throbber
IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`
`In re Inter Partes Review of:
`U.S. Patent No. 6,926,670
`Issued: August 09, 2005
`Application No.: 10/054,330
`Filing Date: January 22, 2002
`
`)
`)
`)
`)
`)
`
`For: Wireless MEMS Capacitive Sensor for Physiologic Parameter
`Measurement
`
`DECLARATION OF MARK ALLEN
`
`Abbott
`Exhibit 1024
`Page 001
`
`

`

`Declaration in Support of Inter Partes Review of USP 6,926,670
`
`CONTENTS
`INTRODUCTION ........................................................................................... 1
`BACKGROUND AND QUALIFICATIONS ................................................. 2
`DOCUMENTS CONSIDERED IN FORMING MY OPINIONS .................. 6
`UNDERSTANDING OF LEGAL PRINCIPLES ........................................... 8
`Understanding of Legal Principles Relevant to Anticipation and
`Obviousness ........................................................................................... 8
`Person of Ordinary Skill in the Art ..................................................... 11
`OVERVIEW OF THE ’670 PATENT .......................................................... 13
`The ’670 Patent ................................................................................... 13
`Background Regarding LC Tank Resonators as
`Implantable Sensors .................................................................. 14
`The Alleged Invention of the ’670 Patent ................................. 21
`The Challenged Claims ....................................................................... 28
`Prosecution History ............................................................................. 28
`CLAIM CONSTRUCTION .......................................................................... 29
`“integrated inductor” ........................................................................... 29
`“[said sensing device] being a micro electromechanical system
`(MEMS)” ............................................................................................. 36
`OVERVIEW OF THE PRIOR ART ............................................................. 39
`Overview—Akar (Ex. 1010) ............................................................... 39
`Overview—Petersen (Ex. 1006) ......................................................... 42
`Petersen, Claim 21 .................................................................... 49
`Overview—Park (Ex. 1008) ................................................................ 57
`Overview—Allen-379 (Ex. 1009) ....................................................... 61
`Overview—Renaud (Ex. 1011) ........................................................... 68
`CLAIMS 1-4, 21, 26-27, AND 31 ARE ANTICIPATED BY AKAR ......... 70
`Claim 1 ................................................................................................ 70
`[1pre]—“An implantable microfabricated sensor device
`for measuring a physiologic parameter of interest within
`a patient, said sensor comprising:” ........................................... 70
`i
`
`Abbott
`Exhibit 1024
`Page 002
`
`

`

`Declaration in Support of Inter Partes Review of USP 6,926,670
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`[1a]—“an implantable sensing device, said sensing
`device being a micro electromechanical system (MEMS)
`comprising” ............................................................................... 72
`[1b]—“a substrate,” .................................................................. 73
`[1c]—“an integrated inductor formed on the substrate,”.......... 75
`[1d]—“at least one sensor responsive to the physiologic
`parameters and being formed at least in part on the
`substrate,” .................................................................................. 78
`[1e]—“a plurality of conductive paths electrically
`connecting said integrated inductor with said sensor,” ............ 81
`[1f]—“said integrated inductor, said sensor and said
`conductive paths cooperatively defining an LC tank
`resonator.” ................................................................................. 84
`Claims 2 and 3 ..................................................................................... 85
`Claim 4 ................................................................................................ 87
`Claim 21 .............................................................................................. 88
`Claims 26 and 27 ................................................................................. 88
`Claim 31 .............................................................................................. 92
` CLAIMS 1-4, 21, 26 AND 31 ARE ANTICIPATED BY PETERSEN ....... 95
`Claim 1 ................................................................................................ 95
`
`[1pre]—“An implantable microfabricated sensor device
`
`for measuring a physiologic parameter of interest within
`a patient, said sensor comprising:” ........................................... 95
`[1a]—“an implantable sensing device, said sensing
`device being a micro electromechanical system (MEMS)
`comprising” ............................................................................... 96
`[1b]—“a substrate,” .................................................................. 97
`[1c]—“an integrated inductor formed on the substrate,”.......... 98
`[1d]—“at least one sensor responsive to the physiologic
`parameters and being formed at least in part on the
`substrate,” ................................................................................ 102
`[1e]—“a plurality of conductive paths electrically
`connecting said integrated inductor with said sensor,” .......... 109
`[1f]—“said integrated inductor, said sensor and said
`conductive paths cooperatively defining an LC tank
`resonator.” ............................................................................... 114
`Claims 2 and 3 ................................................................................... 117
`Claim 4 .............................................................................................. 121
`
`
`
`
`ii
`
`Abbott
`Exhibit 1024
`Page 003
`
`

