crispr transcript
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1 UNITED STATES PATENT AND TRADEMARK OFFICE
_____________________
2
BEFORE THE PATENT TRIAL AND APPEAL BOARD3
_____________________
4
5 THE BROAD INSTITUTE, INC., MASSACHUSETTS INSTITUTE
OF TECHNOLOGY, AND PRESIDENT AND FELLOWS OF
6 HARVARD COLLEGE Patents 8,697,359; 8,771,945;
8,795,965; 8,865,406; 8,871,445; 8,889,356;
7 8,895,308; 8,906,616; 8,932,814; 8,945,839;
8,993,233; and 8,999,641
8
Junior Party,
9
v.
10
THE REGENTS OF THE UNIVERSITY OF CALIFORNIA,
11 UNIVERSITY OF VIENNA, AND EMMANUELLE CHARPENTIER,
Application 13/842,859,
12
Senior Party.13
_____________________
14
15 Patent Interference No. 106,048(DK)
16
______________________
17
18 Initial Teleconference Call
March 10, 2016
19 1:04 p.m.20 ______________________
21
22
BEFORE: Deborah Katz, Administrative Patent Judge,
23 Judge Lane and Judge Schafer
24
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1 APPEARANCES:
2 Counsel for Junior Party:
3 Jenner & Block
by Steven Trybus, Esquire
4 by Paul Margolis, Esquire
by Harold Roper, Esquire
5 353 N. Clark Street
Chicago, Illinois 60654-3456
6 (312) 923-8307
8
- and -
9
Sunstein, Kann, Murphy & Timbers, LLP
10 by Lawrence M. Green, Esquire
by Elizabeth N. Spar, Ph.D., Esquire
11 by Timothy M. Murphy, Esquire
125 Summer Street
12 Boston , Massach usetts 02 110-1618
(617) 443-9292
14 [email protected] - and -
16 Rothwell Figg
by R. Danny Huntington, Esquire
17 607 14th Street, N.W. Suite 800
Washington, District of Columbia 20005
18 (202) 783-6040
19
- and -
20
Greenblum & Bernstein, P.L.C.
21 by Jill M. Browning, Esquire
1950 Roland Clarke Place
22 Reston, Virginia 20191-1411
(703) 716-1191
24 (continued)
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1 APPEARANCES (continued):
2 Counsel for Senior Party:
3 Buchanan, Ingersoll & Rooney, PC
by Todd R. Walters, Esquire
4 by Erin M. Dunston, Esquire
by Travis W. Bliss, Esquire
5 1737 King Street, Suite 500
Alexandria, VA 22314-2727
6 (703) 836-6620
- and -
9
Goodwin Procter, LLP
10 by Brian A. Fairchild, Ph.D., Esquire
Exchange Place
11 53 State Street
Boston, Massachusetts 02109
12 (617) 570-1000
13
14
15
16
17
18
19
20
21
22
23
24
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1 P R O C E E D I N G S
2 1:04 p.m.
3
4 (Conference call proceeded as follows:
5 THE COURT: Hi, this is Deborah Katz, and
6 I have Judge Schafer and Judge Lane with me.
7 Who do I have on the call for Junior
8 Party, for Broad?
9 MR. TRYBUS: Good afternoon, your Honors.
10 For the party Broad, you have lead counsel Steve
11 Trybus from Jenner & Block. Also on the phone is
12 back-up counsel Harry Roper, also from Jenner &
13 Block; and with me here present is in addition from
14 Jenner & Block, a partner Paul Margolis, and also
15 present in the room with me is Danny Huntington from
16 the Rothwell Figg firm; Jill Browning, from
17 Greenblum & Bernstein; and from the Sunstein Law
18 Firm, Elizabeth Spar, Timothy Murphy, and Lawrence
19 Green.
20 THE COURT: Okay. Let me get -- I think I
21 lost you at Jill Browning. Elizabeth -- can you
22 spell the last name.
