Company Overview

Total Page:16

File Type:pdf, Size:1020Kb

Company Overview Mobile Email and Messaging for Everyone Company Overview “Making mobile email accessible to everyone worldwide is SEVEN’s goal. We continuously strive to improve access to mobile email universally, expanding geographically and across a wide range of devices from the basic to the sophisticated – so that everyone will have access to mobile email, no matter their device.” Ross Bott, SEVEN President and CEO. SEVEN is the leading provider of mobile email solutions for wireless devices used by 90% of SEVEN Key Facts the global market. SEVEN’s integrated platform for mobile messaging enables wireless operators and device manufacturers to deliver differentiated mobile email and messaging ► Trusted by 130 wireless services to a wide range of customers: from consumers to individual professionals and global operators worldwide enterprises. SEVEN’s rapid adoption by users around the world is driven by the company’s focus on best-in-class user experience for mobile messaging. ► Used by millions of mobile subscribers worldwide ► Enabling 2 Billion email The SEVEN Platform for Integrated Mobile Messaging transactions monthly SEVEN’s Integrated Mobile Messaging Platform bundles SMS, MMS, IM, voice and email into ► Compatible with 450 one integrated solution to simplify mobile messaging for the end user. With SEVEN, device device types on five mobile manufacturers and operators can deploy highly functional and differentiated messaging platforms services quickly while reducing costs and launching increasingly innovative devices. Integrated and delivered in real-time to 450 device types SEVEN = ONE solution • Business Email • MMS* • Personal and Work for all email accounts • Personal Email • SMS* Calendar • • IM • Voicemail Corporate Directory • Personal Contacts (*) Operator-dependent. SEVEN integrates with applications available on the device At the heart of System SEVEN is a unique patented push technology that enables automatic real-time synchronization between back-end servers and mobile devices. SEVEN’s true push technology, combined with its enterprise-class security makes SEVEN the most advanced messaging solution on the market. Because technical complexities such as wireless connectivity have been made completely transparent to users, SEVEN is also completely suitable for consumer mobile email. Highlights "If you want e-mail on your Key Benefits of Using SEVEN phone and you want to keep the phone of your choice, System SEVEN 7 is what Wireless Operators : Leverage SEVEN’s proven email and messaging platform across your you've been waiting for." portfolio of devices and accelerate the adoption of messaging services and data plans while -- 2008 Global Mobile Award increasing customer loyalty through better usability. With SEVEN, you can also get full control judges, Feb. 2008 over the branding of the messaging service powered by SEVEN. "Mobile email is at the core of Device Manufacturers : Take new devices to market faster and at a lower cost. With SEVEN, data services today… Our you can build, in 10 weeks, a device with a complete and proven mobile messaging solution and partnership with SEVEN is a configure it to the needs of a specific market segment without costly customizations. testament to our commitment to making data, and email, available to our Mobile Users : Get a mobile email solution that works, is easy to use and is the same for your subscribers on their mobile business and personal accounts. With SEVEN, you can also get it on your favorite phone! phone." -- Javier Aramendia, Director, Telefónica España, Feb 2008 2100 Seaport Boulevard, Redwood City, CA 94063- USA | T +1 650.381.2500 | F +1 650.216.6422 | E [email protected] | www.seven.com Mobile Email and Messaging for Everyone Customers SEVEN in action on the Instinct : More than 130 wireless operators around the world have selected SEVEN to power their mobile email and messaging services, including: ”The Instinct does an excellent job with its e-mail features… it's far ahead of AT&T's SEVEN-powered Xpress Mail solution provides AT&T most other handsets on the customers with a service that exudes simplicity - from set-up to use. market, including the first This ease of use, functionality and adaptability to a variety of device iPhone.” -- CNET review platforms has made it a popular choice among AT&T customers and a valued component in AT&T industry-leading email portfolio. Because SEVEN runs on all the major mobile platforms and hundreds of devices from high to low end, SEVEN was the perfect choice to support FET’s