`ESTTA600948
`ESTTA Tracking number:
`04/28/2014
`
`Filing date:
`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`Notice of Opposition
`
`Notice is hereby given that the following party opposes registration of the indicated application.
`Opposer Information
`
`Name
`Entity
`Address
`
`Peer Bearing Company
`Corporation
`2200 Norman Drive South
`Waukegan, IL 60085
`UNITED STATES
`
`Citizenship
`
`Illinois
`
`Attorney informa-
`tion
`
`Thomas C. McDonough
`Neal, Gerber & Eisenberg LLP
`Two North LaSalle Street - Suite 1700
`Chicago, IL 60602
`UNITED STATES
`tmcdonough@ngelaw.com, twillliams@ngelaw.com, afraker@ngelaw.com,
`mbenson@ngelaw.com, DocketMail@ngelaw.com Phone:312-269-8000
`Applicant Information
`
`78664533
`04/28/2014
`
`Application No
`Opposition Filing
`Date
`Applicant
`
`Publication date
`Opposition Peri-
`od Ends
`Roller Bearing Company of America, Inc.
`One Tribology Center
`Oxford, CT 06478
`UNITED STATES
`Goods/Services Affected by Opposition
`
`04/15/2014
`05/15/2014
`
`Class 007. First Use: 1946/00/00 First Use In Commerce: 1946/00/00
`All goods and services in the class are opposed, namely: Thin section roller bearings for machines
`
`Grounds for Opposition
`
`The mark is merely descriptive
`The mark comprises matter that, as a whole, is
`functional
`Torres v. Cantine Torresella S.r.l.Fraud
`Genericness
`Other
`
`Trademark Act section 2(e)(1)
`Trademark Act section 2(e)(5)
`
`808 F.2d 46, 1 USPQ2d 1483 (Fed. Cir. 1986)
`Trademark Act section 23
`Misidentification of the goods
`
`Attachments
`
`1641_Notice_of_Opposition.pdf(33712 bytes )
`Ex 1 Peer Catalog 1600 Series pages.pdf(495533 bytes )
`Ex 2 RBC Catalog 1600 Series pages.pdf(559069 bytes )
`Ex 3 Sunray, Inc.pdf(86700 bytes )
`Ex 4 National Precision Bearings.pdf(288686 bytes )
`
`
`
`Ex 5 Boston Gear.pdf(360899 bytes )
`Ex 6 Champion Bearings.pdf(352847 bytes )
`Ex 7 Dynaroll.pdf(248154 bytes )
`Ex 8 Hi-Light USA.pdf(570119 bytes )
`Ex 9 Third Amended Complaint.pdf(592510 bytes )
`Ex 10 Memo of Decision and Order.pdf(2272782 bytes )
`Ex 11 Arbitration Final Decision.pdf(1154491 bytes )
`Ex 12 Request for Remand.pdf(120290 bytes )
`Ex 13 Plt's Obj & Resp to 3rd Rogs.pdf(88642 bytes )
`Ex 14 Request for Suspension 8-10-2011.pdf(443064 bytes )
`Ex 15 Kinney Afft 6-17-13Pages from 1641 File History (78 664533).pdf(870405
`bytes )
`Ex 16 Kinney Affrt 1-29-14.pdf(948159 bytes )
`
`Certificate of Service
`
`The undersigned hereby certifies that a copy of this paper has been served upon all parties, at their address
`record by First Class Mail on this date.
`
`Signature
`Name
`Date
`
`/Thomas C. McDonough/
`Thomas C. McDonough
`04/28/2014
`
`
`
`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`
`Opposer,
`
`Peer Bearing Company
`
`
`
`
`
`
`
`v.
`
`
`Roller Bearing Co. of America, Inc.
`
`
`
`
`
`
`
`
`Applicant.
`
`)
`)
`) Application Serial No.: 78/664,533
`)
`
`) Mark: 1641
`)
`
`) Published: April 15, 2014
`)
`)
`)
`
`NOTICE OF OPPOSITION
`
`Peer Bearing Company, an Illinois corporation located and doing business at 2200
`
`Norman Drive South, Waukegan, Illinois 60085 (“Opposer” or “Peer”), believes that it will be
`
`damaged by registration of the mark “1641” shown in Application Serial No. 78/664,533, and
`
`opposes the same.
`
`The grounds for opposition are as follows:
`
`I. The “1641” Designation Does Not Function as a Trademark and
`Applicant Does Not Have Exclusive Rights to use 1641 as a Trademark
`
`
`1.
`
`The “1641” application covers “thin section roller bearings.” Roller bearings or
`
`ball bearings are commodity goods that are sold in various sizes depending on the application for
`
`which they are being used.
`
`2.
`
`The number “1641” is a part number or model number used by Opposer Peer and
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`many other entities in the ball bearing business for many years. This “1641” number designates a
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`roller bearing having fixed dimensions, namely a bore diameter of 1 inch, an outer diameter of 2
`
`inches and a width of 0.5625 inch (the “1641 Dimensions”).
