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Case: 1:13-cv-07900 Document #: 1 Filed: 11/04/13 Page 1 of 15 PageID #:1

UNITED STATES DISTRICT COURT
NORTHERN DISTRICT OF ILLINOIS
EASTERN DIVISION
BRK BRANDS, INC.,
Plaintiff,

Civil Action No.:

v.

COMPLAINT

NEST LABS, INC.,

JURY TRIAL DEMANDED
Defendant.

COMPLAINT FOR PATENT INFRINGEMENT
Plaintiff BRK Brands, Inc. (“BRK”), through its attorneys, K&L Gates LLP, brings this
action against Defendant Nest Labs, Inc. (“Nest”) to obtain preliminary and permanent injunctive
relief, actual damages, treble damages, attorneys’ fees, and costs for Nest’s infringement of
BRK’s asserted patents.
NATURE OF THE ACTION
1.

This is an action arising under the patent laws of the United States, 35 U.S.C. §§ 1

et seq. and is brought by BRK against Nest for Nest’s infringement of U.S. Patent Nos.
6,144,310 (“the ‘310 patent”), 6,600,424 (“the ‘424 patent”), 6,323,780 (“the ‘780 patent”),
6,784,798 (“the ‘798 patent”), 7,158,040 (“the ‘040 patent”), and 6,377,182 (“the ‘182 patent”)
(collectively, “Patents-in-Suit”).
THE PARTIES
2.

BRK Brands, Inc. is a Delaware corporation with its principal place of business in

Aurora, Illinois. BRK provides smoke and carbon monoxide alarms, home security solutions,
fire extinguishers, and safety and cash boxes.
Case: 1:13-cv-07900 Document #: 1 Filed: 11/04/13 Page 2 of 15 PageID #:2

3.

Nest Labs, Inc. is a Delaware corporation with its principal place of business in

Palo Alto, California. Nest makes “next generation” thermostats and is currently advertising and
offering for sale a new smoke and carbon monoxide alarm named Nest Protect. According to
Nest, Nest Protect has not been shipped to any actual customers and will be made available to
consumers some time in November. Before developing the Nest Protect, Nest had never sold
any smoke and carbon monoxide alarms.
JURISDICTION AND VENUE
4.

This Court has subject matter jurisdiction pursuant to 28 U.S.C. §§ 1331 and

1338(a) because this action arises under the patent laws of the United States.
5.

This Court has personal jurisdiction over Nest. Nest has committed acts of

infringement in this Judicial District in violation of 35 U.S.C. § 271, and places infringing
products into the stream of commerce, with the knowledge or understanding that such products
will be sold and used in this Judicial District. Nest offers its products for sale on its website
(www.nest.com). Additionally, Nest partners with various certified professionals that have been
“trained and certified by Nest.” A printout from Nest’s website is attached as Exhibit G. Nest
instructs its customers to contact these “certified professionals” to “buy a Nest product or arrange
installation.” Id.
6.

Venue is proper in this Court under 28 U.S.C. § 1391(b) and 1400(b).
FACTUAL BACKGROUND

7.

BRK incorporates Paragraphs 1 through 6 of its Complaint as if fully set forth

herein.
The Patents-in-Suit
8.

The ‘310 patent, the ‘424 patent, the ‘780 patent, the ‘798 patent, and the ‘040

patent (collectively, “Morris Patents”) are related patents, invented by Dr. Gary J. Morris. Dr.
-2-
Case: 1:13-cv-07900 Document #: 1 Filed: 11/04/13 Page 3 of 15 PageID #:3

Morris has exclusively licensed the Morris Patents to BRK.
9.

The ‘182 patent was invented by BRK engineers and is unrelated to the Morris

Patents. The named inventors of the ‘182 patent are Mark Devine, Mark Watson, Andrew
Ivanecky, Lulzim Osmani, Kenneth Venzant, and Samuel Lopez. The ‘182 patent is assigned to
BRK.
BRK’s Development of Its First Alert® Smoke and Carbon Monoxide Alarms
10.

Before the introduction of BRK’s smoke and carbon monoxide alarm, home

owners would only hear a loud beeping noise from alarms to indicate some kind of danger. BRK
revolutionized the home safety industry when it introduced its smoke and carbon monoxide
alarms in 2003, which provide a home owner with the type and location of danger through a
talking alarm. BRK further revolutionized the home safety market when it introduced alarms
with its patented smoke vent system that helps to reduce the number of false alarms.
11.

As a direct result of its innovations, BRK has achieved significant commercial

success and is the market leader in the area of smoke and carbon monoxide alarms.
12.

BRK’s smoke and carbon monoxide alarms prominently display that they are

covered by the Patents-in-Suit. For example, BRK’s PC900V model indicates that it is covered
by each of the Patents-in-Suit. BRK’s SCO7CN model states that it is covered by the ‘182
patent.
13.
features.

BRK’s smoke and carbon monoxide alarms further highlight the patented
For example, BRK’s PC900V model prominently features that it has “Voice &

Location Technology” to “[h]elp quickly identify the danger,” as well as a “Patented Smoke
Entry System,” which results in “Fewer False Alarms”:

-3-
Case: 1:13-cv-07900 Document #: 1 Filed: 11/04/13 Page 4 of 15 PageID #:4

14.