strategy to offer a best in class messaging experience to all target user segments in Taiwan and grow subscribers on FET data service. SEVEN powers 3's Mobile Mail, providing its users easy access to What users and bloggers popular email services such as AOL Mail, EarthLink, Gmail, Yahoo! say about SEVEN: Mail, Microsoft Exchange and Lotus Domino from the convenience of their mobile phone. The service is easy to set up, and users get access “…on the Instinct, the e-mail to their email, contacts and calendar on one or more accounts. program is really easy to setup, with all the major webmail providers preconfigured… You can put in more than one account, naturally, and easily Partners and Mobile Ecosystem jump from one to the next. …” -- Gizmodo, 2008, Wilson The mobile industry is fragmented and bringing a reliable service to market requires tight Rothman partnerships with many vendors. SEVEN has established long-term partnerships with companies whose innovative, industry-leading mobile solutions and services have enabled Industry Awards SEVEN to deliver the best possible user experience across a wide range of devices: Messaging Award 2008 Mobile Platform Providers: SEVEN runs on the most commonly deployed mobile platforms including BREW, J2ME, Palm, Symbian and Windows Mobile to deliver mobile email and mobile messaging to as many devices as possible. An Android client is being introduced in 2009. Global 100 in 2008 Device Manufacturers : SEVEN works closely with leading device manufacturers, including Mobile Industry Facts: HTC, INQ, LG, Motorola, Nokia, Palm, Sanyo, Samsung, and Sony Ericsson to embed the SEVEN Mobile Messaging client on more than 450 devices. Today, only 2% of email mailboxes are accessed on mobile devices. Explosive Email Providers: SEVEN is all about giving users access to their favorite email on their favorite growth is expected… 22% of phone. SEVEN partners with the top email providers including AOL, Google, Microsoft, and mailboxes will be accessed on Yahoo. With SEVEN, more than 1,000 ISPs can be pre-configured for easy access before a mobile devices by 2012. device is launched on the market. Radicati, Sep. 2008 Infrastructure Providers : SEVEN is primarily delivered to operators as a SaaS solution; Check how your favorite reliability and security is critical to the service. SEVEN’s hosted services and solutions are email works on your favorite powered by leading technology infrastructure providers including Savvis and Oracle. phone at: community.seven.com Copyright © 2009 SEVEN Networks, Inc. All Rights Reserved. 2100 Seaport Boulevard, Redwood City, CA 94063- USA | T +1 650.381.2500 | F +1 650.216.6422 | E [email protected] | www.seven.com .
Recommended publications
  • Open Channel® Policy Enforcement
    Open Channel® Policy Enforcement Datasheet Mobile Traffic Management Software Simplified Service Plan Creation The proliferation of mobile devices and apps has placed In the highly competitive market for wireless data services, enormous pressure on wireless carriers to manage data traffic operators seek to match their offerings to the diverse more effectively. Subscribers are downloading more apps than preferences of end users. Open Channel Policy Enforcement ever before, and using those apps more intensively. Cellular simplifies the creation of a broad range of innovative mobile bandwidth is stressed to the breaking point as carriers have no service plans tailored to the needs of the marketplace. For control over the behavior and data demands of apps. example, there may be a market for an unlimited e-mail only plan, or a plan allowing unlimited access to only certain At the same time, carriers face great opportunities to create social media apps. Policy Enforcement enables fine-grained innovative new service plans addressing highly targeted control to permit access only to those apps included on the customer needs. Unfortunately, they often have inadequate purchased data plan. Carriers regain the control over mobile operational means to deliver plans that end users demand. data traffic that has been beyond their reach since the advent Open Channel Policy Enforcement conserves network of smartphones, freeing them to innovate and more fully resources by managing traffic at the point of creation, rather monetize their wireless infrastructure. than after it has already impacted the network. It improves the ability of operators to fully monetize their infrastructure Traditional means of creating service plans are overly investments with tailored service plans that match subscribers’ complex and rely on in-network enforcement.
