Port-A-Pour, Inc. v. Peak Innovations, Inc.

49 F. Supp. 3d 841, 2014 WL 2766775, 2014 U.S. Dist. LEXIS 82918
CourtDistrict Court, D. Colorado
DecidedJune 17, 2014
DocketCivil Action No. 13-cv-01511-WYD-BNB
StatusPublished
Cited by2 cases

This text of 49 F. Supp. 3d 841 (Port-A-Pour, Inc. v. Peak Innovations, Inc.) is published on Counsel Stack Legal Research, covering District Court, D. Colorado primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Port-A-Pour, Inc. v. Peak Innovations, Inc., 49 F. Supp. 3d 841, 2014 WL 2766775, 2014 U.S. Dist. LEXIS 82918 (D. Colo. 2014).

Opinion

FINDINGS OF FACT AND CONCLUSIONS OF LAW

Wiley Y. Daniel, Senior United States District Judge

I. INTRODUCTION

THIS MATTER comes before the Court on Plaintiffs Motion for Preliminary Injunction [the “preliminary injunction motion” or the “motion”] filed on October 25, 2013. (ECF No. 35.) The Court has reviewed Plaintiffs motion and the Declarations in support thereof (ECF Nos. 35:1-8, 36), Defendants’ response filed November 8, 2013 (ECF No. 44), and Plaintiffs reply filed December 6, 2014 (ECF No. 50).

The Court conducted an evidentiary hearing on the motion on January 8, 13 and 14, 2014. The Court heard testimony from Neil Oberg and Jerome Doherty for Plaintiff Port-a-Pour, Inc. [“Port-a-Pour”] and from Mark Nelson for the Defendants. The Court refers to the exhibits received in evidence at the hearing by number, and to the transcripts by the abbreviation “Tr.” The parties submitted proposed findings of fact and conclusions of law on March 6, 2014 (ECF Nos. 72 and 73). Additionally, a “Notice of Supplemental Authority in Support of Defendants’ Opposition to Plaintiffs Motion for Preliminary Injunction” (ECF No. 44) was filed on May 29, 2014. Transcripts of the evi-dentiary hearing were filed on February 24 and May 8, 2014 (ECF Nos. 69-71, 98).

By way of background, Port-a-Pour is in the concrete business and claims that it spent over 20 years developing proprietary designs for equipment that it sold in the industry, including a portable low-profile concrete batch plant known as the “Series II” that is at issue in this litigation. Port-a-Pour has two U.S. Patents and a U.S. Trademark regarding its products. It licensed its designs, patents and the “Port-a-Pour” trademark to Defendant Peak Innovations, Inc. [“Peak”] under agreements that its intellectual property rights and trade secrets are proprietary and exclusively owned by Port-a-Pour. The agreements provided that Peak’s sole right to use Port-a-Pour’s intellectual property [848]*848and trade secrets derived from the license, and upon the termination of the license Peak must immediately cease all further-use of such rights and return all of Port-a-Pour’s designs, specifications and other proprietary information.

Port-a-Pour claims that after it terminated the license agreement, Peak usurped Port-a-Pour’s rights and continued to use them for its own benefit, in derogation of the license, the parties’ agreements, and Port-a-Pour’s legally protected intellectual property rights. Port-a-Pour seeks to enjoin Peak’s illegal use of its rights. The Amended Complaint alleges claims of Patent Infringement, Violation of the Lanham Act, Infringement of Registered Trademark, Violation of the Cyberpiracy Prevention Provisions of the Lanham Act, Misuse of Protected information in Violation of Colorado Uniform Trade Secrets Act, Breach of Licensing Agreement, Breach of First and Second Confidentiality Agreements, and Civil Conspiracy.

II. FINDINGS OF FACT

1. Port-a-Pour is a Colorado corporation headquartered in Berthoud,- Colorado. Beginning in approximately 1984, Port-a-Pour began developing machinery used for producing large quantities of concrete for construction projects. Over the ensuing 22 years, Port-a-Pour refined its products and technologies.

