Ex Parte Hanawa et alDownload PDFBoard of Patent Appeals and InterferencesOct 29, 200910896113 (B.P.A.I. Oct. 29, 2009) Copy Citation UNITED STATES PATENT AND TRADEMARK OFFICE ____________ BEFORE THE BOARD OF PATENT APPEALS AND INTERFERENCES ____________ Ex parte HIROJI HANAWA, TSUTOMU TANAKA, KENNETH S. COLLINS, AMIR AL-BAYATI, KARTIK RAMASWAMY, and ANDREW NGUYEN ____________ Appeal 2009-004456 Application 10/896,113 Technology Center 2800 ____________ Decided: October 29, 2009 ____________ Before MAHSHID D. SAADAT, CARLA M. KRIVAK, and ELENI MANTIS MERCADER, Administrative Patent Judges. KRIVAK, Administrative Patent Judge. DECISION ON APPEAL Appellants appeal under 35 U.S.C. § 134(a) from a final rejection of claims 1-4, 6-8, 10-12, 29-40, 43-65, 69-91, 94, and 96. We have jurisdiction under 35 U.S.C. § 6(b). We affirm-in-part. Appeal 2009-004456 Application 10/896,113 2 STATEMENT OF THE CASE Appellants’ claimed invention is a plasma immersion ion implantation process for implanting a selected species of ions into a semiconductor microelectronic circuit workpiece with a desired ion implantation depth profile (Spec. ¶¶ [1], [2], [14]). A reaction chamber has an upper ion generation region and lower process region separated by an ion shower grid (Fig. 1; Spec. ¶¶ [14], [63]). Ions generated in the upper region are drawn through the ion shower grid to a semiconductor workpiece in the lower region (Fig. 1; Spec. ¶¶ [14], [63]). The lower region is biased by a radio frequency (RF) voltage to vary the flux and energy of the ions to more accurately control implantation and better achieve a desired ion implantation depth profile (Figs. 1, 31C; Spec. ¶¶ [14], [63]). Independent claim 1, reproduced below, is representative of the subject matter on appeal. 1. A plasma immersion ion implantation process for implanting a selected species at a desired ion implantation depth profile in a workpiece, comprising: providing a reactor chamber with an ion shower grid that divides said chamber into an upper ion generation region and a lower process region, said ion shower grid having plural elongate orifices oriented in a non-parallel direction relative to a surface plane of said ion shower grid; placing a workpiece in said process region; furnishing said selected species into said ion generation region; evacuating said process region; Appeal 2009-004456 Application 10/896,113 3 applying plasma source power to generate a plasma of said selected species in said ion generation region, and applying a grid potential to said ion shower grid to create a flux of ions from the plasma through said grid and into said process region; and applying an RF bias voltage to said workpiece, said RF bias voltage corresponding to said desired ion implantation profile, whereby to implant said ions into said workpiece at a depth below a surface of the workpiece according to said ion implantation depth profile. REFERENCES Aisenberg US 3,904,505 Sep. 9, 1975 Ono US 4,450,031 May 22, 1984 Adler US 4,587,430 May 6, 1986 Kamata US 5,134,301 Jul. 28, 1992 Knapp US 5,508,368 Apr. 16, 1996 Ye US 5,756,400 May 26, 1998 Matsumoto US 6,207,536 B1 Mar. 27, 20011 Yamakoshi US 2001/0021422 A1 Sep. 13, 2001 Amano US 6,392,350 B1 May 21, 2002 Ishizuka US 6,419,985 B1 Jul. 16, 2002 Raoux US 6,432,256 B1 Aug. 13, 2002 The Examiner rejected claims 1-4, 6-8, 10-12, 29-37, 39, 40, 87, 94, and 96 under 35 U.S.C. § 103(a) based upon the teachings of Ono.2, 3 1 The Examiner cited Matsumoto in the Answer only as an additional supporting reference (Ans. 33). 2 The Examiner also “takes official notice that it was known at the time of the invention to bias the workpiece in order to control the ion implantation depth” (Final Office Action, mailed July 17, 2007, at 4; Ans. 5), citing Amano, Ishizuka and Yamakoshi in support of this finding (Ans. 30-32). Appeal 2009-004456 Application 10/896,113 4 The Examiner rejected claims 38, and 43-47 under 35 U.S.C. § 103(a) based upon the teachings of Ono and Aisenberg. The Examiner rejected claims 48-51, 53-56, 65, and 71-81 under 35 U.S.C. § 103(a) based upon the teachings of Ono and Kamata. The Examiner rejected claims 52 and 69 under 35 U.S.C. § 103(a) based upon the teachings of Ono, Kamata, and Knapp. The Examiner rejected claims 57 