    [Show full text]
  • SUCCESS STORY BMW France “SEVEN’S Solution Is Like Our Cars in Many Ways
    SUCCESS STORY BMW France “SEVEN’s solution is like our cars in many ways. It’s a solid combination of design, performance and safety. Plus it’s fast!” Mr Bernard Vasselon, IT Director, BMW France ABOUT SEVEN SEVEN is a global provider of software that enables mobile operators, Internet email providers and service providers to offer their subscribers secure, low-cost, real-time access to business and personal email applications. SEVEN's software is specialised to meet the unique needs and requirements of the Fortune 500 enterprise, the small-to-medium organisation, workgroups, individual professionals and consumers. Our software supports all major device platforms, including BREW, J2ME, Microsoft Windows Mobile, Palm OS and Symbian-based phones, and currently ships on over 200 mobile phone models manufactured by Hitachi, HTC, HP, Motorola, Nokia, Palm, Sanyo, Samsung, Sony Ericsson and Toshiba. SEVEN is available today across major international network standards, and has been chosen by 100 leading mobile operators and service providers worldwide. SEVEN is headquartered in Redwood City, CA, USA, with local offices around the globe. For additional information, visit www.seven.com. SEVEN is a registered trademark of Seven Networks, Inc. Always-On Mail, Out of the Office, System SEVEN, SEVEN Personal Edition, SEVEN Enterprise Edition, and SEVEN Server Edition are also trademarks or service marks of Seven Networks, Inc. or its subsidiaries. All other trademarks or trade names are those of their respective owners. ON THE MOVE IN FRANCE Top German carmaker shifts to SEVEN Enterprise Edition for secure, easily deployed, low-cost SITUATION mobile email in France. With easy Global carmakers like BMW run their KEY BENEFITS FOR BMW access to personal email, calendar, business on precision management and Enables anywhere, anytime access to critical contacts and documents, BMW focused customer care.
    [Show full text]
  • Connecting the Mobile Ecosystem
    CONNECTING THE MOBILE ECOSYSTEM GAME CHANGING STRATEGIES FOR THE DATA CENTRE www.equinix.co.uk GROW REVENUES | SECTION/OTHER IMPORTANT INFO 1 S content OF table Executive Summary ...............................................................3 Introduction ............................................................................4 Challenges and opportunities facing the mobile ecosystem ...5 Building on a heritage of collaboration ...................................7 Towards collaboration in the data centre ................................9 Identifying a data centre ecosystem partner ........................ 11 The benefits of the ecosystem approach .............................13 Reducing Overall Network Traffic ....................................14 Efficiencies in Network Performance ...............................14 Backbone Service Procurement ......................................14 Neutrality and Direct Connections ...................................15 Mobile Backhaul Procurement .........................................15 Roaming and Interoperability ...........................................15 Conclusions .........................................................................16 Collaboration in context: a growing trend .........................16 CONNECTING THE MOBILE ECOSYSTEM | TABLE OF CONTENTS 2 EXECUTIVE SUMMARY With the much-vaunted arrival of long-term evolution (LTE) networks the mobile industry faces familiar challenges and new opportunities. The challenges include network congestion and falling average revenue
    [Show full text]
  • Amicus Brief
