Cisco v. Arista, 4-14-cv-05343
Cisco v. Arista, 4-14-cv-05343
Cisco v. Arista, 4-14-cv-05343
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CISCO SYSTEMS, INC.,
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Plaintiff,
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v.
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ARISTA NETWORKS, INC.,
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Defendant.
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INTRODUCTION
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Cisco is an information technology (IT) company that was founded in 1984. Cisco is the
worldwide leader in developing and implementing the networking technologies that enable global
interconnectivity and the Internet of Everything. Cisco employs thousands of networking engineers at
its headquarters in San Jose, California, and elsewhere, and invests billions of dollars annually in
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2.
Decades after Ciscos founding, Arista was founded by former Cisco employees, many of
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whom are named inventors on Ciscos networking patents. Among others, Aristas 1) founders, 2)
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President and CEO, 3) Chief Development Officer, 4) Chief Technology Officer, 5) Senior Vice
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President for Customer Engineering, 6) Vice President of Business Alliances, 7) former Vice President
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for Global Operations and Marketing, 8) Vice President of Systems Engineering and Technology
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Marketing, 9) Vice President of Hardware Engineering, 10) Vice President of Software Engineering, and
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11) Vice President of Manufacturing and Platform Engineering all were employed by Cisco prior to
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joining Arista. Moreover, four out of the seven members of Aristas Board of Directors were previously
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employed by Cisco. Aristas goal is to sell networking products. Rather than building its products and
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services based on new technologies developed by Arista, however, and providing legitimate competition
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to Cisco, Arista took a shortcut by using innovative networking technologies designed, developed, and
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patented by Cisco.
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Notably, Arista was founded by former Cisco employees who were intimately and
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directly familiar with Ciscos patented networking technologies, including those protected by patents
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asserted in this action. Two of Aristas founders, Andreas Bechtolsheim and David Cheriton, developed
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patented technologies while at Cisco. While each has had a long career in the networking and
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computing fields, they are each named inventors on a number of the Cisco patents asserted in this case.
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Messrs. Bechtolsheim and Cheriton are aware of Cisco patents on which they were named inventors and
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that they developed while employed by Cisco. Arista, despite knowing that Ciscos networking
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COMPLAINT FOR PATENT INFRINGEMENT
technologies are protected by Ciscos patents, blatantly incorporated those technologies into Aristas
products.
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Arista has acknowledged the substantial investment in time and employment that would
have been required to legitimately compete with Cisco. Aristas President and Chief Executive Officer,
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Since I helped build the enterprise [at Cisco], I would never compete with Cisco directly
in the enterprise in a conventional way. It makes no sense. It would take me 15 years
and 15,000 engineers, and thats not a recipe for success. (emphasis added)
products, covering a variety of critical features, Arista avoided hiring the thousands of engineers
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and making the substantial investments that would otherwise have been needed to legitimately
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develop its own technologies. Arista took an unfair shortcut to compete with Cisco using
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Ciscos own technologies, while avoiding the investments in employees, money, and time that
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would have been needed to develop products based on new technologies. Indeed, Cisco is not
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the only party to find itself aggrieved regarding Aristas alleged misappropriation of intellectual
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property. Arista co-founder David Cheriton has himself alleged that Arista misappropriated his
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own intellectual property in a complaint filed against Arista by his company, Optumsoft.
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Aristas actions have caused harm to Cisco, as alleged below, by incorporating Ciscos
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patented technologies into Aristas products. The patents asserted in this case were invented by Cisco
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personnel, are proprietary, and are implemented by Cisco in its innovative products in order to
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successfully compete in the marketplace. Aristas actions also significantly harm innovation. If Aristas
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use of Cisco technologies allows it to avoid what is needed to develop new technologies, other
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companies will be encouraged to simply use others proprietary technologies rather than to hire
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engineers, invest in innovation, and develop new technologies. Cisco therefore seeks injunctive relief to
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stop Aristas widespread and improper infringement of Ciscos lawful patent rights.
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Cisco welcomes legitimate competition in the marketplace. Its executives have written
and spoken in support of employee mobility, and Cisco believes strongly and has stated that allowing
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COMPLAINT FOR PATENT INFRINGEMENT
people to move freely between companies fosters innovation.1 But Arista has unlawfully and
technologies that Aristas own founders had developed while at Cisco, where Cisco invested the
necessary research and development, funding, personnel, and engineering hours to support these
innovations. Aristas intellectual property infringement stifles innovation and cannot be condoned.
