`PTO Form 1960 (Rev 10/2011)
`
`OMB No. 0651-0050 (Exp 09/20/2020)
`
`Request for Reconsideration after Final Action
`
`The table below presents the data as entered.
`
`Input Field
`
`Entered
`
`SERIAL NUMBER
`
`88163999
`
`LAW OFFICE ASSIGNED
`
`LAW OFFICE 111
`
`MARK SECTION
`
`MARK
`
`LITERAL ELEMENT
`
`STANDARD CHARACTERS
`
`USPTO-GENERATED IMAGE
`
`MARK STATEMENT
`
`ARGUMENT(S)
`
`https://tmng-al.uspto.gov/resting2/api/img/88163999/large
`
`PROFOLDER
`
`YES
`
`YES
`
`The mark consists of standard characters, without claim to any particular font style, size or
`color.
`
`Please see the actual argument text attached within the Evidence section.
`
`EVIDENCE SECTION
`
` EVIDENCE FILE NAME(S)
`
` ORIGINAL PDF FILE
`
` CONVERTED PDF FILE(S)
` (17 pages)
`
`evi_19294203253-20200214145051257909_._PROFOLDER_Request_for_Reconsideration.pdf
`
`\\TICRS\EXPORT18\IMAGEOUT18\881\639\88163999\xml1\RFR0002.JPG
`
`\\TICRS\EXPORT18\IMAGEOUT18\881\639\88163999\xml1\RFR0003.JPG
`
`\\TICRS\EXPORT18\IMAGEOUT18\881\639\88163999\xml1\RFR0004.JPG
`
`\\TICRS\EXPORT18\IMAGEOUT18\881\639\88163999\xml1\RFR0005.JPG
`
`\\TICRS\EXPORT18\IMAGEOUT18\881\639\88163999\xml1\RFR0006.JPG
`
`\\TICRS\EXPORT18\IMAGEOUT18\881\639\88163999\xml1\RFR0007.JPG
`
`\\TICRS\EXPORT18\IMAGEOUT18\881\639\88163999\xml1\RFR0008.JPG
`
`\\TICRS\EXPORT18\IMAGEOUT18\881\639\88163999\xml1\RFR0009.JPG
`
`\\TICRS\EXPORT18\IMAGEOUT18\881\639\88163999\xml1\RFR0010.JPG
`
`\\TICRS\EXPORT18\IMAGEOUT18\881\639\88163999\xml1\RFR0011.JPG
`
`\\TICRS\EXPORT18\IMAGEOUT18\881\639\88163999\xml1\RFR0012.JPG
`
`\\TICRS\EXPORT18\IMAGEOUT18\881\639\88163999\xml1\RFR0013.JPG
`
`\\TICRS\EXPORT18\IMAGEOUT18\881\639\88163999\xml1\RFR0014.JPG
`
`\\TICRS\EXPORT18\IMAGEOUT18\881\639\88163999\xml1\RFR0015.JPG
`
`\\TICRS\EXPORT18\IMAGEOUT18\881\639\88163999\xml1\RFR0016.JPG
`
`\\TICRS\EXPORT18\IMAGEOUT18\881\639\88163999\xml1\RFR0017.JPG
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`DESCRIPTION OF EVIDENCE FILE
`
`a pdf titled PROFOLDER Request for Reconsideration
`
`\\TICRS\EXPORT18\IMAGEOUT18\881\639\88163999\xml1\RFR0018.JPG
`
`SIGNATURE SECTION
`
`RESPONSE SIGNATURE
`
`SIGNATORY'S NAME
`
`SIGNATORY'S POSITION
`
`SIGNATORY'S PHONE NUMBER
`
`DATE SIGNED
`
`AUTHORIZED SIGNATORY
`
`CONCURRENT APPEAL NOTICE FILED
`
`FILING INFORMATION SECTION
`
`SUBMIT DATE
`
`TEAS STAMP
`
`/Catherine Mitros/
`
`Catherine Mitros
`
`Associate Attorney, Venable LLP, DC bar member
`
`2023444998
`
`02/14/2020
`
`YES
`
`NO
`
`Fri Feb 14 14:55:03 EST 2020
`
`USPTO/RFR-XXX.XX.XXX.XXX-
`20200214145503906377-8816
`3999-70019e9107c9426e52f7
`66297cd8713697d6d1cda8ab8
`3f57e8ba7e3e1faaa115-N/A-
`N/A-20200214145051257909
`
`Under the Paperwork Reduction Act of 1995 no persons are required to respond to a collection of information unless it displays a valid OMB control number.
