`
`Mark: NURIA
`
`US Serial Number: 87682470
`
`Filed as TEAS RF: Yes
`
`Register: Principal
`
`Mark Type: Trademark
`
`TM5 Common Status
`Descriptor:
`
`Application Filing
`Date:
`
`Nov. 13, 2017
`
`Currently TEAS RF: Yes
`
`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 continuing a final refusal to register 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: Apr. 08, 2019
`
`Mark Literal
`Elements:
`
`NURIA
`
`Mark Information
`
`Standard Character
`Claim:
`
`Mark Drawing
`Type:
`
`Yes. The mark consists of standard characters without claim to any particular font style, size, or color.
`
`4 - STANDARD CHARACTER MARK
`
`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: Non-medicated skin care preparations comprising vegan, plant derived, ingredients; non-medicated hair care preparations comprising
`vegan, plant derived, ingredients; baby powders; baby oils; baby wipes
`
`International
`Class(es):
`
`003 - Primary Class
`
`Class Status: ACTIVE
`
`Basis: 1(b)
`
`Filed Use: No
`
`Filed ITU: Yes
`
`Filed 44D: No
`
`Filed 44E: No
`
`Filed 66A: No
`
`Filed No Basis: No
`
`U.S Class(es): 001, 004, 006, 050, 051, 052
`
`Basis Information (Case Level)
`
`Currently Use: No
`
`Currently ITU: Yes
`
`Currently 44E: No
`
`Currently 66A: No
`
`Currently No Basis: No
`
`Current Owner(s) Information
`
`Owner Name: Kinerva Partners LLC
`
`Owner Address: 301 N. Harrison Street Suite 9F #424
`Princeton, NEW JERSEY UNITED STATES 08540
`
`
`
`
`Legal Entity Type: LIMITED LIABILITY COMPANY
`
`State or Country
`Where Organized:
`Attorney/Correspondence Information
`
`DELAWARE
`
`Attorney Name: Jonathan L. Hood
`
`Attorney Primary
`Email Address:
`
`jon@jonhoodesq.com
`
`Attorney of Record
`
`Attorney Email
`Authorized:
`
`Yes
`
`Correspondent
`
`Correspondent
`Name/Address:
`
`STEFAN R STOYANOV
`STOYANOV LAW PLLC
`757 3RD AVE
`FL 20 STE 2005
`NEW YORK, NEW YORK UNITED STATES 10017
`
`Phone: 917-746-0707
`
`Correspondent e-
`mail:
`
`jon@jonhoodesq.com sstoyanov@iplaw.nyc
`
`Correspondent e-
`mail Authorized:
`
`Yes
`
`Domestic Representative - Not Found
`Prosecution History
`
`Date
`
`Description
`
`Apr. 08, 2019
`Apr. 08, 2019
`Apr. 08, 2019
`Apr. 01, 2019
`Apr. 01, 2019
`Mar. 28, 2019
`Mar. 21, 2019
`Mar. 21, 2019
`Mar. 21, 2019
`Mar. 21, 2019
`Mar. 19, 2019
`Mar. 19, 2019
`Sep. 21, 2018
`Sep. 21, 2018
`Sep. 21, 2018
`Sep. 04, 2018
`Sep. 02, 2018
`Sep. 02, 2018
`Mar. 02, 2018
`Mar. 02, 2018
`Mar. 02, 2018
`Feb. 26, 2018
`Nov. 24, 2017
`Nov. 16, 2017
`
`NOTIFICATION OF ACTION DENYING REQ FOR RECON E-MAILED
`ACTION DENYING REQ FOR RECON E-MAILED
`ACTION CONTINUING FINAL - COMPLETED
`TEAS/EMAIL CORRESPONDENCE ENTERED
`CORRESPONDENCE RECEIVED IN LAW OFFICE
`ASSIGNED TO LIE
`TEAS REQUEST FOR RECONSIDERATION RECEIVED
`EX PARTE APPEAL-INSTITUTED
`JURISDICTION RESTORED TO EXAMINING ATTORNEY
`EXPARTE APPEAL RECEIVED AT TTAB