and 58 under 35 U.S.C. § 103(a) based upon the teachings of Ono and Raoux. The Examiner rejected claims 59-64, and 70 under 35 U.S.C. § 103(a) based upon the teachings of Ono, Raoux, and Ye. The Examiner rejected claims 82-86 under 35 U.S.C. § 103(a) based upon the teachings of Ono, Kamata, and Adler. The Examiner rejected claims 88-91 under 35 U.S.C. § 103(a) based upon the teachings of Ono and Ye. Appellants make numerous arguments addressed herein asserting the claimed subject matter is not rendered obvious by Ono alone or in combination with Aisenberg, Adler, Kamata, Knapp, Ye, and Raoux (App. Br. 3, 4).4 3 Appellants failed to timely file a declaration with their Appeal Brief challenging the references the Examiner provided in the Advisory Action mailed October 2, 2007, supporting the Examiner’s official notice. Appellants later challenged the official notice in a Declaration under 37 C.F.R. § 1.132 filed with the Reply Brief on August 27, 2008. However, since the Declaration was not timely filed under 37 C.F.R. § 41.33(d) and MPEP § 1208, Appellants’ Declaration is not considered. 4 Appellants’ Amended Appeal Brief filed February 26, 2008, is referred to throughout this Opinion. Appeal 2009-004456 Application 10/896,113 5 ISSUE Have Appellants established the Examiner erred in finding Ono alone or in combination with Aisenberg, Adler, Kamata, Knapp, Ye, and Raoux teaches Appellants’ claimed plasma immersion ion implantation process? FINDINGS OF FACT 1. Appellants’ claimed invention applies an RF bias voltage to a workpiece such as a semiconductor wafer 122 through a wafer pedestal 120 (Spec. ¶¶ [0014], [0063], [0161]; Fig. 1). The wafer pedestal, supported on a floor 106 of a lower chamber 112, holds the semiconductor wafer in the lower sub-chamber 112 (Spec. ¶ [0063]; Fig. 1). The wafer pedestal may be an electrostatic chuck of the type well-known in the art that holds the wafer by applying a static voltage through an insulator within the chuck and releases the wafer upon termination of the static voltage (Spec. ¶ [0063]; Fig. 1). 2. Appellants’ Specification states “[d]epending upon the desired junction depth, the RF ion acceleration voltage applied to the wafer support pedestal 120 may be relatively small (e.g., 500 volts or less, down to about 10 volts) for a shallow junction or relatively large (e.g., 5,000 volts) for a deep junction. Some applications may require an RF ion acceleration voltage of over 10,000 volts” (Spec. ¶ [0161]). 3. Ono teaches an ion shower apparatus includes a plasma formation chamber 1 for producing ions and a single ion extraction grid 7 for extracting ions from the plasma formation chamber to create an ion beam in the form of an ion shower (col. 6, ll. 28-36; col. 8, ll. 6-10). The ion extraction grid is coated with an insulating layer of polyimide (col. 12, ll. Appeal 2009-004456 Application 10/896,113 6 25-39). The apparatus also includes a specimen chamber 2 in which a surface of a specimen 9 positioned on a substrate table 8 is subject to etching or deposition, or a target is subject to sputtering (col. 1, ll. 6-11; col. 5, ll. 7- 20; col. 6, ll. 28-36; Fig. 4). 4. Amano teaches a plasma processing method for forming and etching a thin film (col. 1, ll. 7-12). Amano provides for a first vacuum chamber 21 and a second vacuum chamber 22 wherein the second chamber includes a mounting table 4 facing the first chamber for a semiconductor wafer W, which is a substrate to be treated. The mounting table has an electrostatic chuck 41 on the surface thereof. An electrode of the electrostatic chuck 41 is connected to a dc power supply and to a high- frequency power supply 42 for applying a bias voltage to implant ions into the wafer (col. 4, ll. 38-47). 5. Ishizuka discloses a plasma treatment system for producing an insulating interlayer dielectric film in a semiconductor device (col. 1, ll. 9- 13; col. 3, ll. 9, 10). Ishizuka also provides for a first vacuum chamber 21 and a second vacuum chamber 22 wherein the second vacuum chamber 22 includes a mounting table 4 facing the first chamber for a semiconductor wafer W, which is a substrate to be treated. A mounting table 4 has an electrostatic chuck 41 on the surface thereof. An electrode of the electrostatic chuck 41 is connected to a dc power supply and to a high- frequency power supply 42 for applying a bias voltage to implant ions into the wafer (col. 3, ll. 41-50). 