Ex Parte Johnson et alDownload PDFPatent Trial and Appeal BoardAug 15, 201611726020 (P.T.A.B. Aug. 15, 2016) Copy Citation UNITED STA TES p A TENT AND TRADEMARK OFFICE APPLICATION NO. FILING DATE 111726,020 0312012007 26813 7590 08/16/2016 MUETING, RAASCH & GEBHARDT, P.A. P.O. BOX 581336 MINNEAPOLIS, MN 55458-1336 FIRST NAMED INVENTOR Clarence Albert Johnson UNITED STATES DEPARTMENT OF COMMERCE United States Patent and Trademark Office Address: COMMISSIONER FOR PATENTS P.O. Box 1450 Alexandria, Virginia 22313-1450 www .uspto.gov ATTORNEY DOCKET NO. CONFIRMATION NO. 365.00170101 6489 EXAMINER CRAIGO, BAHAR ALA WI ART UNIT PAPER NUMBER 1673 MAILDATE DELIVERY MODE 08/16/2016 PAPER Please find below and/or attached an Office communication concerning this application or proceeding. The time period for reply, if any, is set in the attached communication. PTOL-90A (Rev. 04/07) UNITED STATES PATENT AND TRADEMARK OFFICE BEFORE THE PATENT TRIAL AND APPEAL BOARD Ex parte CLARENCE ALBERT JOHNSON and JOHN A. ST. CYR Appeal2014-006745 Application 11/726,020 Technology Center 1600 Before ERIC B. GRIMES, JEFFREY N. FREDMAN, and JOHN E. SCHNEIDER, Administrative Patent Judges. FREDMAN, Administrative Patent Judge. DECISION ON APPEAL This is an appeal 1 under 35 U.S.C. § 134 involving claims to a skin repair composition. The Examiner rejected the claims as obvious. We have jurisdiction under 35 U.S.C. § 6(b). We reverse. 1 Appellants identify the Real Party in Interest as Bioenergy, Inc. (also known as RiboCor, Inc.) (see App. Br. 1). Appeal2014-006745 Application 11/726,020 Statement of the Case Background The "skin shows signs of damage such as sunburn, roughening, wrinkling, loss of tone, discoloration, and even malignancies ... While these effects are often considered to be normal aging, in fact, they are not normal results of aging but are responses to damage" (Spec. 1 :7-11 ). The Specification teaches that the "need remains for a composition to be applied topically to stimulate the growth of epidermal and dermal cells, thereby improving the condition of the skin and repairing damaged skin" (Spec. 4:11-13). The Claims Claims 16, 18, 20, 23, 25-30, and 32-34 are on appeal. Claim 16 is representative and reads as follows: 16. A composition comprising (a) 0.1%to10% weight by volume of an effective agent comprising a monosaccharide, and (b) a penetrant selected from the group consisting of ethanol, butanol, propanol, and sodium lauryl sulfate, dissolved in water; wherein the monosaccharide consists of D-ribose; and wherein the composition is effective for improving and repairing skin. The issues A. The Examiner rejected claims 16, 18, 20, 23, 25-30, and 32-34 under 35 U.S.C. § 103(a) as obvious over Lorant2 and Al-Saidan3 (Ans. 3---6). 2 Lorant, R., US 6,638,519 Bl, issued Oct. 28, 2003 ("Lorant"). 3 Al-Saidan et al., Formulation of an HPMC Gel Drug Reservoir System with Ethanol-Water as a Solvent System and limonene as a Penetration Enhancer for Enhancing in vitro Transdermal 2 Appeal2014-006745 Application 11/726,020 B. The Examiner rejected claims 16, 18, 20, 23, 25-30, and 32-34 under 35 U.S.C. § 103(a) as obvious over Lorant, Al-Saidan, and Tsuzuki4 (Ans. 6-9). C. The Examiner rejected claims 16, 18, 20, 23, 25-30, and 32-34 under 35 U.S.C. § 103(a) as obvious over Lorant, Al-Saidan, and Bornis-Blasco5 (Ans. 9-12). Because the same issue is dispositive for all three of these rejections, we will consider the rejections together. The Examiner finds that "Lorant teaches a composition comprising at least one sugar or sugar derivative, wherein the sugar includes ribose ... Lorant teaches the composition can be used to treat and protect the skin" (Ans. 3). The Examiner acknowledges that "Lorant does not expressly disclose a penetrant dissolved in water" but finds that Al-Saidan teaches "penetration enhance[r]s permit drugs to permeate through the skin at an appropriate rate for a suitable time" (Id.). The Examiner finds it obvious to "formulate the D-ribose with a penetrant comprising ethanol dissolved in water because Al-Saidan et al. Delivery of Nicorandil, 17 SKIN PHARMACOL. PHYSIOL. 310-320 (2004) ("Al-Saidan"). 4 Tsuzuki et al., Effect of primary alcohols on percutaneous absorption, 46 INT. J. PHARMACEUTICS 19-23 (1988) ("Tsuzuki"). 