`ATTORNEY/DOM.REP.REVOKED AND/OR APPOINTED
`TEAS REVOKE/APP/CHANGE ADDR OF ATTY/DOM REP RECEIVED
`NOTIFICATION OF FINAL REFUSAL EMAILED
`FINAL REFUSAL E-MAILED
`FINAL REFUSAL WRITTEN
`TEAS/EMAIL CORRESPONDENCE ENTERED
`CORRESPONDENCE RECEIVED IN LAW OFFICE
`TEAS RESPONSE TO OFFICE ACTION RECEIVED
`NOTIFICATION OF NON-FINAL ACTION E-MAILED
`NON-FINAL ACTION E-MAILED
`NON-FINAL ACTION WRITTEN
`ASSIGNED TO EXAMINER
`NEW APPLICATION OFFICE SUPPLIED DATA ENTERED IN TRAM
`NEW APPLICATION ENTERED IN TRAM
`TM Staff and Location Information
`
`TM Attorney: HOWARD, PARKER WALDRIP
`
`Current Location: LAW OFFICE 117 - EXAMINING ATTORNEY
`ASSIGNED
`
`TM Staff Information
`Law Office
`Assigned:
`
`LAW OFFICE 117
`
`File Location
`Date in Location: Apr. 08, 2019
`
`Proceedings
`
`Proceeding
`Number
`
`90284
`70138
`70138
`70138
`
`682470
`682470
`
`90284
`88889
`88889
`
`6325
`6325
`90284
`90284
`
`
`
`Summary
`
`Number of
`Proceedings:
`
`1
`
`Proceeding
`Number:
`
`87682470
`
`Status: Pending
`
`Interlocutory
`Attorney:
`
`Type of Proceeding: Exparte Appeal
`Filing Date: Mar 21, 2019
`
`Status Date: Mar 21, 2019
`
`Name: Kinerva Partners LLC
`
`Correspondent
`Address:
`
`STEFAN R STOYANOV
`STOYANOV LAW PLLC
`757 3RD AVE, FL 20 STE 2005
`NEW YORK NY UNITED STATES , 10017
`
`Plaintiff(s)
`
`Correspondent e-
`mail:
`
`Associated marks
`
`Mark
`
`NURIA
`
`Entry Number
`
`1
`2
`3
`4
`
`stefan@stoyanovlaw.com , sstoyanov@iplaw.nyc , jon@jonhoodesq.com
`
`Application Status
`
`Action Continuing Final - Mailed
`Prosecution History
`
`History Text
`APPEAL TO BOARD
`APPEAL ACKNOWLEDGED; CASE REMANDED
`INSTITUTED
`REQ FOR RECON
`
`Serial
`Number
`87682470
`
`Registration
`Number
`
`Due Date
`
`Date
`Mar 21, 2019
`Mar 21, 2019
`Mar 21, 2019
`Mar 21, 2019
`
`
`
`
`To:
`
`Subject:
`
`Sent:
`
`Sent As:
`
`Attachments:
`
`Kinerva Partners LLC (jon@jonhoodesq.com)
`
`U.S. TRADEMARK APPLICATION NO. 87682470 - NURIA - N/A - Request for Reconsideration Denied
`- Return to TTAB
`
`4/8/2019 1:56:14 PM
`
`ECOM117@USPTO.GOV
`
`Attachment - 1
`Attachment - 2
`Attachment - 3
`Attachment - 4
`Attachment - 5
`Attachment - 6
`Attachment - 7
`Attachment - 8
`Attachment - 9
`Attachment - 10
`Attachment - 11
`Attachment - 12
`Attachment - 13
`Attachment - 14
`Attachment - 15
`Attachment - 16
`Attachment - 17
`Attachment - 18
`Attachment - 19
`Attachment - 20
`Attachment - 21
`Attachment - 22
`Attachment - 23
`Attachment - 24
`Attachment - 25
`
`UNITED STATES PATENT AND TRADEMARK OFFICE (USPTO)
`
`OFFICE ACTION (OFFICIAL LETTER) ABOUT APPLICANT’S TRADEMARK APPLICATION
`
`*87682470*
`
`GENERAL TRADEMARK
`INFORMATION:
`http://www.uspto.gov/trademarks/index.jsp
`
`VIEW YOUR APPLICATION FILE
`
`U.S. APPLICATION
`SERIAL NO. 87682470
`
`
`
`MARK: NURIA
`
`CORRESPONDENT
`ADDRESS:
`
`STEFAN R
`STOYANOV
`
`STOYANOV LAW
`PLLC
`
`757 3RD AVE
`
`FL 20 STE 2005