6. Yamakoshi teaches a plasma generating chemical vapor deposition (CVD) apparatus for fabricating semiconductor devices using a very high frequency ladder electrode 303 (¶¶ [0024], [0137], [0146]; Figs. 8, Appeal 2009-004456 Application 10/896,113 7 14-17). Yamakoshi refers to a prior art technique that supplies two different high-frequency waves to two discharge electrodes. This technique uses one high-frequency wave to generate a discharge plasma and the other high- frequency wave to control the surface bias voltage of a substrate, thereby controlling the amount of active ions flowing into the substrate and the amount of energy incident on the substrate (¶ [0023]). 7. Aisenberg teaches a plasma ion source to produce a plasma for ion deposition on a substrate (Fig. 1; col. 3, ll. 14-17). Aisenberg discloses an AC or RF supply connected via transformer 52 to substrate 22, which operates at a high frequency (at about 15 Kc or 13 megacycles, for example) to alternately bias the substrate surface positive and negative by using a displacement current that flows through an insulating film or substrate. The RF amplitude applied to the substrate determines the energy of the positive ions attracted to the surface and can be used to control the deposition energy (col. 4, l. 65 – col. 5, l. 11). 8. Kamata discloses an ion implanting apparatus 1 for fabricating a semiconductor integrated circuit device (col. 6, ll. 41-43; Abstract). Kamata further discloses the selection and implantation of p-type ions to form a p-type well and the selection and implantation of n-type ions to form an n-type well (col. 8, ll. 37-58). 9. Kamata teaches pre-amorphous ion implantation with germanium to render the implanted portions sufficiently amorphous (col. 28, l. 64 to col. 29, l. 2). 10. Kamata shows in Figs 5 and 6 areas, designated by, for example, reference numerals 24(P), 25A(P), and 25B(P), impacted at trajectories other than orthogonal having ions implanted in horizontal and Appeal 2009-004456 Application 10/896,113 8 non-horizontal surfaces (col. 5, ll. 31-35; col. 8, ll. 37-58; col. 8, l. 65-col. 9, l. 30). 11. Knapp teaches an ion beam deposition process generally used to coat substrate products (Abstract). Knapp also teaches using an ion beam process to obtain an atomically clean surface by sputter-etching the substrate using an ion beam having a controlled shape, current, and energy to obtain a highly repeatable and predictable rate of removal of surface contaminant layers (col. 6, ll. 30-48). 12. Raoux teaches a method for providing improved corrosion resistance of ceramic parts by implanting those parts with rare-earth ions in a substrate processing chamber (Abstract). The implanted ions react with fluorine radicals to form a layer of rare-earth fluoride material at the surface of the ceramic component (Abstract). The formed rare-earth fluoride layer is a “passivation layer” preventing consumption of the ceramic part during further substrate processing (Abstract). 13. Ye teaches a method and apparatus for plasma cleaning the interior surfaces of a semiconductor processing chamber (Abstract). Ye removes accumulated contaminant residues attached to the inner surfaces of the plasma processing chamber (Abstract). Specifically, Ye teaches that cleaning the process chamber of contaminant deposits to remove the source of particulate matter harmful to the creation of semiconductor devices is a critical goal in the ion implantation process (Abstract; col. 1, ll. 15-25; col. 15, ll. 4-14). 