`
`
`
`1
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`
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`3.
`
`Opposer Peer has used “1641” as a model number and size designation in
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`connection with ball bearings since at least the early 1960’s. Opposer uses “1641” for a ball
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`bearing that is the exact same size and tolerances as the Applicant’s “1641” model bearing.
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`Selected pages from a Peer catalog showing the “1641” model bearing, showing that this bearing
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`has the specific 1641 Dimensions stated above, are attached as Exhibit 1. Selected pages from
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`Applicant’s catalog, submitted in the file of this application, showing that Applicant’s “1641”
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`bearing has the exact same 1641 Dimensions are attached as Exhibit 2.
`
`4.
`
`Many other companies in addition to Opposer sell “1641” size bearings, having
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`the identical 1641 Dimensions (i.e., 1 inch bore diameter, 2 inch outer diameter and 0.5625 inch
`
`width) to be physically interchangeable with one another. Examples of such uses include the
`
`following:
`
`Exhibit 3:
`
`Sunray, Inc.: pages from its website showing Sunray’s sale of
`“1641 bearings” have the same dimensions.
`
`Exhibit 4: National Precision: Bearings: pages from an NPB catalog
`showing “NPB Part No.” 1641 having the same dimensions.
`
`Exhibit 5:
`
`Exhibit 6:
`
`Exhibit 7:
`
`Boston Gear: pages from a Boston Gear catalog showing, within
`the “1600 Series,” radial ball bearings using numbers including
`“1641DS” having the same dimensions.
`
`Champion Bearings: page from a Champion Bearings catalog
`showing various numbers in the 1600 series, including 1641
`bearings having the same dimensions.
`
`Dynaroll: pages from the Dynaroll website showing, within the
`“1600 Series,” bearings with “Dynaroll Bearing No. 1641” having
`the same dimensions.
`
`Exhibit 8: Hi-Light USA, Inc. (Memphis, TN): pages from the Hi-Light
`USA website showing the “Radial Bearings 1600 Series” including
`the 1641 bearing having the same dimensions.
`
`
`
`2
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`
`
`
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`5.
`
`Other numbers in the 1600 series have standard dimensions, regardless of whether
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`they are sold by Peer or one of the third parties listed above. For example, a “1630” size bearing
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`sold by each of these companies has dimensions of 0.75 inch bore diameter, 1.625 inch outer
`
`diameter and 0.5 inch width. A “1635” size bearing has dimensions of 0.75 inch bore diameter,
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`1.75 inch outer diameter and 0.5 inch width and a “1640” size bearing has dimensions of 0.875
`
`inch bore diameter, 2.0 inch outer diameter and 0.5625 inch width.
`
`6.
`
`Applicant has tried but failed to enjoin Opposer’s use of “1641” and other
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`numbers in the 1600 series, due to Opposer’s longstanding and continuous use of these model
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`numbers. Applicant filed Civil Action No. 3:06-cv-01380-MRK in the United States District
`
`Court for the District of Connecticut (the “Peer Litigation”) alleging, among other things, that
`
`Opposer infringed Applicant’s trademark rights in the term “1641,” and other numbers and series
`
`designations. Applicant specifically alleged that Opposer Peer’s use of “1641” infringed these
`
`rights. See, Exhibit 9, Third Amended Complaint, ¶¶ 11, 16-18.
`
`7.
`
`As alleged in the Peer Litigation, Opposer Peer is using the term “1641” in
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`connection with the sale of radial ball bearings identical to those of Applicant, and such use
`
`began prior to the filing date of this application. Exhibit 9, Third Amended Complaint, ¶18.
`
`8.
`
`On October 29, 2009, the Court granted Opposer Peer’s Motion for Summary
`
`Judgment on the grounds of laches for the term “1600 SERIES,” which included all the numbers
`
`in that series, such as 1621, 1630, 1635 and 1641. See, Exhibit 10, Memorandum of Decision and
`
`Order Granting in Part and Denying in Part Defendant’s Motion for Summary Judgment; RBC
`
`Nice Bearings, Inc. et al. v. Peer Bearing Co., 676 F. Supp. 9. (D. Conn 2009).
`
`9.
`
`The Second Circuit Court of Appeals affirmed the district court’s ruling in favor
`
`of Opposer Peer. RBC Nice Bearings, Inc. et al, v. Peer Bearing Co., 410 Fed. Appx. 362 (2d
`
`
`
`3
`
`
`
`Cir. 2010). Opposer is, therefore, forever entitled to use the model number “1641” for ball
`
`bearings in a manner substantially identical to the use by Applicant RBC, along with the other
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`numbers in the 1600 series.
`
`10.