`PTO Form 1960 (Rev 10/2011)
`
`OMB No. 0651-0050 (Exp 09/20/2020)
`
`Request for Reconsideration after Final Action
`To the Commissioner for Trademarks:
`
`Application serial no. 88163999 PROFOLDER(Standard Characters, see https://tmng-al.uspto.gov/resting2/api/img/88163999/large) has been
`amended as follows:
`
`ARGUMENT(S)
`In response to the substantive refusal(s), please note the following:
`
`Please see the actual argument text attached within the Evidence section.
`
`EVIDENCE
`Evidence in the nature of a pdf titled PROFOLDER Request for Reconsideration has been attached.
`Original PDF file:
`evi_19294203253-20200214145051257909_._PROFOLDER_Request_for_Reconsideration.pdf
`Converted PDF file(s) ( 17 pages)
`Evidence-1
`Evidence-2
`Evidence-3
`Evidence-4
`Evidence-5
`Evidence-6
`Evidence-7
`Evidence-8
`Evidence-9
`Evidence-10
`
`
`
`
`Evidence-11
`Evidence-12
`Evidence-13
`Evidence-14
`Evidence-15
`Evidence-16
`Evidence-17
`
`SIGNATURE(S)
`Request for Reconsideration Signature
`Signature: /Catherine Mitros/ Date: 02/14/2020
`Signatory's Name: Catherine Mitros
`Signatory's Position: Associate Attorney, Venable LLP, DC bar member
`
`Signatory's Phone Number: 2023444998
`
`The signatory has confirmed that he/she is a U.S.-licensed attorney who is an active member in good standing of the bar of the highest court of a
`U.S. state (including the District of Columbia and any U.S. Commonwealth or territory); and he/she is currently the owner's/holder's attorney or
`an associate thereof; and to the best of his/her knowledge, if prior to his/her appointment another U.S.-licensed attorney not currently associated
`with his/her company/firm previously represented the owner/holder in this matter: the owner/holder has revoked their power of attorney by a
`signed revocation or substitute power of attorney with the USPTO; the USPTO has granted that attorney's withdrawal request; the owner/holder
`has filed a power of attorney appointing him/her in this matter; or the owner's/holder's appointed U.S.-licensed attorney has filed a power of
`attorney appointing him/her as an associate attorney in this matter.
`
`The applicant is not filing a Notice of Appeal in conjunction with this Request for Reconsideration.
`
`Serial Number: 88163999
`Internet Transmission Date: Fri Feb 14 14:55:03 EST 2020
`TEAS Stamp: USPTO/RFR-XXX.XX.XXX.XXX-202002141455039
`06377-88163999-70019e9107c9426e52f766297
`cd8713697d6d1cda8ab83f57e8ba7e3e1faaa115
`-N/A-N/A-20200214145051257909
`
`
`
`
`
`Mark: PROFOLDER
`Serial No.: 88163999
`
`REQUEST FOR RECONSIDERATION
`
`The Examiner has maintained a refusal of registration based on a purported likelihood of
`confusion with US Reg. Nos. 2948012 and 3264237 for PRE and PRO. For the reasons
`described in more detail below. as well as the arguments raised in Applicant’s Office Action
`Response of Au gust 5, 2019, Applicant respectfully asserts that confusion is not likely and
`requests reconsideration of the refusal.
`
`l.
`
`Applicant’s Prior Registration for PROFOLIO Supports the Applied-For Mark
`
`Applicant previously argued that its prior registration for PROFOLIO supported the application
`for PROFOLDER. The Examiner dismissed this argument on the basis that PROFOLIO and
`PROFOLDER are not the same marks. Additionally, the Examiner argued that while
`PROFOLDER was the word PRO alongside a generic word, PROFOLIO was not an example of
`PRO alongside a generic word.
`
`Contrary to these assertions. the Examiner submitted evidence from dictionaries that explained
`what a folio is. Accordingly. the Examiner has acknowledged that folio has a meaning and that
`this meaning corresponds to the PROFOLIO goods.
