`
`ESTTA Tracking number:
`
`ESTTA1022565
`
`Filing date:
`
`12/13/2019
`
`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`
`Proceeding
`
`91250670
`
`Party
`
`Correspondence
`Address
`
`Defendant
`Touchlight IP Limited
`
`MARK HARRISON
`VENABLE LLP
`P.O. BOX 34385
`WASHINGTON, DC 20043-9998
`trademarkdocket@venable.com, rliebowitz@venable.com, klwilli-
`ams@venable.com
`no phone number provided
`
`Submission
`
`Filer's Name
`
`Filer's email
`
`Answer
`
`Rebecca Liebowitz
`
`rliebowitz@venable.com, trademarkdocket@venable.com,
`cmitros@venable.com
`
`Signature
`
`Date
`
`/rebecca liebowitz/
`
`12/13/2019
`
`Attachments
`
`CEDNA Answer.pdf(113878 bytes )
`
`
`
`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`____________________________________
`Generation Bio Co.
`
`)
`Opposer,
`)
`)
`)
`)
`)
`Touchlight IP Limited
`)
`
`Applicant.
`___________________________________ )
`Attorney’s Reference: 60895-511080
`
` vs.
`
`Opposition No. 91250670
`Application Serial No. 88/093870
`
`APPLICANT'S ANSWER
`
`Applicant, Touchlight IP Limited, through its counsel, hereby Answers the Notice of
`
`Opposition as follows:
`
`Applicant denies each and every allegation of the Notice of Opposition unless
`
`otherwise admitted or responded to as follows:
`
`1. Admitted.
`
`2. Admitted.
`
`3. Answering paragraph 3 of the Notice, applicant lacks knowledge or information
`
`sufficient to form a belief concerning the allegations of paragraph 3 of the Notice,
`
`and therefore denies the same. 37 CFR § 2.106(b)(2).
`
`4. Answering paragraph 4 of the Notice, applicant lacks knowledge or information
`
`sufficient to form a belief concerning the allegations of paragraph 4 of the Notice,
`
`and therefore denies the same. 37 CFR § 2.106(b)(2).
`
`5. Denied.
`
`6. Admitted only that records of the US Patent and Trademark Office reflect these
`
`statements; applicant lacks knowledge or information sufficient to form a belief
`
`concerning the allegations of paragraph 6 of the Notice, and therefore denies the
`
`same. 37 CFR § 2.106(b)(2).
`
`20442282-v1
`
`
`
`7. Admitted only that records of the US Patent and Trademark Office reflect these
`
`statements; applicant lacks knowledge or information sufficient to form a belief
`
`concerning the allegations of paragraph 7 of the Notice, and therefore denies the
`
`same. 37 CFR § 2.106(b)(2).
`
`8. Answering paragraph 8 of the Notice, applicant lacks knowledge or information
`
`sufficient to form a belief concerning the allegations of paragraph 8 of the Notice,
`
`and therefore denies the same. 37 CFR § 2.106(b)(2).
`
`9. Answering paragraph 9 of the Notice, applicant lacks knowledge or information
`
`sufficient to form a belief concerning the allegations of paragraph 9 of the Notice,
`
`and therefore denies the same. 37 CFR § 2.106(b)(2).
`
`10. Denied.
`
`11. Denied.
`
`12. Denied.
`
`13. Denied.
`
`14. Denied.
`
`WHEREFORE, Applicant prays that the Notice of Opposition be denied, that this
`
`action be dismissed with prejudice, and that Application Serial No. 88/093870 be forwarded for
`
`issuance.
`
`Please conduct all future correspondence regarding this Opposition with the
`
`undersigned.
`
`Dated: December 13, 2019
`
`
`
`Respectfully submitted,
`
`____________________________
`Rebecca Liebowitz
`Catherine Mitros
`VENABLE
`P.O. Box 34385
`
`20442282-v1
`
`-2-
`
`
`
`Washington, D.C. 20043
`Telephone: (202) 344-4976
`Telefax: (202) 344-8300
`Attorneys for Applicant
`
`CERTIFICATE OF SERVICE
`
`The undersigned, attorney for Applicant, hereby certifies that this 13th day of December
`2019, she served, by e-mail, a copy of the ANSWER upon
`
`MICHAEL J. BEVILACQUA
`WILMER CUTLER PICKERING HALE AND DORR LLP
`60 STATE STREET
`BOSTON, MA 02109
`UNITED STATES
`whiptrademark@wilmerhale.com,
`michael.bevilacqua@wilmerhale.com,
`barbara.barakat@wilmerhale.com
`
`Rebecca Liebowitz
`
`20442282-v1
`
`-3-
`
`

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