`
`NEW YORK, NY
`10017
`APPLICANT: Kinerva
`Partners LLC
`
`
`
`
`
`
`
`
`
`
`CORRESPONDENT’S
`REFERENCE/DOCKET
`
`NO:
`
` N/A
`CORRESPONDENT
`
`
`
`E-MAIL ADDRESS:
`
` jon@jonhoodesq.com
`
`ISSUE/MAILING DATE: 4/8/2019
`
`REQUEST FOR RECONSIDERATION DENIED
`
`The trademark examining attorney has carefully reviewed applicant’s request for reconsideration and is denying the request for the reasons
`
`stated below. See 37 C.F.R. §2.63(b)(3); TMEP §§715.03(a)(ii)(B), 715.04(a).
`
`The Section 2(d) refusals based on likelihood of confusion with Reg. Nos. 5399075 (NURIA GOLF) and 4460614 (NURIA MONTI) are
`maintained.
`
`In the present case, applicant’s request has not resolved all the outstanding issue(s), nor does it raise a new issue or provide any new or
`compelling evidence with regard to the outstanding issue(s) in the final Office action. In addition, applicant’s analysis and arguments are not
`persuasive nor do they shed new light on the issues.
`
`The marks are confusingly similar
`
`As discussed at length in the previous Office actions, applicant’s mark is NURIA is confusingly similar with registrants’ marks for NURIA
`GOLF and NURIA MONTI.
`
`Unlike the situation between the marks NURIA GOLF and NURIA MONTI, there is no additional wording to distinguish applicant’s mark
`NURIA from those two registrations. Thus, consumers will likely view applicant’s mark NURIA as a shortened version of NURIA GOLD
`and/or NURIA MONTI. Merely adding a term to a registered mark generally does not obviate the similarity between the compared marks, as in
`the present case, nor does it overcome a likelihood of confusion under Section 2(d). See Coca-Cola Bottling Co. v. Jos. E. Seagram & Sons, Inc.,
`526 F.2d 556, 557, 188 USPQ 105, 106 (C.C.P.A. 1975) (finding BENGAL and BENGAL LANCER and design confusingly similar); In re
`Toshiba Med. Sys. Corp., 91 USPQ2d 1266, 1269 (TTAB 2009) (finding TITAN and VANTAGE TITAN confusingly similar); In re El Torito
`Rests., Inc., 9 USPQ2d 2002, 2004 (TTAB 1988) (finding MACHO and MACHO COMBOS confusingly similar); TMEP §1207.01(b)(iii). In
`the present case, the marks are identical in part as to “NURIA”.
`
`The shared wording “NURIA” is dominant in all three marks (and thus more likely to cause confusion) as the first wording. Consumers are
`generally more inclined to focus on the first word, prefix, or syllable in any trademark or service mark. See Palm Bay Imps., Inc. v. Veuve
`Clicquot Ponsardin Maison Fondee En 1772, 396 F.3d 1369, 1372, 73 USPQ2d 1689, 1692 (Fed. Cir. 2005) (finding similarity between VEUVE
`ROYALE and two VEUVE CLICQUOT marks in part because “VEUVE . . . remains a ‘prominent feature’ as the first word in the mark and
`the first word to appear on the label”); Century 21 Real Estate Corp. v. Century Life of Am., 970 F.2d 874, 876, 23 USPQ2d 1698, 1700 (Fed Cir.
