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Case :-cv-0-dms-wvg Document - Filed 0// PageID. Page of CALDARELLI HEJMANOWSKI PAGE & LEER LLP William J. Caldarelli (SBN #) Ben West (SBN #) 0 El Camino Real, Suite 0 San Diego, CA 0 Telephone: () 0-00 wjc@chpllaw.com; dbw@chpllaw.com Attorneys for Plaintiff Ameranth, Inc. Additional counsel for Plaintiff listed below. UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF CALIFORNIA 0 IN RE: AMERANTH PATENT LITIGATION Lead Case No. cv DMS (WVG) DECLARATION OF JOHN W. OSBORNE IN SUPPORT OF AMERANTH S MOTION FOR SUMMARY OF UNENFORCEABILITY OF PATENT BASED ON INEQUITABLE CONDUCT IN PROSECUTION OF PATENT AND CONTINUATION APPLICATION; REQUEST FOR JUDICIAL NOTICE Date: September, 0 Time: :0 p.m. Location: Courtroom A Judge: Hon. Dana M. Sabraw Complaint Filed: August, 0 -cv-0-dms-wvg

Case :-cv-0-dms-wvg Document - Filed 0// PageID. Page of 0 Additional counsel for Plaintiff Ameranth, Inc.: FABIANO LAW FIRM, P.C. Michael D. Fabiano (SBN #0) High Bluff Drive, Suite 00 San Diego, CA 0 Telephone: () - mdfabiano@fabianolawfirm.com OSBORNE LAW LLC John W. Osborne (Appointed Pro Hac Vice) Habitat Lane Cortlandt Manor, NY Telephone: () - josborne@osborneipl.com WATTS LAW OFFICES Ethan M. Watts (SBN #) 0 El Camino Real, Suite 0 San Diego, CA 0 Telephone: () 0-00 Facsimile: () - emw@ewattslaw.com WITKOW BASKIN Brandon Witkow (SBN ) Ventura Blvd., Suite 0 Woodland Hills, CA Tel: ()-0 Fax: ()- bw@witkowlaw.com -cv-0-dms-wvg

Case :-cv-0-dms-wvg Document - Filed 0// PageID.00 Page of 0 DECLARATION OF JOHN W. OSBORNE I, John W. Osborne, declare as follows:. I am an attorney licensed to practice and in good standing with the State Bar of New York, and am admitted in this matter pro hac vice in the United States District Court for the Southern District of California. I am also admitted to practice before the United States Patent & Trademark Office (the PTO ). I am one of the counsel of record for Plaintiff Ameranth, Inc. ( Ameranth ), in these consolidated cases. I am familiar with the matters filed and served by the parties in these cases. On these bases, I have first-hand personal knowledge of the facts set forth in this declaration. If called upon to testify, I would and could do so competently as set forth herein. I provided this declaration in support of Ameranth s Motion for Summary Adjudication of Unenforceability of Patent Based on Inequitable Conduct in Prosecution of Patent and Continuation Application.. The current matter IPDEV v. Ameranth is a priority of invention dispute between IPDEV s U.S. Patent No.,, (the Patent ) and Ameranth s U.S. Patent No.,,0 (the 0 Patent ). IPDEV has admitted that, in its application to the PTO for the Patent, it intentionally copied the claims of Ameranth s 0 Patent.. The Patent claims to be a continuation of Patent Application No. 0/, (the Application ), which in turn is a continuation of the Patent. The Patent thus relies upon the same specification as the Patent and Application. Based on this lineage, IPDEV claims an effective filing date for the Patent of November,, the filing date of the application for the Patent. Ameranth contests that the claims of IPDEV s Patent (which copy the claims of Ameranth s 0 Patent) are actually taught, disclosed by, described or enabled by the specification of the Patent. However, those disputes are not at issue in the present motion. -cv-0-dms-wvg

