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Case 2:20-cv-00062-JRG Document 1 Filed 02/28/20 Page 1 of 27 PageID #: 1
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`
`IN THE UNITED STATES DISTRICT COURT
`FOR THE EASTERN DISTRICT OF TEXAS
`MARSHALL DIVISION
`
`
`ELITE GAMING TECHNOLOGY, LLC.,
`
`
`Plaintiff,
`
`
`
`v.
`
`
`MICRO-STAR INTERNATIONAL CO.,
`LTD.,
`
`
`Defendant.
`
`
`
`Case No.
`
`JURY TRIAL DEMANDED
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`
`)
`)
`)
`)
`)
`)
`)
`)
`)
`)
`)
`)
`
`
`COMPLAINT FOR PATENT INFRINGEMENT
`
`
`
`Plaintiff Elite Gaming Technology, LLC. (“EGT” or “Plaintiff”) for its Complaint against
`
`Defendant Micro-star International Co., Ltd. (“MSI” or “Defendant”), alleges as follows:
`
`THE PARTIES
`
`1.
`
`EGT is a limited liability company organized and existing under the laws of the
`
`State of Texas, with its principal place of business located at 102 E. Crockett Street, Marshall,
`
`Texas 75670.
`
`2.
`
`Upon information and belief, MSI is a corporation organized and existing under
`
`the laws of Taiwan, with its principal place of business located at 69 Li-Te Street Chung-Ho City
`
`Taipei Hsien, Taiwan, and may be served pursuant to the provisions of the Hague Convention.
`
`MSI is a leading manufacturer and seller of computers, laptops, PCs, servers, and electronic
`
`devices in the world and in the United States. Upon information and belief, MSI does business
`
`in Texas and in the Eastern District of Texas, directly or through intermediaries.
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`

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`JURISDICTION
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`3.
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`This is an action for patent infringement arising under the patent laws of the
`
`United States, 35 U.S.C. §§ 1, et seq. This Court has jurisdiction over this action pursuant to 28
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`U.S.C. §§ 1331 and 1338(a).
`
`4.
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`This Court has personal jurisdiction over Defendant. Defendant regularly conduct
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`business and have committed acts of patent infringement and/or have induced acts of patent
`
`infringement by others in this Judicial District and/or have contributed to patent infringement by
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`others in this Judicial District, the State of Texas, and elsewhere in the United States.
`
`5.
`
`Venue is proper in this Judicial District pursuant to 28 U.S.C. § 1391 because,
`
`among other things, Defendant is not a resident in the United States, and thus may be sued in any
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`judicial district pursuant to 28 U.S.C. § 1391(c)(3).
`
`6.
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`Defendant is subject to this Court’s jurisdiction pursuant to due process and/or the
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`Texas Long Arm Statute due at least to their substantial business in this State and Judicial
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`District, including (a) at least part of their past infringing activities, (b) regularly doing or
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`soliciting business in Texas, and/or (c) engaging in persistent conduct and/or deriving substantial
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`revenue from goods and services provided to customers in Texas.
`
`PATENTS-IN-SUIT
`
`7.
`
`On November 8, 2005, the United States Patent and Trademark Office duly and
`
`legally issued U.S. Patent No. 6,963,947 (the “’947 Patent”) entitled “Driver Supporting Bridge
`
`Method and Apparatus.” A true and correct copy of the ’947 Patent is available at:
`
`http://pdfpiw.uspto.gov/.piw?PageNum=0&docid=06963947.
`
`8.
`
`On March 16, 2004, the United States Patent and Trademark Office duly and
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`legally issued U.S. Patent No. 6,708,045 (the “’045 Patent”) entitled “Easily Reconfigured and
`
`2
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`

