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I2Z Technology v. Microsoft

I2Z Technology v. Microsoft

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Published by PriorSmart
Official Complaint for Patent Infringement in Civil Action No. 3:11-cv-01103-AC: I2Z Technology, LLC v. Microsoft Corporation. Filed in U.S. District Court for the District of Oregon, the Hon. John V. Acosta presiding. See http://news.priorsmart.com/-l4rM for more info.
Official Complaint for Patent Infringement in Civil Action No. 3:11-cv-01103-AC: I2Z Technology, LLC v. Microsoft Corporation. Filed in U.S. District Court for the District of Oregon, the Hon. John V. Acosta presiding. See http://news.priorsmart.com/-l4rM for more info.

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Published by: PriorSmart on Sep 16, 2011
Copyright:Public Domain

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02/01/2013

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Bradley
M.
Ganz, OSB 94076Lloyd
L.
Pollard II, OSB 07490Ganz Law,
P.c.
P.O. Box 2200
163
SE 2
nd
AvenueHillsboro, OR 97124(503) 844-9009Facsimile (503) 296-2172mail@ganzlaw.com Attorneys for Plaintiffl2Z Technology, LLC
IN THE UNITED STATES DISTRICT COURTFOR THE DISTRICT OF OREGONPORTLAND DIVISION
I2Z TECHNOLOGY, LLC
§§
Plaintiff
§
§
v.
§§§
MICROSOFT CORPORA
nON
§
D/B/A BING. COM,§TOEAT.COM LLC, §ZILLOW, INC., §
§
§Defendants. §
ciJ;'L~Jl
NO~
10
3
-
AC
..
PLAINTIFF'S ORIGINAL COMPLAINT FOR PATENT INFRINGEMENT DEMAND FOR JURY TRIAL 
PLAINTIFF'S ORIGINAL COMPLAINT FOR PATENT INFRINGEMENT 
Page 1
of
8 
 
COMPLAINT FOR PATENT INFRINGEMENT
PiaintiffI2Z TECHNOLOGY, LLC ("I2Z"), for its complaint against MicrosoftCorporation d/b/aBing.com("Microsoft"),Toeat.comLLC, Zillow, Inc. ("Zillow"), Google, Inc. ("Google") (collectively,"Defendants"),demands
ajury
trial and alleges as follows:
NATURE OF THE ACTION
1.
This is an action for patent infringement arising under the patent laws
of
theUnited States,
35
U.S.c.
§§ 271
etseq.,
brought against Defendants for violations
of
those laws.
THE PARTIES
2.PlaintiffI2Z Technology, LLC is a Texas limited liability company with itsprincipal place
of
business at 3301
W.
Marshall Ave., Suite 302, Longview, TX 75604.
3.
Upon information and belief, Defendant Microsoft is a Washington corporationwith its principal place
of
business at 1 Microsoft Way, Redmond, Washington, 98052.
4.
Upon information and belief, DefendantToeat.comLLC is a Washingtoncompany with its principal place
of
business at 7231 Old County Road 54, New Port Richey,Florida, 34653-6106.
5.
Upon information and belief, Defendant Zillow is a Washington corporation withits principal place
of
business at
1301
Second Avenue, Floor 31, Seattle, Washington 98101.
PLAINTIFF'S ORIGINAL COMPLAINT FOR PATENT INFRINGEMENT 
Page 2
of8 
 
JURISDICTION AND VENUE 
6.
This action arises under the patent laws
of
the United States, Title
35
of
theUnited States Code,
§§
1,
etseq.
7.
This Court has subject matter jurisdiction pursuantto 28 U.S.C.
§§
1331
and1338(a).
8.
Upon infonnation and belief, Microsoft has contacts that are sufficientlycontinuous and systematic to constitute doing business within the State
of
Oregon, and withinthis District, and has engaged and continues to engage in sales and other conduct with respect toMicrosoft's products and services within this District.
9.
Upon infonnation and belief,Toeat.com, LLC has contacts that are sufficientlycontinuous and systematic to constitute doing business within the State
of
Oregon and within thisDistrict and has engaged and continues to engage in sales and other conduct with respect toToeat.comLLC's products and services within this District.10. Upon infonnation and belief, Zillow has contacts that are sufficiently continuousand systematic to constitute doing business within the State
of
Oregon and within this Districtand has engaged and continues to engage in sales and other conduct with respect to Zillow'sproducts and services within this District.
PLAINTIFF'S ORIGINAL COMPLAINT FOR PATENT INFRINGEMENT 
Page 3
of8 

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