`

`Declaration in Support of Inter Partes Review of USP 6,926,670
`
`
`
`
`
`
`
`Claim 21 ............................................................................................ 122
`Claim 26 ............................................................................................ 127
`Claim 31 ............................................................................................ 132
`CLAIMS 26-27 ARE RENDERED OBVIOUS BY PETERSEN AND
`RENAUD ..................................................................................................... 137
`Claims 26 and 27 ............................................................................... 137
`
` Motivations to Combine Petersen with Renaud ................................ 142
` CLAIMS 1-4, 21, AND 31 ARE ANTICIPATED BY PARK ................... 147
`Claim 1 .............................................................................................. 147
`
`[1pre]—“An implantable microfabricated sensor device
`
`for measuring a physiologic parameter of interest within
`a patient, said sensor comprising:” ......................................... 147
`[1a]—“an implantable sensing device, said sensing
`device being a micro electromechanical system (MEMS)
`comprising” ............................................................................. 148
`[1b]—“a substrate,” ................................................................ 149
`[1c]—“an integrated inductor formed on the substrate,”........ 151
`[1d]—“at least one sensor responsive to the physiologic
`parameters and being formed at least in part on the
`substrate,” ................................................................................ 155
`[1e]—“a plurality of conductive paths electrically
`connecting said integrated inductor with said sensor,” .......... 157
`[1f]—“said integrated inductor, said sensor and said
`conductive paths cooperatively defining an LC tank
`resonator.” ............................................................................... 160
`Claims 2 and 3 ................................................................................... 160
`Claim 4 .............................................................................................. 162
`Claim 21 ............................................................................................ 163
`Claim 31 ............................................................................................ 165
` CLAIMS 26-27 ARE RENDERED OBVIOUS BY PARK AND
`RENAUD ..................................................................................................... 169
`Claims 26 and 27 ............................................................................... 169
`
` Motivations to Combine Park with Renaud ...................................... 175
` CLAIMS 1-5, 21-25, 28-29, 31 ARE ANTICIPATED BY
`ALLEN-379 ................................................................................................. 180
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`iii
`
`Abbott
`Exhibit 1024
`Page 004
`
`

`

`Declaration in Support of Inter Partes Review of USP 6,926,670
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`Claim 1 .............................................................................................. 180
`[1pre]—“An implantable microfabricated sensor device
`
`for measuring a physiologic parameter of interest within
`a patient, said sensor comprising:” ......................................... 180
`[1a]—“an implantable sensing device, said sensing
`device being a micro electromechanical system (MEMS)
`comprising” ............................................................................. 183
`[1b]—“a substrate,” ................................................................ 185
`[1c]—“an integrated inductor formed on the substrate,”........ 186
`[1d]—“at least one sensor responsive to the physiologic
`parameters and being formed at least in part on the
`substrate,” ................................................................................ 190
`[1e]—“a plurality of conductive paths electrically
`connecting said integrated inductor with said sensor,” .......... 194
`[1f]—“said integrated inductor, said sensor and said
`conductive paths cooperatively defining an LC tank
`resonator.” ............................................................................... 197
`Claims 2 and 3 ................................................................................... 198
`Claim 4 .............................................................................................. 202
`Claim 5 .............................................................................................. 203
`Claim 21 ............................................................................................ 204
`Claim 22 ............................................................................................ 205
`Claims 23 and 25 ............................................................................... 208
`Claim 24 ............................................................................................ 210
`Claims 28 and 29 ............................................................................... 211
`Claim 31 ............................................................................................ 214
` CLAIMS 26-27 ARE RENDERED OBVIOUS BY ALLEN-379
`AND RENAUD ........................................................................................... 219
`Claims 26 and 27 ............................................................................... 219
`
` Motivation to Combine Allen-379 and Renaud ................................ 223
` CONCLUSION ............................................................................................ 228
`
`
`
`iv
`
`Abbott
`Exhibit 1024
`Page 005
`
`

