Volpe & Koenig

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Ex Parte Professional.
Cases184
Challenger50%
Patent Owner50%
NPE50%
Practice Areas
Mech Eng, ManufTransport., E-Comm.Communications
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L5
A
PTAB
L5
A
CAFC
L5
A

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Entered
Case
Description
09/11/24
[SEALED] DECLARATION re [582] MOTION for Summary Judgment #1 That Defendants Infringe Claim 7 Of U.S. Patent No. 9,014,243 by TQ Delta LLC. (Attachments: # [1] Exhibits A-Q)(Farnan, Brian) (Entered: 09/11/2024)
09/11/24
[SEALED] STATEMENT re [582] MOTION for Summary Judgment #1 That Defendants Infringe Claim 7 Of U.S. Patent No. 9,014,243 Concise Statement of Facts by TQ Delta LLC. (Farnan, Brian) (Entered: 09/11/2024)
09/11/24
[SEALED] OPENING BRIEF in Support re [582] MOTION for Summary Judgment #1 That Defendants Infringe Claim 7 Of U.S. Patent No. 9,014,243 filed by TQ Delta LLC.Answering Brief/Response due date per Local Rules is 9/25/2024. (Farnan, Brian) (Entered: 09/11/2024)
09/11/24
MOTION for Summary Judgment #1 That Defendants Infringe Claim 7 Of U.S. Patent No. 9,014,243 - filed by TQ Delta LLC. (Farnan, Brian) (Entered: 09/11/2024)
09/11/24
[SEALED] DECLARATION re [576] MOTION to Preclude Certain Damages-Related Expert Opinions, [574] MOTION for Summary Judgment #3 That Certain Hypothetical Non-Infringing Alternatives Have Not Been Shown To Be Available by TQ Delta LLC. (Attachments: # [1] Exhibits 8, 10, 12, 21, 22, 24-27, 29, 31, 33)(Farnan, Brian) (Entered: 09/11/2024)
09/11/24
[SEALED] STATEMENT re (590 in 1:15-cv-00611-GBW) MOTION for Summary Judgment #3 That Certain Hypothetical Non-Infringing Alternatives Have Not Been Shown To Be Available, (574 in 1:15-cv-00612-GBW) MOTION for Summary Judgment #3 That Certain Hypothetical Non-Infringing Alternatives Have Not Been Shown To Be Available, (592 in 1:15-cv-00616-GBW) MOTION for Summary Judgment #3 That Certain Hypothetical Non-Infringing Alternatives Have Not Been Shown To Be Available, (587 in 1:15-cv-00615-GBW) MOTION for Summary Judgment #3 That Certain Hypothetical Non-Infringing Alternatives Have Not Been Shown To Be Available Concise Statement of Facts in Support of Plaintiff's Motion for Summary Judgment #3 That Certain Hypothetical Non-Infringing Alternatives Have Not Been Shown To Be Available by TQ Delta LLC. (Attachments: # [1] Exhibits A-I)(Farnan, Brian) (Entered: 09/11/2024)
09/11/24
[SEALED] OPENING BRIEF in Support re [576] MOTION to Preclude Certain Damages-Related Expert Opinions, [574] MOTION for Summary Judgment #3 That Certain Hypothetical Non-Infringing Alternatives Have Not Been Shown To Be Available filed by TQ Delta LLC.Answering Brief/Response due date per Local Rules is 9/25/2024. (Attachments: # [1] Appendix 1)(Farnan, Brian) (Entered: 09/11/2024)
09/11/24
[SEALED] OPENING BRIEF in Support re 576 MOTION to Preclude Certain Damages-Related Expert Opinions, 574 MOTION for Summary Judgment #3 That Certain Hypothetical Non-Infringing Alternatives Have Not Been Shown To Be Available filed by TQ Delta LLC.Answering Brief/Response due date per Local Rules is 9/25/2024. (Attachments: # 1 Appendix 1)(Farnan, Brian) (Entered: 09/11/2024)
09/11/24
[SEALED] DECLARATION re [577] Opening Brief in Support, -- Declaration of John R. Gibson -- by Cox Communications Inc., CoxCom LLC. (Attachments: # [1] Exhibits 1-9)(Ying, Jennifer) (Entered: 09/11/2024)
09/11/24
[SEALED] DECLARATION re 577 Opening Brief in Support, -- Declaration of John R. Gibson -- by Cox Communications Inc., CoxCom LLC. (Attachments: # 1 Exhibits 1-9)(Ying, Jennifer) (Entered: 09/11/2024)