Apple Inc. v. MPH Technologies Oy, No. 21-1532 (Fed. Cir. 2022)
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MPH’s challenged patents share a written description and purport to improve secure messaging between arbitrary hosts (e.g., messaging across local area networks (LANs), private and public wide area networks (WANs), or the internet) utilizing Internet Protocol (IP) security protocols. MPH asserted claims of the challenged patents against Apple, which petitioned for inter partes review of each claim of the three patents.
The Board held that Apple failed to show that several dependent claims of each patent would have been obvious in view of a combination of prior art. The Federal Circuit affirmed. The court upheld the constructions of “intermediate computer configured to receive from a mobile computer a secure message sent to the first network address” as requiring the mobile computer to send the message to the first network address and of “information fields” as requiring “two or more fields.” Substantial evidence supported the Board’s finding with respect to motivation to modify the combination of prior art to use more than one field; Apple failed to show a motivation to modify the prior art combination to include substitution.