573 U.S. 208 (2014)
Alice Corp. v.
Are Alice's method, computer-readable medium, and system claims for intermediated settlement patent-eligible subject matter under 35 U.S.C. § 101, or are they impermissibly directed to the abstract idea of intermediated settlement implemented on a generic computer?
Under 35 U.S.C. § 101, patents may issue for any new and useful process, machine, manufacture, or composition of matter, but judicial exceptions preclude patents on laws of nature, natural phenomena, and abstract ideas. Applying the Mayo/Alice two-step framework: (1) determine whether the claims are directed to a patent-ineligible concept (such as an abstract idea); and, if so, (2) examine the elements of the claim—both individually and as an ordered combination—to determine whether they contain an "inventive concept" sufficient to transform the nature of the claim into a patent-eligible application. Mere instruction to implement an abstract idea on a generic computer, or recitation of well-understood, routine, conventional activities, does not supply the requisite inventive concept. Claims that improve the functioning of the computer itself or effect an improvement in another technology or technical field may be eligible.
No. The asserted method, computer-readable medium, and system claims are not patent-eligible under § 101. They are directed to the abstract idea of intermediated settlement, and the claim elements—implemented on generic computer components performing conventional functions—do not add an inventive concept.
Alice cemented the two-step eligibility framework and made clear that automating an abstract business method on a general-purpose computer is not patentable. It triggered broad reevaluation of software and fintech patents and spurred a line of cases clarifying when claims recite a concrete technological improvement (e.g., Enfish, McRO, BASCOM, DDR Holdings) versus merely implementing an abstract idea. For law students, Alice is a foundational case for analyzing § 101: identify the abstract idea, assess claim specificity and technical improvement, and distinguish between true technological innovation and high-level automation using conventional components.