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EXHIBIT A Eolas Technologies Incorporated v. Adobe Systems Incorporated et al Doc. 795 Att. 1 Dockets.Justia.com

Unopposed MOTION FOR LEAVE TO SUPPLEMENT ITS P.R. 3 …2009cv00446/118976/795/1.pdf1 of 67 * Allegation not limited to the browser in use Claim Chart For Staples, Inc Showing Infringement

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Page 2: Unopposed MOTION FOR LEAVE TO SUPPLEMENT ITS P.R. 3 …2009cv00446/118976/795/1.pdf1 of 67 * Allegation not limited to the browser in use Claim Chart For Staples, Inc Showing Infringement

1 of 67 * Allegation not limited to the browser in use

Claim Chart For Staples, Inc Showing Infringement Of The ’985 Patent By Staples’ website*

Claim Claim Language Evidence from Staples’ website

36pre A method for

running an

application program

in a distributed

hypermedia network

environment,

wherein the

distributed

hypermedia network

environment

comprises at least

one client

workstation and one

remote network

server coupled to

the distributed

hypermedia network

environment, the

method comprising:

Users of Staples’ website (www.staples.com), the website itself, and/or the servers hosting that website

(and/or any combination thereof), operate in a hypermedia network environment that includes client

workstations executing browsers which comprises a method for running an application program in a

distributed hypermedia network environment, wherein the distributed hypermedia network environment

comprises at least one client workstation and one remote network server coupled to the distributed

hypermedia network environment, the method comprising of the following claim elements. In addition,

Staples provides the infrastructure (e.g. servers, Staples’ websites, etc.), in addition to instructions to

users, and causes them to use Staples’ websites in an infringing manner in its default and expected use.

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2 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

Source: Webpage at URL http://www.staples.com/

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3 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

Source: Webpage at URL http://www.staples.com/Staples-Multipurpose-Paper-8-1-2-x-14-

Case/product_562784?cmArea=SEARCH

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4 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

Source: http://www.staples.com/

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5 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

Source: http://www.staples.com/Staples-Multipurpose-Paper-8-1-2-x-14-

Case/product_562784?cmArea=SEARCH

Page 7: Unopposed MOTION FOR LEAVE TO SUPPLEMENT ITS P.R. 3 …2009cv00446/118976/795/1.pdf1 of 67 * Allegation not limited to the browser in use Claim Chart For Staples, Inc Showing Infringement

6 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

Source: Visualware's Visual IP Trace 2009, http://www.visualiptrace.com/index.html

36a receiving, at the

client workstation

Users of Staples’ website, the website itself and/or the servers hosting that website (and/or the

combination thereof), operate in a hypermedia network environment that includes client workstations

Page 8: Unopposed MOTION FOR LEAVE TO SUPPLEMENT ITS P.R. 3 …2009cv00446/118976/795/1.pdf1 of 67 * Allegation not limited to the browser in use Claim Chart For Staples, Inc Showing Infringement

7 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

from the network

server over the

distributed

hypermedia network

environment, at

least one file

containing

information to

enable a browser

application to

display at least a

portion of a

distributed

hypermedia

document within a

browser-controlled

window;

executing browsers. Staples’ servers transmit a series of communications to client workstations in the

distributed hypermedia network. Staples’ servers format the communications so that the client

workstation receives, from the network server over the distributed hypermedia network environment, at

least one file containing information to enable a browser application to display at least a portion of a

distributed hypermedia document within a browser-controlled window. In addition, Staples provides the

infrastructure (e.g. servers, Staples’ website, etc.), in addition to instructions to users, and causes them

to use Staples’ website in an infringing manner in its default and expected use.

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8 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

Source: Webpage at URL http://www.Staples.com/

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9 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

Source: Webpage at URL http://www.staples.com/Staples-Multipurpose-Paper-8-1-2-x-14-

Case/product_562784?cmArea=SEARCH

Page 11: Unopposed MOTION FOR LEAVE TO SUPPLEMENT ITS P.R. 3 …2009cv00446/118976/795/1.pdf1 of 67 * Allegation not limited to the browser in use Claim Chart For Staples, Inc Showing Infringement

10 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

Source: http://www.staples.com/

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11 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

Source: http://www.staples.com/Staples-Multipurpose-Paper-8-1-2-x-14-

Case/product_562784?cmArea=SEARCH

<!DOCTYPE html PUBLIC "-//W3C//DTD XHTML 1.0 Transitional//EN" "http://www.w3.org/TR/xhtml1/DTD/xhtml1-transitional.dtd"> <html xmlns="http://www.w3.org/1999/xhtml" xml:lang="en" lang="en">

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12 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

<head> <!-- // --><script language='javascript' type='text/javascript'> <!-- req_1_1308576537=new Image(); req_1_1308576537.src='/__ssobj/ard.png?5620293430795502737_1-1-'+(10131*129165+5922); //--> <!-- // --></script> <title>Office Supplies, Printer Ink, Toner, Electronics, Computers, Printers & Office Furniture | Staples&reg;</title> ... <script src="/sbd/js/jsprops.sjs" type="text/javascript"></script> <script src="/sbd/js/main.js" type="text/javascript"></script> ... </head> <body id="home" > <!-- SiteCatalyst code version: H.21. Copyright 1996-2010 Adobe, Inc. All Rights Reserved More info available at http://www.omniture.com --> <script language="JavaScript" type="text/javascript"> ... <div id="home_box1" class="carousel c04"></div> <div id="home_box2" class="carousel c04"></div>

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13 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

<!-- kickstart the personalization ajax calls --> <script type="text/javascript"> loadPersonalized('/office/supplies/carouselpersonalization?storeId=10001&langId=-1&catalogId=10051&scheme=home_box1;home_box2&skuCount=16;16&pageId=' + resxPageId + '&pageType=' + parsedResxPageTitle); </script> ... </body> </html>

Source: Lines 1-2974, Source code, HTML Document of webpage at URL http://www.staples.com/

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14 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

Source: Webpage at URL http://www.staples.com/

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15 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

Source: Webpage at URL http://www.staples.com/Staples-Multipurpose-Paper-8-1-2-x-14-

Case/product_562784?cmArea=SEARCH

36b executing the

browser application

on the client

Users of Staples’ website, the website itself and/or the servers hosting that website (and/or the

combination thereof), operate in a hypermedia network environment that includes client workstations

executing browsers. Staples’ servers transmit a series of communications to client workstations in the

Page 17: Unopposed MOTION FOR LEAVE TO SUPPLEMENT ITS P.R. 3 …2009cv00446/118976/795/1.pdf1 of 67 * Allegation not limited to the browser in use Claim Chart For Staples, Inc Showing Infringement

16 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

workstation, with

the browser

application:

responding to text

formats to initiate

processing specified

by the text formats;

distributed hypermedia network. Staples’ servers format the communications so that the client

workstation executes a browser application to respond to text formats to initiate processing specified by

the text formats. In addition, Staples provides the infrastructure (e.g. servers, Staples’ website, etc.), in

addition to instructions to users, and causes them to use Staples’ website in an infringing manner in its

default and expected use.