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`Case 2:20-cv-00062-JRG Document 1 Filed 02/28/20 Page 3 of 27 PageID #: 3
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`Upgraded Radio Card and Wireless Terminal.” A true and correct copy of the ’045 Patent is
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`available at: http://pdfpiw.uspto.gov/.piw?Docid=06708045.
`
`9.
`
`On March 20, 2007, the United States Patent and Trademark Office duly and
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`legally issued U.S. Patent No. 7,194,613 (the “’613 Patent”) entitled “Communication Protocol
`
`for Serial Peripheral Devices.” A true and correct copy of the ’613 Patent is available at:
`
`http://pdfpiw.uspto.gov/.piw?Docid=07194613.
`
`10.
`
`On September 14, 2004, the United States Patent and Trademark Office duly and
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`legally issued U.S. Patent No. 6,791,799 (the “’799 Patent”) entitled “Digital Device
`
`Configuration and Method.” A true and correct copy of the ’799 Patent is available at:
`
`http://pdfpiw.uspto.gov/.piw?Docid=06791799.
`
`11.
`
`On December 6, 2005, the United States Patent and Trademark Office duly and
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`legally issued U.S. Patent No. 6,973,535 (the “’535 Patent”) entitled “Digital Device
`
`Configuration and Method.” A true and correct copy of the ’535 Patent is available at:
`
`http://pdfpiw.uspto.gov/.piw?Docid=06973535.
`
`12.
`
`On August 14, 2012, the United States Patent and Trademark Office duly and
`
`legally issued U.S. Patent No. RE43,587 (the “’587 Patent”) entitled “Method and Apparatus for
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`Controlling a Computing System” A true and correct copy of the ’587 Patent is available at:
`
`http://pdfpiw.uspto.gov/.piw?Docid=RE043587.
`
`13.
`
`On March 29, 2016 the United States Patent and Trademark Office duly and
`
`legally issued U.S. Patent No. 9,298,280 (the “’280 Patent”) entitled “Method and Apparatus for
`
`Controlling a Computing System.” A true and correct copy of the ’280 Patent is available at:
`
`http://pdfpiw.uspto.gov/.piw?Docid=09298280.
`
`14.
`
`EGT is the sole and exclusive owner of all right, title, and interest in the ’947
`
`3
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`