`
`Applicant made another effort to stop Opposer Peer’s use of these part numbers,
`
`but that failed as well. On September 14, 2009, RBC Nice Bearings, Inc., Roller Bearing
`
`Company of America, Inc. and Roller Bearing Company of America, Inc. d/b/a Nice Ball
`
`Bearings, Inc. filed a Demand for Arbitration against SKF USA Inc. (the “Arbitration”). See,
`
`Demand for Arbitration, attached as Exhibit A to Applicant’s Request for Suspension filed
`
`August 10, 2011. SKF USA, Inc. had acquired Peer during the Peer Litigation. Applicant asked
`
`the Panel to enjoin Opposer Peer’s use of the 1600 Series numbers, including 1621, 1630, 1635,
`
`and 1641. This attempt failed when the Arbitration panel refused to enjoin Opposer Peer’s use of
`
`these designations. See, Exhibit 11, Arbitration Final Decision.
`
`11.
`
`Opposer and these other third parties are not using “1641” as a trademark but
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`instead are using it as a designation of a bearing having a particular size and tolerance. The
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`model number “1641” therefore designates to the industry a ball bearing having the 1641
`
`Dimensions of a 1 inch bore diameter, a 2 inch outer diameter and a 0.5625 inch width. Opposer
`
`even alleged in the Peer Litigation that, within the 1600 series of numbers, “[e]ach bearing
`
`number corresponds to a bearing with a defined structure and dimensions.” Exhibit 9, Third
`
`Amended Complaint, ¶ 15.
`
`12.
`
`Applicant’s use of the “1641” model number for ball bearings is, therefore, not
`
`exclusive and will remain non-exclusive. The longstanding and continuous use of the same term
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`for the exact same goods and in the same channels of trade as those of Applicant by Opposer and
`
`other entities is sufficient grounds for denying registration of the term “1641.”
`
`
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`4
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`
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`13.
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`Registration of the term “1641” by Applicant would damage Opposer because
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`registration would confer nationwide trademark rights and exclusivity of use to Applicant with
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`respect to a common designation used to designate a bearing having a particular size by Opposer
`
`and Applicant’s competitors, thereby creating the false and misleading impression to consumers
`
`that only Applicant’s goods may be sold having that designation. Opposer’s ability to record its
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`registration with U.S. Customs would damage Opposer in that it may lead to seizures of goods
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`that Opposer is legally permitted to import and sell in the United States.
`
`14.
`
`The public would be damaged by registration of the term “1641” by Applicant, as
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`it has come to rely on the use of the term “1641” as a common designation of a bearing having a
`
`particular size by multiple entities, thereby creating the false and misleading impression to the
`
`public that only Applicant may sell bearings having that size designation.
`
`II. The Term Applicant Seeks to Register is Descriptive
`
`15.
`
`The “1641” number which Applicant seeks to register is a common designation
`
`for a ball bearing having a specific size and tolerance. The term “1641” is, therefore, merely
`
`descriptive of the goods which are described in Application Serial No. 78/664,533.
`
`16.
`
`Opposer and many others in the industry have used and continue to use the term
`
`“1641” in an identical, descriptive manner for ball bearings having this particular size. Based in
`
`part on the extensive identical and descriptive use by many in the ball bearing industry, the term
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`which Applicant seeks to register does not function as a source identifier for Applicant’s goods
`
`or distinguish them from similar goods offered by others.
`
`17.
`
`Registration of the term “1641” by Applicant would damage Opposer because
`
`registration would confer nationwide trademark rights and exclusivity of use to Applicant with
`
`respect to a common designation used descriptively and/or generically by Opposer and
`
`
`
`5
`
`
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`Applicant’s competitors for sized ball bearings that are each physically interchangeable with one
`
`another regardless of the manufacturer, thereby creating the false and misleading impression to
`
`consumers that only Applicant’s goods may be sold having that designation.
`
`18.
`
`In view of the above, Applicant is not entitled to federal registration of the term
`
`“1641” or to exclusive use of this term in commerce on the goods specified in its application.
`
`III. The Term Applicant Seeks to Register is Generic
`
`19.
`
`The “1641” term which Applicant seeks to register as a trademark is a common
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`descriptive or generic term for ball bearings. Opposer Peer Bearing Company and others
`
`throughout the ball bearing industry have used and continue to use this term in the identical,
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`common descriptive or generic manner to refer and/or distinguish bearings based on their size or
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`other physical attributes.
`
`20.
`
`Registration of the term “1641” by Applicant would damage Opposer because
`
`registration would confer nationwide trademark rights and exclusivity of use to Applicant with
`
`respect to a common designation used descriptively and/or generically by Opposer and
`
`Applicant’s competitors for ball bearings that are each physically interchangeable with one
`
`another regardless of the manufacturer, thereby creating the false and misleading impression to
`
`consumers that only Applicant’s goods may be sold having that designation.
`
`21.
`
`In view of the above, Applicant is not entitled to federal registration of the term
`
`“1641” or to exclusive use of this term in commerce on the goods specified in its application.
