Ameranth, Inc. v. Papa John's USA, Inc.

946 F. Supp. 2d 1049, 2013 WL 2285171, 2013 U.S. Dist. LEXIS 74808
CourtDistrict Court, S.D. California
DecidedMarch 26, 2013
DocketCase No. 12-CV-729 JLS (NLS); ECF No. 27
StatusPublished
Cited by1 cases

This text of 946 F. Supp. 2d 1049 (Ameranth, Inc. v. Papa John's USA, Inc.) is published on Counsel Stack Legal Research, covering District Court, S.D. California primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Ameranth, Inc. v. Papa John's USA, Inc., 946 F. Supp. 2d 1049, 2013 WL 2285171, 2013 U.S. Dist. LEXIS 74808 (S.D. Cal. 2013).

Opinion

ORDER DENYING MOTION FOR SUMMARY JUDGMENT

JANIS L. SAMMARTINO, District Judge.

Presently before the Court is Defendant Papa John’s USA, Inc.’s (“Papa John’s”) motion for summary judgment. (MSJ, ECF No. 27.) Also before the Court are the parties’ respective oppositions and replies. (Opp. to MSJ, ECF No. 42; Rep. in Supp., ECF No. 48.) Both parties have also filed numerous exhibits and requests for judicial notice. (ECF Nos. 27-2, 30, 42-4, 43, 47.) The Court heard oral argument on Thursday, February 28, 2013, and the matter was thereafter taken under submission. Having considered the parties’ arguments and the law, the Court DENIES Papa John’s motion for summary judgment.

BACKGROUND

I. Factual and Procedural Background

This action is part of a consolidated action for patent infringement by Plaintiff Ameranth, Inc. (“Ameranth”) against various Defendants in thirty-one related cases. In the present case, Ameranth has asserted three patents-in-suit, U.S. Patent Nos. 6,384,850 (the '850 patent), 6,871,325 (the '325 patent) and 8,146,077 (the '077 patent, and collectively, the “Asserted Patents”), against Papa John’s.1 Ameranth asserts claims of direct infringement, inducing infringement, and contributory infringement against Papa John’s for each of the three Asserted Patents.

The Asserted Patents claim an information management and synchronization software system relating to the placement of orders by consumers over the internet through the use of wireless handheld devices. Ameranth alleges that Papa John’s proprietary on-line and mobile food ordering software system, the Papa John’s Ordering System, infringes the Asserted Patents.

In December 2011, Ameranth presented a first round of written discovery to Papa John’s seeking non-public technical materials concerning the Papa John’s Ordering System. (ECF No. 42-3 ¶ 2.) Papa John’s allegedly objected to the requests and refused to produce responsive documents until a protective order was in place. (Id.) As a result, Ameranth’s January 23, 2012 Disclosure of Asserted Claims and Preliminary Infringement Contentions as to Papa John’s (“Original PICs”) was limited to publicly available information, and failed to identify where each element of each asserted claim is found in the accused instrumentalities. The parties then agreed that Ameranth would serve amended infringement contentions following Papa John’s production of source code and technical documents as required by Patent Local Rule 3.4(a). (Joint Motion to Amend Scheduling Order, ECF No. 153.)

On March 26, 2012, Papa John’s produced technical documents and source code files relating to Papa John’s Ordering Systems. Ameranth subsequently served its Amended Claim Chart as to Papa [1053]*1053John’s (“Amended PICs”) on June 28, 2012. On August 13, 2012, Papa John’s filed the instant motion for summary judgment, alleging that Ameranth failed to identify necessary elements of the asserted claims. (EOF No. 27-1 at 10-11.)

II. The Asserted Patents2

A. The '850 Patent — Information Management and Synchronous Communications System with Menu Generation

The '850 Patent covers an information management and synchronous communications system and method for generating computerized menus for use on specialized displays. The invention allows for the more efficient use of handheld wireless devices in the restaurant and hospitality fields by creating an integrated solution that formats data for smaller displays and allows for synchronization of data.

Here, Ameranth has only asserted claims 12-16 of the '850 Patent. These claims, also described as “synchronization claims,” cover the synchronization of “hospitality applications and data” between a central database, a wireless handheld computing device, a web server, and a web page. These claims generally cover an interface that allows the integration of outside applications and a “communications control module” that acts as an interface between the hospitality applications and other communications protocols.

The asserted claims of-the '850 Patent share the following elements: (1) a central database containing hospitality applications and data; (2) at least one wireless handheld computing device on which hospitality applications and data are stored; (3) at least one web server on which hospitality applications and data are stored; (4) at least one web page on which hospitality application and data are stored; (5) an application program interface; and (6) a communications control module. Claim 12 claims a system with the above elements wherein applications and data are synchronized between the central data base, at least one wireless handheld computing device, at least one web server, and at least one web page; and wherein the application program interface allows integration of outside applications with the hospitality applications; and wherein the communications control module interfaces between the hospitality applications and any other communications protocols. Claim 13 claims the system in Claim 12 wherein the communications control module provides a single point of entry for all applications and for synchronization. Claim 14 claims the system in Claim 13 wherein information entered on the Web page is automatically communicated to the central database and the wireless handheld computing device. Claim 15 also claims the system in Claim 13 but wherein the information entered on the wireless handheld computing device is automatically communicated to the central database and the Web page. Finally, Claim 16 claims the system in Claim 12 wherein the applications and data are synchronized by digital data transmission between the central database, wireless handheld computing device, Web server, and Web page.

B. The '325 Patent — Information Management and Synchronous Communications System with Menu Generation

The '325 Patent also covers an information management and synchronous communications system and method for generating computerized menus for use on specialized displays. Here, Ameranth has asserted claims 11-15 of the '325 Patent. These claims are also synchronization [1054]*1054claims. The asserted claims of both the '325 and '850 Patents share the following elements: (1) a central database containing hospitality applications and data; (2) at least one wireless handheld computing device on which hospitality applications and data are stored; (3) at least one Web server on which hospitality applications and data are stored; (4) at least one Web page on which hospitality application and data are stored; (5) an application program interface; and (6) a communications control module.

Claim 11 claims the same system described above, but specifies that the synchronized data relates to orders. Claims 12 and 13 also claim the system, but specify that the data relates to waitlists and reservations, respectively. Claim 14 claims the systems of Claims 11, 12, and 13, but specify that the data is sent to a receiver at a valet parking base station. Claim 15 also claims the systems of Claims 11, 12, and 13, but specify that the data is sent to a wireless paging device.

C. The '077 Patent — Information Management and Synchronous Communications System with Menu Generation, and Handwriting and Voice Modiñcation of Orders

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946 F. Supp. 2d 1049, 2013 WL 2285171, 2013 U.S. Dist. LEXIS 74808, Counsel Stack Legal Research, https://law.counselstack.com/opinion/ameranth-inc-v-papa-johns-usa-inc-casd-2013.