2. Port-a-Pour’s designs are protected by two patents (U.S. Patent No. 6,876,-904—the “904 Patent”—and U.S. Patent No. 7,050,886—the “886 Patent”), each of which relate to a chemical metering system for usé with concrete batch plants (also referred to as the chemical admixture or admix system). (Exs. 1, 2). Port-a-Pour also received U.S. Trademark Registration No. 3,070,009, International Class and U.S. Class 013, 019, 021, 023, 031, 034, 035, for the name “Port-a-Pour” for use in connection with a concrete batch mixing machine (the “Trademark”). (Ex. 9). The Patents and Trademarks were duly and validly issued by the United States Patent and Trademark Office.

3. Port-a-Pour claims to have combined several technologies and elements into its line of products to create a portable concrete batch plant, ie., a plant capable of producing large quantities of high-grade concrete, along with supporting plant equipment. Port-a-Pour’s Series II concrete batch plant consists of a single trailer with (a) a powder silo or cement bin (for cement), (b) two aggregate bins for crushed rock and sand, (c) a twin shaft blender that blends the dry ingredients, (d) a chemical metering system, and (e) a computer system with custom software to control all of the components. (Tr. 18:15-20:15; 27:15-18; 33:3-34:25; 51:17-23.)

4. Port-a-Pour’s product line also includes a standalone horizontal powder silo built onto its own separate trailer, which is used if the desired mix design requires fly ash as well as cement powder [the “Auxiliary Silo”]. (Tr. 26:1-28:23.) Neil Oberg of Port-a-Pour testified that the Auxiliary Silo was developed in response to a new industry requirement for a second fly ash (as opposed to cement) powder to be incorporated into concrete batch mixes. (Id. 28:8-21.) Mark Nelson of Peak also testified that this was the reason that a horizontal silo such as the Auxiliary Silo was necessary. (Id. 261:19-24.) The Auxiliary Silo functions exactly the same as the powder silo (cement bin) built onto the plant, and integrates into the plant’s computer control system. (Id. 27:21-24.) Nevertheless, Mr. Nelson maintains that the Auxiliary Silo and the Series II are separate and distinct products. (Id. 355:21-356:5.)

5. Mr. Oberg testified on behalf of Port-a-Pour that the components of the Auxiliary Silo, including the weighing sys-[849]*849tern, the Airslide, and the low-profile dust filter, make it “extremely portable so there’s really no dismantling of any components to move it from one site to the next. It’s designed to be moved and set up relatively quickly.” (Tr. 30:16-19.) He also testified that the Auxiliary Silo is low-profile as it does not require a crane for set up. It is portable because it is on a set of wheels, and is typically hauled with a semi-tractor. (Id. 29:4-10.) It has a low-profile dust filter, which is a Port-a-Pour development, and it also has Airslides (in the example he testified to there were two Airslides, one on the front and one to the rear with a butterfly valve which is typically an automatic butterfly valve in the center). (Id. 29:11-15.)

6. Mr. Oberg testified that Port-a-Pour developed the low-profile dust filter out of necessity to gain extra volume, as the commercial dust filters that were used were built on the back of the plant and reduced storage volume. (Tr. 45:6-20.) The Airslide is the delivery mechanism, and it is high volume air under relatively low pressure. (Id. 29:16-17.) That was another innovation by Porfr-a-Pour, as other plants were not using Airslides in their portable plants. (Id. 46:1-7.) The Air-slide went through several iterations by design, as Port-a-Pour wanted its angle to be “sharp” enough that there was adequate free fall of the material. (Id. 49:12-51:15.) It is designed to meter out cement and/or fly ash. It works in conjunction with an auger, and is set up on load cells (electronic weighing instruments). (Id. 29:16-25.) This allows control of the cement delivery and the ability to measure the cement by decumulation. (Id. 46:18-23.)

7. Port-a-Pour developed the design and components of the Series II batch plant and the Auxiliary Silo, according to Mr.

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49 F. Supp. 3d 841, 2014 WL 2766775, 2014 U.S. Dist. LEXIS 82918, Counsel Stack Legal Research, https://law.counselstack.com/opinion/port-a-pour-inc-v-peak-innovations-inc-cod-2014.