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UNITED STATES PATENT AND TRADEMARK OFFICE
`
`BEFORE THE PATENT TRIAL AND APPEAL BOARD
`
`APPLE INC.,
`Petitioner,
`v.
`PARUS HOLDINGS, INC.,
`Patent Owner.
`
`Case No. IPR2020-00686
`U.S. Patent No. 7,076,431
`
`JOINT STIPULATION TO ADJUST THE SCHEDULING ORDER
`
`

`

`Case No. IPR2020-00686
`Patent No. 7,076,431
`
`Petitioner and Patent Owner have conferred and reached an agreement
`
`regarding the extension of certain dates set forth in the Scheduling Order (Paper No.
`
`10) entered on September 23, 2020. Pursuant to the authorization of this Board to
`
`modify the Scheduling Order set forth in Paper No. 10, the parties hereby stipulate
`
`to adjust DUE DATES 1, 2, and 3 of the Scheduling Order as they relate to the Patent
`
`Owner’s response, Petitioner’s reply and Patent Owner’s sur-reply to extend those
`
`dates by one week each. The DUE DATES for Petitioner’s opposition to motion to
`
`amend and Patent Owner’s reply to opposition to motion to amend (or Patent
`
`Owner’s revised motion to amend) remain unchanged in the Scheduling Order as
`
`presented to the Board, and as revised below.
`
`A revised Due Date Appendix reflecting these dates accompanies this
`
`Stipulation.
`
`Dated: December 4 2020
`
`/Michael J. McNamara/
`Michael J. McNamara (Reg. No. 52,017)
`Michael T. Renaud (Reg. No. 44,299)
`William A. Meunier (Reg. No. 41,193)
`Andrew H. DeVoogd (pro hac vice to be filed)
`MINTZ, LEVIN, COHN, FERRIS, GLOVSKY
`AND POPEO, P.C.
`One Financial Center
`Boston, MA 02111
`Telephone: 617-348-1884
`Facsimile: 617-542-2241
`
`1
`
`

`

`Case No. IPR2020-00686
`Patent No. 7,076,431
`E-mails: mmcnamara@mintz.com
` mtrenaud@mintz.com
` wameunier@mintz.com
` ahdevoogd@mintz.com
`
`2
`
`

`

`Case No. IPR2020-00686
`Patent No. 7,076,431
`
`DUE DATE APPENDIX
`
`DUE DATE 1 ................................... December 16, 2020 December 23, 2020
`
`Patent Owner’s response to the petition
`
`Patent Owner’s motion to amend the patent
`
`DUE DATE 21 .............................................. March 10, 2021 March 17, 2021
`
`Petitioner’s reply to Patent Owner’s response to petition
`
`DUE DATE 32 .............................................. April 21, 2021 April 28, 2021
`
`Patent Owner’s sur-reply to reply
`
`DUE DATE 4 .......................................................................... May 12, 2021
`
`Request for oral argument (may not be extended by stipulation)
`
`DUE DATE 5 ............................................................................ June 2, 2021
`
`Petitioner’s sur-reply to reply to opposition to motion to amend
`
`Motion to exclude evidence
`
`DUE DATE 6 ............................................................................ June 9, 2021
`
`Opposition to motion to exclude
`
`Request for prehearing conference
`
`DUE DATE 7 ........................................................................... June 16, 2021
`
`1 Petitioner’s opposition to motion to amend remains due on March 10, 2021.
`2 Patent Owner’s reply to opposition to motion to amend (or Patent Owner’s
`revised motion to amend) remains due on April 21, 2021.
`
`3
`
`

`

`Case No. IPR2020-00686
`Patent No. 7,076,431
`
`Reply to opposition to motion to exclude
`
`DUE DATE 8 ............................................................................. June 22, 2021
`
`Oral argument (if requested)
`
`4
`
`

`

`Case No. IPR2020-00686
`Patent No. 7,076,431
`
`CERTIFICATE OF SERVICE
`
`I certify that a copy of the Joint Stipulation to Adjust the Scheduling Order
`
`is being served by electronic mail on the following counsel of record:
`
`Lead Counsel
`Jennifer C. Bailey (Reg. No. 52,583)
`ERISE IP, P.A.
`7015 College Blvd., Ste. 700
`Overland Park, Kansas 66211
`Telephone: (913) 777-5600
`Facsimile: (913) 777-5601
`Jennifer.Bailey@eriseip.com
`
`Backup Counsel
`Adam P. Seitz (Reg. No. 52,206)
`ERISE IP, P.A.
`7015 College Blvd., Ste. 700
`Overland Park, Kansas 66211
`Telephone: (913) 777-5600
`Facsimile: (913) 777-5601
`Adam.Seitz@eriseip.com
`
`Dated: December 4, 2020
`
`/Michael J. McNamara/
`Michael J. McNamara (Reg. No. 52,017)
`
`5
`
`

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