throbber
Trademark Trial and Appeal Board Electronic Filing System. http://estta.uspto.gov
`ESTTA393535
`ESTTA Tracking number:
`02/16/2011
`
`Filing date:
`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`Notice of Opposition
`
`Notice is hereby given that the following party opposes registration of the indicated application.
`Opposer Information
`
`Name
`Granted to Date
`of previous
`extension
`Address
`
`Jaguar Cars Limited
`02/16/2011
`
`Abbey RoadWhitley
`Coventry, CV3 4LF
`UNITED KINGDOM
`
`Attorney
`information
`
`Leon E. Redman
`Brooks Kushman PC
`1000 Town Center, #2200
`Southfield, MI 48075
`UNITED STATES
`lredman@brookskushman.com, mdorosh@brookskushman.com
`Phone:248-358-4400
`Applicant Information
`
`Application No
`Opposition Filing
`Date
`Applicant
`
`85060122
`02/16/2011
`
`Publication date
`Opposition
`Period Ends
`
`10/19/2010
`02/16/2011
`
`Wang, Neng Feng
`Lucheng West Jian Bin Rd., 8th Division Harvest Bldg., 12B #6
`Wenzhou,
`CHINA
`Goods/Services Affected by Opposition
`
`Class 009.
`All goods and services in the class are opposed, namely: Eyewear; Sunglasses; Sunglasses and
`spectacles
`
`Grounds for Opposition
`
`False suggestion of a connection
`Priority and likelihood of confusion
`Dilution
`
`Trademark Act section 2(a)
`Trademark Act section 2(d)
`Trademark Act section 43(c)
`
`Marks Cited by Opposer as Basis for Opposition
`
`U.S. Registration
`No.
`Registration Date
`
`423961
`
`09/17/1946
`
`Application Date
`
`11/26/1945
`
`Foreign Priority
`Date
`
`NONE
`
`

`
`Word Mark
`Design Mark
`Description of
`Mark
`Goods/Services
`
`JAGUAR
`
`NONE
`
`Class U019 (International Class 012). First use: First Use: 1935/00/00 First Use
`In Commerce: 1935/00/00
`AUTOMOBILES, [ BUSES, MOTOR VANS, ] AND PARTS THEREOF
`
`U.S. Registration
`No.
`Registration Date
`
`Word Mark
`Design Mark
`
`1562075
`
`10/24/1989
`
`JAGUAR
`
`Application Date
`
`03/06/1989
`
`Foreign Priority
`Date
`
`NONE
`
`Description of
`Mark
`Goods/Services
`
`THE MARK CONSISTS OF A LEAPING JAGUAR ABOVE THE TERM
`"JAGUAR".
`Class 012. First use: First Use: 1983/02/00 First Use In Commerce: 1983/02/00
`AUTOMOBILES AND STRUCTURAL PARTS THEREOF
`
`U.S. Registration
`No.
`Registration Date
`
`Word Mark
`Design Mark
`
`1764382
`
`04/13/1993
`
`JAGUAR
`
`Application Date
`
`01/12/1990
`
`Foreign Priority
`Date
`
`NONE
`
`Description of
`Mark
`Goods/Services
`
`The mark consists of a leaping jaguar above the term "JAGUAR".
`
`Class 012. First use: First Use: 1987/05/00 First Use In Commerce: 1987/05/00
`anti-theft alarms for motor vehicles
`
`U.S. Registration
`
`2276500
`
`Application Date
`
`08/04/1997
`
`

`
`No.
`Registration Date
`
`Word Mark
`Design Mark
`
`09/07/1999
`
`JAGUAR
`
`Foreign Priority
`Date
`
`NONE
`
`Description of
`Mark
`Goods/Services
`
`U.S. Registration
`No.
`Registration Date
`
`Word Mark
`Design Mark
`Description of
`Mark
`Goods/Services
`
`The mark consists of a leaping jaguar above the term "JAGUAR".
`
`Class 012. First use: First Use: 1997/01/01 First Use In Commerce: 1997/01/01
`bicycles and boats, license plate holders
`
`1166342
`
`08/25/1981
`
`JAGUAR
`
`NONE
`
`Application Date
`
`06/23/1980
`
`Foreign Priority
`Date
`
`NONE
`
`Class 009. First use: First Use: 1979/09/00 First Use In Commerce: 1979/09/00
`Sunglasses
`
`U.S. Registration
`No.
`Registration Date
`
`Word Mark
`Design Mark
`
`1891968
`
`05/02/1995
`
`JAGUAR
`
`Application Date
`
`01/12/1990
`
`Foreign Priority
`Date
`
`NONE
`
`Description of
`Mark
`Goods/Services
`
`The mark consists of a leaping jaguar above the term "JAGUAR"
`
`Class 009. First use: First Use: 1988/09/00 First Use In Commerce: 1988/09/00
`sunglasses
`
`

