Litton Industrial Products, Inc., Appellant/cross-Appellee v. Solid State Systems Corp., Appellee/cross-Appellant

755 F.2d 158, 225 U.S.P.Q. (BNA) 34, 1985 U.S. App. LEXIS 14720
CourtCourt of Appeals for the Federal Circuit
DecidedFebruary 25, 1985
Docket20-1305
StatusPublished
Cited by276 cases

This text of 755 F.2d 158 (Litton Industrial Products, Inc., Appellant/cross-Appellee v. Solid State Systems Corp., Appellee/cross-Appellant) 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
Litton Industrial Products, Inc., Appellant/cross-Appellee v. Solid State Systems Corp., Appellee/cross-Appellant, 755 F.2d 158, 225 U.S.P.Q. (BNA) 34, 1985 U.S. App. LEXIS 14720 (Fed. Cir. 1985).

Opinion

JACK R. MILLER, Circuit Judge.

Litton Industrial Products, Inc. (“Littón”) appeals from the decisions 1 of the United States District Court for the Western District of Washington (“district court”) that U.S. Patent No. 3,368,280 2 (“ '280 patent”) is invalid and that Litton violated the Washington Consumer Protection Act, Washington Revised Code § 19.-86.020. Solid State Systems Corp. (“Solid State”) cross-appeals the district court’s decjsion 3 denying an award of damages and attorney fees for Litton’s violation of Washington Revised Code § 19.86.020. We reverse ¡n part> and vacate and remand in part

BACKGROUND

The ’280 patent, as shown in Figure 2 below, is drawn to an ultrasonic device 11 for cleaning teeth with a vibrating work tool 12. Liquid, such as water, is directed through passages 32 and 34 in housing 14 and bores 46 and 50 of shank 44. From bore 50, the liquid bridges across bent portion 54 to impinge distal end 52. Shank 44 is connected to housing 14 by threaded end 48.

Claims 1, 2, and 3 are illustrative:

1. A work tool for an ultrasonic dental device comprising a shank portion adapted to be connected to a connecting body m the device and a single portion : ® . projecting from the shank and termmat-ing in an angled distal work tool end, said shank having a fluid path there-through with a mouth arranged to direct a stream of water flowing through the shank to impinge on the distal end.
2. A work tool as set forth in claim 2 [sic, claim 1] wherein the said shank is provided with a first and a second recess, J 1 ® “j? Recess comprising a seat to hold the portion and the second recess . . ,, , , , comprising a through bore to commum-cate with an axia] bore in the shank of the tool, whereby a stream of water is adapted to be directed to the second bore to impinge on the distal end of the tool,
3. A work tool as set forth in claim 2 wherein said angled tool end is formed *160 by a dog leg bend intermediate the distal end and its connection to the shank so that the stream of water bridges the dog leg in flight to impinge on the distal end.

Two weeks prior to the filing date of the '729 application, 4 Robert J. Blank and Bruce Richman filed patent application No. 533,362 5 (“Blank application”), which was also assigned to C & B. On July 26, 1967, before any prior art was cited against the claims of the ’729 application, Bruce Rich-man received a letter from his patent attorney, Theodore Bishoff, regarding the Blank application (“Bishoff-Richman letter”). One portion of this letter discussed the pertinence of U.S. Patent No. 3,075,288 to Lewis Balamuth, et al. (“Balamuth ’288”) 6 to the ’729 application as follows:

It should be clear that Balamuth [’288]’s Figure 9 anticipates the structure of the liquid passage not only in the transformer or work tool support, but his showing of a slot 138 in the work tool also appears to substantially anticipate your joint and 2nd application with Dr. Charles Friedman [the ’729 application].

Despite this letter, Balamuth ’288 was not cited to the U.S. Patent and Trademark Office (“PTO”) during prosecution of the ’729 application.

As shown below, Figure 9 of Bala-muth ’288 depicts internal passages in ultrasonic dental tool 6 for supplying water to tool 30. By pressing button 136, collar 132 moves against the bias of spring 134 to lift valve plug 130 away from its normally closed position so that water within the tool flows through passages 128 and 127. Slot 138 permits water to leak from passage 127 to tool 30.

In issuing the ’280 patent, the PTO did, however, consider, inter alia, U.S. Patent No. 2,874,470 to James R. Richards (“Richards patent”) 7 and U.S. Patent No. 2,792,-674 to Lewis Balamuth, et al. (“Bala-muth ’674”). 8

Richards, as shown below in Figure 1, discloses a dental tool 10, which oscillates at high frequency for drilling teeth and filling cavities. Work end wall 31 of tool 10 is provided with a hole 32 through which water from the interior 28 flows to the working area 33 of a tooth. As an alternative to the straight work tip 34 in Figure 1, Richards also suggests angled work tips.

*161

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755 F.2d 158, 225 U.S.P.Q. (BNA) 34, 1985 U.S. App. LEXIS 14720, Counsel Stack Legal Research, https://law.counselstack.com/opinion/litton-industrial-products-inc-appellantcross-appellee-v-solid-state-cafc-1985.