You're viewing Docket Item 1 from the case Cyberfone Systems LLC v. Federal Express Corporation et al. View the full docket and case details.

Download this document:




Case 1:11-cv-00834-SLR Document 1 Filed 09/15/11 Page 1 of 15 PageID #: 1





IN THE UNITED STATES DISTRICT COURT

FOR THE DISTRICT OF DELAWARE














Civil Action No.


DEMAND FOR JURY TRIAL

LVL PATENT GROUP, LLC,



Plaintiff,





v.


FEDERAL EXPRESS CORPORATION;
UNITED PARCEL SERVICE, INC.; DHL
EXPRESS (USA), INC.; MOTOROLA
MOBILITY, INC.; GARMIN USA, INC. ;
MITAC DIGITAL CORPORATION D/B/A
MAGELLAN; VERIFONE SYSTEMS, INC.;
HYPERCOM CORPORATION; INGENICO
CORP.; INGENICO INC.; FIRST DATA
CORPORATION; DELTA AIR LINES, INC.;
UNITED AIR LINES, INC.; SOUTHWEST
AIRLINES CO.; AMERICAN AIRLINES,
INC.; US AIRWAYS, INC.; AIR CANADA;
AIRTRAN AIRWAYS, INC.; JETBLUE
AIRWAYS CORPORATION; MARRIOTT
INTERNATIONAL, INC.; STARWOOD
HOTELS & RESORTS WORLDWIDE, INC.;
INTER-CONTINENTAL HOTELS
CORPORATION; HYATT HOTELS
CORPORATION; HILTON WORLDWIDE,
INC.; AMAZON.COM, INC.; PANDIGITAL,
INC.; BARNES & NOBLE, INC.; SONY
ELECTRONICS INC.; AND NINTENDO OF
AMERICA INC.,




Defendants.





Plaintiff LVL Patent Group, LLC, ("LVL") alleges as follows:

COMPLAINT

PARTIES

1.

LVL is a Virginia limited liability company with a principal place of business at

2331 Mill Road, Suite 100, Alexandria, Virginia 22314.

2.

On information and belief Defendant Federal Express Corporation ("Fedex") is a

Delaware corporation with its principal place of business at 3610 Hacks Cross Road, Memphis,

Tennessee 38125. Fedex has appointed The Corporation Trust Company, Corporation Trust

Center, 1209 Orange Street, Wilmington, Delaware 19801, as its agent for service of process.



1

Case 1:11-cv-00834-SLR Document 1 Filed 09/15/11 Page 2 of 15 PageID #: 2

3.

On information and belief Defendant United Parcel Service, Inc. ("UPS") is a

Delaware corporation with its principal place of business at 55 Glenlake Parkway, NE, Atlanta,

GA 30328. UPS has appointed Corporation Service Company, 2711 Centerville Road, Suite 400,

Wilmington, DE 19808, as its agent for service of process.

4.

On information and belief, Defendant DHL Express (USA), Inc. ("DHL") is a

Delaware corporation with its principal place of business at 1200 S. Pine Island Rd., Suite 600,

Plantation, FL 33324. DHL has appointed The Corporation Trust Company, Corporation Trust

Center, 1209 Orange Street, Wilmington, DE 19801, as its agent for service of process.

5.

On information and belief, Defendant Motorola Mobility, Inc. ("Motorola") is a

Delaware corporation with its principal place of business at 600 North U.S. Highway 45,

Libertyville, Illinois 60048. Motorola has appointed The Corporation Trust Company,

Corporation Trust Center, 1209 Orange Street, Wilmington, Delaware 19801, as its agent for

service of process.

6.

On information and belief, Garmin USA, Inc. ("Garmin") is a Kansas corporation

with its principal place of business at 1200 East 151st Street, Olathe, Kansas 66062. Garmin has

appointed David Ayres, 1200 East 151st Street, Olathe, Kansas 66062, as its agent for service of

process.

7.

On information and belief, defendant MiTAC Digital Corporation d/b/a Magellan

("Magellan") is a California corporation wits its principal place of business at 471 El Camino

Real, Santa Clara, California 95050. Magellan has appointed Kevin Chuang, 471 El Camino

Real, Santa Clara, California 95050, as its agent for service of process.