`
`U.S. Registration
`No.
`Registration Date
`
`Word Mark
`Design Mark
`
`3211870
`
`02/20/2007
`
`JAGUAR
`
`Application Date
`
`03/24/2005
`
`Foreign Priority
`Date
`
`NONE
`
`Description of
`Mark
`Goods/Services
`
`NONE
`
`Class 009. First use: First Use: 1996/08/01 First Use In Commerce: 1996/08/01
`Spectacles
`
`U.S. Registration
`No.
`Registration Date
`
`Word Mark
`Design Mark
`
`2225291
`
`02/23/1999
`
`JAGUAR
`
`Application Date
`
`08/04/1997
`
`Foreign Priority
`Date
`
`NONE
`
`Description of
`Mark
`Goods/Services
`
`The mark consists of a leaping JAGUAR above the term "JAGUAR".
`
`Class 009. First use: First Use: 1983/00/00 First Use In Commerce: 1983/00/00
`[magnets; compasses; calculators;] prerecorded video tapes featuring the
`automotive industry; [telephones; ]radios; computer software for computer
`games; computer software for personal satellite navigation systems for mapping
`purposes; [computerized personal organizers/calendars;] spectacles and
`spectacle cases; and mouse pads
`
`U.S. Registration
`No.
`Registration Date
`
`1108664
`
`12/12/1978
`
`Word Mark
`
`JAGUAR
`
`Application Date
`
`07/21/1977
`
`Foreign Priority
`Date
`
`NONE
`
`

`
`Design Mark
`Description of
`Mark
`Goods/Services
`
`U.S. Registration
`No.
`Registration Date
`
`Word Mark
`Design Mark
`Description of
`Mark
`Goods/Services
`
`NONE
`
`Class 018. First use: First Use: 1976/08/25 First Use In Commerce: 1977/01/01
`[ RUCKSACKS AND ] KNAPSACKS
`
`1219068
`
`12/07/1982
`
`JAGUAR
`
`NONE
`
`Application Date
`
`05/11/1981
`
`Foreign Priority
`Date
`
`NONE
`
`Class 014. First use: First Use: 1981/04/06 First Use In Commerce: 1981/04/06
`Watches and Clocks
`
`U.S. Registration
`No.
`Registration Date
`
`Word Mark
`Design Mark
`
`1615725
`
`10/02/1990
`
`JAGUAR
`
`Application Date
`
`01/12/1990
`
`Foreign Priority
`Date
`
`NONE
`
`Description of
`Mark
`Goods/Services
`
`NONE
`
`Class 018. First use: First Use: 1984/09/00 First Use In Commerce: 1984/09/00
`duffel bags, passport cases, umbrellas and luggage tags
`
`U.S. Registration
`No.
`Registration Date
`
`2214138
`
`12/29/1998
`
`Word Mark
`
`JAGUAR
`
`Application Date
`
`08/04/1997
`
`Foreign Priority
`Date
`
`NONE
`
`

`
`Design Mark
`
`Description of
`Mark
`Goods/Services
`
`The mark consists of a leaping jaguar above the term "JAGUAR".
`
`Class 020. First use: First Use: 1984/00/00 First Use In Commerce: 1984/00/00
`non-metal key rings; [ plastic novelty license plates; mirrors; picture frames;
`jewelry boxes not of metal and ] desk ornaments not of precious metal
`
`U.S. Registration
`No.
`Registration Date
`
`Word Mark
`Design Mark
`
`2230158
`
`03/09/1999
`
`JAGUAR
`
`Application Date
`
`08/04/1997
`
`Foreign Priority
`Date
`
`NONE
`
`Description of
`Mark
`Goods/Services
`
`U.S. Registration
`No.
`Registration Date
`
`Word Mark
`Design Mark
`Description of
`Mark
`Goods/Services
`
`The mark consists of a leaping jaguar above the term "JAGUAR".
`
`Class 018. First use: First Use: 1990/08/00 First Use In Commerce: 1990/08/00
`leather goods, namely, luggage, wallets, [ shoe bags for travel, ] tote bags,
`cosmetic cases sold empty, shaving kit cases sold empty, [ change purses,
`walking sticks; ] leather briefcase-type portfolios; leather attache cases; [ leather
`golf bags and umbrellas ]
`
`2693573
`
`03/04/2003
`
`JAGUAR
`
`NONE
`
`Application Date
`
`06/18/2002
`
`Foreign Priority
`Date
`
`NONE
`
`Class 037. First use: First Use: 1948/01/01 First Use In Commerce: 1948/01/01
`Motor vehicle repair and maintenance services
`
`

