`
`ESTTA Tracking number:
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`ESTTA848522
`
`Filing date:
`
`09/27/2017
`
`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`
`Petition for Cancellation
`
`Notice is hereby given that the following party has filed a petition to cancel the registration indicated below.
`
`Petitioner Information
`
`Name
`
`Entity
`
`Address
`
`Attorney informa-
`tion
`
`Pharmscript Holdco LLC
`
`limited liability company
`
`Citizenship
`
`Delaware
`
`150 Pierce Street
`Somerset, NJ 08873
`UNITED STATES
`
`Christiane S. Campbell
`Duane Morris LLP
`30 South 17th Street
`Philadelphia, PA 19103
`UNITED STATES
`Email: ccampbell@duanemorris.com
`Phone: 2159791817
`
`Registration Subject to Cancellation
`
`Registration No.
`
`5217424
`
`Registration date
`
`06/06/2017
`
`Registrant
`
`Pharmascript of Michigan, Inc.
`37484 Interchange Dr.
`Farmington Hills, MI 48335
`UNITED STATES
`
`Goods/Services Subject to Cancellation
`
`Class 035. First Use: 2008/06/01 First Use In Commerce: 2008/06/01
`All goods and services in the class are subject to cancellation, namely: Pharmaceutical services,
`namely, closeddoor retail pharmacy services for long term care facilities; Retail pharmacy services;
`Supplying prescription drugs to long term care facilities
`
`Grounds for Cancellation
`
`Fraud on the USPTO
`
`Trademark Act Section 14(3); In re Bose Corp.,
`580 F.3d 1240, 91 USPQ2d 1938 (Fed. Cir.
`2009)
`
`Related Proceed-
`ings
`
`Pharmascript of Michigan Inc and Pharmascript of Shelby, Inc. v. Pharmscript of
`MI LLC, 2017-161014-CB
`
`Attachments
`
`PHARMASCRIPT X Logo Petition for Cancellation 9-27-17.pdf(459213 bytes )
`
`Signature
`
`Name
`
`/Christiane S. Campbell/
`
`Christiane S. Campbell
`
`
`
`Date
`
`09/27/2017
`09/27/2017
`
`
`
`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`
`In the matter of Trademark Registration No. 5217424
`Filed: October 24, 2016
`
`
`
`For the mark:
`
`
`
`Registered on: June 6, 2017
`
`Pharmscript Holdco, LLC
`Petitioner
`
`V.
`
`Pharmascript of Michigan, Inc.
`
`Registrant
`
`Cancellation No:
`
`PETITION FOR CANCELLATION
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`Petitioner, Pharmscript Holdco, LLC, a limited liability company organized and existing
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`under the laws of the state of Delaware, having an address at 150 Pierce Street, Somerset, New
`
`Jersey 08873 (hereinafter “Petitioner” or “Pharmscript”)_, believes that it is and will continue to
`
`be damaged by registration of PHARMASCRIPT X THE PHARMACY YOU CAN DEPEND
`
`ON... Logo (captioned above) (“PHARMASCRIPT X Logo”) as a trademark covering
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`pharmaceutical services in International Class 35 as shown in US. Registration No. 5217424,
`
`and hereby seeks the cancellation of the registration for the same, obtained in the name of
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`Pharmascript of Michigan, Inc., a corporation organized and existing in the state of Michigan,
`
`having an address at 37484 Interchange Dr., Farmington Hills, Michigan 48335 (hereinafter
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`“Registrant” or “PMI”).
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`
`
`
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`
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`As grounds for the petition for cancellation, Pharmscript, through its counsel, alleges
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`that:
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`Since at least as early as 2009, Pharmscript, and its subsidiaries, affiliates, and/or
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`licensees have been engaged in the offering and rendering of pharmaceutical services and
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`related goods and services, throughout the U.S., in connection with the PHARMSCRIPT
`
`name and trademark.
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`Pharmscript is a leading pharmacy, partnering with healthcare institutions and providers
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`to manage and enhance their pharmacies and pharmacy services. Pharmscript’s clients
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`include long—term and post-acute care facilities throughout the US. Pharmscript provides
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`these clients with systems and services for supplying medications to thousands of clients’
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`residents and patients. Additional information about Pharmscript and its services is
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`available at URL wwwphannscriptcom.
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`On information and belief, Registrant PMI offers pharmacy services to long-term
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`healthcare facilities in Oceana, Macomb and Oakland Counties in Michigan. On
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`information and belief, PMI did not use the name and alleged trademark
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`“PHARMASCRIPT” or the PHARMASCRIPT X Logo in connection with services
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`offered in Michigan until 2011. To date, PMI has not offered or rendered services under
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`the PHARMASCRIPT name or PHARMASCRIPT X Logo mark outside of Michigan,
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`and specifically has not offered or rendered services under the PHARMASCRIPT name
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`or PHARMASCRIPT X Logo mark outside of Oceana, Macomb, and Oakland Counties.
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`In or about early October, 2016, representatives of Pharmscript met with representatives
`
`of PMI to discuss a possible acquisition of PMI by Pharmscript. During the discussions
`
`2
`
`
`
`
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`between the parties, Pharmscript disclosed to PMI that it was operating and had been
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`operating under the PHARMSCRIPT name and brand, throughout the US, since at least
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`as early as 2009. The discussions did not result in either party merging with or acquiring
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`the interests of the other, and to date, the parties continue to operate as separate entities.
