Apple Inc. v. Samsung Electronics Co. Ltd. et al

Filing 1150

MOTION for Extension of Time and to Seal Documents re #1024 Administrative Motion to File Under Seal Documents Re Apples Opposition To Samsungs Motion For Summary Judgment, #1022 Administrative Motion to File Under Seal Documents Re Apples Opposition To Samsungs Motion For Summary Judgment, #1020 Administrative Motion to File Under Seal Documents Under Seal Re Apples Opposition To Samsungs Motion For Summary Judgment, #1023 Administrative Motion to File Under Seal Documents Re Apples Opposition To Samsungs Motion For Summary Judgment, #925 Administrative Motion to File Under Seal Apple's Motion for Summary Judgment of Non-Infringement of U.S. Patent Number 7,362,867 and Invalidity of U.S. Patent Numbers 7,456,893 and 7,577,460, #1013 Administrative Motion to File Under Seal Documents Under Seal Re Apples Opposition To Samsungs Motion For Summary Judgment filed by Samsung Electronics America, Inc.(a New York corporation), Samsung Electronics Co. Ltd., Samsung Telecommunications America, LLC(a Delaware limited liability company). Responses due by 7/2/2012. (Attachments: #1 Exhibit 1 to Samsung's Motion, #2 Declaration of Anthony P. Alden in Support of Samsung's Motion, #3 Exhibit 1 to the Alden Declaration, #4 Declaration of Hankil Kang in Support of Samsung's Motion, #5 Exhibit 1 to the Kang Declaration, #6 Exhibit 2 to the Kang Declaration, #7 Exhibit 3 to the Kang Declaration, #8 Exhibit 4 to the Kang Declaration, #9 Exhibit 5 to the Kang Declaration, #10 Exhibit 6 to the Kang Declaration, #11 Exhibit 7 to the Kang Declaration, #12 Exhibit 8 to the Kang Declaration, #13 Exhibit 9 to the Kang Declaration, #14 Exhibit 10 to the Kang Declaration, #15 Exhibit 11 to the Kang Declaration, #16 Exhibit 12 to the Kang Declaration, #17 Exhibit 13 to the Kang Declaration, #18 Exhibit 14 to the Kang Declaration, #19 Exhibit 15 to the Kang Declaration, #20 Exhibit 16 to the Kang Declaration, #21 Exhibit 17 to the Kang Declaration, #22 Exhibit 18 to the Kang Declaration Pt. 1 of 5, #23 Exhibit 18 to the Kang Declaration Pt. 2 of 5, #24 Exhibit 18 to the Kang Declaration Pt. 3 of 5, #25 Exhibit 18 to the Kang Declaration Pt. 4 of 5, #26 Exhibit 18 to the Kang Declaration Pt. 5 of 5, #27 Exhibit 19 to the Kang Declaration, #28 Exhibit 20 to the Kang Declaration, #29 Exhibit 21 to the Kang Declaration, #30 Exhibit 22 to the Kang Declaration, #31 Exhibit 23 to the Kang Declaration, #32 Exhibit 24 to the Kang Declaration, #33 Exhibit 25 to the Kang Declaration, #34 Exhibit 26 to the Kang Declaration, #35 Exhibit 27 to the Kang Declaration, #36 Exhibit 28 to the Kang Declaration, #37 Proposed Order Granting Samsung's Miscellaneous Administrative Request)(Maroulis, Victoria) (Filed on 6/28/2012)

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KANG DECLARATION EXHIBIT 18 PART 2 OF 5 Bressler Decl. In Support of Apple’s Opp. to Samsung’s Mot. For Summary Judgment Ex. 31 (Part 2 of 5) Filed Under Seal TRANSLATION TRANSLATION TRANSLATION Demands for smart phones to overtake those of normal phones in developed markets Smartphone use will be widespread in 2015. TRANSLATION STEP 01 [Apple] introduced open source applications along with products turning to those with PC–like performance / product modulization Changed the concept of [mobile] phone to be a device with the ability to expand functions as desired by user As service integrating mail (providing ID@me.com mail account), contacts, schedule manager, album, and web disk, Apple makes possible synchronization among computer-webiPod/iPhone. STEP 02 By reducing phone prices for the purpose of mass volume distribution of the device, [Apple] expanded contact base of consumers who want to use Apple services STEP 03 The objective is to lead personal Cloud service, further to Cloud computing*. (That is, device itself becomes Thin Client). *Cloud Computing refers to personal computers or a separate web servers using large-scale computer groups, and the difference from the existing web hard drive is that it not only provides simple server supports but it also possess the ability to utilize applications, storage, various API, and so forth, allowing user to access Cloud Computing resources through a variety of devices at any time (PC, mobile devices or electronic products, and so forth). App Store is a new business model, implementing open innovations through 3rd party participation, maximizing user satisfaction level through strict quality control, and utilizing telecommunications carriers’ billing systems. TRANSLATION STEP 01 Specializing products per function STEP 02 In order to transition into service business, supports sharing and integration of music, games, map sales and contents through the internet portal Ovi as gateway. Test operation of content distribution service Mosh. STEP 03 Opened Symbian to the public, as an attempt to respond to Apple’s App Store (announced opening of Symbian to the public in June 2008). Since Symbian accounts for 60% of the mobile market, it seems plausible to compete with Apple within a short period of time. Conceptualization of Nokia’s internet portal Ovi (left) and content sharing service Mosh TRANSLATION TRANSLATION TRANSLATION TRANSLATION Following societal demand Knowledge Workers are growing and projected to reach 40.6% by 2015. *A 4th industry , “Industry related to the heart,” includes meditation, psychotherapy, spiritual experience, zen meditation, yoga, energy training, etc Growth of Knowledge Workers TRANSLATION TRANSLATION TRANSLATION TRANSLATION TRANSLATION TRANSLATION TRANSLATION TRANSLATION TRANSLATION Propose new style, Mechanism, and strategic CMF TRANSLATION TRANSLATION TRANSLATION TRANSLATION TRANSLATION TRANSLATION TRANSLATION TRANSLATION TRANSLATION

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