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This is a civil action for patent infringement under the Patent Laws of the United States,
35 U.S.C. 1 et seq., and for such other relief as the Court deems just and proper.
THE PARTIES
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Plaintiff Cisco is a company duly organized and existing under the laws of California,
having its principal place of business at 170 West Tasman Drive, San Jose, CA 95134.
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On information and belief, Defendant Arista is a corporation duly organized and existing
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under the laws of Delaware, having its principal place of business at 5453 Great America Parkway,
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JURISDICTION
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This civil action asserts claims arising under the Patent Laws of the United States, 35
U.S.C. 1 et seq. This Court has subject matter jurisdiction under 28 U.S.C. 1331 and 1338(a).
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This Court has personal jurisdiction over Arista. Arista has maintained its principal place
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of business in the Northern District of California since 2004. Arista also has engaged in substantial and
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not isolated business activities in the Northern District of California. Specifically, Arista, directly and/or
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through third parties, has made, used, sold, and/or offered for sale within the Northern District of
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California and/or imported into the Northern District of California infringing networking products.
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VENUE
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Venue properly lies in this District under 28 U.S.C. 1391 and 1400(b) because
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Aristas principal place of business is in this District, acts of infringement have been committed in this
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district, and Arista is subject to personal jurisdiction in this district. In addition, venue is proper because
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INTRADISTRICT ASSIGNMENT
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under Civil Local Rule 3-2(c). Consequently, this action is assigned on a district-wide basis.
GENERAL ALLEGATIONS
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providing the technologies behind networking products and services. Cisco develops and provides a
broad range of networking products and services that enable seamless communication among
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individuals, businesses, public institutions, government agencies, and service providers. Specifically,
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the thousands of engineers who work at Cisco develop and provide networking hardware, software, and
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services that utilize cutting-edge technologies to transport data, voice, and video within buildings, across
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Since its founding, Cisco has pioneered many of the important technologies that created
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and enabled global interconnectivity. During the past three decades, Cisco has invested billions of
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dollars, and the time and dedication of thousands of its engineers, in the research and development of
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networking products and services, culminating in the development of a highly-successful interface and
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related technologies that have driven the proliferation of Ciscos computer networking technologies and
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the Internet.
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Ciscos networking devices and operating systems (including its Internetwork Operating
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System (IOS, IOS XR, and IOS XE) and its Nexus Operating System (NX-OS)) are recognized
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by customers and the industry generally as very important and unique, contributing tremendously to the
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success and widespread acceptance of Ciscos products. Included in Ciscos products are features
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important to the successful deployment of large and small networks and crucial to meeting the demands
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of todays networking environments, including networking device System Database (SysDB), Zero-
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Touch Provisioning (ZTP), On Board Failure Logging (OBFL), Control Plane Policing (CoPP),
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Spanning Tree Loop Guard, In-Service System Upgrades (ISSU), Virtual Port Channels (vPC),
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Access Control Lists (ACL), and Private Virtual Local Area Networks (Private VLANs).
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COMPLAINT FOR PATENT INFRINGEMENT
17.
As computing technologies evolve and new networking challenges arise, Cisco has
continued to innovate and develop new solutions for its customers. No matter what type of network
environment whether large scale Internet backbone networks, enterprise-level local area networks, or
networks supporting data centers and todays cloud computing services Ciscos technologies have
transformed how people connect, communicate, and collaborate. Cisco remains at the forefront of
developing cutting-edge networking technologies: in its last fiscal year alone (FY 2014), Cisco invested
more than $6 billion in ongoing research and development and employed more than ten thousand
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Ciscos intellectual property rights, including its patent rights, protect the valuable
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technologies developed by Cisco. As a result of its innovations, Cisco has developed a substantial
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Cisco. Twelve examples of Ciscos patented technologies that are included in Ciscos products are
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described below (collectively, the Patents-in-Suit). See Exhibit 1. These patented technologies drive
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customer demand for Ciscos products, and Cisco relies on these technologies to lawfully compete in the
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marketplace.
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U.S. Patent No. 6,377,577 (the 577 patent) entitled Access Control List Processing in
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Hardware issued on April 23, 2002 and lists Andreas V. Bechtolsheim and David R. Cheriton as
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inventors. A true and correct copy of the 577 patent is attached hereto as Exhibit 2.