`

`Declaration in Support of Inter Partes Review of USP 6,926,670
`
`
`
`INTRODUCTION
`
`1.
`
`I have been retained as an expert witness on behalf of Abbott
`
`Laboratories, Abbott Laboratories, Inc., St. Jude Medical, Inc., and CardioMEMS
`
`LLC (collectively, “Abbott” or “Petitioner”) in the above-captioned inter partes
`
`review (“IPR”) relating to U.S. Patent No. 6,926,670 (“the ’670 patent”) (Ex. 1001).
`
`The ’670 patent relates to implantable inductor-capacitor (LC) resonant sensor
`
`devices.
`
`2.
`
`I understand that Abbott is petitioning for IPR of claims 1-5, 21-29, and
`
`31 of the ’670 patent and requests that the United States Patent and Trademark Office
`
`(“PTO”) cancel those claims.
`
`3.
`
`In preparing this Declaration, I have reviewed the ’670 patent and
`
`considered the documents identified in Section 5 in light of the general knowledge
`
`in the relevant art. In forming my opinions, I relied upon my education, knowledge,
`
`and experience (including my extensive research and development experience with
`
`vascular stents) and considered the level of ordinary skill in the art as discussed
`
`below.
`
`4.
`
`I am being compensated for my time in connection with this IPR at my
`
`standard consulting rate, which is $625.00 per hour, plus actual expenses. My
`
`compensation is not dependent in any way upon the outcome of this matter.
`
`
`
`Abbott
`Exhibit 1024
`Page 006
`
`

`

`Declaration in Support of Inter Partes Review of USP 6,926,670
`
` BACKGROUND AND QUALIFICATIONS
`
`5.
`
`I received a B.A. degree in Chemistry, a B.S.E. degree in Chemical
`
`Engineering, and a B.S.E. degree in Electrical Engineering from the University of
`
`Pennsylvania, and a S.M. and Ph.D. (1989) from the Massachusetts Institute of
`
`Technology. From 1989 to 2013, I was a member of the faculty of the School of
`
`Electrical and Computer Engineering of the Georgia Institute of Technology,
`
`ultimately holding the rank of Regents' Professor and the J.M. Pettit Professorship
`
`in Microelectronics. In 2013, I joined the University of Pennsylvania faculty as the
`
`Alfred Fitler Moore Professor of Electrical and Systems Engineering, as well as was
`
`named the founding director of the Singh Center for Nanotechnology at Penn.
`
`6. As
`
`discussed
`
`below, my
`
`technical
`
`expertise
`
`is
`
`in
`
`microelectromechanical systems (MEMS), microfabrication technologies for
`
`MEMS, and the application of MEMS in multiple fields, including biomedical
`
`implants and microfabricated inductors.
`
`7. At the beginning of my academic career in 1989, I founded my research
`
`group, the Microsensors and Microactuators Group. This group, consisting of
`
`graduate students and postdoctoral associates of both the Georgia Institute of
`
`Technology and the University of Pennsylvania, has been in continuous existence
`
`since that time. Although the composition as well as the specific research topics of
`
`the group have changed over time, the group has maintained a focus since its
`
`2
`
`Abbott
`Exhibit 1024
`Page 007
`
`

