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`UNITED STATES PATENT AND TRADEMARK OFFICE
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`BEFORE THE PATENT TRIAL AND APPEAL BOARD
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`APPLE INC,,
`Petitioner,
`V.
`MESSAGELOUD, INC.,
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`Patent Owner.
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`Case No. [PR2025-01427
`U.S. Patent No. 10,110,725
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`PETITIONER’S SOTERA STIPULATION
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`IPR2025-01427
`U.S. Patent No. 10,110,725
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`If IPR is instituted in IPR2025-01427, unless institution is later vacated,
`reversed, or otherwise withdrawn by rehearing or Director Review, Apple Inc.
`stipulates that, consistent with Sotera Wireless, Inc. v. Masimo Corp., IPR2020-
`01019, Paper 12 at 13-14 (PTAB Dec. 1, 2020) (precedential as to § II.A.), Apple
`will not pursue in Civil Action No. 6:25-cv-00185-RP, against the 725 patent,
`(1) the specific grounds asserted in IPR2025-01427, or (i1) any other ground that
`was raised or could have been reasonably raised in an IPR (i.e., any ground that
`could be raised under §§ 102 or 103 on the basis of prior art patent or printed
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`publications).
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`Respectfully submitted,
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`Date: October 6, 2025 By: / Joshua L. Goldberg /
`Joshua L. Goldberg, Lead Counsel
`Reg. No. 59,369
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`IPR2025-01427
`U.S. Patent No. 10,110,725
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`CERTIFICATE OF SERVICE
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`The undersigned certifies that a copy of the foregoing Petitioner’s Sotera
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`Stipulation was served electronically via email on October 6, 2025, in its entirety
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`on the following:
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`Sergey Kolmykov
`skolmykov@kskiplaw.com
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`Gaston Kroub
`gkroub@kskiplaw.com
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`Patent Owner has consented to service by email.
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`Dated: October 6, 2025 Respectfully submitted,
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`/Lisa C. Hines/
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`Lisa C. Hines
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`Case Manager
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`Finnegan, Henderson, Farabow,
`Garret & Dunner LLP
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