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Cisco is the owner by assignment of the 577 patent and has the full right to enforce
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U.S. Patent No. 7,023,853 (the 853 patent) entitled Access Control List Processing in
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Hardware issued on April 4, 2006 and lists Andreas V. Bechtolsheim and David R. Cheriton as
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inventors. A true and correct copy of the 853 patent is attached hereto as Exhibit 3.
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COMPLAINT FOR PATENT INFRINGEMENT
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Cisco is the owner by assignment of the 853 patent and has the full right to enforce
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U.S. Patent No. 7,340,597 (the 597 patent) entitled Method and Apparatus for
Securing a Communications Device Using a Logging Module issued on March 4, 2008 and lists David
R. Cheriton as inventor. A true and correct copy of the 597 patent is attached hereto as Exhibit 4.
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Cisco is the owner by assignment of the 597 patent and has the full right to enforce
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U.S. Patent No. 7,162,537 (the 537 patent) entitled Method and System for
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Externally Managing Router Configuration Data in Conjunction With a Centralized Database issued on
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January 9, 2007 and lists Pradeep Kathail as inventor. A true and correct copy of the 537 patent is
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Cisco is the owner by assignment of the 537 patent and has the full right to enforce
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U.S. Patent No. 8,051,211 (the 211 patent) entitled Multi-Bridge LAN Aggregation
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issued on November 1, 2011 and lists Norman W. Finn as the inventor. A true and correct copy of the
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33.
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Cisco is the owner by assignment of the 211 patent and has the full right to enforce
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U.S. Patent No. 8,356,296 (the 296 patent) entitled Method and System for Minimal
Disruption During Software Upgrade or Reload of a Network Device issued on January 15, 2013 and
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COMPLAINT FOR PATENT INFRINGEMENT
lists John Thomas Welder, Ratheesh Krishna Vadhyar, Sudhir Rao, and Thomas W. Uban as inventors.
A true and correct copy of the 296 patent is attached hereto as Exhibit 7.
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Cisco is the owner by assignment of the 296 patent and has the full right to enforce
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U.S. Patent No. 7,290,164 (the 164 patent) entitled Method of Reverting to a
Recovery Configuration in Response to Device Faults issued on October 30, 2007 and lists Andrew G.
Harvey, John Ng, and Gilbert R. Woodman III as inventors. A true and correct copy of the 164 patent
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Cisco is the owner by assignment of the 164 patent and has the full right to enforce
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U.S. Patent No. 6,741,592 (the 592 patent) entitled Private VLANs issued on May
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25, 2004 and lists Thomas J. Edsall, Marco Foschiano, Michael Fine, and Thomas Nosella as inventors.
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A true and correct copy of the 592 patent is attached hereto as Exhibit 9.
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Cisco is the owner by assignment of the 592 patent and has the full right to enforce
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U.S. Patent No. 7,200,145 (the 145 patent) entitled Private VLANs issued on April
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3, 2007 and lists Thomas J. Edsall, Marco Foschiano, Michael Fine, and Thomas Nosella as inventors.
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A true and correct copy of the 145 patent is attached hereto as Exhibit 10.
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Cisco is the owner by assignment of the 145 patent and has the full right to enforce
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COMPLAINT FOR PATENT INFRINGEMENT
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U.S. Patent No. 7,460,492 (the 492 patent) entitled Spanning Tree Loop Guard
issued on December 2, 2008 and lists Maurizio Portolani, Shayamasundar S. Kaluve, and Marco E.
Foschiano as inventors. A true and correct copy of the 492 patent is attached hereto as Exhibit 11.
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Cisco is the owner by assignment of the 492 patent and has the full right to enforce
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U.S. Patent No. 7,061,875 (the 875 patent) entitled Spanning Tree Loop Guard
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issued on June 13, 2006 and lists Maurizio Portolani, Shayamasundar S. Kaluve, and Marco E.
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Foschiano as inventors. A true and correct copy of the 875 patent is attached hereto as Exhibit 12.
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Cisco is the owner by assignment of the 875 patent and has the full right to enforce
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U.S. Patent No. 7,224,668 (the 668 patent) entitled Control Plane Security and
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Traffic Flow Management issued on May 29, 2007 and lists Adrian C. Smethurst, Michael F. Keohane,
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and R. Wayne Ogozaly as inventors. A true and correct copy of the 668 patent is attached hereto as
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Exhibit 13.
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Cisco is the owner by assignment of the 668 patent and has the full right to enforce
56.