<!DOCTYPE html PUBLIC "-//W3C//DTD XHTML 1.0 Transitional//EN" "http://www.w3.org/TR/xhtml1/DTD/xhtml1-transitional.dtd"> <html xmlns="http://www.w3.org/1999/xhtml" xml:lang="en" lang="en"> <head> <!-- // --><script language='javascript' type='text/javascript'> <!-- req_1_1308576537=new Image(); req_1_1308576537.src='/__ssobj/ard.png?5620293430795502737_1-1-'+(10131*129165+5922); //--> <!-- // --></script> <title>Office Supplies, Printer Ink, Toner, Electronics, Computers, Printers & Office Furniture | Staples&reg;</title> ... <script src="/sbd/js/jsprops.sjs" type="text/javascript"></script> <script src="/sbd/js/main.js" type="text/javascript"></script> ... </head>

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17 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

<body id="home" > <!-- SiteCatalyst code version: H.21. Copyright 1996-2010 Adobe, Inc. All Rights Reserved More info available at http://www.omniture.com --> <script language="JavaScript" type="text/javascript"> ... <div id="home_box1" class="carousel c04"></div> <div id="home_box2" class="carousel c04"></div> <!-- kickstart the personalization ajax calls --> <script type="text/javascript"> loadPersonalized('/office/supplies/carouselpersonalization?storeId=10001&langId=-1&catalogId=10051&scheme=home_box1;home_box2&skuCount=16;16&pageId=' + resxPageId + '&pageType=' + parsedResxPageTitle); </script> ... </body> </html>

Source: Lines 1-2974, Source code, HTML Document of webpage at URL http://www.staples.com/

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18 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

Source: Webpage at URL http://www.Staples.com/

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19 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

Source: Webpage at URL http://www.staples.com/Staples-Multipurpose-Paper-8-1-2-x-14-

Case/product_562784?cmArea=SEARCH

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20 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

Source: Webpage at URL http://www.Staples.com/

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21 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

Source: http://www.staples.com/Staples-Multipurpose-Paper-8-1-2-x-14-

Case/product_562784?cmArea=SEARCH

36c displaying at least a

portion of the

document within the

browser-controlled

Users of Staples’ website, the website itself and/or the servers hosting that website (and/or the

combination thereof), operate in a hypermedia network environment that includes client workstations

executing browsers. Staples’ servers transmit a series of communications to client workstations in the

distributed hypermedia network. Staples’ servers format the communications so that the client

Page 23: Unopposed MOTION FOR LEAVE TO SUPPLEMENT ITS P.R. 3 …2009cv00446/118976/795/1.pdf1 of 67 * Allegation not limited to the browser in use Claim Chart For Staples, Inc Showing Infringement

22 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

window;

workstation executes a browser application to display at least a portion of the document within the

browser-controlled window. In addition, Staples provides the infrastructure (e.g. servers, Staples’

website, etc.), in addition to instructions to users, and causes them to use Staples’ website in an

infringing manner in its default and expected use.

Page 24: Unopposed MOTION FOR LEAVE TO SUPPLEMENT ITS P.R. 3 …2009cv00446/118976/795/1.pdf1 of 67 * Allegation not limited to the browser in use Claim Chart For Staples, Inc Showing Infringement

23 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

Source: Webpage at URL http://www.staples.com/

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Claim Claim Language Evidence from Staples’ website

Source: Webpage at URL http://www.staples.com/Staples-Multipurpose-Paper-8-1-2-x-14-

Case/product_562784?cmArea=SEARCH

36d identifying an

embed text format

which corresponds

to a first location in

Users of Staples’ website, the website itself and/or the servers hosting that website (and/or the

combination thereof), operate in a hypermedia network environment that includes client workstations

executing browsers. Staples’ servers transmit a series of communications to client workstations in the

distributed hypermedia network. Staples’ servers format the communications so that the client

Page 26: Unopposed MOTION FOR LEAVE TO SUPPLEMENT ITS P.R. 3 …2009cv00446/118976/795/1.pdf1 of 67 * Allegation not limited to the browser in use Claim Chart For Staples, Inc Showing Infringement

25 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

the document,

where the embed

text format specifies

the location of at

least a portion of an

object;

workstation executes a browser application to identify an embed text format which corresponds to a first

location in the document, where the embed text format specifies the location of at least portion of an

object. In addition, Staples provides the infrastructure (e.g. servers, Staples’ website, etc.), in addition

to instructions to users, and causes them to use Staples’ website in an infringing manner in its default

and expected use.

<!DOCTYPE html PUBLIC "-//W3C//DTD XHTML 1.0 Transitional//EN" "http://www.w3.org/TR/xhtml1/DTD/xhtml1-transitional.dtd"> <html xmlns="http://www.w3.org/1999/xhtml" xml:lang="en" lang="en"> <head> <!-- // --><script language='javascript' type='text/javascript'> <!-- req_1_1308576537=new Image(); req_1_1308576537.src='/__ssobj/ard.png?5620293430795502737_1-1-'+(10131*129165+5922); //--> <!-- // --></script> <title>Office Supplies, Printer Ink, Toner, Electronics, Computers, Printers & Office Furniture | Staples&reg;</title> ... <script src="/sbd/js/jsprops.sjs" type="text/javascript"></script> <script src="/sbd/js/main.js" type="text/javascript"></script> ... </head>

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26 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

