`ESTTA1069592
`07/21/2020
`
`ESTTA Tracking number:
`
`Filing date:
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`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`
`Notice of Opposition
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`Notice is hereby given that the following party opposes registration of the indicated application.
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`Opposer Information
`
`Name
`
`Entity
`
`Address
`
`Attorney informa-
`tion
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`Path Medical, LLC
`
`Limited Liability Company
`
`Citizenship
`
`Florida
`
`2304 W. OAKLAND PARK BLVD.
`FT. LAUDERDALE, FL 33311
`UNITED STATES
`
`MINDI M. RICHTER
`SHUMAKER, LOOP & KENDRICK, LLP
`101 E. KENNEDY BOULEVARD, SUITE 2800
`TAMPA, FL 33602
`UNITED STATES
`Primary Email: mrichter@shumaker.com
`Secondary Email(s): ttimmerman@shumaker.com
`8132297600
`
`Docket Number
`
`Applicant Information
`
`Application No.
`
`88799830
`
`Publication date
`
`06/23/2020
`
`Opposition Filing
`Date
`
`Applicant
`
`07/21/2020
`
`Opposition Peri-
`od Ends
`
`07/23/2020
`
`Chung, Steven L.
`1515 MARKET STREET, SUITE 910
`PHILADELPHIA, PA 19102
`UNITED STATES
`
`Goods/Services Affected by Opposition
`
`Class 045. First Use: 0 First Use In Commerce: 0
`All goods and services in the class are opposed, namely: Legal services
`
`Grounds for Opposition
`
`Priority and likelihood of confusion
`
`Trademark Act Section 2(d)
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`Mark Cited by Opposer as Basis for Opposition
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`U.S. Application
`No.
`
`88571353
`
`Application Date
`
`08/08/2019
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`Registration Date
`
`NONE
`
`Foreign Priority
`Date
`
`NONE
`
`Word Mark
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`GOT HURT? GET HELP!
`
`
`
`Design Mark
`
`Description of
`Mark
`
`Goods/Services
`
`NONE
`
`Class 035. First use: First Use: 0 First Use In Commerce: 0
`Providing attorney referrals
`
`Attachments
`
`88571353#TMSN.png( bytes )
`305.pdf(13779 bytes )
`
`Signature
`
`/Mindi M. Richter/
`
`Name
`
`Date
`
`Mindi M. Richter
`
`07/21/2020
`
`
`
`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`
`In the Matter of Application No. 88/799,830
`Applicant: Steven L. Chung
`Application Date: February 17, 2020
`Publication Date: June 23, 2020
`
`PATH MEDICAL, LLC,
`
`
`
`Opposer,
`
`v.
`
`STEVEN L. CHUNG,
`
`Applicant.
`
`
`
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`)
`)
`)
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`)
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`)
`)
`)
`)
`
`Opposition No. __________
`
`NOTICE OF OPPOSITION
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`Path Medical, LLC (“Path” or “Opposer”), believes that it will be damaged by
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`registration of the mark 305 GOT-HURT (“Applicant’s Mark”) in International Class 45 as listed
`
`in Application Serial No. 88/799,830 (the “Application”), and hereby opposes the Application.
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`As grounds for its opposition, Opposer states as follows:
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`I.
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`PARTIES
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`1.
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`Opposer Path is a Florida limited liability company with its principal place of
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`business in Ft. Lauderdale, Florida.
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`2.
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`On information and belief, Applicant Steven L. Chung (“Applicant”) is an
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`individual residing in Philadelphia, Pennsylvania.
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`
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`II.
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`OPPOSER’S MARK
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`3.
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`Opposer Path owns over 25 medical centers throughout the State of Florida, with
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`a strong focus on southeast Florida, that provide a wide variety of medical services, including,
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`but not limited to, chiropractic, orthopedic, physiotherapy, therapeutic exercise and joint
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`mobilization services. Path’s patient advertising is largely targeted to those who have been
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`injured from vehicle accidents, motorcycle accidents, and slip and fall accidents. As many of
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`Path’s patients are victims of personal injury-related accidents, a portion of its business also
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`relates to legal referral services (all services collectively referred to herein as “Opposer’s
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`Services”). Path’s business thrives in large part from its significant and active advertising
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`throughout Florida, including, but not limited to, billboards, bus and vehicle wraps, radio
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`commercials and television commercials, on which it spends many multiples of millions of
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`dollars a year.
