickly look at the institution decision. As we
`see on Slide 23, there's a couple of claim constructions from the institution
`decision. Those are not in dispute today. And in 24, we see the three
`grounds on which this trial was instituted. And each of those grounds
`depends on Qualcomm and then the TS 36.213 reference.
`So I think I've highlighted here on Slide 25 what I believe is not in
`dispute. And I think it's important to take a look at that quickly. The
`prior art's not in dispute, those claim constructions aren't, but, more
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`Case IPR2017-01508 (Patent 8,385,966 B2)
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`importantly, the math that we used to arrive at that simplified version of
`Equation 4 from the '966 patent is not in dispute.
`Similarly, the math that's used to modify Qualcomm's Equation 4 to
`get the result that we see there reflected at the bottom of Slide 25 is also not
`in dispute. So there's no dispute that the math that we used to get to these
`equations was correct and that there was a proper basis for doing so.
`There's only actually two issues in dispute here, and I have those
`reflected on Slide 26. First, CCE, the Patent Owner, contends that the
`Qualcomm reference doesn't utilize full path loss unless we can prove that
`Qualcomm's delta is equal to 1, it's a little delta, and that has to be 1 in order
`for there to be full path loss.
`Second, they also argue that the power control adjustment states that
`are claimed in the patent are not disclosed in Qualcomm.
`I'm going to jump into each of those issues. We've touched on it a
`little bit, Your Honor, but before I do I wanted to point out that Petitioner's
`expert testimony in this case is effectively unrebutted. CCE doesn't cite to
`explain or otherwise rely on any expert testimony of its own. So, with
`respect to experts in this case, the only testimony that's at issue is the
`testimony of the Petitioner's expert, Dr. Akl.
`So, taking a look at that first path loss provision, again, what CCE
`argues, and we see this reflected here on Slide 27, has been argued before,
`which is that delta in Qualcomm must be 1 in order for there to be full path
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`Well, as we see in Slide 28, the first reason why that's not the case is
`exactly what we just discussed, Judge Anderson, which is that there's an
`additional basis for the reason why there's full path loss in Qualcomm that
`doesn't even look at or address Qualcomm's Equation 2. It's the fact that
`you're using that RACH preamble with an open-loop method.
`And so we see here in Slide 28, I've highlighted Paragraph 52 from
`Dr. Akl's opening testimony where he says the admitted prior art of the '966
`patent admits that prior art 3GPP specifications require RACH preambles to
`be transmitted using full path loss compensation.
`And as we turn to
`Slide 29, we see that Dr. Akl used that as the first basis for concluding that
`Qualcomm teaches the use of full path loss compensation. He says in the
`beginning of Paragraph 127 that the preamble power described in
`Qualcomm is based on the entire path loss. First -- so this is his first reason
`-- the preamble power is calculated using an open-loop method. The 966
`patent admits that preamble power is calculated using full path loss
`compensation in an open-loop method. So right there is his first basis.
`It's independent of Qualcomm's Equation 2.
`Now, with respect to that second basis that involves mathematics
`applied to --
`JUDGE BISK: Can I just ask about this expert testimony? Is he
`relying on the admitted prior art of the '966 patent for that, or is he saying
`independently that's what it is, "oh, by the way, see the '966 patent that
`basically says that as well"?
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`MR. NASH: Yes, I think I understand your question, Your Honor.
`Dr. Akl's testimony is actually very thorough on this point, and if we look
`back at Slide 28, I've included, you see there, Paragraph 52 where we first
`mentioned what a RACH preamble requires.
`JUDGE BISK: Yes.
`MR. NASH: He also walks through a number of other pieces of
`prior art that are part of this case. And that's reflected in Paragraphs 39, 73
`through 75, and 82. So he actually walks us through a number of other
`pieces of prior art to establish the fact that RACH preambles require full
`path loss compensation.
`So, when he gets to this conclusion that we see reprinted here on
`Slide 29, and that's from Paragraph 127, he does cite to the '966 patent for
`that proposition because it's kind of the easiest thing to point to. But the
`preceding analysis also addresses that point. Does that answer your
`question?
`JUDGE BISK: Yes. Thank you.
`MR. NASH: So, with respect to that second argument, the
`argument that -- actually, before we move on, I do want to point out that this
`argument has never been addressed by patent owner.
`So, they didn't cross-examine Dr. Akl on this opinion, they didn't
`raise this issue in their patent owner response, and yet this issue,
`independent of what happens with Qualcomm's Equation 2, establishes full
`path loss.