`
`With that in mind. it is clear that the marks PROFOLDER and PROFOLIO are very similar and
`have the same configuration , PRO accompanied by a descriptive and/or generic word.
`
`Applicant also notes that by the Examiner’s reasoning, the cited registrations should have been
`blocked by Applications PROFOLIO registration. which pre-dates both of the cited marks. Here,
`the Examiner has argued that the Applicant has appropriated another party’ s mark and added a
`generic word. If that is the case, then the prior registrants appropriated Applicant’s registered
`mark and deleted a descriptive word from it.
`
`However, the fact that the PRO marks nonetheless registered is an indication PRO is not
`confusingly similar to PROFOLIO; under these circumstances. Applicant’s PROFOLDER mark
`is also available.
`
`Based on the foregoing, Applicant’s prior registration for PROFOLIO supports the
`PROFOLDER application, and this application should be approved.
`
`11.
`
`
`The Third-Party Registrations Applicant Submitted are Probative ofa Crowded Field
`
`Applicant previously submitted a number of examples of third-party registrations to demonstrate
`that there is a crowded field for PRO-formative marks for related goods in the paper products
`category. The Examiner dismissed this evidence on the basis that “Applicant’s arguments tend to
`overlook the fact that its mark is comprised of the registered mark of another party combined
`with the generic name of its goods.”
`
`
`
`Applicant respectfully asserts that the presence of additional content in Applicant’s mark,
`generic or not; is the crux of the crowded field argument.
`
`This authority makes it clear that the focus of the crowded field inquiry is whether a portion of a
`mark is commonly used such that consumers are accustomed to seeing that word or wording in
`the relevant field. The crowded field argument is not about what the additional content in the
`marks is. If the relevant portion is commonly used, there is a crowded field for that particular
`portion of the mark.
`
`In the present case; the presence of a number of third-party marks with additional wording
`alongside PRO proves that there is “crowding” for the word “PRO” in the paper products
`category. Marks in the paper products category that include “PRO” are able to co-exist even
`when using descriptive content alongside PRO (i.e., in OFFICE PRO or TRAVEL PRO). The
`reason why descriptive and generic wording is sufficient to differentiate the marks is that “PRO”
`is so common that consumers will focus on differences in the marks to differentiate them; here,
`the difference in Applicant’s mark is that PRO is accompanied by FOLDER.
`
`For that reason; the previously-cited third-party registrations that include PRO are probative of a
`crowded field and show both that PRO is dilute and that consumers who are accustomed to an
`
`abundance of PRO-foimative marks for paper goods will not rely on the PRO component to
`distinguish among the marks.
`
`111.
`
`
`Additional Examples of Third-Party Registrations and Use
`
`While Applicant has already provided a number of third-party registrations, Applicant has
`identified the additional PRO-formative marks in the paper products field below:
`
`
`Mark
`Full Goods/Services
`Owner/Designations
`Skandakor Direct Inc
`
` (Int'l Class: 16) Broadway Holdings IV,
`
`(New York Corp.)
`545 Basket Road Webster
`New York 14580
`
`
`
`bags for handling, protecting and transporting artwork,
`business proposals; school projects, scrapbooks and
`presentations, namely. art and photograph portfolio
`cases. document portfolios
`
`LLC. (New Jersey
`Limited Liability
`Company)
`1 S, Middlesex Avenue
`
`(Int'l Class: 16)
`Binding materials for books and papers; Book binding
`materials; Collators for office use; Document binding
`machines for office use; Document laminators for office
`use; Laminated paper; Laminating machines for home
`and office use; Paper binding machine for office use;
`Paper creasing machines for office use; Paper cutters for
`office use; Paper folding machines for office use; Paper
`jogging machines for office use; Paper shredders for
`office use; Plastic film for wrapping; Plastic films for
`wrapping and packaging; Plastic packaging wrap for
`commercial or industrial use; Plastic sheets for wrapping
`
`and packaging; Spiral binding machines for office use
`
`PRO and Design
`
`RN: 5870145
`SN: 88095479
`
`ART-PRO
`RN: 3633531
`SN: 76690056
`
`
`
`
`
`
`
`
`
`Mark
`Full Goods!Services
`Owner/Designations
`
`Monroe New Jersey
`08 83 1
`
`
`Shenzhen Mengshida
`Trading Co., LTD. (China
`Limited Company (Ltd.))