`

`Declaration in Support of Inter Partes Review of USP 6,926,670
`
`founding on the development of new microfabrication technologies and their
`
`application to MEMS.
`
`8.
`
` Between the beginning of my academic career in 1989 and the year
`
`1996, I published multiple papers in the field of MEMS, in journals such as the
`
`Institute of Electrical and Electronics Engineers
`
`(IEEE)
`
`Journal of
`
`Microelectromechanical Systems and
`
`the Journal of Micromechanics and
`
`Microengineering, on integrated inductor and integrated magnetic actuator
`
`technologies. These publications established my research group as one of the
`
`pioneers in micromachined magnetics. I published multiple proceedings articles in
`
`the three major conferences in MEMS at the time: the Solid State Sensor and
`
`Actuator Workshop (known in the field as the ‘Hilton Head’ workshop), the IEEE
`
`Microelectromechanical Systems Conference, and the International Conference on
`
`Solid State Sensors and Actuators (known in the field as the ‘Transducers’
`
`conference), including an invited paper in this latter conference in 1993.
`
`9.
`
`In 1994 my student and I gave a plenary address to the IEEE Applied
`
`Power Electronics Conference and Exposition on the topic of micromachined
`
`inductors.
`
`10.
`
`In 1996, I was the co-chair of the 1996 IEEE Microelectromechanical
`
`Systems Conference. As mentioned above, this was, and still is today, one of the
`
`3
`
`Abbott
`Exhibit 1024
`Page 008
`
`

`

`Declaration in Support of Inter Partes Review of USP 6,926,670
`
`most important conferences in the MEMS field. Election to this post is typically
`
`based on reputation in, and contributions to, the conference and the field of MEMS.
`
`11.
`
`I am co-founder of multiple MEMS-related companies, including
`
`CardioMEMS, Axion Biosystems, and EnaChip.
`
`12. CardioMEMS was founded in 2001 has commercialized wireless
`
`implantable microsensors for treatment of aneurysms and congestive heart failure –
`
`ultimately becoming the first MEMS-based medical device transducer FDA-
`
`approved for permanent human implantation. CardioMEMS received the 2006
`
`Company of the Year award from Small Times magazine and the 2006 Frost and
`
`Sullivan Patient Monitoring Product Innovation of the Year Award, and its wireless
`
`aneurysm pressure monitor was highlighted by the FDA in its 2005 ODE annual
`
`report as a cleared medical device likely to have a significant impact on patient care.
`
`CardioMEMS completed a 550‐ patient clinical trial for its second product, a
`
`MEMS-based wireless implantable hemodynamic monitor for patients with
`
`congestive heart failure. After receiving FDA approval for its hemodynamic monitor,
`
`CardioMEMS was acquired by St. Jude Medical (now Abbott) in 2014.
`
`13. Axion Biosystems, founded in 2008, is a privately held company in
`
`Atlanta, GA. It is commercializing microelectrode arrays for in-vitro electrogenic
`
`cell interfacing, for use in scientific study of neural and cardiac cells, as well as
`
`4
`
`Abbott
`Exhibit 1024
`Page 009
`
`

`

`Declaration in Support of Inter Partes Review of USP 6,926,670
`
`pharmaceutical screening. In 2012, Axion won the Tibbetts Award, which honors
`
`outstanding small businesses, from the U.S. Small Business Administration.
`
`14. EnaChip was launched in 2017 and is focused on exploiting
`
`electroplatable, nanoengineered materials for the realization of ultracompact power
`
`supplies. In particular, Enachip is using these nanoengineered materials as the
`
`magnetic core of integrated inductors to produce multiwatt power supplies on a chip.
`
`15.
`
`I have graduated approximately 50 PhD students and approximately 24
`
`postdoctoral associates from the MSMA Group in the field of MEMS. Together with
`
`this group, I have published approximately 400 technical articles in the field of
`
`MEMS. I hold approximately sixty U.S. patents in the MEMS area. Approximately
`
`20 of those patents were filed prior to January 22, 2001, which as discussed below I
`
`understand is the earliest possible filing priority date of the challenged ’670 patent.
`
`One such patent of mine is U.S. Patent No. 6,278,379, which in my opinion
`
`anticipates challenged claims 1-5, 21-25, 28-29, and 31 of the ’670 patent as
`
`discussed in detail in Sections VII.D and XIII below.
`
`16. The work of the my research group has been cited approximately
`
`25,000 times as estimated by Google Scholar.
`
`17.
`
`In addition to the above, I have maintained my leadership position
`
`within the MEMS community. I was co-chair of the 2012 Power MEMS Conference,
`
`and chair of the 2016 Solid State Sensors, Actuators, and Microsystems Conference
`
`5
`
`Abbott
`Exhibit 1024
`Page 010
`
`