Decades after Ciscos founding, Arista was founded by former Cisco employees who
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were intimately and directly familiar with Ciscos pioneering networking technologies, including those
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protected by patents asserted in this action. Since its founding, numerous additional Cisco employees
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have also joined Arista. For example, Arista founder and Chief Development Officer Andreas
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Bechtolsheim served as Vice President and General Manager of Ciscos Gigabit Systems Business Unit;
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COMPLAINT FOR PATENT INFRINGEMENT
Arista founder and Chief Scientist David Cheriton served as a Chief Architect on Ciscos Catalyst
products; Arista founder, Chief Technology Officer, and Senior Vice President Kenneth Duda worked at
Cisco for several years as a software engineer in Ciscos Gigabit Systems Business Unit; and Aristas
current President and Chief Executive Officer, Jayshree Ullal, worked at Cisco for more than a decade,
including as Senior Vice President of Ciscos Data Center, Switching, and Services Group (which is
responsible for some of Ciscos flagship networking product lines). Cisco strongly believes, and has
repeatedly stated, that mobility of employees between companies fosters innovation.2 But widespread
intellectual property infringement like that engaged in by Arista stifles innovation and cannot be
condoned.
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Arista knew that Ciscos pioneering networking technologies drive customer demand for
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and are important to the market success of Ciscos products. Rather than invest in the expensive and
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time-consuming effort that would have been necessary to develop its own features for Aristas products,
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and specifically instead of investing the time and expense of developing its own technologies, Arista
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instead decided to use Ciscos pioneering proprietary technologies, and even to explicitly tout these
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technologies to the market in attempts to sell Arista products that compete directly with Cisco products.
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58.
Cisco inventions are important to and drive customer demand for Aristas products. For
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example, Ciscos patented technology can be found in Aristas System Database (SysDB), Zero-
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Touch Provisioning (ZTP), Multi-Chassis Link Aggregation (MLAG), Control Plane Protection
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(CoPP), In-Service System Upgrades (ISSU), Extensible API (eAPI), Access Control Lists
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(ACL), Spanning Tree Loop Guard, and Private Virtual Local Area Networks (Private VLANs).
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compete with Cisco. Arista claims that the Cisco technologies it has unlawfully used are the secret
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sauce of its product line, and touts that these features, inter alia, simplif[y] deployment and
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minimize[] errors, function as the core of its operating system, eliminate bottlenecks and provide
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resiliency to protect the control plane from potential denial of service attacks, and provide[] the
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foundation for . . . updates and self-healing resiliency. By extensively using Ciscos patented
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technologies, Arista took improper shortcuts, thereby avoiding the investments that would have been
60.
There is no question that Arista personnel many of whom worked at Cisco at or after
the time the technologies were developed by Cisco were aware that the pioneering Cisco networking
technologies that Arista appropriated are protected by U.S. patents. For example, two of Aristas own
founders are named inventors on a number of Cisco patents asserted in this action. By this action, Cisco
seeks to stop Aristas willful, unauthorized, and improper use of Ciscos patented technologies, and to
obtain damages for the significant harm caused to Cisco by Aristas willful infringement of certain
Patents-in-Suit.
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Cisco incorporates and realleges Paragraphs 1 through 60 of this Complaint as if fully set
forth herein.
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62.
The USPTO duly and legally issued the 577 patent on April 23, 2002.
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63.
Arista has infringed, and continues to infringe, one or more claims of the 577 patent,
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including at least claim 1, either literally or under the doctrine of equivalents, by making, using, selling,
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and/or offering for sale within the United States and/or importing into the United States networking
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products that are covered by one or more claims of the 577 patent, including but not limited to the
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Arista 7048, 7050X, 7250X, 7300, 7300X, and 7500E series of switches, including, without limitation,
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64.
The 577 patent was issued to Messrs. Bechtolsheim and Cheriton on April 23, 2002,
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while they were Cisco employees. The 577 patent is assigned to Cisco. Messrs. Bechtolsheim and
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Cheriton are co-founders of Arista. Accordingly, Arista has had knowledge of the 577 patent since its
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founding in October 2004. In addition to directly infringing the 577 patent, Arista has indirectly
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infringed and continues to indirectly infringe one or more claims of the 577 patent, including at least
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claim 1, by actively inducing others to directly infringe the 577 patent in violation of 35 U.S.C.
