`To:
`Cc:
`
`Subject:
`Date:
`
`Kenneth Weatherwax
`Trials
`Jeffrey Liang; Nathan Lowenstein; Bridget Smith; Flavio Rose; Edward Hsieh; LegalTM-DivX-IPR; Parham
`Hendifar; Patrick Maloney; Jason Linger; DivX; Harper Batts; Chris Ponder
`IPR2020-00511: unopposed request to expunge filed supplemental evidence [Paper 12, Exhibit 1013]
`Thursday, September 17, 2020 7:17:12 PM
`
`Dear Board,
`
`On Tuesday, September 15, 2020, Petitioner filed purported supplemental evidence (in the form of
`Paper No. 12 and Exhibit No. 1013) in response to Patent Owner’s Evidentiary Objections (Paper No.
`10). On September 16, 2020, Patent Owner’s Counsel asked Petitioner to assent to the
`expungement of the supplemental evidence, as it was filed rather than only served upon Patent
`Owner. Petitioner’s counsel has informed Patent Owner’s counsel that it assents to this request.
`
`Patent Owner believes that a call is not needed for this request. See, e.g., Telebrands Corp. v. Tinnus
`Enters., LLC, PGR2015-00018, Paper 87 (PTAB Oct. 12,2018) (granting email request to expunge filed
`supplemental evidence). However, the parties are available for a call if the Board believes it
`necessary.
`
`Respectfully submitted,
`
`Kenneth Weatherwax
`Counsel for Patent Owner
`
`Kenneth Weatherwax | Lowenstein & Weatherwax LLP
`1880 Century Park East, Suite 815
`Los Angeles, California 90067
`Office: 310.307.4503
`
`IPR2020-00511, Ex. 3001
`
`