throbber
Trademark Trial and Appeal Board Electronic Filing System. http://estta.uspto.gov
`ESTTA Tracking number:
`ESTTA1083623
`09/22/2020
`
`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 ex-
`tension
`Address
`
`Attorney informa-
`tion
`
`SYNGENTA PARTICIPATIONS AG
`09/23/2020
`
`SCHWARZWALDALLEE 215
`BASEL, 4058
`SWITZERLAND
`
`JOVAN N. JOVANOVIC
`THE WATSON IP GROUP, PLC
`3133 HIGHLAND DR. SUITE 200
`HUDSONVILLE, MI 49426
`UNITED STATES
`Primary Email: jjovanovic@watson-ip.com
`Secondary Email(s): sstumpo@watson-ip.com, docketing@watson-ip.com, glob-
`al.trademarks@syngenta.com
`6167971000
`
`Docket Number
`
`IPA201633
`
`Applicant Information
`
`Application No.
`Opposition Filing
`Date
`Applicant
`
`88664874
`09/22/2020
`
`Publication date
`Opposition Peri-
`od Ends
`
`05/26/2020
`09/23/2020
`
`NewCoffee GmbH & Co. oHG
`HOCKENHEIMER STRAÃ#E 169
`KETSCH, 68775
`FED REP GERMANY
`
`Goods/Services Affected by Opposition
`
`Class 021. First Use: 0 First Use In Commerce: 0
`All goods and services in the class are opposed, namely: coffee mugs; tea infusers
`Class 029. First Use: 0 First Use In Commerce: 0
`All goods and services in the class are opposed, namely: Coffee creamer; coffee cream in the form of
`powder; milk
`Class 030. First Use: 0 First Use In Commerce: 0
`All goods and services in the class are opposed, namely: Coffee; coffee pods; coffee beans; flavor-
`ings, other than essential oils, for coffee; coffee sold in bags; coffee capsules filled; coffee-based
`beverages; mixtures of coffee and milk, substitutes formilk; coffee concentrates; artificial coffee; fla-
`voured coffee; instant coffee;decaffeinated coffee; ground coffee; freeze-dried coffee; coffee es-
`sences; chocolate flavored coffee; prepared coffee and coffee-based beverages; ground coffee; sug-
`
`

`

`ar-coated coffee beans; roasted coffee beans; coffee-based beverage containing milk; coffee substi-
`tute, namely, chicory; ice beverages with a coffee base; filters in the form of paper bags filledwith cof-
`fee; coffee in brewed form; chocolate bark containing ground coffee beans; coffee-based beverages
`containing ice cream (affogato); mixtures of malt coffee with coffee; mixtures of coffee and chicory;
`aerated beverages with coffee, cocoa or chocolate base; mixtures of coffee and malt; coffee, teas
`and cocoa andsubstitutes therefor; coffee based preparations for making beverages; vegetal prepar-
`ations for use as coffee substitutes; coffee roasted, powdered, granulated,or in drinks; tea; tea pods;
`tea cakes;tea bags; tea-based beverages; tea mixtures; theine-free tea sweetened with sweeteners;
`tea for infusions; tea-based beverages with fruit flavoring; instant tea other than for medicinal pur-
`poses; cocoa; cocoa powder; cocoa-based beverages;cocoa mixes; ice beverages with a cocoabase;
`prepared cocoa and cocoa-based beverages; drinks in powder form containing cocoa; cocoa roasted,
`powdered, granulated, or in drinks; cocoa for use in making beverages; cocoa based preparations for
`making beverages; chocolate; bakery goods; pastries; boiled sweets; edible ices; sugar; bonbons
`made of sugar
`
`Grounds for Opposition
`
`Priority and likelihood of confusion
`
`Trademark Act Section 2(d)
`
`Marks Cited by Opposer as Basis for Opposition
`
`U.S. Registration
`No.
`Registration Date
`
`3742743
`
`01/26/2010
`
`Application Date
`
`02/02/2007
`
`Foreign Priority
`Date
`
`NONE
`
`Word Mark
`Design Mark
`Description of
`Mark
`Goods/Services
`
`NUCOFFEE
`
`NONE
`
`Class 030. First use: First Use: 2007/12/31 First Use In Commerce: 2007/12/31
`Coffee, green coffee
`
`U.S. Registration
`No.
`Registration Date
`
`3859388
`
`10/12/2010
`
`Application Date
`
`11/04/2009
`
`Foreign Priority
`Date
`
`NONE
`
`Word Mark
`Design Mark
`Description of
`Mark
`
`Goods/Services
`
`NUCOFFEE
`
`The mark consists of the wording "nucoffee" presented in stylized font. The "nu"
`is presented in black and "coffee" is presented in white. This wording is presen-
`ted in a green ellipse and is situatedon a transparent background.
`Class 030. First use: First Use: 2007/12/31 First Use In Commerce: 2007/12/31
`coffee, green coffee
`
`Attachments
`
`NoticeOfOppositionIPA201633.pdf(1113448 bytes )
`
`Signature
`Name
`Date
`
`/s Jovan N. Jovanovic/
`JOVAN N. JOVANOVIC
`09/22/2020
`
`