`Room 801 ,Building
`50,Wuguanjumin Group,
`Guanlan Street;Longhua
`District, Shenzhen 518109
`China
`
`ORGPRO
`RN: 5 862610
`SN: 88339607
`
`(Int'l Class: 16)
`Desktop organizers; Duplicating machines; Notebooks;
`Office stationery; Organizers for stationery use; Pen and
`pencil cases and boxes; Pens; Stationery; Writing ink;
`Writing or drawing books
`
`PAPERPRO
`RN: 4364598
`SN: 85781505
`
`(Int'l Class: 16)
`paper hole punches; paper staplers
`
`Amax. Inc, (Delaware
`Corp.)
`50 Romano Vineyard
`Way North Kingstown
`Rhode Island 02852
`
`
`
`
`
`
`
` Arttus Inc (Wyoming
`
`PRO ART
`Vista Partners, Inc.
`(Int'l Class: 16)
`RN: 5 882749
`(Oregon Corp.)
`art supplies. namely; art papers. artist's portfolios.
`SN: 88284706
`4310 West 5th Ave,
`drawing and drafting instruments, easels and artist's
`Eugene Oregon 97402
`charcoal and pastels, coloring applicators
`
`PROARTISTSUPPLY
`RN: 5258040
`SN: 87154817
`
`
`
`Corp.)
`Suite 130 63 Pearl St.
`
`Brooklyn New York
`11201
`
`Int'l Class: 16)
`art and photograph portfolio cases; art etchings; art
`nounts; art pads; art paper; art pictures; art prints; art
`prints on canvas; arts and craft clay kits; arts and craft
`paint kits; artists' brushes; artists' pastels; artists‘ pencils;
`artists' pens; ball pens; ballpoint pens; ball-point pens;
`aallpoint pens; bubble pens; coloured pens; blackboards.
`drawing boards and easels; canvas for painting; canvas
`for printing; canvas panels for artists; canvas stretcher
`aars for artists; charcoal pencils; children's arts and
`crafts paper kits; colored craft and art sand; craft paper;
`custom paintings; desk stands and holders for pens,
`pencils, and ink; drawing boards; drawing brushes;
`drawing compasses; drawing curves; drawing
`implements, namely; square rulers; drawing instruments;
`drawing instruments; namely. pens; drawing materials
`for blackboards; drawing pads; drawing paper; drawing
`pencils; drawing rulers; drawing shields; drawing
`squares; drawing tablets; drawing templates; drawing
`trays; drawing triangles; drawings; dry erase markers;
`dry erase writing boards and writing surfaces; easel
`pads; easels; electrical wood burning artists' pens;
`erasable markers for marking the surface ofa drinking
`glass for purposes of decoration and/”or identification;
`eraser dusting brushes; felt marking pens; felt pens; felt
`tip markers; felt writing pens; felt-tip pens; fiber-tip
`markers; fibertip pens; fountain pen ink cartridges;
`fountain pens; gel roller pens; gelatine glue for
`stationer or household purposes; gesso; namely;
`plasters in the nature of artists‘ materials; glitter glue for
`
`stationerypurposes; glitter pens for stationery purposes;
`
`
`
`
`
`Mark
`Full Goods!Services
`Owner/Designations
`
`glue for stationery or household purposes; glue for
`
`stationery or household use; glue for the office
`
`Albums Inc, (Ohio Corp.)
`(Int'l Class: 16)
`PRO-CRAFT
`6549 Eastland Road
`photograph albums. photomounts. photofolders. photo
`RN: 1109357
`SN: 73155609
`mounting boards, and transparent panels for picture
`Brook Park Ohio 44142
`
`framing
`
`
`
`
`
`
`
`
`
`ULTRA PRO
`RN: 1857678
`SN: 74451504
`
`(Int'l Class: 16)
`albums for containing plastic pages for collectible cards,
`photographs, comic books, stamps, coins and the like;
`plastic protective sleeves and pages for comic books;
`plastic pages for containing milk caps; and plastic
`sleeves for collectible cards
`
`Ultra Pro Corporation
`(California Corp.)