Case :-cv-0-dms-wvg Document - Filed 0// PageID.0 Page of 0. Through the present motion, Ameranth requests that the Court summarily adjudicate that IPDEV s Patent is unenforceable as a result of inequitable conduct and fraud on the PTO perpetrated during the prosecution of the Patent and the Application, of which the Patent purports to be a continuation. Ameranth contends that the named inventors of the IPDEV patents/ applications (Tim Glass and Bryan Cupps), representatives of the entities to which the patents and applications were assigned (CyberMeals, Food.com, and IPDEV), and the patent prosecution counsel representing them, violated their respective duties of candor and disclosure to the PTO in connection with the prosecution of the application for the Patent and the Application and attempted to conceal and obfuscate such conduct. [Separately, Ameranth contends that IPEV s representatives and patent prosecution counsel committed inequitable conduct in connection with the prosecution of the application for the Patent itself, and reserves the right to bring a separate motion for summary adjudication on that distinct basis.]. Lodged with the Court as Exhibit to the Notice of Lodgment ( NOL ) filed herewith is a true and correct copy of the Answer, Affirmative Defenses and Counterclaims filed by QuikOrder, Inc. to a complaint for infringement of the Patent filed by Food.com against QuikOrder in May of 00 in the United States District Court for the Northern District of California. Ameranth requests that the Court take judicial notice of the pleading as a court record. The pleading was also identified as an exhibit in the depositions of James Kargman (an officer of both IPDEV and QuikOrder) and of Tim Glass taken in this matter.. Lodged with the Court as Exhibit to the NOL is a true and correct copy of a Proof of Claim filed by Papa John s International, Inc. against the bankruptcy estate of Food.com in May 00 in the United States Bankruptcy Court of Northern California. Ameranth requests that the Court take judicial -cv-0-dms-wvg

Case :-cv-0-dms-wvg Document - Filed 0// PageID.0 Page of 0 notice of the Proof of Claim as a court record. The Proof of Claim was also identified as an exhibit in the deposition of James Kargman in this matter.. Lodged with the Court as Exhibit to the NOL is a true and correct copy of the Patent as issued by the PTO. Ameranth requests that the Court take judicial notice of the Patent as a record of the PTO. The patent was also identified as an exhibit in the deposition of Tim Glass, one of its named inventors, in this matter. The application for the Patent was filed on November, by the patent prosecution law firm Flehr Hohbach Test Albritton & Herbert.. Lodged with the Court as Exhibit to the NOL is a true and correct copy of the Service Mark Registration for CyberSlice filed with the PTO in April of. The Registration states a first use in commerce of CyberSlice in October of. Ameranth requests that the Court take judicial notice of the CyberSlice registration as a record of the PTO. The registration was also identified as an exhibit in the deposition of Tim Glass.. Lodged with the Court as Exhibit to the NOL is a true and correct copy of an article entitled: Pizza by the byte; CyberSlice signs parlors to take orders via the Internet, published on December,, in bizjournals.com. I retrieved the article from an internet search and printed it in June of 0. The article contains a statement from Tim Glass, one of the named inventors of the Patent, including acknowledgements that his idea for the invention described in the patent was inspired by the film The Net, and that by December,, he and his staff had enrolled nearly,000 pizza outlets to use the CyberSlice online pizza order system.. Lodged with the Court as Exhibit to the NOL is a true and correct copy of the transcript of the deposition of Tim Glass taken in this matter on June, 0.. Lodged with the Court as Exhibit to the NOL is a true and correct copy of a CyberSlice start up and development timeline produced by Tim -cv-0-dms-wvg

