| Date |
Document Title |
Adobe Acrobat |
| July 2006 |
| 07/19/2006 |
Appendix in Support of Plaintiff's Request for Entry of Default Against Innostream, Inc.
|
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| 07/19/2006 |
Plaintiff's Request for Entry of Default Against Innostream, Inc.
|
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| 07/14/2006 |
Order Clarifying Special Master's Claim Construction
|
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| 07/14/2006 |
Consolidated Order Defining "Binary Code" and "Syllabic Element"
|
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| 07/14/2006 |
Plaintiff's Motion to Designate Consulting Experts
|
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| 07/14/2006 |
Appendix in Support of Plaintiff’s Motion to Designate Consulting Experts
|
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| May 2006 |
| 05/23/2006 |
Defendants' Reply in Support of Motion for Summary Judgement for Invalidity of U.S. Patent No. 4,674,112
|
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| 05/12/2006 |
Defendants' Objections to Report and Recommendation of the Special Master Regarding United States Patent No. 4,674,112
|
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| 05/12/2006 |
The Board of Regents of The University of Texas System's Objections to the Report and Recommendation of the Special Master Regarding United States Patent No. 4,674,112
|
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| 05/12/2006 |
The Board of Regents of The University of Texas System's Response to Defendants' Motion for Summary Judgement for Invalidity
|
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| 05/08/2006 |
Unopposed Motion to Extend Time to Respond to Defendants' Motion for Summary Judgement to Friday, May 12, 2006
|
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| April 2006 |
| 04/25/2006 |
Report and Recommendation of the Special Master Regarding United States Patent No. 4,674,112
|
|
| March 2006 |
| 03/27/2006 |
The Board of Regents of The University of Texas System Reply in Support of Supplemental Offer of Exhibits
|
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| 03/27/2006 |
Appendix in Support of Plaintiff's Reply in Support of Supplemental Offer of Exhibits
|
|
| 03/21/2006 |
Defendants' Reply Post-Hearing Markman Brief
|
|
| 03/21/2006 |
The Board of Regents of The University of Texas System Post-Markman Reply Brief
|
|
| 03/16/2006 |
The Board of Regents of The University of Texas System Post-Markman Opening Claim Construction Brief
|
|
| 03/16/2006 |
Defendants' Opening Post-Hearing Markman Brief
|
|
| 03/10/2006 |
Plaintiff's Supplemental Offer of Exhibits
|
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| 03/10/2006 |
Plaintiff's Supplemental Offer of Exhibits
|
|
| 03/10/2006 |
Subpoena - Zi Corporation
|
|
| 03/07/2006 |
Protective Order
|
|
| 03/07/2006 |
Order Granting Filing Motions Under Seal
|
|
| 03/06/2006 |
Plaintiff's Unopposed Motion for Entry of a Protective Order
|
|
| 03/03/2006 |
Plaintiff's Response to Defendants' Motion to Exclude Untimely Publications and Any Opinion or Testimony Referring or Relating Thereto
|
|
| 03/02/2006 |
Defendants' Motion to Exclude Untimely Publications and Any Opinion or Testimony Referring or Relating Thereto
|
|
| February 2006 |
| 02/27/2006 |
Defendant Sagem Communication's, sued as Sagem SA, Answer and Affirmative Defenses to Plaintiff's First Amended Complaint for Patent Infringement
|
|
| 02/22/2006 |
Order Resetting Technical Tutorial/Continuation of Markman Evidence
|
|
| 02/21/2006 |
Order Dismissing as Moot TCL and VK Motions to Dismiss
|
|
| 02/21/2006 |
Order Denying Sagem, S.A.'s Motion to Dismiss Plaintiff's Complaint for Lack of Personal Jurisidiction
|
|
| 02/17/2006 |
Subpoena - Tegic Communications, Inc.
|
|
| 02/13/2006 |
Statement of Expected Testimony from Russell C. Eberhart, PH.D.
|
|
| 02/13/2006 |
Statement of Expected Testimony from Charles D. Huston, Esq.