`6049 Slauson Avenue
`City of Commerce
`California 90040
`
`(TESS printouts include as Attachment A). Applicant notes in particular the third-party
`
`, which has an identical literal element to the cited marks and covers
`registration for
`highly related goods. For instance, the cited registration no. 2948012 covers binders and the
`above third-party PRO mark covers “Binder materials for books and paper.”
`
`Further. many of the above-listed registrations include descriptive and/or generic wording
`alongside PRO (i.e., ART-PRO, PRO ART. PROARTISTSUPPLY, PRO-CRAP T). Clearly
`additional content need not be distinct in order to differentiate among the many PRO-fonnative
`marks in the paper products category, and as a result the use of FOLDER alongside PRO is
`sufficient.
`
`Based on the foregoing, Applicant’s mark is not confusingly similar to the cited marks. The cited
`marks coexist in a crowded field for PRO-fonnative marks. Accordingly; the different nature of
`Applicant’s mark is sufficient to differentiate it from the cited registrations.
`
`
`TV. The Price Point for the Parties’ Goods is Not Probative
`
`The Examiner has argued that confusion is highly likely because of the inexpensive nature of the
`goods at issue. The Examiner additionally provided evidence to demonstrate that Applicant and
`Registrant’s items are offered at a low price point.
`
`Applicant disputes the probative value of these points. The Examiner included no authority to
`support her suggestion that goods offered at a low price point are more susceptible to confusion.
`
`While there is authority for the point that expensive goods suggest heightened care in purchasing,
`this proposition should not be contlated with the idea that inexpensive goods suggest a lack of
`care. The point regarding expensive items is an argument in favor of minimizing the likelihood of
`confusion. There is no authority to support the notion that inexpensive items increase or maximize
`the likelihood of confusion. Rather, these goods are subject to a normal standard for assessing
`
`
`
`likelihood of confusion, and the price point has no effect on this. Here, because of the crowded
`field for similar marks, even the least sophisticated purchaser will recognize the need to focus on
`content outside of PRO, and they will not confuse Applicant and Registrant’s marks. The price
`point of the products at issue will not aggravate the likelihood of confusion.
`
`Accordingly, the Examiner’s points regarding the price point of Applicant and Registrant’s goods
`has no probative value. For the reasons discussed elsewhere in this response, confusion is not
`likely.
`
`V. The Parties Offer Different Goods
`
`The Examiner pointed. out that Applicant has not submitted arguments regarding the goods at issue
`in the case and argued that this omission “may be construed as a concession that the goods are
`related.” The Examiner included no authority for this proposition.
`
`Applicant vigorously disagrees with the Examiner’s suggestion that Applicant’s silence regarding
`the goods is a concession. Applicant previously advanced strong arguments regarding the crowded
`field for PRO and the differences in the marks, which Applicant believes to be sufficient to
`overcome the likelihood of confusion,
`irrespective of what the goods are. Applicant is not
`conceding anything.
`
`On the contrary, the differences in the goods are another reason why the crowded field will prevent
`confusion because they are another way by which consumers will differentiate products.
`Accordingly, consumers will focus on the fact that Applicant’s goods are not
`the same as
`Registrant’s.
`
`Specifically, Applicant’s mark covers “Folders; presentation folders; stationery folders; organizers
`for stationery use” while the cited marks cover binders and “personal organizers.” These goods are
`different. The Examiner has attempted to equate Applicant’s “organizers for stationary use” with
`the Registrant’s “personal organizer” by stating that both parties offer “organizer,” but this
`reduction improperly disposes of important
`limitations in the respective IDs. Applicant’s
`organizers are for organizing stationary; Registrant’s organizers are “personal,” which suggests
`they are daily planners or agenda books. There is no reason to believe that Registrant’s organizers
`are used for stationaiy.
`
`Finally, Applicant notes that even if Applicant’s goods are related to the goods in the cited marks,
`which Applicant does not concede, they are no more related than the goods in the many third-party
`registrations Applicant has included to demonstrate the crowded field. This suggests that there is
`no likelihood of confusion among various PRO-formative marks due to the extremely crowded
`field for PRO marks and notwithstanding the relatedness of the goods.
`
`Based on the foregoing, Applicant’s mark is not confusingly similar to the cited marks.