<body id="home" > <!-- SiteCatalyst code version: H.21. Copyright 1996-2010 Adobe, Inc. All Rights Reserved More info available at http://www.omniture.com --> <script language="JavaScript" type="text/javascript"> ... <div id="home_box1" class="carousel c04"></div> <div id="home_box2" class="carousel c04"></div> <!-- kickstart the personalization ajax calls --> <script type="text/javascript"> loadPersonalized('/office/supplies/carouselpersonalization?storeId=10001&langId=-1&catalogId=10051&scheme=home_box1;home_box2&skuCount=16;16&pageId=' + resxPageId + '&pageType=' + parsedResxPageTitle); </script> ... </body> </html>

Source: Lines 1-2974, Source code, HTML Document of webpage at URL http://www.staples.com/

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27 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

function loadPersonalized(a) { if (!personalizationLoaded) { personalizationUrlStr = a; document.write("<scr" + 'ipt src="/sbd/js/personalization.js" type="text/javascript"></scr' + "ipt>"); personalizationLoaded = true; } else { loadPersonalized_worker(a); } }

Source: Lines 1087-1095, Source code, HTML Document of webpage at URL

http://www.staples.com/sbd/js/main.js

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28 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

Source: Webpage at URL http://www.staples.com/

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Claim Claim Language Evidence from Staples’ website

Source: Webpage at URL http://www.staples.com/Staples-Multipurpose-Paper-8-1-2-x-14-

Case/product_562784?cmArea=SEARCH

36e identifying and

locating an

executable

application

Users of Staples’ website, the website itself and/or the servers hosting that website (and/or the

combination thereof), operate in a hypermedia network environment that includes client workstations

executing browsers. Staples’ servers transmit a series of communications to client workstations in the

distributed hypermedia network. Staples’ servers format the communications so that the client

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Claim Claim Language Evidence from Staples’ website

associated with the

object; and

workstation executes a browser application that identifies and locates an executable application

associated with the object. In addition, Staples provides the infrastructure (e.g. servers, Staples’

website, etc.), in addition to instructions to users, and causes them to use Staples’ website in an

infringing manner in its default and expected use.

<!DOCTYPE html PUBLIC "-//W3C//DTD XHTML 1.0 Transitional//EN" "http://www.w3.org/TR/xhtml1/DTD/xhtml1-transitional.dtd"> <html xmlns="http://www.w3.org/1999/xhtml" xml:lang="en" lang="en"> <head> <!-- // --><script language='javascript' type='text/javascript'> <!-- req_1_1308576537=new Image(); req_1_1308576537.src='/__ssobj/ard.png?5620293430795502737_1-1-'+(10131*129165+5922); //--> <!-- // --></script> <title>Office Supplies, Printer Ink, Toner, Electronics, Computers, Printers & Office Furniture | Staples&reg;</title> ... <script src="/sbd/js/jsprops.sjs" type="text/javascript"></script> <script src="/sbd/js/main.js" type="text/javascript"></script> ... </head> <body id="home" >

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Claim Claim Language Evidence from Staples’ website

<!-- SiteCatalyst code version: H.21. Copyright 1996-2010 Adobe, Inc. All Rights Reserved More info available at http://www.omniture.com --> <script language="JavaScript" type="text/javascript"> ... <div id="home_box1" class="carousel c04"></div> <div id="home_box2" class="carousel c04"></div> <!-- kickstart the personalization ajax calls --> <script type="text/javascript"> loadPersonalized('/office/supplies/carouselpersonalization?storeId=10001&langId=-1&catalogId=10051&scheme=home_box1;home_box2&skuCount=16;16&pageId=' + resxPageId + '&pageType=' + parsedResxPageTitle); </script> ... </body> </html>

Source: Lines 1-2974, Source code, HTML Document of webpage at URL http://www.staples.com/

function loadPersonalized(a) { if (!personalizationLoaded) { personalizationUrlStr = a;

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Claim Claim Language Evidence from Staples’ website

document.write("<scr" + 'ipt src="/sbd/js/personalization.js" type="text/javascript"></scr' + "ipt>"); personalizationLoaded = true; } else { loadPersonalized_worker(a); } }

Source: Lines 1087-1095, Source code, HTML Document of webpage at URL

http://www.staples.com/sbd/js/main.js

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Claim Claim Language Evidence from Staples’ website

36f automatically

invoking the

executable

application, in

response to the

identifying of the

embed text format,

in order to enable

an end-user to

directly interact with

the object, while the

object is being

displayed within a

display area created

at the first location

within the portion of

the hypermedia

document being

displayed in the

browser-controlled

window,

Users of Staples’ website, the website itself and/or the servers hosting that website (and/or the

combination thereof), operate in a hypermedia network environment that includes client workstations

executing browsers. Staples’ servers transmit a series of communications to client workstations in the

distributed hypermedia network. Staples’ servers format the communications so that the client

workstation executes a browser application which automatically invokes the executable application, in

response to the identifying of the embed text format, in order to enable an end-user to directly interact

with the object, while the object is being displayed within a display area created at the first location

within the portion of the hypermedia document being displayed in the browser-controlled window. In

addition, Staples provides the infrastructure (e.g. servers, Staples’ website, etc.), in addition to

instructions to users, and causes them to use Staples’ website in an infringing manner in its default and

expected use.

<!DOCTYPE html PUBLIC "-//W3C//DTD XHTML 1.0 Transitional//EN" "http://www.w3.org/TR/xhtml1/DTD/xhtml1-transitional.dtd"> <html xmlns="http://www.w3.org/1999/xhtml" xml:lang="en" lang="en"> <head> <!-- // --><script language='javascript' type='text/javascript'> <!-- req_1_1308576537=new Image(); req_1_1308576537.src='/__ssobj/ard.png?5620293430795502737_1-1-'+(10131*129165+5922); //--> <!-- // --></script>

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Claim Claim Language Evidence from Staples’ website

<title>Office Supplies, Printer Ink, Toner, Electronics, Computers, Printers & Office Furniture | Staples&reg;</title> ... <script src="/sbd/js/jsprops.sjs" type="text/javascript"></script> <script src="/sbd/js/main.js" type="text/javascript"></script> ... </head> <body id="home" > <!-- SiteCatalyst code version: H.21. Copyright 1996-2010 Adobe, Inc. All Rights Reserved More info available at http://www.omniture.com --> <script language="JavaScript" type="text/javascript"> ... <div id="home_box1" class="carousel c04"></div> <div id="home_box2" class="carousel c04"></div> <!-- kickstart the personalization ajax calls --> <script type="text/javascript"> loadPersonalized('/office/supplies/carouselpersonalization?storeId=10001&langId=-1&catalogId=10051&scheme=home_box1;home_box2&skuCount=16;16&pageId=' + resxPageId + '&pageType=' + parsedResxPageTitle); </script>