23 MR. TRYBUS: Elizabeth Spar, S-P-A-R.
24 THE COURT: Okay. And --
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1 MR. TRYBUS: And Timothy Murphy. And
2 Lawrence Green.
3 THE COURT: Okay. M-U-R-P-H-Y?
4 MR. TRYBUS: Yes.
5 THE COURT: And Lawrence Green you said?
6 MR. TRYBUS: Yes. Correct.
7 THE COURT: And then?
8 MR. TRYBUS: And that's everyone on our
9 side, and there is a court reporter also, your
10 Honor.
11 THE COURT: Right. Thank you. Green was
12 spelled how?
13 MR. TRYBUS: G-R-E-E-N.
14 THE COURT: Okay. And Browning was spelled
15 as it sounds, Browning?
16 MR. TRYBUS: Yes.
17 THE COURT: Okay. All right. And can
18 you -- and for the Senior Party, who's on the line,
19 please?
20 MR. WALTERS: Your Honor, this is Todd
21 Walters. I have on the phone my colleagues Erin
22 Dunston and Travis Bliss from the Buchanan Ingersoll
23 & Rooney firm, and we also have here with us Brian
24 Fairchild from the Goodwin Procter firm.
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1 THE COURT: Okay. Thank you.
2 And is that all on the call? Is there
3 anybody else on the call who wants to identify
4 themselves?
5 MR. TRYBUS: Not from our side.
6 THE COURT: Okay. Thank you.
7 All right. So in terms of -- I'll just
8 because I always forget this at the end, the
9 transcript of the call, could that be filed by
10 Monday?
11 MR. TRYBUS: Yes.
12 THE COURT: Okay. Thank you very much.
13 Hi. So we have read -- we're here for the
14 initial conference call. We have received both
15 parties' proposed motions list, and we have reviewed
16 them, and we will take them under consideration.
17 An order will go out with determinations
18 of which motions are authorized and other issues. I
19 think this is -- our time is best used by getting to
20 some questions about the motions, which we will get
21 to in a moment.
22 I wanted to also put some things up front,
23 so that we don't forget about them later. I would
24 like to have the statement of material facts in the
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1 brief; so that requirement is not waived. I find
2 that helpful. They do count towards the page limit
3 also.
4 Claim charts, where they are appropriate,
5 are also good if they don't count towards the page
6 limits.
7 And then just to put up front, we are not
8 going to generically extend the page limits this
9 time. If you find when you are briefing that you
10 are having trouble meeting the page limit for a
11 specific reason, please feel free to come ask us for
12 an extension at that time and be able to support why
13 you need the extra pages.
14 Okay. I may also to get through the
15 schedule, we did receive the order -- we did receive
16 your proposed schedule. A schedule will be put out
17 in the order authorizing the motions and setting the
18 times. To be honest, it looks like it will be
19 shorter, so that we can stay within the two-year
20 time. So I just wanted to ask if a hearing is held,
21 if we do authorize a hearing, that may be in mid
22 November, are there any times that counsel has
23 trouble in mid November, wants to tell us up front
24 before we block out some dates?
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1 I guess, Junior Party, is there anything
2 that you know of at this time?
3 MR. TRYBUS: Let me look for one moment,
4 your Honor.
5 (Pause.)
6 MR. TRYBUS: I have a commitment, your
7 Honor, on the 11th of November; but other than that,
8 it seems like I don't have any conflict for mid
9 November.
10 THE COURT: Okay. And for Senior Party,
11 and this is only that you know of right now. You
12 know, if something ...
13 MR. WALTERS: Your Honor, this is Todd
14 Walters. I don't know of an issue right at the
15 moment, but certainly would want to talk with our
16 client and make sure that there's no problem there.
17 THE COURT: Okay. All right. Once the
18 date and -- the call date, once those come out and
19 as soon as anybody knows of any problem, that would
20 be good.
21 Okay. I also wanted to ask if there has
22 been any attempt at settlement at this point? I
23 guess, Mr. Trybus, is there ...