8.

On information and belief, Defendant Verifone Systems, Inc. ("Verifone") is a

Delaware corporation with its principal place of business at 2099 Gateway Place, Suite 600, San

Jose, California 95110. Verifone has appointed Corporation Service Company, 2711 Centerville

Road, Suite 400, Wilmington, DE 19808, as its agent for service of process.

9.

On information and belief, Defendant Hypercom Corporation ("Hypercom") is a

Delaware corporation with its principal place of business at 8888 East Raintree Drive, Suite 300,



2

Case 1:11-cv-00834-SLR Document 1 Filed 09/15/11 Page 3 of 15 PageID #: 3

Scottsdale, Arizona 85260. Hypercom has appointed Corporation Service Company, 2711

Centerville Road, Suite 400, Wilmington, DE 19808, as its agent for service of process.

10.

On information and belief, Defendant Ingenico Corp. is a Delaware Corporation

with its principal place of business at 6195 Shiloh Road, Ste D, Alpharetta, GA 30005. Ingenico

Corp. has appointed The Corporation Trust Company, Corporation Trust Center, 1209 Orange

Street, Wilmington, Delaware 19801, as its agent for service of process.

11.

On information and belief, Defendant Ingenico Inc. is a Georgia Corporation with

its principal place of business at 6195 Shiloh Road, Ste D, Alpharetta, GA 30005. Ingenico Inc.

has appointed C T Corporation System, 1201 Peachtree Street, N.E., Atlanta, Georgia 30361, as

its agent for service of process.

12.

On information and belief, Defendant First Data Corporation ("First Data") is a

Delaware corporation with its principal place of business at 5565 Glenridge Connector, N.E.,

Suite 2000, Atlanta, Georgia 30342. First Data has appointed Corporation Service Company,

2711 Centerville Road, Wilmington, Delaware 19808, as its agent for service of process.

13.

On information and belief, defendant Delta Air Lines, Inc. ("Delta") is a Delaware

corporation with its principal place of business at 1030 Delta Boulevard, Atlanta, Georgia 30320.

Delta has appointed Corporation Service Company, 2711 Centerville Road, Suite 400,

Wilmington, Delaware 19808, as its agent for service of process.

14.

On information and belief, defendant United Air Lines, Inc. ("United") is a

Delaware corporation with is principal place of business at 77 West Wacker Drive, Suite 100,

Chicago, Illinois 60601. United has appointed Corporation Service Company, 2711 Centerville

Road, Suite 400, Wilmington, Delaware 19808, as its agent for service of process.

15.

On information and belief, Defendant Southwest Airlines Co. ("Southwest

Airlines") is a Texas corporation with its principal place of business at P.O. Box 36611, 2702

Love Field Dr., Dallas, TX 75235. Southwest Airlines has appointed Corporation Service

Company, 211 E. 7th St., Ste. 620, Austin, TX 78201, as its agent for service of process.

16.

On information and belief, Defendant American Airlines, Inc. ("American



3

Case 1:11-cv-00834-SLR Document 1 Filed 09/15/11 Page 4 of 15 PageID #: 4

Airlines") is a Delaware corporation with its principal place of business located at 4333 Amon

Carter Boulevard, Forth Worth, Texas 76155. American Airlines has appointed The Corporation

Trust Company, 1209 Orange Street, Wilmington, Delaware 19801, as its agent for service of

process.

17.

On information and belief, Defendant US Airways, Inc. ("US Airways") is a

Delaware corporation with its principal place of business at 111 West Rio Salado Parkway,

Tempe, AZ 85281. US Airways has appointed The Corporation Trust Company, Corporation

Trust Center, 1209 Orange St., Wilmington, DE 19801, as its agent for service of process.

18.

On information and belief, Defendant Air Canada is a company registered in

Quebec, Canada, and has its principal place of business at 7373 boulevard de la Côte-Vertu,

Saint-Laurent (Quebec) H4S 1Z3, Canada.

19.

On information and belief, Defendant AirTran Airways, Inc. ("AirTran") is a

Delaware corporation with its principal place of business 9955 AirTran Blvd., Orlando, Florida

32827. AirTran has appointed Corporation Service Company, 2711 Centerville Road Suite 400,

Wilmington, Delaware 19808, as its agent for service of process.

