Allflex USA, Inc. v. Avid Identification Sys., Inc.

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Allflex sought a declaratory judgment that Avid’s patents were unenforceable due to inequitable conduct and that Allflex was not liable for infringement. Avid counterclaimed, alleging infringement. The patents relate to Radio Frequency Identification technology used in locator tags attached to animals or objects. The district court ruled that Avid should be sanctioned for failing to disclose the existence of pending reexamination proceedings. After construing the claims, the district court granted summary judgment of non-infringement and granted partial summary judgment in favor of Allflex on its inequitable conduct claim. The court held that Avid’s failure to disclose information about prior public use and offers to sell one of its products was material to inequitable conduct, but concluded that there was a genuine issue of fact as to whether Avid’s president had the requisite intent to deceive the PTO, an element of Allflex’s claim. The parties entered into a settlement agreement: Avid agreed to pay Allflex $6.55 million, reserving the right to appeal certain issues. The Federal Circuit dismissed as moot, rejecting a claim that a live controversy existed under a provision that Avid’s settlement payment would be reduced by $50,000 if Avid was successful on any of its appeals. View "Allflex USA, Inc. v. Avid Identification Sys., Inc." on Justia Law