    Case: 19-126 Document: 15 Page: 1 Filed: 09/24/2019 No. 19-126 IN THE United States Court of Appeals for the Federal Circuit IN RE GOOGLE LLC, Petitioner. On Petition for a Writ of Mandamus to the United States District Court for the Eastern District of Texas Nos. 2:18-cv-00462, -00463, Hon. Rodney Gilstrap BRIEF OF ACUSHNET, BIGCOMMERCE, CHARGEPOINT, CHECKPOINT SOFTWARE TECHNOLOGIES, DISH NETWORK, EBAY, FITBIT, GARMIN, HIGH TECH INVENTOR’S ALLIANCE, HP, L BRANDS, MERIT MEDICAL SYSTEMS, NETFLIX, QUANTUM CORPORATION, RINGCENTRAL, TWITTER, WALMART, AND WILLIAMS-SONOMA AS AMICI CURIAE IN SUPPORT OF PETITIONER Eric A. Shumsky Clement Roberts ORRICK, HERRINGTON & ORRICK, HERRINGTON & SUTCLIFFE LLP SUTCLIFFE LLP 1152 15th Street NW 405 Howard Street Washington, DC 20005 San Francisco, CA 94105 (415) 773-5700 Abigail Colella ORRICK, HERRINGTON & SUTCLIFFE LLP 51 W 52nd St New York, NY 10019 Counsel for Amici Curiae Acushnet, BigCommerce, ChargePoint, Checkpoint Software Technologies, DISH Network, eBay, Fitbit, Garmin, High Tech Inventors Alliance, HP, L Brands, Netflix, Quantum Corporation, RingCentral, Twitter, Walmart, and Williams-Sonoma. [additional counsel listed on the inside cover] Case: 19-126 Document: 15 Page: 2 Filed: 09/24/2019 Brent Lorimer WORKMAN NYDEGGER 60 East South Temple Suite 1000 Salt Lake City, UT 84111 (801) 553-9800 Counsel for Amicus Curiae Merit Medical Systems Case: 19-126 Document: 15 Page: 3 Filed: 09/24/2019 FORM 9. Certificate of Interest Form 9 Rev. 10/17 UNITED STATES COURT OF APPEALS FOR THE FEDERAL CIRCUIT In re Google LLC v. Case No. 19-126 CERTIFICATE OF INTEREST Counsel for the: □ (petitioner) □ (appellant) □ (respondent) □ (appellee) ■ (amicus) □ (name of party) Acushnet Company, BigCommerce, Inc., ChargePoint, Inc., Check Point Software Technologies, Inc., DISH Network LLC, eBay Inc., Fitbit, Inc., Garmin International, Inc., High Tech Inventor’s Alliance, HP Inc., L Brands, Inc., Netflix, Inc., Quantum Corporation, RingCentral, Inc., Twitter, Inc., Walmart, Inc., and Williams-Sonoma, Inc.
    [Show full text]
  • Motion to Dismiss for Lack of Standing and Improper Venue Under Rules 12(B)(1), 12(B)(3) and 12(B)(6)
    Case 2:18-cv-00553-JRG Document 21 Filed 06/19/19 Page 1 of 40 PageID #: 96 IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF TEXAS MARSHALL DIVISION UNILOC 2017 LLC, § § Plaintiffs, § § v. § Civil Case Nos. 2:18-cv-00548, -549, -550, § -551, -552, -553 GOOGLE LLC, § § Defendant. § § DEFENDANT GOOGLE LLC’S MOTION TO DISMISS FOR LACK OF STANDING AND IMPROPER VENUE UNDER RULES 12(B)(1), 12(B)(3) AND 12(B)(6) Case 2:18-cv-00553-JRG Document 21 Filed 06/19/19 Page 2 of 40 PageID #: 97 TABLE OF CONTENTS Page INTRODUCTION ......................................................................................................................... 1 I. STATEMENT OF ISSUES TO BE DECIDED (L.R. CV-7(A)(1)) ................................. 3 II. FACTUAL BACKGROUND ............................................................................................ 3 A. The Parties ............................................................................................................. 3 B. The Complaints ...................................................................................................... 4 III. UNILOC 2017 LACKS STANDING TO SUE ................................................................. 5 A. Several Agreements Have Fractured Ownership of the Patents-in-Suit. ............... 6 B. Fortress’s Right to Sub-License the Asserted Patents Deprives Uniloc 2017 of Standing. ................................................................................................... 7 1. Multiple “Events of Default” Under the Uniloc Lux-Fortress
