PA Advisors, LLC v. Google Inc. et al

Filing 98

Defendant Google Inc.'s Answer, Affirmative Defenses and Counterclaims to PA Advisors, LLC's First Amended Complaint for Patent Infringement ANSWER to Amended Complaint, COUNTERCLAIM against PA Advisors, LLC by Google Inc..(Beck, David)

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PA Advisors, LLC v. Google Inc. et al Doc. 98 Case 2:07-cv-00480-TJW Document 98 Filed 01/29/2008 Page 1 of 10 UNITED STATES DISTzuCT COURT EASTERN DISTRICT OF TEXAS MARSFIALL DIVISION PA ADVISORS, LLC, Plaintiff, v. Civil Action No. 2-07 CV -480-TJW ruRY TRIAL REQUESTED GOOGLE INC., ET AL. Defendants. DEFENDANT GOOGLE INC.'S ANS\ilER" AFFIRMATIVE DEFENSES AND COUNTERCLAIMS TO PA ADVISORS. LLC'S FIRST AMENDED COMPLAINT FOR PATENT INFRINGEMENT Defendant and counterclaimant Google Inc. ("Google") by and through the undersigned counsel, answers the First Amended Complaint for Patent Infringement ("Complaint") of as follows: plaintiff and counterdefendant PA ADVISORS, LLC ("Plaintiff'), Parties 1. 2. Google is without knowledge or information sufficient to form a belief as to the truth or falsity of the allegations inparagraph 1 of the Complaint and therefore denies them. Google admits it is a Delaware corporation with its corporate headquarters and principal place of business at 1600 Amphitheatre Parkway, Mountain View, California, 94043. Google admits it has appointed its agent for service as follows: Corporation Service Company d/b/a CSC--Lawyers Incorporating Service Company, 701 Brazos Street, Suite 1050, Austin, Texas 78701. 3. Google is without knowledge or information suffrcient to form a belief as to the truth or falsity of the allegations in paragraph 3 of the Complaint and therefore denies them. DEFENDANT GOOGLE INC.'S ANSWER TO FIRST AMENDED COMPLAINT Dockets.Justia.com Case 2:07-cv-00480-TJW Document 98 Filed 01/29/2008 Page 2 of 10 4. 5. 6. 7. 8. 9. 10. 1. Google is without knowledge or information sufficient to form a belief as to the truth or falsity of the allegations in paragraph 4 of the Complaint and therefore denies them. Google is without knowledge or information sufficient to form a belief as to the truth or falsity of the allegations in paragraph 5 of the Complaint and therefore denies them. Google is without knowledge or information sufficient to form a belief as to the truth or falsity of the allegations in paragraph 6 of the Complaint and therefore denies them. Google is without knowledge or information sufficient to form a belief as to the truth or falsity of the allegations in paragraph 7 of the Complaint and therefore denies them. Google is without knowledge or information sufficient to form a belief as to the truth or falsity of the allegations in paragraph 8 of the Complaint and therefore denies them. Google is without knowledge or information suffrcient to form a belief as to the truth or falsity of the allegations in paragraph 9 of the Complaint and therefore denies them. Google is without knowledge or information sufficient to form a belief as to the truth or falsity of the allegations inparagraph 10 of the Complaint and therefore denies them. I Google is without knowledge or information sufficient to form a belief as to the truth or falsity of the allegations in paragraph l1 of the Complaint and therefore denies them. 12. 13. 14. Google is without knowledge or information sufÍicient to form a belief as to the truth or falsity of the allegations in paragraph 12 of the Complaint and therefore denies them. Google is without knowledge or information sufficient to form a belief as to the truth or falsity of the allegations in paragraph l3 of the Complaint and therefore denies them. Google is without knowledge or information sufficient to form a belief as to the truth or falsity of the allegations in paragraph l4 of the Complaint and therefore denies them. Case 2:07-cv-00480-TJW Document 98 Filed 01/29/2008 Page 3 of 10 Jurisdiction and Venue 15. Google admits that the Complaint is an action for alleged patent infringement under the patent laws of the United States, 35 U.S.C. $ I, et seq., and admits that this Court has subject matter jurisdiction over such actions based on 28 U.S.C. $$ 1331 and 1338. Google denies any allegation of infringement of the patent identified in the Complaint. 16. In response to paragraph 16 of the Complaint and solely for the purpose of this action, Google does not contest venue in this District. However, the interests and convenience of the parties would be better served by transferring this case to a different district. Google denies any remaining allegations in paragraph16. 17. Google admits that it is subject to personal jurisdiction in this District solely for the purpose of this action. Google admits that it has conducted and does conduct business in the Eastern District of Texas. Google denies that it has committed any acts of infringement within the Eastern District of Texas, or any other District. Google denies any remaining allegations in paragraphl7. COUNT I Patent No. Infrineement of U.S. Patent No. 6.199.067 18. Google admits that what appears to be a copy of United States 6,199,067 (the "'067 patent") is attached to the Complaint as Exhibit remaining allegations in paragraph 18. A. Google denies any 19. 