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271(b). Specifically, and in light of the knowledge of its founders, Arista knowingly induced
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infringement of the 577 patent with specific intent to do so by its activities relating to the marketing,
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distribution, and/or sale of its networking products to their purchasers, including but not limited to the
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COMPLAINT FOR PATENT INFRINGEMENT
Arista 7048, 7050X, 7250X, 7300, 7300X, and 7500E series of switches, and by instructing and
encouraging purchasers (including through product documentation) to operate and use those products in
an infringing manner with knowledge that these actions would infringe the 577 patent.
65.
Arista has contributed to infringement of the 577 patent by others by selling and/or
offering for sale to Aristas purchasers within the United States and/or importing into the United States
networking products, including but not limited to the Arista 7048, 7050X, 7250X, 7300, 7300X, and
7500E series of switches, that are especially made and/or adapted for infringing the 577 patent and are
not staple articles of commerce suitable for substantial noninfringing use and that have been sold to
purchasers who infringe the 577 patent. As alleged in the prior paragraphs, the 577 patent was issued
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to Messrs. Bechtolsheim and Cheriton on April 23, 2002, while they were Cisco employees.
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Specifically, and in light of the knowledge of its founders, Arista had knowledge that its networking
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products, including but not limited to the Arista 7048, 7050X, 7250X, 7300, 7300X, and 7500E series of
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switches, were specifically made and/or adapted for infringement of the 577 patent and are not staple
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Aristas infringement has caused and is continuing to cause damage and irreparable
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injury to Cisco, and Cisco will continue to suffer damage and irreparable injury unless and until that
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68.
Cisco is entitled to injunctive relief and damages in accordance with 35 U.S.C. 271,
Arista has infringed the 577 patent as alleged above despite having prior knowledge of
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the patent and has acted with willful, intentional, and conscious disregard of the objectively high
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likelihood that its acts constitute infringement of the 577 patent. Aristas infringement of the 577
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patent has been and continues to be willful, entitling Cisco to enhanced damages under 35 U.S.C. 284.
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69.
Cisco incorporates and realleges Paragraphs 1 through 68 of this Complaint as if fully set
forth herein.
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70.
The USPTO duly and legally issued the 853 patent on April 4, 2006.
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71.
Arista has infringed, and continues to infringe, one or more claims of the 853 patent,
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including at least claim 63, either literally or under the doctrine of equivalents, by making, using,
selling, and/or offering for sale within the United States and/or importing into the United States
networking products that are covered by one or more claims of the 853 patent, including but not limited
to the Arista 7048, 7050X, 7250X, 7300, 7300X, and 7500E series of switches, including, without
72.
The 853 patent is a continuation of the 577 patent and was issued on April 4, 2006 to
Messrs. Bechtolsheim and Cheriton, and is assigned to Cisco. In addition to directly infringing the 853
patent, Arista has indirectly infringed and continues to indirectly infringe one or more claims of the 853
patent, including at least claim 63, including by actively inducing others to directly infringe the 853
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patent in violation of 35 U.S.C. 271(b). Specifically, and in light of the knowledge of Aristas
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founders of their Cisco patent, Arista knowingly induced infringement of the 853 patent with specific
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intent to do so by its activities relating to the marketing, distribution, and/or sale of its networking
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products, including but not limited to the Arista 7048, 7050X, 7250X, 7300, 7300X, and 7500E series of
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switches, and by instructing and encouraging purchasers (including through product documentation) to
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operate and use those products in an infringing manner with knowledge that these actions would infringe
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73.
Arista has contributed to infringement of the 853 patent by others by selling and/or
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offering for sale to Aristas purchasers within the United States and/or importing into the United States
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networking products, including but not limited to the Arista 7048, 7050X, 7250X, 7300, 7300X, and
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7500E series of switches, that are especially made and/or adapted for infringing the 853 patent and are
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not staple articles of commerce suitable for substantial noninfringing use. As alleged in the prior
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paragraphs, the 853 patent was issued to Messrs. Bechtolsheim and Cheriton on April 6, 2006 and is
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assigned to Cisco. Specifically, and in light of the knowledge of its co-founders, Arista had knowledge
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that its networking products, including but not limited to the Arista 7048, 7050X, 7250X, 7300, 7300X,
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and 7500E series of switches, were specifically made and/or adapted for infringement of the 853 patent
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and are not staple articles of commerce suitable for substantial noninfringing use.
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74.
Aristas infringement has caused and is continuing to cause damage and irreparable
injury to Cisco, and Cisco will continue to suffer damage and irreparable injury unless and until that
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COMPLAINT FOR PATENT INFRINGEMENT
75.
76.