BRK’s SCO7CN model similarly highlights that it has an “Exclusive Talking

Alarm,” which “[t]ells you [the] type and location of danger”:

-4-
Case: 1:13-cv-07900 Document #: 1 Filed: 11/04/13 Page 5 of 15 PageID #:5

15.

The SCO7CN model further identifies BRK’s First Alert® Smoke & Carbon

Monoxide Alarm as “The Most Trusted Name In Home Safety”:

16.

BRK has expended considerable resources investing in research and development,

marketing, and sales related to its patented smoke and carbon monoxide alarms to ensure
maximum safety for its customers.
17.

BRK has also expended considerable resources to exclusively license the Morris

Patents.
Nest’s Infringing Product
18.

Nest recently began advertising the Accused Product, the Nest Protect, on its

website. See Ex. G.
19.

The Nest Protect is advertised as a smoke and carbon monoxide alarm:

-5-
Case: 1:13-cv-07900 Document #: 1 Filed: 11/04/13 Page 6 of 15 PageID #:6

20.

Like BRK’s patented products, the Nest device provides verbal (in English or

Spanish) alerts. When it senses smoke, it first gives a verbal warning about the type of problem
and its location in the house. See id.
21.

The Nest alarm provides different types of voice warnings, including a “heads-

up” and an emergency alarm. See id. For example, the device can alert “head’s up, there is
smoke in the dining room” or “emergency, there is smoke in the living room” and also provide a
tonal alert and flashing red light. See id.
22.

According to Nest’s website, the device is not yet available to the public. See id.

However, the product website indicates that a customer can reserve one and will be charged
($129) when the product actually becomes commercially available. See id.
23.

According to press releases from early October, Nest expects the Nest Protect to

go on sale in November. Nest’s press releases are attached as Exhibit H.
24.

Nest intends to sell its products both on its website and through retailers,

including the Apple Store, Best Buy, and Home Depot. See id.
25.

The product will be available for purchase in more than 5,000 stores in the U.S.,

Canada, and United Kingdom. See id.
FIRST CLAIM: INFRINGEMENT OF U.S. PATENT NO. 6,144,310
26.

BRK incorporates Paragraphs 1 through 25 of its Complaint as if fully set forth

27.

On November 7, 2000, the United States Patent and Trademark Office duly and

herein.

legally issued the ‘310 Patent, entitled “Environmental Condition Detector with Audible Alarm
and Voice Identifier.” A copy of the ‘310 Patent is attached as Exhibit A.

-6-
Case: 1:13-cv-07900 Document #: 1 Filed: 11/04/13 Page 7 of 15 PageID #:7

28.

The ‘310 Patent is marked on BRK’s smoke and carbon monoxide alarm

products.
29.

On information and belief, Nest has knowledge of the ‘310 Patent because it is

marked on BRK’s smoke and carbon monoxide alarm products.
30.

Nest has infringed and is infringing, either literally or under the doctrine of

equivalents, the ‘310 Patent by making, using, offering to sell, and/or selling within the United
States, and/or importing into the United States, without authority, its Nest Protect product.
31.

The Nest Protect product infringes at least Claims 5, 11, 12, and 13 of the ‘310

32.

BRK has been and continues to be damaged by Nest’s infringement of the ‘310

Patent.

Patent, in an amount to be determined at trial.
33.

BRK has suffered irreparable injury for which there is no adequate remedy at law

and will continue to suffer such irreparable injury unless Nest’s infringement of the ‘310 Patent
is preliminarily and permanently enjoined by this Court.
34.

Upon information and belief, Nest’s infringement of the ‘310 Patent is, and has

been, willful.
35.

Nest’s infringement of the ‘310 Patent is exceptional, and thus, pursuant to 35

U.S.C. §285, BRK is entitled to its reasonable attorneys’ fees and costs incurred in prosecuting
this action.
SECOND CLAIM: INFRINGEMENT OF U.S. PATENT NO. 6,600,424
36.

BRK incorporates Paragraphs 1 through 35 of its Complaint as if fully set forth

herein.

-7-
Case: 1:13-cv-07900 Document #: 1 Filed: 11/04/13 Page 8 of 15 PageID #:8

37.

On July 29, 2003, the United States Patent and Trademark Office duly and legally

issued the ‘424 Patent, entitled “Environment Condition Detector with Audible Alarm and Voice
Identifier.” A copy of the ‘424 Patent is attached as Exhibit B.
38.

The ‘424 Patent is marked on BRK’s smoke and carbon monoxide alarm

products.
39.

On information and belief, Nest has knowledge of the ‘424 Patent because it is

marked on BRK’s smoke and carbon monoxide alarm products.
40.

Nest has infringed and is infringing, either literally or under the doctrine of

equivalents, the ‘424 Patent by making, using, offering to sell, and/or selling within the United
States, and/or importing into the United States, without authority, its Nest Protect product.
41.

The Nest Protect product infringes at least Claims 2, 4, 8, 23, 25, 26, and 38 of the

‘424 Patent.
42.