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`So I think that's an important thing to highlight because now we're
`going to jump in why they are wrong about that delta provision. But even
`if they were right -- and they're not -- you could independently determine
`that full path loss is being used here without even addressing that.
`So I'm going to jump into why they're wrong about that delta
`provision.
`JUDGE ANDERSON: Counsel, so, which equation in Qualcomm
`are you relying on to get to the initialization equation in the claims, 2 or 4?
`MR. NASH: Four, Your Honor.
`JUDGE ANDERSON: Okay, thank you.
`MR. NASH: That's the one that says PUSCH_power equal to
`various provisions. And using mathematics, we arrived at a modified
`version of Qualcomm's Equation 4 that reflects that initialization.
`JUDGE ANDERSON: Okay. And Equation 2, I've got to say,
`and maybe I'm leading you into your argument on this delta, small delta
`issue, it doesn't appear in Equation 4; it's only in Equation 2, as I read the
`record here. So, I'm going to just leave it to you to explain what this delta
`issue is about. Go ahead, please.
`MR. NASH: Well, you're right, Your Honor. I honestly don't
`know that -- and we can go back to the slide that reflects Equation 2 if that's
`more helpful. But this was just an additional analysis that was done by
`Dr. Akl to try and show how you could derive path loss using some of the
`equations that are disclosed in the context of Qualcomm, mainly the
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`difference between transmit power and receipt power. So, he went through
`that analysis --
`JUDGE ANDERSON: Right, and I get that, so to the extent you
`focus on this argument about delta, that would be appreciated.
`MR. NASH: You bet. So, the reason why delta isn't modifying
`the path loss is because there's nothing in Qualcomm or any other evidence
`that establishes it as a modifier of path loss.
`You have a number of variables in these equations, they're all being
`multiplied by each other, and so for it to be a modifier of path loss, there has
`to be a specific function associated with that variable that corresponds to the
`modifying path loss. And we see what Qualcomm itself says about delta
`reflected here on Slide 30.
`So, Qualcomm doesn't discuss delta much but what it does say is that
`it's a correction factor that kind of acts as a catch-all for a bunch of other
`potential parameters. And we see those reprinted here. So, you've got
`transmit power of the eNodeB reference signal, RACH slot interference
`level, and signal-to-noise ratio.
`Those are the parameters that are disclosed in Qualcomm itself,
`except those may be absorbed into delta. But there's no mention at all of
`path loss in that context or anywhere else in Qualcomm. Qualcomm
`doesn't discuss path loss itself at all.
`JUDGE ANDERSON: Well, that's sort of true, but, Qualcomm,
`I'm looking at Column 9 at Line 7, I guess, says the correction factor delta
`may be used to bias the open-loop algorithm. That's seems to walk into
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`Case IPR2017-01508 (Patent 8,385,966 B2)
`Case IPR2017-01509 (Patent 9,037,129 B2)
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`your argument about, well, we're using full path loss because we're in an
`open loop. So, explain that one for me.
`MR. NASH: Yes, Your Honor. I'm familiar with the provision
`that you're discussing and all that's really saying is that you can use delta to
`modify what's being disclosed in the context of Equation 2.
`Remember that Equation 2 by itself doesn't actually discuss path
`loss. There isn't a provision in Equation 2 that says "PL," and it's not like
`delta's being applied times PL. So it is a factor, what they even call a
`correction factor, meaning it can be used to bias that open-loop method.
`But the other thing that's really contemplated are these three aspects right
`here: so, transmit power to the eNodeB reference signal, RACH slot
`interference level, and signal-to-noise ratio.
`So, I think what's being taught by that is that you can bias the open-
`loop correction method by, for example, using some of these parameters as a
`potential way to correct for, or bias, that correction open-loop method.
`Does that answer your question, Your Honor? Okay.
`There's one piece of evidence the Patent Owner introduced in the
`context of this, which is Exhibit 2004. I don't want to spend a whole lot of
`time on it but, frankly, I think it's largely irrelevant. There's no connection
`between Exhibit 2004 and the Qualcomm reference we have here. There's
`no factual evidence saying that one who's skilled in the art would look to
`Exhibit 2004 to better understand the delta. And, in fact, Exhibit 2004
`doesn't even refer to a delta factor. That's not mentioned anywhere in that
`reference at all.
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`There's an attempt to make an equivalence between delta in
`Qualcomm and alpha in the '966 patent. As we see on Slide 32, I'm just
`going to briefly mention that those equations are each solving for different
`things. So, Equation 1 in the '966 patent is solving for the PUSCH_power
`control, and the Equation 1 in the context of Qualcomm is solving for the
`RACH preamble power.