14. Adler discloses an ion implantation device in which the ion source includes one or more vacuum spark gaps arranged to create plasma Appeal 2009-004456 Application 10/896,113 9 (Abstract). The ion implantation devices are based on pulsed power technology using a vacuum (col. 1, ll. 50-55). PRINCIPLES OF LAW The Examiner bears the initial burden of presenting a prima facie case of obviousness. In re Oetiker, 977 F.2d 1443, 1445 (Fed. Cir. 1992). If that burden is met, then the burden shifts to the Appellants to overcome the prima facie case with argument and/or evidence. See Id. ANALYSIS 1. Rejection of Claims 1-4, 6-8, 10-12, 29-37, 39, 40, 87, 94, 96 The Examiner rejected claims 1, 3, 4, 6, 7, 30, 31, 34, 39, 40, 87, 94, and 96 based upon the teachings of Ono. Appellants mainly argue this rejection with respect to representative claim 1 (App. Br. 5, 7). Claim 1 With respect to claim 1, the Examiner finds Ono discloses all the claimed limitations except for “applying an RF bias voltage to said workpiece, said RF bias voltage corresponding to said desired ion implantation profile, whereby to implant said ions into said workpiece at a depth below a surface of the workpiece according to said ion implantation depth profile” (Ans. 4-5). The Examiner takes official notice that “it was known at the time of the invention to bias the workpiece in order to control the ion implantation depth” (Ans. 5) citing Amana, Ishizuka and Yamakoshi (Ans. 30-32). Appellants assert that prior art bias voltage levels are “sufficient merely to treat the wafer surface . . . but not to provide sufficient ion energy Appeal 2009-004456 Application 10/896,113 10 to drive plasma ions to typical implant depths” (App. Br. 4; See Reply Br. 2- 4). In support of this assertion, Appellants further argue that the “high voltage electrostatic chuck of FIGS. 37 and 38” is used to “apply the extremely high bias voltages (e.g., 10 kV or more per paragraph. 161 of applicants’ specification) required to provide the requisite implant depth for typical source-drain junctions” (App. Br. 4) (emphasis added). Although Appellants assert the high voltage electrostatic chuck is required to provide the requisite implant depth with 10kV or more (App. Br. 4-6; Reply Br. 2-4), claim 1 does not require the use of either a high bias voltage or a corresponding high voltage electrostatic chuck for ion implantation. Appellants’ Specification supports Appellants’ assertion that voltages of 10,000 volts or more may be applied in some instances (Spec. ¶ [161]). However, this same paragraph states, “[d]epending upon the desired junction depth, the RF ion acceleration voltage applied to the wafer support pedestal 120 may be relatively small (e.g., 500 volts or less, down to about 10 volts) for a shallow junction or relatively large (e.g., 5,000 volts) for a deep junction” (Spec. ¶ [161]; FF 2) (emphasis added). Furthermore, contrary to Appellants’ assertion that “conventional electrostatic chucks or support pedestals cannot be employed where RF bias voltage furnishes the ion implant kinetic energy” (App. Br. 5), Appellants’ Specification states, “[t]he wafer pedestal 120 may be an electrostatic chuck of the type well- known in the art that holds the wafer 122” (emphasis added) (Spec. ¶ [63]; FF 1). Thus, Appellants’ Specification teaches that a prior art chuck may be used with a relatively small voltage level, to perform Appellants’ claimed ion implantation process. Appeal 2009-004456 Application 10/896,113 11 Appellants traverse Examiner’s official notice under MPEP § 2141(V)(A) and MPEP § 2144.03(c) regarding using a conventional electrostatic chuck or support pedestal where an RF bias voltage furnishes an ion implant kinetic energy (App. Br. 5). As discussed, supra, neither extremely high bias voltages nor a high voltage electrostatic chuck is required for ion implantation, nor does Appellants’ claim 1 require them. Thus, Appellants have not put forth an adequate basis for successfully challenging Examiner’s official notice that “‘it was known at the time of the invention to bias the workpiece in order to control the ion implantation depth.’” Appellants further assert that Ono teaches etch and deposition processes in which ions are not required to penetrate significantly below the wafer surface, if at all (App. Br. 6; Reply Br. 2). Appellants contend that bias power of any kind is not applied to a pedestal or wafer in Ono, thus Ono does not teach or suggest applying a “workpiece bias potential” (App. Br. 6). Therefore, Appellants conclude Ono cannot suggest ion implantation using a workpiece bias potential as claimed (App. Br. 6). The Examiner, however, finds that the amount of ions and their energy incident on a substrate is the difference between depositing, implanting, etc., and that deposition as disclosed in Ono is generic for “‘implantation’” (Ans. 32). Furthermore, as