Case 2:07-cv RCJ-GWF Document 1 Filed 12/26/2007 Page 1 of 6

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Case :0-cv-0-RCJ-GWF Document Filed //00 Page of MICHAEL R. MCCARTHY (NV Bar No. ) MICHAEL L. LARSEN (Utah Bar No. 0) DAVID M. BENNION (Utah Bar No. ) JOHN E. DELANEY (Utah Bar No. ) One Utah Center 0 South Main Street, Suite 00 Post Office Box Salt Lake City, UT -0 Telephone: (0) - Facsimile: (0) - Attorneys for Plaintiff ZAPPOS.COM, INC. IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF NEVADA ZAPPOS.COM, INC., a California corporation, vs. Plaintiff, GLOBAL PATENT HOLDINGS, LLC, Defendant. Case No. COMPLAINT DEMAND FOR A JURY TRIAL 0 Plaintiff Zappos.com, Inc. ( Zappos.com ), demanding trial by jury, hereby complains against Global Patent Holdings, LLC ( GPH ) and alleges as follows: PARTIES. Plaintiff Zappos.com is a California corporation with corporate offices located at 0 Corporate Circle Drive, Suite 0, Henderson, Nevada 0.. Upon information and belief, defendant GPH is a Delaware limited liability company with its principal place of business at 00 Skokie Boulevard, Suite 0, Northbrook, Illinois 00.. GPH claims to be the owner of U.S. Patent No.,, (the Patent ).. According to the United States Patent and Trademark Office s on-line records, the Patent lists as its inventors Anthony I. Rozmanith and Neil Berinson.. Page of

Case :0-cv-0-RCJ-GWF Document Filed //00 Page of 0. Upon information and belief, GPH is the assignee of the Patent.. Upon information and belief, GPH is solely in the business of obtaining licenses and licensing revenue from companies. JURISDICTION. This is an action under the Federal Declaratory Judgments Act, U.S.C. 0 and 0, for a declaration pursuant to the patent laws of the United States, U.S.C. et seq., that the Patent is not infringed by Zappos.com or is invalid or both.. This Court has subject matter jurisdiction under U.S.C. and.. Upon information and belief, this Court has personal jurisdiction over GPH because GPH has constitutionally sufficient contacts with Nevada so as to make personal jurisdiction proper in this Court. In particular, and as set forth in more detail below, GPH has sent at least three letters addressed to Zappos.com, at its Nevada office and received in its Nevada office, wherein GPH has reached into Nevada and offered to do business with Zappos.com by way of a substantial royalty-based license based on the sales of a Nevada-based company, allegedly dealing with the Patent.. Upon information and belief, GPH conducts or solicits similar business within this District and derives substantial revenue from the licensure of the Patent within this District. VENUE. Venue is proper in this judicial district under U.S.C. (b) & (c). GENERAL ALLEGATIONS. Zappos.com is a leading Internet retailer of name-brand merchandise.. GPH has alleged that Zappos.com infringes the Patent, issued on October,, and reissued on July, 00, entitled Remote Query Communication System.. By letter dated August, 00, Raymond P. Niro, Esq., GPH s legal counsel ( Mr. Niro ) wrote to Tony Hsieh, Chief Executive Officer and Director of Zappos.com, asserting GPH s alleged ownership of the Patent, explaining the technology that the Patent allegedly relates to, and the reexamination procedure of the Patent (the August Letter ). //. Page of

Case :0-cv-0-RCJ-GWF Document Filed //00 Page of 0. After setting forth these details in the August Letter, Mr. Niro stated, To facilitate a dialogue on settlement, we have prepared a claim chart showing exactly how the operation of Zappos.com s website induces and contributes to the use of the patented methods... [of the Patent]. Mr. Niro enclosed a claim chart with the August Letter.. On behalf of GPH, in the same August Letter Mr. Niro then offered Zappos.com a fully paid-up license and release in exchange for a lump-sum, paid-up royalty[.] Mr. Niro enclosed a royalty schedule with the August Letter.. The August Letter from Mr. Niro closes by hoping for a favorable response to [GPH s] license offer[] and requesting Zappos.com to let him know if there is any other information [Zappos.com] needs from [Mr. Niro s office] to fully evaluate this paid-up license offer.. The August Letter asserts against Zappos.com a claim of infringement of the Patent.. Zappos.com. received another letter from the Niro Firm dated September, 00, advising Zappos.com of recent developments, namely that GPH had recently recommenced in Illinois a previously dismissed lawsuit with respect to the Patent. GPH also indicated that it wanted Zappos.com to make an offer to license the Patent from GPH. 0. Zappos.com. received a third letter from the Niro Firm dated December, 00. In this letter, GPH again advised Zappos.com of recent developments, this time that GPH had filed yet another lawsuit against a group of defendants, this time in Florida, with another request to receive a response from Zappos.com regarding GPH s desire to license the ' Patent to Zappos.com.. In all the letters sent to Zappos.com by the Niro firm, GPH made reference to other threatened or actual legal proceedings regarding the Patent. The tone of GPH's last letter to Zappos.com, especially when viewed in the context of the previous two letters, makes it clear that GPH intends to bring suit against Zappos.com regarding its claims of alleged infringement of the Patent unless Zappos.com proceeds to license the ' Patent from GPH. //. Page of