20.

On information and belief, Defendant JetBlue Airways Corporation ("JetBlue") is

a Delaware corporation with its principal place of business of 118-29 Queens Boulevard, Forest

Hills, New York 11375. JetBlue has appointed National Registered Agents, Inc. 160 Greentree

Drive, Suite 101, Dover, Delaware 19904, as its agent for service of process.

21.

On information and belief, Defendant Marriott International, Inc. ("Marriott") is a

Delaware corporation with its principal place of business at 10400 Fernwood Rd., Bethesda,

Maryland, 20817. Marriott has appointed The Prentice-Hall Corporation System, Inc., 2711

Centerville Road, Suite 400, Wilmington, Delaware 19808, as its agent for service of process.

22.

On information and belief, Defendant Starwood Hotels & Resorts Worldwide,

Inc. ("Starwood") is a Maryland corporation with its principal place of business at 5530

Wisconsin Avenue, Chevy Chase, Maryland 20015. Starwood has appointed The Corporation

Trust Incorporated, 351 West Camden Street, Baltimore, Maryland 21201, as its agent for



4

Case 1:11-cv-00834-SLR Document 1 Filed 09/15/11 Page 5 of 15 PageID #: 5

service of process.

23.

On information and belief, Defendant Inter-Continental Hotels Corporation

("ICH") is a Delaware corporation with its principal place of business at 3 Ravinia Drive, Suite

100, Atlanta, Georgia 30316. ICH has appointed The Corporation Trust Company, Corporation

Trust Center, 1209 Orange Street, Wilmington, Delaware 19801, as its agent for service of

process.

24.

On information and belief, Defendant Hyatt Hotels Corporation ("Hyatt") is a

Delaware corporation with its principal place of business at 71 South Wacker Drive, 12th Floor,

Chicago, Illinois 60606. Hyatt has appointed Corporation Service Company, 2711 Centerville

Road, Suite 400, Wilmington, Delaware 19808, as its agent for service of process.

25.

On information and belief, Defendant Hilton Worldwide, Inc. ("Hilton") is a

Delaware corporation with its principal place of business at 6950 Yarmouth Avenue, Reseda,

California 91335. Hilton has appointed Corporation Service Company, 2711 Centerville Road,

Suite 400, Wilmington, Delaware 19808, as its agent for service of process.

26.

On information and belief, Defendant Amazon.com, Inc. ("Amazon") is a

Delaware corporation with its principal place of business at 410 Terry Avenue North, Seattle,

Washington 98109. Amazon has appointed Corporation Service Company, 2711 Centerville

Road, Suite 400, Wilmington, Delaware 19808, as its agent for service of process.

27.

On information and belief, Defendant Pandigital, Inc. ("Pandigital") is a Delaware

corporation with its principal place of business at 6375 Clark Avenue, Ste 100, Dublin,

California 94568. Pandigital has appointed Capital Services, Inc., 1675 South State Street, Suite

B, Dover, Delaware 19901, as its agent for service of process.

28.

On information and belief, Defendant Barnes & Noble, Inc. ("Barnes & Noble")

is a Delaware corporation with its principal place of business at 122 Fifth Avenue, New York,

New York, 10011. Barnes & Noble has appointed Capitol Services, Inc., 615 South Dupont,

Highway, Dover, Delaware 19901, as its agent for service of process.

29.

On information and belief, Defendant Sony Electronics Inc. ("Sony Electronics")



5

Case 1:11-cv-00834-SLR Document 1 Filed 09/15/11 Page 6 of 15 PageID #: 6

is a Delaware corporation with a principal place of business at 16530 Via Esprillo, San Diego,

California 92127. Sony Electronics has appointed Corporation Service Company, 2711

Centerville Road, Wilmington, Delaware 19808, as its agent for service of process.

30.

On information and belief, Defendant Nintendo of America Inc. ("Nintendo") is a

Washington corporation with its principal place of business 4600 150th Avenue, NE, Redmond,

Washington 98052. Nintendo has appointed C T Corporation System, 1801 W Bay Drive, NW,

Suite 206, Olympia, Washington 98502, as its agent for service of process.