discussed supra, the Examiner takes official notice that it was known at the time of Appellants’ invention to bias a workpiece to control ion implantation depth (Ans. 5) citing Amano, Yamakoshi and Ishizuka (Ans. 30). Appellants assert these references do not disclose ion implantation. For example, Appellants assert that in Amano the term “implanting ions into the wafer” (col. 4, ll. 46-47) refers to Appeal 2009-004456 Application 10/896,113 12 “sputtering” not “ion implantation” (Reply Br. 2). Appellants contend Amano’s teaching that, “[a]t this time, plasma ions are drawn into the wafer W by the bias voltage to scrape the corners of the pattern (recessed portion) on the surface of the wafer W to expand the opening” (col. 5, l. 67-col. 6, l. 4) does not show implantation below the surface of the wafer (Reply Br. 2). The portions of Amano relied on by Appellants do teach ions penetrating a wafer surface. Because ion implantation in claim 1 is only limited to “the desired ion implantation depth profile” and not to an ion implantation of a particular depth profile, even the most shallow implantation of ions below the surface is sufficient to meet the claimed limitation. Appellants’ assertions that Amano cannot be interpreted literally as performing ion implantation is premised on the requirement of very high RF bias voltages, which were shown above to be unpersuasive. Because Amano clearly envisions some ions penetrating a wafer surface, Amano is relevant to the requisite ion implantation. Thus, Appellants have not shown the Examiner erred in establishing that it was known in the art at the time of Appellants’ invention to bias the workpiece to control ion implantation depth. Claim 2 With respect to claim 2, the Examiner finds that Ono implicitly teaches evacuating a chamber to a sufficiently low pressure and that plasma is produced in a reduced atmosphere (Ans. 6, 33). Appellants merely contend that Ono does not relate the ion-neutral mean collision distance to the grid-wafer gap length, as required in claim 2 (App. Br. 7). Claim 2 requires, in pertinent part, “an evacuation rate sufficient to maintain an ion-neutral mean collision distance” (emphasis added). Appeal 2009-004456 Application 10/896,113 13 Appellants’ Specification states that, “with a proper selection of the evacuation rate of the pump 118, the upper sub-chamber 110 may have a relatively high pressure conducive to efficient plasma ion generation while the lower sub-chamber 112 may have a relatively low pressure for a very large ion/neutral mean collision distance” (Spec. ¶ [68]) (Parentheticals omitted). Thus, Appellants’ Specification evidences that proper selection of the evacuation rate of the pump was known to one skilled in the art. Therefore, Appellants have not established the Examiner erred in rejecting claim 2 over Ono. Claims 8 and 10-12 With respect to claims 8 and 10-12, Appellants contend that Ono fails to disclose adding electrons into the plasma (App. Br. 7). Claim 8 requires “providing neutralization electrons.” The Examiner refers to Fig. 11 of Ono and finds the ion extraction grid 50 of Ono is cooled, inherently providing neutralization electrons in the vicinity of a workpiece (Ans. 7). The Examiner further relies on Matsumoto to support the assertion made above that the cooled grid in Ono provides neutralization electrons near the workpiece (Ans. 33). However, as Appellants correctly assert, neither Ono, nor Matsumoto teaches or suggests gas injectors in the process region (App. Br. 7). Thus, because no support has been identified in these references for generating a flow of electrons from an electron gun or injecting an electron-donor gas, as recited in claims 10 and 11, Appellants have shown error in the Examiner’s rejection of claims 10 and 11, but not of claims 8 and 12. Appeal 2009-004456 Application 10/896,113 14 Claims 29-33 With respect to claim 29, the Examiner finds that a torroidal plasma force is a known means of generating plasma (Ans. 33-34). The Examiner, however, has merely relied on Figures 1 and 6 of Ono (Ans. 8). As Appellants correctly assert, the relied on portions of Ono do not teach or suggest “generating a torroidal plasma current.” Thus, Appellants have shown error in the Examiner’s rejection of