Ex Parte LundbergDownload PDFPatent Trial and Appeal BoardOct 16, 201813914181 (P.T.A.B. Oct. 16, 2018) Copy Citation UNITED STA TES p A TENT AND TRADEMARK OFFICE APPLICATION NO. FILING DATE 13/914,181 06/10/2013 97462 7590 10/16/2018 Mark A. Litman & Associates, P.A. 7001 Cahill Road, Ste. ISA Edina, MN 55439 FIRST NAMED INVENTOR Brock M. Lundberg 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. 601.016US1 1964 EXAMINER CHAWLA, JYOTI ART UNIT PAPER NUMBER 1792 MAIL DATE DELIVERY MODE 10/16/2018 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 BROCK M. LUNDBERG Appeal2017-009603 Application 13/914, 181 Technology Center 1700 Before CATHERINE Q. TIMM, GEORGE C. BEST, and DEBRA L. DENNETT, Administrative Patent Judges. DENNETT, Administrative Patent Judge. DECISION ON APPEAL 1 STATEMENT OF THE CASE Appellant2 appeals under 35 U.S.C. § 134(a) from a rejection of claims 14--21. We have jurisdiction under 35 U.S.C. § 6(b). We REVERSE. 1 In our Opinion, we refer to the Specification filed June 10, 2013 ("Spec."); the Final Office Action mailed June 1, 2016 ("Final Act."); the Appeal Brief filed October 27, 2016 ("Br."); and the Examiner's Answer mailed April 17, 2017 ("Ans."). Appellant did not file a Reply Brief. 2 Appellant, the applicant, identifies Fiberstar, Inc. as the real party in interest. Br. 3. Appeal2017-009603 Application 13/914, 181 The claims are directed to procedures for manufacturing highly refined cellulose fiber including a bound hydrocolloid. Spec. 3, 11. 20-24. Claim 14, reproduced below from the Claims Appendix of the Appeal Brief, is illustrative of the claimed subject matter: 14. A method for refining cellulosic material from parenchymal fiber mass comprising: soaking raw non-refined material from organic fiber plant mass comprising at least 50% by weight of all fiber mass as the parenchymal fiber mass in an aqueous solution with less than 1 %NaOH; draining the raw non-refined material and allowing the raw material to sit for sufficient time to enable cells in the raw non-refined material to form open cells and expand the raw material into an expanded fiber product, the soaking producing soaked raw materials with open cells; refining the soaked raw material to produce refined material by shearing the soaked raw materials in the presence of at least 10% by weight of hydrocolloid with respect to the weight of the organic fiber plant mass; and then drying the sheared mixture of highly refined cellulosic fiber and hydrocolloid. REFERENCES The Examiner relies on Lundberg et al., US 2005/0074542 Al, published April 2, 2005 in rejecting the claims on appeal. REJECTIONS The Examiner maintains, and Appellant seeks review of, the following rejections: (1) claims 14--18 under 35 U.S.C. § I02(a)(2) as anticipated by Lundberg; and (2) claims 19--21 under 35 U.S.C. § 103 as obvious over Lundberg. Final Act. 2---6; Br. 8. 2 Appeal2017-009603 Application 13/914, 181 OPINION Claim 14 is the sole independent claim. Br. 19-21 (Claims App.). Appellant does not argue any claim separately from the others. Id. 9-15. We select claim 14 as representative of claims 15-18, which will stand or fall with claim 14. 37 C.F.R. § 4I.37(c)(l)(iv). We address claims 19-21 separately below. With respect to claim 14, Appellant argues that Lundberg does not disclose shearing of the open cell material while wet and while in the presence of at least 10% hydrocolloid prior to top drying. Br. 9. Appellant argues that Lundberg does not indicate the time of addition ofhydrocolloid (i.e., before the raw material has been refined by shearing), which Appellant contends is critical to the claimed process. Id. at 10. Appellant explains: The presence of the hydrocolloid with an unrefined, at least partially unsheared and preferably completely unsheared cellulosic fiber and subsequent shearing produces substantially and unexpected beneficial results as compared with addition or blending of the two materials, even with additional shearing, even with equal amounts of the two ingredients. Spec. 12, 11. 23-26. The Examiner finds that Lundberg teaches these limitations at paragraphs 40, 46, and 47. Final Act. 3; Ans. 2. The relevant portions of these paragraphs of Lundberg read as follows: draining the raw material and allowing the raw material to sit for a sufficient period under conditions ... so that the fibers and cells are softened so that shearing can open up the fibers . . . . This process produces soaked raw materials; and the process continues with refining the soaked raw material to produce refined material; and drying the soaked raw material. . . . 3 Appeal2017-009603 Application 13/914, 181 the final product of this invention comprises a combination of the HRC [highly refined cellulose fiber or particulate products] and the hydrocolloid material. Any procedure that intimately associates the two materials is acceptable, and extremely simple procedures for effecting this are available. A very simple process is referred to as "co-processing" which requires little more then [sic] providing hydrocolloid material in the liquid volute that is used during the drying stage for the fiber so that hydrocolloid remains with the HRC .... Another method of combining the hydrocolloid with the expanded cellulose ... is by dry blending. The expanded fiber materials ... can be processed with minimal effort and the refinement process can be little more then [sic] minimizing ... , separation ... and drying. Lundberg ,r,r 40, 46. The Examiner finds that Lundberg's disclosure of co-processing HRC and hydrocolloid, and combining hydrocolloid with expanded cellulose and refining prior to drying shows that Lundberg teaching "shearing of the open cell material while wet and while in the presence of at least 10% hydrocolloid." Ans. 6. We disagree. HRC is highly refined cellulose, not the raw, open cell material of claim 14. See Lundberg ,r 10. Thus, Lundberg discloses combining highly refined cellulose with hydrocolloid. Id. 46. In contrast, claim 14 recites combining raw, soaked non-refined material with hydrocolloid, and then refining by shearing. Br. 19 (Claims App.). While the steps of a method are not limited to a specific order unless the claim explicitly or implicitly so requires, Baldwin Graphic Sys., Inc. v. Siebert, Inc., 512 F.3d 1338, 1345 (Fed. Cir. 2008), here, a plain reading of claim 14 evinces a specific order. Appellant persuasively shows the Examiner reversibly erred in finding claim 14 anticipated by Lundberg; we do not sustain the rejection. For the 4 Appeal2017-009603 Application 13/914, 181 same reasons, we do not sustain the rejection of claims 15-18, which depend from claim 14 and are also rejected as anticipated by Lundberg. The Examiner rejects claims 19-21, which depend from claim 14, as obvious over Lundberg. Final Act. 4; Ans. 3. However, as discussed above, Lundberg does not disclose shearing of the open cell material while wet and while in the presence of at least 10% hydrocolloid prior to top drying. The Examiner makes no additional determination that Lundberg renders the order of the steps obvious. Therefore, we do not sustain the rejection of claims 19-21 over Lundberg. DECISION The rejections of claims 14--21 are reversed. REVERSED 5 Copy with citationCopy as parenthetical citation