Case :-cv-0-dms-wvg Document - Filed 0// PageID.0 Page of 0 Glass in response to Ameranth s deposition subpoena in this matter. Glass testified that he kept the documents he produced in his personal files. The timeline was identified as an exhibit in the deposition of Tim Glass.. Lodged with the Court as Exhibit to the NOL is a true and correct copy of a weekly to do list produced by Tim Glass in response to Ameranth s deposition subpoena in this matter. Glass testified that he kept the documents he produced in his personal files. The to do list was identified as an exhibit in the deposition of Tim Glass.. Lodged with the Court as Exhibit to the NOL is a true and correct copy of an April, 00 License Agreement between Food.com, Inc. and Papa John s International for the Patent produced by Papa John s in response to Ameranth s requests for production of documents in this matter.. Lodged with the Court as Exhibit to the NOL is a true and correct copy of a February, 00 letter from attorney Troy Klyber (as counsel for IPDEV) to the Office of the General Counsel of Papa John s International, The letter was produced by Papa John s in response to Ameranth s requests for production of documents in this matter.. Lodged with the Court as Exhibit to the NOL is a true and correct copy of a February, 00 letter from attorney James Higgins, as counsel for Papa John s International, to attorney Troy Klyber, as counsel for IPDEV. The letter was produced by Papa John s in response to Ameranth s requests for production of documents in this matter and was identified as an exhibit in the deposition of James Kargman.. Lodged with the Court as Exhibit to the NOL is a true and correct copy of a Notice of Compromise filed on August, 00 in the Bankruptcy Court for the Northern District of California in the Food.com bankruptcy proceedings. -cv-0-dms-wvg

Case :-cv-0-dms-wvg Document - Filed 0// PageID.0 Page of 0 Ameranth requests that the Court take judicial notice of the Notice of Compromise as a court record. The Notice of Compromise also was produced by Papa John s in response to Ameranth s requests for production of documents in this matter and was identified as an exhibit in the deposition of James Kargman.. Lodged with the Court as Exhibit to the NOL is a true and correct copy of an Order by the Bankruptcy Court for the Northern District of California approving Compromises proposed by the bankruptcy trustee for Food.com in the Food.com bankruptcy proceedings, including a compromise with Papa John s. Ameranth requests that the Court take judicial notice of the Order as a court record. The Order also was produced by Papa John s in response to Ameranth s requests for production of documents in this matter and was identified as an exhibit in the deposition of James Kargman.. Lodged with the Court as Exhibit to the NOL is a true and correct copy of a Declaration of Tim Glass, dated July, 00, with exhibits, filed in the PTO in the Application. Ameranth requests that the Court take judicial notice of the declaration as a record of the PTO. The declaration was also identified as an exhibit in the deposition of Tim Glass.. Lodged with the Court as Exhibit to the NOL is a true and correct copy of an Information Disclosure Statement ( IDS ) filed in the PTO in the Application on August, 00. Ameranth requests that the Court take judicial notice of the IDS as a record of the PTO. The IDS was also identified as an exhibit in the deposition of Tim Glass. 0. Lodged with the Court as Exhibit to the NOL is a true and correct copy of an Office Action Summary issued in the Application in October of 00. In paragraph of the Office Action Summary, the Examiner notes that an issue of public use or on sale activity has been raised in connection with the application, and requests that the applicant provide additional documentation regarding this issue. Ameranth requests that the Court take judicial notice of the -cv-0-dms-wvg

