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Trademark Trial and Appeal Board Electronic Filing System. https://estta.uspto.gov
`
`ESTTA Tracking number:
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`ESTTA1228738
`
`Filing date:
`
`08/12/2022
`
`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`
`Proceeding no.
`
`91240521
`
`Party
`
`Correspondence
`address
`
`Submission
`
`Filer's name
`
`Filer's email
`
`Signature
`
`Date
`
`Defendant
`Canonical Limited
`
`ALFRED W ZAHER
`MONTGOMERY MCCRACKEN WALKER & RHOADES LLP
`1735 MARKET STREET
`21ST FLOOR
`PHILADELPHIA, PA 19103
`UNITED STATES
`Primary email: azaher@mmwr.com
`Secondary email(s): sli@mmwr.com, jgannon@mmwr.com,
`mschwarz@mmwr.com, trademarks@mmwr.com, rmoss@mmwr.com
`215-772-7234
`
`Stipulated/Consent Motion to Extend
`
`Richard Moss
`
`rmoss@mmwr.com, trademarks@mmwr.com, barut@mmwr.com
`
`/richard moss/
`
`08/12/2022
`
`Attachments
`
`Snapcraft Stip Consent.pdf(122254 bytes )
`
`

`

`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`
`
`
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`
`:
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`Opposition No. 91240521
`
`TM: SNAPCRAFT
`Application No.: 87/163,028
`
`Client Matter No.: 86676.00031
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`
`
`
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`SNAP, Inc.,
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`
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`Opposer,
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`v.
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`Canonical Limited,
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`Applicant
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`STIPULATED CONSENT MOTION FOR EXTENSION OF TIME
`
`The time to Answer is currently set to close on August 29, 2022. Applicant, Canonical
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`Limited, respectfully requests that this date be extended 60 days, i.e., until October 28, 2022, and
`that all subsequent dates be reset accordingly.
`
`Time to Answer
`Deadline for Discovery Conference
`Discovery Opens
`Initial Disclosures Due
`Expert Disclosures Due
`Discovery Closes
`Plaintiff’s Pretrial Disclosure Due
`Plaintiff’s 30-day Trial Period Ends
`Defendant’s Pretrial Disclosures Due
`Defendant’s 30-Day Trial Period Ends
`Plaintiff’s Rebuttal Disclosures Due
`Plaintiff’s 15-day Rebuttal Period Ends
`Plaintiff’s Opening Brief Due
`Defendant’s Brief Due
`Plaintiff’s Reply Brief Due
`Request for Oral Hearing (optional) Due
`
`
`
`
`
`
`October 28, 2022
`November 28, 2022
`November 28, 2022
`December 27, 2022
`April 26, 2023
`May 26, 2023
`July 10, 2023
`August 24, 2023
`September 8, 2023
`October 23, 2023
`November 7, 2023
`December 7, 2023
`February 5, 2024
`March 6, 2024
`March 21, 2024
`April 1, 2024
`
`
`
`

`

`After initial, productive settlement discussions between the parties, Opposer’s counsel
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`presented Applicant with a draft Settlement Agreement (“Agreement”) on January 18, 2019.
`Thereafter, on July 14, 2019, after consultation with the client, Applicant’s counsel provided
`Opposer’s counsel with a mark-up of the Agreement. On October 7, 2019, Applicant’s counsel
`contacted Opposer’s counsel to inquire as to the status of the review of the Agreement. They
`were advised that the main contact in charge of this matter was on leave and that the new
`individual in charge had just returned from leave and was reviewing the latest draft. On October
`30, 2019, Opposer’s counsel forwarded a near final version of the Agreement to Applicant’s
`counsel for review. On December 30, 2019, Applicant’s counsel forwarded a response to
`Opposer’s counsel. Thereafter, on January 10, 2020, counsel for both parties further discussed
`the Agreement. In June 2020, counsel for the parties again discussed the Agreement and sought
`their respective clients’ instructions. Status inquiries in August 2020, September 2020, October
`2020, November 2020, January 2021, March 2021, May 2021, July 2021, September 2021 and
`November 2021, revealed the parties were still in the process of considering final proposals. In
`March 2022 and April 2022, the parties were close to finalizing the Agreement. Most recently,
`in August 2022, following exchanges in June 2022, Opposer’s counsel indicated that the final
`version of the Agreement is set to be circulated shortly. The parties fully expect execution of the
`Agreement within the requested 60-day extension period.
`The parties are located in different parts of the world. The time difference coupled with
`client availability, counsel availability and other scheduling/availability obstacles compounded
`by the Covid-19 pandemic have delayed matters on both sides.
`Applicant has secured Opposer’s express consent to the extension and re-setting of dates
`requested herein.
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`
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`Respectfully submitted,
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`/alfred w. zaher/
`Alfred W. Zaher
`Attorney for Applicant
`
`
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`-2-
`
`

`

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`CERTIFICATE OF SERVICE
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`The undersigned hereby certifies that a copy of this filing has been served upon all parties via
`email on this date.
`
`
`August 12, 2022
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`/alfred w. zaher/
`Alfred W. Zaher
`Attorney for Applicant
`
`
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`-3-
`
`

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