JURISDICTION AND VENUE

31.

This action arises under the patent laws of the United States, Title 35 of the

United States Code. This Court has subject matter jurisdiction under 28 U.S.C. §§ 1331 and

1338(a).

32.

This Court has personal jurisdiction over defendants because, among other

reasons, defendants have done business in this District, have committed and continues to commit

acts of patent infringement in this District, and has harmed and continues to harm LVL in this

District, by, among other things, using, selling, offering for sale, and importing infringing

products in this District.

33.

Venue is proper in this district under 28 U.S.C. §§ 1391(b)-(d) and 1400(b)

because, among other reasons, defendants are subject to personal jurisdiction in this District, and

have committed acts of patent infringement in this district. On information and belief, for

example, defendants have used, sold, offered for sale, and imported infringing products in this

District.

COUNT I

(Infringement of U.S. Patent No. 5,805,676)

34.

LVL is the owner by assignment of United States Patent No. 5,805,676 (the "'676

patent"), entitled "Telephone/transaction entry device and system for entering transaction data

into databases." The '676 patent issued on September 8, 1998. A true and correct copy of the

'676 patent is attached hereto as Exhibit A.



6

Case 1:11-cv-00834-SLR Document 1 Filed 09/15/11 Page 7 of 15 PageID #: 7

35.

On information and belief, defendants FedEx, UPS, and DHL have infringed one

or more claims of the '676 patent, including at least claim 1, literally and under the doctrine of

equivalents, by making, using, selling, offering to sell, or importing form-driven systems for

entering transaction data into a remote database, including, but not limited to, systems used for

processing and tracking packages.

36.

On information and belief, defendant Motorola has infringed one or more claims

of the '676 patent, including at least claim 1, literally and under the doctrine of equivalents, by

making, using, selling, offering to sell, or importing form-driven systems for entering transaction

data into a remote database, including, but not limited to, systems used for inventory

management purposes.

37.

On information and belief, defendant Garmin and Magellan have infringed one or

more claims of the '676 patent, including at least claim 1, literally and under the doctrine of

equivalents, by making, using, selling, offering to sell, or importing form-driven systems for

entering transaction data into a remote database, including, but not limited to, 3G-enabled

geographic navigation systems.

38.

On information and belief, defendant Verifone, Hypercom, Ingenico Corp.,

Ingenico Inc., and First Data have infringed one or more claims of the '676 patent, including at

least claim 1, literally and under the doctrine of equivalents, by making, using, selling, offering

to sell, or importing form-driven systems for entering transaction data into a remote database,

including but not limited to payment processing system, including the terminals and servers.

39.

On information and belief, defendant Delta Airlines, United Airlines, Southwest

Airlines, American Airlines, US Airways, Air Canada, AirTran Airways, and JetBlue have

infringed one or more claims of the '676 patent, including at least claim 1, literally and under the

doctrine of equivalents, by making, using, selling, offering to sell, or importing form-driven

systems for entering transaction data into a remote database, including, but not limited to,

customer travel management systems to manage customer travel, including without limitation the

kiosks and network services platform.



7

Case 1:11-cv-00834-SLR Document 1 Filed 09/15/11 Page 8 of 15 PageID #: 8

40.

On information and belief, defendant Marriott, Starwood, ICH, Hyatt, and Hilton

have infringed one or more claims of the '676 patent, including at least claim 1, literally and

under the doctrine of equivalents, by making, using, selling, offering to sell, or importing form-

driven systems for entering transaction data into a remote database, including but not limited to

customer lodging services system, including kiosks used to check-in and check-out guests and

the corresponding network services platform.

41.

On information and belief, defendant Amazon, Pandigital, and Barnes & Noble

have infringed one or more claims of the '676 patent, including at least claim 1, literally and

under the doctrine of equivalents, by making, using, selling, offering to sell, or importing form-

driven systems for entering transaction data into a remote database, including, but not limited to,

Amazon's Kindle e-Reader systems, Pandigital's Novel e-Reader system, and Barnes & Noble's

Nook e-Reader systems.

42.