`

`Declaration in Support of Inter Partes Review of USP 6,926,670
`
`(‘Hilton Head’). In 2020 I will chair the IEEE PwrSoC (‘Power Supply on a Chip’)
`
`conference.
`
`18.
`
`I was Editor-in-Chief of the Journal of Micromechanics and
`
`Microengineering (a publication of the Institute of Physics) from 2009-2013, and am
`
`currently a member of the editorial board of Microsystems and Nanoengineering
`
`(Nature Publishing Group), both important journals in the MEMS field.
`
`19.
`
`I am a Fellow of the IEEE, with the citation “for contributions to micro
`
`and nanofabrication technologies for microelectromechanical systems.”
`
`20.
`
`I received the 2016 IEEE Daniel P. Noble award in emerging
`
`technologies, with the citation “For contributions to research and development,
`
`clinical translation, and commercialization of biomedical microsystems.”
`
`21.
`
`I was elected to the U.S. National Academy of Inventors in 2017.
`
`22. Additional details are provided in my CV, attached as Ex. 1025.
`
` DOCUMENTS CONSIDERED IN FORMING MY OPINIONS
`
`23.
`
`In addition to the information identified above (e.g., ¶ 3) and elsewhere
`
`in this Declaration, in forming my opinions, I have considered the following
`
`documents:
`
`Description
`Ex. No.
`1001 U.S. Patent No. 6,926,670 (“’670 Patent”)
`
`6
`
`Abbott
`Exhibit 1024
`Page 011
`
`

`

`Declaration in Support of Inter Partes Review of USP 6,926,670
`
`Description
`Ex. No.
`1002 Prosecution history for U.S. Patent Application No. 10/054,330 (“’670
`FH”)
`
`1003 U.S. Provisional Patent Application No. 60/263,327 (“’327
`provisional”)
`
`1004 U.S. Provisional Patent Application No. 60/278,634 (“’634
`provisional”)
`
`1005 RESERVED
`
`1006 U.S. Patent No. 6,939,299 (“Petersen”)
`
`1007 U.S. Provisional Patent Application No. 60/170,450 (“Petersen
`provisional”)
`
`1008 Eun-Chul Park et al., Hermetically Sealed Inductor-Capacitor (LC)
`Resonator For Remote Pressure Monitoring, 37 Jpn. J. Appl. Phys.
`7124 (1998) (“Park”)
`
`1009 U.S. Patent No. 6,278,379 (“Allen-379”)
`
`1010 Orhan Şevket Akar, Silicon Micromachined Capacitive Pressure
`Sensors for Industrial and Biomedical Applications (Sept. 1998)
`(Master’s thesis, Graduate School of Natural and Applied Sciences of
`the Middle East Technical University) (“Akar”)
`
`1011 U.S. Patent No. 5,488,869 (“Renaud”)
`
`1012 U.S. Patent No. 7,182,736 (“Roy”)
`
`1013 U.S. Patent No. 6,023,961 (“Discenzo”)
`
`1014 U.S. Patent No. 6,428,713 (“Christenson”)
`
`1015 U.S. Patent No. 3,958,558 (“Dunphy”)
`
`1016 U.S. Patent No. 4,026,276 (“Chubbuck”)
`
`1017 U.S. Patent No. 4,127,110 (“Bullara”)
`
`7
`
`Abbott
`Exhibit 1024
`Page 012
`
`

