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Joint Appendix One

Joint Appendix One

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Case 2:10-cv-O7678-JFW-DTB Document 57-5 Filed 09/28/11 Page 3 of 5 Page ID<br />

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(3) All facts and circumstances relating to any prototypes of the printers claimed in the<br />

'855 Patent, including their design, development, use and operation by FutureLogic or any<br />

third parties.<br />

(4) The differences between the '855 Patent claims asserted by FutureLogic and the<br />

Rowe, Katz, Weiss, Paulson, Nicholson, Luciano and Kelly references cited in the file<br />

history.<br />

(5) The facts and circumstances as to why the Payeheckl and EZ-Load products are<br />

not accused of infringement in this action.<br />

(6) The costs, revenue, and gross and net profits for the Gen 3 and Gen 2 Universal<br />

printers that FutureLogic contends are within the scope of the '855 Patent claims.<br />

(7) The marketing, advertising, use and sale of the Gen 3 and Gen 2 Universal printers<br />

that FutureLogic contends are within the scope of the '855 Patent claims, including the<br />

initial dates for each of those activities.<br />

(8) All agreements that relate to or license the '855 Patent to any party.<br />

(9) All agreement(s) with TransAct Technologies, Inc.<br />

(10) All licensing communications concerning the '855 Patent with any third party.<br />

(11 ) All facts and circumstances related to whether or not any FutureLogic product has<br />

been marked with the '855 Patent number, including the Gen 3 and Gen 2 Universal<br />

printers that FutureLogic contends fall within the scope of the '855 Patent claims.<br />

-3-<br />

00099<br />

Nanoptix' Summary JudgmentExhibit No. 4<br />

-A0238-

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