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Claim Claim Language Evidence from Staples’ website

... </body> </html>

Source: Lines 1-2974, Source code, HTML Document of webpage at URL http://www.staples.com/

function loadPersonalized(a) { if (!personalizationLoaded) { personalizationUrlStr = a; document.write("<scr" + 'ipt src="/sbd/js/personalization.js" type="text/javascript"></scr' + "ipt>"); personalizationLoaded = true; } else { loadPersonalized_worker(a); } }

Source: Lines 1087-1095, Source code, HTML Document of webpage at URL

http://www.staples.com/sbd/js/main.js

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Claim Claim Language Evidence from Staples’ website

Source: Webpage at URL http://www.staples.com/

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37 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

Source: Webpage at URL http://www.staples.com/Staples-Multipurpose-Paper-8-1-2-x-14-

Case/product_562784?cmArea=SEARCH

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38 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

Source: Webpage at URL http://www.staples.com/

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39 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

Source: Webpage at URL http://www.staples.com/Staples-Multipurpose-Paper-8-1-2-x-14-

Case/product_562784?cmArea=SEARCH

GET /office/supplies/carouselpersonalization?storeId=10001&langId=-

1&catalogId=10051&scheme=home_box1;home_box2&skuCount=16;16&pageId=res11062018

27066429369456&pageType=Office%20Supplies%2C%20Printer%20Ink%2C%20Toner%2C%20E

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40 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

lectronics%2C%20Computers%2C%20Printers%20%26%20Office%20Furniture HTTP/1.1

Host: www.staples.com

User-Agent: Mozilla/5.0 (Windows; U; Windows NT 5.1; en-US; rv:1.9.2.17)

Gecko/20110420 Firefox/3.6.17 (.NET CLR 3.5.30729)

Accept: application/xml, text/xml, */*

Accept-Language: en-us,en;q=0.5

Accept-Encoding: gzip,deflate

Accept-Charset: ISO-8859-1,utf-8;q=0.7,*;q=0.7

Keep-Alive: 115

Connection: keep-alive

X-Requested-With: XMLHttpRequest

Referer: http://www.staples.com/

Cookie: sslb=B;

SSID=BQAanxsAAAAAUAAZS_9NkQQHBBlL_00BAAAAAAAAAAAAGUv_TQCQAAAAlgAAAIQAAAB-

AAAAhQAAAJEAAAB7AAAAlQAAAHcAAAB4AAAAiwAAAI4AAACCAAAAjwAAAHYAAACIAAAAlAAAAIcAAA

B8AAAAegAAAA; SSSC=1.G5620293430795502737.1|0.0; SSRT=GUv_TQE;

SSPV=EMAAAAAAAAAAAAAAAAAAAAAAAAEAAAAAAAA;

JSESSIONID=0000tN0vy5X4bZiJtKB7Bl8DL24:158g0khdc; HasSession=true;

WC_SESSION_ESTABLISHED=true; WC_ACTIVEPOINTER=%2d1%2c10001; WC_USERACTIVITY_-

1002=%2d1002%2c10001%2cnull%2cnull%2cnull%2cnull%2cnull%2cnull%2cnull%2cnull%2

cv0xJGUE9kOBAwyjpe2hiJR42my%2fstZS3pWVGzG3jj4nizXBzkY4BIlRvIhY5cHctFBuVTcTKv8R

n%0auyo291GhC%2fS7kaZDn660yv1KTpt9%2bVOlgcQzokqT9ivbYFE9FnZpiupElWYd6I4%3d;

WC_GENERIC_ACTIVITYDATA=[180533561%3atrue%3afalse%3a0%3a1Mk63KNNO7P0%2bry5ZO6P

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41 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

hfeJ1w8%3d][com.ibm.commerce.context.audit.AuditContext|null][com.ibm.commerce

.store.facade.server.context.StoreGeoCodeContext|null%26null%26null%26null%26n

ull%26null][CTXSETNAME|Store][com.ibm.commerce.context.globalization.Globaliza

tionContext|%2d1%26USD%26%2d1%26USD][com.ibm.commerce.catalog.businesscontext.

CatalogContext|10051%26null%26false%26false%26false][com.ibm.commerce.context.

base.BaseContext|10001%26%2d1002%26%2d1002%26%2d1][com.ibm.commerce.context.ex

periment.ExperimentContext|null][com.ibm.commerce.context.entitlement.Entitlem

entContext|10002%2610002%26null%26%2d2000%26null%26null%26null];

stop_mobi=yes; RES_TRACKINGID=970376509022641; RES_SESSIONID=630241963928865;

ResonanceSegment=2; mbox=check#true#1308576609|session#1308576548990-

978614#1308578409|PC#1308576548990-978614.18#1309786150;

X21P=3NEznMCGw0GRe2eF00vSLfXtgFpa9uu-j-9JFpcCpGODn2fiPH6djZQ

Pragma: no-cache

Source: Request sent to

http://www.staples.com/office/supplies/carouselpersonalization?storeId=10001&langId=-

1&catalogId=10051&scheme=home_box1;home_box2&skuCount=16;16&pageId=res11062018270664

29369456&pageType=Office%20Supplies%2C%20Printer%20Ink%2C%20Toner%2C%20Electronics%2

C%20Computers%2C%20Printers%20%26%20Office%20Furniture, captured using Fiddler debugging

tool

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42 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

Source: Webpage at URL http://www.staples.com/

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43 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

Source: Webpage at URL http://www.staples.com/Staples-Multipurpose-Paper-8-1-2-x-14-

Case/product_562784?cmArea=SEARCH

36g wherein the

executable

application is part of

a distributed

Users of Staples’ website, the website itself and/or the servers hosting that website (and/or the

combination thereof), operate in a hypermedia network environment that includes client workstations

executing browsers. The executable application is part of a distributed application, and wherein at least

a portion of the distributed application is for execution on a remote network server coupled to the

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44 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

application, and

wherein at least a

portion of the

distributed

application is for

execution on a

remote network

server coupled to

the distributed

hypermedia network

environment.

distributed hypermedia network environment. In addition, Staples provides the infrastructure (e.g.

servers, Staples’ website, etc.), in addition to instructions to users, and causes them to use Staples’

website in an infringing manner in its default and expected use.

