Motorola Mobility, Inc. v. Apple, Inc.

Filing 366

NOTICE by Motorola Mobility LLC Amended Infringement Contentions and Statement of Accused Products (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D, # 5 Exhibit E, # 6 Exhibit F, # 7 Exhibit G, # 8 Exhibit H, # 9 Exhibit I, # 10 Exhibit J, # 11 Exhibit K, # 12 Exhibit L)Associated Cases: 1:12-cv-20271-RNS, 1:10-cv-23580-RNS(Kruse, Regan)

Download PDF
EXHIBIT C EXHIBIT C UNITED STATES PATENT NO. 5,958,006 PRELIMINARY INFRINGEMENT CONTENTIONS1 Accused Apple Products: MobileMe, iCloud, Apple iPhone 3G S, Apple iPhone 3G, Apple iPhone 4, Apple iPhone 4S, Apple iPhone 52 (collectively, “Apple iPhones”), Apple iPad, Apple iPad with 3G, Apple iPad 2, Apple iPad 2 with 3G, 3rd Generation Apple iPad, 3rd Generation Apple iPad + 4G, 4th Generation iPad3, 4th Generation iPad [with cellular], Apple iPad mini4, Apple iPad mini [with cellular], 3rd Generation Apple iPod Touch, 4th Generation Apple iPod Touch, 5th Generation Apple iPod Touch5 (collectively, “Apple iPads” and “iPods”), Apple Mac Pro, Apple iMac, new Apple iMac6, Apple Mac mini, new Apple Mac 1 Motorola Mobility's investigation is ongoing and discovery is not yet complete. Apple has, thus far, not produced all of its documents and source code relevant to the accused methods and products. Motorola reserves the right to supplement or amend these contentions based on subsequent discovery or disclosures made pursuant to FRCP 26. Motorola further reserves the right to amend and supplement its contentions with respect to any products released by Apple subsequent to the service of these initial infringement contentions, in accordance with the schedule set forth in the Court’s Order of October 25, 2012. Further, to the extent Apple releases any new products with the same functionality accused of infringement in the Accused Apple Products in these contentions, Motorola reserves the right to seek appropriate relief from the court in accordance with its order of October 25, 2012 and in accordance with the Federal Rules of Civil Procedure. 2 The term "Apple iPhone 5" means Apple's new iPhone announced by Apple on September 12, 2012. See http://www.apple.com/pr/library/2012/09/12Apple-Introduces-iPhone-5.html. 3 The terms "4th Generation Apple iPad" and "4th Generation Apple iPad [with cellular]" mean Apple's new iPad devices announced by Apple on October 23, 2012. See http://www.apple.com/pr/library/2012/10/23Apple-Introduces-iPad-mini.html. 4 The terms "Apple iPad mini" and "Apple iPad mini [with cellular]" mean Apple's new iPad mini devices announced by Apple on October 23, 2012. See http://www.apple.com/pr/library/2012/10/23Apple-Introduces-iPad-mini.html. 5 The term “5th Generation Apple iPod Touch” means Apple’s new iPod Touch announced by Apple on September 12, 2012. See http://www.apple.com/pr/library/2012/09/12Apple-Introduces-New-iPod-touch-iPod-nano.html. 6 The term "new Apple iMac" means Apple's new iMac computers announced by Apple on October 23, 2012. See http://www.apple.com/pr/library/2012/10/23All-New-iMac-Features-Stunning-Design-Brilliant-Display-Faster-Performance.html. 1 EXHIBIT C mini7, Apple MacBook, Apple MacBook Pro, 15-inch Apple MacBook Pro with Retina Display, 13-inch Apple MacBook Pro with Retina Display8, Apple MacBook, and Apple MacBook Air. Apple directly infringes the ‘006 patent, either literally or through the doctrine of equivalents, pursuant to 35 U.S.C. § 271(a). In addition to Apple's direct infringement of the ‘006 patent through its development, testing, use, distribution and sale of its products and services, Apple also indirectly infringes the ‘006 patent pursuant to 35 U.S.C. § 271(b) and (c). End-users and others in the distribution channel of the Accused Apple Products directly infringe this claim by using, selling, offering for sale, and/or importing these devices into the United States. Apple contributes to and induces infringement through its promotion and provision of marketing, sale and/or technical support of the Accused Apple Products and associated services in the United States, and through the design, marketing, manufacture, sale, and/or technical support of the Accused Apple Products. Apple supplies Accused Apple Products and actively encourages the use, sale, offer for sale, and importation of the same in the United States through the promotion and provision of marketing literature, promotion, and user guides, which induces and results in direct infringement. Apple has known or should have known that these actions would cause direct infringement of the ‘006 patent