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` Exhibit 5
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`Case 6:20-cv-00425-ADA Document 1-5 Filed 05/26/20 Page 2 of 4
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`U.S. Patent No. 8,549,443 (“’443 Patent”) for Samsung Phone and Tablet Accused Instrumentalities
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`Accused Products
`Each of Samsung’s touch-enabled mobile phones and tablets that utilize the Google Android operating system (e.g. Samsung
`Galaxy S9) (“Accused Instrumentality”) infringes at least Claim 19 of the ’443 Patent.
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`Claim 19
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`Claim 19
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`Accused Instrumentality
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`[pre] A device capable of executing
`software comprising:
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`The preamble is not a limitation. To the extent the preamble is construed as a limitation,
`the Accused Instrumentality comprises a device capable of executing software
`comprising Google’s Android software.
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`
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`[a] a touch-sensitive screen configured to
`detect being touched by a user's finger
`without requiring an exertion of pressure
`on the screen;
`[b] a processor connected to the touch-
`sensitive screen and configured to receive
`from the screen information regarding
`locations touched by the user's finger;
`[c] executable user interface code stored
`in a memory connected to the processor;
`the user interface code executable by the
`processor;
`[d] the user interface code being
`configured to detect one or more
`locations touched by a movement of the
`user's finger on the screen without
`requiring the exertion of pressure and
`determine therefrom a selected operation;
`and,
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`The Accused Instrumentality includes a capacitive touch screen that is configured to
`detect being touched by a user’s finger without requiring an exertion of pressure on the
`screen.
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`The Accused Instrumentality includes an application processor that is connected to the
`touch screen and is configures to receive touch location information including the
`locations touched by the user’s finger.
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`The Accused Instrumentality includes executable user interface code (included in
`Google’s Android software and touch screen device code) stored in memory connected
`to processor that may also be executed by the processor.
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`The Accused Instrumentality includes user interface code that is configured to detect the
`locations touched by a movement of the user’s finger on the screen without requiring
`the exertion of pressure and determine therefrom a selected operation.
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`For example, on the application home screen of the Accused Instrumentality, the
`Android software and touchscreen device code detects a user’s finger touching an
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`Page 1
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`Case 6:20-cv-00425-ADA Document 1-5 Filed 05/26/20 Page 3 of 4
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`Claim 19
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`Accused Instrumentality
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`application icon and then moving towards another app icon on the screen. The user
`interface code determines the operation of creating a folder on the app screen.
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`
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`http://publish.samsungsimulator.com/simulator/b5d566e0-a09b-4798-84fb-
`0003ce5e553a/#!topic/apps/create_a_folder_to_organize_apps
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`[e] the user interface code is further
`configured to cause one or more selected
`operations, which includes one or more
`functions available to the user interface
`code of the device, to deactivate while
`the user's finger is touching one or more
`locations on the screen.
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`The Accused Instrumentality’s user interface code is further configured to cause the
`create a folder operation, which includes the function of grouping apps together on the
`user’s app screen, to deactivate while the user’s finger is touching one or more locations
`on the screen. For example, if the user’s finger moves towards the top of the screen, the
`moving/rearranging icon operation to deactivate in favor of a “add to Homescreen”
`function.
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`Page 2
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`Case 6:20-cv-00425-ADA Document 1-5 Filed 05/26/20 Page 4 of 4
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`Claim 19
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`Accused Instrumentality
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`http://publish.samsungsimulator.com/simulator/b5d566e0-a09b-4798-84fb-
`0003ce5e553a/#!topic/apps/create_a_folder_to_organize_apps
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`Page 3
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