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`Patent, the ’045 Patent, the ’613 Patent, the ’799 Patent, the ’535 Patent, the ’587, and the ’280
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`Patent (collectively, the “Patents-in-Suit”), and holds the exclusive right to take all actions
`
`necessary to enforce its rights to the Patents-in-Suit, including the filing of this patent
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`infringement lawsuit. EGT also has the right to recover all damages for past, present, and future
`
`infringement of the Patents-in-Suit and to seek injunctive relief as appropriate under the law.
`
`15.
`
`EGT has at all times complied with the marking provisions of 35 U.S.C. § 287
`
`with respect to the Patents-in-Suit. On information and belief, prior assignees and licensees have
`
`also complied with the marking provisions of 35 U.S.C. § 287.
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`FACTUAL ALLEGATIONS
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`16.
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`The Patents-in-Suit generally cover systems and methods for use in motherboards,
`
`laptops, and desktop PCs.
`
`17.
`
`The ’947 Patent generally relates to technology for dynamically rebalancing PCI
`
`to PCI bridges to overcome Operating System, BIOS, and Chipset limitations to allow for
`
`multiple level PCI buses. The technology described by the ’947 Patent was developed by
`
`inventors Alexei Piatesky and Frank W. Ahern. For example, this technology is implemented in
`
`motherboards which contain PCI bridges so that multiple motherboard components work
`
`compatibly. Infringing motherboards, PCs, and laptops include bridge drivers to allow
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`communications between otherwise incompatible buses.
`
`18.
`
`The ’045 Patent generally relates to configurable radio card and wireless terminal.
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`The technology described in the ’045 Patent was developed by Hong Lieu Winston, Cheng
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`Wang, David Kiley, and Charles Chia-Yi Pai. For example, the technology is implemented by
`
`infringing motherboards, laptops and PCs which push updates to a radio card device.
`
`19.
`
`The ’613, Patent generally relates to communication protocols for serial
`
`4
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`peripheral devices. The technology described in the ’613 Patent was developed by Jude J.
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`Katsch. For example, the technology is implemented by motherboards, laptops, and desktop PCs
`
`which determine if a peripheral device is branded, and if not, the peripheral device is initialized.
`
`20.
`
`The ’799 Patent and the ’535 Patent generally relates to digital storage apparatus
`
`with rotatable magnetic media and head arrangements for accessing the media. The technology
`
`described in the ’799 Patent was developed by John F. Fletcher and the technology described in
`
`the ’535 Patent was developed by Curtis H. Bruner, Lance R. Carlson, and Jeffrey E. Mast. For
`
`example, the technology is implemented by infringing, laptops and PCs that contain Hard Disk
`
`Drives (HDDs) having a serial interface and utilize a flexible circuit stiffener with a ramp
`
`arrangement configured for receiving the actuator arm in a parked position.
`
`21.
`
`Third parties Western Digital (“WD”) and Hitachi Global Storage Technologies
`
`(“HGST”) supply Hard Disk Drives (“HDDs”) that implement the infringing technologies.
`
`These hard drives include WD Blue, Black, Red, Purple, and Gold drives, as well as HGST
`
`Ultrastar, Travelstar, Deskstar, Endurastar, and Cinemastar drives. MSI makes, uses, sells,
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`and/or imports computers, such as desktops, laptops, tablets, and servers that include one or more
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`WD and/or HGST HDDs. For example, upon information and belief, these infringing computers
`
`include the MSI computers that include one or more WD and/or HGST HDDs, such as the
`
`HGST Travelstar 5k1500.
`
`22.
`
`The ’587 Patent and the ’280 Patent generally relates to computer devices having
`
`modified one or more of the operating states or displayed content. The technology described in
`
`the ’587 and ’280 Patents was developed by John T. Orchard and Christopher R. Uhlik. For
`
`example, the technology is implemented by infringing laptops and PCs that contain motion
`
`detection sensors and a motion control agent which modify one or more of the operating states of
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`5
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`the computing device based on input from motion detectors.
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`23. MSI has infringed and is continuing to infringe the Patents-in-Suit by making,
`
`using, selling, offering to sell, and/or importing, and by actively inducing others to make, use,
