throbber
IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`
`Opposition No.
`
`In the Matter of Application Serial No. 78/326,702
`Published in the Official Gazette on August 24, 2004
`
`
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`SALVATORE FERRAGAMO ITALIA S.p.A.,
`
`Opposer,
`
`V.
`
`PARIS PRESENTS INCORPORATED,
`
`Applicant.
`
`
`Commissioner for Trademarks
`
`U.S. Patent and Trademark Office
`
`2900 Crystal Drive
`Arlington, Virginia 22202-3513
`AWN: BOX TTAMEE
`
`Madam:
`
`NOTICE OF OPPOSITION
`
`llllllllllllllllllllllllllllllllllllIIHIIIIIIIM
`
`09-17-2004
`US. Patent & TMOfcITM Mail Flcpt Dr. #22
`
`Salvatore Ferragamo Italia S.p.A., a joint stock company organized and existing under the
`
`Laws of Italy, with an address at Via dei Tornabuoni, 2, 50123 Firenze Fl, Italy, believes that it will
`
`be damaged by and thus opposes registration ofthe mark “THE FOOT DIVA” that is the subject of
`
`Application Serial No. 78/326,702, for use on, inter alia:
`
`-
`
`antibacterial scented foot sprays, non-medicated foot soothing gels, leg after-bath gels, foot
`
`scrubs, non-medicated foot lotions, skin sloughing lotions, non-medicated foot soaks, non-
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`medicated scented foot sprays, pumice stones for personal use, emery boards and
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`professional emery boards (in International Class 3).
`
`L-,.r&:/11;.
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`As provided by lJ5_.U.S._C_, §f§_1052, 1063 and all other applicable authority, and predicated upon the
`.\_-—..
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`

`
`
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`following grounds, Opposer alleges as follows in opposition to registration of the above-referenced
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`mark in International Class 3:
`
`1. Applicant, Paris Presents Incorporation, is an Illinois corporation with an address of 3800
`
`Swanson Court, Gurnee, Illinois 60031.
`
`2. On November 12, 2003, Applicant filed an application to register the mark “THE FOOT
`
`DIVA” based upon an intention to use the mark on, inter alia, “antibacterial scented foot sprays,
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`non-medicated foot soothing gels, leg after-bath gels, foot scrubs, non-medicated foot lotions, skin
`
`sloughing lotions, non-medicated foot soaks, non-medicated scented foot sprays, pumice stones for
`
`personal use, emery boards and professional emery boards" (in International Class 3). The mark was
`
`published for opposition in the August 24, 2004 edition of the Official Gazette.
`
`3. Opposer is the owner, by assignment, of incontestable U.S. Registrations No. 1 ,3 72,041 -
`
`DIVA, No. 1,367,262 - DIVA UNGARO & Design, and No. 1,366,196 - DIVA UNGARO &
`
`Design, for “perfume and eau de parfum” in International Class 3, all of which claim a date of first
`
`use in interstate commerce of March 12, 1984; Opposer is also the owner, by assignment, of
`
`incontestable U.S. Registration No. 1,457,922 - DIVA, for “bath soap, bath gel, body lotion, body
`
`creme, dusting powder” in International Class 3, which claims a date of first use in interstate
`
`commerce of June 3, 1985; additionally, Opposer is the owner of U.S. Registration No. 2,534,401 -
`
`FLEUR DE DIVA & Design, which was adopted and first used by Opposer in interstate commerce
`
`on “perfumes, eau de parfum, cologne, toilet water, soaps, bath soaps, toilet soaps; bath and shower
`
`gel; body lotions and skin lotions” in International Class 3 at least as early as March 1998. The
`
`aforesaid registrations are valid and subsisting, have been neither revoked nor cancelled, and have
`
`not expired (hereinafter referred to collectively as “the DIVA Marks”). Copies of the details of
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`these registrations (from the database of the U.S. Patent and Trademark Office) are attached hereto
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`

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`
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`as Exhibits 1 - 5, respectively. Opposer will rely on these registrations, which are in full force and
`
`effect, and a Notice of Reliance will be filed during Opposer’s testimony period pursuant to 37
`
`C.F.R. § 2.122(d)(2).
`
`4. For the foregoing reasons, Opposer has a substantial interest in the outcome of this case
`
`that is both personal and beyond that of the general public.
`
`5. Opposer has applied to register, registered and used the DIVA Marks on its fragrances and
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`personal care products, including bath and shower gels, body lotions and skin lotions, since long
`
`prior to Applicant’s filing date.