`1992) (finding similarity between CENTURY 21 and CENTURY LIFE OF AMERICA in part because “consumers must first notice th[e]
`identical lead word”); see also In re Detroit Athletic Co., 903 F.3d 1297, 1303, 128 USPQ2d 1047, 1049 (Fed. Cir. 2018) (finding “the identity
`of the marks’ two initial words is particularly significant because consumers typically notice those words first”).
`
`Further, applicant’s mark NURIA is fully incorporated by registrants’ mark NURIA GOLF and NURIA MONTI. Incorporating the entirety of
`one mark within another does not obviate the similarity between the compared marks, as in the present case, nor does it overcome a likelihood of
`confusion under Section 2(d). See Wella Corp. v. Cal. Concept Corp., 558 F.2d 1019, 1022, 194 USPQ 419, 422 (C.C.P.A. 1977) (finding
`CALIFORNIA CONCEPT and surfer design and CONCEPT confusingly similar); Coca-Cola Bottling Co. v. Jos. E. Seagram & Sons, Inc., 526
`F.2d 556, 557, 188 USPQ 105, 106 (C.C.P.A. 1975) (finding BENGAL LANCER and design and BENGAL confusingly similar); In re
`Integrated Embedded, 120 USPQ2d 1504, 1513 (TTAB 2016) (finding BARR GROUP and BARR confusingly similar); In re Mr. Recipe, LLC,
`118 USPQ2d 1084, 1090 (TTAB 2016) (finding JAWS DEVOUR YOUR HUNGER and JAWS confusingly similar); TMEP §1207.01(b)(iii). In
`the present case, the marks are identical in part.
`
`Applicant concedes that “NURIA” is a common first name. Thus, there is nothing preventing consumers from believing applicant’s mark
`NURIA is referencing either or both NURIA GOLF (based on the relation to the Spanish golfer Nuria Iturrioz) or the person referenced by the
`mark NURTIA MONTI.
`
`The parties’ goods are closely related
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`Applicant argues that the parties’ goods are sufficiently different to avoid confusion - especially with the deletion of “cosmetics” and the
`narrowing down of applicant’s “non-medicated skin care preparations” and “non-medicated hair care preparations” to those “comprising
`vegan, plant derived, ingredients”.
`
`First, as explained in the previous Office actions, the comparison of the parties’ goods is based on the four corners of the parties’ identified
`goods, not on extrinsic evidence (such as internet evidence) showing what goods the parties or others actually use the shared wording “NURIA”
`upon.
`
`Second, the parties’ goods do not need to be identical or even competitive to establish likelihood of confusion. Rather, the parties’ goods need
`only be shown to be related.
`
`Third, given that applicant’s mark “NURIA” is highly similar to the shared and dominant wording in the registrations for NURIA GOLF and
`NURIA MONTI, the parties’ goods need not be as close Generally, the greater degree of similarity between the applied-for mark and the
`registered mark, the lesser the degree of similarity between the goods of the parties is required to support a finding of likelihood of confusion. In
`re C.H. Hanson Co., 116 USPQ2d 1351, 1353 (TTAB 2015) (citing In re Opus One Inc., 60 USPQ2d 1812, 1815 (TTAB 2001)); In re Thor
`
`Tech, Inc., 90 USPQ2d 1634, 1636 (TTAB 2009).