`
`sell, offer to sell, and/or importing, products including motherboards, desktop PCs, laptop
`
`computers, and associated software that infringes the Patents-in-Suit.
`
`COUNT I
`(Infringement of the ’947 Patent)
`
`Paragraphs 1 through 23 are incorporated by reference as if fully set forth herein.
`
`EGT has not licensed or otherwise authorized Defendant to make, use, offer for
`
`
`24.
`
`25.
`
`sale, sell, or import any products that embody the inventions of the ’947 Patent.
`
`26.
`
`Defendant has and continues to directly infringe the ’947 Patent, either literally or
`
`under the doctrine of equivalents, without authority and in violation of 35 U.S.C. § 271, by
`
`making, using, offering to sell, selling, and/or importing into the United States products that
`
`satisfy each and every limitation of one or more claims of the ’947 Patent. Such products
`
`include motherboards that utilize the Intel X299, IntelZ370, Intel X99, Intel Z270, Intel H370,
`
`Intel H310, Intel B365, Intel B360, Intel B250, Intel H81, Intel Q270, Intel H110, Intel C246,
`
`Intel C422, AMD TRX40, AMD X570, AMD X470, AMD X399, AMD X370, AMD B450,
`
`AMD B350, AMD A320 Chipsets that include bridge drivers to allow communications between
`
`otherwise incompatible buses. For example, the above chipsets allow for communication
`
`between the graphics, memory, PCI, USB, and I/O communicate with one another through the
`
`use of drivers. On information and belief, such MSI products include at least the MSI MEG,
`
`MPG, MAG, ENTHUSIAST GAMING, PERFORMANCE GAMING, ARSENAL GAMING,
`
`CONTENT CREATION, PRO, CSM, and ECO Series motherboards.
`
`27.
`
`For example, Defendant has and continues to directly infringe at least claim 1 of
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`6
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`the ’947 Patent by making, using, offering to sell, selling, and/or importing into the United States
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`motherboards that contain a bridge driver adapted to permit communications from a first
`
`communication bus to a second communication bus via a bridge. Upon information and belief,
`
`MSI’s bridge drivers are adapted to rebalance a multi-level PCI bridge-based computer system.
`
`28.
`
`For example, the MPG X570 GAMING EDGE WIFI motherboard is compatible
`
`with the AMD X570 chipset. The chipset allows communication between graphics, graphics,
`
`memory, PCI, USB, and I/O through the use of drivers:
`
`29.
`
`The “support” section of the motherboard webpage, included for each of MSI’s
`
`motherboards, provides links to downloadable drivers which aid in communication between
`
`
`
`graphics, graphics, memory, PCI, USB, and I/O:
`
`
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`7
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`30.
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`Defendant has and continues to indirectly infringe one or more claims of the ’947
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`8
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`Patent by knowingly and intentionally inducing others, including MSI customers and end-users,
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`to directly infringe, either literally or under the doctrine of equivalents, by making, using,
`
`offering to sell, selling and/or importing into the United States products that include infringing
`
`technology.
`
`31.
`
`Defendant, with knowledge that these products, or the use thereof, infringe the
`
`’947 Patent at least as of the date of this Complaint, knowingly and intentionally induced, and
`
`continues to knowingly and intentionally induce, direct infringement of the ’947 Patent by
`
`providing these products to end users for use in an infringing manner.
`
`32.
`
`Defendant has and continues to induce infringement by others, including end
`
`users, with the intent to cause infringing acts by others or, in the alternative, with the belief that
`
`there was a high probability that others, including end users, infringe the ’947 Patent, but while
`
`remaining willfully blind to the infringement.
`
`33.
`
`EGT has suffered damages as a result of Defendant’s direct and indirect
`
`infringement of the ’947 Patent in an amount to be proved at trial.
`
`34.
`
`EGT has suffered, and will continue to suffer, irreparable harm as a result of
`
`Defendant’s infringement of the ’947 Patent, for which there is no adequate remedy at law,
`
`unless Defendant’s infringement is enjoined by this Court.
`
`COUNT II
`(Infringement of the ’045 Patent)
`
`Paragraphs 1 through 23 are incorporated by reference as if fully set forth herein.
`
`EGT has not licensed or otherwise authorized Defendant to make, use, offer for
`
`
`35.
`
`36.
`
`sale, sell, or import any products that embody the inventions of the ’045 Patent.
`
`37.
`
`Defendant has and continues to directly infringe the ’045 Patent, either literally or
`
`under the doctrine of equivalents, without authority and in violation of 35 U.S.C. § 271, by
