Fin Control Systems Pty, Ltd. v. Oam, Inc.

265 F.3d 1311, 60 U.S.P.Q. 2d (BNA) 1203, 2001 U.S. App. LEXIS 20326, 2001 WL 1042653
CourtCourt of Appeals for the Federal Circuit
DecidedSeptember 12, 2001
Docket00-1516
StatusPublished
Cited by53 cases

This text of 265 F.3d 1311 (Fin Control Systems Pty, Ltd. v. Oam, Inc.) is published on Counsel Stack Legal Research, covering Court of Appeals for the Federal Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Fin Control Systems Pty, Ltd. v. Oam, Inc., 265 F.3d 1311, 60 U.S.P.Q. 2d (BNA) 1203, 2001 U.S. App. LEXIS 20326, 2001 WL 1042653 (Fed. Cir. 2001).

Opinion

CLEVENGER, Circuit Judge.

This is a patent infringement case in which Fin Control Systems Pty, Ltd. (“FCS”) appeals from a decision of the United States District Court for the Central District of California. Fin Control Sys. Pty, Ltd. v. OAM, Inc., No, CV-99-7037 (C.D.Cal. July 10, 2000). The district court ruled on summary judgment that OAM, Inc. does not infringe United States Patent No. 5,464,359 (“the '359 patent”), either literally or under the doctrine of equivalents, by its sale of certain removable surfboard fin systems. We affirm-in-part, vacate-in-part, and remand for further proceedings consistent with this opinion.

I

Background

The '359 patent, assigned to FCS, issued on November 7, 1995, and claims priority from an application first filed in Australia on March 9, 1992. In general terms, the '359 patent relates to a system for providing detachable fins to the bottom of a surfboard. Fins allow a surfer to control the direction and movement of his or her surfboard through the water. Detachable fíns are desirable because they minimize the potential for damage to the surfboard or to the fins during transport and storage, and because they allow surfers to change the hydrodynamic characteristics of a surfboard by installing different sets of fins.

In the written description of the '359 patent, before specific embodiments are described in more detail, the claimed invention is first described in general terms:

In the practice of the present invention, fins are fitted by fixing in the board a number of plugs each of which is recessed to receive a mating tab or fixing member extending from the base of the fin. Preferably the plugs are cylindrical, so they can [be] fixed within drilled recesses of the board. The tabs may be fixed within the plug recesses by means which laterally engage the tabs, such as one or more screws, by friction, or by other means such [as] snap fitting formations.
In the preferred form of the invention, two plugs are provided per fin, and each fin is provided with a pair of tabs of rectangular cross-section dimensioned to fit neatly within rectangular recesses in the respective plugs, but of course other configurations may be used.

'359 patent, col. 1,1. 60 — col. 2,1. 5.

As illustrated in the following figures, the specification of the '359 patent goes on to describe and illustrate “a preferably contemplated embodiment” in which two circular plugs 12 per fin 11 are mounted in spaced holes 17 within the body of a surfboard 10. In the context of the '359 patent, these plugs are called “fixing elements,” and they are dimensioned to receive a pair of rectangular tabs 18 extending from the “end surface” (i.e., bottom) of a fin 11. Specifically, each plug 12 includes a rectangular slot 13 dimensioned to receive one of the rectangular tabs 18. Grub screws 16 extend through the plugs 12 via diagonal threaded holes 15 to en *1314 gage with a side surface of each tab 18 extending from the bottom of the fin. '359 patent, col. 2,11. 19-52.

[[Image here]]

FCS alleges that OAM infringes the '359 patent by marketing a removable fin attachment system known as the Fin Tech System. There is no dispute in this case concerning the construction and operation of OAM’s accused Fin Tech System. Relevant aspects of OAM’s system are illustrated in the following figures, which are taken from OAM’s International Patent Application, Patent Cooperation ' Treaty, No. WO 99/21755. OAM admits that these figures accurately represent the Fin Tech System for purposes of this litigation.

The accused OAM Fin Tech System differs from the embodiments described in the '359 patent in a few respects. First, there is a single “dog-bone shaped” fixing element per fin (instead of two circular plugs per fin in the embodiments disclosed in the '359 patent). Second, instead of the rectangular tabs engaged by a grub screw at either the left or right side of the tabs in the embodiments described in the '359 patent, the accused OAM system includes two cross-shaped tabs at the bottom of each fin, engaged by a grub screw at the front surface of one of the front transverse tabs.

*1315 [[Image here]]

As shown in the above figures, in the accused OAM Fin Tech System, a single “dog-bone shaped” polycarbonate socket 14 is provided per fin 12. Socket 14 is embedded within a surfboard body 13 and engaged by both the foam core and fiberglass skin of the surfboard body. The two cross-shaped tabs at the bottom of fin 12 comprise two longitudinal projections 22, 23 and two transverse projections (43-44 1 and 45-46), dimensioned and constructed to fit into the cruciform sockets 15 and 16 of the dog-bone shaped socket housing 14. When the fin is installed on the surfboard, the longitudinal projections 22 and 23 of the fin fit into the longitudinal grooves of cruciform sockets 15 and 16, while the transverse projections 43-44 and 45-46 of the fin fit into the transverse grooves 17, 18, 19, and 20 of cruciform sockets 15 and 16.

In front of transverse groove 19 of front cruciform socket 15, there is a threaded passageway 36 inclined back toward the transverse groove 19 which receives a single grub screw 32. Grub screw 32 passes through passageway 36 and engages the front surface of the transverse projection 45 of the fin 12. Alternatively, behind transverse groove 18 of rear cruciform socket 16, there is another threaded passageway 36 inclined forward toward the transverse groove 18 which can receive another grub screw 32. This grub screw 32 passes through the rear passageway 36 and engages the rear surface of the transverse cross projection 44 of the, fin 12. There is no dispute that commercial embodiments of the OAM Fin Tech System differ slightly from the above figures in that they use only a single grub screw 32 that engages the front surface of either transverse.projection 45 or transverse projection 46 of the fin 12.

FCS filed its complaint against OAM on July 8, 1999, alleging contributory infringement pursuant to 35 U.S.C. § 271(c) and inducement of infringement pursuant to 35 U.S.C. § 271(b) as to claims 1-10 and 13-14 of the '359 patent. OAM filed an answer and counterclaim on September 2, 1999, seeking a declaration of noninfringement as to “the '359 patent,” along with a *1316 declaration of invalidity and unenforceability of “the '359 patent.”

On appeal, due to concessions made by FCS at oral argument before this court, only claim 13 of the '359 patent is currently at issue. This claim states as follows in its entirety, with emphases added to highlight the disputed terms necessary to resolve the present appeal:

13.

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265 F.3d 1311, 60 U.S.P.Q. 2d (BNA) 1203, 2001 U.S. App. LEXIS 20326, 2001 WL 1042653, Counsel Stack Legal Research, https://law.counselstack.com/opinion/fin-control-systems-pty-ltd-v-oam-inc-cafc-2001.