The court rejected defendant’s arguments. While the court noted that the proper royalty base is often the smallest salable infringing unit to “remove the value of unclaimed elements,” defendant “has not cited any precedent permitting the complete removal of the value of claimed elements.” The court held that the royalty base must include the value of all claimed elements and excluded the testimony of defendant’s damages expert for his failure to use the proper royalty base.
ThinkOptics, Inc. v. Nintendo of America, Inc., 6:11cv00455 (E.D. Tex. June 21, 2014) [Davis, J].