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`9
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`making, using, offering to sell, selling, and/or importing into the United States products that
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`satisfy each and every limitation of one or more claims of the ’045 Patent. Such products
`
`include computer devices, motherboards, laptops, phones and PCs that have built in Bluetooth
`
`chips devices containing memory which receive updates and information. Infringing
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`motherboards, laptops, and PCs which utilize Bluetooth, allow for exchanges of data using ultra
`
`high frequency radio waves. On information and belief, such MSI products include at least the
`
`MSI motherboards such as the MSI MEG, MPG, MAG, ENTHUSIAST GAMING,
`
`PERFORMANCE GAMING, ARSENAL GAMING, CONTENT CREATION, PRO, CSM, and
`
`ECO Series motherboards;  MSI laptops including GS65 STEALTH Laptop, GS75 STEALTH
`
`Laptop, GE65 RAIDER Laptop, GE75 RAIDER Laptop, GP65 LEOPARD Laptop, GP75
`
`LEOPARD Laptop, GL65 Laptop, GF63 Laptop, GF65 Laptop, GF75 Laptop, ALPHA 15
`
`Laptop, CREATER 15M Laptop, CREATER 17M Laptop, CREATER P65 Laptop, CREATER
`
`P75 Laptop, PRESTIGE 14 Laptop, PRESTIGE 15 Laptop, PS63 MODERN Laptop, MODERN
`
`14 Laptop, PS42 Laptop, WS65 Laptop, WS75 Laptop, WE63 Laptop, WE73 Laptop, WE75
`
`Laptop, GP62 LEOPARD Laptop, GP63 LEOPARD Laptop, GP72 LEOPARD Laptop, GP72
`
`LEOPARD Laptop, GL62 Laptop, GL72 Laptop, GF62 Laptop, GV72 Laptop, GT63 TITAN
`
`Laptop, GT75 TITAN Laptop, GT76 TITAN Laptop, GT83 TITAN Laptop, GS63 STEALTH
`
`Laptop, GS73 STEALTH Laptop, GE63 RAIDER Laptop, GE73 RAIDER Laptop, GL63
`
`Laptop, GL73 Laptop, GL75 Laptop, GF72 Laptop, GV62 Laptop, VORTEX W25 Laptop,
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`WT72 Laptop, WT73 Laptop, WT75 Laptop, WS60 Laptop, WS63 Laptop, WS72 Laptop, and
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`WE62 Laptop; MSI desktop and all-in-one PCs such as the AEGIS desktop, CODEX desktop,
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`CUBI desktop, INFINITE desktop, NIGHTBLADE desktop, TRIDENT desktop, and
`
`PRESTIGE desktop; that have built in Bluetooth chips devices containing memory which receive
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`10
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`updates and information.
`
`38.
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`For example, Defendant has and continues to directly infringe at least claim 1 of
`
`the ’045 Patent by making, using, offering to sell, selling, and/or importing into the United States
`
`products that include a radio card, with a first alterable memory for storing a first hardware
`
`definition, a radio comprising reconfigurable hardware that is defined by a first hard definition, a
`
`first wireline radio card interface for receiving said first hardware definition and a computer
`
`comprising a modem for receiving said first hardware definition via a data network and a second
`
`wireline radio card interface for providing said first hardware definition to said radio card for
`
`storage in said first alterable memory.
`
`39.
`
`For example, the MPG X570 GAMING EDGE WIFI contains a Bluetooth radio
`
`card with memory, a modem, and pushes updates and information, such as a driver update, from
`
`a data network, through a wireline radio card interface for storage in the Bluetooth radio card’s
`
`first alterable memory:
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`11
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`40.
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`Defendant has and continues to indirectly infringe one or more claims of the ’045
`
`Patent by knowingly and intentionally inducing others, including MSI customers and end-users,
`
`to directly infringe, either literally or under the doctrine of equivalents, by making, using,
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`12
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`offering to sell, selling and/or importing into the United States products that include infringing
`
`technology.
`
`41.
`
`Defendant, with knowledge that these products, or the use thereof, infringe the
`
`’045 Patent at least as of the date of this Complaint, knowingly and intentionally induced, and
`
`continue to knowingly and intentionally induce, direct infringement of the ’045 Patent by
`
`providing these products to end users for use in an infringing manner.
`
`42.
`
`Defendant induced infringement by others, including end users, with the intent to
`
`cause infringing acts by others or, in the alternative, with the belief that there was a high
`
`probability that others, including end users, infringe the ’045 Patent, but while remaining
`
`willfully blind to the infringement.
`
`43.
`
`EGT has suffered damages as a result of Defendant’s direct and indirect
`
`infringement of the ’045 Patent in an amount to be proved at trial.