Case :-cv-0-dms-wvg Document - Filed 0// PageID.0 Page of 0 Office Action Summary as a record of the PTO. The Office Action Summary was also identified as an exhibit in the deposition of Tim Glass.. Lodged with the Court as Exhibit to the NOL is a true and correct copy of an Amendment submitted to the PTO in the Application in April of 00. With regard to the public use/ on-sale issue raised by the Examiner, Section I of the Amendment represents that: after a careful search of their records, the inventors were unable to locate any documentation beyond that submitted with their previously filed declarations in the present application. Ameranth requests that the Court take judicial notice of the Amendment as a record of the PTO. The Amendment was also identified as an exhibit in the deposition of Tim Glass.. Lodged with the Court as Exhibit to the NOL are true and correct copies of several documents (Bates labeled GLASS00000-GLASS0000) that were produced by Tim Glass to Ameranth in this matter in response to Ameranth s deposition subpoena to Glass. Glass testified in his deposition that he maintained these documents in his personal files. They include documents that were not contained in the declarations of Tim Glass and Bryan Cupps submitted to the PTO in 00 in connection with the Application.. Lodged with the Court as Exhibit to the NOL is a true and correct copy of declaration of Bryan Cupps dated July, 0 served by IPDEV upon Ameranth in this lawsuit.. Lodged with the Court as Exhibit 0 to the NOL is a true and correct copy of a LinkedIn.com profile of Steve Green, a former employee of CyberMeals, which I retrieved and printed from the Internet in June of 0. The description of Mr. Green s work at CyberMeals between May and January explains that: (a) Tim Glass s idea for the invention was inspired by a scene in the movie The Net and that when the system was launched in December ; (b) during his month tenure at CyberMeals (May to January ) the CyberMeals sales force signed up 00 pizzerias to use the online ordering -cv-0-dms-wvg

Case :-cv-0-dms-wvg Document - Filed 0// PageID.0 Page of 0 system; and (c) Steve Jobs demonstrated how the system worked by ordering the first pizza online.. Lodged with the Court as Exhibit to the NOL is a true and correct copy of an article published on December, by PRNewire entitled CyberSlice Makes Ordering Pizza as Easy as Pie. I retrieved and printed the article from the Internet in June of 0. The article was also identified as an exhibit in the deposition of Tim Glass. The December article reports that the CyberSlice system is rolling out services to,000 pizzerias in the Boston, New York, San Francisco and Seattle metropolitan areas. The article also reports an interview with Tim Glass in which he explains that CyberSlice was inspired by a scene in the movie The Net. The article further states that CyberSlice integrates technology from MapQuest.. Lodged with the Court as Exhibit to the NOL is a true and correct copy of QuikOrder s Response to Food.com s First Set of Interrogatories served by QuikOrder in the Food.com v. QuikOrder patent infringement lawsuit in the Northern District of California dated July, 00, and verified by James Kargman. The interrogatory responses were produced by IPDEV to Ameranth in discovery in this matter.. Lodged with the Court as Exhibit to the NOL is a true and correct copy of QuikOrder s Supplemental Response to Food.com First Set of Interrogatories served by QuikOrder in the Food.com v. QuikOrder patent infringement lawsuit in the Northern District of California dated September, 00, and verified by James Kargman. The interrogatory responses were produced by IPDEV to Ameranth in discovery in this matter and were identified as an exhibit in the depositions of Tim Glass and James Kargman.. Lodged with the Court as Exhibit to the NOL is a true and correct copy of the transcript of the deposition of James Kargman taken in this matter on July, 0. -cv-0-dms-wvg

Case :-cv-0-dms-wvg Document - Filed 0// PageID.0 Page of. Lodged with the Court as Exhibit to the NOL is a true and correct copy of a April, Non-Disclosure and Confidentiality Agreement signed by Timothy Glass (on behalf of CyberMeals) and James Kargman produced by IPDEV to Ameranth in this matter. 0. Lodged with the Court as Exhibit to the NOL is a true and correct copy of a June, 0 declaration of Tim Glass served by IPDEV upon Ameranth in this matter. The declaration was also identified as an exhibit in the deposition of Tim Glass.. Lodged with the Court as Exhibit to the NOL is a true and correct copy of a May, article published in the Chicago Sun-Times entitled Web idea is inspired by movie. I retrieved and printed the article from the Internet in June of 0. The article was also identified as an exhibit in the deposition of Tim Glass. The article reports how Tim Glass s idea for the CyberSlice system practicing the claims of the Patent was inspired by a scene from the film the Net.. Lodged with the Court as Exhibit to the NOL is a true and correct copy of a CyberSlice Business Plan produced by IPDEV to Ameranth in this matter and identified as an exhibit in the deposition of Tim Glass. 0. Lodged with the Court as Exhibit to the NOL is a true and correct copy of the Preliminary Invalidity Contentions served upon Ameranth in the consolidated patent infringement litigation pending before this Court by the -cv-0-dms-wvg