    [Show full text]
  • 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27
    Case 3:17-cv-04600 Document 1 Filed 08/10/17 Page 1 of 17 1 QUINN EMANUEL URQUHART & SULLIVAN, LLP Sean S. Pak (Bar No. 219032 (CA)) 2 [email protected] Brian E. Mack (Bar No. 275086 (CA)) 3 [email protected] 50 California Street, 22nd Floor 4 San Francisco, California 94111 (415) 875-6600 5 (415) 875-6700 (facsimile) 6 Attorneys for Plaintiff GOOGLE INC. 7 8 9 UNITED STATES DISTRICT COURT 10 NORTHERN DISTRICT OF CALIFORNIA 11 GOOGLE INC., CASE NO. ________________________ 12 Plaintiff, COMPLAINT FOR DECLARATORY JUDGMENT OF NON-INFRINGEMENT 13 vs. DEMAND FOR JURY TRIAL 14 SEVEN NETWORKS, LLC, REDACTED VERSION OF DOCUMENT 15 SOUGHT TO BE SEALED Defendant. 16 17 18 Plaintiff Google Inc. (“Google”) seeks a declaratory judgment of non-infringement of 19 United States Patent Nos. 8,078,158, 8,811,952, 9,247,019, 9,325,600, 9,351,254, 9,386,433, 20 9,444,812, 9,516,127, 9,516,129, and 9,553,816 as follows: 21 22 23 24 25 26 27 28 COMPLAINT FOR DECLARATORY JUDGMENT OF NON-INFRINGEMENT Case 3:17-cv-04600 Document 1 Filed 08/10/17 Page 2 of 17 1 NATURE OF THE ACTION 2 1. This is an action for a declaratory judgment of non-infringement arising under the 3 patent laws of the United States, Title 35 of the United States Code. Plaintiff Google Inc. 4 (“Google”) requests this relief because Defendant SEVEN Networks, LLC (“SEVEN”) has filed 5 lawsuits claiming that Google infringes United States Patent Nos. 8,078,158 (“the ’158 patent”), 6 8,811,952 (“the ’952 patent”), 9,247,019 (“the ’019 patent”), 9,325,600 (“the ’600 patent”), 7 9,351,254 (“the ’254 patent”), 9,386,433 (“the ’433 patent”), 9,444,812 (“the ’812 patent”), 8 9,516,127 (“the ’127 patent”), 9,516,129 (“the ’129 patent”), and 9,553,816 (“the ’816 patent”) 9 (the “Asserted Patents”) by making, using, selling, offering for sale, or importing products and 10 services that infringe one or more claims of the Asserted Patents.
    [Show full text]
  • Inter Partes Review 35 U.S.C
    PUBLIC VERSION [email protected] Paper 22 571-272-7822 Entered: November 28, 2018 UNITED STATES PATENT AND TRADEMARK OFFICE ____________ BEFORE THE PATENT TRIAL AND APPEAL BOARD ____________ SAMSUNG ELECTRONICS CO., LTD. and SAMSUNG ELECTRONICS AMERICA, INC., Petitioner, v. SEVEN NETWORKS, LLC, Patent Owner. ____________ Case IPR2018-01108 Patent 9,516,127 B2 ____________ Before THU A. DANG, JONI Y. CHANG, and JACQUELINE T. HARLOW, Administrative Patent Judges. CHANG, Administrative Patent Judge. DECISION Institution of Inter Partes Review 35 U.S.C. § 314(a) 1 Exhibit 1052 Samsung v. Seven Networks Proceeding No. IPR2018-01108 PUBLIC VERSION IPR2018-01108 Patent 9,516,127 B2 I. INTRODUCTION Samsung Electronics Co., Ltd. and Samsung Electronics America, Inc. (collectively, “Petitioner” or “Samsung”) filed a Petition requesting an inter partes review of claims 1−30, 32−38, 40−48, and 50 (“the challenged claims”) of U.S. Patent No. 9,516,127 B2 (Ex. 1001, “the ’127 patent”). Paper 2 (“Pet.”). The SEVEN Networks, LLC and CF SVN LLC (collectively, “Patent Owner”) filed a Preliminary Response. Paper 11 (“Prelim. Resp.”). Pursuant to our prior authorization, Petitioner filed a Reply (Papers 15, 16, “Reply”) to the Patent Owner Preliminary Response as to the issue of whether Petitioner had named all of the real parties in interest, and Patent Owner filed a Sur-Reply (Papers 19, 20, “Sur-Reply”).1 The parties also filed Motions to Seal (Papers 17, 18, 21) the nonpublic versions of their papers (Papers 16, 19) and certain exhibits and have agreed to the Revised Protective Order (Paper 17, Attachments A, B; Paper 18, Attachment A).