`
`44.
`
`EGT has suffered, and will continue to suffer, irreparable harm as a result of
`
`Defendant’s infringement of the ’045 Patent, for which there is no adequate remedy at law,
`
`unless Defendant’s infringement is enjoined by this Court.
`
`COUNT III
`(Infringement of the ’613 Patent)
`
`Paragraphs 1 through 23 are incorporated by reference as if fully set forth herein.
`
`EGT has not licensed or otherwise authorized Defendant to make, use, offer for
`
`
`45.
`
`46.
`
`sale, sell, or import any products that embody the inventions of the ’613 Patent.
`
`47.
`
`Defendant has and continues to directly infringe the ’613 Patent, either literally or
`
`under the doctrine of equivalents, without authority and in violation of 35 U.S.C. § 271, by
`
`making, using, offering to sell, selling, and/or importing into the United States products that
`
`satisfy each and every limitation of one or more claims of the ’613 Patent. On information and
`
`13
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`belief, such MSI products include at least the MSI motherboards such as the MSI MEG, MPG,
`
`MAG, ENTHUSIAST GAMING, PERFORMANCE GAMING, ARSENAL GAMING,
`
`CONTENT CREATION, PRO, CSM, and ECO Series motherboards;  MSI laptops including
`
`GS65 STEALTH Laptop, GS75 STEALTH Laptop, GE65 RAIDER Laptop, GE75 RAIDER
`
`Laptop, GP65 LEOPARD Laptop, GP75 LEOPARD Laptop, GL65 Laptop, GF63 Laptop, GF65
`
`Laptop, GF75 Laptop, ALPHA 15 Laptop, CREATER 15M Laptop, CREATER 17M Laptop,
`
`CREATER P65 Laptop, CREATER P75 Laptop, PRESTIGE 14 Laptop, PRESTIGE 15 Laptop,
`
`PS63 MODERN Laptop, MODERN 14 Laptop, PS42 Laptop, WS65 Laptop, WS75 Laptop,
`
`WE63 Laptop, WE73 Laptop, WE75 Laptop, GP62 LEOPARD Laptop, GP63 LEOPARD
`
`Laptop, GP72 LEOPARD Laptop, GP72 LEOPARD Laptop, GL62 Laptop, GL72 Laptop, GF62
`
`Laptop, GV72 Laptop, GT63 TITAN Laptop, GT75 TITAN Laptop, GT76 TITAN Laptop,
`
`GT83 TITAN Laptop, GS63 STEALTH Laptop, GS73 STEALTH Laptop, GE63 RAIDER
`
`Laptop, GE73 RAIDER Laptop, GL63 Laptop, GL73 Laptop, GL75 Laptop, GF72 Laptop,
`
`GV62 Laptop, VORTEX W25 Laptop, WT72 Laptop, WT73 Laptop, WT75 Laptop, WS60
`
`Laptop, WS63 Laptop, WS72 Laptop, and WE62 Laptop; MSI desktop and all-in-one PCs such
`
`as the AEGIS desktop, CODEX desktop, CUBI desktop, INFINITE desktop, NIGHTBLADE
`
`desktop, TRIDENT desktop, and PRESTIGE desktop that utilize Inter-Integrated Circuit (I²C)1
`
`and System Management Bus (SMBus) protocols2 to initialize and brand host devices connected
`
`to a communication bus.
`
`48.
`
`For example, Defendant has and continues to directly infringe at least claim 1 of
`
`the ’613 Patent by making, using, offering to sell, selling, and/or importing into the United States
`
`products that initialize and brand host devices connected to a communication bus. The
`                                                            
`1 https://www.nxp.com/docs/en/application-note/AN10216.pdf
`2 http://smbus.org/specs/index.html
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`14
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`infringing systems include one or more MSI motherboard, laptops, and desktops and all-in-one
`
`PCs that utilize SMBus protocols, such as the MPG X570 GAMING EDGE WIFI.
`
`49.
`
`Upon information and belief, the MPG X570 GAMING EDGE WIFI utilizes
`
`SMBus protocol, which is updated and controlled through its chipset drivers:
`
`
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`15
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`50.
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`Upon information and belief, the MPG X570 GAMING EDGE WIFI utilizes a
`
`method of initializing devices connected to a communication bus by a host device, determines
`
`which devices are branded or unbranded, and if there are no branded devices, sends a first focus
`
`command to a device connected to the communication bus, returns configuration information,
`
`and brands the device3:
`
`                                                            
`3 http://smbus.org/specs/index.html (Pgs. 15, 61, 62)
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`16
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`51.
`
`Defendant has and continues to indirectly infringe one or more claims of the ’613
`
`Patent by knowingly and intentionally inducing others, including MSI customers and end-users,
`
`to directly infringe, either literally or under the doctrine of equivalents, by making, using,
`
`offering to sell, selling and/or importing into the United States products that include infringing
`
`technology that utilize SMBus protocols, such as the MPG X570 GAMING EDGE WIFI.
`
`52.
`
`Defendant, with knowledge that these products, or the use thereof, infringe sthe
`
`’613 Patent at least as of the date of this Complaint, knowingly and intentionally induced, and
`
`continues to knowingly and intentionally induce, direct infringement of the ’613 Patent by
`
`providing these products to end users for use in an infringing manner.
`
`17
`
`