`
`IV. Applicant is Not Using “1641” as a Trademark and has
`Misidentified the Goods in the Subject Application
`
`22.
`
`Applicant is not using 1641 as a trademark but, as outlined above, is using this
`
`term as a designation of a bearing having a specific size and tolerance.
`
`
`
`6
`
`
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`23.
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`The specimens submitted by Applicant do not support use as a trademark, but
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`instead show that it is being used as a model number or part number.
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`24.
`
`The “1641” application covers “thin section roller bearings.” Thin section roller
`
`bearings are a subset of roller bearings in general, and this term generally means a bearing that
`
`has a thinner cross-section than a standard bearing. In its advertising materials, Applicant defines
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`a “thin section roller bearing” as a bearing that has a bore diameter that is greater than four times
`
`the radial cross section.
`
`25.
`
`The “1641” sized bearing sold by Applicant and identified in the specimens is not
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`a “thin section roller bearing” but instead has dimensions that fall outside of even Applicant’s
`
`definition. Applicant has therefore misidentified the goods in its application. In order to correct
`
`this error, Applicant would need to broaden its identification of the goods. This error is fatal to
`
`the application.
`
`26.
`
`Registration of the term “1641” by Applicant would damage Opposer because
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`registration would confer nationwide trademark rights and exclusivity of use to Applicant with
`
`respect to a common designation that is not being used as a trademark by Applicant and that is
`
`used descriptively and/or generically by Opposer, Applicant and other competitors for ball
`
`bearings that are each physically interchangeable with one another regardless of the
`
`manufacturer, thereby creating the false and misleading impression to consumers that only
`
`Applicant’s goods may be sold having that designation.
`
`27.
`
`In view of the above, Applicant is not entitled to federal registration of the term
`
`“1641” or to exclusive use of this term in commerce on the goods specified in its application.
`
`7
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`
`
`
`
`
`
`V. Applicant’s Representatives Made False and
`Misleading Statements in Prosecuting this Application
`
`The subject application should be denied registration because Applicant made
`
`28.
`
`false and misleading statements to the Trademark Trial and Appeal Board and to the Examining
`
`Attorney. First, Applicant falsely represented to the Board that it possessed evidence of acquired
`
`distinctiveness for the “1641” mark in an attempt to delay final affirmation of the mark’s
`
`rejection for registration. Subsequently, Applicant failed to be forthright about the status of the
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`Arbitration and the Peer Litigation and made additional false or misleading statements at several
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`times during prosecution of this application.
`
`29.
`
`On December 26, 2007, Applicant filed a request to suspend its appeal of the final
`
`rejection of the “1641” application and to remand the application to the Examining Attorney.
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`Applicant relied on representations that it possessed evidence that, among other things, showed
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`consumers associate the “1641” term solely with Applicant’s goods, but that Applicant was
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`unable to produce due to a protective order in pending civil litigation. See, Exhibit 12, Request
`
`for Remand, p. 1-2. Such statements were knowingly false but advantageous to Applicant, as
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`final affirmation of the Examining Attorney’s rejection would have undermined Applicant’s
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`arguments in the Peer Litigation.
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`30.
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`The falsity of Applicant’s statements was confirmed by Applicant’s subsequent
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`discovery responses in the Peer Litigation, where Applicant was unable to provide any support
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`for this statement to the Board. See, Exhibit 13, Plaintiff’s Objections and Responses to
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`Defendant Peer Bearing Company’s Third Set of Interrogatories, Response Nos. 28 and 29.
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`Thus, Applicant secured remand of its application based on representations of evidence it knew
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`did not exist.
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`8
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`31.
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`After the appeal was suspended and the application was remanded to the
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`Examining Attorney, Applicant was not forthright about the status and end result of the
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`Arbitration after specifically relying on the Arbitration in requesting a second suspension.
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`Applicant was also not forthright about the end result of the Peer Litigation, and made specific
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`representations in declarations that were contrary to the result of that litigation.
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`32.
`
`After the Peer Litigation concluded, Applicant asked the Examining Attorney to
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`again suspend the application based on the Arbitration. Applicant specifically alleged that the
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`Arbitration was relevant, as follows:
`
`Whether or not Peer was allowed to use the trademarks, including the
`1641 mark, has bearing on whether such use would be considered
`substantial third party use or infringing use of the trademarks. Such
`information has bearing at least on Applicant’s claim of acquired
`distinctiveness in the alternative in an effort to overcome the Section 2(e)
`rejection. The Arbitration is still pending to address Peer’s usage of the
`trademarks. It follows that the Arbitration has bearing on the present
`application. Applicant respectfully submits that the Arbitration is “good
`and sufficient cause” for suspending the examination of the present
`application pursuant to 37 CFR§ 2.67.
