Ixi Mobile (R&D) Ltd. et al v. Samsung Electronics Co., Ltd. et al

Northern District of California, cand-4:2015-cv-03752

Exhibit 6

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1 Exhibit 6 1 From: Jason Cassady To: Harrison (Buzz) Frahn; Seth Reich; Jin, Bryan; Rokach, David Cc: Brown, Brandon; Arovas, Greg; Marina, James E.; Friedman, Todd M.; Hamad Hamad; *jcoleman@hopkinscarley.com; *jpicone@hopkinscarley.com; Diana L. Hodges; Higson, John J.; mwhalderman@dilworthlaw.com; Wilson, Jeremy; Jason Cassady Subject: IXI v. Samsung / IXI v. Apple - 4:15-CV-03752-HSG Date: Tuesday, March 05, 2019 10:47:27 AM Attachments: 90014119.pdf Counsel, As you know, IXI's '532 Patent is currently in reexamination proceedings as a result of Apple's ex parte reexamination request on May 23, 2018. Attached to this email is a set of the new claims that IXI recently submitted in conjunction with that reexamination proceeding. Please let this serve as notice of infringement to your clients in this matter for these new claims and as notice that IXI intends to seek leave to amend its infringement contentions to include the new claims of the '532 Patent. Regards, Jason D. Cassady ||| Caldwell Cassady & Curry 2101 Cedar Springs Road, Suite 1000, Dallas, TX 75201 Direct Line: 214.888.4841 Main Line Telephone:214.888.4848 Fax Line: 214.888.4849 jcassady@caldwellcc.com www.caldwellcassadycurry.com NOTICE OF CONFIDENTIALITY: The information contained in this e-mail is subject to the ATTORNEY-CLIENT and ATTORNEY WORK PRODUCT PRIVILEGE and is CONFIDENTIAL. It is intended only for the recipient(s) designated above. Any dissemination, distribution, copying, use or reliance upon the information contained in and transmitted with this e-mail by or to anyone other than the recipient(s) designated by the sender is unauthorized and prohibited. If you have received this e-mail in error, please notify the sender by reply immediately. Any e-mail erroneously transmitted to you should be immediately destroyed. 1 1 1 1 1 1 1 1 1