20. 21. Google admits that page I of Exhibit A lists Ilya Geller as the inventor of the '067 patent. Google denies any remaining allegations in paragraph 19. Google denies the allegations in paragraph2}. Google is without knowledge or information sufficient to form a belief as to the truth or falsity of the allegations inparagraph 2l of the Complaint and therefore denies them. Case 2:07-cv-00480-TJW Document 98 Filed 01/29/2008 Page 4 of 10 22. 23. 24. 25. 26. 27. 28. 29. 30. 31. 32. Google is without knowledge or information suffrcient to form a belief as to the truth or falsity of the allegations in paragraph22 of the Complaint and therefore denies them. Google is without knowledge or information sufficient to form a belief as to the truth or falsity of the allegations in paragraph 23 of the Complaint and therefore denies them. Google is without knowledge or information sufficient to form a belief as to the truth or falsity of the allegations in paragraph24 of the Complaint and therefore denies them. Google is without knowledge or information sufficient to form a belief as to the truth or falsity of the allegations in paragraph 25 of the Complaint and therefore denies them' Google is without knowledge or information sufficient to form a belief as to the truth or falsity of the allegations in paragraph 26 of the Complaint and therefore denies them. Google is without knowledge or information sufficient to form a belief as to the truth or falsity of the allegations in paragraph2T of the Complaint and therefore denies them. Google is without knowledge or information sufficient to form a belief as to the truth or falsity of the allegations inparagraph 28 of the Complaint and therefore denies them. Google is without knowledge or information sufficient to form a belief as to the truth or falsity of the allegations in paragraph2g of the Complaint and therefore denies them. Google is without knowledge or information sufficient to form a belief as to the truth or falsity of the allegations in paragraph 30 of the Complaint and therefore denies them. Google is without knowledge or information sufficient to form a belief as to the truth or falsity of the allegations in paragraph 31 of the Complaint and therefore denies them. Google is without knowledge or information suffrcient to form a belief as to the truth or falsity of the allegations in paragraph 32 of the Complaint and therefore denies them. Case 2:07-cv-00480-TJW Document 98 Filed 01/29/2008 Page 5 of 10 33. 34. 35. Google denies any infringement and denies any actions could constitute willful infringement. Therefore, Google denies the allegations in paragraph 33. Google denies that Plaintiff is entitled to any pre-suit damages. Therefore, Google denies the allegations of paragraph34. Google denies the allegations of paragraph 35 of the Complaint. To the extent the allegations set forth in paragraph 35 relate to other defendants, Google lacks knowledge or information sufficient to form a belief as to the truth of those allegations, and on this basis denies those allegations. 36. Google denies the allegations of paragraph 36 of the Complaint. To the extent the allegations set forth in paragraph 36 relate to other defendants, Google lacks knowledge or a information sufficient to form those allegations. belief as to the truth of those allegations, and on this basis denies Prayer for Relief Google denies that Plaintiff is entitled to the relief sought by its Prayer for Relief, set forth on pages ll-I2 of the Complaint. FIRST AFFIRMATIVE DEFENSE: Non-Infrinsement of the'067 Patent Google has not infringed and does not infringe, either directly, contributorily, or by inducement, any valid and enforceable claim of the '067 patent. SECOND AFFIRMATIVE DEFENSE: Invalidity and/or Enforceabilitv of the'067 Patent The claims of the '067 patent are invalid for failure to satisfu one or more conditions of patentability set forth in Title 35 of the United States Code, including, but not limited to, 35 U.S.C. $$ 101, 102, 103 and/or ll2. Case 2:07-cv-00480-TJW Document 98 Filed 01/29/2008 Page 6 of 10 THIRD AFFIRMATIVE DEFENSE: Lack of Standine On information and belief, Plaintiff lacks the standing necessary to assert the claims of the'067 patent against Google. FOURTH AFFIRMATIVE DEFENSE: Unclean Hands On information and belief, the claims of the '067 patent are unenforceable due to Plaintiffl s unclean hands. COUNTERCLAIMS Pursuant to Rule l3 of the Federal Rules of Civil Procedure, Google Inc. ("Counterclaim- Plaintiff Google") for its Counterclaims against PA ADVISORS, LLC ("CounterclaimDefendant PA ADVISORS, LLC"), alleges as follows: PARTIES l. Counterclaim-Plaintiff Google is a corporation organized and existing under the laws of the state of Delaware with its principal place of business at 1600 Amphitheatre Parkway, Mountain View, CA, 94043. 