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UNITED STATES PATENT AND TRADEMARK OFFICE
`
`_________________
`
`BEFORE THE PATENT TRIAL AND APPEAL BOARD
`
`_________________
`
`MICROSOFT CORPORATION,
`APPLE INC., and ERICSSON INC.,
`Petitioners,
`
`v.
`
`UNILOC 2017 LLC,
`Patent Owner.
`
`IPR2019-009731
`Patent 7,075,917
`
`
`_________________
`
`
`PETITIONER’S REQUEST FOR ORAL ARGUMENT
`
`
`
`
`1 Apple Inc., who filed a petition in IPR2020-00224, has been joined as a petitioner
`in this proceeding. Ericsson Inc., who filed a petition in IPR2020-00315, has been
`joined as a petitioner in this proceeding.
`
`

`

`IPR2019-00973
`Patent 7,075,917
`
`Pursuant to 37 C.F.R. § 42.70, the Board’s Scheduling Order dated
`
`November 19, 2019 [Paper 8], Petitioner Microsoft Corporation (“Petitioner”)
`
`respectfully requests oral argument currently scheduled for August 20, 2020.
`
`Pursuant to the USPTO’s notice regarding PTAB oral hearings occurring after
`
`March 13, 2020, Petitioner intends to participate via remote video and/or
`
`telephonically, unless the USPTO further notifies otherwise. Petitioner requests
`
`authorization to present demonstrative slides during oral argument and, to the extent
`
`a live hearing is conducted, Petitioner requests the ability to use audio visual
`
`equipment to display those demonstrative exhibits, including the use of a projector
`
`and screen for PowerPoint display.
`
`Petitioner specifies, without intent to waive consideration of any issue not
`
`requested, the following issues to be argued:
`
`•
`
`•
`
`•
`
`The interpretation of certain claim limitations of U.S. Patent 7,075,917.
`
`The public availability of the prior art references.
`
`The unpatentability of claims 1-3 and 9-10 under Section 103 over 3G
`
`TR25.835 (Ex. 1005) and Abrol (Ex. 1007), including without
`
`limitation the motivation to combine the disclosures and teachings of
`
`TR25.835 and Abrol, to reach a system that satisfies the claims.
`
`Petitioner’s Request for Oral Argument
`
`Page 1
`
`

`

`IPR2019-00973
`Patent 7,075,917
`
`Petitioner reserves the right to address any arguments presented by Patent
`
`Owner and any other issues about which the Board wishes to hear argument during
`
`any oral hearing in this proceeding.
`
`Petitioner requests 60 minutes to address all issues for this proceeding.
`
`Dated: July 9, 2020
`
`
`
`
`
`
`
`
`
`
`
`
`
`Respectfully submitted,
`
`By: /Andrew M. Mason/
`Joseph T. Jakubek, (Reg. No. 34,190)
`joseph.jakubek@klarquist.com
`Andrew M. Mason (Reg. No. 64,034)
`andrew.mason@klarquist.com
`Todd M. Siegel (Reg. No. 73,232)
`todd.siegel@klarquist.com
`John D. Vandenberg (Reg. No. 31,312)
`john.vandenberg@klarquist.com
`KLARQUIST SPARKMAN, LLP
`One World Trade Center, Suite 1600
`121 S.W. Salmon Street
`Portland, Oregon 97204
`Tel: 503-595-5300
`Fax: 503-595-5301
`
`Counsel for Petitioners
`
`Petitioner’s Request for Oral Argument
`
`Page 2
`
`

`

`IPR2019-00973
`Patent 7,075,917
`
`CERTIFICATE OF SERVICE
`
`The undersigned certifies that on July 9, 2020, a true and correct copy of
`
`Petitioner’s Request for Oral Argument was served on counsel for Uniloc 2017
`
`LLC via electronic mail as follows:
`
`Ryan Loveless – Lead Counsel
`ryan@etheridgelaw.com
`Brett Mangrum – Back-up Counsel
`brett@etheridgelaw.com
`James Etheridge – Back-up Counsel
`jim@etheridgelaw.com
`Jeffrey Huang – Back-up Counsel
`jeff@etheridgelaw.com
`Etheridge Law Group
`2600 E. Southlake Blvd., Ste. 120-324
`Southlake, TX 76092
`
`
`
`
`
`
`
`
`By: /Andrew M. Mason/
`Andrew M. Mason (Reg. No. 64,034)
`andrew.mason@klarquist.com
`KLARQUIST SPARKMAN, LLP
`One World Trade Center, Suite 1600
`121 S.W. Salmon Street
`Portland, Oregon 97204
`Tel: 503-595-5300
`Fax: 503-595-5301
`
`Counsel for Petitioners
`
`Certificate Of Service
`
`
`
`Page 1
`
`

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