Judge Applies WesternGeco Principles to Direct Infringement Under 35 U.S.C.§ 271(a)

Mintz - Intellectual Property Viewpoints
Contact

Mintz - Intellectual Property Viewpoints

A federal district court judge recently applied the recent U.S. Supreme Court decision in WesternGeco LLC v. ION Geophysical Corporation, in which the Supreme Court held that lost profits damages could be awarded for infringement occurring under 35 U.S.C.§ 271(f), to cover damages for direct infringement occurring under 35 U.S.C.§ 271(a) (see our prior post here for an overview of the case and the issues before the Court, and here for an overview of the Court’s June opinion). 

In Power Integrations, Inc. v. Fairchild Semiconductor, a patent infringement dispute that has been litigated for nearly 15 years, Power Integrations, Inc. (“Power”) sued Fairchild Semiconductor Corporation (“Fairchild”) for infringement of four of its patents.  At trial in October 2006, the jury was instructed on direct and induced infringement, and returned a general verdict of infringement.  The jury also found Fairchild’s infringement was willful and awarded Power approximately $34 million in worldwide damages.  Post-trial, the court granted Fairchild’s motion for remittitur and reduced the jury’s award by approximately 82%, to around $6 million, the amount of damages Power incurred just in the United States.

On appeal, the Federal Circuit upheld the district court’s decision to exclude damages for sales made outside the United States, finding it correctly decided as a matter of law, concluding that the jury’s verdict must have been based on direct infringement, presumably based on the parties’ stipulation of direct infringement, and remanded the case for a new trial on damages for direct infringement alone.  The Federal Circuit would later rely on this holding to reverse the lower court’s lost profits award for extraterritorial activity in WesternGeco, using a similar rationale before the Supreme Court heard the case.

After the Supreme Court issued its decision in WesternGeco, district court Judge Leonard P. Stark issued an opinion holding that WesternGeco implicitly overruled the Federal Circuit’s holding in this case.  Judge Stark noted that “[t]he Supreme Court’s analysis of the patent damages statute, § 284, has equal applicability to the direct infringement allegations pending here, as governed by § 271(a).”  Judge Stark held that Power will be able to seek recovery of worldwide damages for direct infringement in the upcoming damages trial, overriding the prior instruction of the Federal Circuit, and certified the issue for interlocutory appeal.

This case has the potential to dramatically impact the law of patent damages.  If Judge Stark’s order is affirmed on appeal, expanded recovery for worldwide infringement of patent damages could be available to patent owners.  Although Judge Stark only addressed the applicability of the WesternGeco rationale to direct infringement under § 271(a), it remains for other decisions to address whether WesternGeco could be applied to additional types of infringement, such as indirect infringement.

[View source.]

DISCLAIMER: Because of the generality of this update, the information provided herein may not be applicable in all situations and should not be acted upon without specific legal advice based on particular situations.

© Mintz - Intellectual Property Viewpoints | Attorney Advertising

Written by:

Mintz - Intellectual Property Viewpoints
Contact
more
less

Mintz - Intellectual Property Viewpoints on:

Reporters on Deadline

Related Case Law

"My best business intelligence, in one easy email…"

Your first step to building a free, personalized, morning email brief covering pertinent authors and topics on JD Supra:
*By using the service, you signify your acceptance of JD Supra's Privacy Policy.
Custom Email Digest
- hide
- hide

This website uses cookies to improve user experience, track anonymous site usage, store authorization tokens and permit sharing on social media networks. By continuing to browse this website you accept the use of cookies. Click here to read more about how we use cookies.