Ex parte Li
The Board rejected the application of the “useful, concrete and tangible result” test, citing In re Bilski. The Board found that a computer program product claim is a Beauregard claim and considered statutory as a product claim.
The Board rejected the application of the “useful, concrete and tangible result” test, citing In re Bilski. The Board found that a computer program product claim is a Beauregard claim and considered statutory as a product claim.