Case :0-cv-0-RCJ-GWF Document Filed //00 Page of. By virtue of GPH s actions and statements, there currently exists a an actual and justiciable controversy relating to the Patent as between Zappos.com and GPH. The false allegations of infringement relating to the patent-in-suit places a cloud over Zappos.com s e-commerce business. Given GPH s conduct, there exists a clear and serious threat to 0 Zappos.com s business so long as the issues regarding the patent-in-suit remain unresolved. Zappos.com therefore needs and seeks resolution of the issues asserted in this complaint for declaratory relief to lift the cloud over Zappos.com s business. On such basis, Zappos.com is entitled to declaratory relief.. Zappos.com denies that it now infringes or in the past has infringed, either literally or under the doctrine of equivalents, any valid claim of any of the Patent.. Zappos.com seeks a declaratory judgment that it does not infringe either literally or under the doctrine of equivalents any valid claim of the Patent. FIRST CLAIM FOR RELIEF (Declaratory Relief as to the Patent Non-Infringement). Zappos.com incorporates by reference paragraphs through above as though fully set forth herein.. Zappos.com is not directly infringing, contributorily infringing, or actively inducing others to infringe either literally or under the doctrine of equivalents any valid claim of the Patent as properly construed, and has not done so in the past.. Zappos.com is entitled to a declaration by the Court that it has not and does not infringe any valid claim of the Patent. SECOND CLAIM FOR RELIEF (Declaratory Relief as to the Patent Invalidity). Zappos.com incorporates by reference paragraphs through above as though fully set forth herein.. The claims of the Patent are invalid for failure to satisfy the provisions of one or more of U.S.C.,,, and/or 0. 0. Zappos.com is entitled to a declaration by the Court that the ' Patent is invalid.. Page of

Case :0-cv-0-RCJ-GWF Document Filed //00 Page of 0 THIRD CLAIM FOR RELIEF (Declaratory Relief as to the Patent Doctrine of Intervening Rights). Zappos.com incorporates by reference paragraphs through 0 above as though fully set forth herein.. Zappos.com has absolute and/or equitable intervening rights in the Patent under U.S.C. and/or 0(b) regardless of whether any claims of the Patent are invalid or infringed by Zappos.com.. Zappos.com is entitled to a declaration by the Court that it does not infringe any valid claim of the Patent by virtue of its intervening rights. PRAYER FOR RELIEF. WHEREFORE, Zappos.com prays for relief against GPH as follows:. For a declaration that Zappos.com does not now infringe, and has not in the past infringed, either literally or under the doctrine of equivalents any valid claim of any of the Patent;. For a declaration that the claims at issue of the Patent are invalid;. For a declaration that Zappos.com does not infringe any valid claim of the Patent by virtue of its intervening rights.. For a declaration that this is an exceptional case under U.S.C. and for an award to Zappos.com of its attorneys fees and expenses in this action; and. For such other relief as the Court may deem just and proper. JURY DEMAND Zappos.com demands a jury on all issues so triable.. Page of

Case :0-cv-0-RCJ-GWF Document Filed //00 Page of DATED this th day of December, 00. Plaintiff s Address: ZAPPOS.COM 0 Corporate Circle Drive, Suite 0 Henderson, Nevada 0 By: /s/ Michael R. McCarthy Michael R. McCarthy Nevada Bar No. Michael L. Larsen Utah Bar No. 0 David M. Bennion Utah Bar No. John E. Delaney Utah Bar No. 0 South Main Street, Suite 00 Salt Lake City, UT Tel: (0) - Attorneys for Plaintiff Zappos.com, Inc. 0. Page of