United States Federal Circuit
Acumed LLC v. Stryker Corp., 2008-1124
District court did not abuse its discretion in permanently enjoining defendant from selling its product after jury found willful infringement of plaintiff's valid patent. The court correctly applied the four-factor test for permanent injunctive relief, finding that: 1) plaintiff has suffered irreparable injury; 2) remedies at law were inadequate; 3) balance of hardships warranted issuance of injunctive relief; and 4) the public interest was not harmed by issuance of the permanent injunction, despite defendant's assertion that its infringing product was safer than plaintiff's product.
Appellate Information
- Decided 12/30/2008
- Published 12/30/2008
Judges
Court
- United States Federal Circuit