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`ESTTA Tracking number:
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`ESTTA910451
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`Filing date:
`
`07/19/2018
`
`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`
`Proceeding
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`91235506
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`Party
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`Correspondence
`Address
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`Submission
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`Filer's Name
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`Filer's email
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`Signature
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`Date
`
`Defendant
`Nature Bay LLC
`
`JUSTIN LEWIS
`NATURE BAY LLC
`4798 SOUTH FLORIDA AVENUE #131
`LAKELAND, FL 33813
`UNITED STATES
`Email: hello@naturebay.com
`
`Request to Withdraw as Attorney
`
`/Steven Virgil/
`
`virgilsm@wfu.edu
`
`/Steven Virgil/
`
`07/19/2018
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`Attachments
`
`Opposition 91235596 Counsels Motion to Withdraw.pdf(21563 bytes )
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`
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`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`
`EBAY, INC.,
` Opposer,
`
`v.
`
`Nature Bay LLC,
` Applicant.
`
`
`
`
`
`
`Opposition No. 91235506
`
`
`Trademark: NATUREBAY
`
`
`Serial No. 86944977
`
`
`MOTION FOR WITHDRAWAL AS REPRESENTATIVE
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`COMES NOW the attorney for the above-captioned applicant in these proceedings who moves, pursuant to 37 C.F.R
`11.116, that he be permitted to withdraw as attorney of record for the above-named Applicant, and shows unto the
`Trademark Trial and Appeal Board as follows:
`
`
`
`1. The undersigned attorney entered his appearance to represent the Applicant in these proceedings on October
`6, 2017;
`2. Representation in these proceedings has been provided on a pro bono basis through a small business
`development legal clinic with the Wake Forest University School of Law;
`3. Since entering his appearance, the undersigned attorney has made the Applicant aware of upcoming
`disclosure and discovery deadlines and requested that attention be paid to these deadlines, including through
`collecting relevant discovery materials;
`4. The undersigned attorney has advised the Applicant of the need to meet relevant deadlines through email and
`in telephone conversations;
`5. Applicant has failed to communicate as requested and the undersigned believes that he is unable to effectively
`represent the Applicant in these proceedings as a result; and
`6. The undersigned has given the Applicant reasonable warning in writing that he will withdraw unless the
`failure to communicate was corrected.
`
`WHEREFORE, the undersigned attorney moves the Trademark Trial and Appeal Board to be permitted to withdraw
`as attorney of record.
`
`
`
`
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`This the 19th day of July, 2018.
`
`
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`Respectfully submitted,
`
`
`
`
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`/s/ Steven M. Virgil
`
`
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`
`
`
`Steven M. Virgil (NCSBA #39015)
`Attorney at Law, Professor
`Wake Forest University School of Law
`Community Law Clinic
`P.O. Box 7206
`1834 Wake Forest Road
`Winston-Salem, NC 27109
`Tel: (336) 758-4950
`Fax: (336) 758-4964
`
`
`
`
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`CERTIFICATE OF SERVICE
`
`
`
`I hereby certify that a copy of the foregoing MOTION FOR WITHDRAWAL AS
`
`REPRESENTATIVE was served upon the parties to this action by mailing a copy thereof by e-mail to the
`
`following counsel of record:
`
`Hope Hamilton
`Amy J. Tindell
`Holland & Hart, LLP
`P. O. Box 8749
`Denver, CO 80201
`Phone: 303-473-4822
`HIHamilton@hollandhart.com
`AJTindell@hollandhart.com
`
`
`
`This the 19th day of July 2018.
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`/s/ Steven M. Virgil
`
`Steven M. Virgil (NCSBA #39015)
`Attorney at Law, Professor
`Wake Forest University School of Law
`Community Law Clinic
`P.O. Box 7206
`1834 Wake Forest Road
`Winston-Salem, NC 27109
`Tel: (336) 758-4950
`Fax: (336) 758-4964
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