Cephalon, Inc. v. Watson Laboratories, Inc.

939 F. Supp. 2d 456
CourtDistrict Court, D. Delaware
DecidedMarch 30, 2013
DocketMDL No. 10-md-2200 (GMS); Civil Action Nos. 10-cv-007 (GMS), 10-cv-055 (GMS), 11-cv-782 (GMS), 10-cv-210 (GMS), 10-cv-695 (GMS), 10-cv-1078 (GMS)
StatusPublished
Cited by3 cases

This text of 939 F. Supp. 2d 456 (Cephalon, Inc. v. Watson Laboratories, Inc.) is published on Counsel Stack Legal Research, covering District Court, D. Delaware primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Cephalon, Inc. v. Watson Laboratories, Inc., 939 F. Supp. 2d 456 (D. Del. 2013).

Opinion

[458]*458 MEMORANDUM

GREGORY M. SLEET, Chief Judge.

I. INTRODUCTION

In this consolidated patent infringement action, plaintiffs Cephalon, Inc. and Cephalon France (collectively, “the plaintiffs” or “Cephalon”) allege that pharmaceutical products proposed by defendants Apotex, Inc., Lupin Limited, Sandoz, Inc., and Watson Laboratories, Inc. (collectively, “the defendants”), infringe the asserted claims of the patents-in-suit. (D.I. 1.) The court held a four-day bench trial in this matter on July 17 through July 20, 2012. (D.I. 304-307.) Presently before the court are the parties’ post-trial proposed find[459]*459ings of fact and conclusions of law concerning the validity of the patents-in-suit.1 (D.I. 314; D.I. 319.)

Pursuant to Federal Rule of Civil Procedure 52(a), and after having considered the entire record in this case and the applicable law, the court concludes that: (1) the asserted claims of the patents-in-suit are not invalid as anticipated under 35 U.S.C. § 102(b); and (2) the asserted claims of the patents-in-suit are not invalid as obvious under 35 U.S.C. § 103. These findings of fact and conclusions of law are set forth in further detail below.

II. FINDINGS OF FACT

A. The Parties2

1. Plaintiff Cephalon, Inc. (“Cephalon”) is a Delaware corporation having its corporate offices and principal place of business at 41 Moores Road, Frazer, Pennsylvania 19355.

2. Plaintiff Cephalon France (“Cephalon France”) is a societe par action simplifiee (“SAS”) under the laws of France, is a wholly-owned subsidiary of Cephalon, Inc., and is located at 20 Rue Charles Martigny, 94701 Maisons-Alfort Cedex, France.

3. Defendant ■ Watson Laboratories, Inc. (“Watson”) is a corporation organized and existing under the laws of Nevada, with a principal place of business at Morris Corporate Center III, 400 Interpace Parkway, Parsippany, New Jersey 07054.

4. Defendant Sandoz, Inc. (“Sandoz”) is a corporation organized and existing under the laws of Colorado, with a principal place of business at 506 Carnegie Center, Suite 400, Princeton, New Jersey 08540.

5. Defendant Lupin Limited (“Lupin”) is a corporation organized and existing under the laws of India, with a principal place of business at B/4 Laxmi Towers Bandra Kurla Complex, Bandra (E), Mumbai 400051, India.

6. Defendant Apotex, Inc. (“Apotex”) is a corporation organized and existing under the laws of Canada, with a principal place of business at 150 Signet Drive, Toronto, Ontario M9L 1T9, Canada.

7. Apotex, Lupin, Sandoz, and Watson will be collectively referred to as “defendants.”

[460]*460B. Background

8. Armodafinil is a chemical compound known as (-)-2-[R-(diphenylbenzhydryl-sulphinyl) ]acetamide and has the following chemical structure:

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9. Armodafinil is also known by other names, including 2-[ (R)-(diphenylmethyl)sufínyl]acetamide, CRL 40982, (-)-benzhydrylsulfinylacetamide, (-)-modafinil, and the levorotatory or laevorotatory enantiomer of modafinil.

10. Armodafinil is also known as the Renantioer of modafinil. Modafinil is a racemic mixture containing equal amounts of both the R-enantiomer and S-enantiomer of modafinil.

11. Enantiomers have different three-dimensional spatial arrangements that make them non-superimposable mirror images of each other, much like a person’s right and left hand.

12. Enantiomers may have identical physical properties (such as melting point, weight, and density) and, therefore, cannot necessarily be distinguished from each other based on measurements of these properties. However, they may be differentiated by their biological properties, and can be differentiated by their optical activity.

13. Substances that can rotate polarized light are said to be optically active because they interact with light and can rotate polarized light.

14. Enantiomers that rotate plane-polarized light clockwise are said to be dextrorotatory (from the Latin dexter, “right”) or (+). Those that rotate plane-polarized light counterclockwise are called levorotatory or laevorotatory (from the Latin ¿news, “left”) or (-).

15. The R-enantiomer of modafinil (i.e., armodafinil) is also called (-)-modafinil because it rotates plane-polarized light counterclockwise.

C. The Patent-in-Suit

16. United States Patent No. 7,132,570 (“the '570 Patent”), entitled “Methods for the Production of Crystalline Forms and Crystalline Forms of Optical Enantiomers of Modafinil,” naming Olivier Neckebrock and Pierre Leproust as inventors, was issued on November 7, 2006.

17. Cephalon holds approved New Drug Application (“NDA”) No. 21-875 for armodafinil tablets in 50 mg, 100 mg, 150 mg, 200 mg, and 250 mg dosage strengths.

18. Cephalon sells 50 mg, 100 mg, 150 mg, and 250 mg dosage strengths in the United States under the tradename Nuvigil®.

19. Nuvigil® is indicated to improve wakefulness in patients with excessive sleepiness associated with obstructive sleep apnea, narcolepsy, and shift work sleep disorder.

20. Polymorphic Form I armodafinil was chosen for Nuvigil® for its favorable aggregate of properties, including solubñity and stability.3

21. Pursuant to 21 U.S.C. § 355 and attendant FDA regulations, the '570 Patent [461]*461is listed in the FDA publication “Approved Drug Products with Therapeutic Equivalence Evaluations (“the Orange Book”) for Nuvigil®.

1. The Asserted Claims

22. Cephalon originally asserted claims 1-9 of the '570 Patent against each of the defendants.4

i. '570 Patent, Claim 1

23. Claim 1 states: A laevorotatory enantiomer of modaflnil in a polymorphic form that produces a powder X-ray diffraction spectrum comprising intensity peaks at the interplanar spacings: 8.54, 4.27, 4.02, 3.98(A).

ii. '570 Patent, Claim 2

24. Claim 2 states: The laevorotatory enantiomer of modafinil according to Claim 1, wherein the polymorphic form produces a powder X-ray diffraction spectrum further comprising intensity peaks at the interplanar spacings: 13.40, 6.34, 5.01, 4.68, 4.62, 4.44, 4.20, 4.15, 3.90, 3.80, 3.43(A). , ■

iii. '570 Patent, Claim 3

25. Claim 3 states: A laevorotatory enantiomer of modafinil in a polymorphic form that produces a powder X-ray diffraction spectrum comprising reflections at 15.4, 31.1, 33.1 and 33.4 degrees 29.

iv. '570 Patent, Claim 4

26.

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