On information and belief, defendant Sony, and Nintendo have infringed one or

more claims of the '676 patent, including at least claim 1, literally and under the doctrine of

equivalents, by making, using, selling, offering to sell, or importing form-driven systems for

entering transaction data into a remote database, including, but not limited to, handheld gaming

consoles, including the Sony PSP, and Nintendo DS.

43.

44.

Defendants committed these acts of infringement without license or authorization.

As a result of defendants' infringement of the '676 patent, LVL has suffered

monetary damages in an amount not yet determined, and will continue to suffer damages in the

future unless defendants' infringing activities are enjoined by this Court.

45.

LVL has suffered and will continue to suffer severe and irreparable harm unless

this Court issues a permanent injunction prohibiting defendants, their agents, servants,

employees, representatives, and all others acting in active concert therewith from infringing the

'676 patent.



8

Case 1:11-cv-00834-SLR Document 1 Filed 09/15/11 Page 9 of 15 PageID #: 9

COUNT II

(Infringement of U.S. Patent No. 5,987,103)

46.

LVL is the owner by assignment of United States Patent No. 5,987,103 (the "'103

patent"), entitled "Telephone/Transaction Entry Device and System for Entering Transaction

Data Into Databases." The '103 patent issued on November 16, 1999. A true and correct copy of

the '103 patent is attached hereto as Exhibit B.

47.

On information and belief, defendants FedEx, UPS, and DHL have infringed one

or more claims of the '103 patent, including at least claim 1, literally and under the doctrine of

equivalents, by making, using, selling, offering to sell, or importing a data transaction system

including a console with a form driven operating system that transmits data from a form

presented to a user over a transmission medium to a server that stores the data, including, but not

limited to, systems used for processing and tracking packages.

48.

On information and belief, defendant Motorola has infringed one or more claims

of the '103 patent, including at least claim 1, literally and under the doctrine of equivalents, by

making, using, selling, offering to sell, or importing a data transaction system including a

console with a form driven operating system that transmits data from a form presented to a user

over a transmission medium to a server that stores the data, including, but not limited to, systems

used for inventory management purposes.

49.

On information and belief, defendant Garmin and Magellan have infringed one or

more claims of the '103 patent, including at least claim 1, literally and under the doctrine of

equivalents, by making, using, selling, offering to sell, or importing a data transaction system

including a console with a form driven operating system that transmits data from a form

presented to a user over a transmission medium to a server that stores the data, including, but not

limited to, 3G-enabled geographic navigation systems.

50.

On information and belief, defendant Verifone, Hypercom, Ingenico Corp.,

Ingenico Inc., and First Data have infringed one or more claims of the '103 patent, including at

least claim 1, literally and under the doctrine of equivalents, by making, using, selling, offering



9

Case 1:11-cv-00834-SLR Document 1 Filed 09/15/11 Page 10 of 15 PageID #: 10

to sell, or importing a data transaction system including a console with a form driven operating

system that transmits data from a form presented to a user over a transmission medium to a

server that stores the data, including but not limited to payment processing system, including the

terminals and servers.

51.

On information and belief, defendant Delta Airlines, United Airlines, Southwest

Airlines, American Airlines, US Airways, Air Canada, AirTran Airways, and JetBlue have

infringed one or more claims of the '103 patent, including at least claim 1, literally and under the

doctrine of equivalents, by making, using, selling, offering to sell, or importing a data transaction

system including a console with a form driven operating system that transmits data from a form

presented to a user over a transmission medium to a server that stores the data, including but not

limited to customer travel management systems to manage customer travel, including without

limitation the kiosks and network services platform.

52.

On information and belief, defendant Marriott, Starwood, ICH, Hyatt, and Hilton

have infringed one or more claims of the '103 patent, including at least claim 1, literally and

under the doctrine of equivalents, by making, using, selling, offering to sell, or importing a data

transaction system including a console with a form driven operating system that transmits data

from a form presented to a user over a transmission medium to a server that stores the data,

including but not limited to customer lodging services system, including kiosks used to check-in

and check-out guests and the corresponding network services platform.

53.