and did so with specific intent to encourage direct infringement, at least as of 2007, when Apple and Motorola participated in talks regarding the licensing of Motorola's patent portfolio. On information and belief, in connection with those negotiations, Apple has reviewed said portfolio, including Motorola's ‘006 Patent. Moreover, Apple has known of the ‘006 patent since at least October 6, 2012, when Motorola filed its Complaint, attaching the ‘006 patent as an exhibit. Despite knowing of the ‘006 patent, Apple continues to make, use, offer to sell, and sell its products and has continued to circulate marketing literature and user guides encouraging users of the Accused Apple Products to infringe. Additionally, the identified features of the Accused Apple Products are material parts of the inventions of the asserted claims and have no substantial non-infringing uses. ‘006 Patent Claim Representative Apple Products: Apple Phone and/or Apple Computer communicating over MobileMe / iCloud;9 7 The term "new Apple Mac mini" means Apple's new Mac mini computers announced by Apple on October 23, 2012. See http://www.apple.com/pr/library/2012/10/23All-New-iMac-Features-Stunning-Design-Brilliant-Display-Faster-Performance.html. 8 The term "13-inch Apple MacBook Pro with Retina Display" means Apple's new 13-inch MacBook Pro computer announced by Apple on October 23, 2012. See http://www.apple.com/pr/library/2012/10/23Apple-Introduces-13-inch-MacBook-Pro-with-RetinaDisplay.html. 9 This chart provides Motorola’s infringement analysis for the MobileMe service and/or iCloud communicating with Apple's accused products. In this claim chart, "Apple Phone" refers to Apple iPhone 3G S, Apple iPhone 3G, Apple iPhone 4, Apple iPhone 4S, Apple 2 EXHIBIT C ‘006 Patent Claim Representative Apple Products: Apple Phone and/or Apple Computer communicating over MobileMe / iCloud;9 12. A method of Upon information and belief, an Apple Phone in the course of normal use with MobileMe / iCloud and an communicating data Apple Computer in the course of normal use with MobileMe / iCloud perform each and every step of this between a first data claim. Additionally, a user of an Apple Phone or an Apple Computer will performs each and every step of processing device and this claim in the course of such use. a third data processing device via Upon information and belief, Apple Phones and Apple Computers perform a method of communicating data a second data between a first data processing device (MobileMe / iCloud host server) and a third data processing device processing device, (Apple Phone) via a second processing device (MobileMe / iCloud communication server). comprising: iPhone 5, Apple iPad, Apple iPad with 3G, Apple iPad 2, Apple iPad 2 with 3G, 3rd Generation Apple iPad, 3rd Generation Apple iPad + 4G, 4th Generation Apple iPad, 4th Generation Apple iPad [with cellular], Apple iPad mini, 3rd Generation Apple iPod Touch, 4th Generation Apple iPod Touch, and 5th Generation Apple iPod Touch; "Apple Computer" refers to Apple MacBook, Apple MacBook Pro, 15-inch Apple MacBook Pro with Retina Display, 13-inch Apple MacBook Pro with Retina Display, Apple MacBook Air, Apple iMac, new Apple iMac, Apple Mac Mini, new Apple Mac Mini, and Apple Mac Pro. Upon information and belief, the analysis set forth in this chart for "Apple Phone" applies equally to all Apple Phones using Apple’s MobileMe and/or iCloud service; and, upon information and belief, the analysis set forth in this chart for "Apple Computer" applies equally to all Apple Computers using Apple’s MobileMe and/or iCloud service. 3 EXHIBIT C ‘006 Patent Claim Representative Apple Products: Apple Phone and/or Apple Computer communicating over MobileMe / iCloud;9 MobileMe Features, (http://www.apple.com/mobileme/features/), accessed May 13, 2011, MOTO-APPLE0006037953_127187. See What is Mac OS X – Mail, iCal, Address Book, (http://www.apple.com/macosx/what-is-macosx/mailical-address-book.html), accessed May 14, 2011, MOTO-APPLE-0006037953_127173-74: 4 EXHIBIT C ‘006 Patent Claim Representative Apple Products: Apple Phone and/or Apple Computer communicating over MobileMe / iCloud;9 See also iPhone Features, (http://www.apple.com/iphone/features/mail.html), accessed on May 14, 2011, MOTO-APPLE-0006037953_126650-50: 5 EXHIBIT C ‘006 Patent Claim Representative Apple Products: Apple Phone and/or Apple Computer communicating over MobileMe / iCloud;9 6 EXHIBIT C ‘006 Patent Claim Representative Apple Products: Apple Phone and/or Apple Computer communicating over MobileMe / iCloud;9 See also, iCloud – Calendar, Mail, and Contacts, http://www.apple.com/icloud/features/calendar-mail-contacts.html, accessed on October 27, 2011: See also, Apple devices with iOS 6 – iPhone User Guide For iOS 6 Software, p. 15 (http://manuals.info.apple.com/en/iphone_user_guide.pdf), accessed on 11/06/2012, MOTO-SDFL0000016147: In addition, through its design of the Apple Phones and Apple Computers, Apple also induced users of the Accused Apple Products to infringe the '006 patent. Apple and Motorola have been in talks since 2007 regarding the licensing of Motorola's patent portfolio, and, on information and belief, in accordance with those negotiations, Apple has reviewed said portfolio, including Motorola's '006 Patent. Thus, at least as early as 2007, Apple knew or should have known its actions would induce actual infringement and possessed specific intent to encourage its customers' direct infringement through the design of the Apple Phones and Apple Computers. In addition, Apple instructs the users of the Apple Phones and Apple Computers to use 7 EXHIBIT C ‘006 Patent Claim Representative Apple Products: Apple Phone and/or Apple Computer communicating over MobileMe / iCloud;9 them in an infringing manner, including but not limited to by describing infringing uses in its advertisements, promotional materials, labels, and user manuals. See, e.g. MobileMe Help, (http://docs.info.apple.com/article.html?path=MobileMe/Help/en/mm6b1a0b80.html), accessed May 5, 2011, MOTO-APPLE-0006037953_127204: Moreover, Apple also contributes to the infringement of the '006 patent by users of the devices. As indicated above, at least as early as 2007, Apple knew that offering to sell or selling the Apple Phones and Apple Computers would contribute to direct infringement of the '006 Patent. Apple knew that the Apple Phones and Apple Computers contain a specific software component for storing information on filtered data units, a component with no substantial non-infringing use, that could be combined with Apple's MobileMe / iCloud service, and that this combination, for which the component was especially made, was both patented and infringing. Moreover, Apple Phones and Apple Computers users have, in fact, combined these components into an infringing device. Apple further contributes to the direct infringement of the users of the Apple Phones and Apple Computers, including but not limited to by describing infringing combinations in its advertisements, promotional materials, and user manuals. See, e.g. MobileMe Help, (http://docs.info.apple.com/article.html?path=MobileMe/Help/en/mm6b1a0b80.html), accessed May 5, 2011, MOTO-APPLE-0006037953_127204: 8 EXHIBIT C ‘006 Patent Claim Representative Apple Products: Apple Phone and/or Apple Computer communicating over MobileMe / iCloud;9 (a) at the second data processing device, controlling communication of qualifying and nonqualifying data units from the first data processing device to the third data processing device including Upon information and belief, the MobileMe communication server (second data processing device) controls communication of non-HTML images (qualifying data units) and HTML images (non-qualifying data units) from the MobileMe host server (first data processing device) to an Apple Phone or an Apple Computer (third data processing device). See Screenshot of raw data from a MobileMe indicating MobileMe is a communication server, taken on May 10, 2011, MOTO-APPLE-0006037953_127175 (highlighting added): 9 EXHIBIT C ‘006 Patent Claim Representative Apple Products: Apple Phone and/or Apple Computer communicating over MobileMe / iCloud;9 See also iCloud: How spam is filtered, http://support.apple.com/kb/HT4899, accessed October 27, 2011: See also, iCloud: Filter email automatically, http://support.apple.com/kb/PH2650, accessed on 11/06/2012, MOTO-SDFL-0000016146: 10 EXHIBIT C ‘006 Patent Claim Representative Apple Products: Apple Phone and/or Apple Computer communicating over MobileMe / iCloud;9 11 EXHIBIT C ‘006 Patent Claim receiving individually filtered data units from the first data processing device based on at least one user-definable filter parameters to identify whether a data unit is a qualifying or nonqualifying data unit, Representative Apple Products: Apple Phone and/or Apple Computer communicating over MobileMe / iCloud;9 Upon information and belief, the MobileMe / iCloud communication server receives individually filtered data units from the MobileMe / iCloud host server (the first data processing device) based on at least whether the data unit is a HTML image (a user-definable filter