`
`Exhibit 14, August 10, 2011 Request for Suspension, p. 2 (emphasis in original). To support this
`
`position, Applicant attached an “Interim Order” in the Arbitration as Exhibit B to its August 10,
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`2011 Request for Suspension. See, Exhibit 14.
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`33.
`
`Following these statements by Applicant, on August 12, 2011, the Examining
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`Attorney suspended the application based on the Arbitration.
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`34.
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`On September 13, 2012, Applicant advised the Examining Attorney that the
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`Arbitration was terminated and requested removal of the suspension. No further details were
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`provided at that time. This failure to provide any details about the termination of the Arbitration
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`was at best misleading in light of Applicant’s earlier statements. What Applicant failed to tell the
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`Examining Attorney is that (i) it had lost the Arbitration on the specific issue referenced in its
`
`
`
`9
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`
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`August 10, 2011 filings, and (ii) its request for an injunction against Opposer’s use of the mark at
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`issue was denied, contrary to the “Interim Order” it previously gave the Examining Attorney.
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`35.
`
`Applicant also did not notify the Examining Attorney of the basis for the decision
`
`in the Peer Litigation, nor of the fact that Opposer was entitled to continue to use the “1641”
`
`model number. Rather, Applicant and its counsel made statements that were directly contrary to
`
`this fact. By way of example, Applicant’s counsel submitted an Affidavit stating as follows:
`
`Applicant competes with a number of manufactures offering the
`4.
`recited goods in the marketplace. However, the market is dominated by
`two (2) manufacturers, Applicant, Roller Bearing Company America, Inc.
`(sic) and General Bearing Corporation of West Nyack, NY, that offer thin
`section roller bearings under different trademarks, each of which hold
`almost fifty percent (50%) share of the inch type, thin section roller
`bearings market in the US.
`
`Applicant’s 1641 mark has become distinctive of thin section roller
`5.
`bearings through Applicant’s substantially exclusive and continuous use in
`commerce for over sixty six (66) years immediately before the date of this
`statement, and based on Applicant’s extensive use of the marks since at
`least as earlier as 1946 to the present as is represented by printed an on-
`line products catalogs, already in the record of the present application, in
`which the mark is displayed with the recited goods. The commercial uses
`of the 1641 mark have resulted in consumers recognizing Applicant as the
`primary source of the goods bearing the mark
`
`Exhibit 15, Michael Kinney Affidavit dated June 17, 2013, ¶¶ 4-5. On January 29, 2014,
`
`Applicant submitted essentially the same Affidavit from Mr. Kinney, but without Paragraph 4,
`
`above. See, Exhibit 16.
`
`36.
`
`The statements in Paragraph 5 of the Declaration were false or misleading
`
`because they failed to advise the Examining Attorney of, or acknowledge in any way, Opposer’s
`
`continued use of the “1641” model number. These statements were material, as Applicant had
`
`already admitted the relevance of Opposer’s continued use in its August 10, 2011 Request for
`
`Suspension, and that “[w]hether or not Peer was allowed to use the trademarks, including the
`
`
`
`10
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`
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`1641 mark, has bearing on whether such use would be considered substantial third party use or
`
`infringing use of the trademarks.” Since the Peer Litigation and the Arbitration determined that
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`Peer’s use was not an infringing use of the trademarks, then it was admittedly “substantial third
`
`party use.” These declarations were also misleading in that they did not address the Peer
`
`Litigation and Opposer’s long and continuous use of the “1641” size designation, and false with
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`regard to the statements about the market.
`
`37.
`
`The subject application should be denied registration because the Applicant made
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`material false and misleading statements to the Examining Attorney, and failed to be forthright
`
`about the status of the Peer Litigation or the Arbitration. These statements were made with the
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`knowledge of the correct underlying facts and with the intent to mislead the Examiner to obtain
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`allowance of the subject application. These false and misleading statements misled the
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`Examining Attorney and resulted in this Application being allowed. Opposer Peer will be
`
`damaged if Applicant is allowed to obtain this registration.
`
`38.
`
`In view of the above, Applicant is not entitled to federal registration of the term
`
`“1641” or to exclusive use of this term in commerce on the goods specified in its application.
`
`11
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`
`
`
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`WHEREFORE, Opposer prays that the opposition be sustained and the application for
`
`registration of the term which Applicant seeks to register as a trademark be refused.