`
`U.S. Registration
`No.
`Registration Date
`
`Word Mark
`Design Mark
`
`2768534
`
`09/30/2003
`
`JAGUAR
`
`Application Date
`
`08/20/1999
`
`Foreign Priority
`Date
`
`NONE
`
`Description of
`Mark
`Goods/Services
`
`Attachments
`
`NONE
`
`Class 014. First use: First Use: 1978/01/01 First Use In Commerce: 1978/01/01
`Cigarette lighters of precious and semi-precious metals; watches; clocks;
`jewelry; parts and fittings for all the aforesaid goods
`
`73784806#TMSN.gif ( 1 page )( bytes )
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`75781753#TMSN.gif ( 1 page )( bytes )
`Notice of Opposition.pdf ( 25 pages )(535826 bytes )
`
`Certificate of Service
`
`The undersigned hereby certifies that a copy of this paper has been served upon all parties, at their address
`record by First Class Mail on this date.
`
`Signature
`Name
`Date
`
`/Leon E. Redman/
`Leon E. Redman
`02/16/2011
`
`

`
`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`
`Serial No. 85/060,122
`
`Opposition No.
`
`In re Trademark Application
`
`Serial No.:
`
`85/060,122
`
`Filed:
`
`June 10, 2010
`
`Trademark:
`
`Atty. Docket No.:
`
`JAGW 5170 OC
`
`Published in the Official Gazette on October 19, 2010
`
`)
`
`) )
`
`) )
`
`) )
`
`) )
`
`) )
`
`JAGUAR CARS LIMITED,
`
`Opposer,
`
`V.
`
`NENG FENG WANG,
`
`Applicant.
`
`NOTICE OF OPPOSITION
`
`Sir/Madam:
`
`Opposer, Jaguar Cars Ltd., a British corporation, having its principle place of business at
`
`Abbey Road, Whitley, Coventry CV3 4LF, United Kingdom, believes that it would be damaged
`
`by the registration ofthe designmark wn in U.S. Trademark Application Serial
`
`No.
`
`85/060,122
`
`(“the
`
`‘ 122
`
`application”),
`
`and
`
`hereby
`
`opposes
`
`same.
`
`

`
`As grounds of opposition, Jaguar Cars Ltd. alleges that:
`
`1.
`
`The Applicant, Neng Feng Wang filed an intent-to-use application on June 10,
`
`2010, seeking to register the design mark s atrademark for “eyewear; sunglasses;
`
`sunglasses and spectacles.”
`
`2.
`
`The Opposer, Jaguar Cars Ltd. (“Opposer”), is a world—famous manufacturer and
`
`provider of vehicles, parts for vehicles and a wide variety of related goods and services and has
`
`used the marks “JAGUAR” and “JAGUAR and leaper device”
`
`°%
`JAG UAR (hereinafter "the
`
`JAGUAR trademarks") since at least as early as 1935 in connection with the sales of its vehicles
`
`and vehicle related products and promotional materials.
`
`In addition to various other Jaguar-
`
`formative marks, the Opposer owns four prior existing registrations in Class 12 for its JAGUAR
`
`trademarks: U.S. Reg. Nos. 423,961; 1,562,075; 1,764,382; and 2,276,500. Copies of such
`
`registrations are attached as Exhibit A. These registrations are valid and subsisting, uncancelled
`
`and unrevoked.
`
`3.
`
`Opposer also owns four prior existing registrations in Class 9 for its JAGUAR
`
`trademarks: U.S. Reg. Nos. 1,166,342 and 1,891,968 for sunglasses; U.S. Reg. No. 3,211,870
`
`for spectacles; and U.S. Reg. No. 2,225,291 for prerecorded video tapes featuring the automotive
`
`industry; radios; computer software for computer games; computer software for personal satellite
`
`navigation systems for mapping purposes; spectacles and spectacle cases; and mouse pads.
`
`Copies of such registrations are attached as Exhibit B. These registrations are valid and
`
`subsisting, uncancelled and unrevoked.
`
`

`
`4.
`
`Opposer also owns over thirty other prior existing registrations in various
`
`additional classes for its JAGUAR trademarks, including inter alia, Classes 3, 6, 8, 14, 16, 18,
`
`20, 21, 24, 25, 26, 27, 28, 34, 35, 36, 37, and 42. Such registrations include, among others, U.S.
`
`Reg. No. 1,108,664 for knapsacks; U.S. Reg. No. 1,219,068 for watches and clocks; U.S. Reg.
`
`No. 1,615,725 for duffel bags, passport cases, umbrellas and luggage tags; U.S. Reg. No.
`
`2,214,138; U.S. Reg. No. 2,230,158 for leather goods, namely,
`
`luggage, wallets, tote bags,
`
`cosmetic cases sold empty, shaving kit cases sold empty, leather briefcase—type portfolios; and
`
`leather attache cases; U.S. Reg. No. 2,693,573 for motor vehicle repair and maintenance
`
`services; and U.S. Reg. No. 2,768,534 for cigarette lighters of precious and semi-precious
`
`metals; watches; clocks; jewelry; parts and fittings for all the aforesaid goods. Copies of these
`
`enumerated registrations are attached as Exhibit C. These over thirty other prior existing
`
`registrations are valid and subsisting, uncancelled and unrevoked.
`
`5.
`
`The Opposer has sold several billions dollars of goods and services under the
`
`JAGUAR trademarks, and has spent billions of dollars advertising and promoting the JAGUAR
`
`trademarks throughout the United States.
`
`6.
`
`The Opposer has expended considerable effort and expense in promoting the
`
`JAGUAR trademarks and the goods and services associated with these marks, with the result that
`
`the purchasing public has come to know and recognize the products bearing the JAGUAR
`
`trademarks as being associated with the Opposer.
`
`7.
`
`As a result of the Opposer's long use and continuous use of the JAGUAR
`
`trademarks in connection with the sale and advertising of its products and Opposer’ s ownership
`
`of numerous incontestable registrations, the JAGUAR trademarks are distinctive and famous,
`
`and represent the valuable goodwill the Opposer has established in these marks. Opposer's
`
`