`

`Declaration in Support of Inter Partes Review of USP 6,926,670
`
`Description
`Ex. No.
`1018 U.S. Patent No. 6,201,980 (“Darrow”)
`
`1019 R. Puers et al., Electrodeposited Copper Inductors for Intraocular
`Pressure Telemetry, 10 J. Micromech. Microeng. 124 (2000) (“Puers”)
`
`1020 Timothy J. Harpster et al., A Passive Wireless Integrated Humidity
`Sensor, 14th IEEE International Conference on Micro
`Electromechanical Systems 553 (2001) (“Harpster”)
`
`1021 Marc Madou, Fundamentals of Microfabrication (1997) (excerpted)
`(“Madou”)
`
`1025 Curriculum Vitae of Mark Allen
`
`1026 Orhan Akar et al., A Wireless Batch Sealed Absolute Capacitive
`Pressure Sensor, Eurosensors XIV, The 14th European Conference on
`Solid-State Transducers 585 (Aug. 2000) (“Akar-2000”)
`
`1027 Orhan Akar & Tayfun Akin, Micromachined Capacitive Silicon
`Pressure Sensor for Industrial and Biomedical Applications, Electrical
`and Electronics, Computer Engineering 7th National Congress (1997)
`(including certified English translation and original Turkish version of
`article)
`
`
`
` UNDERSTANDING OF LEGAL PRINCIPLES
`
` Understanding of Legal Principles Relevant to Anticipation and
`Obviousness
`I understand that a prior art reference can anticipate a patent claim when
`
`24.
`
`the prior art’s disclosure renders the recited claim elements not novel. I understand
`
`that in order to anticipate a patent claim, a prior art reference must teach each and
`
`8
`
`Abbott
`Exhibit 1024
`Page 013
`
`

`

`Declaration in Support of Inter Partes Review of USP 6,926,670
`
`every element of the claim, expressly or inherently, with the same arrangement as in
`
`the claims.
`
`25.
`
`In analyzing anticipation, I understand that it is important to consider
`
`the scope of the claims, the level of skill in the relevant art, and the scope and content
`
`of the prior art.
`
`26.
`
`I understand that a prior art reference can render a patent claim obvious
`
`to one of ordinary skill in the art if the differences between the subject matter set
`
`forth in the patent claim and the prior art are such that the subject matter of the claim
`
`would have been obvious at the time the claimed invention was made.
`
`27.
`
`In analyzing obviousness, I understand that it is important to consider
`
`the scope of the claims, the level of skill in the relevant art, the scope and content of
`
`the prior art, the differences between the prior art and the claims, and any secondary
`
`considerations.
`
`28.
`
`I understand that when the claimed subject matter involves combining
`
`pre-existing elements to yield no more than one would expect from such an
`
`arrangement, the combination is obvious. I also understand that in assessing whether
`
`a claim is obvious one must consider whether the claimed improvement is more than
`
`the predictable use of prior art elements according to their established functions. I
`
`understand that there need not be a precise teaching in the prior art directed to the
`
`specific subject matter of a claim because one can take account of the inferences and
`
`9
`
`Abbott
`Exhibit 1024
`Page 014
`
`

`

`Declaration in Support of Inter Partes Review of USP 6,926,670
`
`creative steps that a person of skill in the art would employ. I further understand
`
`that a person of ordinary skill is a person of ordinary creativity, not an automaton.
`
`29.
`
`I understand that obviousness cannot be based on the hindsight
`
`combination of components selectively culled from the prior art. I understand that
`
`in an obviousness analysis, neither the motivation nor the avowed purpose of the
`
`inventors controls the inquiry. Any need or problem known in the field at the time
`
`of the invention and addressed by the patent can provide a reason for combining
`
`elements. For example, I understand that it is important to consider whether there
`
`existed at the time of the invention a known problem for which there was an obvious
`
`solution encompassed by the patent’s claims. I understand that known techniques
`
`can have obvious uses beyond their primary purposes, and that in many cases a
`
`person of ordinary skill can fit the teachings of multiple pieces of prior art together
`
`like pieces of a puzzle.
`
`30.
`
`I understand that, when there is a reason to solve a problem and there
`
`is a finite number of identified, predictable solutions, a person of ordinary skill has
`
`good reason to pursue the known options within his or her technical grasp. I further
`
`understand that, if this leads to the anticipated success, it is likely the product not of
`
`innovation but of ordinary skill and common sense, which bears on whether the
`
`claim would have been obvious.
`
`10
`
`Abbott
`Exhibit 1024
`Page 015
`
`