BRK has been and continues to be damaged by Nest’s infringement of the ‘424

Patent, in an amount to be determined at trial.
43.

BRK has suffered irreparable injury for which there is no adequate remedy at law

and will continue to suffer such irreparable injury unless Nest’s infringement of the ‘424 Patent
is preliminarily and permanently enjoined by this Court.
44.

Upon information and belief, Nest’s infringement of the ‘424 Patent is, and has

been, willful.
45.

Nest’s infringement of the ‘424 Patent is exceptional, and thus, pursuant to 35

U.S.C. §285, BRK is entitled to its reasonable attorneys’ fees and costs incurred in prosecuting
this action.

-8-
Case: 1:13-cv-07900 Document #: 1 Filed: 11/04/13 Page 9 of 15 PageID #:9

THIRD CLAIM: INFRINGEMENT OF U.S. PATENT NO. 6,323,780
46.

BRK incorporates Paragraphs 1 through 45 of its Complaint as if fully set forth

47.

On November 27, 2001, the United States Patent and Trademark Office duly and

herein.

legally issued the ‘780 Patent, entitled “Communicative Environmental Alarm System with
Voice Indication.” A copy of the ‘780 Patent is attached as Exhibit C.
48.

The ‘780 Patent is marked on BRK’s smoke and carbon monoxide alarm

products.
49.

On information and belief, Nest has knowledge of the ‘780 Patent because it is

marked on BRK’s smoke and carbon monoxide alarm products.
50.

Nest has infringed and is infringing, either literally or under the doctrine of

equivalents, the ‘780 Patent by making, using, offering to sell, and/or selling within the United
States, and/or importing into the United States, without authority, its Nest Protect product.
51.

The Nest Protect product infringes at least Claims 2, 4, 5, 6, 13, 17, 24, 42, 43, 44,

46, and 47 of the ‘780 Patent.
52.

BRK has been and continues to be damaged by Nest’s infringement of the ‘780

Patent, in an amount to be determined at trial.
53.

BRK has suffered irreparable injury for which there is no adequate remedy at law

and will continue to suffer such irreparable injury unless Nest’s infringement of the ‘780 Patent
is preliminarily and permanently enjoined by this Court.
54.

Upon information and belief, Nest’s infringement of the ‘780 Patent is, and has

been, willful.

-9-
Case: 1:13-cv-07900 Document #: 1 Filed: 11/04/13 Page 10 of 15 PageID #:10

55.

Nest’s infringement of the ‘780 Patent is exceptional, and thus, pursuant to 35

U.S.C. §285, BRK is entitled to its reasonable attorneys’ fees and costs incurred in prosecuting
this action.
FOURTH CLAIM: INFRINGEMENT OF U.S. PATENT NO. 6,784,798
56.

BRK incorporates Paragraphs 1 through 55 of its Complaint as if fully set forth

57.

On August 31, 2004, the United States Patent and Trademark Office duly and

herein.

legally issued the ‘798 Patent, entitled “Environmental Condition Detector with Audible Alarm
and Voice Identifier.” A copy of the ‘798 Patent is attached as Exhibit D.
58.

The ‘798 Patent is marked on BRK’s smoke and carbon monoxide alarm

products.
59.

On information and belief, Nest has knowledge of the ‘798 Patent because it is

marked on BRK’s smoke and carbon monoxide alarm products.
60.

Nest has infringed and is infringing, either literally or under the doctrine of

equivalents, the ‘798 Patent by making, using, offering to sell, and/or selling within the United
States, and/or importing into the United States, without authority, its Nest Protect product.
61.

The Nest Protect product infringes at least Claims 1, 2, 25, and 26 of the ‘798

62.

BRK has been and continues to be damaged by Nest’s infringement of the ‘798

Patent.

Patent, in an amount to be determined at trial.
63.

BRK has suffered irreparable injury for which there is no adequate remedy at law

and will continue to suffer such irreparable injury unless Nest’s infringement of the ‘798 Patent
is preliminarily and permanently enjoined by this Court.

- 10 -
Case: 1:13-cv-07900 Document #: 1 Filed: 11/04/13 Page 11 of 15 PageID #:11

64.

Upon information and belief, Nest’s infringement of the ‘798 Patent is, and has

been, willful.
65.

Nest’s infringement of the ‘798 Patent is exceptional, and thus, pursuant to 35

U.S.C. §285, BRK is entitled to its reasonable attorneys’ fees and costs incurred in prosecuting
this action.
FIFTH CLAIM: INFRINGEMENT OF U.S. PATENT NO. 7,158,040
66.

BRK incorporates Paragraphs 1 through 65 of its Complaint as if fully set forth

67.

On January 2, 2007, the United States Patent and Trademark Office duly and

herein.

legally issued the ‘040 Patent, entitled “Environmental Condition Detector with Audible Alarm
and Voice Identifier.” A copy of the ‘040 Patent is attached as Exhibit E.
68.

The ‘040 Patent is marked on BRK’s smoke and carbon monoxide alarm

products.
69.

On information and belief, Nest has knowledge of the ‘040 Patent because it is

marked on BRK’s smoke and carbon monoxide alarm products.
70.