claim 29, as well as claims 30-33 dependent therefrom. Claims 35-37 With respect to claims 35-37, the Examiner finds Ono teaches depositing a layer of polyimide on a surface of a conducting plate, the conducting plate being an interior surface of the reactor chamber (Ans. 9, 10, 34, 35; FF 3). Appellants contend that Ono merely teaches how to fabricate a grid and not the “deposition of a layer on interior chamber surfaces generally (for example, all of them), not just on a grid” as claimed (App. Br. 8). Claims 35-37 require depositing a layer of process-compatible material on reactor chamber interior surfaces without specifying deposition on all of the interior surfaces of the chamber. The ion extraction grid of Ono is contained within the reactor chamber, so surfaces on the grid are also interior chamber surfaces (FF 3). Ono describes the upper surfaces of the grid as being coated with an insulating layer of polyimide, which is compatible with the process of ion implantation (FF 3). Because Ono teaches the required depositing the process-compatible material on the chamber interior surfaces, Appellants have not established the Examiner erred in rejecting claims 35-37 over Ono. Appeal 2009-004456 Application 10/896,113 15 2. Rejection of Claims 38 and 43-47 The Examiner rejected claims 38 and 43-47 over Ono and Aisenberg (Ans. 12-15, 35). The Examiner finds that Ono teaches the invention of claim 38 except for adjusting ion energy at the workpiece surface by adjusting the frequency of the RF bias voltage (Ans. 12). The Examiner finds Aisenberg shows it is well known to adjust the frequency of the RF bias voltage while routine experimentation and optimization would have obtained the optimal or desired effect (Ans. 12-14, 35; FF 7). Appellants argue this rejection with respect to claim 38 and assert Ono and Aisenberg do not teach adjusting bias frequency for adjusting ion energy as required by claim 38 (App. Br. 8). Aisenberg teaches the RF amplitude applied to the substrate determines the energy of the ions attracted to the workpiece surface (FF 7). However, this is not the same as adjusting the frequency of the RF bias voltage to adjust ion energy at the workpiece surface as claimed. The Examiner has not established a prima facie case of obviousness with respect to claim 38. However, since the teachings of Ono and Aisenberg with respect to the recited features of claims 43-47 have not been specifically addressed, Appellants have not shown error in the Examiner’s rejection of claims 43-47. 3. Rejection of Claims 48-51, 53-56, 65, and 71-81 The Examiner rejected claims 48-51, 53-56, 65, and 71-81 over Ono and Kamata (Ans. 15, 16, 35, 36). Claims 48-51, 65, and 71-73 Specifically, the Examiner finds Ono broadly discloses ion implantation and Kamata teaches the selected species is a dopant impurity Appeal 2009-004456 Application 10/896,113 16 that promotes one of a p-type or n-type conductivity in a semiconductor material (FF 8). The Examiner finds the desired depth profile can be a desired p-n junction depth, whereby the bias voltage affects the junction depth. (Ans. 15, 36). Appellants assert there is no motivation to combine Ono and Kamata to produce the claimed invention because the two references are unrelated (App. Br. 9). Appellants also assert the combination of Ono and Kamata would not result in plasma immersion ion implantation as claimed (App. Br. 9; FF 8). However, Appellants provide no explanation why this is the case or how Ono and Kamata are different from the claimed plasma immersion ion implantation process. As discussed above, the Examiner correctly finds Ono broadly discloses ion implantation as set forth above. Therefore Ono and Kamata can be combined as they both teach ion implantation (FF 8). Further, Kamata is merely cited as teaching commonly known impurity species that promote p-type or n-type conductivity in the implanted regions (Ans. 36; FF 8). Thus, Appellants have not shown the examiner erred by combining the ion implantation taught by Ono with a selected species that promotes a p- type or n-type conductivity taught by Kamata to arrive at Appellants’ claimed invention. Claims 53-56 and 75-77 The Examiner finds Kamata teaches the required amorphization process carried out prior to an