https://bit.ly/2MniNGo IMO- Note below will make
Post# of 82672
Note : Settlement Discussion happened immediately right after RG filed their response http://jmp.sh/q8h38lt on 06/04/18 . Is SA concerned with Treble Damages? or $200m they raised via KA that paved the way for merger with core?
SA's fight is on to avoid TREBLE DAMAGES/3X for willful, and deliberate infringement. Today's Pre-School security argument was a final nail in the coffin. 05/21/18 and than the counting begins....
Quote:
#42. Upon information and belief, SecureAuth’s past and ongoing infringement of the ’599 patent has been and continues to be with full knowledge of the ’599 patent and SecureAuth’s infringement thereof, at least as of the filing date of this Complaint. SecureAuth’s knowing, willful, and deliberate infringement of one or more claims of the ’599 patent, including at least claim 1, in conscious disregard of StrikeForce’s rights makes this case exceptional within the meaning of 35 U.S.C. § 285 and justifies treble damages pursuant to 35 U.S.C. § 284.
#57. Upon information and belief, SecureAuth’s past and ongoing infringement of the ’698 patent has been and continues to be with full knowledge of the ’698 patent and SecureAuth’s infringement thereof, at least as of the filing date of this Complaint. SecureAuth’s knowing, willful, and deliberate infringement of one or more claims of the ’698 patent, including at least claim 1, in conscious disregard of StrikeForce’s rights makes this case exceptional within the meaning of 35 U.S.C. § 285 and justifies treble damages pursuant to 35 U.S.C. § 284.
#72. Upon information and belief, SecureAuth’s past and ongoing infringement of the ’701 patent has been and continues to be with full knowledge of the ’701 patent and SecureAuth’s infringement thereof, at least as of the filing date of this Complaint. SecureAuth’s knowing, willful, and deliberate infringement of one or more claims of the ’701 patent, including at least claim 1, in conscious disregard of StrikeForce’s rights makes this case exceptional within the meaning of 35 U.S.C. § 285 and justifies treble damages pursuant to 35 U.S.C. § 284.
PRAYER FOR RELIEF:
E. Declaring that SecureAuth has willfully infringed the ’599 patent;
G. Declaring that SecureAuth has willfully infringed the ’698 patent;
I. Declaring that SecureAuth has willfully infringed the ’701 patent;
K. Awarding to Plaintiff treble damages for infringement of the ’599, ’698, and ’701 patents as a consequence of SecureAuth’s willful infringement ;
RG/BR is staring at DUO, Centrify, VASCO & Gemalto as well as all of these are being acquired this FALL.