`

`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`
`Syngenta Participations AG
`
`
`
`v.
`
`
`NewCoffee GmbH & Co. oHG
`
`
`
`Opposer,
`
`Applicant.
`
`
`
`
`
`
`
`
`
`
`
`
`Opposition No.__________________
`
`Serial No.: 88/664,874
`
`Mark:
`
`
`
`
`
`
`
`NOTICE OF OPPOSITION
`
`
`
`Commissioner for Trademarks
`P.O. BOX 1451
`Alexandria, VA 22313-1451
`
`
`Dear Sir or Madam:
`
`
`
`Syngenta Participations AG (“Opposer”), a Aktiengesellschaft, organized under the laws
`
`of Switzerland, having an address of Schwarzwaldale 215, Basel, 4058, Switzerland, believes it
`
`will be damaged by registration of U.S. Trademark Application Serial No. 88/664,874
`
`(“Application”) for the mark , hereinafter referred to as NEW COFFEE
`
`(“Applicant’s Mark”), filed on October 23, 2019, by NewCoffee GmbH & Co. oHG, a Limited
`
`Partnership organized under the laws of Germany having an address of Hockenheimer Strasse
`
`169, Ketsch Germany 68775 (“Applicant”) and hereby opposes the same.
`
`
`
`
`
`

`

`As grounds for opposition, it is alleged:
`
`1.
`
`By the Application filed on October 23, 2019, Applicant seeks to obtain
`
`registration on the Principal Register for the trademark NEW COFFEE for:
`
`Coffee; coffee pods; coffee beans; flavorings, other than essential oils, for coffee; coffee
`sold in bags; coffee capsules filled; coffee-based beverages; mixtures of coffee and milk,
`substitutes for milk; coffee concentrates; artificial coffee; flavoured coffee; instant coffee;
`decaffeinated coffee; ground coffee; freeze-dried coffee; coffee essences; chocolate
`flavored coffee; prepared coffee and coffee-based beverages; ground coffee; sugar-
`coated coffee beans; roasted coffee beans; coffee-based beverage containing milk; coffee
`substitute, namely, chicory; ice beverages with a coffee base; filters in the form of paper
`bags filled with coffee; coffee in brewed form; chocolate bark containing ground coffee
`beans; coffee-based beverages containing ice cream (affogato); mixtures of malt coffee
`with coffee; mixtures of coffee and chicory; aerated beverages with coffee, cocoa or
`chocolate base; mixtures of coffee and malt; coffee, teas and cocoa and substitutes
`therefor; coffee based preparations for making beverages; vegetal preparations for use
`as coffee substitutes; coffee roasted, powdered, granulated, or in drinks; tea; tea pods;
`tea cakes; tea bags; tea-based beverages; tea mixtures; theine-free tea sweetened with
`sweeteners; tea for infusions; tea-based beverages with fruit flavoring; instant tea other
`than for medicinal purposes; cocoa; cocoa powder; cocoa-based beverages; cocoa
`mixes; ice beverages with a cocoa base; prepared cocoa and cocoa-based beverages;
`drinks in powder form containing cocoa; cocoa roasted, powdered, granulated, or in
`drinks; cocoa for use in making beverages; cocoa based preparations for making
`beverages; chocolate; bakery goods; pastries; boiled sweets; edible ices; sugar; bonbons
`made of sugar in class 005 (“Applicant’s Goods”).
`
`The Application was filed based on Applicant’s bona fide intent to use the subject mark in
`
`commerce.
`
`2.
`
`Opposer is a leading global agriculture company that helps improve global food
`
`security be enabling millions of farmers to make better use of available resources. Opposer’s
`
`goods support a broad array of applications and one particular area of involvement is in
`
`association with Coffee and related services.
`
`3.
`
`Since at least as early as December 31, 2007, long before Applicant filed the
`
`Application, Opposer has provided and continues to provide its goods in connection with
`
`

