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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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THE ACCUSED PRODUCTS AND SYSTEMS

9. The Defendant’s accused products and systems for purposes of the Asserted Patents include but are not limited to the Defendant’s sensor-based products and services, such as, without limitation, “BodyWorn,” “Rocket” (or “RocketIoT”) and “AVaiL Web,” Defendant’s computer and mobile applications, and Defendant’s server/cloud-based services for remote monitoring and communication, all of which, in conjunction with each other, infringe the asserted claims of the Asserted Patents (the “Accused Systems”).

10. The Accused Systems utilize sensors, such as, e.g., cameras, microphones, heart rate monitors, accelerometers, and other sensors, for generating sensor data related to the environment of the sensor devices to provide different alerts to users and others regarding activity around the sensor devices. The Accused Systems further store in memory a plurality of templates containing light, audio and/or other parameters used, for example, in the Accused Systems’ camera recording trigger, speech recognition, motion detection and geofencing functions. Sensor data is compiled by the Accused Systems’ and stored in cloud servers or other processing devices and compared to the parameters of one or more templates stored in memory. The Accused Systems’ cloud servers/processors determine which template in memory has the greatest correspondence to the sensor data to determine the occurrence of events such as, by way of example and not limitation, “officer-down” and other “important events” in which a police department may want to generate video, audio or other types of evidence. The Accused Systems utilize the subject template and a hierarchy associated with the template, configured either for performing varying operations, such as, among other things, policy-based activation of audio/video recording, initiation of live streaming, alerts to Central Dispatch and Supervisors, and/or activation of BOLO, Amber, Silver and/or Officer-Down Alerts. The hierarchies associated with the template can also be configured for providing different levels of information via email, push notification, and/or notification through the Accused Systems’ AVaiL Web component, depending on, e.g., default policies or policies set by the user. The Accused Systems further use a non-transitory cloud server, which stores processing instructions for carrying out the limitations of the Accused Systems. The primary and substantial purpose of the Accused Systems is to perform the aforementioned functions. These features infringe each of the claims asserted below.

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letgojoe1
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