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Message: e.Digital Corporation v. Diasonic Technology Co., LTD et al Diasonic Technology

e.Digital Corporation v. Diasonic Technology Co., LTD et al
Diasonic Technology Co., LTD


"We will continue to enforce our patents through fair, reasonable and non-discriminatory patent licensing or through litigation,” said Fred Falk, president and CEO of e.Digital. “Our objective is simply to monetize our technology for the betterment of the Company and our shareholders. Responsible companies like Diasonic and iriver, who respect the intellectual properties of others, are some of the most recent parties to license our technology. In addition, we are in licensing negotiations with several other companies which we expect will materialize into finalized agreements soon," added Falk.

e.Digital Corporation v. Diasonic Technology Co., LTD et al
Diasonic Technology Co., LTD


Patent: 5,839,108
Accused Products:
The accused products for purposes of the ’108 patent include but are not limited to the Diasonic DDR-4000, DDR-5000, DDR-6000 and DDR-7000 series of products, including, but not limited to, the Diasonic model numbers DDR-4100, 4300, 4500 and 4600, the DDR-5000 and 5300, the DDR-6000 and the DDR-7000. The accused products, alone or in combination with other products, practice each of the limitations of independent claim 5 of the ’108 patent.

Patent: 5,842,170
Accused Products:
The accused products for purposes of the ’170 patent include but are not limited to the Diasonic model numbers DDR-5300 and DDR-7000. The accused products, alone or in combination with other products, practice each of the limitations of independent claims 1 and 7 and dependent claims 2 through 6 and 8 through 8 through 13 of the ’170 patent.

Patent: 5,742,737
Accused Products:
The accused products for purposes of the ’737 patent include but are not limited to the Diasonic DDR-3000, DMP-105/115, DDR4000, DDR-5000, DDR-6000, DDR-7000 and PDVR-1000 series of products, including, but not limited to, Diasonic model numbers DDR-3022, 3064, and 3256, the DMP-105 and 115, the DDR-4000, 4100, 4300, 4500 and 4600, the DDR-5000 and 5300, the DDR-6000, the DDR-7000 and the PDVR-1000. The accused products, alone or in combination with other products, practice each of the limitations of independent claims 1, 4, 9, 11, and 13 (former claim 5) and dependent claims 2 through 3, 6 through 10, and 12 of the ’737 patent.

Patent: 5,491,774
Accused Products:
The accused products for purposes of the ’774 patent include but are not limited to the Diasonic DD-800, DD-900, DDR-4000, DDR-5000, DDR-7000 and PDVR-1000 series of products, including, but not limited to the Diasonic model numbers DD-803, 804, 807 and 900, the DDR-4000, 4100, 4300, 4500 and 4600, the DDR-5300, the DDR-7000 and the PDVR-1000. The accused products, alone or in combination with other products, practice each of the limitations of independent claims 33 and 34, and dependent claims 2 through 4, 6 through 8, 10 through 11, 15 through 18, 23 through 27 of the ’774 patent.

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