Ex Parte Wurster et alDownload PDFPatent Trial and Appeal BoardMar 25, 201913016380 (P.T.A.B. Mar. 25, 2019) Copy Citation UNITED STA TES p A TENT AND TRADEMARK OFFICE APPLICATION NO. FILING DATE FIRST NAMED INVENTOR 13/016,380 01/28/2011 50787 7590 03/26/2019 STRADLEY RONON STEVENS & YOUNG, LLP 30 VALLEY STREAM PARKWAY GREAT VALLEY CORPORA TE CENTER MALVERN, PA 19355-1481 Michael P. Wurster 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. 184569-3188 4449 EXAMINER MATHEW, FENN C ART UNIT PAPER NUMBER 3733 MAIL DATE DELIVERY MODE 03/26/2019 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 Exparte MICHAEL P. WURSTER, SCOTT E. BYSICK, ROBERT WAL TERMYER, and PAUL KELLEY 1 Appeal2017-005224 Application 13/016,380 Technology Center 3700 Before JOHN C. KERINS, BRANDON J. WARNER, and LISA M. GUIJT, Administrative Patent Judges. KERINS, Administrative Patent Judge. DECISION ON APPEAL STATEMENT OF THE CASE Michael P. Wurster et al. (Appellants) appeal under 35 U.S.C. § 134(a) from the Examiner's decision to reject claims 1, 3, 5, and 7-13. We have jurisdiction over this appeal under 35 U.S.C. § 6(b). We REVERSE. 1 The Appeal Brief identifies Graham Packaging Company, L.P. as the real party-in-interest. Appeal Br. 1. Appeal2017-005224 Application 13/016,380 THE INVENTION Appellants' invention relates to a closure for a hot-fill container. Independent claim 1 is illustrative of the claimed invention and reads as follows: 1. A closure for a hot-fill container comprising: a. a cap member having a top surface, a bottom surface, and a wall portion having an outer surface and an inner surface wherein the inner surface comprises threads to mate with a threaded neck finish of a hot-fill container; b. a flexible diaphragm member comprising: at least one flexible portion in a first position and a sealing lip portion to seal a liquid in the container thus preventing the liquid from traveling to the threaded neck finish of the container; and c. a disc member interposed between the cap member and the diaphragm member, wherein the disc member comprises: a hydrophobic filter membrane and at least one vent providing a path for air to travel from an area near the threads to the hydrophobic filter member, wherein the flexible portion of the flexible diaphragm member flexes to compensate for a change in pressure within the container by transitioning downwards in response to a decrease in pressure and by transitioning upwards in response to an . . mcrease m pressure. THE REJECTION The Examiner has rejected claims 1, 3, 5, and 7-13 under 35 U.S.C. § I02(b) as being anticipated by Kubo (WO 2008/065879 Al, published June 5, 2008). Because that International published application is principally in Japanese, reference herein is to the corresponding U.S. 2 Appeal2017-005224 Application 13/016,380 reference, Publication Number US 2010/0084397 Al, published April 8, 2010. ANALYSIS The Examiner finds that Kubo teaches all limitations appearing in claim 1, citing to element 4, referred to in Kubo as an "internal stopper" (Kubo, para. 30), as corresponding to the claimed flexible diaphragm member. Final Act. 2. Appellants argue that stopper 4 would not be understood to be a diaphragm, because it has a hole in it for receiving another element. Appeal Br. 5. Appellants additionally maintain that Kubo fails to evidence that stopper 4 "flexes to compensate for a change in pressure within the container by transitioning downwards in response to a decrease in pressure and/or by transitioning upwards in response to an increase in pressure," a further limitation imposed on the flexible diaphragm member in claim 1. Id. at 5---6. Appellants have the better position in both respects. The Examiner offers that, "as defined by the American Heritage Dictionary, a diaphragm is a membranous part that divides or separates." Final Act. 6. The Examiner takes the position that stopper 4 divides and separates two parts of the container therein. Id. However, stopper 4 only does so in conjunction with another element, i.e., tube 35 of intermediate element 3 fitted into fit hole 44 of stopper 4 and "intimately contacting an inner circumferential surface of annular valve 42 of internal stopper 4," with the elements together constituting a check valve. Kubo, para 56. Thus, even by the definition 3 Appeal2017-005224 Application 13/016,380 relied on by the Examiner, stopper 4 alone would not be regarded as a diaphragm. Additionally, although stopper 4 in Kubo is disclosed as being made of a "material rich in elasticity" (Kubo, para. 50), the only portion of the stopper that is disclosed as moving in any manner in response to a change in pressure is annular valve 42, which "opens outward to form a gap between annular valve 42 and tube 35" to allow air to pass through to the interior of main unit 1 of the container. Kubo, para. 58. The radial outward movement and subsequent return to a sealing position is not a flexing in the form of transitioning downward or upward as required by claim 1. The Examiner does not rely on annular valve 42 as being the flexible portion of stopper 4 that flexes due to changes in pressure, in any event. Instead, the Examiner provides an annotated version of Figure 2 of Kubo, labeled as "Fig A" in the Final Action, illustrating that the thick, annular portion of stopper 4 disposed radially outwardly of the hole and annular valve, is the portion corresponding to the claimed flexible portion of the diaphragm. Final Act. 4. As presaged by the discussion in the paragraph immediately above, Kubo is silent as to whether the Examiner-designated "flexible portion" of stopper 4 moves at all, let alone downwards and upwards in response to pressure changes. The Examiner ultimately cites to paragraphs 34, 50, and 58 of Kubo as evidencing movement of the flexible portion in response to pressure changes. Ans. 7. Paragraph 34 discusses the deformation and recovery of main unit 1 of the container, and does not involve stopper 4 in any way. Paragraph 50 discusses only suitable materials from which to 4 Appeal2017-005224 Application 13/016,380 construct stopper 4, those materials being "rich in elasticity," but includes no discussion of flexing or movement of any portion of the stopper when used. Paragraph 58, as discussed previously, identifies that the annular valve opens outwardly as a result of a pressure differential across the check valve, and again discusses the deformation and recovery of main unit 1, but says nothing about stopper 4. As such, the Examiner has not established that Kubo discloses a flexible diaphragm member as claimed, nor that, even if stopper 4 were properly considered to be a diaphragm, the stopper has a flexible portion that flexes to compensate for a change in pressure by transitioning upwardly or downwardly. The rejection of claim 1, and of claims 3, 5, and 7-13 depending therefrom, as being anticipated by Kubo, is not sustained. DECISION The rejection of claims 1, 3, 5, and 7-13 is reversed. REVERSED 5 Copy with citationCopy as parenthetical citation