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45 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

Source: Webpage at URL http://www.staples.com/

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46 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

Source: Webpage at URL http://www.staples.com/Staples-Multipurpose-Paper-8-1-2-x-14-

Case/product_562784?cmArea=SEARCH

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47 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

Source: Webpage at URL http://www.staples.com/

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48 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

Source: Webpage at URL http://www.staples.com/Staples-Multipurpose-Paper-8-1-2-x-14-

Case/product_562784?cmArea=SEARCH

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49 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

Source: Webpage at URL http://www.staples.com/

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50 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

Source: Webpage at URL http://www.staples.com/Staples-Multipurpose-Paper-8-1-2-x-14-

Case/product_562784?cmArea=SEARCH

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51 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

GET /office/supplies/carouselpersonalization?storeId=10001&langId=-

1&catalogId=10051&scheme=home_box1;home_box2&skuCount=16;16&pageId=res11062018

27066429369456&pageType=Office%20Supplies%2C%20Printer%20Ink%2C%20Toner%2C%20E

lectronics%2C%20Computers%2C%20Printers%20%26%20Office%20Furniture HTTP/1.1

Host: www.staples.com

User-Agent: Mozilla/5.0 (Windows; U; Windows NT 5.1; en-US; rv:1.9.2.17)

Gecko/20110420 Firefox/3.6.17 (.NET CLR 3.5.30729)

Accept: application/xml, text/xml, */*

Accept-Language: en-us,en;q=0.5

Accept-Encoding: gzip,deflate

Accept-Charset: ISO-8859-1,utf-8;q=0.7,*;q=0.7

Keep-Alive: 115

Connection: keep-alive

X-Requested-With: XMLHttpRequest

Referer: http://www.staples.com/

Cookie: sslb=B;

SSID=BQAanxsAAAAAUAAZS_9NkQQHBBlL_00BAAAAAAAAAAAAGUv_TQCQAAAAlgAAAIQAAAB-

AAAAhQAAAJEAAAB7AAAAlQAAAHcAAAB4AAAAiwAAAI4AAACCAAAAjwAAAHYAAACIAAAAlAAAAIcAAA

B8AAAAegAAAA; SSSC=1.G5620293430795502737.1|0.0; SSRT=GUv_TQE;

SSPV=EMAAAAAAAAAAAAAAAAAAAAAAAAEAAAAAAAA;

JSESSIONID=0000tN0vy5X4bZiJtKB7Bl8DL24:158g0khdc; HasSession=true;

WC_SESSION_ESTABLISHED=true; WC_ACTIVEPOINTER=%2d1%2c10001; WC_USERACTIVITY_-

1002=%2d1002%2c10001%2cnull%2cnull%2cnull%2cnull%2cnull%2cnull%2cnull%2cnull%2

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52 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

cv0xJGUE9kOBAwyjpe2hiJR42my%2fstZS3pWVGzG3jj4nizXBzkY4BIlRvIhY5cHctFBuVTcTKv8R

n%0auyo291GhC%2fS7kaZDn660yv1KTpt9%2bVOlgcQzokqT9ivbYFE9FnZpiupElWYd6I4%3d;

WC_GENERIC_ACTIVITYDATA=[180533561%3atrue%3afalse%3a0%3a1Mk63KNNO7P0%2bry5ZO6P

hfeJ1w8%3d][com.ibm.commerce.context.audit.AuditContext|null][com.ibm.commerce

.store.facade.server.context.StoreGeoCodeContext|null%26null%26null%26null%26n

ull%26null][CTXSETNAME|Store][com.ibm.commerce.context.globalization.Globaliza

tionContext|%2d1%26USD%26%2d1%26USD][com.ibm.commerce.catalog.businesscontext.

CatalogContext|10051%26null%26false%26false%26false][com.ibm.commerce.context.

base.BaseContext|10001%26%2d1002%26%2d1002%26%2d1][com.ibm.commerce.context.ex

periment.ExperimentContext|null][com.ibm.commerce.context.entitlement.Entitlem

entContext|10002%2610002%26null%26%2d2000%26null%26null%26null];

stop_mobi=yes; RES_TRACKINGID=970376509022641; RES_SESSIONID=630241963928865;

ResonanceSegment=2; mbox=check#true#1308576609|session#1308576548990-

978614#1308578409|PC#1308576548990-978614.18#1309786150;

X21P=3NEznMCGw0GRe2eF00vSLfXtgFpa9uu-j-9JFpcCpGODn2fiPH6djZQ

Pragma: no-cache

Source: Request sent to

http://www.staples.com/office/supplies/carouselpersonalization?storeId=10001&langId=-

1&catalogId=10051&scheme=home_box1;home_box2&skuCount=16;16&pageId=res11062018270664

29369456&pageType=Office%20Supplies%2C%20Printer%20Ink%2C%20Toner%2C%20Electronics%2

C%20Computers%2C%20Printers%20%26%20Office%20Furniture, captured using Fiddler debugging

tool

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53 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

37 The method of claim

36 where: the

information to

enable comprises

text formats.

Users of Staples’ website, the website itself and/or the servers hosting that website (and/or the

combination thereof) further comprises the method of claim 36 where: the information to enable

comprises text formats. In addition, Staples provides the infrastructure (e.g. servers, Staples’ website,

etc.), in addition to instructions to users, and causes them to use Staples’ website in an infringing

manner in its default and expected use.

See the evidence and information cited for claim elements 36pre, 36a, and 36b supra which is expressly

incorporated herein.

38 The method of claim

37 where: the text

formats are HTML

tags.

Users of Staples’ website, the website itself and/or the servers hosting that website (and/or the

combination thereof) further comprises the method of claim 37 where: the text formats are HTML tags.

In addition, Staples provides the infrastructure (e.g. servers, Staples’ website, etc.), in addition to

instructions to users, and causes them to use Staples’ website in an infringing manner in its default and

expected use.