parameter) to identify whether a data unit is a qualifying or non-qualifying data unit. The user of an Apple Phone can select which mailboxes (and which folders within those mailboxes) are synched to the device. In addition, the user of an Apple Phone can select how many emails should be downloaded to the device, and the user of an Apple Phone can select not to load remote HTML images. MobileMe / iCloud receives any and all of these user-selected criteria previously prepared at the Apple Phone, which are, when completed, sent to the MobileMe / iCloud communication server. For example, when used with an Apple Phone, this is performed by the MobileMe / iCloud communication server when the "load remote images" setting is set to "off" in the Apple Phone Settings App: 12 EXHIBIT C ‘006 Patent Claim Representative Apple Products: Apple Phone and/or Apple Computer communicating over MobileMe / iCloud;9 Photo of Apple iPhone showing option to load remote images, taken June 29, 2010, MOTO-APPLE0006037953_127176 (arrow added). 13 EXHIBIT C ‘006 Patent Claim Representative Apple Products: Apple Phone and/or Apple Computer communicating over MobileMe / iCloud;9 When used with an Apple Computer, this is performed by the MobileMe / iCloud communication server when (1) the "Display remote images in HTML messages" setting is not selected in the Mail App of Apple's OS X operating system or (2) the "Load images in HTML messages" setting is not selected in the Preferences section of the MobileMe web application: 14 EXHIBIT C ‘006 Patent Claim Representative Apple Products: Apple Phone and/or Apple Computer communicating over MobileMe / iCloud;9 Screenshots of Apple Computer showing options to display images in HTML messages, taken May 12, 2011, MOTO-APPLE-0006037953_127177-78 (arrows added). See also, Apple devices with iOS 6 – iPhone User Guide For iOS 6 Software, p. 51 (http://manuals.info.apple.com/en/iphone_user_guide.pdf—accessed on 10/31/2012); accessed on 11/06/2012, MOTO-SDFL-0000016183 See also MobileMe Help, (http://docs.info.apple.com/article.html?path=MobileMe/Help/en/mm6b1a0b80.html), accessed May 5, 2011, MOTO-APPLE0006037953_127204: 15 EXHIBIT C ‘006 Patent Claim Representative Apple Products: Apple Phone and/or Apple Computer communicating over MobileMe / iCloud;9 See also 745-Apple0783686-786 at -717: 16 EXHIBIT C ‘006 Patent Claim Representative Apple Products: Apple Phone and/or Apple Computer communicating over MobileMe / iCloud;9 wherein for qualifying data units, an identifying information part and an additional part is received and for nonqualifying data units, the identifying Upon information and belief, for non-HTML images (qualifying data units), the date, subject, sender, etc. ( identifying information parts) and the non-HTML images in the email content (the additional part) is received by MobileMe's / iCloud's communication server. For HTML images (non-qualifying data units), the date, subject, sender, etc. (the identifying information parts) without the HTML images (the additional part) are received: 17 EXHIBIT C ‘006 Patent Claim Representative Apple Products: Apple Phone and/or Apple Computer communicating over MobileMe / iCloud;9 information part without the additional part is received, MobileMe Help, (http://docs.info.apple.com/article.html?path=MobileMe/Help/en/mm6b1a0b80.html), accessed May 5, 2011, MOTO-APPLE-0006037953_127204. 18 EXHIBIT C and providing the third data processing device with the identifying information part and the additional part for qualifying data units and providing the third data processing device with the identifying information part without the additional part for nonqualifying data units. Upon information and belief, MobileMe's / iCloud's communication server provides an Apple Phone and/or an Apple Computer (the third data processing device) with the date, subject, sender, etc. (the identifying information part) and the non-HTML images in the email content (the additional part) for qualifying data units and provides the Apple Phone and/or an Apple Computer with the identifying information part without the HTML images (the additional part) for non-qualifying data units. See MobileMe Help, (http://docs.info.apple.com/article.html?path=MobileMe/Help/en/mm6b1a0b80.html), accessed May 5, 2011, MOTO-APPLE-0006037953_127204: See also 745-Apple0783686-786 at -717: 19 EXHIBIT C 20 EXHIBIT C See also Picture of the iPhone showing identifying information (including location in the email) about the .html that was not sent from the MobileMe service to an Apple Phone, taken May 12, 