`

`Opposer’s registered NUCOFFEE mark (“Opposer’s Mark), which is pronounced “New Coffee”.
`
`Opposer’s use of its NUCOFFEE mark is valid and continuous and has not been abandoned.
`
`4.
`
`Opposer through substantial use and promotion, has acquired significant goodwill
`
`and consumer recognition it its NUCOFFEE mark. Opposer’s Mark is strong and well-known.
`
`5.
`
`To protect its substantial goodwill and investment in its NUCOFFEE trademark,
`
`in addition to any common law rights, Opposer is the owner of multiple Federal Trademark
`
`Registrations that include the mark NUCOFFEE. These include, U.S. Registration No. 3,742,743
`
`for the mark NUCOFFEE for Coffee and Green Coffee, which was filed on February 2, 2007 and
`
`registered on January 26, 2010, and U.S. Registration No. 3,859,388 for the mark NUCOFFEE
`
`and Design for Coffee and Green Coffee as shown below, which was filed on November 4, 2009
`
`and registered on October 12, 2010 (“the NUCOFFEE Registrations”). Opposer first used the
`
`NUCOFFEE Registrations almost twelve (12) years before Applicant filed the Application. True
`
`and correct copies of the specifics of the NUCOFFEE Registrations obtained from the PTO’s
`
`TESS databases are attached hereto as Exhibit A and made of record.
`
`
`
`
`
`6.
`
`In addition to the NUCOFFEE Registrations, Opposer currently has a pending
`
`application for yet another NUCOFFEE trademark, namely, U.S. Application Serial No.
`
`79/278,492 for NUCOFFEE and Design for coffee, unroasted coffee, and a plethora of services
`
`associated therewith, as shown below (“the NUCOFFEE Application”). A copy of the
`
`NUCOFFEE Application details are attached hereto as well in Exhibit A and made of record.
`
`
`
`
`
`

`

`7.
`
`Hereinafter in the Notice of Opposition, the goods identified in Opposer’s federal
`
`registration as specified in Paragraph 5 above are valid, subsisting, unrevoked, and uncancelled.
`
`As such, they constitute prima facie evidence of the validity of the registered mark and of the
`
`registration thereof, Opposer’s ownership of the NUCOFFEE mark shown therein, and
`
`Opposer’s exclusive right to use the registered marks in commerce in connection with the goods
`
`named therein, without condition or limitation. The federal registrations also constitute notice to
`
`Applicant of Opposer’s claim of ownership of the NUCOFFEE mark shown therein, all as
`
`provided in Sections 7(b), 22 and 33(a) of the Trademark Act, as amended.
`
`8.
`
`Further, Opposer’s federal registrations as specified in Paragraph 5 above are
`
`incontestable. Section 15 of the Trademark Act, 15 U.S.C § 1065. Therefore, the registrations
`
`constitutes conclusive evidence of the validity of the registered marks and of the registration of
`
`the marks, of Opposer’s ownership of its marks, and of Opposer’s exclusive right to use the
`
`registered marks in commerce as provided in Section 33 of the Lanham Act, 15 U.S.C. § 1115.
`
`9.
`
`Opposer’s first use date, filing date, and registration date for the federal
`
`registrations specified in Paragraph 5 substantially precede the Application’s filing date.
`
`Accordingly, Applicant knew or should have known of Opposer’s ownership, use and
`
`registration of the NUCOFFEE mark prior to the filing date of the Application.
`
`10.
`
`In addition to the protection afforded to Opposer by its federal trademark
`
`registration, Opposer has extensive common law rights in its NUCOFFEE mark in connection
`
`with the goods with which Opposer uses the NUCOFFEE mark, including without limitation,
`
`Opposer’s Goods, throughout the United States. Opposer has acquired such common law rights
`
`through long-standing, exclusive use of its NUCOFFEE mark in interstate commerce for over
`
`