Cisco is entitled to injunctive relief and damages in accordance with 35 U.S.C. 271,
Arista has infringed the 853 patent as alleged above despite having prior knowledge of
the patent and has acted with willful, intentional, and conscious disregard of the objectively high
likelihood that its acts constitute infringement of the 853 patent. Aristas infringement of the 853
patent has been and continues to be willful, entitling Cisco to enhanced damages under 35 U.S.C. 284.
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77.
Cisco incorporates and realleges Paragraphs 1 through 76 of this Complaint as if fully set
forth herein.
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78.
The USPTO duly and legally issued the 597 patent on March 4, 2008.
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79.
Arista has infringed, and continues to infringe, one or more claims of the 597 patent,
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including at least claim 1, either literally or under the doctrine of equivalents, by making, using, selling,
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and/or offering for sale within the United States and/or importing into the United States networking
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products that are covered by one or more claims of the 597 patent, including but not limited to the
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Arista 7010, 7048, 7050, 7050X, 7100, 7150, 7250X, 7280E, 7300, 7300X, 7500, and 7500E series of
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switches, including, without limitation, those devices implementations of Aristas process manager
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functionality.
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80.
The 597 patent was issued to Arista co-founder Cheriton on March 4, 2008, and is
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assigned to Cisco. In addition to directly infringing the 597 patent, Arista has indirectly infringed and
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continues to indirectly infringe one or more claims of the 597 patent, including at least claim 1,
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including by actively inducing others to directly infringe the 597 patent in violation of 35 U.S.C.
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271(b). Specifically, and in light of the knowledge of its co-founder, Arista knowingly induced
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infringement of the 597 patent with specific intent to do so by its activities relating to the marketing,
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distribution, and/or sale its networking products, including but not limited to the Arista 7010, 7048,
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7050, 7050X, 7100, 7150, 7250X, 7280E, 7300, 7300X, 7500, and 7500E series of switches, and by
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instructing and encouraging purchasers (including through product documentation) to operate and use
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those products in an infringing manner with knowledge that these actions would infringe the 597 patent.
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COMPLAINT FOR PATENT INFRINGEMENT
81.
Arista has contributed to infringement of the 597 patent by others by selling and/or
offering for sale to Aristas purchasers within the United States and/or importing into the United States
networking products, including but not limited to the Arista 7010, 7048, 7050, 7050X, 7100, 7150,
7250X, 7280E, 7300, 7300X, 7500, and 7500E series of switches, which are especially made and/or
adapted for infringing the 597 patent and are not staple articles of commerce suitable for substantial
noninfringing use. As alleged in the prior paragraphs, the 597 patent was issued to Arista co-founder
Cheriton on March 4, 2008, and is assigned to Cisco. Specifically, and in light of the knowledge of its
co-founder, Arista had knowledge that its networking products, including but not limited to the Arista
7010, 7048, 7050, 7050X, 7100, 7150, 7250X, 7280E, 7300, 7300X, 7500, and 7500E series of
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switches, were specifically made and/or adapted for infringement of the 597 patent and are not staple
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82.
Aristas infringement has caused and is continuing to cause damage and irreparable
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injury to Cisco, and Cisco will continue to suffer damage and irreparable injury unless and until that
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84.
Cisco is entitled to injunctive relief and damages in accordance with 35 U.S.C. 271,
Arista has infringed the 597 patent as alleged above despite having prior knowledge of
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the patent and has acted with willful, intentional, and conscious disregard of the objectively high
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likelihood that its acts constitute infringement of the 597 patent. Aristas infringement of the 597
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patent has been and continues to be willful, entitling Cisco to enhanced damages under 35 U.S.C. 284.
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85.
Cisco incorporates and realleges Paragraphs 1 through 84 of this Complaint as if fully set
forth herein.
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86.
The USPTO duly and legally issued the 537 patent on January 9, 2007.
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87.
Arista has infringed, and continues to infringe, one or more claims of the 537 patent,
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including at least claim 1, either literally or under the doctrine of equivalents, by making, using, selling,
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and/or offering for sale within the United States and/or importing into the United States networking
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products that are covered by one or more claims of the 537 patent, including but not limited to the
15
COMPLAINT FOR PATENT INFRINGEMENT
Arista 7010, 7048, 7050, 7050X, 7100, 7150, 7250X, 7280E, 7300, 7300X, 7500, and 7500E series of
switches, including, without limitation, those devices implementations of Aristas SysDB functionality.
88.