`
`Respectfully submitted,
`
`/Thomas C. McDonough/
`One of the Attorneys for Opposer,
`Peer Bearing Company
`
`Thomas C. McDonough
`Thomas E. Williams
`Neal, Gerber & Eisenberg LLP
`Two North LaSalle Street, Suite 1700
`Chicago, IL 60602
`Telephone: (312) 269-8000
`Facsimile: (312) 269-1747
`
`
`
`By:
`
`
`
`
`Date: April 28, 2014
`
`
`
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`
`12
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`
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`CERTIFICATE OF TRANSMISSION
`
`I hereby certify that the enclosed NOTICE OF OPPOSITION is being electronically
`transmitted via the Electronic System for Trademark Trials and Appeals (“ESTTA”) at
`http://estta.uspto.gov/ on the date noted below:
`
`Date: April 28, 2014
`
`
`
`
`
`By:
`
`/Thomas C. McDonough/
`One of the Attorneys for Opposer,
`Peer Bearing Company
`
`Thomas C. McDonough
`Thomas E. Williams
`Neal, Gerber & Eisenberg LLP
`Two North LaSalle Street, Suite 1700
`Chicago, IL 60602
`Telephone: (312) 269-8000
`Facsimile: (312) 269-1747
`
`
`
`CERTIFICATE OF SERVICE
`I, Thomas C. McDonough, an attorney, state that I served a copy of the enclosed
`NOTICE OF OPPOSITION upon:
`
`Michael K. Kinney
`Michaud-Kinney Group LLP
`306 Industrial Park Rd 206
`Middletown Connecticut 06457-1532
`
`
`by depositing said copy in a properly addressed envelope, first class postage prepaid, and
`depositing same in the United States mail at Two North LaSalle Street, Chicago, Illinois, on the
`date noted below:
`
`
`
`
`
`
`
`/Thomas C. McDonough/
`
`
`
`
`
`Date: April 28, 2014
`
`
`NGEDOCS: 2166491.2
`
`
`
`13
`
`
`
`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`
`Opposer,
`
`Peer Bearing Company,
`
`
`
`
`
`
`
`v.
`
`
`Roller Bearing Co. of America, Inc.,
`
`
`
`
`
`
`
`Applicant.
`
`
`
`
`
`
`
`
`
`
`
`
`)
`)
`) Application Serial No.: 78/664,533
`)
`
`) Mark: 1641
`)
`
`)
`Published: April 15, 2014
`)
`)
`)
`
`Exhibit 1 to Notice of Opposition
`
`
`
`
`
`
`
`:M1—UmE:3uwu:£.«m_n
`
`
`
`_mm$E2:5.2.23mxw.um>oomo
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`5fiug.n=_-a
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`8
`
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`
`
`
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`
`Eoo.m:_..Nwa..w0n.>>>>>>
`
`33¢4....nm$_..m§
`
`
`
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`
`
`
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`
`
`
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`
`
`
`
`
`o>_._n:mE..ozcomm
`
`
`
`
`
`«mmmo_Smowmztmom__wm_m_um..._>:mn_Eo0wctmmmmmmm
`
`
`
`
`
`
`
`
`
`
`
`
`
`1600 SERIES
`
`
`
`
`
`
`
`
`
`
`
`Designed to be dimensionally interchange-
`
`able with standard domestic inch series
`
`bearings. By using 52100 steel and holding
`dimensions to ABEC1 tolerances,
`this
`series offers economy with electric motor
`quality. Close tolerance and improved ball
`complement allow an increased load
`capacity. This series is available with
`shields and seals. Consult the Peer sales
`engineer for availability.
`
`
`
`
`
` %i!?%%%%
`ZRSA
`
`Width (inch)
`
`‘Maximum fillet whirh corner radius of hearing will clear.
`
`twidth 5/16 for RS and 2llS types.
`
`fiMdlh ll/32 for R5 and ZRS types.
`
`15
`
`_;l¥
`
`
`
`55‘?‘
`
`1600 SERIES (continued)
`
`Designed to be dimensionally interchangeable with stan-
`dard domestic inch series bearings. By using 52100 steel
`and holding dimensions to ABEC 1 tolerances, this series
`offers economy with electric motor quality. Close tolerance
`and improved ball complement allow an increased load
`capacity. This series is available with shields and seals.
`Consult the Peer sales engineer for availability.
`
`%i!i%%%%%ZRSA
`
`OD
`0
`
`13/5
`1.3750
`
`Pu"
`Numb"
`
`um
`,,
`
`1522
`
`1523
`
`1520
`
`1530
`
`1533
`
`1535
`
`Tolennmo
`4.0000
`to min:
`
`005
`
`.
`
`.
`
`.
`
`.
`
`.
`
`05
`
`05
`
`05
`
`05
`
`05
`
`N
`
`NR
`
`Tolerance
`+.o000
`to minus
`
`MM‘ (1MM
`
`-f;|pe”,,d;;
`'
`
`Units:
`
`Inches
`Meir}:
`Basic Load Ratings
`M
`N
`
`.0
`
`0
`
`0
`
`0
`
`0
`
`.0
`
`5
`
`5
`
`5
`
`5
`
`5
`
`5
`
`.25
`
`.25
`
`.25
`
`.25
`
`.25
`
`.25
`
`1
`
`.0050
`
`
`
`
`
`
`
`.