`

`Case 2:20-cv-00062-JRG Document 1 Filed 02/28/20 Page 18 of 27 PageID #: 18
`

`
`53.
`
`Defendant induced infringement by others, including end users, with the intent to
`
`cause infringing acts by others or, in the alternative, with the belief that there was a high
`
`probability that others, including end users, infringe the ’613 Patent, but while remaining
`
`willfully blind to the infringement.
`
`54.
`
`EGT has suffered damages as a result of Defendant’s direct and indirect
`
`infringement of the ’613 Patent in an amount to be proved at trial.
`
`55.
`
`EGT has suffered, and will continue to suffer, irreparable harm as a result of
`
`Defendant’s infringement of the ’613 Patent, for which there is no adequate remedy at law,
`
`unless Defendant’s infringement is enjoined by this Court.
`
`COUNT IV
`(Infringement of the ’799 Patent)
`
`Paragraphs 1 through 23 are incorporated by reference as if fully set forth herein.
`
`EGT has not licensed or otherwise authorized Defendant to make, use, offer for
`
`
`56.
`
`57.
`
`sale, sell, or import any products that embody the inventions of the ’799 Patent.
`
`58.
`
`Defendant has and continues to directly infringe the ’799 Patent, either literally or
`
`under the doctrine of equivalents, without authority and in violation of 35 U.S.C. § 271, by
`
`making, using, offering to sell, selling, and/or importing into the United States products that
`
`satisfy each and every limitation of one or more claims of the ’799 Patent. Such products
`
`include computer devices, such as laptops, desktops and servers that utilize rotatable magnetic
`
`media with an actuator arm, a flexible circuit arrangement with a flexible circuit stiffener, and a
`
`ramp arrangement that is directly attachable to the flexible circuit stiffener and is configured to
`
`receive the actuator arm. On information and belief, such MSI products include at least the
`
`GP62 LEOPARD Laptop, GP63 LEOPARD Laptop, GP72 LEOPARD Laptop, GP72
`
`LEOPARD Laptop, GL62 Laptop, GL72 Laptop, GF62 Laptop, GV72 Laptop, AEGIS Desktop,
`
`18
`
`

`

`Case 2:20-cv-00062-JRG Document 1 Filed 02/28/20 Page 19 of 27 PageID #: 19
`

`
`INFINITE Desktop, TRIDENT Desktop, CODEX Desktop, PRESTIGE Desktop, GT63 TITAN
`
`Laptop, GT75 TITAN Laptop, GT76 TITAN Laptop, GT83 TITAN Laptop, GS63 STEALTH
`
`Laptop, GS73 STEALTH Laptop, GE63 RAIDER Laptop, GE73 RAIDER Laptop, GL63
`
`Laptop, GL73 Laptop, GL75 Laptop, GF72 Laptop, GV62 Laptop, VORTEX W25 Laptop,
`
`WT72 Laptop, WT73 Laptop, WT75 Laptop, WS60 Laptop, WS63 Laptop, WS72 Laptop, and
`
`WE62 Laptop that include one or more WD and/or HGST HDDs..
`
`59.
`
`For example, Defendant has and continues to directly infringe at least claim 1 of
`
`the ’799 Patent by making, using, offering to sell, selling, and/or importing into the United States
`
`products that include an actuator arm, a flexible circuit arrangement with a flexible circuit
`
`stiffener, and a ramp arrangement that is directly attachable to the flexible circuit stiffener and is
`
`configured to receive the actuator arm, such as the HGST Travelstar 5k1500.
`
`60.
`
`The Travelstar 5k1500 included in one or more MSI computers and/or servers is a
`
`small computer system interface (SCSI) device or the equivalent thereof. The Travelstar 5k1500
`
`is supported with an actuator arm, a flexible circuit arrangement with a flexible circuit stiffener,
`
`and a ramp arrangement that is directly attachable to the flexible circuit stiffener and is
`
`configured to receive the actuator arm.
`
`61.
`
`Defendant has and continue to indirectly infringe one or more claims of the ’799
`
`Patent by knowingly and intentionally inducing others, including MSI customers and end-users,
`
`to directly infringe, either literally or under the doctrine of equivalents, by making, using,
`
`offering to sell, selling and/or importing into the United States products that include infringing
`
`technology, such as laptops, desktops, and servers that utilize rotatable magnetic media with an
`
`actuator arm, a flexible circuit arrangement with a flexible circuit stiffener, and a ramp
`
`arrangement that is directly attachable to the flexible circuit stiffener and is configured to receive
`
`19
`
`