Aristas infringement has caused and is continuing to cause damage and irreparable
injury to Cisco, and Cisco will continue to suffer damage and irreparable injury unless and until that
89.
Cisco is entitled to injunctive relief and damages in accordance with 35 U.S.C. 271,
8
9
10
Cisco incorporates and realleges Paragraphs 1 through 89 of this Complaint as if fully set
forth herein.
11
91.
The USPTO duly and legally issued the 211 patent on November 1, 2011.
12
92.
Arista has infringed, and continues to infringe, one or more claims of the 211 patent,
13
including at least claim 1, either literally or under the doctrine of equivalents, by making, using, selling,
14
and/or offering for sale within the United States and/or importing into the United States networking
15
products that are covered by one or more claims of the 211 patent, including but not limited to the
16
Arista 7010, 7048, 7050, 7050X, 7100, 7150, 7250X, 7280E, 7300, 7300X, 7500, and 7500E series of
17
switches, including, without limitation, those devices implementations of Aristas multi-chassis link
18
19
93.
Aristas infringement has caused and is continuing to cause damage and irreparable
20
injury to Cisco, and Cisco will continue to suffer damage and irreparable injury unless and until that
21
22
94.
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Cisco is entitled to injunctive relief and damages in accordance with 35 U.S.C. 271,
Cisco incorporates and realleges Paragraphs 1 through 94 of this Complaint as if fully set
forth herein.
27
96.
The USPTO duly and legally issued the 296 patent on January 15, 2013.
28
97.
Arista has infringed, and continues to infringe, one or more claims of the 296 patent,
16
including at least claim 1, either literally or under the doctrine of equivalents, by making, using, selling,
and/or offering for sale within the United States and/or importing into the United States networking
products that are covered by one or more claims of the 296 patent, including but not limited to the
Arista 7300, 7300X, 7500, and 7500E series of switches, including, without limitation, those devices
98.
Aristas infringement has caused and is continuing to cause damage and irreparable
injury to Cisco, and Cisco will continue to suffer damage and irreparable injury unless and until that
99.
10
Cisco is entitled to injunctive relief and damages in accordance with 35 U.S.C. 271,
11
12
100.
13
forth herein.
14
101.
The USPTO duly and legally issued the 164 patent on October 30, 2007.
15
102.
Arista has infringed, and continues to infringe, one or more claims of the 164 patent,
Cisco incorporates and realleges Paragraphs 1 through 99 of this Complaint as if fully set
16
including at least claim 1, either literally or under the doctrine of equivalents, by making, using, selling,
17
and/or offering for sale within the United States and/or importing into the United States networking
18
products that are covered by one or more claims of the 164 patent, including but not limited to the
19
Arista 7010, 7048, 7050, 7050X, 7100, 7150, 7250X, 7280E, 7300, 7300X, 7500, and 7500E series of
20
switches, including, without limitation, those devices implementations of Aristas zero touch
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103.
Aristas infringement has caused and is continuing to cause damage and irreparable
23
injury to Cisco, and Cisco will continue to suffer damage and irreparable injury unless and until that
24
25
104.
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Cisco is entitled to injunctive relief and damages in accordance with 35 U.S.C. 271,
Cisco incorporates and realleges Paragraphs 1 through 104 of this Complaint as if fully
17
106.
The USPTO duly and legally issued the 592 patent on May 25, 2004.
107.
Arista has infringed, and continues to infringe, one or more claims of the 592 patent,
including at least claim 6, either literally or under the doctrine of equivalents, by making, using, selling,
and/or offering for sale within the United States and/or importing into the United States networking
products that are covered by one or more claims of the 592 patent, including but not limited to the
Arista 7010, 7050, 7050X, 7100, 7150, 7250X, 7300, and 7300X series of switches, including, without
108.
Aristas infringement has caused and is continuing to cause damage and irreparable
10
injury to Cisco, and Cisco will continue to suffer damage and irreparable injury unless and until that
11
12
109.
13
Cisco is entitled to injunctive relief and damages in accordance with 35 U.S.C. 271,
14
15
16
Cisco incorporates and realleges Paragraphs 1 through 109 of this Complaint as if fully
17
111.
The USPTO duly and legally issued the 145 patent on April 3, 2007.
18
112.
Arista has infringed, and continues to infringe, one or more claims of the 145 patent,
19
including at least claim 5, either literally or under the doctrine of equivalents, by making, using, selling,
20
and/or offering for sale within the United States and/or importing into the United States networking
21
products that are covered by one or more claims of the 145 patent, including but not limited to the
22
Arista 7010, 7050, 7050X, 7100, 7150, 7250X, 7300, and 7300X series of switches, including, without
23
24
113.