On information and belief, defendant Amazon, Pandigital, and Barnes & Noble

have infringed one or more claims of the '103 patent, including at least claim 1, literally and

under the doctrine of equivalents, by making, using, selling, offering to sell, or importing a data

transaction system including a console with a form driven operating system that transmits data

from a form presented to a user over a transmission medium to a server that stores the data,

including, but not limited to, Amazon's Kindle e-Reader systems, Pandigital's Novel e-Reader

system, and Barnes & Noble's Nook e-Reader systems.

54.

On information and belief, defendant Sony, and Nintendo have infringed one or



10

Case 1:11-cv-00834-SLR Document 1 Filed 09/15/11 Page 11 of 15 PageID #: 11

more claims of the '103 patent, including at least claim 1, literally and under the doctrine of

equivalents, by making, using, selling, offering to sell, or importing a data transaction system

including a console with a form driven operating system that transmits data from a form

presented to a user over a transmission medium to a server that stores the data, including, but not

limited to, handheld gaming consoles, including the Sony PSP, and Nintendo DS.

55.

56.

Defendants committed these acts of infringement without license or authorization.

As a result of defendants' infringement of the '103 patent, LVL has suffered

monetary damages in an amount not yet determined, and will continue to suffer damages in the

future unless defendants' infringing activities are enjoined by this Court.

57.

LVL has suffered and will continue to suffer severe and irreparable harm unless

this Court issues a permanent injunction prohibiting defendants, their agents, servants,

employees, representatives, and all others acting in active concert therewith from infringing the

'103 patent.

COUNT III

(Infringement of U.S. Patent No. 6,044,382)

58.

LVL is the owner by assignment of United States Patent No. 6,044,382 (the "'382

patent"), entitled "Data Transaction Assembly Server." The '382 patent issued on March 28,

2000. A true and correct copy of the '382 patent is attached hereto as Exhibit C.

59.

On information and belief, defendants FedEx, UPS, and DHL have infringed one

or more claims of the '382 patent, including at least claims 1 and 19, literally and under the

doctrine of equivalents, by making, using, selling, offering to sell, or importing a data transaction

system comprising a console with a form driven operating system that transmits data from a form

presented to a user over a transmission medium to a server that processes the data to either

forward the data to another server or to provide data back to the console, including but, not

limited to, systems used for processing and tracking packages.

60.

On information and belief, defendant Motorola has infringed one or more claims

of the '382 patent, including at least claims 1 and 19, literally and under the doctrine of



11

Case 1:11-cv-00834-SLR Document 1 Filed 09/15/11 Page 12 of 15 PageID #: 12

equivalents, by making, using, selling, offering to sell, or importing a data transaction system

comprising a console with a form driven operating system that transmits data from a form

presented to a user over a transmission medium to a server that processes the data to either

forward the data to another server or to provide data back to the console, including, but not

limited to, systems used for inventory management purposes.

61.

On information and belief, defendant Garmin and Magellan have infringed one or

more claims of the '382 patent, including at least claims 1 and 19, literally and under the doctrine

of equivalents, by making, using, selling, offering to sell, or importing a data transaction system

comprising a console with a form driven operating system that transmits data from a form

presented to a user over a transmission medium to a server that processes the data to either

forward the data to another server or to provide data back to the console, including, but not

limited to, 3G-enabled geographic navigation systems.

62.

On information and belief, defendant Verifone, Hypercom, Ingenico Corp.,

Ingenico Inc., and First Data have infringed one or more claims of the '382 patent, including at

least claims 1 and 19, literally and under the doctrine of equivalents, by making, using, selling,

offering to sell, or importing a data transaction system comprising a console with a form driven

operating system that transmits data from a form presented to a user over a transmission medium

to a server that processes the data to either forward the data to another server or to provide data

back to the console, including, but not limited to, payment processing system, including the

terminals and servers.

63.

On information and belief, defendant Delta Airlines, United Airlines, Southwest

Airlines, American Airlines, US Airways, Air Canada, AirTran Airways, and JetBlue have

infringed one or more claims of the '382 patent, including at least claims 1 and 19, literally and

under the doctrine of equivalents, by making, using, selling, offering to sell, or importing a data

transaction system comprising a console with a form driven operating system that transmits data

from a form presented to a user over a transmission medium to a server that processes the data to

either forward the data to another server or to provide data back to the console, including but not



12

Case 1:11-cv-00834-SLR Document 1 Filed 09/15/11 Page 13 of 15 PageID #: 13

limited to customer travel management systems to manage customer travel, including without

limitation the kiosks and network services platform.