24 MR. TRYBUS: There has not been, your
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1 Honor. We're under the understanding that Senior
2 Party would initiate such if they were interested in
3 it, but we have not had that opportunity one way or
4 the other to discuss settlement.
5 THE COURT: Okay. And, Mr. Walters, is
6 that ...
7 MR. WALTERS: That's my understanding is
8 there has not been any formal discussions between
9 the parties.
10 THE COURT: Okay. All right. And you
11 know that that's on the schedule too, so.
12 Okay. All right. So now if we turn to
13 the proposed motions list, would the Junior Party
14 first, the proposed Motion 47. So this is the
15 authorization for motion to argue that there's lack
16 of written description.
17 Is this -- Mr. Trybus, is this a
18 thresh -- you've characterized this as a threshold
19 motion or.
20 MR. TRYBUS: Yes, your Honor. We believe
21 that this is a threshold motion. It goes to all
22 of the claims that Senior Party has in the
23 interference; and, therefore, we believe it qualifies
24 on that basis.
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1 THE COURT: Okay. Mr. Walters, do you
2 agree that that would be a threshold issue?
3 MR. WALTERS: Your Honor, I don't think it
4 would resolve all of the issues because if there is
5 something that the Junior Party would identify in
6 terms of 112 issues, we certainly would request the
7 filing of a responsive motion.
8 THE COURT: Okay. And does that -- is
9 that defining a threshold motion?
10 MR. WALTERS: Pardon?
11 THE COURT: If you file a responsive motion,
12 does that mean whether it's threshold or not?
13 MR. WALTERS: Well, in my mind, if a
14 motion is filed that wouldn't ultimately resolve all
15 of the issues in the interference, then it would not
16 be a threshold motion. In here if we would file a
17 responsive motion to an attack of patentability,
18 then that attack of patentability wouldn't resolve
19 all the issues, if, for example, we presented a
20 claim that would address the patentability attack.
21 THE COURT: But ultimately if that claim
22 is found to not have any description support, then
23 would that resolve all of the issues? I guess
24 what's that to -- I mean, in that same proceeding,
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1 the responsive motion's just part of the threshold
2 issue?
3 MR. WALTERS: I think the way that it
4 would work would be that the motion was filed, and
5 then a responsive motion would be filed in response
6 to the motion. So the first motion that is filed on
7 the patentability attack wouldn't be threshold,
8 because it would not resolve all of the issues.
9 But, I guess, your Honor, you could say if
10 you dealt with all of the motions together, that all
11 of the motions together could decide ultimately the
12 outcome of the interference.
13 THE COURT: Okay. All right. All right.
14 I think that gives us some sense. We'll take that
15 under consideration.
16 All right. So, Mr. Trybus, for your
17 proposed Motion 48, are the limitations that you are
18 arguing a motion for lack of enablement, are those
19 limitations in -- we didn't know which claims are
20 they in? Are those in the independent claims,
21 Senior Party's independent claims or just the
22 dependent claims?
23 MR. TRYBUS: They are in the independent
24 claims, your Honor, and more specifically, I could
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1 say that the limitations that we set forth in
2 subparagraph A of 48 go to all of the involved
3 claims.
4 THE COURT: Okay. All right. Mr. Walters,
5 do you agree with that?
6 MR. WALTERS: Well, we don't agree with
7 any of the suggestions that there was a lack of
8 enablement.
9 THE COURT: Right. Right. But do you
10 agree that the limitations are in the independent
11 claims?
12 MR. WALTERS: I'm not exactly sure what
13 exactly they're going to argue, your Honor; so I
14 don't want to say anything in a blanket way, but
15 some of these limitations are in independent claims.
16 THE COURT: Okay. Okay. All right.
17 Thank you for the assistance.
18 All right. Moving on to proposed Motion 51
19 and 56. This is Senior Party's designated --
20 THE COURT REPORTER: Excuse me. I'm
21 sorry. Your Honor, I'm having a hard time hearing
22 you. This is the court reporter. I don't know if
23 you can push your phone a little closer, if that's
24 possible.