`
`6. Opposer’s DIVA Marks have been in continuous use, in interstate commerce, on
`
`fragrances and personal care products for over twenty (20) years. Through such long and continuous
`
`use, Opposer’s DIVA Marks have become well-known to consumers. Moreover, Opposer has built
`
`up a high degree of distinctiveness and valuable goodwill in its DIVA Marks through the investment
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`of a great deal of time, effort and money. As a result, Opposer’s DIVA Marks are well-known and
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`recognized as identifying Opposer and its fragrances and personal care products, and distinguishing
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`them from like or similar products of others.
`
`7. App1icant’s mark is extremely similar in sight, sound and connotation to Opposer’s DIVA
`
`Marks, and wholly incorporates 0pposer’s DIVA Mark; the dominant feature of Applicant’s mark
`
`is the word “DIVA,” which is identical to Opposer's DIVA Marks, and pronounced the same as
`
`Opposer’s DIVA Marks. In fact, Applicant has disclaimed the word “FOOT.”
`
`8. Applicant’s goods in International Class 3 are either identical or closely related to the
`
`fragrances and personal care products, including bath and shower gels, body lotions and skin lotions,
`
`sold by Opposer under its DIVA Marks. In this regard, many of 0pposer’s products sold under its
`
`DIVA Marks are used on the foot.
`
`

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`
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`9. Opposer has not authorized Applicant to use or register the mark “THE FOOT DIVA”
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`mark, nor does Opposer exercise any control over Applicant’s use of the mark.
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`10. Registration and use of Applicant’s mark in International Class 3 will reduce the value
`
`of the goodwill associated with Opposer’s DIVA Marks.
`
`11. Registration and use of Applicant’s mark in International Class 3 is likely to damage
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`Opposer’s business reputation and to injure and impair Opposer’s rights in its DIVA Marks by
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`causing confusion, mistake and/or deception as to the source of those products marketed and sold
`
`by Applicant. Persons familiar with Opposer’s DIVA Marks will be likely to purchase Applicant’s
`
`products in International Class 3 in the mistaken belief that they are marketed by, or in some way
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`affiliated with or endorsed by, Opposer, possibly causing loss of sales to Opposer. In addition, any
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`defect, failure, or fault with respect to products offered by Applicant under the proposed mark in
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`International Class 3 will erode the valuable goodwill associated with Opposer and its DIVA Marks.
`
`12. Registration and use of Applicant’s mark in International Class 3 will result in dilution
`
`of Opposer’s DIVA Marks, as it would lessen the capacity of those famous marks to identify and
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`distinguish Opposer’s goods.
`
`13. If Applicant were granted registration of its mark in International Class 3, its would
`
`thereby obtain a prima facie exclusive right to use the mark on those goods described in its
`
`application in International Class 3, contributing to the damage and injury that would he suffered by
`
`Opposer.
`
`14. For these reasons, Opposer expressly alleges and asserts that registration of the mark
`
`“THE FOOT DIVA” by Applicant for the referenced goods would be inconsistent with the standards
`
`for registration set forth in 15 U.S.C.§ 1052, 1063 and other applicable authority.
`
`WHEREFORE, Opposer respectfully requests that this Opposition be sustained and that
`
`

`
`
`
`registration of Applicant’s mark “THE FOOT DIVA” mark in International Class 3 be refused.
`
`In accordance with 37 C.F.R. § 2.6(a)(l7), the governmental filing fee of $300.00, and any
`
`additional fees in connection herewith, are hereby authorized to be drawn from Deposit Account No.
`
`50-0995 of Silverberg, Goldman & Bikoff, L.L.P.
`
`In accordance with 37 C.F.R. § 2.104(a), a duplicate copy of this Notice of Opposition is
`
`attached.
`
`Respectfully submitted,
`
`SALVATORE FERRAGAMO ITALIA S.P.A.
`
`
`
`/’
`ames L. Bikoff, Esq.
`.P.
`Silverberg, Goldman & Bikgfif,/L.
`
`Georgetown Place - Suite 120
`1101 30"‘ Street, NW
`
`
`
`Washington, DC 20007
`202/944-3300
`
`Date: September 17, 2004
`
`Attorneys for Opposer
`
`CERTIFICATE OF HAND-DELIVERY
`
`I hereby certify that the foregoing NOTICE OF OPPOSITION to registration of
`Application Serial No. 78/326,702 - “THE FOOT DIVA,” together with a duplicate copy and
`postcard receipt, were hand-delivered to the following address, this 17"‘ day of September, 2004:
`
`Box: TTAB/FEE
`
`Commissioner for Trademarks
`
`U.S. Patent and Trademark Office
`
`2900 Crystal Drive
`Arlington, Virginia 22202-3513
`
`
`
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`EXHIBIT 1
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`Typed Drawing
`
`Word Mark
`
`DIVA
`
`Goods and Services IC 003. US 051. G & S: Perfume and Eau de Parfum.eFIRST USE: 19830829.
