EMG Technology, LLC v. Apple, Inc.

Filing 70

Plaintiff EMG's ANSWER to 59 Answer to Amended Complaint,, Counterclaim, of Apple, Inc. by EMG Technology, LLC.(Ainsworth, Charles)

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IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF TEXAS TYLER DIVISION EMG TECHNOLOGY, LLC, Plaintiff, v. APPLE, INC., AMERICAN AIRLINES, INC., BLOOMBERG, L.P., CONTINENTAL AIRLINES, INC., UNITED PARCEL SERVICE, INC., Defendants. CASE NO. 6:08-CV-00447-LED JURY TRIAL DEMANDED PLAINTIFF AND COUNTERDEFENDANT EMG TECHNOLOGY LLC'S ANSWER TO COUNTERCLAIM OF APPLE, INC. Pursuant to Fed . R. Civ. P. 8(b), EMG Technology, LLC ("EMG") hereby responds to the Counterclaim of Apple, Inc. ("Apple") as follows. Unless specifically admitted, EMG generally denies all allegations in the Counterclaim. EMG expressly denies that Apple is entitled to any relief whatsoever in connection with its Counterclaim, including, but not limited to, all relief requested in Apple's Prayer for Relief. JURISDICTION AND VENUE 31. 32. 33. 34. EMG admits the allegations contained in Paragraph 31. EMG admits the allegations contained in Paragraph 32. EMG admits the allegations contained in Paragraph 33. EMG admits the allegations contained in Paragraph 34. 6086298v2 EMG TECHNOLOGY'S ANSWER TO COUNTERCLAIM OF APPLE, INC. FACTS CONCERNING THE '196 PATENT 35. EMG admits that it is the owner by assignment of United States Patent No. 7,441,196 (the "'196 Patent"), which, on its face, is entitled "Apparatus and Method of Manipulating a Region on a Wireless Device Screen for Viewing, Zooming and Scrolling Internet Content" filed on March 13, 2006, and issued on October 21,2008. EMG admits that Elliot A. Gottfurcht, Grant E. Gottfurcht, and Albert-Michel C. Long are the inventors of the '196 Patent and that a copy of the '196 Patent was attached as Exhibit A to EMG's Second Amended Complaint. Except as expressly admitted, EMG denies the remaining allegations contained in Paragraph 35. COUNT ONE - UNITED STATES PATENT NO. 7,441,196 DECLARATION OF NONINFRINGEMENT 36. EMG incorporates by reference its responses to Paragraphs 31-35 above as though fully set forth herein. 37. EMG admits that an actual controversy currently exists between EMG and Apple with respect to infringement of the '196 patent and that EMG brought this action against Apple and others alleging that Apple infringes the '196 Patent and Apple denies that allegation. Except as expressly admitted, EMG denies the remaining allegations contained in Paragraph 37. 38. 39. EMG denies the allegations contained in Paragraph 38. EMG denies the allegations contained in Paragraph 39. COUNT TWO - UNITED STATES PATENT NO. 7,441,196 DECLARATION OF INVALIDITY 40. EMG incorporates by reference its responses to Paragraphs 31-39 above as though fully set forth herein. 41. EMG admits that an actual controversy currently exists between EMG and Apple regarding the validity of the '196 patent and that EMG brought this action against Apple and others alleging that Apple infringes the '196 Patent and that Apple denies that allegation. Except as expressly admitted, EMG denies the remaining allegations contained in Paragraph 41. 42. 43. 6086298v2 EMG denies the allegations contained in Paragraph 42. EMG denies the allegations contained in Paragraph 43. -2EMG TECHNOLOGY'S ANSWER TO COUNTERCLAIM OF APPLE, INC. PRAYER FOR RELIEF WHEREFORE, EMG prays that this Court enter judgment against Apple as follows: (a) Dismissing Apple's Counterclaim with prejudice and ordering that Apple is entitled to no recovery on the Counterclaim; (b) Ordering that this is an exceptional case pursuant to 35 U.S.C. § 285, and awarding EMG its attorney fees and full costs of suit; and (c) appropriate. DATED: April 22, 2009 OF COUNSEL: Jeffer, Mangels, Butler and Marmaro, LLP Stanley M. Gibson (Cal. Bar No. 162329) smg@jmbm.com Joshua S. Hodas, Ph.D. (Cal. Bar No. 250812) jsh@jmbm.com 1900 Avenue of the Stars, Seventh Floor Los Angeles, CA 90067 Telephone: (310) 203-8080 Facsimile: (310) 203-0567 Manatt, Phelps & Phillips, LLP Robert D. Becker (Cal. Bar No. 160648) rbecker@manatt.com Shawn G. Hansen (Cal. Bar No. 197033) shansen@manatt.com 1001 Page Mill Road, Building 2 Palo Alto, CA 94304 Telephone: (650) 812-1300 Facsimile: (650) 213-0260 Respectfully Submitted, By: /s/ Charles Ainsworth Charles Ainsworth State Bar No. 00783521 Robert Christopher Bunt State Bar No. 00787165 PARKER, BUNT & AINSWORTH, P.C. 100 E. Ferguson, Suite 1114 Tyler, TX 75702 903/531-3535 903/533-9687 E-mail: charley@pbatyler.com E-mail: rcbunt@pbatyler.com Awarding EMG such other and further relief as this Court deems just and 6086298v2 -3- EMG TECHNOLOGY'S ANSWER TO COUNTERCLAIM OF APPLE, INC. CERTIFICATE OF SERVICE I hereby certify that all counsel of record, who are deemed to have consented to electronic service are being served this 22th day of April, 2009, with a copy of this document via the Court's CM/ECF system per Local Rule CV-5(a)(3). /s/ Charles Ainsworth Charles Ainsworth 6086298v2 -4- EMG TECHNOLOGY'S ANSWER TO COUNTERCLAIM OF APPLE, INC.

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