`
`JAGUAR trademarks achieved that distinctiveness and fame long prior to the filing date of the
`
`opposed application.
`
`8.
`
`Opposer’s use of the JAGUAR trademark, including the Jaguar and leaper device
`
`as shown here
`
`JAGUAR .
`in connection with its goods and services was well known to
`
`Applicant, prior to Applicant’s adoption and/or use ofthe design mark in the ‘l22
`
`application.
`
`9.
`
`There is no issue as to priority. The Opposer has extensively and continuously
`
`used, promoted, and advertised its JAGUAR trademarks in interstate commerce since at least as
`
`early as 1935.
`
`In addition, the Opposer has used or licensed the use of its JAGUAR trademarks
`
`on a variety of goods and services since that time.
`
`10.
`
`The design mark for which the Applicant seeks registration is substantially similar
`
`to the Opposer's JAGUAR and design mark and is used on identical and substantially similar or
`
`related goods. A side by side comparison is provided below:
`
`JR Q
`
`
`
`0 0ser’s Desi 11 Mark Applicant’s Design Mark
`
`Since these are identical products as those of Opposer, the products will be marketed and
`
`promoted to the same customers and through the same channels. As such, the Applicant's use of
`
`the design mark in the ‘ 122 application on the designated goods would cause confusion, mistake
`
`4
`
`

`
`and deception as to the origin of the Applicant's goods bearing the design mark in the ‘l22
`
`application, all to the damage and detriment of Opposer. Such use would cause confusion in the
`
`trade resulting in damage and injury to the Opposer.
`
`11.
`
`If the Applicant is permitted to use and register the confusingly identical design
`
`mark in the ‘l22 application for the identical and related products specified in its
`
`application, such use would likely cause confusion, mistake, or deception in the trade resulting in
`
`damage and injury to the Opposer under §2(d) of the Lanham Act, 15 U.S.C. §l052(d). This
`
`COI1fi1SlOI1, mistake or deception would result by reason of Applicant's mark being substantially
`
`similar to Opposer's well-known JAGUAR trademarks and the identical nature of the products
`
`on which the respective marks are used. Persons familiar with the Opposer's marks would be
`
`likely to purchase the Applicant's goods bearing the design mark in the ‘l22 application
`
`believing that the Applicant's goods are made from or are approved by the Opposer. Any
`
`defects, objection or fault found with the Applicant's goods marketed under the design mark in
`
`the ‘ 122 application would necessarily reflect upon and seriously injure the reputation which the
`
`Opposer has established for products marketed under its JAGUAR trademarks.
`
`12.
`
`Opposer further believes that Applicant's use of the design mark n
`
`the ‘I22 application falsely suggests a connection with Opposer in violation of §2(a) of the
`
`Lanham Act, 15 U.S.C. §l052(a).
`
`13.
`
`Applicant's use ofthe design mark in the ‘l22 application is likely to
`
`cause, and will cause dilution by blurring or dilution by tamishment, of Opposer's famous and
`
`distinctive JAGUAR trademarks under §43 (c) of the Lanham Act.
`
`

`
`14.
`
`If the Applicant were granted the registration herein opposed, it would obtain at
`
`least aprimafacie exclusive right to use ofthe design mark _ in the ‘122 application,
`
`and such registration would be a source of damage and injury to the Opposer.
`
`WHEREFORE, Jaguar requests that registration of the design mark in
`
`Application Serial No. 85/060,122 be rejected, denied and refused, and that this Opposition be
`
`sustained.
`
`The fee required under 37 C.F.R. § 2.6(a)(l7) is being paid electronically concurrently
`
`with the filing of this Notice of Opposition.
`
`Respectfully submitted,
`
` B3550:-*'t""l
`
`Leon E. Redman
`
`Attorney/Agent for Applicant
`
`Date: fl
`
`/14 ZO//
`
`BROOKS KUSHMAN P.C.
`
`1000 Town Center, 22nd Floor
`
`Southfield, MI 48075-1238
`Phone: 248-358-4400
`
`Fax: 248-358-3351
`
`

