Eli Lilly & Co. v. Zenith Goldline Pharmaceuticals, Inc.

364 F. Supp. 2d 820, 2005 U.S. Dist. LEXIS 6448, 2005 WL 852674
CourtDistrict Court, S.D. Indiana
DecidedApril 14, 2005
Docket1:01 CV 443 RLY-VSS
StatusPublished
Cited by14 cases

This text of 364 F. Supp. 2d 820 (Eli Lilly & Co. v. Zenith Goldline Pharmaceuticals, Inc.) is published on Counsel Stack Legal Research, covering District Court, S.D. Indiana primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Eli Lilly & Co. v. Zenith Goldline Pharmaceuticals, Inc., 364 F. Supp. 2d 820, 2005 U.S. Dist. LEXIS 6448, 2005 WL 852674 (S.D. Ind. 2005).

Opinion

FINDINGS OF FACT AND CONCLUSIONS OF LAW

YOUNG, District Judge.

TABLE OF CONTENTS

FINDINGS OF FACT

I.The Parties.830

II.Background in the Relevant Field Prior to the Prosecution of the ’382 Patent.831

A. Schizophrenia.831

B. Early Drug Treatment — Typical Antipsychotic Drugs.831

C. Clozapine: The First Atypical Antipsychotic.832

D. The Search for a Safe, Atypical Antipsychotic Drug.832

E. Lilly’s Attempts to Discover a Safe, Atypical Antipsychotic Drug.832

F. The Discovery of Olanzapine .834

III. Prosecution History of the ’382 Patent.835

A. The ’143 Patent Application .835
B. The ’348 Continuation Application.837

IV. The Validity of the ’382 Patent.841

A. Anticipation.841

1. Anticipation by Chakrabarti 1980a.841

2. Anticipation by Schauzu .843

B. Obviousness.844

1. The Scope and Content of the Prior Art.844 a. Clozapine and Clozapine-Like Molecules .844 b. The’574 Patent .844

c. The Chakrabarti Articles.845

(1) Chakrabarti 1980a .845

(2) Chakrabarti 1982.845

(3) Chakrabarti 1989.846

d. The Sullivan and Franklin Article .846

2. Ordinary Skill in the Art.846

3. The Differences Between the Claimed Invention and the Prior Art.847

*826 4. Motivation Provided by the Prior Art to Make Olanzapine.847 a. Compound ’222 as the Beginning Compound.847

(1) Compound ’222’s Activity.847

(2) Hydrogen as a Preferred Substituent.848

(a) Compound 6 .848

(b) Compound 36 .848

(c) Compound 34 .849

b. Changing the 2-ethyl in Compound ’222 to a 2-methyl.849

c. Replacing the Fluorine Atom in Flumezapine with a Hydrogen Atom.850

5. Reasonable Expectation of Success.850
6. Composition and Method Claims .851

7. Secondary Considerations. 00 or to

a. Long-Felt Need. 00 cn co

b. Failure of Others. 00 cn co

c. Commercial Success . 00 cn co

d. Industry Acclaim. 00 en co

e. Unexpected Differences Between Compound ’222 and Olanzapine — The Dog Studies.

Principles Toxicology.

(2) Lilly’s and Defendants’ Dog Toxicology Studies ....

(a) Lilly’s D07290 Dog Study.

(b) Zenith’s Dog Study — The MPI Study.

(c) DRL’s Dog Study — The Calvert Study.

(3) Criticisms of Lilly’s Dog Study Evidence.

(a) The Dog as a Model..

(b) Total Cholesterol as a Tested Parameter.

(e) Randomization.

(d) The Length of the Study.

(e) The Number of Dogs and Analysis by Sex.

(f) The Dosage Used.

(g) The Use of Equal Doses of Olanzapine and Compound ’222 . O <0 00

(h) How the Study Was Conducted. O ZD 00

i) Good Laboratory Practices Were Followed O ZD 00

ii) Double Rations . O ZD 00

(i) The Results of Lilly’s and Zenith’s Studies. 1-1 SO 00

i) Statistics Experts for All of the Parties Found a Statistically Significant Cholesterol Increase in the Compound ’222-Treated Dogs. 00

ii) The Repeated Measures Analysis Was Appropriate. 00

iii) Dunnett’s Test Does Not Show that the Effect of Compound ’222 Is Small.

iv) Dr. Gibbons’ UPL Test Does Not Show that the Effect of Compound ’222 Is Small .

(j) The Cholesterol Results.

i) The Increase in Cholesterol Is Biologically Significant. 00

ii) The Increase in Cholesterol Was Not Caused by Other Factors. 00

a) The Female Estrous Cycle. 00

b) Double Rations . 00

c) The Alleged Hypothyroid Dog. 00

iii) The Reference Range. 00

iv) Other Statistically Significant Changes. 00

v) Dog Data Excluded from the Study Did Not Effect the Study Findings. 00

f. Prolactin' as a Previously Unconsidered Unexpected Result 00

(1) The Results of the MPI Study. 00

00 00

*827 [[Image here]]

(3) Olanzapine’s Effect on Prolactin. o t— oo

g. Unexpected Differences Between Olanzapine and Flumezapine. o 00

(1) Liver and Muscle Enzyme Test Results from the Flume-zapine Clinical Trials . t-00

(2) Liver and Muscle Enzyme Test Results from Olanzapine Clinical Trials. oo -3 > — 1

(3) Dr. Diamond’s Opinion. oo -q CO

C. Double Patenting. 00 «<3 co
D. Public Use. 00 —-3 oo
E. Inequitable Conduct. OO —q cr

1. Lilly’s Statements to the PTO Did Not Contradict Prior Statements It Made to the Swedish Board of Health. 00 —3 or

2. Lilly Did Not Believe that It Was Necessary to Compare Olanza-pine and Compound ’222 in a Second Species.

3. Dr. McGrath Believed the Effect of Compound ’222 on Cholesterol Was Significant Before Dr. Symanowski Performed a Statistical Analysis. c— oo

4. Dr. McGrath’s Draft Definition of “Clinical Pathological Significance” Was Not Lilly’s Standard for Clinical Significance. CO 00

5. Dr. Emmerson Did Not Mislead the Patent Examiner Regarding the Significance of the Results of the D07290 Study. 00 -q co

6. Lilly Did Not Mislead the PTO Regarding the Relation Between the D07290 Study in Dogs and the Potential Effects of Cholesterol in Humans. 00 00

a. Lilly’s Representations in the Response After Final. 00 00

b. Dr. Scruby’s Declaration . 00 CO

c. Dr. Means’ Declaration. 00 00

d. Dr. Tye’s Declaration. 00 00

7. Lilly Did Not Mislead the PTO by Withholding Individual Dog Data. CO 00 CR

8. Nonprotocol Bleed Data from Moribund Dog 240712 and from Dog 240692 After the End of the Study Taken in Connection with a Bone Marrow Biopsy Are Not Material. oo 00 05

9.

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364 F. Supp. 2d 820, 2005 U.S. Dist. LEXIS 6448, 2005 WL 852674, Counsel Stack Legal Research, https://law.counselstack.com/opinion/eli-lilly-co-v-zenith-goldline-pharmaceuticals-inc-insd-2005.