`DY'""“"
`(7
`1090
`0,407
`1090
`0,407
`2500
`11,554
`2320
`,1
`2325
`10,343
`2325
`10,343
`2405
`11,054
`2405
`11 054
`3455
`15,414
`3955
`17,593
`3955
`17,593
`390
`17 571
`3950
`17,571
`
`SM"
`(or
`035
`3,715
`035
`3,715
`1010
`4,492
`1117
`4956
`1142
`5,079
`1142
`5,079
`1330
`5,952
`1330
`5952
`1752
`7,794
`2300
`10,231
`2300
`10,231
`2317
`10 305
`2317
`10,305
`
`.35
`
`.35
`
`.35
`
`.35
`
`.35
`
`.35
`
`.35
`
`M1
`.4375
`745
`.4375
`V2
`.5000
`‘/2
`111
`‘/2
`.5000
`‘/2
`.5000
`7/15
`.5525
`9/15
`.5525
`945
`.5525
`5/0
`.5250
`5/5
`.5250
`"44
`.5075
`“A5
`.5075
`
`.0
`
`5
`
`.005
`
`0
`
`0
`
`5
`
`5
`
`.005
`
`.005
`
`.005
`
`1530
`
`1540
`
`1541
`
`1552
`
`1554
`
`1557
`
`1550
`
`.
`
`.
`
`.
`
`.
`
`.
`
`.
`
`.
`
`05
`
`05
`
`05
`
`05
`
`05
`
`05
`
`05
`
`‘Maximum fillel which miner radius of hearing will clear.
`16
`
`.0047
`
`.0047
`
`0047
`
`.0047
`
`.0047
`
`.0047
`
`.0047
`
`
`
`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`
`Opposer,
`
`Peer Bearing Company,
`
`
`
`
`
`
`
`v.
`
`
`Roller Bearing Co. of America, Inc.,
`
`
`
`
`
`
`
`Applicant.
`
`
`
`
`
`
`
`
`
`
`
`
`)
`)
`) Application Serial No.: 78/664,533
`)
`
`) Mark: 1641
`)
`
`)
`Published: April 15, 2014
`)
`)
`)
`
`Exhibit 2 to Notice of Opposition
`
`
`
`
`
`
`
`
`
`9 .3 .5.SeriesT"" Preci.s.i.on.Ground Radial Bearings
`
`I1) pm\*iLlL- .1 lim: mi" low cost yixt l1i1;l1 qiiulily l11+e11'i111.;a for
`Precision ground lfiilll .‘.i1:‘i‘ir.>s'”“ bL‘.m'i11gs are .~".pc:("ia1lly 1l1:'»i;i.',11L'il
`adaptation to a mzijority of prec.i.3i(1n bearing applications. They arr: mairlte in easy to use inch <.iin1e1‘1:1i(>11:a mid are rccornmcndcd
`for medium loads and for maximum speeds in the range c1{:"1()()0 rpm.
`The 1600 Seriesm bea1'ing.s; are precision ground on all :sL1i'l’z1c'L-3 with Lrxceplioiial 1:011: y;i1'(:11 in ilw ball 3;r‘o0\'Lr:~>. Cz1r(!i1.1| Imni
`treatment provides a uniform and cxart cicgrce of l1e11‘d11r35s For m11><imum life. A ball retainer, or Scpnmror, is used to increase the
`range of allowable speeds by rcdL1cingball—to-hall coniacl friction. The 1600 Series” radial bearings are available open, siriglc or
`doubled shielded, or single n1'cl0ubl1: sealed. Double scaled and ciuublu shielded lwaririgs are supplied ;;1'o1131' packed as stan-
`dard. Open and single closure bearings can be supplied grcnsucl on i'(;‘L']Li€.‘%l.
`
`BEARING NUMBER
`
`PRINCIPLE DIMENSIONS
`
`
`
`1602DC 6
`160230 9
`160203
`160235
`16o2Ns
`.
`
`
`17.463
`
`
`1603DC
`1603SC
`16o30s'mW M1”60§3‘§"W
`16‘(J-.:3~i\i§’m*
`0.8750 WW
`
`
`22.225
`160400
`1611430
`1604DS
`160433
`1604113
`0.6750
`
`A
`>
`
`1605nc
`1605SC
`160503
`16b"5"“s'"
`'
`1605133
`
`__
`
`'
`
`22.225
`0.9055
`23.020
`0.9068
`23.020
`0.9063
`
`_-
`
`9232020
`1.1250
`28.575
`1.1250
`28575
`1.1250
`28.575
`1.3750
`34.925
`1.3750
`34.925
`
`
`
`
`
`
`
`
`
`
`160600
`
`160630
`
`150603
`
`160633
`
`1606NS
`
`
`
`16o7Dc
`
`1607sc
`
`.