See the evidence and information cited for claim elements 36pre, 36a, and 36b supra which is expressly

incorporated herein.

39 The method of claim

36 where: the

information

contained in the file

received comprises

at least one embed

Users of Staples’ website, the website itself and/or the servers hosting that website (and/or the

combination thereof) further comprises the method of claim 36 where: the information contained in the

file received comprises at least one embed text format. In addition, Staples provides the infrastructure

(e.g. servers, Staples’ website, etc.), in addition to instructions to users, and causes them to use

Staples’ website in an infringing manner in its default and expected use.

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54 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

text format.

See the evidence and information cited for claim elements 36pre, 36a, 36b and 36d supra which is

expressly incorporated herein.

40pre A method of serving

digital information in

a computer network

environment having

a network server

coupled to said

computer network

environment, and

where the network

environment is a

distributed

hypermedia network

environment, the

method comprising:

Staples’ website, and/or the servers hosting that website (and/or the combination thereof), operate in a

hypermedia network environment that includes client workstations executing browsers which comprises

a method of serving digital information in a computer network environment having a network server

coupled to said computer network environment, and where the network environment is distributed

hypermedia network environment, the method comprising of the following claim elements. In addition,

Staples provides the infrastructure (e.g. servers, Staples’ website, etc.), in addition to instructions to

users, and causes them to use Staples’ website in an infringing manner in its default and expected use.

See the evidence and information cited for claim element 36pre supra which is expressly incorporated

herein.

40a communicating via

the network server

with at least one

remote client

workstation over

Staples’ website and/or the servers hosting that website (and/or the combination thereof), operate in a

hypermedia network environment that includes client workstations executing browsers. Staples’ servers

communicate over said computer network environment with at least one remote client workstation in

order to cause said client workstation to execute the following claim elements. In addition, Staples

provides the infrastructure (e.g. servers, Staples’ website, etc.), in addition to instructions to users, and

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55 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

said computer

network

environment in

order to cause said

client workstation

to:

causes them to use Staples’ website in an infringing manner in its default and expected use.

See the evidence and information cited for claim elements 36pre, 36a, 36e and 36g supra which is

expressly incorporated herein.

40b receive, over said

computer network

environment from

the network server,

at least one file

containing

information to

enable a browser

application to

display at least a

portion of a

distributed

hypermedia

document within a

browser-controlled

window;

Staples’ website and/or the servers hosting that website (and/or the combination thereof), operate in a

hypermedia network environment that includes client workstations executing browsers. Staples’ servers

transmit a series of communications to client workstations in the distributed hypermedia network.

Staples’ servers format the communications so that the client workstation receives, over said computer

network environment from the network server, at least one file containing information to enable a

browser application to display at least a portion of a distributed hypermedia document within a browser-

controlled window. In addition, Staples provides the infrastructure (e.g. servers, Staples’ website, etc.),

in addition to instructions to users, and causes them to use Staples’ website in an infringing manner in

its default and expected use.

See the evidence and information cited for claim element 36a supra which is expressly incorporated

herein.

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56 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

40c execute, at said

client workstation, a

browser application,

with the browser

application:

responding to text

formats to initiate

processing specified

by the text formats;

Staples’ website and/or the servers hosting that website (and/or the combination thereof), operate in a

hypermedia network environment that includes client workstations executing browsers. Staples’ servers

transmit a series of communications to client workstations in the distributed hypermedia network.

Staples’ servers format the communications so that the client workstation executes at said client

workstation, a browser application, with the browser application responding to text formats to initiate

processing specified by the text formats. In addition, Staples provides the infrastructure (e.g. servers,

Staples’ website, etc.), in addition to instructions to users, and causes them to use Staples’ website in

an infringing manner in its default and expected use.

See the evidence and information cited for claim element 36b supra which is expressly incorporated

herein.

40d displaying, on said

client workstation,

at least a portion of

the document within

the browser-

controlled window;

Staples’ website and/or the servers hosting that website (and/or the combination thereof), operate in a

hypermedia network environment that includes client workstations executing browsers. Staples’ servers

transmit a series of communications to client workstations in the distributed hypermedia network.

Staples’ servers format the communications so that the client workstation executes at said client

workstation, a browser application, with the browser application displaying, on said client workstation,

at least a portion of the document within the browser-controlled window. In addition, Staples provides

the infrastructure (e.g. servers, Staples’ website, etc.), in addition to instructions to users, and causes

them to use Staples’ website in an infringing manner in its default and expected use.

See the evidence and information cited for claim element 36c supra which is expressly incorporated

herein.

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57 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

40e identifying an

embed text format

which corresponds

to a first location in

the document,

where the embed

text format specifies

the location of at

least a portion of an

object;

Staples’ website and/or the servers hosting that website (and/or the combination thereof), operate in a

hypermedia network environment that includes client workstations executing browsers. Staples’ servers

transmit a series of communications to client workstations in the distributed hypermedia network.

Staples’ servers format the communications so that the client workstation executes at said client

workstation, a browser application, with the browser application identifying an embed text format which

corresponds to a first location in the document, where the embed text format specifies the location of at

least a portion of an object. In addition, Staples provides the infrastructure (e.g. servers, Staples’

website, etc.), in addition to instructions to users, and causes them to use Staples’ website in an

infringing manner in its default and expected use.

See the evidence and information cited for claim element 36d supra which is expressly incorporated

herein.

40f identifying and

locating an

executable

application

associated with the

object; and

Staples’ website and/or the servers hosting that website (and/or the combination thereof), operate in a

hypermedia network environment that includes client workstations executing browsers. Staples’ servers

transmit a series of communications to client workstations in the distributed hypermedia network.

Staples’ servers format the communications so that the client workstation executes at said client

workstation, a browser application, with the browser application identifying and locating an executable

application associated with the object. In addition, Staples provides the infrastructure (e.g. servers,

Staples’ website, etc.), in addition to instructions to users, and causes them to use Staples’ website in

an infringing manner in its default and expected use.

See the evidence and information cited for claim element 36e supra which is expressly incorporated

herein.