    [Show full text]
  • Case 3:19-Cv-07651-EMC Document 192 Filed 08/04/20 Page 1 of 134
    Case 3:19-cv-07651-EMC Document 192 Filed 08/04/20 Page 1 of 134 REDACTED VERSION OF DOCUMENT SOUGHT TO BE SEALED 1 WILMER CUTLER PICKERING WILMER CUTLER PICKERING HALE AND DORR LLP HALE AND DORR LLP 2 Mark D. Selwyn (SBN 244180) William F. Lee (admitted pro hac vice) [email protected] [email protected] 3 950 Page Mill Road Joseph J. Mueller (admitted pro hac vice) 4 Palo Alto, CA 94304 [email protected] Telephone: (650) 858-6000 Timothy D. Syrett (admitted pro hac vice) 5 Fax: (650) 858-6100 [email protected] 60 State Street 6 WILMER CUTLER PICKERING Boston, MA 02109 HALE AND DORR LLP Telephone: (617) 526-6000 7 Leon B. Greenfield (admitted pro hac vice) Fax: (617) 526-5000 8 [email protected] Amanda L. Major (admitted pro hac vice) 9 [email protected] 1875 Pennsylvania Avenue NW 10 Washington, DC 20006 11 Telephone: (202) 663-6000 Fax: (202) 663-6363 12 Attorneys for Plaintiffs 13 Intel Corporation, Apple Inc. 14 UNITED STATES DISTRICT COURT 15 NORTHERN DISTRICT OF CALIFORNIA 16 INTEL CORPORATION, APPLE INC., Case No. 3:19-cv-07651-EMC 17 Plaintiffs, 18 v. 19 20 FORTRESS INVESTMENT GROUP LLC, AMENDED COMPLAINT FORTRESS CREDIT CO. LLC, UNILOC 21 2017 LLC, UNILOC USA, INC., UNILOC LUXEMBOURG S.A.R.L., VLSI 22 TECHNOLOGY LLC, INVT SPE LLC, INVENTERGY GLOBAL, INC., IXI IP, 23 LLC, and SEVEN NETWORKS, LLC, JURY TRIAL DEMANDED 24 Defendants. 25 26 27 28 ActiveUS 180903977v.19 Case 3:19-cv-07651-EMC Document 192 Filed 08/04/20 Page 2 of 134 REDACTED VERSION OF DOCUMENT SOUGHT TO BE SEALED 1 Plaintiffs Intel Corporation (“Intel”) and Apple Inc.
    [Show full text]
  • Sprint Mobile Email Work Quick Start Guide
    Sprint Mobile Email Work Quick Start Guide Sprint Mobile Email Work is an extension of Sprint Mobile Email that provides secure access to corporate email and contacts (in addition to your personal accounts) from selected Sprint phones—all with the convenience of easy-to-use, always-on access. This document provides instructions for activating the Sprint Mobile Email Work service on your compatible mobile phone. Phones currently eligible for this service include: z LG: LX260 (Rumor), LX550 (Fusic) z Motorola: RAZR, KRZR z Samsung: M500, M520, M800 (Instinct), A900, A900m z Sanyo: SCP-6600 (Katana), SCP-6650 (Katana II), SCP-8400 Your phone might qualify for the program even if it is not listed. Visit www.sprint.com/mobileemail for more information. Getting Started If you need assistance during this procedure, see the Helpful Hints section of this document. 1. For Samsung Instinct phones: Choose Main | Email, and respond to the prompts for service activation. 2. For LG Rumor phones: Choose Messaging | Email, and respond to the prompts for service activation. 3. For all other phones: a. Choose Main Menu | My Content | IM & Email | Get New IM & Email to display the Sprint software download page. b. Choose the Sprint Mobile Email (AOL, Gmail, MSN, Yahoo! and more) link to display the software details. c. Choose Get or Download. d. Choose Run to install the Sprint Mobile Email software. Note: When prompted to provide permission to access various features during the activation process, choose Always Allow. Be aware that when you eventually exit the Sprint Mobile Email application, the download success screen might still be present.
    [Show full text]
  • Security and Impact of the Iot on LTE Mobile Networks
    BOOK CHAPTER - PRE-PRINT AUTHOR VERSION Security and impact of the IoT on LTE mobile networks Book: Security and Privacy in the Internet of Things (IoT): Models, Algorithms, and Implementations Taylor & Francis LLC, CRC Press (To be published - Winter 2015) Roger Piqueras Jover Principal Member of Technical Staff AT&T Security Research Center New York NY July 20, 2015 ii Chapter 1 Security and impact of the IoT on mobile networks The ongoing evolution of wireless cellular networks is creating a new ecosystem with pervasive presence of a great variety of network-enabled objects which, based on unique addressing schemes, are able to interact with each other. Cellular connectivity is reaching beyond smartphones and tablets, providing access to data networks for connected home appliances, machinery and vehicles. The rapid evolution of mobile networking technologies and the transition towards IPv6 might drive this trend to an ecosystem where every single consumer item could be reachable through the cellular network. This convergence of the Internet and cellular mobility networks is breeding new Machine-to-Machine (M2M) communication systems, which are the enabling platform for the Internet of Things (IoT) [1]. Cellular-based IoT applications are experiencing a drastic growth backed up by the large investments from network operators [2]. Current studies forecast the cellular IoT to be 1000 times more profitable than mobile data and as lucrative for operators as the Short Messaging Service (SMS) [3]. This is an attractive new market for cellular operators, which are cur- rently dealing with a heavily competitive market and declining revenues. Consequently, IoT applications are among the common denominator of some of the largest investments in mo- 1 2 CHAPTER 1.
