Realtime Data LLC v. Oracle America, Inc., No. 6:16-cv-00088 (E.D. Tex. Oct. 28, 2016)
From the Opinion
The passage below is extracted verbatim from the opening of the document. It has not been editorially summarized — consult the full opinion for the court's complete reasoning.
This claim construction opinion construes a single disputed claim term in U.S. Patent No. 9,054,728 (“the ’ 728 Patent”). Plaintiff Realtime Data , LLC alleges that Defendants infringe the ’728 Patent as well as U.S. Patent No. 6,597,812 (“the ’812 Patent”), U.S. Patent No. 7,161,506 (“the ’506 Patent), U.S. Patent No. 7,358,867 (“the ’867 Patent”), and U.S. Patent No. 7,395,345 (“the ’345 Patent”). However, there are no disputed terms for the other asserted patents. Plaintiff filed an Opening Claim Construction B rief (Doc. No.
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