`Trademark Trial and Appeal Board Electronic Filing System. http://estta.uspto.gov
`ESTTA239840
`ESTTA Tracking number:
`09/30/2008
`
`
`
`Filing date:
`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`91181522
`91181522
`Plaintiff
`Plaintiff
`Bayer HealthCare LLC
`Bayer HealthCare LLC
`Defendant
`Defendant
`StaiNo, LLC
`
`Proceeding.
`Applicant
`
`Other Party
`
`StaiNo, LLC
`
`Motion for an Extension of Answer or Discovery or Trial Periods With
`Motion for an Extension of Answer or Discovery or Trial Periods With
`
`The Close of Discovery is currently set to close on 12/02/2008. Bayer HealthCare LLC requests that such
`The Close of Discovery is currently set to close on 12/02/2008. Bayer HealthCare LLC requests that such
`date be extended for 60 days, or until 01/31/2009, and that all subsequent dates be reset accordingly.
`date be extended for 60 days, or until 01/31/2009, and that all subsequent dates be reset accordingly.
`
`Consent
`Consent
`
`Time to Answer :
`Time to Answer :
`Deadline for Discovery Conference :
`Deadline for Discovery Conference :
`Discovery Opens :
`Discovery Opens :
`Initial Disclosures Due :
`Initial Disclosures Due :
`Expert Disclosure Due :
`Expert Disclosure Due :
`Discovery Closes :
`Discovery Closes :
`Plaintiff's Pretrial Disclosures :
`Plaintiff's Pretrial Disclosures :
`Plaintiff's 30-day Trial Period Ends :
`Plaintiff's 30-day Trial Period Ends :
`Defendant's Pretrial Disclosures :
`Defendant's Pretrial Disclosures :
`Defendant's 30-day Trial Period Ends :
`Defendant's 30-day Trial Period Ends :
`Plaintiff's Rebuttal Disclosures :
`Plaintiff's Rebuttal Disclosures :
`Plaintiff's 15-day Rebuttal Period Ends :
`Plaintiff's 15-day Rebuttal Period Ends :
`
`CLOSED
`CLOSED
`CLOSED
`CLOSED
`CLOSED
`CLOSED
`CLOSED
`CLOSED
`01/01/2009
`01/01/2009
`01/31/2009
`01/31/2009
`03/17/2009
`03/17/2009
`05/01/2009
`05/01/2009
`05/16/2009
`05/16/2009
`06/30/2009
`06/30/2009
`07/15/2009
`07/15/2009
`08/14/2009
`08/14/2009
`
`The grounds for this request are as follows:
`The grounds for this request are as follows:
`- Parties are unable to complete discovery/testimony during assigned period
`Parties are unable to complete discovery/testimony during assigned period
`Bayer HealthCare LLC has secured the express consent of all other parties to this proceeding for the
`Bayer HealthCare LLC has secured the express consent of all other parties to this proceeding for the
`extension and resetting of dates requested herein.
`extension and resetting of dates requested herein.
`Bayer HealthCare LLC has provided an e-mail address herewith for itself and for the opposing party so that
`Bayer HealthCare LLC has provided an e-mail address herewith for itself and for the opposing party so that
`any order on this motion may be issued electronically by the Board.
`any order on this motion may be issued electronically by the Board.
`
`Certificate of Service
`Certificate of Service
`
`The undersigned hereby certifies that a copy of this paper has been served upon all parties, at their address
`The undersigned hereby certifies that a copy of this paper has been sewed upon all parties, at their address
`record by First Class Mail on this date.
`record by First Class Mail on this date.
`Respectfully submitted,
`Respectfully submitted,
`/PB/
`/PB/
`Phillip Barengolts
`Phillip Barengolts
`rig@pattishall.com, pb@pattishall.com, stl@pattishall.com, lrb@pattishall.com
`rig@pattisha||.com, pb@pattisha||.com, st|@pattisha||.com, |rb@pattisha||.com
`jim@sagllp.com
`jim@sag||p.com
`09/30/2008
`09/30/2008