`
`
`
`Conclusion
`
`The TMEP instructs that when the goods or services are identical or Virtually identical, the degree
`of similarity between the marks necessaly to support a determination that confusion is likely
`declines. TMEP § 1207.01(b). The converse of this guideline suggests that if the goods are not
`identical, the degree of similarity between the marks should be high. However, here. neither the
`goods nor the marks are identical, and there are significant differences in each case, especially
`when considering the very crowded field for PRO marks in the paper products category.
`Accordingly, confusion is not likely.
`
`Applicant requests that the refusal of registration be withdrawn and the application be approved
`for publication without further delay.
`
`
`
`2/14/2020
`
`Attachment A
`Trademark Electronic Search System (TESS)
`
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`
`Trademarks > Trademark Electronic Search System (TESS)
`
`TESS was last updated on Fri Feb 14 03:22:22 EST 2020
`
`ii-EEQEl Please logout when you are done to release system resources allocated for you.
`
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`m (Use the "Back" button of the Internet Browser to return to
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`
`
`Word Mark PRO
`
`Goods and lo 016. US 002 005 022 023 029 037 038 050. G & S: Binding materials for books and papers; Book binding
`Services
`materials; Collators for office use; Document binding machines for office use; Document laminators for office use;
`Laminated paper; Laminating machines for home and office use; Paper binding machine for office use; Paper
`creasing machines for office use; Paper cutters for office use; Paper folding machines for office use; Paper jogging
`machines for office use; Paper shredders for office use; Plastic film for wrapping; Plastic films for wrapping and
`packaging; Plastic packaging wrap for commercial or industrial use; Plastic sheets for wrapping and packaging;
`Spiral binding machines for office use. FIRST USE: 20180901. FIRST USE lN COMMERCE: 20180901
`
`Mark
`
`Drawing
`Code
`
`Design
`Search
`Code
`
`(3) DESIGN PLUS WORDS, LETTERS, ANDIOR NUMBERS
`
`26.01.21 - Circles that are totally or partially shaded.
`
`serif"
`Number
`
`88095479
`
`1A
`
`Filing Date August 28, 2018
`Current
`Basis
`Original
`Filing Basis “3
`Date
`Amended to
`Current
`Register
`
`August 5; 2019
`
`Registration 5870145
`Number
`
`Registration September 24, 2019
`Date
`
`Owner
`Attorney of
`
`(REGISTRANT) Skandakor Direct Inc CORPORATION NEW YORK 545 Basket Road Webster NEW YORK 14550
`Ian 8. Perry
`
`tmsearch.uspto.gov/bin/showfieId?f:doc&state=4805:en9e91.2.1
`
`1/2
`
`
`
`2i14/2020
`Record
`
`Trademark Electronic Search System (TESS)
`
`Description Color is not claimed as a feature of the mark. The mark consists of the stylized word "PRO" in lowercase letters
`of Mark
`located inside a closed. shaded circle.
`
`Type °f
`Mark
`
`TRADEMARK
`
`S UPPLEMENTAL
`
`Register
`LiveIDead
`
`Indicator LIVE
`
`
`
`|.HOME | SITE INDEXI SEARCH | eBUSINESS | HELP | PRIVACY POLICY
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`2114/2020
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`Trademark Electronic Search System (TESS)
`
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`ART-PRO
`
`Word Mark
`Goods and
`Services
`
`Standard
`Characters
`Claimed
`
`Mark Drawing
`Code
`Trademark
`Search Facility
`Classification
`Code
`Serial Number
`
`ART-PRO
`
`IC 016. US 002 005 022 023 029 037 038 050. G & S: Bags for handling, protecting and transporting artwork,
`business proposals, school projects. scrapbooks and presentations, namely, art and photograph portfolio
`cases, document portfolios. FIRST USE: 20060400. FIRST USE IN COMMERCE: 20060400
`
`(4) STANDARD CHARACTER MARK
`
`NOTATION-SYMBOLS Notation Symbols such as Non-Latin characterspunctuation and mathematical
`signs,zodiac signs.prescriplion marks
`SHAPES-MISC Miscellaneous shaped designs
`
`76690056
`
`Filing Date
`Current Basis
`
`May 28, 2008
`1A
`
`Original Filing
`Basis
`Published for
`Opposition
`Registration
`Number
`
`Registration Date
`Owner
`
`1A
`
`March 24, 2009
`
`3633531
`
`June 9, 2009
`
`(REGISTRANT) Broadway Kleer-Guard Corp. CORPORATlON NEW YORK 53 Brunswick Avenue Edison
`NEW JERSEY 08817
`
`(LAST LISTED OWNER) BROADWAY HOLDINGS IV, LLC. LIMITED LIABILITY COMPANY NEW JERSEY 1
`S. MIDDLESEX AVENUE MONROE NEW JERSEY 08831
`
`Assignment
`Recorded
`
`ASSIGNMENT RECORDED
`
`Attorney of
`
`Philip M. Weiss
`
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`34366363497563
`
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`Register
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`TRADEMARK
`PRINCIPAL
`SECT 15. SECT 8 (ti-YR). SECTION 8(10-YR) 20190718.