Aristas infringement has caused and is continuing to cause damage and irreparable
25
injury to Cisco, and Cisco will continue to suffer damage and irreparable injury unless and until that
26
27
114.
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Cisco is entitled to injunctive relief and damages in accordance with 35 U.S.C. 271,
18
COMPLAINT FOR PATENT INFRINGEMENT
1
2
3
Cisco incorporates and realleges Paragraphs 1 through 114 of this Complaint as if fully
116.
The USPTO duly and legally issued the 492 patent on December 2, 2008.
117.
Arista has infringed, and continues to infringe, one or more claims of the 492 patent,
including at least claim 1, either literally or under the doctrine of equivalents, by making, using, selling,
and/or offering for sale within the United States and/or importing into the United States networking
products that are covered by one or more claims of the 492 patent, including but not limited to the
Arista 7010, 7048, 7050, 7050X, 7100, 7150, 7250X, 7280E, 7300, 7300X, 7500, and 7500E series of
10
switches, including, without limitation, those devices implementations of Aristas loop guard
11
functionality.
12
118.
Aristas infringement has caused and is continuing to cause damage and irreparable
13
injury to Cisco, and Cisco will continue to suffer damage and irreparable injury unless and until that
14
15
119.
16
Cisco is entitled to injunctive relief and damages in accordance with 35 U.S.C. 271,
17
18
19
Cisco incorporates and realleges Paragraphs 1 through 119 of this Complaint as if fully
20
121.
The USPTO duly and legally issued the 875 patent on June 13, 2006.
21
122.
Arista has infringed, and continues to infringe, one or more claims of the 875 patent,
22
including at least claim 1, either literally or under the doctrine of equivalents, by making, using, selling,
23
and/or offering for sale within the United States and/or importing into the United States networking
24
products that are covered by one or more claims of the 875 patent, including but not limited to the
25
Arista 7010, 7048, 7050, 7050X, 7100, 7150, 7250X, 7280E, 7300, 7300X, 7500, and 7500E series of
26
switches, including, without limitation, those devices implementations of Aristas loop guard
27
functionality.
28
123.
Aristas infringement has caused and is continuing to cause damage and irreparable
19
injury to Cisco, and Cisco will continue to suffer damage and irreparable injury unless and until that
124.
Cisco is entitled to injunctive relief and damages in accordance with 35 U.S.C. 271,
5
6
7
Cisco incorporates and realleges Paragraphs 1 through 124 of this Complaint as if fully
126.
The USPTO duly and legally issued the 668 patent on May 29, 2007.
127.
Arista has infringed, and continues to infringe, one or more claims of the 668 patent,
10
including at least claim 1, either literally or under the doctrine of equivalents, by making, using, selling,
11
and/or offering for sale within the United States and/or importing into the United States networking
12
products that are covered by one or more claims of the 668 patent, including but not limited to the
13
Arista 7010, 7048, 7050, 7050X, 7100, 7150, 7250X, 7280E, 7300, 7300X, 7500, and 7500E series of
14
switches, including, without limitation, those devices implementations of Aristas control plane
15
16
128.
Aristas infringement has caused and is continuing to cause damage and irreparable
17
injury to Cisco, and Cisco will continue to suffer damage and irreparable injury unless and until that
18
19
129.
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21
22
Cisco is entitled to injunctive relief and damages in accordance with 35 U.S.C. 271,
23
24
2. For a declaration of a substantial likelihood that Arista will continue to infringe Ciscos
25
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27
officers, directors, attorneys, successors, and assigns, and all those acting on behalf of or
28
1
2
5. For an award of increased damages in an amount not less than three times the damages
284;
8
9
6. For a declaration that this case is exceptional under 35 U.S.C. 285, and an award to
Cisco of its reasonable attorneys fees, expenses, and costs incurred in this action;
10
11
8. For such other and further relief as this Court shall deem appropriate.
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COMPLAINT FOR PATENT INFRINGEMENT
Respectfully submitted,
2
/s/ Adam R. Alper
Steven Cherny
steven.cherny@kirkland.com
KIRKLAND & ELLIS LLP
601 Lexington Avenue
New York, New York 10022
Telephone: (212) 446-4800
Facsimile: (212) 446-4900
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COMPLAINT FOR PATENT INFRINGEMENT