`So, these are apples and oranges, if you will, and there's no
`equivalence you can make just because they're both Equation 1 or just
`because they both happen to have Greek variables in them.
`As we look to Slide 33, another point that CCE tries to rely on is the
`testimony of Dr. Akl to try and make that equivalence. And I think it's
`very clearly from the context of Dr. Akl's testimony in cross-examination
`that he was trying to be very careful. And he was trying to say, look, if
`you're trying to say this is a factor that modifies path loss, you have to know
`something about that variable. It has to have the specific function of doing
`it. You can't just say, simply because it's 0.5 times the variable you have
`that it's there to modify path loss. It could have had some other intent.
`That 0.5 could represent some other parameter.
`And so he says that here on Slide 33, he says you have to know the
`context, what the meaning that's given to that variable is, and then, based on
`that meaning, then you can make a determination on whether or not it's there
`to result in a fractional portion of the path loss.
`And so then when we get to Slide 34, this is the quote that Patent
`Owners relied on quite a bit about delta. And as you see from the context
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`that surrounds that, Dr. Akl was simply answering the question that was
`asked, which is delta sort of in the abstract, if it's being used to modify path
`loss and it's less than 1, wouldn't that be a fractional path loss? And he
`simply just said yes. So, nothing big to draw from that.
`If we take a look at Slide 35, I'll just briefly touch on why Dr. Akl
`does not agree that delta equals 1. CCE seems to think that's the case.
`Again, that first reason has nothing to do with delta, so he clearly doesn't
`agree on that front. He thinks path loss is there regardless of what delta
`might be.
`And then, second, with respect to the context around Equation 2, he
`made it very clear that in order for there to be modifier in Equation 2 that
`modifies path loss, delta would need to have that role. And there's no
`evidence, as we just walked through, that supports that delta has some kind
`of role for modifying path loss.
`I can briefly touch on why the disclosed power control adjustment
`states, f(0) and g(0), are disclosed. CCE has raised a number of arguments
`with respect to that claim limitation. You see them laid out here in Slide
`37. I'll note that each one of these arguments was actually raised and
`addressed before as part of the institution decision.
`But I think the one that might be helpful today is their argument that
`you see in that second bullet point, which is that TS 36.213 requires f(0)
`equal to 0, and that that somehow creates a conflict in this combination
`because one of skill in the art wouldn't set that aside and then move on to
`find something else for f(0).
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`So I'm going to switch to Slide 39 where we address that argument,
`Your Honor. So I think what's important to see about that is that there's a
`starting premise that CCE uses that's got a number of flaws. And that
`starting premise is reflected here on Slide 39 at the top.
`So CCE contends you start with 36.213, which clearly requires f(0)
`equal to 0, and then the skilled artisans must recognize some kind of
`problem with that equation and then look for a different solution, and that
`would result in the combination of Qualcomm.
`Well, the first flaw in that premise, if they do start with 36.213, as
`the petition made clear and the institution decision made clear, we're starting
`with Qualcomm as the reference and Qualcomm's teaching what it's teaching
`about power control. And then you would look to 36.213 for efficiencies
`and for compliance with standards. So you don't start with 36.213 and
`move to Qualcomm, you start with Qualcomm and move to 36.213.
`The second flaw in their premise is that 36.213 requires f(0) equal to
`0. It does not. It presents f(0) equal to 0 as an example for that starting
`point of a power control adjustment state that's initialized at I equals 0.
`So that's just one example, and we have ample evidence in the record
`demonstrating that one of skill in the art would not see a conflict there
`because he would recognize that f(0) equal to 0 is just an example.
`So when he's going from Qualcomm to 36.213, he sees that f(0)
`equal to 0 -- and it's one of a couple examples that 36.213 provides -- and he
`would know that's just an example, it doesn't create a conflict, because he's
`already got a better value.
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`So, as we see on Slide 40, there's lots of evidence in the record
`already about why that combination would be made. And to briefly touch
`on how this combination results in that claimed initialization, I'll recap this.
`I think we discussed this a little bit earlier, but as we see on Slide 42, we've
`got two things that are required for that Message 3. There's the Message 1
`preamble power and then that power control adjustment state f(0) that has a
`specific equation reflected on Slide 42.
`And as we see on 43, again, we've got that first factor Message 1
`preamble power directly from Equation 4. And then with respect to the
`other provision, we see that as our modified Equation 4. And again

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