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`ESTTA Tracking number:
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`ESTTA1084776
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`Filing date:
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`09/28/2020
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`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`
`Proceeding
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`Party
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`Correspondence
`Address
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`91264787
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`Plaintiff
`CVB Inc.
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`PRESTON P. FRISCHKNECHT
`PROJECT CIP
`399 N MAIN, STE 220
`LOGAN, UT 84321
`UNITED STATES
`Primary Email: preston@projectcip.com
`4355124893
`
`Submission
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`Filer's Name
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`Filer's email
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`Signature
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`Date
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`Request to Withdraw as Attorney
`
`Preston P. Frischknecht
`
`preston@projectcip.com
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`/Preston P. Frischknecht/
`
`09/28/2020
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`Attachments
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`amendedwithdraw092820d.pdf(129762 bytes )
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`
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`______________________________________________________________________________
`
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`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`______________________________________________________________________________
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`
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`CVB INC.,
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`AMENDED
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`MOTION TO WITHDRAW
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`Opposition No. 91264787
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`App. Ser. No. 88859166
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`
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`Mark: CASPER HAVEN
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` :
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`Opposer,
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`______________________________________________________________________________
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` vs.
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`CASPER SLEEP INC.,
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`Applicant.
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`Practitioner Preston P. Frischknecht wishes to withdraw as CVB’s attorney in this
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`proceeding and requests Board permission to do so under 37 C.F.R. § 2.19(b) and 37 C.F.R. §
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`11.116 as follows:
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`1.
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`This withdrawal request is made pursuant to arrangement between Mr.
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`Frischknecht and CVB.
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`2.
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`CVB has been notified by Mr. Frischknecht of this withdrawal through telephone
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`and email conversations and pursuant to the arrangement. Mr. Frischknecht has allowed time for
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`employment of another practitioner; arrangement discussions have taken place over three (3)
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`weeks. Moreover, CVB consents to the withdrawal.
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`3. Withdrawal can be accomplished without material adverse effect on CVB’s
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`interests.
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`4.
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`All papers and property that relate to this proceeding, and to which CVB is
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`entitled, have been delivered to CVB via cloud link.
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`5. No CVB fees have been paid in advance and not refunded.
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`6. No part of this withdrawal relates to subterfuge and/or extension of time that CVB
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`would not otherwise be entitled to under the rules.
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`DATED this 28th day of September, 2020.
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`By:/Preston P. Frischknecht/_____________________
`Preston P. Frischknecht
`PROJECT CIP
`399 N Main, Suite 220
`Logan, UT 84321
`(435) 512-4893
`preston@projectcip.com
`
`
`2
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`
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`I hereby certify that a true and complete copy of the foregoing AMENDED MOTION
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`CERTIFICATE OF SERVICE
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`TO WITHDRAW, has been served on CVB Inc by forwarding said copy on September 28,
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`2020, via email to:
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`and to Applicant via US mail, postage first class and email, on September 28, 2020 to
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`Jeff Steed
`General Counsel
`CVB Inc.
`1525 W 2960 S
`Logan, UT 84321
`jeffsteed@maloufsleep.com
`
`Applicant’s correspondence address:
`
`CATHERINE M.C. FARRELLY
`FRANKFURT KURNIT KLEIN & SELZ PC
`28 LIBERTY STREET
`NEW YORK, NY 10005
`UNITED STATES
`pto@fkks.com, mmcguire@fkks.com
`Phone: 212-908-0120
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`By:/Preston P. Frischknecht/_____________________
`Preston P. Frischknecht
`PROJECT CIP
`399 N Main, Suite 220
`Logan, UT 84321
`(435) 512-4893
`preston@projectcip.com
`
`
`3
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`

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