`

`twelve (12) years. Opposer’s common law rights in its NUCOFFEE mark were established long
`
`before and predate the filing of the Application.
`
`11.
`
`Opposer additionally relies on the foregoing senior common law trademark rights
`
`in Opposer’s NUCOFFEE mark as a ground for this Opposition.
`
`12.
`
`Applicant’s NEW COFFEE mark and Opposer’s NUCOFFEE mark are highly
`
`similar in sight, sound, meaning and commercial impression.
`
`13.
`
`Applicant’s Goods are highly related to Opposer’s Goods.
`
`14.
`
`Applicant’s consumers and trademark channels are identical or overlapping with
`
`Opposer’s consumers and trade channels.
`
`15.
`
`Applicant’s use of the NEW COFFEE mark will result in confusion by third
`
`parties with Opposer’s NUCOFFEE mark.
`
`16.
`
`In fact, Opposer’s newest pending application described above in Paragraph 6 for
`
`NUCOFFEE has been suspended based upon the Applicant’s mark. The Examining Attorney in
`
`her suspension indicates that she believes that the Opposer’s mark and the Applicant’s marks are
`
`confusingly similar. Therefore, Opposer is not able to secure another NUCOFFEE registration,
`
`as it is being blocked by the Applicant, who is a junior user.
`
`17.
`
`In view of the above, it is alleged that Applicant’s NEW COFFEE mark so
`
`resembles Opposer’s NUCOFFEE mark that Applicant’s Mark will likely cause, and continue to
`
`cause, confusion or cause mistake or deceive under Section 2(d) of the Trademark Act, 15 U.S.C.
`
`§ 1052(d). In view of Opposer’s prior statutory and common law trademark rights, Applicant is
`
`not entitled to registration of Applicant’s Mark subject to the Application for the identified
`
`Applicant’s Goods pursuant to Section 2(d) of the Trademark Act, 15 U.S.C. § 1052(d).
`
`

`

`18.
`
`By reason of the foregoing, Opposer will be damaged by the Registration of U.S.
`
`Application Serial No. 88/664,874 for Applicant’s NEW COFFEE mark.
`
`WHEREFORE, Opposer requests that U.S. Trademark Application Serial No. 88/664,874
`
`be rejected and stricken, that no registration be issued thereon to Applicant, and that this opposition
`
`be sustained in favor of Opposer.
`
`
`
`
`
`
`
`
`
`
`
` Respectfully submitted,
`
`Dated: September 21, 2020
`


`

`

`
`THE WATSON IP GROUP, PLC
`
`
`
`/s Jovan N. Jovanovic/
`
`Jovan N. Jovanovic (Reg. No. 40039)
`Samantha Stumpo
`3133 Highland Drive, Suite 200
`Hudsonville, Michigan 49426
`Tel: (616) 797-1000
`Fax: (866) 369-7391
`jjovanovic@watson-ip.com
`sstumpo@watson-ip.com
`
`Attorneys for Opposer
`Syngenta Participations AG
`
`
`

`

`
`
`
`
`EXHIBIT A
`EXHIBIT A
`
`

`

`“my étatw of gum.
`mutter: étatea' iBatent anti flirahemark @ffine
`
`It}?
`
`NUCOFFEE
`
`Reg. No. 3,742,743 SYNGENTA PARTICIPATIONS AG (SWITZERLAND CORPORATION)
`
`
`Registered Jan 267 2010 SCHWARZWALDALLEE 215
`
`
`BAS *L, SWITZ *RLAND
`
`
`
`
`
`lnt. CL: 30 FOR: COFEEE. GRrN COEF4E, IN CLASS 30 (US. CL. 46).
`
`FIRST USE 12—31—2007; IN COMIVEERCE 12—31—2007.
`
`TRADEMARK
`PRINCIPAL REGISTER THE MARK CONSISTS OF STANDARD CHARACTERS WITHOUT CLAIM TO ANY PAR-
`TICILAR FONT, STYLE, SIZE, OR COLOR.
`
`
`
`SN 71097548, FILED 2-2-2007.
`
`ALIC.1' BENMAMAN , EXAMININ G ATTORNEY
`
`
`
`Director ofme United Swles l’ulem and I'rademurk Office
`
`