Case :-cv-0-dms-wvg Document - Filed 0// PageID.0 Page of 0 defendants, including on behalf of defendant QuikOrder, IPDEV s affiliate. One of the asserted prior art references in those invalidity contentions, on p., is the film The Net.. Lodged with the Court as Exhibit 0 to the NOL is a true and correct copy of the Notice of Allowance for the Patent issued on December 0, by the PTO. The Notice of Allowance was produced in discovery in this matter by IPDEV to Ameranth. Ameranth requests that the Court take judicial notice of the Notice of Allowance as a record of the PTO. The two specific reasons for allowance of the Patent identified by the Examiner were: (a) the use of mapping geocodes for on-line ordering of home delivery; and (b) use of interactive voice recognition to place customer internet orders with a vendor.. Lodged with the Court as Exhibit to the NOL is a true and correct copy of United States Patent No.,, issued by the PTO. The application for the Patent was filed on December 0,, by the same patent prosecution law firm (Flehr Hohbach Test Albritton & Herbert) that filed the application for the Patent. The Patent was identified as an exhibit in the deposition of Tim Glass. Ameranth requests that the Court take judicial notice of the Patent as a record of the PTO.. Lodged with the Court as Exhibit to the NOL is a true and correct copy of an Order from the United States Bankruptcy Court for the Northern District of California issued in February of 00 in the Food.com bankruptcy proceedings approving the sale of Patent and the Application from the bankruptcy trustee of Food.com to IPDEV, and the sale and assignment of Papa John s International s License Agreement for the Patent to IPDEV. The attachments to the Order include the Asset Purchase Agreement between the bankruptcy trustee of Food.com and IPDEV, signed by James Kargman on behalf of IPDEV. The Order was identified as an exhibit to the deposition of James -cv-0-dms-wvg

Case :-cv-0-dms-wvg Document - Filed 0// PageID.0 Page of 0 Kargman. Ameranth requests that the Court take judicial notice of the Order as a court record.. Lodged with the Court as Exhibit to the NOL is a true and correct copy of a declaration of Bryan Cupps dated July, 00, filed with the PTO in the Application. The declaration was identified as an exhibit in the deposition of Tim Glass. Ameranth requests that the Court take judicial notice of the declaration as a record of the PTO.. Lodged with the Court as Exhibit to the NOL are true and correct copies of excerpts from the rough draft of the transcript of the deposition of Michael Warnecke taken in this matter on August, 0.. Lodged with the Court as Exhibit to the NOL is a true and correct copy of a May, article published in the Baltimore Sun entitled Byte to Bite: Want fast accurate takeout or deliver? Fire up a Web order via Seattle and enjoy. I retrieved and printed the article from the Internet in August of 0. The article reports how Tim Glass s idea for the CyberSlice system practicing the claims of the Patent was inspired by a scene from the film the Net. The article further describes that the CyberSlice system was launched in December of and how Steve Jobs of Apple placed the first food order. 0. Lodged with the Court as Exhibit to the NOL is a true and correct copy of a Declaration of James B. Kargman filed by IPDEV with the Court in this lawsuit. The declaration was identified as an exhibit in the deposition of James -cv-0-dms-wvg

Case :-cv-0-dms-wvg Document - Filed 0// PageID. Page of Kargman taken in this matter. Ameranth requests that the Court take judicial notice of the Order as a court record. I declare under penalty of perjury under the laws of the United States that the foregoing is true and correct of my own personal knowledge and that I executed this declaration on August, 0, in Cortlandt Manor, New York. /s/john W. Osborne John W. Osborne 0 -cv-0-dms-wvg