ion implantation process (Ans. 16, 36). Appellants argue the rejection of claims 53-56 and 75-77 together and contend none of the references disclose an amorphization process carried out prior to an ion implantation process (App. Br. 10). However, we find that Appeal 2009-004456 Application 10/896,113 17 Kamata does teach pre-amorphous ion implantation with germanium to render implanted portions sufficiently amorphous (FF 9). Therefore, Appellants have not established the Examiner erred in rejecting claims 53-56 and 75-77 over Ono and Kamata Claim 74 The Examiner finds Kamata teaches the required ion implantation on horizontal and non-horizontal surfaces (Ans. 17, 18, 36). Appellants contend Ono and Kamata are incapable of performing ion implantation on vertical surfaces as required by claim 74 (App. Br. 10). Kamata discloses semiconductor devices having horizontal and non- horizontal surfaces formed by an ion implanting apparatus (FF 10). Claim 74 only requires “a significant fraction of ions impacting said workpiece at trajectories other than orthogonal to said [sic] whereby to [sic] implant ions in said horizontal and non-horizontal surfaces of said workpiece.” Thus, Kamata teaches ions impacting a workpiece at trajectories other than orthogonal to implant ions in horizontal and non-horizontal surfaces of the workpiece as claimed. Appellants have provided no persuasive evidence to the contrary. Therefore, Appellants have not established the Examiner erred in rejecting claim 74 over Ono and Kamata. Claims 78-81 The Examiner rejected claims 78-81 over Ono and Kamata (Ans. 19, 36). The Examiner finds that Kamata teaches an ion bombardment species for co-implantation with a dopant impurity (Ans. 19). Appellants assert Kamata is incapable of simultaneously implanting two different species, as required by claims 78-81, because it is tuned to a single charge/mass ratio Appeal 2009-004456 Application 10/896,113 18 (App. Br. 10). The Examiner further responds that such features are not recited in the claims (Ans. 36). While the implantation with germanium is not disclosed to take place simultaneously with the boron implantation, as stated by the Examiner, the claims are not so limited. In fact, Kamata teaches pre-amorphous ion implantation with germanium to render implanted portions sufficiently amorphous (FF 9), which means that both species are co-implanted and remain in the implanted region. Thus, Appellants have not established the Examiner erred in rejecting claims 78-81 over Ono and Kamata. 4. Rejection of Claims 52 and 69 The Examiner rejected claims 52 and 69 over Ono, Kamata, and Knapp (Ans. 20, 21). The Examiner finds that Ono and Kamata teach the features of claims 52 and 69 except for a co-implant ion bombardment element that removes, from a top surface of the workpiece, and a material that accumulates during implantation of a dopant impurity (Ans. 20). The Examiner also finds that Knapp teaches using ion extraction to clean the surface of the substrate by sputter-etching (Ans. 20, FF 11). Appellants rely on the same arguments presented for claim 78 (App. Br. 11) which were found to be unpersuasive. Thus, Appellants have not established the Examiner erred in rejecting claims 52 and 69 over Ono, Kamata, and Knapp. 5. Rejection of Claims 57 and 58 The Examiner rejected claims 57 and 58 over Ono and Raoux (Ans. 21-23). The Examiner finds Raoux teaches the required deposition of a passivation layer (Ans. 22). Appeal 2009-004456 Application 10/896,113 19 Appellants contend Raoux is directed to ion implanting a chosen species of ions beneath a surface of a workpiece, which does not result in the deposition of a layer of chosen ion species on the workpiece surface as claimed (App. Br. 11). Claim 57 requires “attracting passivation layer-forming species . . . to form a passivation layer on said workpiece.” Raoux teaches implanting rare-earth ions using an implantation technique based on a ion source (FF 12). The implanted ions in Raoux react with fluorine radicals to form a layer of rare-earth fluoride material at the surface of the ceramic component Raoux describes as a “passivation layer” (FF 12). The rare-earth fluoride layer formed as a passivation layer in Raoux is a passivation layer deposited on a workpiece that includes the chosen ion species, as claimed. Thus, Appellants have not established the Examiner erred in rejecting claims 57 and 58 over Ono and Raoux. 