Nest has infringed and is infringing, either literally or under the doctrine of

equivalents, the ‘040 Patent by making, using, offering to sell, and/or selling within the United
States, and/or importing into the United States, without authority, its Nest Protect product.
71.

The Nest Protect product infringes at least Claims 1, 2, and 3 of the ‘040 Patent.

72.

BRK has been and continues to be damaged by Nest’s infringement of the ‘040

Patent, in an amount to be determined at trial.

- 11 -
Case: 1:13-cv-07900 Document #: 1 Filed: 11/04/13 Page 12 of 15 PageID #:12

73.

BRK has suffered irreparable injury for which there is no adequate remedy at law

and will continue to suffer such irreparable injury unless Nest’s infringement of the ‘040 Patent
is preliminarily and permanently enjoined by this Court.
74.

Upon information and belief, Nest’s infringement of the ‘040 Patent is, and has

been, willful.
75.

Nest’s infringement of the ‘040 Patent is exceptional, and thus, pursuant to 35

U.S.C. §285, entitles BRK to its reasonable attorneys’ fees and costs incurred in prosecuting this
action.
SIXTH CLAIM: INFRINGEMENT OF U.S. PATENT NO. 6,377,182
76.

BRK incorporates Paragraphs 1 through 75 of its Complaint as if fully set forth

77.

On April 23, 2002, the United States Patent and Trademark Office duly and

herein.

legally issued the ‘182 Patent, entitled “Smoke Detector with Sensor Having Improved Mounting
Configuration.” A copy of the ‘182 Patent is attached as Exhibit F.
78.

The ‘182 Patent is marked on BRK’s smoke and carbon monoxide alarm

products.
79.

On information and belief, Nest has knowledge of the ‘182 Patent because it is

marked on BRK’s smoke and carbon monoxide alarm products.
80.

Nest has infringed and is infringing, either literally or under the doctrine of

equivalents, the ‘182 Patent by making, using, offering to sell, and/or selling within the United
States, and/or importing into the United States, without authority, its Nest Protect product.
81.

The Nest Protect product infringes at least Claims 8, 11, 20, and 30 of the ‘182

Patent.

- 12 -
Case: 1:13-cv-07900 Document #: 1 Filed: 11/04/13 Page 13 of 15 PageID #:13

82.

BRK has been and continues to be damaged by Nest’s infringement of the ‘182

Patent, in an amount to be determined at trial.
83.

BRK has suffered irreparable injury for which there is no adequate remedy at law

and will continue to suffer such irreparable injury unless Nest’s infringement of the ‘182 Patent
is preliminarily and permanently enjoined by this Court.
84.

Upon information and belief, Nest’s infringement of the ‘182 Patent is, and has

been, willful.
85.

Nest’s infringement of the ‘182 Patent is exceptional, and thus, pursuant to 35

U.S.C. §285, BRK is entitled to its reasonable attorneys’ fees and costs incurred in prosecuting
this action.
RELIEF REQUESTED
WHEREFORE, BRK prays for the following judgment and relief against Nest:
A.

That Nest has infringed the Patents-in-Suit;

B.

That Nest, its officers, agents, and employees, and those persons in active concert

or participation with any of them, and their successors and assigns be preliminarily and
permanently enjoined from infringement of the Patents-in-Suit, including but not limited to an
injunction against making, using, offering to sell, and selling within the United States, and
importing into the United States, any products covered by the Patents-in-Suit;
C.

That BRK be awarded all damages adequate to compensate it for Nest’s

infringement of the Patents-in-Suit, such damages to be determined by a jury, and if necessary to
adequately compensate BRK for the infringement, an accounting and treble damages as a result
of Nest’s willful infringement;

- 13 -
Case: 1:13-cv-07900 Document #: 1 Filed: 11/04/13 Page 14 of 15 PageID #:14

D.

That BRK be awarded pre-judgment and post-judgment interest at the maximum

rate allowed by law;
E.

That this case be declared an exceptional case within the meaning of 35 U.S.C. §

285 and that BRK be awarded its reasonable attorney fees, expenses, and costs incurred in
connection with this action; and
F.

That BRK be awarded such other and further relief as this Court deems just and

proper.
JURY DEMAND
BRK hereby demands a trial by jury on all issues so triable.

Dated: November 4, 2013

Respectfully submitted,
/s/ Sanjay K. Murthy__________
Sanjay K. Murthy
sanjay.murthy@klgates.com
Benjamin E. Weed
benjamin.weed@klgates.com
Devon C. Beane
devon.beane@klgates.com
K&L GATES LLP
70 W. Madison St., Suite 3100
Chicago, IL 60602
Tel: (312) 372-1121
Fax: (312) 827-800
Bryan J. Sinclair (pro hac vice pending)
brian.sinclair@klgates.com
K&L GATES LLP
630 Hansen Way
Palo Alto, CA
Tel: (650) 798-6700
Fax: (650) 798-6701
Ravi S. Deol (pro hac vice pending)
ravi.deol@klgates.com

- 14 -
Case: 1:13-cv-07900 Document #: 1 Filed: 11/04/13 Page 15 of 15 PageID #:15

K&L GATES LLP
1717 Main Street, Suite 2800
Dallas, TX 75201
Tel: (214) 939-5500
Fax: (214) 939-5849
ATTORNEYS FOR PLAINTIFF BRK BRANDS,
INC.