`
`EXHIBIT A
`
`

`
`Registered Sept. 17, 1946
`
`Trade-Mark 423,951
`
`UNITED STATES PATENT 0FFlCl':‘.
`
`A
`
`Jaguar Cars Limited, Warwickshire, England
`
`Act of February 20, 1905
`
`Application November 26, 1945, Serial No. 492,201
`
`JAGUAR
`
`To the Commissioner of Patents:
`Your petitioner, Jaguar Cars Limited (former-
`ly S. S. Cars Limited), a company organized and
`registered under the laws of the United Kingdom
`of Great Britain and Northern Ireland, located
`at Swallow Roadfl-Iolbrook Lane, Coventry, War-
`wickshire, England, and doing business at Swa.1—
`low Road, Holbroolc Lane, Coventry. Warwick-
`shire, England, has adopted and used. the trade-
`mark shown in the accompanying drawing, for
`AUTOMOBILES, BUSES, MOTOR VANS, AND
`PARTS THEREOF, in Class 19, Vehicles, and
`presents herewith five specimens showing the
`trade—marl: as actually used by applicant upon
`the goods, and requests that the same be regis-
`tered in the United States Patent Ofllce in ac-
`cordance with the act of February 20, 1905.
`The trade-mark has been continuously used
`and applied to said goods in the business of ap-
`plicant and its predecessor since 1935.
`The trade-mark is applied or affixed to the
`goods, or to, the packages containing the same,
`by placing thereon a printed label on which the
`trade-mark is shown, by use of stencils, deca.lco-
`manias, by molding the trade-mark into the
`goods and in divers other ways.
`
`STATEMENT’
`Said trade—mark has been registered in Enga
`land. No. 625,805, dated October 13, 1943.
`E. F. Wenderoth, Esq., whose postal address is
`900 F Street N. W., Washington, D. C., is desig-
`nated as applica.nt’s representative on whom
`process or notice or proceedings affecting the
`right to ownership of said tra,de—'ma.rk brought ,
`under the laws of the United States may be
`served.
`.
`The undersigned hereby appoints Langner,
`Parry, Card and Langner (a. firm composed of
`Lawrence Langner, John Parry, Herbert Lang-
`ner, Leonard .1‘. Robbins; Stephen P. Ladas, S.
`De1valle- Goldsmith, and Sidney Deschamps).
`,whose postal address is 120 East 41st Street, New
`York, N. Y., U. S. A., its attorneys to prosecute this
`application for registration, with full power of
`substitution and revocation, andto make altera-
`tions and amendments therein,
`to receive the
`certificate, and to transact all business in the
`Patent Ofii ce connected therewith.
`JAGUAR CARS LIMITED.
`ED. F. HUOKVALE,’-
`Secretary. -'
`
`'
`
`

`
`Int. Cl.: 12
`
`Prior U.S. Cl.-: 19
`-.Reg.7_No.1,562,'-O75_-
`
`%
`T
`I
`‘N
`.
`_
`
`Umted. States Patent and Trademark. Office RegisteredEOct.' 24, 1939 A
`
`TRADEMARK I
`PRINCIPAL REGISTER
`
`
`
`JAGUAR CARS LIMITED (UNITED KINGDOM
`CORPORATION)
`.
`.
`BROWNS LANE
`ALLESLEY, COVENTRY, ENGLAND CV5 9DR
`
`FOR: AUTOMOBILES ‘AND .S_TRUCTURAL
`PARTS THEREOF, IN CLASS 12 (U.S. CL. 19).
`FIRST USE
`2-0-1983;
`IN COMMERCE
`2-0-1983.
`
`OWNER OF US. ‘REG. NOS.‘ 423,961 AND
`371,170.
`.
`-
`V
`_
`
`THE MARK CQNSISVTS OF A {LEAPING
`JAGUAR ABovE_THE' TERM “JAGUAR”.
`-
`
`SER; No, 784,806, FILED 3—6~1989.
`
`ELLEN" A. RUBEL, ~EXAMINING ATTORNEY
`
`

`
`Int. CL: 12
`
`Prior U.S. Cls.: 19, 21 and 26
`Reg. No. 1,764,382
`United States Pfitent and Trademark Office
`Registered Apr. 13, 1993
`
`TRADEMARK
`PRINCIPAL REGISTER
`
`JAGUAR
`
`JAGUAR CARS LIMITED (UNITED KINGDOM
`CORPORATION)
`BROWNS LANE
`ALLESLEY, COVENTRY, CV5 9DR, ENGLAND
`
`OWNER OF U.S. REG. NOS. 423,961 AND
`871,170.
`THE MARK CONSISTS OF A LEAPING
`JAGUAR ABOVE THE TERM “JAGUAR".
`
`FOR: ANTI-THEFT ALARMS FOR MOTOR
`VEHICLES, IN CLASS I2 (U.S. CLS. 19, 21 AND
`26).
`FIRST USE
`5-0-1987.
`
`IN ' COMMERCE
`
`5-0-1987;
`
`SER. N0. 74—800,708, FILED 1-12-1990.
`
`IRENE D. WILLIAMS, EXAMINING ATTOR—‘
`NEY
`
`

