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Flash-R™ patent portfolio e.Digital's Flash-R™ patent portfolio contains fundamental technology essential to the utilization of flash memory in today's large and growing portable electronic products market.
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RE: Defendant Micron technology, INC...3-21-14 doc 15 first amended complaint

INFRINGEMENT OF THE ’108 PATENT BY DEFENDANT

9. Plaintiff re-alleges and incorporates by reference each of the allegations set forth in paragraphs 1 through 8 above.

10. The accused products include but are not limited to Micron’s Flash Memory Storage products including but not limited to its USB, SSD, SD, microSD, and/or Compact Flash products. The primary and substantial purpose of the accused products is to write to and store data in electronic format in non-volatile flash memory.

11. Micron has directly and indirectly infringed and is directly and indirectly infringing Claim 1 of the ’108 patent in violation of 35 U.S.C. § 271, et seq., by making, using, offering for sale, selling in the United States and/or importing into the United States without authority, the accused products identified above. Claim 1 of the ’108 patent teaches a method of memory management for a non-volatile storage medium. The method comprises several steps, which generally involves, without limitation, writing electronic data segments from volatile, temporary memory to a non-volatile, long-term storage medium by linking data segments according to a number of specified steps.

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RE:Defendant Micron Consumer Products Group, Inc., dba Lexar...3-21-14 doc 12 first amended complaint

INFRINGEMENT OF THE ’108 PATENT BY DEFENDANT

10. Plaintiff re-alleges and incorporates by reference each of the allegations set forth in paragraphs 1 through 9 above.

11. The accused products include but are not limited to Lexar’s Flash Memory Storage products including but not limited to its USB, SSD, SD, microSD, and/or Compact Flash products. The primary and substantial purpose of the accused products is to write to and store data in electronic format in nonvolatile flash memory.

12. Lexar has directly and indirectly infringed and is directly and indirectly infringing Claim 1 of the ’108 patent in violation of 35 U.S.C. § 271, et seq., by making, using, offering for sale, selling in the United States and/or importing into the United States without authority, the accused products identified above. Claim 1 of the ’108 patent teaches a method of memory management for a non-volatile storage medium. The method comprises several steps, which generally involves, without limitation, writing electronic data segments from volatile, temporary memory to a non-volatile, long-term storage medium by linking data segments according to a number of specified steps.

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