`

`$1“an étatw of gun”,
`mutter: étatea' iBatent anti flirahemark @ffine
`It}?
`
`
`
`SYNGENTA PARTICIPATIONS AG (SWITZERLAND CORPORATION)
`
`SCHWARZWALDALLEE 215
`
`
`
`BAS 4L, SWITZ *RLAND CH—4058
`
`
`
`
`FOR: COFFEE. GRrN COFFfiE, IN CLASS 30 (US. CL. 46).
`
`FIRST USE 12-31-2007; IN COMMERCE 12-31-2007.
`
`
`OWNER OF US. REG. NO. 3; 09,416.
`
`
`
`HI
`
`THE COLOR(S) GREEN, BLACK, AND WHITE IS/ARE CLAIMED AS A FEATURE OF TH
`MARK.
`
`
`
`4 WORDING ”NUCOFFE: 3" PRESENTED IN STYLIZED FON
`
`
`THE MARK CONSIS I S OF IT
`
`
`
`
`
`THE "NU" IS PR *5 *NTED I\I BLACK AND ”COFI-E
`
` 4! IS PR *SEVTED IN WHITE. THIS
`
`WORDING IS PRESENTED IN A GREEN ELLII’SEAND IS SI'I'UA'I'E ) ON A TRAN SPARENI
`BACKGROUND.
`
`
`
`
`S: 3R. NO. 71864959, FILED 1—4—2009.
`
`
`
`
`GRE I CI 4N ULRICH, EXAMINING ATTORNEY
`
`
`
`
`
`Reg. No. 3,859,388
`
`Registered Oct. 12, 2010
`
`Int. CL: 30
`
`TRADEMARK
`
`PRINCIPAL REGISTER
`
`
`
`Director ofme United SIaIes I’ulem and Trademark Office
`
`

`

`Generated on: This page was generated by TSDR on 2020-09-22 14:52:29 EDT
`
`Mark: NUCOFFEE
`
`US Serial Number: 79278492
`
`Register: Principal
`
`Mark Type: Trademark, Service Mark
`
`TM5 Common Status
`Descriptor:
`
`Application Filing
`Date:
`
`Dec. 16, 2019
`
`LIVE/APPLICATION/Under Examination
`
`The trademark application has been accepted by the Office (has met the
`minimum filing requirements) and that this application has been assigned to
`an examiner.
`
`Status: An Office action suspending further action on the application has been sent (issued) to the applicant. To view all documents in this file,
`click on the Trademark Document Retrieval link at the top of this page.
`
`Status Date: Jun. 23, 2020
`

`
`Mark Literal
`Elements:
`
`NUCOFFEE
`
`Standard Character
`Claim:
`
`No
`
`Mark Information
`
`Mark Drawing
`Type:
`
`3 - AN ILLUSTRATION DRAWING WHICH INCLUDES WORD(S)/ LETTER(S)/NUMBER(S)
`
`Description of
`Mark:
`
`The mark consists of a coffee bean comprised of a shaded oval bisected by a wavy line with two thinner wavy lines underneath and
`adjacent to the stylized wording "NUCOFFEE".
`
`Color(s) Claimed: Color is not claimed as a feature of the mark.
`
`Design Search
`Code(s):
`
`05.07.03 - Coffee beans
`26.03.03 - Incomplete ovals; Ovals, incomplete
`26.03.21 - Ovals that are completely or partially shaded
`26.17.09 - Bands, curved; Curved line(s), band(s) or bar(s); Lines, curved; Bars, curved
`26.17.25 - Other lines, bands or bars
`
`Related Properties Information
`
`1513934
`
`International
`Registration
`Number:
`
`International
`Registration Date:
`
`Dec. 16, 2019
`
`Goods and Services
`
`Note:
`The following symbols indicate that the registrant/owner has amended the goods/services:
`Brackets [..] indicate deleted goods/services;
`Double parenthesis ((..)) identify any goods/services not claimed in a Section 15 affidavit of incontestability; and
`Asterisks *..* identify additional (new) wording in the goods/services.
`
`For: Coffee; unroasted coffee
`
`International
`Class(es):
`
`030 - Primary Class
`
`Class Status: ACTIVE
`
`Basis: 66(a)
`
`U.S Class(es): 046
`
`For: Advertising services; commercial management in the field of agriculture
`
`International 035 - Primary Class
`
`U.S Class(es): 100, 101, 102
`
`