`
`Int. CL: 12%
`
`.:1 ,
`,
`,
`'
`.
`.
`35, and 44
`9 21 23 3
`Prior U S Cls
`United States Patent and Trademark Office
`
`1,
`
`.
`Reg‘ No. 2,276,500
`Registered Sep. 7, 1999
`
`TRADEMARK
`PRINCIPAL REGISTER.
`
`
`
` JAG UAR
`
`JAGUAR CARS LIMITED (UNITED KINGDOM
`CORPORATION)
`WNS
`NE
`fi§gEsLEI§A
`COVENTRY CV5 9DR, ENGLAND
`FOR: BICYCLES AND BOATS, LICENSE
`PLATE HOLDERS, IN CLASS H. (vs. CLS. 19,
`21, 23, 31, 35 AND 44);
`FIRST USE
`1-1-1997;
`l—1—1997.
`
`IN COMMERCE
`
`OWNER OF us. REG. NOS. 423,951, 1,764,332,
`AND OTHERS.
`THE MARK CONSISTS OF A LEAPING
`JAGUAR ABOVE THE TERM "JAGUA.R”.
`SN 75435 64 FILED 3_4_,99-,_
`'0 ’
`'
`
`_
`.
`ELIZABETH PASQUINE, ExAMxNING ATTOR-
`NEY
`
`

`
`EXHIBIT B
`
`

`
`Int. Cl.:
`
`Prior .U.3. C1,: 26
`
`United: States Patent, and ‘Tr2V1.demé1rk (')‘fficé
`
`
`
`
`
`_
`
`‘Reg.’ No. 1,166,342‘
`Rcnismred Aug. 25. 1981
`
`
`
`
`
`"TRADEMARK
`Principal.‘ Register
`
`JAGUAR
`
`Zoikind & Sons. Iné. (New York corporation)
`3064 Lawson Blvd.
`.
`Oceanside.
`11572
`
`’
`
`For: SUNGLASSES. in CLASS 9 (US. Cl. 26).
`Firstusc Sep. 1979;.in commerce Scp. 1979.
`'
`-
`'
`_ Scr. No. 267,274, filed jun; .23. 1930."
`
`» G. T. GLYNN.'?rimary Examinc'r
`
`

`
`- Int. Cl.: 9
`
`Prior U.S._"Cl.: 26
`Reg. No. 1,891,968
`United States Patent and Trademark Office
`
`Registered May 2, 1995 V
`Q
`.
`
`
`
`TRADEMARK
`PRINCIPAL REGISTER
`
`JAGUAR
`
`JAGUAR CARS LIMITED (UNITED KINGDOM
`CORPORATION)
`'
`BROWNS LANE
`. ALLESLEY, COVENTRY CV5 9DR, ENGLAND
`
`OWNER OF U.S. REG. NOS. 423,961 AND
`871,170.
`'
`THE MARK CONSISTS OF A LEAPING
`
`,
`
`JAGUAR ABOVE THE TERM “JAGUAR”
`
`FOR: SUNGLASSES,
`26).
`A FIRST USE
`9-0-1988.
`
`940-1988;
`
`I_N CLASS 9 (U.S. CL.
`
`_ SER. NO. 74——O18,617, FILED 1-12-1990.
`
`IN COMMERCE
`
`IRENE D. WILLIAMS,’ EXAMI_NING'vATTOR-
`NEY
`_
`.
`
`

`
`Int. CL: 9
`
`Prior U.S. C1s.: 21, 23, 26, 36, and 38
`
`United States Patent and Trademark Office
`
`Reg. No. 3,211,870
`RegisteredFeb.20,2007
`
`TRADEMARK
`
`PRINCIPAL REGISTER
`
`
`
`JAGUAR CARS LIMITED (UNITED KINGDOM
`CORPORATION)
`ALLESLEY
`BROWNS LANE
`COVENTRY’ UNITED KINGDOM CV59DR
`
`THE MARK CONSISTS OF STANDARD CHAR-
`ACTERS WITHOUT CLAIM TO ANY PARTICULAR
`FONT, STYLE, SIZE, OR COLOR.
`
`2 2C2)5V\£19\I1ER OF U.S. REG. NOS. 1,891,968 AND
`
`26’1:3C6’I},:1\S$E3(§')r.ACLES’ IN CLASS 9 (U'S' CLS‘ 21’ 23’
`
`SN 78-594,128, FILED 3-24-2005.
`
`FIRST USE 8-1-1996; IN COMMERCE 8-1-1996.
`
`RAUL CORDOVA, EXAMINING ATTORNEY
`
`

