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Amethyst IP v. Logitech

Amethyst IP v. Logitech

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Published by PriorSmart
Official Complaint for Patent Infringement in Civil Action No. 2:13-cv-02949-JS-GRB: Amethyst IP, LLC v. Logitech Inc. Filed in U.S. District Court for the Eastern District of New York, the Hon. Joanna Seybert presiding. See http://news.priorsmart.com/-l8sW for more info.
Official Complaint for Patent Infringement in Civil Action No. 2:13-cv-02949-JS-GRB: Amethyst IP, LLC v. Logitech Inc. Filed in U.S. District Court for the Eastern District of New York, the Hon. Joanna Seybert presiding. See http://news.priorsmart.com/-l8sW for more info.

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Published by: PriorSmart on May 21, 2013
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05/22/2013

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IN THE UNITED STATES DISTRICT COURTFOR THE EASTERN DISTRICT OF NEW YORK 
 ___________________________________ §AMETHYST IP, LLC §§Plaintiff, § Civil Action No. ______________ §v. §
JURY TRIAL DEMANDED
§LOGITECH INC. §§Defendant. § ___________________________________ §
COMPLAINT
Plaintiff Amethyst IP, LLC (“Amethyst”), for its Complaint against Defendant LogitechInc. (“Logitech”) hereby alleges as follows:
The Parties
1.Plaintiff Amethyst is a New York limited liability company with its principal place of business at 1225 Franklin Avenue, Suite 325, Garden City, New York 11530.2.On information and belief, Logitech is a California Corporation with a place of  business at 7600 Gateway Blvd, Newark California 94560
Nature of the Action
3.This is a civil action for the infringement of United States Patent No. 7,414,833(“the ’833 patent”) (attached as Exhibit A).
 
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Jurisdiction and Venue
4.This Court has jurisdiction over the subject matter of this action pursuant to 28U.S.C. §§ 1331 and 1338(a) because this action arises under the patent laws of the United States,including 35 U.S.C. § 271 et seq.5.This Court has personal jurisdiction over Logitech because, among other things,Logitech has committed, aided, abetted, contributed to, and/or participated in the commission of  patent infringement in this District and elsewhere that led to foreseeable harm and injury toAmethyst.6.Logitech has also established minimum contacts within the forum such that theexercise of jurisdiction over Logitech will not offend traditional notions of fair play andsubstantial justice. Moreover, Logitech has placed products that practice the claimed inventionsof the ’833 patent into the stream of commerce with the reasonable expectation and/or knowledge that purchasers and users of such products were located within this District. AndLogitech has sold, advertised, marketed, and distributed products in this District that practice theclaimed inventions of the ’833 patent.7.Venue is proper in this judicial district pursuant to 28 U.S.C. §§ 1391 and1400(b).
The ’833 patent
8. On August 19, 2008, the ’833 patent, titled “Portable Computer Case” was dulyand legally issued by the United States Patent and Trademark Office. Amethyst is the assigneeof all rights, title, and interest in the ’833 patent, and it possesses all rights to sue and recover for any current or past infringement of the ’833 patent.
 
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Count IInfringement of U.S. Patent No. 7,414,833
9.Paragraphs 1-8 are incorporated by reference as if fully restated herein.10.Logitech has infringed, and continues to infringe, the ’833 patent under 35 U.S.C.§ 271, either literally and/or under the doctrine of equivalents, by making, using, offering for sale, selling, and/or importing into the United States products that contain a computer casesystem as claimed in the ’833 patent (“’833 Infringing Products”), including at least theKeyboard Folio Mini.11.On information and belief, Logitech has also indirectly infringed, and continues toindirectly infringe, the ’833 patent. On information and belief, Logitech’s customers directlyinfringe the ’833 patent by making, using, selling, and/or offering for sale ’833 InfringingProducts in the United States. On information and belief, Logitech actively, knowingly, andintentionally (from at least the date of the service of this Complaint) induces infringement of the‘833 patent by making, using, offering for sale, and selling ’833 Infringing Products, as well as by contracting with others to use, market, sell, and offer to sell ’833 Infringing Products.12.On information and belief, Logitech has also contributed to the infringement byothers (e.g., Logitech’s customers and the users of ’833 Infringing Products), and continues tocontribute to infringement by others, by selling, offering to sell, or importing ’833 InfringingProducts into the United States, knowing (from at least the date of the service of this Complaint)that those systems constitute a material part of the inventions of ’833 Infringing Products,knowing (from at least the date of the service of this Complaint) those systems to be especiallymade or adapted to infringe the ’833 Infringing Products, and knowing (from at least the date of 

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