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58 of 67 * Allegation not limited to the browser in use

Claim Claim Language Evidence from Staples’ website

40g automatically

invoking the

executable

application, in

response to the

identifying of the

embed text format,

in order to enable

an end-user to

directly interact with

the object while the

object is being

displayed within a

display area created

at the first location

within the portion of

the hypermedia

document being

displayed in the

browser-controlled

window,

Staples’ website and/or the servers hosting that website (and/or the combination thereof), operate in a

hypermedia network environment that includes client workstations executing browsers. Staples’ servers

transmit a series of communications to client workstations in the distributed hypermedia network.

Staples’ servers format the communications so that the client workstation executes at said client

workstation, a browser application, with the browser application automatically invoking the executable

application in response to the identifying of the embed text format, in order to enable an end-user to

directly interact with the object while the object is being displayed within a display area created at the

first location within the portion of the hypermedia document being displayed in the browser-controlled

window. In addition, Staples provides the infrastructure (e.g. servers, Staples’ website, etc.), in addition

to instructions to users, and causes them to use Staples’ website in an infringing manner in its default

and expected use.

See the evidence and information cited for claim element 36f supra which is expressly incorporated

herein.

40h wherein the

executable

application is part of

Staples’ website and/or the servers hosting that website (and/or the combination thereof), operate in a

hypermedia network environment that includes client workstations executing browsers. The executable

application is part of a distributed application, and wherein at least a portion of the distributed

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a distributed

application, and

wherein at least a

portion of the

distributed

application is for

execution on the

network server.

application is for execution on the network server. In addition, Staples provides the infrastructure (e.g.

servers, Staples’ website, etc.), in addition to instructions to users, and causes them to use Staples’

website in an infringing manner in its default and expected use.

See the evidence and information cited for claim element 36g supra which is expressly incorporated

herein.

41 The method of claim

40 where: the

information to

enable comprises

text formats.

Staples’ website and/or the servers hosting that website (and/or the combination thereof), further

comprises the method of claim 40 where: the information to enable comprises text formats. In addition,

Staples provides the infrastructure (e.g. servers, Staples’ website, etc.), in addition to instructions to

users, and causes them to use Staples’ website in an infringing manner in its default and expected use.

See the evidence and information cited for claim 37 supra which is expressly incorporated herein.

42 The method of

claim 41 where: the

text formats are

HTML tags.

Staples’ website and/or the servers hosting that website (and/or the combination thereof), further

comprises the method of claim 41 where: the text formats are HTML tags. In addition, Staples provides

the infrastructure (e.g. servers, Staples’ website, etc.), in addition to instructions to users, and causes

them to use Staples’ website in an infringing manner in its default and expected use.

See the evidence and information cited for claim 38 supra which is expressly incorporated herein.

43 The method of claim

40 where: the

Staples’ website and/or the servers hosting that website (and/or the combination thereof), further

comprises the method of claim 40 where: the information contained in the file received comprises at

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information

contained in the file

received comprises

at least one embed

text format.

least one embed text format. In addition, Staples provides the infrastructure (e.g. servers, Staples’

website, etc.), in addition to instructions to users, and causes them to use Staples’ website in an

infringing manner in its default and expected use.

See the evidence and information cited for claim 39 supra which is expressly incorporated herein.

44pre A method for

serving digital

information in a

computer network

environment, said

method comprising:

Staples’ website and/or the servers hosting that website (and/or the combination thereof), operate in a

hypermedia network environment that includes client workstations executing browsers which comprises

a method for serving digital information in a computer network environment, said method comprising of

the following claim elements. In addition, Staples provides the infrastructure (e.g. servers, Staples’

website, etc.), in addition to instructions to users, and causes them to use Staples’ website in an

infringing manner in its default and expected use.

See the evidence and information cited for claim element 36pre supra which is expressly incorporated

herein.

44a communicating via a

network server with

at least a remote

client workstation

over the computer

network

environment in

order to

Staples’ website and/or the servers hosting that website (and/or the combination thereof), operate in a

hypermedia network environment where at least one remote client workstation communicates over the

computer network environment with a network server. In addition, Staples provides the infrastructure

(e.g. servers, Staples’ website, etc.), in addition to instructions to users, and causes them to use

Staples’ website in an infringing manner in its default and expected use.

See the evidence and information cited for claim elements 36pre and 40a supra which is expressly

incorporated herein.

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44b receive commands

from the client

workstation, with

the network server

coupled to said

computer network

environment,

wherein said

computer network

environment has at

least said client

workstation and said

network server

coupled to the

computer network

environment,

wherein the

computer network

environment is a

distributed

hypermedia

environment,

Staples’ website and/or the servers hosting that website (and/or the combination thereof), operate in a

hypermedia network environment that includes client workstations executing browsers. Staples’ servers

receive commands from the client workstation, with the network server coupled to said computer

network environment, wherein said computer network environment has at least said client workstation

and said network server coupled to the computer network environment, wherein the computer network

environment is a distributed hypermedia environment. In addition, Staples provides the infrastructure

(e.g. servers, Staples’ website, etc.), in addition to instructions to users, and causes them to use

Staples’ website in an infringing manner in its default and expected use.

See the evidence and information cited for claim elements 36pre, 36a, 36e and 36g supra which is

expressly incorporated herein.

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44c wherein the client

workstation

receives, over the

computer network

environment from

the server, at least

one file containing

information to

enable a browser

application to

display, on the

client workstation,

at least a portion of

a distributed

hypermedia

document within a

browser-controlled

window,

Staples’ website and/or the servers hosting that website (and/or the combination thereof), operate in a

hypermedia network environment that includes client workstations executing browsers. Staples’ servers

transmit a series of communications to client workstations in the distributed hypermedia network.

Staples’ servers format the communications so that the client workstation receives, over the computer

network environment from the server at least one file containing information to enable a browser

application to display, on the client workstation, at least a portion of a distributed hypermedia document

within a browser-controlled window. In addition, Staples provides the infrastructure (e.g. servers,

Staples’ website, etc.), in addition to instructions to users, and causes them to use Staples’ website in

an infringing manner in its default and expected use.

See the evidence and information cited for claim element 36a supra which is expressly incorporated

herein.

44d wherein the client

workstation

executes the

browser application,

with the browser

Staples’ website and/or the servers hosting that website (and/or the combination thereof), operate in a

hypermedia network environment that includes client workstations executing browsers. Staples’ servers

transmit a series of communications to client workstations in the distributed hypermedia network.