|
|
| 02/09/2006 |
Order Granting Plaintiff's Motion to Extend Time to Respond to Defendants' Motion for Summary Judgment
|
|
| 02/01/2006 |
Plaintiff's Motion to Extend Time to Respond to Defendants' Motion for Summary Judgment
|
|
| January 2006 |
| 01/26/2006 |
Order Granting Plaintiff's Unopposed Motion to Dismiss Amoi Electronics, Inc.
|
|
| 01/26/2006 |
Declaration of Evette D. Pennypacker in Support of Defendants' Motion for Summary Judgment for Invalidity of U.S. Patent No. 4,674,112
|
|
| 01/26/2006 |
Defendants' Motion for Summary Judgment for Invalidity of U.S. Patent No. 4,674,112
|
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| 01/26/2006 |
Defendants' Motion for Summary Judgment for Invalidity of U.S. Patent No. 4,674,112
|
|
| 01/20/2006 |
Plaintiff's Unopposed Motion to Dismiss Amoi Electronics, Inc.
|
|
| 01/17/2006 |
Opposition to Plaintiff's Supplemental Motion to Exclude the Testimony of Stanley Peters and Scott MacKenzie or Compel Related Discovery
|
|
| 01/09/2006 |
Order Setting Technical Tutorial for March 3, 2006
|
|
| 01/04/2006 |
Supplement to Plaintiff's Motion to Exclude the Testimony of I. Scott MacKenzie or to Compel Related Discovery
|
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| 01/03/2006 |
Plaintiff's Supplemental Motion to Exclude the Testimony of Stanley Peters and Scott MacKenzie or Compel Related Discovery
|
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| 01/03/2006 |
Plaintiff's Response to Defendants' Motion to Reconsider the Court's Denial of Their Motion to Stay
|
|
| 01/03/2006 |
Declaration of Kevin P.B. Johnson in Support of Defendants' Opposition to Plaintiff's Motion to Exclude the Testimony of Professor Paul Stanley Peters and Dr. I. Scott MacKenzie. Part 1 of 6
|
|
| 01/03/2006 |
Declaration of Kevin P.B. Johnson in Support of Defendants' Opposition to Plaintiff's Motion to Exclude the Testimony of Professor Paul Stanley Peters and Dr. I. Scott MacKenzie. Part 2 of 6
|
|
| 01/03/2006 |
Declaration of Kevin P.B. Johnson in Support of Defendants' Opposition to Plaintiff's Motion to Exclude the Testimony of Professor Paul Stanley Peters and Dr. I. Scott MacKenzie. Part 3 of 6
|
|
| 01/03/2006 |
Declaration of Kevin P.B. Johnson in Support of Defendants' Opposition to Plaintiff's Motion to Exclude the Testimony of Professor Paul Stanley Peters and Dr. I. Scott MacKenzie. Part 4 of 6
|
|
| 01/03/2006 |
Declaration of Kevin P.B. Johnson in Support of Defendants' Opposition to Plaintiff's Motion to Exclude the Testimony of Professor Paul Stanley Peters and Dr. I. Scott MacKenzie. Part 5 of 6
|
|
| 01/03/2006 |
Declaration of Kevin P.B. Johnson in Support of Defendants' Opposition to Plaintiff's Motion to Exclude the Testimony of Professor Paul Stanley Peters and Dr. I. Scott MacKenzie. Part 6 of 6
|
|
| 01/03/2006 |
Opposition to Plaintiff's Motion to Exclude Testimony of Dr. I. Scott MacKenzie and Compel Related Discovery
|
|
| 01/03/2006 |
Opposition to Plaintiff's Motion to Exclude the Testimony of Professor Stanley Peters or Compel Related Discovery
|
|
| December 2005 |
| 12/30/2005 |
Plaintiff's Response to Defendants' Motion to Reconsider the Court's Denial of Their Motion to Stay
|
|
| 12/29/2005 |
Order Dismissing the VK Defendants' With Prejudice