2011, MOTO-APPLE0006037953_127179 (arrows added); Picture of an Apple Computer showing identifying information (including location in the email) about the .html that was not sent from the MobileMe service to an Apple Computer via the Mail.App in OS X, taken May 12, 2011, MOTO-APPLE-0006037953_127180 (arrows added); Picture of an Apple Computer showing identifying information (including location in the email) about the .html that was not sent from the MobileMe service to an Apple Computer via the MobileMe web application, taken May 12, 2011, MOTO-APPLE-0006037953_127181 (arrows added): 21 EXHIBIT C Apple Computer via Mail.App Apple iPhone 22 EXHIBIT C Apple Computer via MobileMe web application See also, Apple devices with iOS 6 – iPhone User Guide For iOS 6 Software, p. 51 (http://manuals.info.apple.com/en/iphone_user_guide.pdf—accessed on 10/31/2012) 26. A controller of a communication unit adapted for requesting data over a wireless communication channel from a further data processing host via a Upon information and belief, Apple sells, offers for sale, manufactures, imports, and uses Apple Phones and Apple Computers, and Apple induces its customers to purchase and use Apple Phones and Apple Computers, which contain a controller and are communication units adapted for requesting data over a wireless communication channel from a further data processing host via a communication server, e.g., the MobileMe / iCloud communication server. See Screenshot of raw data from a MobileMe indicating MobileMe is a communication server, taken on May 10, 2011, MOTO-APPLE-0006037953_127175 (highlighting added): 23 EXHIBIT C communication server, the controller comprising: Apple Phones and Apple Computers (communication unit) include a controller adapted for requesting data over a wireless communication channel from the MobileMe / iCloud host via the MobileMe / iCloud communications server. See also What is IMAP and Why Do We Use It?, (http://www.apple.com/mobileme/news/2008/11/what-isimap-and-why-do-we-use-it.html), accessed May 13, 2011, MOTO-APPLE-0006037953_126673: 24 EXHIBIT C See also MobileMe Features, (http://www.apple.com/mobileme/features/), accessed May 13, 2011, MOTOAPPLE-0006037953_127187: 25 EXHIBIT C In addition, through its design of the Apple Phones and Apple Computers, Apple also induced users of the Accused Apple Products to infringe the '006 patent. Apple and Motorola have been in talks since 2007 regarding the licensing of Motorola's patent portfolio, and, on information and belief, in accordance with those negotiations, Apple has reviewed said portfolio, including Motorola's '006 Patent. Thus, at least as early as 2007, Apple knew or should have known its actions would induce actual infringement and possessed specific intent to encourage its customers' direct infringement through the design of the Apple Phones and Apple Computers. In addition, Apple instructs the users of the Apple Phones and Apple Computers to use them in an infringing manner, including but not limited to by describing infringing uses in its advertisements, promotional materials, labels, and user manuals. See, e.g. MobileMe Help, 26 EXHIBIT C (http://docs.info.apple.com/article.html?path=MobileMe/Help/en/mm6b1a0b80.html), accessed May 5, 2011, MOTO-APPLE-0006037953_127204: Moreover, Apple also contributes to the infringement of the '006 patent by users of the devices. As indicated above, at least as early as 2007, Apple knew that offering to sell or selling the Apple Phones and Apple Computers would contribute to direct infringement of the '006 Patent. Apple knew that the Apple Phones and Apple Computers contain a specific software component for storing information on filtered data units in a summary store, a component with no substantial non-infringing use, that could be combined with Apple's MobileMe / iCloud service, and that this combination, for which the component was especially made, was both patented and infringing. Moreover, Apple Phones and Apple Computers users have, in fact, combined these components into an infringing device. Apple further contributes to the direct infringement of the users of the Apple Phones and Apple Computers, including but not limited to by describing infringing combinations in its advertisements, promotional materials, and user manuals. See, e.g. MobileMe Help, (http://docs.info.apple.com/article.html?path=MobileMe/Help/en/mm6b1a0b80.html), accessed May 5, 2011, MOTO-APPLE-0006037953_127204: See also, iCloud – Calendar, Mail, and Contacts, http://www.apple.com/icloud/features/calendar-mailcontacts.html, accessed on October 