`1ST RENEWAL 20190718
`
`m |
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`212
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`ORGPRO
`
`Word Mark ORGPRO
`
`Translations The wording "ORGPRO" has no meaning in a foreign language.
`Goods and
`IC 016. US 002 005 022 023 029 037 038 050. G & 8: Desktop organizers; Duplicating machines; Notebooks;
`Services
`Office stationery; Organizers for stationery use; Pen and pencil cases and boxes; Pens; Stationery; Writing ink;
`Writing or drawing books. FIRST USE: 20170704. FIRST USE IN COMMERCE: 20170704
`
`Standard
`Characters
`Claimed
`Mark
`
`Drawing
`Code
`Serial
`Number
`
`(4) STANDARD CHARACTER MARK
`
`88339607
`
`Filing Date March 14. 2019
`Current
`1A
`Basis
`
`Original
`Filing Basis
`Published
`
`for
`Opposition
`
`July 2. 2019
`
`Registration 5862610
`Number
`
`Registration
`Date
`
`September 17. 2019
`
`Owner
`
`Type of
`Mark
`
`(REGISTRANT) Shenzhen MengShiDa Trading 00.. Ltd. limited company (ltd.) CHINA Room 801 .Building
`50;WuGuanJuMin Group, Guanlan Streettonghua District, Shenzhen CHINA 518109
`
`TRADEMARK
`
`Register
`Live/Dead
`
`PRINCIPAL
`LIVE
`
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`United States Patent and Trademark Office
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`
`PAPERPRO
`
`Word Mark
`
`PAPERPRO
`
`Goods and
`Services
`Standard
`Characters Claimed
`
`IC 016. US 002 005 022 023 029 037 038 050. G 8: 8: Paper hole punches; Paper staplers. FIRST USE:
`20040105. FIRST USE IN COMMERCE: 20040105
`
`Mark Drawing Code (4) STANDARD CHARACTER MARK
`Serial Number
`85781505
`
`Filing Date
`Current Basis
`
`November 16. 2012
`1A
`
`Original Filing
`Basis
`
`1A
`
`3:223:31?"
`SEES?“
`Registration Date
`Owner
`
`April 23, 2013
`4364598
`July 9. 2013
`(REGISTRANT) AMAX, INC. CORPORATION DELAWARE 50 Romano Vineyard Way North Kingstown
`RHODE ISLAND 02852
`
`“Sigma“
`Recorded
`
`ASSIGNMENT RECORDED
`
`Attorney of Record Janet M. Garetto
`Type of Mark
`TRADEMARK
`Register
`PRINCIPAL
`Affidavit Text
`SECT 15. SECT 8 (ES-YR).
`LiveIDead Indicator LIVE
`
`
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`United States Patent and Trademark Office
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`PRO ART
`
`Word Mark
`
`PRO ART
`
`Goods and
`Services
`
`Standard
`Characters
`Claimed
`Mark
`
`Drawing
`Code
`
`se'ia'
`Number
`
`Filing Date
`Current
`Basis
`Original
`Filing Basis
`Published for
`Opposition
`
`IC 016. US 002 005 022 023 029 037 038 050. G & 8: an supplies, namely. art papers. artist's portfolios. drawing
`and drafting instruments. easels and artist's charcoal and pastels, coloring applicators. FIRST USE: 19900613.