64.

On information and belief, defendant Marriott, Starwood, ICH, Hyatt, and Hilton

have infringed one or more claims of the '382 patent, including at least claims 1 and 19, literally

and under the doctrine of equivalents, by making, using, selling, offering to sell, or importing a

data transaction system comprising a console with a form driven operating system that transmits

data from a form presented to a user over a transmission medium to a server that processes the

data to either forward the data to another server or to provide data back to the console, including

but not limited customer lodging services system, including kiosks used to check-in and check-

out guests and the corresponding network services platform.

65.

On information and belief, defendant Amazon, Pandigital, and Barnes & Noble

have infringed one or more claims of the '382 patent, including at least claims 1 and 19, literally

and under the doctrine of equivalents, by making, using, selling, offering to sell, or importing a

data transaction system comprising a console with a form driven operating system that transmits

data from a form presented to a user over a transmission medium to a server that processes the

data to either forward the data to another server or to provide data back to the console, including,

but not limited to, Amazon's Kindle e-Reader systems, Pandigital's Novel e-Reader system, and

Barnes & Noble's Nook e-Reader systems.

66.

On information and belief, defendant Sony, and Nintendo have infringed one or

more claims of the '382 patent, including at least claims 1 and 19, literally and under the doctrine

of equivalents, by making, using, selling, offering to sell, or importing a data transaction system

comprising a console with a form driven operating system that transmits data from a form

presented to a user over a transmission medium to a server that processes the data to either

forward the data to another server or to provide data back to the console, including, but not

limited to, handheld gaming consoles, including the Sony PSP, and Nintendo DS.



13

Case 1:11-cv-00834-SLR Document 1 Filed 09/15/11 Page 14 of 15 PageID #: 14

67.

As a result of defendants' infringement of the '382 patent, LVL has suffered

monetary damages in an amount not yet determined, and will continue to suffer damages in the

future unless defendants' infringing activities are enjoined by this Court.

68.

LVL has suffered and will continue to suffer severe and irreparable harm unless

this Court issues a permanent injunction prohibiting defendants, their agents, servants,

employees, representatives, and all others acting in active concert therewith from infringing the

'382 patent.

PRAYER FOR RELIEF

LVL prays for the following relief:

1.

A judgment that each defendant has infringed (either literally or under the

doctrine of equivalents) one or more claims of the Asserted Patents;

2.

A permanent injunction enjoining each defendants and its officers, directors,

agents, servants, affiliates, employees, divisions, branches, subsidiaries, parents, and all others

acting in active concert or participation with them, from infringing the Asserted Patents;

3.

An award of damages resulting from each defendant's acts of infringement in

accordance with 35 U.S.C. § 284;

4.

A judgment and order finding that this is an exceptional case within the meaning

of 35 U.S.C. § 285 and awarding to LVL its reasonable attorneys' fees against each defendant;

5.

A judgment and order requiring defendants to provide an accounting and to pay

supplemental damages to LVL, including without limitation, pre-judgment and post-judgment

interest; and

6.

Any and all other relief to which LVL may show itself to be entitled.



14

Case 1:11-cv-00834-SLR Document 1 Filed 09/15/11 Page 15 of 15 PageID #: 15

DEMAND FOR JURY TRIAL

LVL demands a trial by jury on all issues so triable.




September 15, 2011




Of Counsel:

Marc A. Fenster
Russ, August & Kabat
12424 Wilshire Boulevard, 12th Floor
Los Angeles, CA 90025-1031
(310) 826-7474
[email protected]






BAYARD, P.A.

/s/ Richard D. Kirk
Richard D. Kirk (rk0922)
Stephen B. Brauerman (sb4952)
222 Delaware Avenue, Suite 900
Wilmington, DE 19801
(302) 655-5000
[email protected]
[email protected]

Attorneys for Plaintiff,
LVL Patent Group, LLC



15