6. Rejection of Claims 59-64 and 70 The Examiner rejected claims 59-64 and 70 over Ono, Raoux, and Ye (Ans. 23, 24). The Examiner finds Ono and Raoux teach the claimed introduction of a passivation process gas except for explicitly disclosing attracting passivation layer-forming species from the plasma to form a passivation layer on interior surfaces (Ans. 23, 24). The Examiner then cites Ye as showing it is well known that residues from a process will form on interior walls of a processing chamber (Ans. 23, 24; FF 13). Appellants contend Raoux has nothing to do with layer deposition and make substantially the same arguments as those made above with respect to claims 57 and 58 (App. Br. 11). That is, Appellants argue that Raoux teaches a surface treatment and has “nothing to do with a deposition of a Appeal 2009-004456 Application 10/896,113 20 layer” (App. Br. 11). However, Appellants do not address the disclosure of Ye related to depositing a residue layer on the interior surfaces of the chamber. For the reasons stated by the Examiner and based on the teachings of the references, the combination of Ono, Raoux and Ye teaches the claimed passivation layer on the interior surfaces of the reactor chamber. Therefore, Appellants have not established the Examiner erred in rejecting claims 59-64 and 70 over Ono, Raoux, and Ye. 7. Rejection of Claims 82-86 The Examiner rejected claims 82-86 over the combination of Ono, Kamata, and Adler (Ans. 25-27). The Examiner finds Ono and Kamata teach Appellants’ invention except neither explicitly discloses the steps of pulse modulating a bias potential and/or source power (Ans. 25, 26). The Examiner then cites Adler for teaching this feature (Ans. 26; FF 14). Appellants assert Ono and Kamata do not teach Appellants’ invention, as set forth above, but also that Adler does not suggest the various claimed pulse modulation techniques (App. Br. 12). Adler teaches an ion implantation process including generating plasma when a pulsed spark is initiated across a gap between two electrodes (FF 14) that pulses or modulates the voltage from the electrodes. Thus, because Adler’s pulsed spark pulse modulates a bias voltage as claimed, Appellants have not established the Examiner erred in rejecting claims 82-86 over Ono, Kamata, and Adler. 8. Rejection of Claims 88-91 The Examiner rejected claims 88-91 as obvious over Ono and Ye (Ans. 27-29). The Examiner finds Ono teaches Appellants’ claimed Appeal 2009-004456 Application 10/896,113 21 invention except for the additional step of cleaning the interior surfaces of the reactor chamber (Ans. 28). The Examiner finds Ye teaches that cleaning the process chamber prevents or reduces contamination during processing (Ans. 28). Appellants merely assert neither Ono nor Ye teaches or suggests an ion implantation process including a pre-implant clean step (App. Br. 12), without providing any support for this allegation or pointing to any error in the Examiner’s findings with sufficient specificity. Therefore, Appellants have not established the Examiner erred in rejecting claims 88-91. CONCLUSION Appellants have not established the Examiner erred in finding Ono alone or in combination with Adler, Kamata, Ye, and Raoux, teach or suggest the plasma immersion ion implantation process of claims 1-4, 6-8, 12, 34-37, 39, 40, 43-65, 69-91, 94, and 96. Appellants have established the Examiner erred in finding Ono alone or in combination with Aisenberg, Kamata, and Knapp, teach or suggest the plasma immersion ion implantation process of claims 10, 11, 29-33, and 38. DECISION The Examiner’s decision rejecting claims 1-4, 6-8, 12, 34-37, 39, 40, 43-65, 69-91, 94, and 96 is affirmed. The Examiner’s decision rejecting claims 10, 11, 29-33, and 38 is reversed. Appeal 2009-004456 Application 10/896,113 22 No time period for taking any subsequent action in connection with this appeal may be extended under 37 C.F.R. § 1.136(a)(1)(iv). AFFIRMED-IN-PART KIS PATENT COUNSEL, M/S 2061 APPLIED MATERIALS, INC. Legal Affairs Department P. O. Box 450A Santa Clara, CA 95052 Copy with citationCopy as parenthetical citation