`

`Class(es):
`
`Class Status: ACTIVE
`
`Basis: 66(a)
`
`For: Education services, namely, conducting classes, seminars, conferences and workshops in the field of agriculture; training services in
`the field of agriculture
`
`International
`Class(es):
`
`041 - Primary Class
`
`Class Status: ACTIVE
`
`Basis: 66(a)
`
`For: Quality control for others in the field of agriculture
`
`International
`Class(es):
`
`042 - Primary Class
`
`Class Status: ACTIVE
`
`Basis: 66(a)
`
`U.S Class(es): 100, 101, 107
`
`U.S Class(es): 100, 101
`
`For: Agricultural services, namely, crop protection services being plant care services, plant breeding, and cultivation of plants for others;
`advisory and consultancy services in the field of agriculture
`
`International
`Class(es):
`
`044 - Primary Class
`
`Class Status: ACTIVE
`
`Basis: 66(a)
`
`Filed Use: No
`
`Filed ITU: No
`
`Filed 44D: No
`
`Filed 44E: No
`
`Filed 66A: Yes
`
`Filed No Basis: No
`
`U.S Class(es): 100, 101
`
`Basis Information (Case Level)
`
`Currently Use: No
`
`Currently ITU: No
`
`Currently 44E: No
`
`Currently 66A: Yes
`
`Currently No Basis: No
`
`Current Owner(s) Information
`
`Owner Name: SYNGENTA PARTICIPATIONS AG
`
`Owner Address: Rosentalstrasse 67
`CH-4058 Basel
`SWITZERLAND
`
`Legal Entity Type: AKTIENGESELLSCHAFT (AG)
`
`State or Country
`Where Organized:
`
`SWITZERLAND
`
`Attorney/Correspondence Information
`
`Attorney Name: Jovan N. Jovanovic
`
`Attorney Primary
`Email Address:
`
`docketing@watson-ip.com
`
`Attorney of Record
`
`Docket Number:
`
`IPA201581
`
`Attorney Email
`Authorized:
`
`Yes
`
`Correspondent
`
`Correspondent
`Name/Address:
`
`Jovan N. Jovanovic
`The Watson IP Group, PLC
`3133 Highland Dr.
`Suite 200
`Hudsonville, MICHIGAN UNITED STATES 49426
`
`Phone: 6167971000
`
`Fax: 866-369-7391
`
`Correspondent e-
`mail:
`
`docketing@watson-ip.com jjovanovic@watson-
`ip.com global.trademarks@syngenta.com sstump
`o@watson-ip.com
`
`Correspondent e-
`mail Authorized:
`
`Yes
`
`Domestic Jovan N. Jovanovic
`
`Phone: 6167971000
`
`Domestic Representative
`
`

