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`ESTTA Tracking number:
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`ESTTA989044
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`Filing date:
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`07/19/2019
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`Proceeding
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`Correspondence
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`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
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`91239995
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`Plaintiff
`Apple Inc.
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`GLENN GUNDERSEN
`DECHERT LLP
`CIRA CENTRE, 2929 ARCH STREET
`PHILADELPHIA, PA 19104-2808
`UNITED STATES
`trademarks@dechert.com, glenn.gundersen@dechert.com, jen-
`nifer.insley-pruitt@dechert.com
`215-994-2183
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`Motion to Suspend for Settlement Discussions
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`Jennifer Insley-Pruitt
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`jennifer.insley-pruitt@dechert.com, trademarks@dechert.com
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`/Jennifer Insley-Pruitt/
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`07/19/2019
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`Apple v. Cartoon Network -- Opp. No. 91239995 -- 07.2019 Consent Mo-
`tion.pdf(27547 bytes )
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`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
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`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
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`APPLE INC.,
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` Opposer,
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`THE CARTOON NETWORK, INC.,
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` Applicant.
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` Opposition No. 91239995
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`MOTION FOR SUSPENSION FOR SETTLEMENT WITH CONSENT
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`Apple Inc. (“Apple”) hereby submits this Motion for Suspension for Settlement with
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`Consent, seeking a 30-day suspension of the proceedings.
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`In the last Order in this matter, dated June 18, 2019, the Board granted the June 18, 2019
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`consent motion of Apple for a suspension of these proceedings. In doing so, the Board required
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`that any further requests for a suspension be accompanied by a detailed report on the progress of
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`this matter. Apple herein provides a progress report as requested by the Board.
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`The parties have been engaged in settlement discussions for months and have completed
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`negotiation of a written agreement resolving all of the issues in this proceeding. The only
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`remaining task with regard to the settlement agreement is to obtain the signatures of authorized
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`party representatives. The parties plan to accomplish this one remaining task during this
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`settlement period.
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`Suspension is therefore requested in order to afford the parties the opportunity to finalize
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`their already fully negotiated settlement agreement.
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`Accordingly, Apple, by its counsel and with the express consent of counsel for The
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`Cartoon Network, Inc., requests that these proceedings be suspended for 30 days and all
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`upcoming dates reset as follows:
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`Time to Answer:
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`Deadline for Discovery Conference
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`Discovery opens:
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`Initial Disclosures Due:
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`Expert Disclosures Due:
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`Discovery Closes:
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`Plaintiff's Pretrial Disclosures Due:
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`Plaintiff's 30-day Trial Period Ends:
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`Defendant's Pretrial Disclosures Due:
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`Defendant's 30-day Trial Period Ends:
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`Plaintiff's Rebuttal Disclosures Due:
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`Plaintiff's 15-day Rebuttal Period Ends:
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`Plaintiff's Opening Brief Due:
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`Defendant’s Brief Due:
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`Plaintiff’s Reply Brief Due:
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`Request for Oral Hearing (Optional) Due:
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`08/20/2019
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`09/19/2019
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`09/19/2019
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`10/19/2019
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`02/16/2020
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`03/17/2020
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`05/01/2020
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`06/15/2020
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`06/30/2020
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`08/14/2020
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`08/29/2020
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`09/28/2020
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`11/27/2020
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`12/27/2020
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`01/11/2021
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`01/21/2020
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`Dated: July 19, 2019
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`Respectfully submitted,
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`_______________________________
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`Glenn A. Gundersen
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`Jennifer Insley-Pruitt
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`DECHERT LLP
`Cira Centre, 2929 Arch Street
`Philadelphia, PA 19104-2808
`(215) 994-2183
`glenn.gundersen@dechert.com
`jennifer.insley-pruitt@dechert.com
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`Attorneys for Apple Inc.
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`CERTIFICATE OF SERVICE
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`I hereby certify that on July 19, 2019, a true and correct copy of the foregoing Motion for
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`Suspension for Settlement With Consent has been duly served by email on counsel for The
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`Cartoon Network, Inc. at the below email addresses:
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`tcnuspto@turner.com
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`Jennifer Insley-Pruitt
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