Datatreasury Corporation v. Wells Fargo & Company et al

Filing 557

DataTreasury's ANSWER to Counterclaim of Bank of New York and The Bank of New York Company, Inc. by Datatreasury Corporation.(Hohn, Edward)

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Datatreasury Corporation v. Wells Fargo & Company et al Doc. 557 Case 2:06-cv-00072-DF-CMC Document 557 Filed 03/01/2007 Page 1 of 5 IN THE UNITED STATES DISTRICT COURT EASTERN DISTRICT OF TEXAS MARSHALL DIVISION DATATREASURY CORPORTION § Plaintiff/Counter-Defendant § § vs. § § WELLS FARGO & COMPANY; § WELLS FARGO BANK, NATIONAL § ASSOCIATION § Defendants/Counter-Plaintiff § No. 2:06cv72 (DF) Jury Trial Demanded DATATREASURY'S ANSWER TO THE BANK OF YORK AND THE BANK OF NEW YORK COMPANY, INC.'S COUNTERCLAIMS Plaintiff/Counter-Defendant DataTreasury Corporation hereby files its Answer to The Bank of New York and The Bank of New York Company, Inc.'s (collectively "BNY") Counterclaims to Plaintiff's First Amended Complaint for Patent Infringement and in support thereof, states as follows: JURISDICTION AND VENUE 1. Plaintiff/Counter-Defendant admits the allegations contained in paragraphs 99 thru 103 of BNY.'s Counterclaim. THE PARTIES 2. Plaintiff/Counter-Defendant is without sufficient knowledge to either admit or deny the allegations contained in paragraph 104 of BNY's Counterclaim. 3. Plaintiff/Counter-Defendant admits the allegations in paragraphs 105 thru 107 of BNY's Counterclaim. DataTreasury's Answer to Counterclaim by BNY Page 1 Dockets.Justia.com Case 2:06-cv-00072-DF-CMC Document 557 Filed 03/01/2007 Page 2 of 5 COUNTERCLAIM ONE: INVALIDITY OF THE `007 PATENT 4. In paragraph 108 of Defendants' Counterclaim, BNY has incorporated Paragraphs 93 through 98 of Defendant's Answer which are affirmative defenses by Defendant BNY for which Defendant has the burden of proof, and no response is required by Plaintiff/Counter-Defendant. However, in the event any response would be required by Plaintiff/Counter-Defendant, DataTreasury Corporation responds to each of the affirmative defenses contained in paragraphs 93 through 98 as denied. 5. Plaintiff/Countter-Defendant denies the allegations contained in paragraph 109 of BNY's Counterclaim. COUNTERCLAIM TWO: NON-INFRINGEMENT OF THE `007 PATENT 6 In paragraph 110 of Defendants' Counterclaim, BNY has incorporated Paragraphs 93 through 98 of Defendant's Answer which are affirmative defenses by Defendant BNY for which Defendant has the burden of proof, and no response is required by Plaintiff/Counter-Defendant. However, in the event any response would be required by Plaintiff/Counter-Defendant, DataTreasury Corporation responds to each of the affirmative defenses contained in paragraphs 93 through 98 as denied. 7. Plaintiff/Counter-Defendant denies the allegations contained in paragraph 111 of BNY's Counterclaim. COUNTERCLAIM THREE: INVALIDITY OF THE `868 PATENT 8. In paragraph 112 of Defendants' Counterclaim, BNY has incorporated Paragraphs 93 through 98 of Defendant's Answer which are affirmative defenses by Defendant BNY for which Defendant has the burden of proof, and no response is required by Plaintiff/Counter-Defendant. However, in the event any response would be required by DataTreasury's Answer to Counterclaim by BNY Page 2 Case 2:06-cv-00072-DF-CMC Document 557 Filed 03/01/2007 Page 3 of 5 Plaintiff/Counter-Defendant, DataTreasury Corporation responds to each of the affirmative defenses contained in paragraphs 93 through 98 as denied. 