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1 THE COURT: Okay. I'll try to move
2 closer.
3 THE COURT REPORTER: That's perfect.
4 Thank you.
5 THE COURT: Okay. Sorry. All right. So
6 now we're moving on to proposed Motion 51 and 56,
7 which is for a designation that some of the claims
8 do not correspond to Count 1.
9 Mr. Walters, are there any claims that you
10 agree -- any of Broad's claims that you agree do not
11 correspond to Count 1?
12 MR. WALTERS: No, your Honor.
13 THE COURT: Okay. Okay. All right. All
14 right. I think -- are there any other questions on
15 that?
16 All right. Then if we move on to UC's
17 proposed list, Mr. Walters, do you -- you
18 characterized your proposed Motion 2 as a threshold
19 defense. It looks like it's a motion for
20 patentability over the prior art. Why is this a
21 threshold motion?
22 MR. WALTERS: So, your Honor, unlike the
23 written description motion that we talked about
24 earlier, the motion that we have proposed here is
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1 based upon the way the interference is set up, and
2 the interference was set up such that the Junior
3 Party was not given benefit to an application prior
4 to March 16 of 2013, and all of its claims are
5 designated to correspond to the count in the
6 interference.
7 Senior Party's application was given the
8 benefit of -- or there is an application filed prior
9 to March 16 of 2013; so the way this interference is
10 set up right now, there's a presumption that all of
11 Junior Party's claims are unpatentable over Senior
12 Party's application, and Senior Party should not be
13 entitled to swear behind -- I'm sorry -- the Junior
14 Party should not be entitled to swear behind the
15 Senior Party's application, because in each of the
16 patents, each of Junior Party's patents involved in
17 this interference, they have a claim that was in
18 their application; and many of the claims have ended
19 up in the issued patents that do not have support to
20 an application pre-March 16, 2013.
21 Because they have these claims, and we've
22 identified several dozen limitations throughout the
23 12 patents, we believe that each of their claims are
24 presumptively unpatentable because they would not be
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1 able to swear behind our application.
2 Each of their claims are designated to
3 correspond to the count, and this is an issue that
4 you cannot fix once you have presented that claim in
5 your application.
6 That's why we consider this a threshold
7 issue. It's based on written description. It
8 cannot be fixed by an amendment to the patent,
9 because once you taint the application that results
10 in the patent, you are stuck in AIA prior art world.
11 THE COURT: So, well, first of all, the
12 declaration of the interference is a beginning of
13 the interference; so I'm not exactly sure why what
14 you're saying is the presumption creates anything
15 more than what would have to be proven during the
16 interference.
17 So the fact that there was or was not
18 benefit afforded, how does that create a threshold
19 motion? I'm -- I'm ...
20 MR. WALTERS: I'm just pointing out, your
21 Honor, that as of right now where the interference
22 sits, they, Junior Party has not been afforded the
23 benefit of anything prior to March 16 of 2013.
24 We also believe that each of their
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1 applications that resulted in those patents is
2 subject to AIA prior art provisions, which means they
3 cannot swear behind the Senior Party's application.
4 THE COURT: Right. Okay. So but if in
5 the end, this comes down to whether the claims are
6 patentable over the prior art, is that a threshold
7 issue?
8 MR. WALTERS: In this particular case,
9 yes, because all of their claims are unpatentable,
10 and patentability is something that you should have
11 in order to proceed with the interference. If they
12 have no patentable claim, they shouldn't be allowed
13 to proceed forward with the interference.
14 THE COURT: But -- okay. Could there
15 still be a question of priority even if the other
16 party, whether the other party invented first,
17 whether or not the first party has a patentable
18 claim or the other -- the one party has patentable
19 claims or not?