|
|
| 12/29/2005 |
Order Denying Defendants' Motion for Reconsideration on Motion to Stay
|
|
| 12/22/2005 |
Plaintiff's Motion to Exclude the Testimony of I. Scott MacKenzie or to Compel Related Discovery
|
|
| 12/22/2005 |
Plaintiff's Motion to Exclude the Testimony of Paul Stanley Peters or to Compel Related Discovery, Part 1 of 2
|
|
| 12/22/2005 |
Plaintiff's Motion to Exclude the Testimony of Paul Stanley Peters or to Compel Related Discovery, Part 2 of 2
|
|
| 12/22/2005 |
Appendix to the Motion to Exclude the Testimony of I. Scott MacKenzie, Part 1 of 4
|
|
| 12/22/2005 |
Appendix to the Motion to Exclude the Testimony of I. Scott MacKenzie, Part 2 of 4
|
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| 12/22/2005 |
Appendix to the Motion to Exclude the Testimony of I. Scott MacKenzie, Part 3 of 4
|
|
| 12/22/2005 |
Appendix to the Motion to Exclude the Testimony of I. Scott MacKenzie, Part 4 of 4
|
|
| 12/15/2005 |
Defendants' Reply Claim Construction Brief
|
|
| 12/15/2005 |
The Board of Regents of The University of Texas System Claim Construction Reply Brief
|
|
| 12/15/2005 |
Appendix to the Board of Regents of The University of Texas System Claim Construction Reply Brief
|
|
| 12/7/2005 |
The Board of Regents of The University of Texas System Opening Claim Construction Brief
|
|
| 12/7/2005 |
Defendants' Opening Claim Construction Brief
|
|
| 12/7/2005 |
Expert Report of Stanley Peters in Support of Defendants' Claim Construction Brief
|
|
| 12/7/2005 |
Expert Report of I. Scott MacKenzie PhD. in Support of Defendants' Claim Construction Brief
|
|
| 12/7/2005 |
Appendix to Defendants' Claim Construction Brief
|
|
| 12/7/2005 |
Plaintiff's Opening Claim Construction Brief
|
|
| 12/1/2005 |
Joint Claim Construction Statement
|
|
| 12/1/2005 |
Appendix - Claim Construction Brief (Part 1)
|
|
| 12/1/2005 |
Appendix - Claim Construction Brief (Part 2)
|
|
| 12/1/2005 |
Appendix - Claim Construction Brief (Part 3)
|
|
| 12/1/2005 |
Appendix - Claim Construction Brief (Part 4)
|
|
| 12/1/2005 |
Appendix - Claim Construction Brief (Part 5)
|
|
| 12/1/2005 |
Appendix - Claim Construction Brief (Part 6)
|
|
| 12/1/2005 |
Appendix - Claim Construction Brief (Part 7)
|
|
| 12/1/2005 |
Appendix - Claim Construction Brief (Part 8)
|
|
| October 2005 |
| 10/7/2005 |
Plaintiff's Unopposed Motion to Dismiss MiTAC Defendants'
|
|
| 10/7/2005 |
Plaintiff's Unopposed Motion to Dismiss Philips Defendants'
|
|
| July 2005 |
| 7/27/2005 |
Defendant Sanyo North America Corp.'s Corporate Disclosure Statement
|
|
| 7/27/2005 |
Defendant Sendo America Inc.'s Answer and Affirmative Defenses To Plaintiff's First Amended Complaint for Patent Infringement
|
|
| 7/27/2005 |
Defendant LG Electronics Mobilecomm USA Inc.'s Answer and Affirmative Defenses To Plaintiff's First Amended Complaint for Patent Infringement
|
|
| 7/27/2005 |
Defendant LG Electornics Mobilecomm USA Inc.'s Corporate Disclosure Statement
|
|
| 7/27/2005 |
Defendant NEC America, Inc.'s Corporate Disclosure Statement
|
|
| 7/27/2005 |
Defendant NEC USA, Inc.'s Corporate Disclosure Statement
|
|
| 7/27/2005 |
Defendant Sony Ericsson Mobile Communications AB's Corporate Disclosure Statement
|
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