On October 1, 2024, the USPTO published a new final rule, Rules Governing Director Review of Patent Trial and Appeal Board (PTAB) Decisions. 89 Fed. Reg. 79,744 (October 1, 2024). The final rule codifies many aspects of the PTAB’s revised interim Director Review process and largely tracks the proposed rule that was published on April 16, 2024 (89 Fed. Reg. 26,807). The final rule becomes effective October 31, 2024.
The new rule provides some certainty for parties as to the Director Review process in AIA trial proceedings while still maintaining flexibility for the Director in reviewing and deciding Director Review requests. The final rule adds a new rule—37 C.F.R. § 42.75—that addresses the following topics:
Scope of Director Review
Subsection (a) defines the scope of Director Review. Director Review is available for any institution decision or final decision in IPRs, PGRs, and derivation proceedings, as well as any decision granting rehearing of such a decision. This is consistent with current practice under the revised interim Director Review process and clarifies that derivation proceedings are within the scope of Director Review. The final rule also provides that Director Review is available for “any other decision concluding [an AIA] proceeding” (e.g., a grant of an adverse judgment or a dismissal of the proceeding).
Sua sponte Director Review
Subsection (b) provides that the Director may sua sponte order Director Review. This is consistent with current practice under the revised interim Director Review process. The new rule adds a deadline for initiating a sua sponte review “within 21 days after the expiration of the period for filing a request for rehearing” “absent exceptional circumstances.” The rule does not, however, include a specific deadline for the Office to issue any decision on Director Review.
Requests for Director Review
Subsection (c) details the timing and format of the request, which are generally consistent with current practice under the revised interim Director Review process. A party may file one request for Director Review as an alternative to requesting panel rehearing. The deadline is the same as the deadline for requesting rehearing (per § 42.71(d)), with extensions available for good cause. The request must follow all format requirements of § 42.6(a) and is limited to 15 pages (per § 42.24(a)(1)(v)). No new evidence is permitted, and there is no responsive briefing by the opposing party. The Director may authorize modifications to these length, response, and evidence limitations in a particular proceeding.
Process
Subsection (e) provides information on the Director Review process. When granting a Director Review, the Director will issue an order or decision setting out the scope of the review, and a review will conclude with an order or decision providing the Director’s reasons for the disposition of the case. By default, a request for or initiation of Director Review does not stay any deadlines in the underlying proceeding. However, a request for or initiation of Director Review of an appealable Board decision does reset the time for appeal to the Federal Circuit, which then starts after all issues on Director Review are resolved. This is consistent with current practice under the revised interim Director Review process. Of note, the rule does not include any specific deadline for the Office to issue any decision on Director Review.
Other aspects
Subsections (d), (f), and (g) respectively address when an agency decision is considered “final” vis-à-vis a Director Review request, the Director’s authority to delegate their review, and the general prohibition against ex parte communications related to specific requests or proceedings.
Many specific details regarding practice and procedures are not expressly included in the final rule. Currently, such issues are addressed on the USPTO’s Director Review web page. The Federal Register notice indicates that the Office will continue to provide additional guidance on various issues, consistent with the final rule, through the Director Review web page and notes that a “new Director Review web page will publish and become effective” on October 31. 89 Fed. Reg. 79,745 n.8. The current Director Review web page includes, for example, the applicable standards of review, information about precedential designation, possible issues to address in a Director Review request, details of the decision-making process and the Advisory Committee, and step-by-step instructions on how to file and perfect a request.
Written by Jennifer Meyer Chagnon
Counsel, Sterne Kessler
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