`

`Declaration in Support of Inter Partes Review of USP 6,926,670
`
`31.
`
`I understand that secondary considerations can include, for example,
`
`evidence of commercial success of the invention, evidence of a long-felt need that
`
`was solved by an invention, evidence that others copied an invention, or evidence
`
`that an invention achieved a surprising or unexpected result. I further understand
`
`that such evidence must have a nexus, or causal relationship to the elements of a
`
`claim, in order to be relevant. I am unaware of any such secondary considerations
`
`for the ’670 patent. To the extent that Patent Owner were to allege, for example, the
`
`commercial success of Petitioner’s products as evidence of secondary considerations,
`
`I disagree. First, I understand that Petitioner denies that the accused CardioMEMS
`
`products infringe any claims of the ’670 patent. Second, I am not aware of any nexus
`
`linking the commercial success of the accused CardioMEMS products to the alleged
`
`invention of the ’670 patent (as compared to other, non-claimed elements). To the
`
`extent that Patent Owner puts forth any secondary considerations in these IPRs, I
`
`reserve the right to rebut those considerations with rebuttal evidence.
`
`
`32.
`
`Person of Ordinary Skill in the Art
`I understand that a person of ordinary skill in the art (“POSITA”) is a
`
`hypothetical person who is presumed to be aware of all pertinent art, possesses
`
`conventional wisdom in the art, is a person of ordinary creativity, and has common
`
`sense. I understand that this hypothetical person is considered to have the normal
`
`11
`
`Abbott
`Exhibit 1024
`Page 016
`
`

`

`Declaration in Support of Inter Partes Review of USP 6,926,670
`
`skills and knowledge of a person in a certain technical field (including knowledge
`
`of known problems and desired features in the field).
`
`33.
`
`I have been asked to focus my analysis on claims 1-5, 21-29, and 31 of
`
`the ’670 patent, and prior art relating thereto, from the perspective of such a person
`
`at the time of the alleged inventions. I understand that the earliest possible filing
`
`priority date for the ’670 patent is January 22, 2001, the date of the provisional
`
`application referenced on the face of the ’670 patent and to which it purports to claim
`
`priority to.
`
`34.
`
`It is my opinion that a person of ordinary skill in the art in the 2001
`
`time frame would have had at least a bachelor’s degree in electrical or mechanical
`
`engineering (or equivalent) and at least two years’ industry experience, or equivalent
`
`research. Alternatively, a POSITA could substitute directly relevant additional
`
`education for experience, e.g., an advanced degree relating to the design of
`
`implantable medical devices, or an advanced degree in electrical or mechanical
`
`engineering (or equivalent), with at least one year of industry experience.
`
`35. As of January 22, 2001, I would have qualified as at least a POSITA
`
`and my opinions herein are informed by my own knowledge based on my personal
`
`experiences and observing others of various skill levels (including those above and
`
`below the level of a POSITA). In particular, I was actively engaged in the field of
`
`the ’670 patent at the time of the alleged invention. For example and as discussed
`
`12
`
`Abbott
`Exhibit 1024
`Page 017
`
`