Staples’ servers format the communications so that the client workstation executes a browser to

respond to text formats to initiate processing specified by the text formats. In addition, Staples provides

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application

responding to text

formats to initiate

processing specified

by the text formats,

the infrastructure (e.g. servers, Staples’ website, etc.), in addition to instructions to users, and causes

them to use Staples’ website in an infringing manner in its default and expected use.

See the evidence and information cited for claim element 36b supra which is expressly incorporated

herein.

44e wherein at least said

portion of the

document is

displayed within the

browser-controlled

window,

Staples’ website and/or the servers hosting that website (and/or the combination thereof), operate in a

hypermedia network environment that includes client workstations executing browsers. Staples’ servers

transmit a series of communications to client workstations in the distributed hypermedia network.

Staples’ servers format the communications so that the client workstation executes a browser to display

at least said portion of the document within the browser-controlled window. In addition, Staples

provides the infrastructure (e.g. servers, Staples’ website, etc.), in addition to instructions to users, and

causes them to use Staples’ website in an infringing manner in its default and expected use.

See the evidence and information cited for claim element 36c supra which is expressly incorporated

herein.

44f wherein an embed

text format which

corresponds to a

first location in the

document is

identified by the

browser, wherein

Staples’ website and/or the servers hosting that website (and/or the combination thereof), operate in a

hypermedia network environment that includes client workstations executing browsers. Staples’ servers

transmit a series of communications to client workstations in the distributed hypermedia network.

Staples’ servers format the communications so that the client workstation executes a browser to identify

an embed text format which corresponds to a first location in the document, wherein the embed text

format specifies the location of at least a portion of an object. In addition, Staples provides the

infrastructure (e.g. servers, Staples’ website, etc.), in addition to instructions to users, and causes them

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the embed text

format specifies the

location of at least a

portion of an object,

to use Staples’ website in an infringing manner in its default and expected use.

See the evidence and information cited for claim element 36d supra which is expressly incorporated

herein.

44g wherein an

executable

application

associated with the

object is identified

and located by the

browser, wherein

the executable

application is

automatically

invoked by the

browser, in

response to the

identifying of the

embed text format,

to enable an end-

user to directly

interact with the

Staples’ website and/or the servers hosting that website (and/or the combination thereof), operate in a

hypermedia network environment that includes client workstations executing browsers. Staples’ servers

transmit a series of communications to client workstations in the distributed hypermedia network.

Staples’ servers format the communications so that the client workstation executes a browser to

automatically invoke an executable application, in response to the identifying of the embed text format,

to enable an end-user to directly interact with the object while the object is being displayed with in a

display area created at the first location within the portion of the hypermedia document being displayed

in the browser-controlled window. In addition, Staples provides the infrastructure (e.g. servers, Staples’

website, etc.), in addition to instructions to users, and causes them to use Staples’ website in an

infringing manner in its default and expected use.

See the evidence and information cited for claim element 36f supra which is expressly incorporated

herein.

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object while the

object is being

displayed within a

display area created

at the first location

within the portion of

the hypermedia

document being

displayed in the

browser-controlled

window,

44h wherein the

executable

application is part of

a distributed

application, and

wherein at least a

portion of the

distributed

application is for

execution on the

network server;

Staples’ website and/or the servers hosting that website (and/or the combination thereof), operate in a

hypermedia network environment that includes client workstations executing browsers. The executable

application is part of a distributed application, and wherein at least a portion of the distributed

application is for execution on the network server. In addition, Staples provides the infrastructure (e.g.

servers, Staples’ website, etc.), in addition to instructions to users, and causes them to use Staples’

website in an infringing manner in its default and expected use.

See the evidence and information cited for claim element 36g supra which is expressly incorporated

herein.

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44i executing one or

more instructions in

response to the

commands;

Staples’ website and/or the servers hosting that website (and/or the combination thereof), (and/or the

combination thereof) executes one or more instructions in response to the commands. In addition,

Staples provides the infrastructure (e.g. servers, Staples’ website, etc.), in addition to instructions to

users, and causes them to use Staples’ website in an infringing manner in its default and expected use.

See the evidence and information cited for claim elements 36pre, 36a, 36e and 36g supra which is

expressly incorporated herein.

44j sending information

to the client

workstation in

response to the

executed

instructions, to

allow processing of

the information at

the client

workstation to

enable said end-

user to directly

interact with said

object.

Staples’ website and/or the servers hosting that website (and/or the combination thereof), (and/or the

combination thereof) sends information to the client workstation in response to the executed

instructions, to allow processing of the information at the client workstation to enable said end-user to

directly interact with said object. In addition, Staples provides the infrastructure (e.g. servers, Staples’

website, etc.), in addition to instructions to users, and causes them to use Staples’ website in an

infringing manner in its default and expected use.

See the evidence and information cited for claim elements 36pre, 36a, 36e and 36g supra which is

expressly incorporated herein.

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45 The method of claim

44 where: the

information to

enable comprises

text formats.

Staples’ website and/or the servers hosting that website (and/or the combination thereof), further

comprises the method of claim 44 where: the information to enable comprises text formats. In addition,

Staples provides the infrastructure (e.g. servers, Staples’ website, etc.), in addition to instructions to

users, and causes them to use Staples’ website in an infringing manner in its default and expected use.

See the evidence and information cited for claim 37 supra which is expressly incorporated herein.

46 The method of claim

45 where: the text

formats are HTML

tags.

Staples’ website and/or the servers hosting that website (and/or the combination thereof), further

comprises the method of claim 45 where: the text formats are HTML tags. In addition, Staples provides

the infrastructure (e.g. servers, Staples’ website, etc.), in addition to instructions to users, and causes

them to use Staples’ website in an infringing manner in its default and expected use.

See the evidence and information cited for claim 38 supra which is expressly incorporated herein.

47 The method of claim

44 where: the

information

contained in the file

received comprises

at least one embed

text format.

Staples’ website and/or the servers hosting that website (and/or the combination thereof), further

comprises the method of claim 44 where: the information contained in the file received comprises at

least one embed text format. In addition, Staples provides the infrastructure (e.g. servers, Staples’

website, etc.), in addition to instructions to users, and causes them to use Staples’ website in an

infringing manner in its default and expected use.

See the evidence and information cited for claim 39 supra which is expressly incorporated herein.