Antor Media Corporation v. Metacafe, Inc.

Filing 148

Antor Media Corp.'s ANSWER to Counterclaim of SBO Pictures,Inc. by Antor Media Corporation, Antor Media Corporation.(Chiaviello, Robert)

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Antor Media Corporation v. Metacafe, Inc. Doc. 148 Case 2:07-cv-00102-DF Document 148 Filed 09/05/2007 Page 1 of 5 IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF TEXAS MARSHALL DIVISION ANTOR MEDIA CORPORATION, PLAINTIFF, V. METACAFE, INC., ET AL., DEFENDANTS. § § § § § § § § § § CIVIL ACTION NO. 02:07CV-102 JURY DEMANDED PLAINTIFF'S REPLY TO COUNTERCLAIMS OF SBO PICTURES, INC. Plaintiff-Counterdefendant, Antor Media Corporation ("Antor"), replies to Defendant SBO Pictures, Inc. ("SBO") as follows: COUNTERCLAIMS Parties 1. Antor admits that SBO is a corporation organized and existing under the laws of the State of California, having a principal place of business at 9040 Eton Ave., Canoga Park, CA 91304. 2. Antor admits that it alleges that it is a corporation organized under the laws of Texas, with its principal place of business in Plano, Texas. Jurisdiction and Venue 3. Antor admits this Court has subject matter jurisdiction over SBO's counterclaims pursuant to 28 U.S.C. §§ 1331, 1338, 2201, and 2202. Antor admits an actual and justiciable controversy exists between Antor and SBO. Antor admits that it has accused SBO of infringing the `961 Patent. All averments or allegations not admitted herein are denied. 4. Antor admits that it has consented to personal jurisdiction of this Court. Antor Dockets.Justia.com Case 2:07-cv-00102-DF Document 148 Filed 09/05/2007 Page 2 of 5 admits that venue is proper in the Eastern District of Texas. All averments or allegations not admitted herein are denied. First Counterclaim (Declaratory Judgment of Patent Invalidity) 5. Antor admits that SBO incorporates by reference each of the proceeding allegations of SBO's Answer and Counterclaims to Antor's Second Amended Complaint (SBO's Answer) as if fully set forth therein. 6. 7. Denied. Antor admits that an actual controversy exists between Antor and SBO. All averments or allegations not admitted herein are denied. 8. 9. Denied. Denied. Second Counterclaim (Declaratory Judgment of Non-Infringement) 10. Antor admits that SBO incorporates by reference each of the proceeding allegations of SBO's Answer as if fully set forth therein. 11. 12. Denied. Antor admits that an actual controversy exists between Antor and SBO. All averments or allegations not admitted herein are denied. 13. 14. Denied. Denied. Third Counterclaim (Declaratory Judgment of Patent Unenforceability) 15. Antor admits that SBO incorporates by reference each of the proceeding allegations of SBO's Answer as if fully set forth therein. 70019282.1 -2- Case 2:07-cv-00102-DF Document 148 Filed 09/05/2007 Page 3 of 5 16. Antor admits that an actual controversy exists between Antor and SBO. All averments or allegations not admitted herein are denied. 17. 18. Denied. Antor admits that an actual controversy exists between Antor and SBO. All averments or allegations not admitted herein are denied. 19. Denied. PRAYER FOR RELIEF WHEREFORE, Antor prays for judgment and requests that this Court: (a) (b) (c) (d) Dismiss SBO's counterclaims with prejudice; Enter judgment in favor of Antor; Award Antor its reasonable costs, expenses, and attorneys' fees; and Grant such other and further relief as the Court may deem just and proper. 70019282.1 -3- Case 2:07-cv-00102-DF Document 148 Filed 09/05/2007 Page 4 of 5 Respectfully submitted this 5th day of September, 2007. /s/ Robert M. Chiaviello, Jr. Robert M. Chiaviello, Jr., Attorney-in-Charge Texas Bar No. 04190720 Email: bobc@fulbright.com Brett C. Govett Texas Bar No. 08235900 Email: bgovett@fulbright.com FULBRIGHT & JAWORSKI L.L.P. 2200 Ross Avenue, Suite 2800 Dallas, Texas 75201-2784 Telephone: (214) 855-8000 Facsimile: (214) 855-8200 COUNSEL FOR PLAINTIFF ANTOR MEDIA CORPORATION OF COUNSEL S. Calvin Capshaw, III Elizabeth L. DeRieux Andrew W. Spangler BROWN McCARROLL L.L.P. 1127 Judson Road, Suite 220 Longview, TX 75601 Telephone: (903) 236-9800 Facsimile: (903) 236-8787 Nicholas H. Patton J. Kurt Truelove PATTON, TIDWELL & SCHROEDER, L.L.P. 4605 Texas Blvd. Texarkana, TX 75503 Telephone: (903) 792-7080 Facsimile: (903) 792-8233 T. John Ward, Jr. LAW OFFICE OF T. JOHN WARD, JR., P.C. 109 W. Tyler Longview, TX 75601 Telephone: (903) 757-6400 Facsimile: (903) 757-2323 Otis W. Carroll, Jr. IRELAND CARROLL & KELLEY 6101 S. Broadway, Ste. 500 Tyler, TX 75703 Telephone: (903) 561-1600 Facsimile: (903) 581-1071 70019282.1 -4- Case 2:07-cv-00102-DF Document 148 Filed 09/05/2007 Page 5 of 5 CERTIFICATE OF SERVICE I hereby certify that a true and correct copy of the foregoing document was filed electronically in compliance with Local Rule CV-5(a). As such, this document was served on all counsel who are deemed to have consented to electronic service per Local Rule CV-5(a)(3)(A) on September 5, 2007. /s/ Robert M. Chiaviello, Jr. Robert M. Chiaviello, Jr. 70019282.1 -5-

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