`

`Declaration in Support of Inter Partes Review of USP 6,926,670
`
`below, I am an inventor of a prior art patent (“Allen-379,” Ex. 1009) that anticipates
`
`claims 1-5, 21-25, 28-29, and 31 of the ’670 patent, and also renders obvious claims
`
`26 and 27 in view of Renaud.
`
`36. Nevertheless, my opinions below are not restricted to the precise
`
`definition of a POSITA above. The claims of the ’670 patent are directed to a
`
`common LC resonant sensor design that was well-known and taught by numerous
`
`prior art references including my own prior art patents as well as at least the other
`
`references discussed below. Thus my opinions below would apply under any
`
`reasonable definition of a POSITA.
`
` OVERVIEW OF THE ’670 PATENT
` The ’670 Patent
`37. The ’670 patent is entitled “Wireless MEMS Capacitive Sensor for
`
`Physiologic Parameter Measurement” and names Collin A. Rich, Yafan Zhang,
`
`Nader Najafi, Matthew Z. Straayer, and Sonbol Massoud-Ansari as inventors.
`
`The ’670 patent was filed in the United States on January 22, 2002 and issued on
`
`August 9, 2005. The ’670 patent claims priority to provisional application nos.
`
`60/263,327 (“’327 provisional,” Ex. 1003), filed January 22, 2001, and 60/278,634
`
`(“’634 provisional,” Ex. 1004), filed March 26, 2001. The ’670 patent generally
`
`relates to “an implantable microfabricated sensor device and system for measuring
`
`a physiologic parameter of interest within a patient.” ’670 patent, Abstract. More
`
`13
`
`Abbott
`Exhibit 1024
`Page 018
`
`

`

`Declaration in Support of Inter Partes Review of USP 6,926,670
`
`particularly, the ’670 patent is directed to an implantable device consisting of a
`
`capacitive sensor, an integrated inductor, and conductive paths connecting the
`
`capacitive sensor and inductor to define an LC tank resonator. Id.
`
`
`
`Background Regarding LC Tank Resonators as
`Implantable Sensors
`
`38. As the ’670 patent admits, LC tank resonators were “well-known to
`
`those knowledgeable in the art” for use as wireless implantable sensors in biomedical
`
`applications. ’670 patent, 1:35-45. An LC tank resonator, also referred to in the art
`
`as simply an “LC resonant circuit,” in an implantable sensor device includes three
`
`general features: (1) a capacitor (represented by the letter C) that, in the case of
`
`the ’670 patent, varies with some physical parameter (e.g., pressure) forming a
`
`capacitive “sensor”; (2) an inductor (represented by the letter L) that operates as an
`
`antenna for wireless communication with an external readout

This document is available on Docket Alarm but you must sign up to view it.


Or .

Accessing this document will incur an additional charge of $.

After purchase, you can access this document again without charge.

Accept $ Charge
throbber

Still Working On It

This document is taking longer than usual to download. This can happen if we need to contact the court directly to obtain the document and their servers are running slowly.

Give it another minute or two to complete, and then try the refresh button.

throbber

A few More Minutes ... Still Working

It can take up to 5 minutes for us to download a document if the court servers are running slowly.

Thank you for your continued patience.

This document could not be displayed.

We could not find this document within its docket. Please go back to the docket page and check the link. If that does not work, go back to the docket and refresh it to pull the newest information.

Your account does not support viewing this document.

You need a Paid Account to view this document. Click here to change your account type.

Your account does not support viewing this document.

Set your membership status to view this document.

With a Docket Alarm membership, you'll get a whole lot more, including:

  • Up-to-date information for this case.
  • Email alerts whenever there is an update.
  • Full text search for other cases.
  • Get email alerts whenever a new case matches your search.

Become a Member

One Moment Please

The filing “” is large (MB) and is being downloaded.

Please refresh this page in a few minutes to see if the filing has been downloaded. The filing will also be emailed to you when the download completes.

Your document is on its way!

If you do not receive the document in five minutes, contact support at support@docketalarm.com.

Sealed Document

We are unable to display this document, it may be under a court ordered seal.

If you have proper credentials to access the file, you may proceed directly to the court's system using your government issued username and password.


Access Government Site

We are redirecting you
to a mobile optimized page.





Document Unreadable or Corrupt

Refresh this Document
Go to the Docket

We are unable to display this document.

Refresh this Document
Go to the Docket