9. Plaintiff/Counter-Defendant denies the allegations contained in paragraph 113 of BNY's Counterclaim. COUNTERCLAIM FOUR: NON-INFRINGEMENT OF THE `868 PATENT 10. In paragraph 114 of Defendants' Counterclaim, BNY has incorporated Paragraphs 93 through 98 of Defendant's Answer which are affirmative defenses by Defendant BNY for which Defendant has the burden of proof, and no response is required by Plaintiff/Counter-Defendant. However, in the event any response would be required by Plaintiff/Counter-Defendant, DataTreasury Corporation responds to each of the affirmative defenses contained in paragraphs 93 through 98 as denied. 11. Plaintiff/Counter-Defendant denies the allegations contained in paragraph 115 of BNY's Counterclaim. PRAYER FOR RELIEF WHEREFORE, Plaintiff/Counter-Defendant prays for judgment against Defendants/Counter-Plaintiffs as follows: A. B. For judgment dismissing the counterclaims with prejudice; For a declaration that this is an exceptional case, and an award to Plaintiff/Counter-Defendant of its costs and attorneys' fees incurred herein; C. An award of the costs of this action; and DataTreasury's Answer to Counterclaim by BNY Page 3 Case 2:06-cv-00072-DF-CMC Document 557 Filed 03/01/2007 Page 4 of 5 D. That Plaintiff/Counter-Defendant be awarded such other and further relief as the Court may deem just and proper, including all relief requested in Plaintiff's Complaint. Respectfully submitted, ____________/S/_____________________ EDWARD L. V ON HOHN, Attorney in Charge State Bar No. 09813240 ROD COOPER State Bar No. 90001628 EDWARD CHIN STATE BAR NO. 50511688 NIX PATTERSON & ROACH LLP 5215 N. O'Connor Blvd. Ste. 1900 Irving, Texas 75039 972.831.1188 (telephone) 972.692.5445 (facsimile) edhohn@nixlawfirm.com rodcooper@nixlawfrm.com edchin@nixlawfirm.com C. CARY PATTERSON State Bar No. 15587000 BRADY PADDOCK State Bar No. 00791394 ANTHONY BRUSTER State Bar No. 24036280 R. BENJAMIN KING State Bar No. 24048592 NIX PATTERSON & ROACH L.L.P. 2900 St. Michael Drive, Suite 500 Texarkana, Texas 75503 903.223.3999 (telephone) 903.223.8520 (facsimile) akbruster@nixlawfirm.com bpaddock@nixlawfirm.com benking@nixlawfirm.com JOE KENDALL State Bar No. 11260700 KARL RUPP State Bar No. 24035243 PROVOST * UMPHREY, L.L.P. 3232 McKinney Avenue, Ste. 700 Dallas, Texas 75204 214.744.3000 (telephone) 214.744.3015 (facsimile) jkendall@provostumphrey.com krupp@provostumphrey.com DataTreasury's Answer to Counterclaim by BNY Page 4 Case 2:06-cv-00072-DF-CMC Document 557 Filed 03/01/2007 Page 5 of 5 ERIC M. ALBRITTON State Bar ;No. 00790215 ALBRITTON LAW FIRM P.O. Box 2649 Longview, Texas 75606 903.757.8449 (telephone) 903.758.7397 (facsimile) ema@emafirm.com T. JOHN WARD, JR. State Bar No. 00794818 LAW OFFICE OF T. JOHN WARD, JR. P.O. Box 1231 Longview, Texas 75601 903.757.6400 (telephone) 903.757.2323 (facsimile) jw@jwfirm.com ATTORNEYS FOR PLAINTIFF/COUNTERDEFENDANT,DATATREASURY CORPORATION CERTIFICATE OF SERVICE I hereby certify that a true and correct copy of the above and foregoing document has been served on all counsel of record, via CM/ECF, on the 1st day of March, 2007. ___________/S/______________________ Edward Lewis von Hohn DataTreasury's Answer to Counterclaim by BNY Page 5

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