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`19492409208
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`JOHN JOSEPH HALL
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`PAGE
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`62/84
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`JOHN JOSEPH HALL
`1631 Beverly Boulevard
`Los Angeles, CA 90026-5710
`(213)250-1145
`
`lhttorney for Petitioner
`
`Attorney Docket No. F 1885
`
`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
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`1 2
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`4 R
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`v 6 7 8
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`POTENTIAL OPPOSER'S AMENDED
`REQUEST FOR A FINAL 60 DAYS
`EXTENSION OF TIME TO OPPOSE
`BASED ON EXTRAORDINARY
`CIRCUMSTANCES
`
`) 3
`
`) ) )
`
`) } ) )
`
`In re Trademark Application of
`
`MAJESTIC MARKETING,
`
`INC.
`
`Serial No. 77230654
`
`15 Filed: July 16, 2007
`
`16 ggplished: July 8, 2008
`17
`
`18
`
`19
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`DECLARAEION OF LINDA EASTWOOD
`
`Linda Eastwood, an individual residing at 11 Costa Del Sol,
`
`20 Monarch Beach, California 92629, having received an initial 30 day
`
`21
`
`22
`
`extension of time to oppose until September 6, 2008, and having
`
`requested and received an additional 60—day'extension of time to
`
`23 November 5, 2008, hereby requests a final 60 day extension of time
`
`24
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`25
`
`26
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`27
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`for filing an opposition to the above-captioned application pursuant
`
`to Trademark Rule 2-102 (3). 37 C.E.R. Section 2.102(3) based on
`
`extraordinary circumstances.
`
`Potential Opposer Eastwood has just received notice that her
`
`28 Letter of Protest has been denied by the Trademark Administrator.
`
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`
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`
`
`
`

`
`Oct 29 08 02:20p
`16/29/2888
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`(1~949~240~1231
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`19492409208
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`p.3
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`JOHN JOSEPH HALL
`
`PAGE
`
`83/64
`
`Extraordinary circumstances exist because potential oppose:
`Eastwood suffered serious personal injuries from an auto accident on
`August 5, 2008 which has severely restricted her from
`
`communicating with her attorney regarding factual matters pertaining
`to a potential opposition. Since then, her injuries have prevented
`her from continuing her investigation of this matter to enable her to
`
`determine the appropriate action to be taken. Since August 5, 2008,
`her 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 take.
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`1.
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`Her injuries were caused by another automobile rear ending the
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`automobile she was driving, resulting in both automobiles being
`
`totally wrecked. The driver of the other automobile was using a cell
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`phone with one hand at the time of the accident. Her injuries include
`
`vascular necrosis of the hip sockets in both of her hips, which
`
`zequire her to use a walker and a cane to move. Since the accident,
`
`she has been and now is unable to drive an automobile or walk
`
`normally. She is still suffering substantial pain from her injuries.
`
`At
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`the present time, she is under the care of her personal
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`physicians, who have recommended separate operations for a hip
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`replacement for both hips. She expects these operations to be
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`performed during November, 2003. She believes that during December,
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`2008, she will be able to complete her investigation of this matter
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`and will be able to travel to Los Angeles to meet with her attorney
`
`regarding a potential opposition.
`
`Due to these extraordinary circumstances, potential opposer
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`Eastwood requests that a final 60 days extension of time to oppose,
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`until January 4, 2009, be granted.
`
`

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`Oct 29 08 0220p
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`19492409208
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`14:59
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`2132507781
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`JUJV JOSEPH HALL
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`.4
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`P
`PAGE
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`64/04
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`This extraordinary request for a final 6C days *ime 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
`
`Executed on Octoberéjq , 2008-
`
`LINDA EASTWOOD, Potential Opposer
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`

`
`CERTIFICATE OF SERVICE
`
`The undersigned hereby certifies that on October
`
`30, 2008, a true and correct copy of the foregoing
`
`POTENTIAL OPPOSER’S AMENDED REQUEST FOR A FINAL 60
`
`DAY EXTENSION OF TIME TO OPPOSE BASED ON
`
`EXTRAORDINARY CIRCUMSTANCES was served by first class
`
`mail postage prepaid upon the attorneys of record
`
`in Application SN 77230654:
`
`KATHRYN JENNISON SHULTZ
`
`JENNISON & SHULTZ, P.C.
`
`2001 JEFFERSON DAVIS HWY
`
`ARLINGTON, VA 22202-3603
`
`DATED: October 30, 2008
`
`Opposer Linda Eastwood
`
`

`
`CERTIFICATE OF MAILING OF ACCOMPANYING CORRESPONDENCE
`BY EXPRESS MAIL
`
`I certify that the foregoing is being deposited with the
`
`United States Postal Service as EXPRESS MAIL EB 994591927 US
`
`postage prepaid,
`
`in an envelope addressed to:
`
`US PATENT AND TRADEMARK OFFICE
`TRADEMARK TRIAL AND APPEAL BOARD
`P.O. BOX 1451
`ALEXANDRIA, VA 22313-1451
`
`on
`
`DATE OF DEPOSIT:
`
`October 30,2008
`
`DATED: October 30, 2008
`
`OPPOSER LINDA EASTWOOD

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