20 MR. WALTERS: Your Honor, in order to move
21 forward with the interference, we believe that they
22 need to have a patentable claim. Patentability is a
23 prerequisite to get into the interference in the
24 first place, but we don't believe that they should
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1 have been allowed to indicate to the Patent Office
2 that they were a pre-AIA application when, in fact,
3 when they filed the majority of their ADS sheets
4 with the Patent Office, they specifically indicated
5 that they were a transitional application subject to
6 AIA provisions.
7 For this reason, it would be really unfair
8 to not allow us to file that particular motion when
9 it was Junior Party who indicated to the Patent
10 Office that initially they were a post-AIA
11 application, meaning subject to AIA provisions, but
12 then subsequently changed their position on that
13 before they then did a swear-behind declaration to
14 get in front of our filing date. This seems like a
15 clear interference issue dealing with patentability,
16 no different than written description.
17 THE COURT: Okay. I guess, Mr. Trybus, do
18 you want to ...
19 MR. TRYBUS: Yes, your Honor. We do not
20 believe that this is a threshold issue. We believe
21 that this is patentability over prior art motion
22 pure and simple and does not need to be taken up
23 now. Say, obviously we disagree with the Senior
24 Party with regard to the underlying facts, but we'll
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1 not argue those; but we do believe that the statute
2 would provide as, I think one of your Honor's
3 questions got to, that even if -- and we don't
4 believe our claims are unpatentable, but even if the
5 claims were unpatentable as set forth here, that
6 there would still be, under the statutory provisions,
7 the ability for the interference or even the
8 requirement that the interference go forward with
9 our ability to show priority.
10 THE COURT: Okay. All right. I think we
11 see what the issues are in authorizing or not the
12 motion.
13 All right. I think the third -- all
14 right. I think those were the questions that we had
15 about the proposed motions list.
16 I guess I'd ask Junior Party if there's
17 anything other than the specific, you know, what
18 you've written in the proposed motions list -- we
19 don't want to go through each one -- but are there
20 other things that you want to bring up at this
21 initial conference?
22 MR. TRYBUS: Yes, your Honor, I do have
23 one thing that I do want to bring up, and it concerns
24 Senior Party's motion with regard -- Motion 11 with
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1 regard to inequitable conduct.
2 We strenuously deny all of the underlying
3 allegations; but more than that, your Honors, we
4 believe that the allegations made, they're unfounded
5 and that they also do not provide adequate basis for
6 the motion. We believe that this allegation does
7 not comply with paragraph 208.7 of the standing
8 order, and we believe and request that the Board
9 strike that from the record, and/or require the
10 Senior Party to file a proper list that does not
11 include these allegations. These allegations have
12 been picked up in the press to the harm of Junior
13 Party, and because these allegations not only have
14 no basis, but we believe are contrary to the Board's
15 rules and standing order, we would ask for that
16 relief.
17 THE COURT: Okay. All right. We will
18 look at that.
19 MR. WALTERS: Your Honor, may I respond?
20 THE COURT: Very briefly.
21 MR. WALTERS: I just -- first of all, the
22 motion that we're referring to is a motion addressing
23 inequitable conduct, and I want to let your Honors
24 know that we're certainly loath to put this on our
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1 motions list.
2 We recognize that your Honors may defer
3 such an issue to later in the interference. This is
4 an issue that I personally don't believe I've ever
5 put on a motions list before. However, after
6 reviewing the evidence in this particular case and
7 consulting with the clients in this particular case,
8 we felt it necessary to put it in the motions list,
9 so that we could preserve our ability to file that
10 motion and preserve the record.
11 We believe that the standing order indicates
12 that you have to put your proofs in with your motion,
13 not your motions list; and it's unfortunate that
14 this is an issue that is in a motions list, but we
15 felt we had to -- we had to preserve our rights
16 here.
17 THE COURT: Okay.
18 MR. TRYBUS: And, your Honor, if I could
19 briefly just make one last comment.