`FIRST USE IN COMMERCE: 19900613
`
`(4) STANDARD CHARACTER MARK
`
`88284706
`
`January 31. 2019
`
`1A
`
`1A
`
`July 30,2019
`
`Registration 5882749
`Number
`
`Registration October 15, 2019
`Date
`
`Owner
`
`(REGISTRANT) (32F, Inc. CORPORATION OREGON 6600 SW 111th Ave. Beaverton OREGON 97008
`
`(LAST LISTED OWNER) VISTA PARTNERS. INC. CORPORATION OREGON 4310 WEST 5TH AVE. EUGENE
`OREGON 97402
`
`Assume” ASSIGNMENT RECORDED
`Recorded
`
`Attorney of
`Record
`
`Christopher D. Erickson
`
`tmsearch.uspto.gov/binlshowfield?t=dochtale=48052en9991.9.1
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`Prior
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`
`1576307;1690939
`
`Trademark Electronic Search System (TESS)
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`NO CLAIM IS MADE TO THE EXCLUSIVE RIGHT TO USE "ART" APART FROM THE MARK AS SHOWN
`
`Type of Mark TRADEMARK
`Register
`PRINCIPAL~2(F)
`
`Livngead
`Indicator
`
`LIVE
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`PROARTISTSUPPLY
`
`Word Mark PROARTISTSUPPLY
`
`Goods and lC 016. US 002 005 022 023 029 037 038 050. G & 8: Art and photograph portfolio cases; Art etchings; Art mounts;
`Services
`Art pads; Art paper; Art pictures; Art prints; Art prints on canvas; Arts and craft clay kits; Arts and craft paint kits;
`Artists' brushes; Artists' pastels; Artists‘ pencils; Artists' pens; Ball pens; Ball point pens; Ball-point pens; Ballpoint
`pens; Bubble pens; Coloured pens; Blackboards, drawing boards and easels; Canvas for painting; Canvas for
`printing; Canvas paneis for artists; Canvas stretcher bars for artists; Charcoal pencils; Children's arts and crafts
`paper kits; Colored craft and art sand; Craft paper: Custom paintings; Desk stands and holders for pens. pencils,
`and ink; Drawing boards; Drawing brushes; Drawing compasses; Drawing curves; Drawing implements. namely.
`square rulers: Drawing instruments; Drawing instruments, namely, pens; Drawing materials for blackboards;
`Drawing pads; Drawing paper; Drawing pencils; Drawing rulers; Drawing shields; Drawing squares; Drawing
`tablets; Drawing templates; Drawing trays; Drawing triangles; Drawings; Dry erase markers; Dry erase writing
`boards and writing surfaces; Easel pads; Easels; Electrical wood burning artists' pens; Erasable markers for
`marking the surface of a drinking glass for purposes of decoration and/or identification; Eraser dusting brushes; Felt
`marking pens; Felt pens; Felt tip markers; Felt writing pens; Felt-tip pens; Fiber—tip markers; Fibertip pens; Fountain
`pen ink cartridges; Fountain pens; Gel roller pens; Gelatine glue for stationery or household purposes; Gesso.
`namely, plasters in the nature of artists' materials; Glitter glue for stationary purposes; Glitter pens for stationery
`purposes: Glue for stationery or household purposes: Glue for stationery or household use; Glue for the office.
`FIRST USE: 20160429. FIRST USE IN COMMERCE: 20160429
`
`Standard
`Characters
`Claimed
`Mark
`Drawing
`Code
`Serial
`Number
`
`(4) STANDARD CHARACTER MARK
`
`87154817
`
`Filing Date August 30, 2016
`Current
`Basis
`
`‘lA
`
`Original
`Filing Basis
`Date
`Amended to
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`May 11, 2017
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`Current
`Register
`
`Registration 5258040
`Number
`
`Trademark Electronic Search System (TESS)
`
`August 1, 2017
`(REGISTRANT) Arttus Inc CORPORATION WYOMiNG Suite 130 63 Pearl St. Brooklyn NEW YORK 11201
`.
`Ra] Abhyanker
`
`Registration
`Date
`Owner
`Attorney of
`Record
`Type of
`Mark
`Register
`LivelDead
`
`Indicator LIVE
`
`TRADEMARK
`SUPPLEMENTAL
`
`
`
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