This case was last updated from PACER on 10/07/2021 at 08:29:15 (UTC).

ARIGNA TECHNOLOGY LIMITED v. Google LLC

Case Summary

On October 06, 2021, Arigna Technology Limited (“Plaintiff” or “Arigna”), represented by Charles L. Ainsworth of Parker, Bunt & Ainsworth, P.C., filed an intellectual property lawsuit against Google LLC (“Google”), seeking damages along with pre- and post-judgement interest for the alleged infringement of United States Patents owned by Plaintiff. This case was filed in the U.S. District Court in the Western District of Texas.

 

Plaintiff filed this complaint for the alleged infringement of United States Patent No. 6,603,343 (the “’343 Patent”) entitled “Phase Correction Circuit for Transistor Using High-Frequency Signal.” and United States Patent No. 8,947,164 (the “’164 Patent”) entitled “Integrated Technique for Enhanced Power Amplifier Forward Power Detection.” (together, the “Asserted Patents”) owned by Plaintiff.

 

In the complaint Plaintiff alleged that, “Google has no right to practice the intellectual property protected by the Asserted Patents. Google has infringed and continues to infringe at least claim 1 of the ’343 Patent in violation of 35 U.S.C. § 271, either literally or through the doctrine of equivalents, by making, using, selling, or offering for sale in the United States, and/or importing into the United States, without authorization, products that practice at least claim 1 of the ’343 Patent. Google is liable for its infringement of the ’343 Patent pursuant to 35 U.S.C. § 271(a), (b), and (c). Google committed and is committing the foregoing infringing activities without license from Arigna. Google’s acts of infringement have damaged Arigna, as owner and assignee of the ’343 Patent. Arigna is entitled to recover from Google the damages it has sustained as a result of Google’s wrongful acts in an amount subject to proof at trial. Google’s infringement of Arigna’s rights under the ’343 Patent is ongoing and will continue to damage Arigna. In addition, Google indirectly infringed, and continues to indirectly infringe, the ’343 Patent by actively inducing its infringement in violation 35 U.S.C. § 271(b).”

 

Plaintiff also alleged that, “Google has infringed and continues to infringe at least claim 1 of the ’164 Patent in violation of 35 U.S.C. § 271, either literally or through the doctrine of equivalents, by making, using, selling, or offering for sale in the United States, and/or importing into the United States, without authorization, products that practice at least claim 1 of the ’164 Patent. Google is liable for its infringement of the ’164 Patent pursuant to 35 U.S.C. § 271(a), (b), and (c). Google committed and is committing the foregoing infringing activities without license from Arigna. Google’s acts of infringement have damaged Arigna, as owner and assignee of the ’164 Patent. Arigna is entitled to recover from Google the damages it has sustained as a result of Google’s wrongful acts in an amount subject to proof at trial. Google’s infringement of Arigna’s rights under the ’164 Patent will continue to damage Arigna.”

 

There are two claims for relief laid down by Plaintiff; both of them deal with the alleged infringement of the Asserted Patents.

 

In its prayer for relief Plaintiff has requested the court to declare that Google has infringed the Asserted Patents, declare that Google’s infringement of the Asserted Patents has been willful and deliberate, at least from the filing of this Complaint, and award damages to Plaintiff in an amount no less than a reasonable royalty for Google’s infringement of the Asserted Patents along with pre- and post-judgement interest.

 

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Case Details Parties Documents Dockets

 

Case Details

  • Case Number:

    6:21-CV-01045

  • Filing Date:

    10/06/2021

  • Case Status:

    Pending - Other Pending

  • Case Type:

    Intellectual Property - Patent

 

Party Details

Plaintiff

ARIGNA TECHNOLOGY LIMITED

Defendant

Google LLC

Attorney/Law Firm Details

Plaintiff Attorney

Charles L. Ainsworth

Attorney at Parker, Bunt & Ainsworth, P.C.

100 East Ferguson, Suite 418

Tyler, TX 75702

 

Court Documents

#1

1 #1

Civil Cover Sheet

1 #2

Exhibit A

1 #3

Exhibit B

#2

#3

#4

#5

 

Docket Entries

  • 10/06/2021
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  • Docket(#5) REQUEST FOR ISSUANCE OF SUMMONS by ARIGNA TECHNOLOGY LIMITED. (Ainsworth, Charles) (Entered: 10/06/2021)

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  • 10/06/2021
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  • Docket(#4) RULE 7 DISCLOSURE STATEMENT filed by ARIGNA TECHNOLOGY LIMITED. (Ainsworth, Charles) (Entered: 10/06/2021)

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  • 10/06/2021
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  • Docket(#3) DEMAND for Trial by Jury by ARIGNA TECHNOLOGY LIMITED. (Ainsworth, Charles) (Entered: 10/06/2021)

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  • 10/06/2021
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  • Docket(#2) Notice of Filing of Patent/Trademark Form (AO 120). AO 120 forwarded to the Director of the U.S. Patent and Trademark Office. (Ainsworth, Charles) (Entered: 10/06/2021)

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  • 10/06/2021
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  • Docket(#1) COMPLAINT FOR PATENT INFRINGEMENT ( Filing fee $ 402 receipt number 0542-15305194). No Summons requested at this time, filed by ARIGNA TECHNOLOGY LIMITED. (Attachments: #1 Civil Cover Sheet, #2 Exhibit A, #3 Exhibit B)(Ainsworth, Charles) (Entered: 10/06/2021)

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