`
`Int. Cl.: 9
`
`Prior U.S. Cls.: 21, 23, 26, 36 and 38
`
`Reg. No. 2,225,291
`
`United States Patent and Trademark Office
`
`Registered Feb. 23, 1999
`
`TRADEMARK
`PRINCIPAL REGISTER
`
`JAGUAR
`
`JAGUAR CARS LIMITED (UNITED KINGDOM
`CORPORATION)
`BROWNS LANE
`ALLESLEY
`COVENTRY CV5 9DR, ENGLAND
`
`FOR: MAGNETS; COMPASSES; CALCULA-
`TORS; PRERECORDED VIDEO TAPES FEA-
`TURING THE AUTOMOTIVE INDUSTRY;
`TELEPHONES; RADIOS; COMPUTER SOFT-
`WARE FOR COMPUTER GAMES; COMPUTER
`SOFTWARE FOR PERSONAL SATELLITE
`NAVIGATION SYSTEMS FOR MAPPING PUR-
`POSES; COMPUTERIZED PERSONAL ORGA-
`
`SPECTACLES AND
`NIZERS/CALENDARS;
`SPECTACLE CASES; AND MOUSE PADS,
`IN
`CLASS 9 (U.S. CLS. 21, 23, 26, 36 AND 38).
`FIRST USE
`0-0-I983;
`IN COMMERCE
`0-0-1983.
`OWNER OF U.S. REG. NOS.;l,l66,342, 1,891,968
`AND OTHERS.
`THE MARK CONSISTS OF A LEAPING
`JAGUAR ABOVE THE TERM "IAGUAR”.
`
`SER. NO. 75—335,5I2, FILED 8~4—l997.
`
`LAURIE MINTZER, EXAMINING ATTORNEY
`
`

`
`EXHIBIT C
`
`

`
`Int. CL: 18
`
`Prior U.S. ‘CL: 3, 22
`_
`Umtcd States Patent "and Trademark Office
`
`Reg. No. 1,108,664
`Registered Dec." 12, 1973
`
`TRADEMARK
`Principal Register
`
`Karrimor International Limited (British limited company)
`19 Avenue Parade
`ACCNHSIOII, England
`
`-For: RUCKSACKS AND KNA=PSACKS, in CLASS 18
`(U.8. CLS. 3 and 22).
`.
`First use Aug. 25, 1976; in commerce Jan. 1, 1977.
`
`Ser. No. 134,803, filed July 21, 1977.
`
`D. C. REIHNER, Examiner
`
`

`
`Int. Cl.: 14
`
`Prior U.S. Cl.: 27
`
`United States Patent and Trademark Office
`
`.
`Reg. No. 1,219,068
`Registered Dec. 7,1932 »
`
`TRADEMARK
`
`Principal Register
`
`JAGUAR
`
`Zolkind &; Sons, Inc. (New York corporation)
`3064 Lawson Blvd.
`Oceanside, N.Y. 11572
`
`-
`
`.
`
`For: WATCHES AND CLOCKS, in CLASS 14
`(U.S. Cl. 27).
`'
`-
`First use Apr. 6, 1981; in commerce Apr. 6, 1981.
`
`Ser. No. 309,614, filed May 11, 1981.
`
`DAVID C. REIHNER, Examining Attorney
`
`

`
`Int. Cl.: 18
`
`Prior U.S. Cls.: 3 and 41
`
`Reg. No. 1,615,725
`United States Patent and Trademark Office
`Registered Oct. 2, 1990
`
`TRADEMARK
`PRINCIPAL REGISTER
`
`JAGU
`
`JAGUAR CARS LIMITED (UNITED KINGDOM
`CORPORATION)
`BROWNS LANE
`ALLESLEY, COVENTRY, ENGLAND CV5 9DR
`
`FIRST USE
`9~O——1984.
`OWNER OF U.S. REG. NOS. 423,961 AND
`871,170.
`
`IN COMMERCE
`
`9-0-1984;
`
`FOR: DUFFEL BAGS, PASSPORT CASES,
`UMBRELLAS AND LUGGAGE TAGS,
`IN
`CLASS 18 (U.S. CLS. 3 AND 41).
`
`SER. NO. 74-018,614, FILED 1-12-1990.
`
`DOMINICK J. SALEMI, EXAMINING ATTOR-
`NEY
`
`