`FIRST USE IN COMMERCE: 19840312
`
`Mark D"“"i“g
`Code
`
`(1) TYPED DRAWING
`
`Serial Number
`
`73475887
`
`Filing Date
`
`April 17, 1984
`
`Current Filing Basis 1A
`
`Original Filing
`Basis
`
`1 A
`
`Publisinid for
`Opposition
`
`Registration
`Number
`
`December 25, 1984
`
`13 72041
`
`Registration Date
`Owner
`
`November 26, 1985
`(REGISTRANT) Parfums Ungaro, Inc. CORPORATION NEW YORK 9 W.
`57th St. New York NEW YORK 10019
`
`"SSig“‘“°“‘
`Recorded
`
`ASSIGNMENT RECORDED
`
`Attorney of Record VERONICA L. HRDY
`
`Prior Registrations 0654884
`
`Type of Mark
`
`TRADEMARK
`
`Register
`
`PRINCIPAL
`
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`SECT 15. SECT 8 (6-YR).
`Affidavit Text
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`DIVA UNGARO
`
`Goods and
`Services
`D'a""i"g
`
`IC 003. US 051. G & S: PERFUME AND EAU DE PARFUM. FIRST USE:
`19830829. FIRST USE IN COMMERCE: 19840312
`(3) DESIGN PLUS WORDS, LETTERS, AND/OR NUMBERS
`
`gjlif“ S°“"°"
`
`260521261105 261110 261112 261l21261701261705
`
`Serial Number
`
`73483511
`
`Filing Date
`Current Filing
`Basis
`
`June 4, 1984
`1 A
`
`Original Filing
`Basis
`
`IA
`
`gublislpd for
`
`pposltlon
`
`Registration
`Number
`
`August 20, 1985
`
`1367262
`
`Registration Date October 29, 1985
`°“’“°’
`(REGISTRANT) PARFUMS UNGARO, INC. CORPORATION NEW YORK 9
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`A“ig““‘°“‘
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`Attorney of
`Record
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`Em."
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`.
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`eglstratmns
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`WEST 57TH STREET NEW YORK NEW YORK 10019
`ASSIGNMENT RECORDED
`
`PETER WEISS
`
`0654884;1237914
`
`Disclaimer
`
`NO CLAIM IS MADE TO THE EXCLUSIVE RIGHT TO USE THE OUTER
`RECTANGULAR SHAPE OF THE ATOMIZER APART FROM THE MARK
`AS SHOWN
`
`Description of
`Mark
`
`THE DRAWING IS LINED FOR THE COLORS GOLD AND BURGUNDY,
`AND THE COLORS ARE CLAIMED AS PART OF THE TRADEMARK.
`
`Type of Mark
`
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`DIVA UNGARO
`
`Goods and
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`
`IC 003. US 051. G & S: PERFUME AND EAU DE PARFUM. FIRST USE:
`19830829. FIRST USE IN COMMERCE: 19840312
`
`D”'“’i"g
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`
`Serial Number
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`73483510
`
`Filing Date
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`Current Filing
`Basis
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`Published for
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`1 A
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`August 13, 1985
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`1366196
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`Registration Date October 22, 1985
`O‘’‘’'““'
`(REGISTRANT) PARFUMS UNGARO, INC. CORPORATION NEW YORK 9
`
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`Assignment
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`Prior
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`Disclaimer
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`WEST 57TH STREET NEW YORK NEW YORK 10019
`
`ASSIGNMENT RECORDED
`
`VERONICA L. HRDY
`
`0654884
`
`NO CLAIM IS MADE TO THE EXCLUSIVE RIGHT TO USE THE
`PERIMETERS OF THE BOTTLE APART FROM THE MARK AS SHOWN
`
`Description of
`Mark
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`THE DRAWING IS LINED FOR THE COLORS WHITE, GOLD AND
`BURGUNDY, AND THE COLORS ARE CLAIMED AS PART OF THE
`TRADEMARK.