`
`Fourth, applicant’s amended “non-medicated hair care preparations comprising vegan, plant derived, ingredients” encompasses all types of such
`goods, including registrant’s “hair lotions” in Reg. No. 4460614 (NURIA MONTI) since there is nothing in registrant’s “hair lotions” that
`prevents those lotions from featuring vegan ingredients. Absent restrictions in an application and/or registration, the identified goods are
`“presumed to travel in the same channels of trade to the same class of purchasers.” In re Viterra Inc., 671 F.3d 1358, 1362, 101 USPQ2d 1905,
`1908 (Fed. Cir. 2012) (quoting Hewlett-Packard Co. v. Packard Press, Inc., 281 F.3d 1261, 1268, 62 USPQ2d 1001, 1005 (Fed. Cir. 2002)).
`Additionally, unrestricted and broad identifications are presumed to encompass all goods of the type described. See, e.g., Sw. Mgmt., Inc. v.
`Ocinomled, Ltd., 115 USPQ2d 1007, 1025 (TTAB 2015); In re N.A.D., Inc., 57 USPQ2d 1872, 1874 (TTAB 2000). Accordingly, the parties’
`goods are effectively identical in this regard.
`
`Fifth, all of applicant’s amended goods remain related to registrants’ goods without regard to whether applicant’s hair care or skin care
`preparations involve vegan ingredients. The evidence attached to the previous Office action from JohnsonsBaby.com, HimalayaStore.com, and
`Amazon.com (Chicco) shows that (1) the same entity commonly manufactures applicant’s non-medicated skin care preparations (e.g., lotions),
`non-medicated hair care preparations (e.g., shampoo), baby powders, baby oils and baby wipes and registrants’ “soaps” (of all types) and
`markets these goods under the same mark (Johnson’s, Himalaya, Chicco); (2) these goods are sold or provided through the same trade channels
`and used by the same classes of consumers in the same fields of use, namely, consumers can commonly obtain the parties’ body care goods from
`the same retail sources; and (3) the goods are similar or complementary in terms of purpose or function, namely, they are all types of body care
`products.
`
`The narrowing of applicant’s hair care and skin care preparations to those having vegan ingredients are insufficient to overcome the showing of
`relatedness of the parties’ goods since, as explained above, there is nothing in the term “soaps” identified by both registrants that prevent those
`soaps from also featuring vegan ingredients.
`
`In any event, attached to this Office action are webpages from the following sources showing examples of companies providing and
`manufacturing vegan soaps along with vegan skin care and hair care preparations:
`
`(Dr. Bronner’s)
`
`https://www.drbronner.com/media-center/press-release/dr-bronners-announces-vegan-certification-approved-vegan-society-uk/ (“Dr.
`Bronner’s Announces Vegan Certification Approved by the Vegan Society UK”)
`
`https://shop.drbronner.com/organic-hair-rinse (“Organic Hair Rinse”)
`
`https://shop.drbronner.com/body-care (Soaps and Lotions)
`
`(Trader Joes)
`
`https://www.peta.org/living/personal-care-fashion/favorite-vegan-beauty-products-trader-joes/ (“30 Vegan Beauty and Personal Products
`from Trader Joe’s”)
`
`(Lush Fresh Handmade Cosmetics)
`
`https://www.lushusa.com/story?cid=article_fighting-against-animal-testing (Lush Free Handmade Cosmetics article: “We’ve been
`fighting against animal testing for more than three decades”)
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`https://www.lushusa.com/discover/vegan/ (Soaps, shampoos, lotions, shower gels and other vegan cosmetics)
`
`https://www.lushusa.com/hair/ (Hair products)
`
`https://www.lushusa.com/body/ (Body care products)
`
`Thus, this evidence shows that vegan soaps are (1) commonly sold along with vegan skin care preparations and vegan hair care preparations
`under the same marks (e.g., Dr. Bronner’s, Trader Joes, Lush), (2) through the same trade channels on the same retail store websites ( e.g.,
`DrBronner.com and LushUSA.com), and (3) are complementary or similar in purpose as all common types of body care products.