2. Counterclaim-Defendant PA ADVISORS, LLC alleges that it is a corporation organized and existing under the laws of the state of Texas with its principal place of business in Marshall, Texas. ruRISDICTION AND VENUE 3. 4. This Court has subject matter jurisdiction over these Counterclaims pursuant to 28 U.S.C. $$ 1331 and 1338. Venue is proper in this judicial district pursuant to 28 U.S.C. $$ 1391(b) and by virtue of Counterclaim-Defendant PA ADVISORS, LLC's admissions in the Complaint that venue is proper in this district. 6 Case 2:07-cv-00480-TJW Document 98 Filed 01/29/2008 Page 7 of 10 COUNT I: Declaratorv Judement of Non-Infrineement 5. Counterclaim-Plaintiff Google incorporates the allegations in paragraphs 1 through 36 of the answer and defenses herein and paragraphs 1 through 4 of these counterclaims as if fully set forth herein. 6. '067 patent. Counterclaim-Defendant PA ADVISORS, LLC claims to be the owner of the 7. Counterclaim-Defendant PA ADVISORS, LLC has initiated a civil action against Counterclaim-Plaintiff Google by filing the Complaint in this Court alleging that Counterclaim- Plaintiff Google has infringed one or more claims of the '067 patent. L Counterclaim-Plaintiff Google has not infringed and does not infringe any valid and enforceable claim ofthe '067 patent. COUNT II: Declaratorv Judement of Invalidity ¿nd/or Unenforceabilifv the allegations in paragraphs 1 9. Counterclaim-Plaintiff Google incorporates through 36 of the answer and defenses herein and paragraphs 1 through 8 of these counterclaims as if fully set forth herein. 10. The'067 patent is invalid for failure to satisff one or more of the conditions of patentability set forth in Part II of Title 35 of the United States Code, including, but not limited to, 35 U.S.C. $$ 101, 102,103 andlor ll2. EXCEPTIONAL CASE I 1. On information and beliet this is an exceptional case entitling Google to an award of its attorneys' fees incurred in connection with defending and prosecuting this action pursuant to 35 U.S.C. $ 285, as a result of, inter alia, PlaintifPs assertion of fhe '067 patent against Google with the knowledge that Google does not infringe any valid or enforceable claim of the '067 patenl and/or that the '067 palent is invalid andlot unenforceable' Case 2:07-cv-00480-TJW Document 98 Filed 01/29/2008 Page 8 of 10 RELIEF REQUESTED WHEREFORE, Google respectfully requests the following relief: l. 2. unenforceable; A judgment in favor of Google denying Plaintiff all relief requested in this action and dismissing Plaintiff s Complaint for patent infringement with prejudice; A judgment declaring that each claim of the '067 patent is invalid and/or 3. A judgment declaring that Google has not infringed and is not infringing any valid and/or enforceable claim of the '067 patent, and that Google has not contributed to or induced and is not contributing to or inducing infringement of any valid and enforceable claim of the'067 patent; 4. 5. 6. and proper. A judgment declaring that Google has not willfully infringed and is not willfully infringing any valid and"/or enforceable claim of the '067 patent. A judgment declaring this to be an exceptional case under 35 U.S.C. $ 285 and awarding Google its costs, expenses, and reasonable attorneys' fees; and That the Court award Google such other and further relief as the Court deems just Case 2:07-cv-00480-TJW Document 98 Filed 01/29/2008 Page 9 of 10 DEMAND FOR JURY TRIAL In accordance with Fed. R. Civ. P. 38(b), Google demands atríal by jury on all issues so triable. Dated: January 29,2008 Respectfully submitted, By: lsl David J. Beck Texas Bar No. 00000070 dbeck@brsfirm.com BECI<, ReoonN & SBcnpsr, L.L.P. One Houston Center l22l McKinney St., Suite 4500 Houston, TX. 77010 (713) 9st-3700 (7t3) 9st-3720 (Fax) LB¡,o ArronNnv ron DnrnNo¡,Nr Goocln INc. OF COUNSEL: Michael E. Richardson Texas Bar No. 24002838 mrichardson@brsfirm. com BECI<, R¡opBN & Srcnpsr, L.L.P. One Houston Center l22l McKinney St., Suite 4500 Houston, Texas 77010 (713) 9sr-3700 (713) 951-3720 (Fax) Charles K. Verhoeven, California Bar No. 1701 5 I charle sverhoeven@quinnemanuel. com Qunw EN¿eNusr, Unquunnr OlrveR & Hpocps, LLP 50 California Street, 22ndFloor San Francisco, CA 94lll Tel.: (415) 875-6600 Fax: (415) 875-6700 Case 2:07-cv-00480-TJW Document 98 Filed 01/29/2008 Page 10 of 10 Brian C. Cannon California Bar No. 19307 I briancannon@quinnemanuel. com QunrN EveNurl Uneusenr OlrveR & Hences, LLP 555 Twin Dolphin Drive, Suite 560 Redwood Shores, CA 94065 Tel.: (650) 801-5000 Fax: (650) 801-5100 CERTIFICATE OF SERVICE that counsel of record who are deemed to have consented to electronic service are being served today with a copy of this document via the Court's CM/ECF system per Local Rule CV-5(aX3). lol I certify Michael E. Richardson t0

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