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`IC 003. US 051 052. G & S: BATH SOAP, BATH GEL, BODY LOTION, BODY
`CREME, DUSTING POWDER. FIRST USE: 19850603. FIRST USE IN
`COMMERCE: 19850603
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`Serial Number 73640538
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`Basis
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`Published for
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`Registration
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`Owner
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`Assignment
`Recorded
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`Attorney of
`Record
`
`1457922
`
`September 22, 1987
`
`(REGISTRANT) PARFUMS UNGARO, INC. CORPORATION NEW YORK 9
`WEST 57TH STREET NEW YORK NEW YORK 10019
`
`ASSIGNMENT RECORDED
`
`MARGARET GOLDSTEIN
`
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`TRADEMARK
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`Word Mark
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`FLEUR DE DIVA
`
`Translations The English translation of "FLEUR DE DIVA" is "flower of star".
`
`Goods and
`Services
`
`Mark
`
`Drawing
`Code
`
`IC 003. US 001 004 006 050 051 052. G & S: perfumes, eau de parfum, cologne, toilet
`water, [essential oils for personal use; cosmetics, namely, eye makeup, eye shadow,
`eyeliner, lip gloss, lipstick, facial makeup, foundation makeup, mascara, face powder;
`hair care preparations, hair cleaning preparations, hair styling preparations; ] soaps,
`bath soaps, toilet soaps; bath and shower gel; body lotions and skin lotions. FIRST
`USE: 19980200. FIRST USE IN COMMERCE: 19980300
`
`(3) DESIGN PLUS WORDS, LETTERS, AND/OR NUMBERS
`
`Code 050525 190902 261110
`
`:‘;"‘n“l')er
`Filing Date
`
`P(‘:illliIi1r,c:IIl3tasis
`?‘iIitgi:gn§lasis
`
`75388374
`November 12, 1997
`
`IA
`1B
`
`http://tess2.uspto.gov/bin/showfield?1Edoc&state=4vvhr5.3 .24
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`9/ 1 6/2004
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`P“b“s'.“?d ’°" March 23, 1999
`Opposition
`Cha.“g° II’
`Registration
`
`CHANGE IN REGISTRATION HAS OCCURRED
`
`Registration
`Number
`R ° t
`t'
`Dgff "3 ‘°“
`
`Owner
`
`2534401
`
`January 29, 2002
`
`(REGISTRANT) SALVATORE FERRAGAMO ITALIA S.p.A. CORPORATION
`ITALY 2, Via dei Tomabuoni FLORENCE ITALY
`
`Attorney of MARY MOY
`Record
`
`3"”?
`
`.
`
`eglstrations
`
`0654884;1366196;1367262;l37204l;1457922;AND OTHERS
`
`Description of The petal shaped designs in the mark appear in alternating colors of green, orange, and
`Mark
`pink. The lining on the bottle is a feature of the mark and falling petals are lined for the
`colors green, orange and pink.
`
`Type of Mark TRADEMARK
`
`Register
`Live/Dead
`Indicator
`
`PRINCIPAL
`
`LIVE
`
`J!
`
`HOME | INDEX | SEARCH | SYSTEM ALERTS | BUSINESS CENTER | NEWS&NOT|CES |
`CONTACT US I PRIVACY STATEMENT
`
`http://tess2.uspto.govfbin/showfield?1Edoc&state=4vvhr5 .3 .24
`
`9/1 6/2004
`
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`September 17, 2004
`
`94-4-3309
`Wfiteris Direct Dial:
`Writer’: E-Mail: ¢:llzlinlr¢@sgl:n:lc.com
`
`Commissioner for Trademarks
`
`2900 Crystal Drive
`Arlington, Virginia 22202-3513
`ATTN: BOX TTABIFEE
`
`Re:
`
`Notice of Opposition to Registration of Application
`Serial No. 78/326,702 - THE FOOT DIVA
`Opposer: Salvatore Ferragamo Italia S.p.A.
`Published: August 24, 2004
`International Class: 3 (and others)
`Our Reference: SIB/Sfi
`
`Dear Madam:
`
`Transmitted herewith for filing in connection with the above-identified matter is the
`following:
`
`1)
`2)
`3)
`
`Notice of Opposition (in duplicate);
`Certificate of Hand-Delivery; and
`A postcard to be date-stamped and returned to our courier upon filing.
`
`You are hereby authorized to draw the $300.00 governmental filing fee, and any additional
`fees in connection herewith, from our Deposit Account No. 50-0995. Thank you for your kind
`attention to this matter.
`
`Enclosures (As indicated)
`cc w/o encs:
`James L. Bikoff, Esq.
`
`Very truly yours,
`
`09%
`
`Darlene S. Klinksieck
`
`Trademark Administrator
`
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`
`09-17-2004
`U.S. Patti‘!!! TM0lcITM Mill Rep! Dt. #22

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