`
`Finally, the Office is not required to show that all of applicant’s goods are related to all of the registrants’ goods. Rather, all that is required is a
`showing that all of applicant’s goods are related to just one of registrants’ identified goods, in this case, the broadly worded “soaps” that
`encompass all types of soaps for all types of purposes which in this case is provided under two marks featuring “NURIA” as the first and
`dominant wording substantially similar to applicant’s mark NURIA.
`
`Accordingly, the Section 2d(d) refusals are maintained.
`
`If applicant has already filed a timely notice of appeal with the Trademark Trial and Appeal Board, the Board will be notified to resume the
`appeal. See TMEP §715.04(a).
`
`If no appeal has been filed and time remains in the six-month response period to the final Office action, applicant has the remainder of the
`response period to (1) comply with and/or overcome any outstanding final requirement(s) and/or refusal(s), and/or (2) file a notice of appeal to
`the Board. TMEP §715.03(a)(ii)(B); see 37 C.F.R. §2.63(b)(1)-(3). The filing of a request for reconsideration does not stay or extend the time
`
`for filing an appeal. 37 C.F.R. §2.63(b)(3); see TMEP §§715.03, 715.03(a)(ii)(B), (c).
`
`/Parker Howard/
`Examining Attorney
`U.S. Patent and Trademark Office
`Law Office 117
`571-272-6548
`Parker.Howard@uspto.gov
`
`
`
`
`
`
`
`
`
`
`
`Malawi-vs
`ALL-UNE BLUE
`é?) ALL-ONE!
`
`ABDUT
`
`STDRE
`
`MEDIA CENTER
`PR & Media Contacts
`Executive Team Bios
`Press Releases
`Press Coverage
`Images & Logos
`Vide05
`Annual Reports
`Advocacy Guides
`Awards & Honors
`
`Press Releases
`
`@“tttfit‘é
`"
`
`FOR IMMEDIATE RELEASE
`Contact: Tracey Stapleton
`Phone: +020-7100-7018
`Email: tracey@thespaprcompany.com
`Website: www.thespaprcompany.com
`
`Dr. Bronner’s Announces Vegan Certification Approved By The Vegan Society UK
`January 1.2014
`
`Dr. Bronner's Magic Soaps, the familyrowned maker ofthe topiselling brand of naturalsoaps in the USA, is pleased to announce being
`certified by the Vegan society UK.This certification assures the growing population ofvegans that no animal testing or animal
`ingredients are used in Dr. Brenner's products that carry the certification. The“Vegan-Certified" logo will be added to the company’s
`labels inthe U.S.on some products, and it will be promoted and expanded upon furtheronthe company's website.
`
`David Bronner, President of Dr. Bronrrer’s Magic soaps says “As a dedicated vegan, I’m proud that my family has stepped u p to com mit
`resources over the long-term to take on the terrible plight of farm animals and to promote more compassionate and sustainable dietary
`choices. One doesn 't have to be vegan to want to reduce the incredible suffering of animals in factow farms and to lower overall meat
`consumption.
`
`While the formulas for Dr. Bronner's soaps, lotions. shave gels, hair rinse and haircremes have always been vegan and have not
`changed. the vegan certification will help those interested in vegan and cruelty-free products shop without having to closelyscrutinize
`all the ingredients lists. The lip and body balms have not received vegan certification, however. as they contain Fair Trade and organic
`beeswax. The beeswax is sourced from beekeepers in Zambia who do not kill the queen bees annual lyin order to maximize production.
`which is a common practice in conventional beekeeping operations.
`
`Dr. Bron ner‘s Magic Soaps’ commitment to animal welfare. sustainable agriculture and income equality reflects the company's mission
`to practice the social and ecological principles that inform Dr. Bronner's philosophy.