`

`Representative
`Name:
`
`Fax: 866-369-7391
`
`Domestic
`Representative e-
`mail:
`
`docketing@watson-ip.com
`
`Date
`
`Description
`
`Domestic
`Representative e-
`mail Authorized:
`
`Yes
`
`Prosecution History
`
`Jun. 23, 2020
`Jun. 23, 2020
`Jun. 23, 2020
`Jun. 23, 2020
`Jun. 23, 2020
`Jun. 18, 2020
`Jun. 15, 2020
`Jun. 08, 2020
`Jun. 08, 2020
`Jun. 08, 2020
`Jun. 08, 2020
`Jun. 08, 2020
`Jun. 05, 2020
`Jun. 05, 2020
`Jun. 05, 2020
`Jun. 05, 2020
`Jun. 05, 2020
`Jun. 05, 2020
`May 01, 2020
`Apr. 09, 2020
`Apr. 09, 2020
`Mar. 24, 2020
`Mar. 23, 2020
`Mar. 23, 2020
`Mar. 23, 2020
`Mar. 23, 2020
`Mar. 23, 2020
`Mar. 14, 2020
`Feb. 22, 2020
`Feb. 18, 2020
`Feb. 13, 2020
`
`CORRESPONDENCE E-MAILED
`SUSPENSION LETTER WRITTEN
`TEAS/EMAIL CORRESPONDENCE ENTERED
`CORRESPONDENCE RECEIVED IN LAW OFFICE
`TEAS RESPONSE TO OFFICE ACTION RECEIVED
`APPLICANT/CORRESPONDENCE CHANGES (NON-RESPONSIVE) ENTERED
`ASSIGNED TO LIE
`TEAS CHANGE OF CORRESPONDENCE RECEIVED
`TEAS CHANGE OF DOMESTIC REPRESENTATIVES ADDRESS
`TEAS WITHDRAWAL OF ATTORNEY RECEIVED-FIRM RETAINS
`ATTORNEY/DOM.REP.REVOKED AND/OR APPOINTED
`TEAS REVOKE/APP/CHANGE ADDR OF ATTY/DOM REP RECEIVED
`APPLICANT/CORRESPONDENCE CHANGES (NON-RESPONSIVE) ENTERED
`TEAS CHANGE OF CORRESPONDENCE RECEIVED
`TEAS CHANGE OF DOMESTIC REPRESENTATIVES ADDRESS
`ATTORNEY/DOM.REP.REVOKED AND/OR APPOINTED
`TEAS REVOKE/APP/CHANGE ADDR OF ATTY/DOM REP RECEIVED
`TEAS CHANGE OF OWNER ADDRESS RECEIVED
`REFUSAL PROCESSED BY IB
`NON-FINAL ACTION MAILED - REFUSAL SENT TO IB
`REFUSAL PROCESSED BY MPU
`NON-FINAL ACTION (IB REFUSAL) PREPARED FOR REVIEW
`NON-FINAL ACTION WRITTEN
`NON-FINAL ACTION WRITTEN
`NON-FINAL ACTION WRITTEN
`NON-FINAL ACTION WRITTEN
`NON-FINAL ACTION WRITTEN
`ASSIGNED TO EXAMINER
`APPLICATION FILING RECEIPT MAILED
`NEW APPLICATION OFFICE SUPPLIED DATA ENTERED IN TRAM
`SN ASSIGNED FOR SECT 66A APPL FROM IB
`International Registration Information (Section 66a)
`
`1513934
`
`International
`Registration
`Number:
`
`Priority Claimed
`Flag:
`
`Yes
`
`Intl. Registration
`Status:
`
`REQUEST FOR EXTENSION OF PROTECTION
`PROCESSED
`
`Notification of
`Designation Date:
`
`Feb. 13, 2020
`
`Dec. 16, 2029
`
`International
`Registration
`Renewal Date:
`
`International
`Registration Date:
`
`Dec. 16, 2019
`
`Date of Section 67
`Priority Claim:
`
`Dec. 11, 2019
`
`Feb. 13, 2020
`
`Date of
`International
`Registration
`Status:
`
`Date of Automatic
`Protection:
`
`Aug. 13, 2021
`
`Proceeding
`Number
`
`93409
`88889
`88889
`
`73296
`73296
`
`88888
`
`72629
`
`93409
`93409
`93409
`93409
`93409
`93409
`
`

`

`First Refusal Flag: Yes
`
`TM Staff and Location Information
`
`TM Attorney: BIACHE, AUBREY ANNE
`
`Current Location: TMO LAW OFFICE 123 - EXAMINING
`ATTORNEY ASSIGNED
`
`TM Staff Information
`
`Law Office
`Assigned:
`
`LAW OFFICE 123
`
`File Location
`
`Date in Location: Jun. 23, 2020
`
`

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