    [Show full text]
  • Filed on Behalf Of: Facebook, Inc. Entered: February 12, 2021
    Filed on behalf of: Facebook, Inc. Entered: February 12, 2021 UNITED STATES PATENT AND TRADEMARK OFFICE _______________________ BEFORE THE PATENT TRIAL AND APPEAL BOARD _______________________ FACEBOOK, INC., Petitioner, v. ONSTREAM MEDIA CORPORATION, Patent Owner. _______________________ Case IPR2020-01525 Patent 9,467,728 B2 ______________________ PETITIONER’S REPLY TO THE PATENT OWNER PRELIMINARY RESPONSE IPR2020-01525 (USP 9,467,728) Petitioner’s Reply to POPR TABLE OF AUTHORITIES Page(s) CASES Abbott Vascular, Inc. v. Flexstent, LLC, IPR2019-00882, Paper 11 (Oct. 7, 2019) ......................................................... 2, 7 In re Adobe, 823 F. App’x 929 (Fed. Cir. 2020) ....................................................................... 3 Apple Inc. v. Fintiv, Inc., IPR2020-00019, Paper 11 (Mar. 20, 2020) .................................................. 1, 4, 5 Apple Inc. v. Maxell, Ltd., IPR2020-00204, Paper 11 (June 19, 2020) ........................................................... 6 Apple Inc. v. Parus Holdings, Inc., IPR2020-00686, Paper 9 (Sept. 23, 2020) ........................................................ 4, 6 Apple Inc. v. Seven Networks, LLC, IPR2020-00506, Paper 11 (Sept. 1, 2020) ........................................................ 2, 3 Arthrex, Inc. v. Smith & Nephew, Inc., 941 F.3d 1320 (Fed. Cir. 2019), cert. granted sub nom. United States v. Arthrex, Inc., No. 19-1434, 2020 WL 6037206 (Oct. 13, 2020). ...................................................................................................................
    [Show full text]
  • Edwin A. Hernandez-Mondragon
    Dr. Mondragon – Curriculum Vitae – July 2018 - www.edwinhernandez.com Edwin A. Hernandez-Mondragon, PhD Technologist / Expert Witness / Entrepreneur 4890 NW 101st Ave, Coral Springs, FL, 33076 Skype: edwinhe | (561) 306 4996 | (561) 879 0158 [email protected] | [email protected] www.eglacomm.net | www.4gexpert.com | www.eglavator.com Expertise Areas • AirInterface and LTE Source: Experience with SDRs, OpenAirInterface project, reiewing code for handover, RRC Channels, and handoff parameters • Cloud Storage and Data Synchronization: GlusterFS, File Systems, Dropbox/S3 integration. Cloud computing, Load balancing, AWS. • Wireless Communications: 4G, 3G, LTE signaling, WLAN, Software-defined Networks, and RF emulation with a patent in wireless emulation/dissertation on this field. • Mobile Devices and Systems: User Interfaces in mobile, mobile operating systems, Expert in mobility and wireless roaming 2G-3G-4G systems • BlocKchain: Bitcoin, Litecoin, Consensus Algorithms, Gossip Protocols • Power Management: Wireless Power Management Issued Patent for Microsoft Wireless Service and Wireless Charging Patent with over 80+ references • Personal Area NetworKing: Expertise in Personal Area Networks and Wearable Systems. Issued Patent for Windows PAN Driver. • Multimedia Streaming: Cable Systems and TV distribution, DVB, Music platforms and automated playlist creation, real-time encoding, and cloud storage systems • Smart phones and wireless embedded software development: Personal Area Networking, Virtual Machines and Operating Systems,
    [Show full text]