`
`To find your nearest stockist call t: 0845 072 5825 or visit www.kinetic4health.co.uk
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`
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`
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`Dr. Bronner’s Citrus Organic Hair Rinse is nourishing and
`effective without synthetic ingredients, none! Organic lemon
`juice rinses and tightens hair shafts for excellent
`manageability. Organic shikakai comes from the seed pods
`of the small South Asian tree Acacia Concinna and has been
`
`used for millennia in India as a gentle conditioning cleanser
`for both skin and hair. Organic coconut. olive and hemp oils
`
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`30 Vegan Beauty and Personal Care Products From
`Trader Joe's
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`Dubl sred Dare-whet 4, 2018 by PETA
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`Updated on December 4, 2018:
`Here are 30 vegan beauty and self-care products from Trader
`Joe’s that prove that compassion and beauty are one and the
`same:
`1. Ginger Ultra Moisturizing Hand Cream
`Perfect far the holiday season. this ultraemoisturizing cream is made with real ginger
`[001 extra Cl.
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`Joe’s that prove that compassion and beauty are one and the
`same:
`
`1. Ginger Ultra Moisturizing Hand Cream
`Perfect for the holiday season. this ultraemoisturizing cream is made with real ginger
`root extract.
`
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`2. Blueberry & Agal’ Facial Scrub
`Alphaehydroxy acids take care of the exfoliating, while colloidal oatmeal, shea butter,
`meadow/foam seed oil, and other plant extracts soothe your skin.
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`3. Spa Lavender Hand and Body Lotion
`This lotion smells like heaven and lasts for months, depending on how willing you are
`
`to Share with family and friends. At $4.99, we think it's a giant bargain.
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`4. Botanical Bounty Foaming Hand Soap
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`True to its name, this soap Includes a bounty of coconut OIL aloe vera leafjulce.
`chamomile extract. borage oil, and linseed oil.
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`5. Coconut Body Butter
`Dry skin be damned with 1his nourishing, coconulescemed body butter.
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`6. Refresh Citrus Body Wash
`If you thought that your morning shower couldn’t get any more invigorating, think
`again. This delicious body wash will awaken your senses with the smell of fresh
`citrus. What a welcome wakeeup cali!
`
`7. Brenner’s Peppermint Castile Soap
`Dr. Brenner‘s freshesmeiling peppermint soap is sold both as bars and in liquid form7
`and the bars last so long that they're worth every penny. (Make the most of the liquid
`soap by diluting it.)
`
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`8. Enrich Moisturizing Face Lotion
`This is a great daily moisturizer, as it contains a broad spedrum sunscreen with SPF
`15. If you spend an entire day in the sun. however. you‘ll want to use one of these
`Vegan sunscreens.
`
`9. Next to Godliness Micellar Cleanser & Makeup
`Remover Towelettes
`Towelettes are most effective when used between washing your face and
`moisturizing. to clean off any residual grime that lingered after the wash.
`
`10. Nourish Spa Balance Moisturizing Shampoo and
`Conditioner
`These affordable gems are a great addition to your daily hairecare regimen and are
`packed with Vitamin E and argan oil.
`
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`11. Tea Tree OII Pure Vegetable Soap
`This bar soap’s simple and effective formula is perfect for the hands, body, and face.
`It also works well to prevent breakouts.
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`12. Vitamin E Oil
`You can use this affordable vitamin E oii for dn; cuticles and cracked heels as well as
`for smoothing split ends, among many other uses.
`
`13. 100% Australian Tea Tree Oil
`You can apply this oil directly on acne or dilute it with water to use as a toner after
`you wash yourface.
`
`14. 100% Pure Jojoba Oil
`This store clearly has all your oil needs covered. Jojoba is fantastic for skin because
`it's structurally Close to human sebumithis means that it's similar to your skin‘s
`natural oils. It doesn‘t feel greasy or clog pores. We’re in}
`
`15. Coconut Oil
`Trader Joe's also carries organic virgin coconut oii, which serves similar purposes to
`vitamin E oil. You may find yourself using this one in the kitchen as well as in the
`bathroom! Check out our iist of30 ways to incorporate coconut oil into your daily
`routine.