- 15 -

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Lawsuit filed by BRK against Nest and its smoke detector

  • 1. Case: 1:13-cv-07900 Document #: 1 Filed: 11/04/13 Page 1 of 15 PageID #:1 UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF ILLINOIS EASTERN DIVISION BRK BRANDS, INC., Plaintiff, Civil Action No.: v. COMPLAINT NEST LABS, INC., JURY TRIAL DEMANDED Defendant. COMPLAINT FOR PATENT INFRINGEMENT Plaintiff BRK Brands, Inc. (“BRK”), through its attorneys, K&L Gates LLP, brings this action against Defendant Nest Labs, Inc. (“Nest”) to obtain preliminary and permanent injunctive relief, actual damages, treble damages, attorneys’ fees, and costs for Nest’s infringement of BRK’s asserted patents. NATURE OF THE ACTION 1. This is an action arising under the patent laws of the United States, 35 U.S.C. §§ 1 et seq. and is brought by BRK against Nest for Nest’s infringement of U.S. Patent Nos. 6,144,310 (“the ‘310 patent”), 6,600,424 (“the ‘424 patent”), 6,323,780 (“the ‘780 patent”), 6,784,798 (“the ‘798 patent”), 7,158,040 (“the ‘040 patent”), and 6,377,182 (“the ‘182 patent”) (collectively, “Patents-in-Suit”). THE PARTIES 2. BRK Brands, Inc. is a Delaware corporation with its principal place of business in Aurora, Illinois. BRK provides smoke and carbon monoxide alarms, home security solutions, fire extinguishers, and safety and cash boxes.
  • 2. Case: 1:13-cv-07900 Document #: 1 Filed: 11/04/13 Page 2 of 15 PageID #:2 3. Nest Labs, Inc. is a Delaware corporation with its principal place of business in Palo Alto, California. Nest makes “next generation” thermostats and is currently advertising and offering for sale a new smoke and carbon monoxide alarm named Nest Protect. According to Nest, Nest Protect has not been shipped to any actual customers and will be made available to consumers some time in November. Before developing the Nest Protect, Nest had never sold any smoke and carbon monoxide alarms. JURISDICTION AND VENUE 4. This Court has subject matter jurisdiction pursuant to 28 U.S.C. §§ 1331 and 1338(a) because this action arises under the patent laws of the United States. 5. This Court has personal jurisdiction over Nest. Nest has committed acts of infringement in this Judicial District in violation of 35 U.S.C. § 271, and places infringing products into the stream of commerce, with the knowledge or understanding that such products will be sold and used in this Judicial District. Nest offers its products for sale on its website (www.nest.com). Additionally, Nest partners with various certified professionals that have been “trained and certified by Nest.” A printout from Nest’s website is attached as Exhibit G. Nest instructs its customers to contact these “certified professionals” to “buy a Nest product or arrange installation.” Id. 6. Venue is proper in this Court under 28 U.S.C. § 1391(b) and 1400(b). FACTUAL BACKGROUND 7. BRK incorporates Paragraphs 1 through 6 of its Complaint as if fully set forth herein. The Patents-in-Suit 8. The ‘310 patent, the ‘424 patent, the ‘780 patent, the ‘798 patent, and the ‘040 patent (collectively, “Morris Patents”) are related patents, invented by Dr. Gary J. Morris. Dr. -2-
  • 3. Case: 1:13-cv-07900 Document #: 1 Filed: 11/04/13 Page 3 of 15 PageID #:3 Morris has exclusively licensed the Morris Patents to BRK. 9. The ‘182 patent was invented by BRK engineers and is unrelated to the Morris Patents. The named inventors of the ‘182 patent are Mark Devine, Mark Watson, Andrew Ivanecky, Lulzim Osmani, Kenneth Venzant, and Samuel Lopez. The ‘182 patent is assigned to BRK. BRK’s Development of Its First Alert® Smoke and Carbon Monoxide Alarms 10. Before the introduction of BRK’s smoke and carbon monoxide alarm, home owners would only hear a loud beeping noise from alarms to indicate some kind of danger. BRK revolutionized the home safety industry when it introduced its smoke and carbon monoxide alarms in 2003, which provide a home owner with the type and location of danger through a talking alarm. BRK further revolutionized the home safety market when it introduced alarms with its patented smoke vent system that helps to reduce the number of false alarms. 11. As a direct result of its innovations, BRK has achieved significant commercial success and is the market leader in the area of smoke and carbon monoxide alarms. 12. BRK’s smoke and carbon monoxide alarms prominently display that they are covered by the Patents-in-Suit. For example, BRK’s PC900V model indicates that it is covered by each of the Patents-in-Suit. BRK’s SCO7CN model states that it is covered by the ‘182 patent. 13. features. BRK’s smoke and carbon monoxide alarms further highlight the patented For example, BRK’s PC900V model prominently features that it has “Voice & Location Technology” to “[h]elp quickly identify the danger,” as well as a “Patented Smoke Entry System,” which results in “Fewer False Alarms”: -3-