20 THE COURT: Go ahead.
21 MR. TRYBUS: We believe that, at least in
22 part, one of the things that is wrong with the list,
23 as filed, is that there's no even proper allegation
24 with regard to intent, and there's also not an
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1 allegation on but-for materiality as well.
2 Thank you.
3 THE COURT: Okay.
4 MR. WALTERS: Your Honor, I feel like I
5 have to respond again.
6 THE COURT: Go ahead.
7 MR. WALTERS: As Therasense indicates, the
8 En Banc decision, intent can come from circumstantial
9 evidence, and in situations where a party has
10 misrepresented facts to the Patent Office, the
11 but-for-materiality test is accepted in those
12 situations, as we understand the reading of
13 Therasense.
14 Your Honor, we also had a couple of
15 miscellaneous issues in our motions list that we'd
16 like to touch upon briefly.
17 THE COURT: All right. Well, Junior --
18 Mr. Trybus, are you -- is that the only thing that
19 you wanted to bring up?
20 MR. TRYBUS: Yes, your Honor. I don't
21 think we have anything else.
22 THE COURT: Okay. Mr. Walters, go ahead.
23 MR. WALTERS: Your Honor, as you know,
24 Junior Party has had a number of patents issue
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1 already. Many of those patents are in this
2 interference.
3 Junior Party is continuing to prosecute
4 additional applications, some of which we requested
5 to be part of the interference but ultimately were
6 not pulled into the interference.
7 We are assuming that those additional
8 applications were not put into the interference
9 because the subject matter of the claims had not
10 been yet indicated as allowable but for the
11 interference.
12 More recently, one of Junior Party's
13 applications, which is mentioned in Senior Party's
14 motions list is -- has been indicated to have
15 allowable subject matter, and a notice of allowance
16 was issued in that case.
17 We're trying to get some guidance from you
18 on how we deal with any additional applications like
19 this particular application that has been allowed
20 because we would treat that application like we
21 would treat all of the other patents that are
22 currently in the interference itself.
23 THE COURT: Let me ask one thing. Are the
24 issues of the -- there are already 12 patents in the
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1 interference. Are there other issues that this
2 particular application is bringing up?
3 MR. WALTERS: Well, our concern, your
4 Honor, is that if additional cases are being allowed,
5 and they'll go to issue, and we don't treat them in
6 this interference, then that could ultimately be
7 problematic, and then we have to bring about
8 separate proceedings on any newly issued cases;
9 and we want to just make sure -- we understand that
10 there's already 12 patents. We don't like that
11 either, but we want to make sure that we're not
12 foreclosing any opportunity of addressing those
13 cases as if and when they issue, and we honestly
14 don't think they should have issued -- any of them
15 should issue in the first place.
16 THE COURT: Right. All right. We will
17 take a look at the circumstances of where the
18 application is, and we will put out some guidance in
19 the orders.
20 MR. WALTERS: All right. I have another
21 issue, your Honor, and that is dealing with
22 responsive motions. And maybe this is not the
23 appropriate call for dealing with responsive motions
24 because we don't know what motions you're going to
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1 allow the respective parties to file.
2 THE COURT: Right.
3 MR. WALTERS: But I want to make sure that
4 we reserve at least some point in time for us to
5 address responsive motions because the Senior Party
6 certainly would want an opportunity to address a no
7 interference in fact motion, any unpatentability
8 attack, or any assertion that claims should be
9 undesignated because any of the categories of
10 undesignation we certainly have support for
11 interfering claims, should the Junior Party convince
12 you that any of that subject matter is separately
13 patentable.
14 We just want to make sure we can address
15 all of the issues with the parties.
16 THE COURT: All right. Well, I think
17 there is a time for filing of responsive motions, but
18 I believe you would have to request authorization
19 before that time period. Right?
20 MR. WALTERS: That is correct, your Honor.
21 I just want to make sure that we put that on your
22 radar.
23 THE COURT: Okay. All right. Okay. Is
24 there anything else from either of the parties?