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`Order Your FREE Vegan Starter Kit
`SEND ME AVEGAN STARTER KIT
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`16. Natural Facial Cleansing Pads With Tea Tree Oil
`With witch hazel and tea tree oil, these pads wili heip wipe away the day's dirt.
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`16. Natural Facial Cleansing Pads With Tea Tree Oil
`With witch hazel and tea tree oil, these pads will help wipe away the day's dirt.
`
`17. All for One, One for All Shampoo, Conditioner &
`Body Wash
`https://www. i nstagra m .com/p/S4lSnSmeo/
`
`18. Nourish Shea Butter Hand Cream
`How can your hands stay dry with a mixture of shea butter, cocoa butter, almond oil,
`and sunflower oil? They can‘tl
`
`19. Nourish Herbal Blend Liquid Soap
`This soap smells fresh and earthy, with lemongrass and clary sage for their cleansing.
`astringent properties.
`
`20. Next to Godliness Hand Soap
`Lavender and chamomile make such a perfect comboiwe recommend that you
`keep a bottle of this by every Sink in your house.
`
`21. Lavender Salt Scrub
`It doesn‘t get more divine than the scent of lavender. Many salt scrubs can cost you
`an arm and a leg (after which you won‘t have much left to scrub), but atjust six
`dollars, this is the scrub to buy.
`
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`22. Spa Face Wash With Tea Tree Oil
`Tea tree oil is great for many skin woes: ll helps fight blemishes, soothes irrilated
`skin, and also combats dandruff and other fungal infections.
`
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`23. Fresh Linen Scent Antibacterial Hand Soap
`Thrs liquid soap uses extracts of aloe, vitamin E, and rosemary to soften and
`moisturize your skin.
`
`24‘ Aloe Vera Gel
`When we say that aloe vera is a classic skincare product, we mean classic. The
`Greeks deemed it a panacea 2,000 years ago. and today ‘it’s still used for its anti,
`inflammatory properties, positive effects on sunedamaged skin, and ability to help
`heal wounds.
`
`25. Ultra Moisturizing Hand Cream
`Trader Joe's set out to develop a highequality, travelesize lotion at an affordable price.
`They hit the nail on the head With this formula, made of 20 percent shea butter, hemp
`oil, and Vitamins C and E.
`
`
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`26. Tom’s of Maine Original Care Deodorant
`Trader Joe's sells this effective Tom‘s deodorant at a lower price than most other
`stores. If it’s not already a staple in your bathroom cabinet, pick some up soon.
`
`27. French Liquid Soap With Vitamin E
`This sweet soap incorporates two delightful scents from natureiorange blossom and
`honeyiwithout any of the cruelty. Find out why buying honey harms bees.
`
`28. Moisturizing Cream Shave
`It smells of two delicious natural scentsihoney and mangoibut this shaving cream
`thankfully leaves all the sweet stuffforthe bees and doesn't contain any real honey.
`
`29. Tom’s of Maine Peppermint Toothpaste
`Tom’s of Maine has been a popular brand for natural personal care products for over
`40 years, but you don‘t need us to tell youithe products speak for themselves.
`
`
`Tea tree oil is great for dandruff and dry skin. while also working to help clean and
`stimulate your scalp. We love these products because the scent oftea tree oil isn’t
`overwhelmingiand the "tingle" might even give you more ofa morning buzz than
`your cup of coffee.
`
`Thankfully, vegan beauty products are easy to findijust Check out our list of 100
`percent vegan beauty brands here.
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`Home > stories > ForeverAgaz'nst Animal Testing
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`We’ve been fighting against animal testing for more than three decades.
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`Fighting animal testing should be a genuine practice. We believe in only buying ingredienb from companies that don't
`commission tests on animals, and we only test our products on human volunteers—beliefs that are a company-wide policy.
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`It’s no longer a legal requirement to test cosmetics and theiringredients on animals. Science has come a long way and
`there are now roughly 20,000 established cosmetic ing