  • 4. Case: 1:13-cv-07900 Document #: 1 Filed: 11/04/13 Page 4 of 15 PageID #:4 14. BRK’s SCO7CN model similarly highlights that it has an “Exclusive Talking Alarm,” which “[t]ells you [the] type and location of danger”: -4-
  • 5. Case: 1:13-cv-07900 Document #: 1 Filed: 11/04/13 Page 5 of 15 PageID #:5 15. The SCO7CN model further identifies BRK’s First Alert® Smoke & Carbon Monoxide Alarm as “The Most Trusted Name In Home Safety”: 16. BRK has expended considerable resources investing in research and development, marketing, and sales related to its patented smoke and carbon monoxide alarms to ensure maximum safety for its customers. 17. BRK has also expended considerable resources to exclusively license the Morris Patents. Nest’s Infringing Product 18. Nest recently began advertising the Accused Product, the Nest Protect, on its website. See Ex. G. 19. The Nest Protect is advertised as a smoke and carbon monoxide alarm: -5-
  • 6. Case: 1:13-cv-07900 Document #: 1 Filed: 11/04/13 Page 6 of 15 PageID #:6 20. Like BRK’s patented products, the Nest device provides verbal (in English or Spanish) alerts. When it senses smoke, it first gives a verbal warning about the type of problem and its location in the house. See id. 21. The Nest alarm provides different types of voice warnings, including a “heads- up” and an emergency alarm. See id. For example, the device can alert “head’s up, there is smoke in the dining room” or “emergency, there is smoke in the living room” and also provide a tonal alert and flashing red light. See id. 22. According to Nest’s website, the device is not yet available to the public. See id. However, the product website indicates that a customer can reserve one and will be charged ($129) when the product actually becomes commercially available. See id. 23. According to press releases from early October, Nest expects the Nest Protect to go on sale in November. Nest’s press releases are attached as Exhibit H. 24. Nest intends to sell its products both on its website and through retailers, including the Apple Store, Best Buy, and Home Depot. See id. 25. The product will be available for purchase in more than 5,000 stores in the U.S., Canada, and United Kingdom. See id. FIRST CLAIM: INFRINGEMENT OF U.S. PATENT NO. 6,144,310 26. BRK incorporates Paragraphs 1 through 25 of its Complaint as if fully set forth 27. On November 7, 2000, the United States Patent and Trademark Office duly and herein. legally issued the ‘310 Patent, entitled “Environmental Condition Detector with Audible Alarm and Voice Identifier.” A copy of the ‘310 Patent is attached as Exhibit A. -6-
  • 7. Case: 1:13-cv-07900 Document #: 1 Filed: 11/04/13 Page 7 of 15 PageID #:7 28. The ‘310 Patent is marked on BRK’s smoke and carbon monoxide alarm products. 29. On information and belief, Nest has knowledge of the ‘310 Patent because it is marked on BRK’s smoke and carbon monoxide alarm products. 30. Nest has infringed and is infringing, either literally or under the doctrine of equivalents, the ‘310 Patent by making, using, offering to sell, and/or selling within the United States, and/or importing into the United States, without authority, its Nest Protect product. 31. The Nest Protect product infringes at least Claims 5, 11, 12, and 13 of the ‘310 32. BRK has been and continues to be damaged by Nest’s infringement of the ‘310 Patent. Patent, in an amount to be determined at trial. 33. BRK has suffered irreparable injury for which there is no adequate remedy at law and will continue to suffer such irreparable injury unless Nest’s infringement of the ‘310 Patent is preliminarily and permanently enjoined by this Court. 34. Upon information and belief, Nest’s infringement of the ‘310 Patent is, and has been, willful. 35. Nest’s infringement of the ‘310 Patent is exceptional, and thus, pursuant to 35 U.S.C. §285, BRK is entitled to its reasonable attorneys’ fees and costs incurred in prosecuting this action. SECOND CLAIM: INFRINGEMENT OF U.S. PATENT NO. 6,600,424 36. BRK incorporates Paragraphs 1 through 35 of its Complaint as if fully set forth herein. -7-
  • 8. Case: 1:13-cv-07900 Document #: 1 Filed: 11/04/13 Page 8 of 15 PageID #:8 37. On July 29, 2003, the United States Patent and Trademark Office duly and legally issued the ‘424 Patent, entitled “Environment Condition Detector with Audible Alarm and Voice Identifier.” A copy of the ‘424 Patent is attached as Exhibit B. 38. The ‘424 Patent is marked on BRK’s smoke and carbon monoxide alarm products. 39. On information and belief, Nest has knowledge of the ‘424 Patent because it is marked on BRK’s smoke and carbon monoxide alarm products. 40. Nest has infringed and is infringing, either literally or under the doctrine of equivalents, the ‘424 Patent by making, using, offering to sell, and/or selling within the United States, and/or importing into the United States, without authority, its Nest Protect product. 41. The Nest Protect product infringes at least Claims 2, 4, 8, 23, 25, 26, and 38 of the ‘424 Patent. 42. BRK has been and continues to be damaged by Nest’s infringement of the ‘424 Patent, in an amount to be determined at trial. 43. BRK has suffered irreparable injury for which there is no adequate remedy at law and will continue to suffer such irreparable injury unless Nest’s infringement of the ‘424 Patent is preliminarily and permanently enjoined by this Court. 44. Upon information and belief, Nest’s infringement of the ‘424 Patent is, and has been, willful. 45. Nest’s infringement of the ‘424 Patent is exceptional, and thus, pursuant to 35 U.S.C. §285, BRK is entitled to its reasonable attorneys’ fees and costs incurred in prosecuting this action. -8-