`
`Int. Cl.: 20
`
`Prior U.S. Cls.: 2, 13, 22, 25, 32 and 50
`
`Reg. No. 2,214,138
`United States Patent and Trademark Office
`Registered Dec. 29, 1998
`
`TRADEMARK
`PRINCIPAL REGISTER
`
`JAGUAR
`
`JAGUAR CARS LIMITED (UNITED KINGDOM
`CORPORATION)
`BROWNS LANE
`ALLESLEY
`COVENTRY CV5 9DR. ENGLAND
`
`FOR: NON-METAL KEY RINGS; PLASTIC
`NOVELTY LICENSE PLATES; MIRRORS; PIC-
`TURE FRAMES; JEWELRY BOXES NOT OF
`METAL AND DESK ORNAMENTS NOT OF
`PRECIOUS METAL , IN CLASS 20 (U.S. CLS. 2,
`13, 22, 25, 32 AND 50).
`
`FIRST USE O-0-1984;
`0-0-1984.
`
`IN COMMERCE
`
`OWNER OF US. REG. NOS. 1,562,075, 1,691,155
`AND OTHERS.
`
`THE MARK CONSISTS OF A LEAPING
`JAGUAR ABOVE THE TERM "JAGUAR".
`
`SER. NO. 75-334,99], FILED 8-4-1997.
`
`LAURIE MINTZER, EXAMINING ATTORNEY
`
`

`
`Int. CL: 18
`
`Prior U.S. Cls.: 1, 2, 3, 22 and 41
`
`United States Patent and Trademark Office
`
`Reg. No. 2,230,158
`
`Registered Mar. 9, 1999
`
`TRADEMARK
`PRINCIPAL REGISTER
`
`JAGUAR
`
`JAGUAR CARS LIMITED (UNITED KINGDOM
`CORPORATION)
`BROWNS LANE
`ALLESLEY
`COVENTRY CV5 9DR, ENGLAND
`
`FOR: LEATHER GOODS, NAMELY, LUG-
`GAGE, WALLETS, SHOE BAGS FOR TRAVEL,
`TOTE BAGS, COSMETIC CASES SOLD EMPTY,
`SHAVING
`KIT
`CASES
`SOLD
`EMPTY,
`CHANGE
`PURSES, WALKING
`STICKS;
`LEATHER BRIEFCASE-TYPE PORTFOLIOS;
`LEATHER ATTACHE
`CASES;
`LEATHER
`
`GOLF BAGS AND UMBRELLAS, IN CLASS I8
`(U.S. CLS. I, 2, 3, 22 AND 41).
`FIRST USE
`843-1990‘,
`8-0-1990.
`
`IN COMMERCE
`
`OWNER OF U.S. REG. NOS. 1,108,664, l,6lS,725
`AND OTHERS.
`
`THE MARK CONSISTS OF A LEAVING
`JAGUAR ABOVE THE TERM “JAGUAR".
`
`SER. NO. 75—334,992, FILED 8-4-1997.
`
`LAURIE MINTZER, EXAMINING ATTORNEY
`
`

`
`Int. C1.: 37
`
`Prior U.S. C1s.: 100, 103 and 106
`
`United States Patent and Trademark Office
`
`Reg. No. 2,693,573
`Registered Mar. 4, 2003
`
`SERVICE MARK
`PRINCIPAL REGISTER
`
`JAGUAR
`
`JAGUAR CARS LIMITED (UNITED KINGDOM
`CORPORATION)
`BROWNS LANE
`ALLESLEY
`COVENTRY, UNITED KINGDOM CV59DR
`
`FOR: MOTOR VEHICLE REPAIR AND MAINTE-
`NANCE SERVICES, IN CLASS 37 (U .S. CLS. 100, 103
`AND 106).
`
`FIRST USE 1-1-1948; IN COMMERCE 1-1-1948.
`
`SER. NO. 78-136,465, FILED 6-18-2002.
`
`KENNETH D. BATTLE, EXAMINING ATTORNEY
`
`

`
`Int. Cl.: 14
`
`Prior U.S. C1s.: 2, 27, 28 and 50
`
`Reg. No. 2,768,534
`United States Patent and Trademark Office Registered Sep.30,2003
`
`
`
`TRADEMARK
`
`PRINCIPAL REGISTER
`
`JAGUAR
`
`JAGUAR CARS LIMITED (UNITED KINGDOM
`CORPORATION)
`BROWNS LANE
`ALLESLEY
`COVENTRY CV5 9DR’ ENGLAND
`
`FOR: CIGARETTE LIGHTERS OF PRECIOUS
`AND SEMI_PRECIOUS METALS; WATCHES;
`CLOCKS; JEWELRY; PARTS AND FITTINGS FOR
`ALL THE AFORESAID GOODS, IN CLASS 14 (US.
`CLS. 2, 27, 28 AND 50).
`
`FIRST USE 1-1-1978; IN COMMERCE 1-1-1978.
`
`OWNER OF U.S. REG. NO. 1,615,636.
`
`SER. NO. 75-781,753, FILED 8-20-1999.
`
`CAROL SPILS, EXAMINING ATTORNEY
`
`

`
`CERTIFICATE OF SERVICE
`
`I certify that I served:
`
`NOTICE OF OPPOSITION
`
`on February 16, 2011 by:
`
`delivering
`
`X‘
`
`mailing (Via First Class Mail)
`
`a copy to:
`
`Neng Feng Wang
`c/0 3TMC
`
`P.O. Box 81 8
`
`Rancho Cucamonga, CA 91729-1818
`
`
`
` Kri anne Schmidt

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