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`JOHN JOSEPH HALL
`1631 Beverly Boulevard
`Los Angeles, CA 90026-5710
`(213)250-1145
`Attorney for Petitioner
`
`Attorney Docket No. F 1885
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`19492409208
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`PAGE B2/64
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`TTAB
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`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
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`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`
`PETITIONER’S REQUEST FOR
`AN ADDITIONAL 60 DAYS
`EXTENSION OF TIME TO
`OPPOSE BASED ON
`EXTRAORDINARY CIRCUMSTANCES
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`In re Trademark Application of
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`MAJESTIC MARKETING,
`
`INC.
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`Serial No. 77230654
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`Euled
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`July 76, 2007
`
`Published: July 8, 2003
`
`DECLARATION OF LINDA EASTWOOD
`Linda Eastwood, an individual residing at 11 Costa Del Sol,
`Monarch Beach, California 92629, having received an initial 30 day
`extension of time to oppose until September 6, 2008, and having
`requested and received an additional 60-day extension of time to
`November 5, 2008, hereby requests a final 60 day extension of time
`for filing an opposition to the above—captioned application pursuant
`to Trademark Rule 2.102, 37 C.F.R. Section 2.102, for good cause
`shown below and extraordinary circumstances.
`
`through her attorney, potential opposer
`On August 6, 2008,
`Eastwood filed a Letter of Protest with the Trademark Administrator
`(STILL not yet determined by the Administrator)
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`19492409208
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`JOHN JOSEPH HALL
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`p3
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`PAGE B3/64
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`Oct22 08 1016a
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`with respect to the subject mark, which constitutes good cause for
`this extension of time pursuant to TBMP § 215 of Chapter 200.
`A copy of the Letter of Protest has been previously served on
`applicant's attorney of record and was attached to the prior request
`for an additional 60 days as Exhibit A.
`
`
`
`Further, extraordinary circumstances now exist because potential
`opposer Eastwood suffered serious personal injuries from an auto
`accident on C2QXij— éiejavfhhich has severely restricted her from
`communicating with her attorney regarding factual matters pertaining
`to a potential opposition. Further, her injuries have prevented her
`‘from continuing her investigation of this matter so she can
`determine the appropriate action to be taken. At the present time,
`she is under the care of her personal physicians. Her present
`physical condition prevents her from traveling from her residence at
`11 Costa Del Sol, Monarch Beach, California 92629 to meet with her
`Los Angeles attorney to discuss the appropriate action to be taken.
`She believes that within the next 60 days from November 5, 2008 she
`will be able to travel to Los Angeles, and will be able to complete
`her investigation of this matter.
`
`Due to these extraordinary circumstances, potential opposer
`Eastwood requests that an additional 60 days extension of time to
`oppose. Until January 4, 2009, be granted.
`
`This extraordinary request for an additional 60 days time to
`oppose is not made for purposes of delay but is made for the reasons
`stated above.
`
`I declare under penalty of perjury under the laws of the United
`States of America that the foregoing is true and correct.
`
`DECLARATION
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`1 9492409208
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`JOHN JOSEPH HALL
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`p.4
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`PGGE
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`Executed on October6;éL
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`2008.
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`LINDA EASTWOOD, Potential Opposer
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`\
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`CERTIFICATE OF MAILING OF ACCOMPANYING CORRESPONDENCE
`BY EXPRESS MAIL
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`I certify that the foregoing is being deposited with the
`
`United States Postal Service as EXPRESS MAIL EB 994591944 US
`
`postage prepaid,
`
`in an envelope addressed to:
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`U.S. PATENT AND TRADEMARK OFFICE
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`TRADEMARK TRIAL AND APPEAL BOARD
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`P.O. Box 1451
`
`ALEXANDRIA, VA 22313-1451
`
`on
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`DATE OF DEPOSIT: October 22, 2008
`
`DATED: October 22, 2008
`
`
`
`TIA OPPOSER
`
`RE ISTRATIOV NO. 17,961