5 Borras-Blasco et al., A mathematical approach to predicting the percutaneous absorption enhancing effect of sodium lauryl sulphate, 269 INT. J. PHARMACEUTICS 121-129 (2004)(" Borras- Blasco"). 3 Appeal2014-006745 Application 11/726,020 teach this co-solvent system greatly enhances permeation of active drugs across the skin barrier" (Ans. 5). Appellants "submit that the teachings of Al-Saidan et al., as a whole, would not motivate one of skill in the art to modify Lorant to use ethanol dissolved in water as a penetrant" (Br. 4). The issue with respect to this rejection is: Does the evidence of record support the Examiner's reason to combine the penetrant of Al-Saidan with the D-ribose composition of Lorant as required by claim 16? Findings of Fact 1. Lorant teaches: a method selected from the group including treating, protecting, caring for, removing make-up from, and cleaning at least one selected from the group including the skin, lips and hair, and combinations thereof, which method includes applying the above-described composition to the skin, lips or hair. Another embodiment of the invention provides a method for treating or caring for at least one selected from the group including dry skin, dry lips, sensitive skin, and combinations thereof which includes applying to at least one selected from the group including dry skin, dry lips, sensitive skin, and combinations thereof-1.] (Lorant 2: 12-23). 2. Lorant teaches "to provide a composition for topical application, and in particular a cosmetic composition, that contains a sugar and/or sugar derivative, but which does not impart a sticky feeling to the skin" (Lorant 1 :55---60). 4 Appeal2014-006745 Application 11/726,020 3. Lorant teaches that "[p]referable sugars, which can be used in the composition of the invention include, for example ... ribose" (Lorant 5:25-27). 4. Al-Saidan teaches that "[ s ]everal solvents either alone or in various proportions with other solvents ( cosolvents) are being investigated as solvent systems to overcome the low permeation of drugs through the skin ... the use of cosolvents, as a solvent system, may exert a profound influence on the percutaneous delivery of drugs" (Al-Saidan 313, col. 2). 5. Tsuzuki teaches that butanol functions as a penetration enhancer for indomethacin (see Tsuzuki 21, table 1). 6. Borras-Blasco teaches that "SLS and Azone® have been used as [penetration] enhancers" (Borras-Blasco 128, col. 2). Principles of Law "' [R ]ejections on obviousness grounds cannot be sustained by mere conclusory statements; instead, there must be some articulated reasoning with some rational underpinning to support the legal conclusion of obviousness."' KSR Int'! Co. v. Teleflex Inc., 550 U.S. 398, 418 (2007) (citing In re Kahn, 441 F.3d 977, 988 (Fed. Cir. 2006)). Analysis While the Examiner establishes that D-ribose would be a desirable component of a composition for cleaning skin or treating dry skin (FF 1 ), the Examiner provides no reason to incorporate a penetrant into a D-ribose containing composition. Indeed, while Lorant specifically identifies active components that may be incorporated in the composition (see Lorant 8:36- 51 ), Lorant never indicates that these active components need to penetrate 5 Appeal2014-006745 Application 11/726,020 the skin. Moreover, Lorant provides three exemplary compositions (see Lorant 9:55 to 11:14), but the Examiner does not establish that any of these compositions comprises an ingredient that must penetrate the skin for efficacy. We recognize that Al-Saidan provides strong reasons to include a penetrant in compositions containing drugs that must penetrate the skin (FF 4), but the Examiner has provided no evidence on this record that D-ribose is such a drug, that D-ribose must penetrate the skin for any effect whatsoever, or that Lorant's compositions should otherwise contain such a drug compound. Without such evidence, there is no articulated reasoning to combine a D-ribose containing makeup removing or dry skin composition with a penetrant. Conclusion of Law The evidence of record does not support the Examiner's reason to combine the penetrant of Al-Saidan with the D-ribose composition of Lorant as required by claim 16. SUMMARY In summary, we reverse the obviousness rejections. REVERSED 6 Copy with citationCopy as parenthetical citation