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`
`CIVIL ACTION NO.
`2:18-CV-546-JRG
`MARSHALL, TEXAS
`
`IN THE UNITED STATES DISTRICT COURT
`FOR THE EASTERN DISTRICT OF TEXAS
`MARSHALL DIVISION
`)(
`)(
`)(
`)(
`)(
`MARCH 18, 2020
`)(
`1:57 P.M.
`)(
`CLAIM CONSTRUCTION HEARING
`BEFORE THE HONORABLE JUDGE RODNEY GILSTRAP
`UNITED STATES CHIEF DISTRICT JUDGE
`
`CANON, INC.
`
`VS.
`
`TCL ELECTRONICS HOLDINGS
`LTD.
`
`APPEARANCES:
`FOR THE PLAINTIFF:(See Attorney Attendance Sheet docketed
`in minutes of this hearing.)
`
`FOR THE DEFENDANTS:(See Attorney Attendance Sheet docketed
`in minutes of this hearing.)
`
`COURT REPORTER:
`
`Shelly Holmes, CSR, TCRR
`Official Reporter
`United States District Court
`Eastern District of Texas
`Marshall Division
`100 E. Houston Street
`Marshall, Texas 75670
`(903) 923-7464
`
`(Proceedings recorded by mechanical stenography, transcript
`produced on a CAT system.)
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`Page 1 of 5
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`CANON EXHIBIT 2011
`Roku, Inc. v. Canon Kabushiki Kaisha
`IPR2020-00343
`
`

`

`15
`
`Ropes & Gray on behalf of the Defendants.
`If we could have Slide 7 from our binder up on the
`screen. This is --
`THE COURT: Before -- before you go any further,
`counsel, respond, if you will, to Plaintiff -- Plaintiff's
`counsel's argument that you've effectively refused to
`respond to their request as to an explanation of any
`privity between Roku and your clients.
`MR. THOMASES: I'm not aware --
`THE COURT: I mean, it sounded to me like we
`needed to stop the claim construction and have a motion to
`compel hearing before we can go forward. It was a
`pretty -- a pretty straightforward and unequivocal argument
`that you've been stonewalling. I want to hear your
`response.
`MR. THOMASES: Sure, Your Honor. We have not been
`stonewalling.
`The discovery that specifically asked that is not
`due until later this week. There has not been a meet and
`confer to my knowledge at -- on this issue. And it has not
`actually been written in any discovery correspondence
`request, and it's because our discovery is due this week.
`THE COURT: And as a part of the discovery that's
`due this week, is the answer to that question going to be
`forthcoming?
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`

`

`16
`
`MR. THOMASES: I don't -- quite honestly, I don't
`know. It might be privileged because of the protected
`nature of certain of the topics that are being requested,
`either that or common interest protection or -- or another
`protection.
`THE COURT: Well, if there's going to be a
`privilege asserted, we need to get a privilege log, and we
`need to get on paper and figure out where we are. If it's
`not, they're probably entitled to an answer to that
`question, because it goes to the -- it goes to the binding
`nature of the impact of that IPR proceeding here.
`MR. THOMASES: I understand, Your Honor, and we'll
`take Your Honor's counsel on that.
`The main issue, though, that I need to correct
`from counsel's statement is the IPRs were filed -- filed by
`Roku. Roku was sued on these patents separately in a suit
`in the Western District of Texas.
`Now, Roku does supply the operating system to TCL,
`but the IPRs were signed by Roku, not by TCL. The Roku
`people have been subpoenaed in this case. And in the
`identical IPRs, they identified privies because that's
`what's customary to do. And if you don't, then there could
`be consequences at the PTAB.
`But this is not -- was not a representation by
`TCL. The case law that counsel cited, the Federal Circuit
`
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`

`

`17
`
`decision, applies when there's a final written decision by
`the PTAB. Who is it binding on? The petitioner and
`privies. That is what that decision is discussing.
`It is not saying that the statement by a third
`party in their IPR needs to be binding on someone who is
`just identified by the petitioner as a privy.
`Just going to that point that -- that he made, the
`quotes that they cite actually don't say that the operation
`form must be preset. I -- I want to go into some
`background on the technology because there's a fundamental
`misunderstanding by counsel there.
`They don't say -- there's not -- there's no
`admission that the operation forms can be created ad hoc.
`The operation screens, which are separate, are actually
`created from an operation form. Those are what's kind of
`created based on forms. So I -- I have on the slide
`some -- it's actually a snippet from our tutorial.
`Recall that the claim requires that there's an
`attribute of a remote control. And this is somehow
`required by your TV. And there could be different pointers
`or key -- key inputs.
`Then there's some -- we're going to get into this
`determining because that's the next term which is --
`there's a question about indefiniteness. But there's some
`claim element that says there's going to be some
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`Page 4 of 5
`
`

`

`127
`
`CERTIFICATION
`
`I HEREBY CERTIFY that the foregoing is a true and
`correct transcript from the stenographic notes of the
`proceedings in the above-entitled matter to the best of my
`ability.
`
` /S/ Shelly Holmes
`SHELLY HOLMES, CSR, TCRR
`OFFICIAL REPORTER
`State of Texas No.: 7804
`Expiration Date: 12/31/2020
`
`3/27/2020
`Date
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`Page 5 of 5
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`

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