  • 9. Case: 1:13-cv-07900 Document #: 1 Filed: 11/04/13 Page 9 of 15 PageID #:9 THIRD CLAIM: INFRINGEMENT OF U.S. PATENT NO. 6,323,780 46. BRK incorporates Paragraphs 1 through 45 of its Complaint as if fully set forth 47. On November 27, 2001, the United States Patent and Trademark Office duly and herein. legally issued the ‘780 Patent, entitled “Communicative Environmental Alarm System with Voice Indication.” A copy of the ‘780 Patent is attached as Exhibit C. 48. The ‘780 Patent is marked on BRK’s smoke and carbon monoxide alarm products. 49. On information and belief, Nest has knowledge of the ‘780 Patent because it is marked on BRK’s smoke and carbon monoxide alarm products. 50. Nest has infringed and is infringing, either literally or under the doctrine of equivalents, the ‘780 Patent by making, using, offering to sell, and/or selling within the United States, and/or importing into the United States, without authority, its Nest Protect product. 51. The Nest Protect product infringes at least Claims 2, 4, 5, 6, 13, 17, 24, 42, 43, 44, 46, and 47 of the ‘780 Patent. 52. BRK has been and continues to be damaged by Nest’s infringement of the ‘780 Patent, in an amount to be determined at trial. 53. BRK has suffered irreparable injury for which there is no adequate remedy at law and will continue to suffer such irreparable injury unless Nest’s infringement of the ‘780 Patent is preliminarily and permanently enjoined by this Court. 54. Upon information and belief, Nest’s infringement of the ‘780 Patent is, and has been, willful. -9-
  • 10. Case: 1:13-cv-07900 Document #: 1 Filed: 11/04/13 Page 10 of 15 PageID #:10 55. Nest’s infringement of the ‘780 Patent is exceptional, and thus, pursuant to 35 U.S.C. §285, BRK is entitled to its reasonable attorneys’ fees and costs incurred in prosecuting this action. FOURTH CLAIM: INFRINGEMENT OF U.S. PATENT NO. 6,784,798 56. BRK incorporates Paragraphs 1 through 55 of its Complaint as if fully set forth 57. On August 31, 2004, the United States Patent and Trademark Office duly and herein. legally issued the ‘798 Patent, entitled “Environmental Condition Detector with Audible Alarm and Voice Identifier.” A copy of the ‘798 Patent is attached as Exhibit D. 58. The ‘798 Patent is marked on BRK’s smoke and carbon monoxide alarm products. 59. On information and belief, Nest has knowledge of the ‘798 Patent because it is marked on BRK’s smoke and carbon monoxide alarm products. 60. Nest has infringed and is infringing, either literally or under the doctrine of equivalents, the ‘798 Patent by making, using, offering to sell, and/or selling within the United States, and/or importing into the United States, without authority, its Nest Protect product. 61. The Nest Protect product infringes at least Claims 1, 2, 25, and 26 of the ‘798 62. BRK has been and continues to be damaged by Nest’s infringement of the ‘798 Patent. Patent, in an amount to be determined at trial. 63. BRK has suffered irreparable injury for which there is no adequate remedy at law and will continue to suffer such irreparable injury unless Nest’s infringement of the ‘798 Patent is preliminarily and permanently enjoined by this Court. - 10 -
  • 11. Case: 1:13-cv-07900 Document #: 1 Filed: 11/04/13 Page 11 of 15 PageID #:11 64. Upon information and belief, Nest’s infringement of the ‘798 Patent is, and has been, willful. 65. Nest’s infringement of the ‘798 Patent is exceptional, and thus, pursuant to 35 U.S.C. §285, BRK is entitled to its reasonable attorneys’ fees and costs incurred in prosecuting this action. FIFTH CLAIM: INFRINGEMENT OF U.S. PATENT NO. 7,158,040 66. BRK incorporates Paragraphs 1 through 65 of its Complaint as if fully set forth 67. On January 2, 2007, the United States Patent and Trademark Office duly and herein. legally issued the ‘040 Patent, entitled “Environmental Condition Detector with Audible Alarm and Voice Identifier.” A copy of the ‘040 Patent is attached as Exhibit E. 68. The ‘040 Patent is marked on BRK’s smoke and carbon monoxide alarm products. 69. On information and belief, Nest has knowledge of the ‘040 Patent because it is marked on BRK’s smoke and carbon monoxide alarm products. 70. Nest has infringed and is infringing, either literally or under the doctrine of equivalents, the ‘040 Patent by making, using, offering to sell, and/or selling within the United States, and/or importing into the United States, without authority, its Nest Protect product. 71. The Nest Protect product infringes at least Claims 1, 2, and 3 of the ‘040 Patent. 72. BRK has been and continues to be damaged by Nest’s infringement of the ‘040 Patent, in an amount to be determined at trial. - 11 -