27, 2011: 27 EXHIBIT C See also, iCloud: Filter email automatically, http://support.apple.com/kb/PH2650, accessed on 11/06/2012, MOTO-SDFL-0000016146, : 28 EXHIBIT C (a) a summary store to store identifying information received from the host via the communications Upon information and belief, Apple Phones and/or Apple Computers contain a summary store that stores the date, subject, sender, etc. (the identifying information) received from host (e.g., MobileMe's / iCloud's host server) via MobileMe's / iCloud's communication server about HTML images (the data units not sent from the host) to the Apple Phone and/or Apple Computer (the communication unit) and not received by the Apple Phone and/or Apple Computer . 29 EXHIBIT C server about data units not sent from the host to the communication unit and not received at the communication unit. See also Picture of the iPhone showing identifying information (including location in the email) about the .html that was not sent from the MobileMe service to an Apple Phone, taken May 12, 2011, MOTO-APPLE0006037953_127179 (arrows added); Picture of an Apple Computer showing identifying information (including location in the email) about the .html that was not sent from the MobileMe service to an Apple Computer via the Mail.App in OS X, taken May 12, 2011, MOTO-APPLE-0006037953_127180 (arrows added); Picture of an Apple Computer showing identifying information (including location in the email) about the .html that was not sent from the MobileMe service to an Apple Computer via the MobileMe web application, taken May 12, 2011, MOTO-APPLE-0006037953_127181 (arrows added): Apple Computer via Mail.App Apple iPhone 30 EXHIBIT C Apple Computer via MobileMe web application 31 EXHIBIT C See also Photo of iPhone showing HTML images after being downloaded from the MobileMe infrastructure, taken June 29, 2010, MOTO-APPLE-0006037953_127182: 32 EXHIBIT C See also, Apple devices with iOS 6 – iPhone User Guide For iOS 6 Software, p. 51 (http://manuals.info.apple.com/en/iphone_user_guide.pdf—accessed on 10/31/2012), accessed on 11/06/2012, MOTO-SDFL-0000016183: 33 EXHIBIT C wherein said data units are individually filtered prior to reception at the communication unit, based upon user definable filter parameters. Upon information and belief, said HTML images (data units) are individually filtered prior to reception at the Apple Phone and/or Apple Computer (the communication unit), based upon whether the end user has chosen to not receive HTML images (the user definable filter parameters). The user of an Apple Phone can select which mailboxes (and which folders within those mailboxes) are synched to the device. In addition, the user of an Apple Phone can select how many emails should be downloaded to the device, and the user of an Apple Phone can select not to load remote HTML images. MobileMe / iCloud receives any and all of these user-selected criteria previously prepared at the Apple Phone, which are, when completed, sent to the MobileMe / iCloud communication server. Upon information and belief, for an Apple Phone, this is performed when the "load remote images" setting is set to "off" in the Apple Phone Settings App: 34 EXHIBIT C Photo of Apple iPhone showing option to load remote images, taken June 29, 2010, MOTO-APPLE0006037953_127176 (arrow added). Upon information and belief, on an Apple computer, this is performed when (1) the "Display remote images 35 EXHIBIT C in HTML messages" setting is not selected in the Mail.App of Apple's OS X operating system or (2) the "Load images in HTML messages" setting is not selected in the Preferences section of the MobileMe web application: See Screenshots of Apple Computer showing options to display images in HTML messages, taken May 12, 2011, MOTO-APPLE-0006037953_127177-78 (arrows added). 36 EXHIBIT C See also, Apple devices with iOS 6 – iPhone User Guide For iOS 6 Software, p. 51 (http://manuals.info.apple.com/en/iphone_user_guide.pdf—accessed on 10/31/2012), accessed on 11/06/2012, MOTO-SDFL-0000016183: See also MobileMe Help, (http://docs.info.apple.com/article.html?path=MobileMe/Help/en/mm6b1a0b80.html), accessed May 5, 2011, MOTO-APPLE-0006037953_127204: See also 745-Apple0783686-786 at -717: 37 EXHIBIT C 38 EXHIBIT C See also iCloud: How spam is filtered, http://support.apple.com/kb/HT4899, accessed October 27, 2011: See also, iCloud: Filter email automatically, http://support.apple.com/kb/PH2650, accessed on 11/06/2012, MOTO-SDFL-0000016146: 39 EXHIBIT C 40

Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.


Why Is My Information Online?