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`On October 24, 2016, immediately following the discussions referenced in Paragraph 4
`
`above, PMI filed its US. federal trademark application to register PHARMASCRIPT X
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`Logo mark for “Pharmaceutical services, namely, closed door retail pharmacy services
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`for long term care facilities; Retail pharmacy services; Supplying prescription drugs to
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`long term care facilities” in International Class 35. That application resulted in the
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`registration that is the subject of this Petition for Cancellation.
`
`Registrant’s application to register the PHARMASCRIPT X Logo mark was filed based
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`on alleged actual use ofthe mark in commerce under Trademark Act Section 1(a). 15
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`U.S.C. § 1051(a). The application claimed actual use of the PHARMASCRIPT X Logo
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`mark on June 1, 2008 and actual use of the PHARMASCRIPT X Logo mark in
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`commerce on June 1, 2008.
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`In Registrant’s application for the PHARMASCRIPT X Logo mark filed on October 24,
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`2016, Registrant declared, under threat of punishment by fine or imprisonment, or both,
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`1 under 18 U.S.C. § 1001, that it was entitled to use the PHARMASCRIPT X Logo mark in
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`commerce, and, to the best of the declarant’s knowledge and belief, “no other persons. .
`
`.
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`have the right to use the mark in commerce, either in the identical form or in such near
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`\ r
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`esemblance. . .”
`
`
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`In light of the information cited in Paragraphs 4-7, above, and upon information and
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`belief, at the time of filing its application to register the PHARMASCRIPT X Logo, PMI
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`was aware of Pharmscript and aware of Pharmscript’s use of the PHARMSCRIPT name
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`and trademark in interstate commerce since at least as early as 2009.
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`PMI’s statements to the Office in its application to register the PHARMASCRIPT X
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`Logo mark were knowingly and willfully false. Specifically, PMI’s (1) claim of actual
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`use of the PHARMASCRIPT X Logo mark‘in interstate or foreign commerce; (2)
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`claimed date of first use and date of first use in commerce; and (3) statutory declaration
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`that it was unaware of Pharmscript, were all knowingly and willfully false and made in a
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`clear attempt to preempt any rights Pharmscript would claim in its PHARMSCRIPT
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`name and marks.
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`10.
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`11.
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`The false statements were material to the application and therefore constitute fraud before
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`the Office.
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`PMI has initiated a lawsuit against Pharmscript in the Circuit Court for the County of
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`Oakland in the state of Michigan, Pharmascrz’pt ofMichigan Inc and Pharmascript of
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`Shelby, Inc. v. Pharmscript ofMI LLC, 2017-161014-CB, alleging infringement of PMI’s
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`common law rights in the asserted PHARMASCRIPT mark. There is a reasonable
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`apprehension on the part of Pharmscript that, if sustained, PMI’S PHARMASCRIPT X
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`Logo federal registration would be used unjustifiably to preempt Pharmscript’s business
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`activities under the PHARMSCRIPT name and mark, in and outside of Michigan.
`
`
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`12.
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`As a result, continued registration by PMI will cause substantial damage and injury to
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`Pharmscript and PMI is not entitled to continued registration for the claimed mark.
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`WHEREFORE, Pharmscript respectfully requests that this cancellation action be
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`sustained and that Registration No. 5217424 for the PHARMASCRIPT X Logo be cancelled.
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`Respectfully submitted,
`
` Dated: September 27, 2017
`
`Attorneys for Petitioner, Pharrnscript Holdco,
`LLC
`
`30 South 17th Street
`
`Philadelphia, PA 19 103
`(tel) 215.979.1817
`(fax) 215.979.1020
`ccampbell@duanemorris.com
`
`
`
`
`
`CERTIFICATE OF ELECTRONIC FILING
`
`I HEREBY CERTIFY THAT THIS CORRESPONDENCE IS BEING FILED ELECTRONICALLY WITH THE UNITED STATES
`PATENT AND TRADEMARK OFFICE TRADEMARK TRIAL AND APPEAL BOARD, VIA ESTTA, ON THE DATE
`INDICATED BELOW.
`
`
`
`CWT/l?
`
`
`
`
`
`CERTIFICATE OF SERVICE UNDER 37 C.F.R. §2.119§a[
`
`I hereby certify that on September 27, 2017 the following documents are being deposited with the United States
`Postal Service, with sufficient postage as first class mail in an envelope addressed to Registrant at:
`
`ERIN MORGAN KLUG
`
`VARNUM, RIDDERING SCHMIDT & HOWLETT LLP
`
`39500 HIGH POINTE BLVD, SUITE 350
`
`NOVI, MICHIGAN UNITED STATES 48375
`
`Electronic copies of the below documents are being sent to Registrant’s Correspondent’s e-mail at the following e-
`mail address:
`
`trademarks@varnumlaw.com emklug@varnumlaw.com
`
`Documents:
`
`PETITIONER’S PETITION FOR CANCELLATION
`
`On: NZTNZ
`
`(Date)
`
`(Signature)
`
`
`
`
`DM2\8204624.1
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`