`

`Case 2:20-cv-00062-JRG Document 1 Filed 02/28/20 Page 20 of 27 PageID #: 20
`

`
`the actuator arm.
`
`62.
`
`Defendant, with knowledge that these products, or the use thereof, infringe the
`
`’799 Patent at least as of the date of this Complaint, knowingly and intentionally induced, and
`
`continues to knowingly and intentionally induce, direct infringement of the ’799 Patent by
`
`providing these products to end users for use in an infringing manner.
`
`63.
`
`Defendant induced infringement by others, including end users, with the intent to
`
`cause infringing acts by others or, in the alternative, with the belief that there was a high
`
`probability that others, including end users, infringe the ’799 Patent, but while remaining
`
`willfully blind to the infringement.
`
`64.
`
`EGT has suffered damages as a result of Defendant’s direct and indirect
`
`infringement of the ’799 Patent in an amount to be proved at trial.
`
`65.
`
`EGT has suffered, and will continue to suffer, irreparable harm as a result of
`
`Defendant’s infringement of the ’799 Patent, for which there is no adequate remedy at law,
`
`unless Defendant’s infringement is enjoined by this Court.
`
`COUNT V
`(Infringement of the ’535 Patent)
`
`Paragraphs 1 through 23 are incorporated by reference as if fully set forth herein.
`
`EGT has not licensed or otherwise authorized Defendant to make, use, offer for
`
`
`66.
`
`67.
`
`sale, sell, or import any products that embody the inventions of the ’535 Patent.
`
`68.
`
`Defendant has and continues to directly infringe the ’535 Patent, either literally or
`
`under the doctrine of equivalents, without authority and in violation of 35 U.S.C. § 271, by
`
`making, using, offering to sell, selling, and/or importing into the United States products that
`
`satisfy each and every limitation of one or more claims of the ’535 Patent. Such products
`
`include computer devices, such as laptops, desktops and servers that utilize rotatable magnetic
`
`20
`
`

`

`Case 2:20-cv-00062-JRG Document 1 Filed 02/28/20 Page 21 of 27 PageID #: 21
`

`
`media with an actuator arm, an external serial interface, a host serial interface, and a serial router.
`
`On information and belief, such MSI products include at least the GP62 LEOPARD Laptop,
`
`GP63 LEOPARD Laptop, GP72 LEOPARD Laptop, GP72 LEOPARD Laptop, GL62 Laptop,
`
`GL72 Laptop, GF62 Laptop, GV72 Laptop, AEGIS Desktop, INFINITE Desktop, TRIDENT
`
`Desktop, CODEX Desktop, PRESTIGE Desktop, GT63 TITAN Laptop, GT75 TITAN Laptop,
`
`GT76 TITAN Laptop, GT83 TITAN Laptop, GS63 STEALTH Laptop, GS73 STEALTH
`
`Laptop, GE63 RAIDER Laptop, GE73 RAIDER Laptop, GL63 Laptop, GL73 Laptop, GL75
`
`Laptop, GF72 Laptop, GV62 Laptop, VORTEX W25 Laptop, WT72 Laptop, WT73 Laptop,
`
`WT75 Laptop, WS60 Laptop, WS63 Laptop, WS72 Laptop, WE62 Laptop that include one or
`
`more WD and/or HGST HDDs.
`
`69.
`
`For example, Defendant has and continues to directly infringe at least claim 1 of
`
`the ’535 Patent by making, using, offering to sell, selling, and/or importing into the United States
`
`products that include an external serial interface, a host serial interface, and a serial router, such
`
`as the HGST Travelstar 5k1500.
`
`70.
`
`The Travelstar 5k1500 included in one or more MSI computers and/or servers is a
`
`small computer system interface (SCSI) device or the equivalent thereof. On information and
`
`belief, the Travelstar 5k1500 is supported with an actuator arm, an external serial interface, a
`
`host serial interface, and a serial router.
`
`71.
`
`Defendant has and continues to indirectly infringe one or more claims of the ’535
`
`Patent by knowingly and intentionally inducing others, including MSI customers and end-users,
`
`to directly infringe, either literally or under the doctrine of equivalents, by making, using,
`
`offering to sell, selling and/or importing into the United States products that include infringing
`
`technology, such as laptops, desktops, and servers that utilize rotatable magnetic media with an
`
`21
`
`

`

`Case 2:20-cv-00062-JRG Document 1 Filed 02/28/20 Page 22 of 27 PageID #: 22
`

`
`actuator arm, an external serial interface, a host serial interface, and a serial router.
`
`72.
`
`Defendant, with knowledge that these products, or the use thereof, infringe the
`
`’535 Patent at least as of the date of this Complaint, knowingly and intentionally induced, and
`
`continues to knowingly and intentionally induce, direct infringement of the ’535 Patent by
`
`providing these products to end

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