`ESTTA1027801
`01/09/2020
`
`ESTTA Tracking number:
`
`Filing date:
`
`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`
`Applicants
`
`Application Serial Number
`
`Application Filing Date
`
`Mark
`
`Date of Publication
`
`Potential Opposer's
`Correspondence Information
`
`QUINTESSENTIAL BRANDS S.A.
`
`79114552
`
`05/02/2012
`
`QUINTESSENTIAL BRANDS
`
`12/31/2019
`
`Christopher J. Passarelli
`Dickenson Peatman & Fogarty
`1455 First Street, Suite 301
`Napa, CA 94559
`UNITED STATES
`chrisp@dpf-law.com
`(707) 261-7000
`
`First 90 Day Request for Extension of Time to Oppose for Good
`
`Cause
`
`Pursuant to 37 C.F.R. Section 2.102, Quintessential LLC, 1310 Second Street, Napa, CA 94559, UNITED
`STATES, a Limited Liability Company, organized under the laws of California, respectfully requests that it be
`granted a 90-day extension of time to file a notice of opposition against the above-identified mark for cause
`shown.
`Potential opposer believes that good cause is established for this request by:
`- The potential opposer needs additional time to investigate the claim
`The time within which to file a notice of opposition is set to expire on 01/30/2020. Quintessential LLC respect-
`fully requests that the time period within which to file an opposition be extended until 04/29/2020.
`Respectfully submitted,
`/Christopher J. Passarelli/
`Christopher J. Passarelli
`cp@dpf-law.com, tmdept@dpf-law.com, mwhiteside@dpf-law.com
`01/09/2020
`
`