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`4.
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`Since at least as early as August 2019, Opposer has continuously used and
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`promoted Opposer’s Services under its GOT HURT? GET HELP! mark (“Opposer’s Mark”),
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`including, but not limited to, through significant advertising on billboards, buses and vehicles.
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`5.
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`Opposer applied to federally register Opposer’s Mark for providing attorney
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`referrals under Serial No. 88/571,353 (“Opposer’s Application”) on August 8, 2019, and it was
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`approved for publication on January 27, 2020.
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`III. APPLICANT’S MARK
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`6.
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`Applicant’s Application was filed on February 17, 2020, is an intent to use
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`Application, and was published in the Official Gazette on June 23, 2020.
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`7.
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`Applicant’s Application is for “legal services” (“Applicant’s Services”).
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`2
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`
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`IV.
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`LIKELIHOOD OF CONFUSION
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`Opposer’s Mark is distinctive for Opposer’s Services.
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`Opposer’s Application for Opposer’s Mark has a priority date prior to Applicant’s
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`8.
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`9.
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`filing date, as well as presumably Applicant’s first use date, given that it is an intent-to-use
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`application.
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`10.
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`As a result of Opposer’s extensive use and promotion of Opposer’s Mark, the
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`mark has developed substantial goodwill and is a strong mark.
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`11.
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`Applicant’s 305 GOT-HURT mark and Opposer’s Mark both contain GOT
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`HURT.
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`12.
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`In addition, Opposer is associated with and well known for vanity telephone
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`numbers that are heavily advertised in Florida.
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`13.
`
`Applicant’s Services and Opposer’s Services are related and highly similar given
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`that Applicant is a lawyer providing legal services, and Opposer’s Mark is used for legal referral
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`services.
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`14.
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`Applicant’s 305 GOT-HURT mark is of particular concern to Opposer because
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`“305” is a Miami, Florida area code, which is a primary focus and location of Opposer’s
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`advertising.
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`15.
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`Applicant’s proposed use of the 305 GOT-HURT mark, and filing of the
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`Application, are without Opposer’s consent.
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`16. While Opposer acknowledges that Applicant also owns a federal registration for
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`215 GOT-HURT (Reg. No. 5,791,394), this mark has not posed an issue for Opposer or caused
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`3
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`
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`any confusion with any of Opposer’s marks since “215” is a Philadelphia, Pennsylvania area
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`code, an area where Opposer is not located and does not advertise.
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`17.
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`However, for Applicant to now move into the southeast Florida market with use
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`of the mark with a “305” area code, is of great concern to Opposer.
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`18.
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`In view of the highly similar nature of the parties’ marks that will now
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`presumably be used in the same geographic location, and the similar nature of the parties’
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`services, Applicant’s Mark so resembles Opposer’s Mark as to be likely to cause confusion, or to
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`cause mistake, or to deceive as to the origin, sponsorship, or approval of Applicant’s Services,
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`and is likely to suggest an affiliation, connection, or association of Applicant and Applicant’s
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`Services with Opposer and Opposer’s Services, with consequent injury to Opposer, the trade, and
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`the public.
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`19.
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`The registration of Applicant’s Mark would prevent Opposer from exercising
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`exclusive control over the goodwill and reputation associated with Opposer’s Mark. Therefore,
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`the registration of Applicant’s Mark would damage and injure Opposer.
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`20.
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`Opposer will also be damaged by the registration of Applicant’s Mark because
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`such registration will support statutory rights for Applicant in violation and derogation of
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`Opposer’s prior, superior, and exclusive rights in Opposer’s Mark.
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`WHEREFORE, Opposer respectfully requests that the mark in Application Serial
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`No. 88/799,830 be denied registration.
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`4
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`
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`Respectfully submitted,
`
`
`/s/ Mindi M. Richter
`J. Todd Timmerman, Esquire
`Mindi M. Richter, Esquire
`Shumaker, Loop & Kendrick, LLP
`101 East Kennedy Boulevard
`Suite 2800
`Tampa, Florida 33602
`Telephone: (813) 229-7600
`Facsimile: (813) 229-1660
`
`Attorneys for Opposer, Path Medical, LLC
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`5
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