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1 MR. WALTERS: One last issue, your Honor,
2 and that is on the schedule. The parties have
3 discussed the schedule and the complexities of this
4 particular interference, and we do want to be mindful
5 of your desire to complete the interference in a
6 timely fashion, but at least Senior Party and I
7 think Junior Party would agree, that this is a
8 complex case, and it would be, I think, helpful to
9 the parties and the Board if the parties had
10 sufficient time to prepare and file their papers, to
11 the extent that you can give us extra time in the
12 schedule.
13 THE COURT: Okay. Well, we will take that
14 into account.
15 Okay. I think -- is there anything else?
16 From Judge Lane?
17 All right. Thank you all very much. We
18 will have an order out shortly, and we will address
19 all the issues that you've mentioned.
20 MR. TRYBUS: Thank you, your Honors.
21 THE COURT: Thank you.
22 MR. WALTERS: Thank you, your Honors.
23 MR. ROPER: Thank you.
24 (Conference call concluded at 1:34 p.m.)
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1 C E R T I F I C A T E
2
3 I, Julie Thomson Riley, RDR, CRR, do
4 hereby certify that the foregoing transcript,
5 consisting of 26 pages inclusive, is a true and
6 accurate transcription of my stenographic notes in
7 the initial conference call regarding Patent
8 Interference No. 106,048 (DK), The Broad Institute,
9 Inc., et al. versus The Regents of the University of
10 California, et al., before Judge Deborah Katz, Judge
11 Schafer and Judge Lane, on March 10, 2016, to the
12 best of my skill, knowledge, and ability.
13
14
15 /s/ Julie Thomson Riley March 10, 2016
16 Julie Thomson Riley, RDR, CRR Date
17
18
19
20
21
22
23
24
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8/19/2019 CRISPR Transcript
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thresh 9:18
threshold 9:18,21
10:2,9,12,16 11:1,7
13:18,21 15:6,18
16:6 17:20
timbers 2:9
time 6:19 7:9,12,20
8:2 12:21 24:4,17
24:19 25:10,11
timely 25:6
times 7:18,22
timothy 2:11 4:18
5:1
tmurphy 2:14
todd 3:3 5:20 8:13
todd.walters 3:6touch 21:16
trademark 1:1
transcript 6:9 26:4
transcription 26:6
transitional 17:5
travis 3:4 5:22
travis.bliss 3:7
treat 22:20,21 23:5
trial 1:2
trouble 7:10,23
true 26:5try 13:1
trybus 2:3 4:9,11,23
5:1,4,6,8,13,16 6:5
6:11 8:3,6,23,24
9:17,20 11:16,23
17:17,19 18:22
20:18,21 21:18,20
25:20
trying 22:17
turn 9:12two 7:19
u
u 5:3
uc's 13:16
ultimately 10:14,21
11:11 22:5 23:6
underlying 17:24
19:2
understand 21:12
23:9
understanding 9:1,7
undesignated 24:9
undesignation
24:10
unfair 17:7
unfortunate 20:13
unfounded 19:4
united 1:1
university 1:10,11
26:9
unpatentability
24:7unpatentable 14:11
14:24 16:9 18:4,5
v
v 1:9
va 3:5
versus 26:9
vienna 1:11
virginia 2:22
w
w 3:4waived 7:1
walters 3:3 5:20,21
8:13,14 9:5,7 10:1,3
10:10,13 11:3 12:4
12:6,12 13:9,12,17
13:22 15:20 16:8,20
19:19,21 21:4,7,22
21:23 23:3,20 24:3
24:20 25:1,22
want 8:15 12:14
17:18 18:19,20,23
19:23 23:9,11 24:3
24:6,14,21 25:4
wanted 6:22 7:20
8:21 21:19
wants 6:3 7:23
washington 2:17
way 9:3 11:3 12:14
14:1,9
we've 14:21
work 11:4
world 15:10
written 9:16 13:23
15:7 17:16 18:18
wrong 20:22
y
y 5:3
year 7:19
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