  • 12. Case: 1:13-cv-07900 Document #: 1 Filed: 11/04/13 Page 12 of 15 PageID #:12 73. BRK has suffered irreparable injury for which there is no adequate remedy at law and will continue to suffer such irreparable injury unless Nest’s infringement of the ‘040 Patent is preliminarily and permanently enjoined by this Court. 74. Upon information and belief, Nest’s infringement of the ‘040 Patent is, and has been, willful. 75. Nest’s infringement of the ‘040 Patent is exceptional, and thus, pursuant to 35 U.S.C. §285, entitles BRK to its reasonable attorneys’ fees and costs incurred in prosecuting this action. SIXTH CLAIM: INFRINGEMENT OF U.S. PATENT NO. 6,377,182 76. BRK incorporates Paragraphs 1 through 75 of its Complaint as if fully set forth 77. On April 23, 2002, the United States Patent and Trademark Office duly and herein. legally issued the ‘182 Patent, entitled “Smoke Detector with Sensor Having Improved Mounting Configuration.” A copy of the ‘182 Patent is attached as Exhibit F. 78. The ‘182 Patent is marked on BRK’s smoke and carbon monoxide alarm products. 79. On information and belief, Nest has knowledge of the ‘182 Patent because it is marked on BRK’s smoke and carbon monoxide alarm products. 80. Nest has infringed and is infringing, either literally or under the doctrine of equivalents, the ‘182 Patent by making, using, offering to sell, and/or selling within the United States, and/or importing into the United States, without authority, its Nest Protect product. 81. The Nest Protect product infringes at least Claims 8, 11, 20, and 30 of the ‘182 Patent. - 12 -
  • 13. Case: 1:13-cv-07900 Document #: 1 Filed: 11/04/13 Page 13 of 15 PageID #:13 82. BRK has been and continues to be damaged by Nest’s infringement of the ‘182 Patent, in an amount to be determined at trial. 83. BRK has suffered irreparable injury for which there is no adequate remedy at law and will continue to suffer such irreparable injury unless Nest’s infringement of the ‘182 Patent is preliminarily and permanently enjoined by this Court. 84. Upon information and belief, Nest’s infringement of the ‘182 Patent is, and has been, willful. 85. Nest’s infringement of the ‘182 Patent is exceptional, and thus, pursuant to 35 U.S.C. §285, BRK is entitled to its reasonable attorneys’ fees and costs incurred in prosecuting this action. RELIEF REQUESTED WHEREFORE, BRK prays for the following judgment and relief against Nest: A. That Nest has infringed the Patents-in-Suit; B. That Nest, its officers, agents, and employees, and those persons in active concert or participation with any of them, and their successors and assigns be preliminarily and permanently enjoined from infringement of the Patents-in-Suit, including but not limited to an injunction against making, using, offering to sell, and selling within the United States, and importing into the United States, any products covered by the Patents-in-Suit; C. That BRK be awarded all damages adequate to compensate it for Nest’s infringement of the Patents-in-Suit, such damages to be determined by a jury, and if necessary to adequately compensate BRK for the infringement, an accounting and treble damages as a result of Nest’s willful infringement; - 13 -
  • 14. Case: 1:13-cv-07900 Document #: 1 Filed: 11/04/13 Page 14 of 15 PageID #:14 D. That BRK be awarded pre-judgment and post-judgment interest at the maximum rate allowed by law; E. That this case be declared an exceptional case within the meaning of 35 U.S.C. § 285 and that BRK be awarded its reasonable attorney fees, expenses, and costs incurred in connection with this action; and F. That BRK be awarded such other and further relief as this Court deems just and proper. JURY DEMAND BRK hereby demands a trial by jury on all issues so triable. Dated: November 4, 2013 Respectfully submitted, /s/ Sanjay K. Murthy__________ Sanjay K. Murthy sanjay.murthy@klgates.com Benjamin E. Weed benjamin.weed@klgates.com Devon C. Beane devon.beane@klgates.com K&L GATES LLP 70 W. Madison St., Suite 3100 Chicago, IL 60602 Tel: (312) 372-1121 Fax: (312) 827-800 Bryan J. Sinclair (pro hac vice pending) brian.sinclair@klgates.com K&L GATES LLP 630 Hansen Way Palo Alto, CA Tel: (650) 798-6700 Fax: (650) 798-6701 Ravi S. Deol (pro hac vice pending) ravi.deol@klgates.com - 14 -
  • 15. Case: 1:13-cv-07900 Document #: 1 Filed: 11/04/13 Page 15 of 15 PageID #:15 K&L GATES LLP 1717 Main Street, Suite 2800 Dallas, TX 75201 Tel: (214) 939-5500 Fax: (214) 939-5849 ATTORNEYS FOR PLAINTIFF BRK BRANDS, INC. - 15 -