`
`161400
`
`16150c
`
`161480
`
`1615sc
`
`160708
`
`-2
`1614DS
`
`1615DS
`
`160735
`
`._
`161463
`
`161533
`
`T
`
`1607115
`
`__________ ..,_
`
`1614Ns
`
`1615Ns
`
`
`1611300
`161636
`161603
`1616SS L 1616NS
`
`W
`_
`6
`_
`1620Dc
`1620SC
`1620DS
`162035
`i620NS
`
`
`
`
`
`1621DC
`162150
`1621DS
`162133
`1521113
`
`
`
`
`0 Width for sealed versions = 0.8125 (7.938)
`6 Width for sealed versions = 0.3438 (8.733)
`0 Weights given are for greased and sealed versions
`0 1638 and larger +0000/—.ooo6 (+.00o/.15)
`0 Muiti-part seal see page 42
`Ali part numbers listed herein are considered to be trademarks of RBC Bearings incorporated.
`
`6
`
`
`
` 3A5'° '-°A° ‘
`
`Era Ev-;&A4
`
`WEIGHT
`
`ABUTMENT AND FILLET DIMENSIONS
`»
`.
`.
`
`*BA'l'INGS
`DYNAMIC
`STATIC
`0
`Co
`(lbs)
`(ibs)
`(N)
`(N)
`
`.
`
`.
`
`-
`.
`.
`WIDTH
`B
`(in)
`(mm)
`+000
`+.O00
`— .005
`
`-.13
`0.2500 0
`5.350
`0.2813 9
`7.150
`
`0.2813 9
`7.150”
`70.33 25
`7.988
`0.3125
`
`7.938
`0.3125
`
`M_‘7.938
`0.3750
`9.525
`0.3750
`9.525
`0.3750
`
`9.525 M
`0.4375
`11.113
`0.4375
`11.113
`
`511
`2274
`644
`2866
`
`644
`2866
`698
`3106
`698
`
`3106
`698
`
`3106
`1200
`5340
`1200
`5340
`1200
`
`5340
`1878
`8357
`1878
`8357
`
`fl
`
`'
`
`1
`-
`
`'
`
`__+
`
`170
`757
`255
`1135
`
`255
`1_1:§_5
`300"”
`1335
`300
`
`1335
`300
`
`V "1335
`475
`2114
`475
`2114
`475
`
`850
`3783
`850
`3783
`
`J
`
`I
`
`T‘
`
`1
`
`‘
`
`__>__
`
`we
`(lbs)
`(K0)
`
`0.02
`0.01
`0.03
`0.01
`
`0.03
`0.01
`0.04
`0.02
`0.04
`
`0.02
`0.03
`
`0._0_1_p___
`0.08
`0.03
`0.08
`0.03
`0.06
`
`da min
`(in)
`(mm)
`
`Da max
`(in)
`(mm)
`
`r max
`(in)
`(mm)
`
`0.330
`8.38
`0.474
`12.04
`
`0.474
`12.04
`70.503
`12.78
`0.517
`
`13.13
`0.517
`
`18.1_§V_W__
`0.595
`15.11
`0.622
`15.80
`0.622
`
`1
`
`0.614
`V_” W 15.60
`0.778
`19.76
`
`0.778
`19.75
`0.778
`19.76
`0.778
`
`19.76
`0.778
`
`19.76
`1.014
`25.76
`1.014
`25.76
`1.014
`
`___2_5_>_.76
`1.203
`30.56
`1.203
`30.56
`
`1
`
`_
`
`0.012
`0.30
`0.012
`0.30
`
`0.015
`_W 0.38 ______A
`0.012
`0.30
`0.015
`
`___
`
`0.38
`0.015
`
`0.38
`0.025
`0.64
`0.025
`0.64
`0.025
`
`_(_)_,._(_3W{1_‘____
`0.025
`0.64
`0.025
`0.64
`
`0.03
`0.12
`0.05
`0.11
`0.05
`
`_w__ _ ~___'_ 15.80
`0.658
`16.71
`0.720
`18.29
`
`
`
` 0 9I_Seri.esT'“ Precision Ground Rodiol Bearings (con’l)
`
`Precision ground ‘I600 Se1'ies"" bearings are specially dr=.»;ig11t-ti to pruvidv a line of low cost yvt high quality txmrings for
`adaptation to a maj0r.it_y of pl‘I'.’Ci:5it)l‘t bearing applications. They nit: mnctir in easy to use inch cti111(~11.~:ioi13 and are rr~r.m11n1011<ted
`for medium loads and for II\£lXil'i1LilT\ speeds in the range of .‘3t)()(l rprn.
`The 1600 Series“ be-z11'i11g.s‘ are p1‘eci:~‘.i0n ground on all mrfact»-.5 with I’XCE‘pli()I1€Ii care given to the hall r;r00vc:s. (;‘z1r<:lul heat
`treatment provides a uniform and exact degree oft1ardr11::ssfm~ lT1L1Xil11Lllil lilo. A ball retainer, or :.:(=parator, is 1i.5e<t to i11m-:a3t> the
`range