`ESTTA1291936
`06/16/2023
`
`ESTTA Tracking number:
`
`Filing date:
`
`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`
`Proceeding No.
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`91275761
`
`Filing Party
`
`Other Party
`
`Defendant
`The Spring League LLC
`
`Plaintiff
`CIP Family, LLC
`
`Pending Motion
`
`There is no motion currently pending and no other motion is being filed concur-
`rent with this consent motion.
`
`Attachments
`
`2023-06-15_Motion_Suspend_Exhibit_A.pdf(3965512 bytes )
`2023-06-15_Motion_Suspend_Exhibit_B.pdf(782886 bytes )
`2023-06-15_Motion_Suspend_Exhibit_C.pdf(244128 bytes )
`2023-06-15_Motion_Suspend_Exhibit_D.pdf(251442 bytes )
`
`Consent Motion for Suspension in View of Civil Proceeding
`
`The parties are engaged in a civil action which may have a bearing on this proceeding. Accordingly, The
`Spring League LLC hereby requests suspension of this proceeding pending a final determination of the civil
`action. Trademark Rule 2.117.
`The Spring League LLC has secured the express consent of all other parties to this proceeding for the sus-
`pension requested herein.
`
`Certificate of Service
`
`The undersigned hereby certifies that a copy of this submission has been served upon all parties, at their ad-
`dress of record by Email on this date.
`Respectfully submitted,
`/Matthew J. Clark/
`Matthew J. Clark
`mclark@fbtlaw.com, elamb@fbtlaw.com, fbtiplitigation@fbtlaw.com
`06/16/2023
`
`
`
`EXHIBIT A
`EXHIBIT A
`
`
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`Case 2:23-cv-02189-SHL-cgc Document 1 Filed 04/03/23 Page 1 of 13 PageID 1
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`UNITED STATES DISTRICT COURT
`WESTERN DISTRICT OF TENNESSEE
`
`CASE NO.:
`
`
`CIP FAMILY, LLC,
`a Florida Limited Liability Company,
`
`Plaintiff,
`
`v.
`
`THE SPRING LEAGUE, LLC,
`a Delaware Limited Liability Company,
`USFL ENTERPRISES, LLC,
`a Delaware Limited Liability Company, and
`Fox Sports, Inc., a Delaware Corporation.
`
`
`Defendants.
`________________________________________/
`
`COMPLAINT
`
`
`
`
`Plaintiff CIP FAMILY, LLC, (hereinafter referred to as “CIP FAMILY” or “Plaintiff”), by
`
`and through its undersigned attorneys, hereby sues Defendants THE SPRING LEAGUE, LLC
`
`(“Spring League”), USFL ENTERPRISES, LLC (“USFL ENTERPRISE”), and FOX SPORTS,
`
`INC. (“FOX) (Spring League, USFL, and FOX are hereinafter collectively referred to as
`
`“Defendants”), and alleges as follows:
`
`INTRODUCTION
`
`1.
`
`Plaintiff brings this action against Defendants under the Trademark Act of 1946
`
`(the Lanham Act) arising out of Defendants’ infringement of Plaintiff’s federally registered
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`trademarks, “GAMBLERS” and “GAMBLERS JIU-JITSU AND KICKBOXING.”
`
`2.
`
`Plaintiff CIP FAMILY, LLC, is a Florida Limited Liability Company having a
`
`PARTIES
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`Page 1 of 13
`THE LOMNITZER LAW FIRM, P.A.
`7999 N. Federal Hwy, Suite 202, Boca Raton, FL 33487 ● Telephone (561)953-9300● Fax (561)953-3455
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`
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`Case 2:23-cv-02189-SHL-cgc Document 1 Filed 04/03/23 Page 2 of 13 PageID 2
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`principal address at 10415 Riverside Drive, Ste 105, Palm Beach Gardens, Florida 33410.
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`3.
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`Defendant THE SPRING LEAGUE, LLC, is a Delaware Limited Liability
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`Company with a principal place of business at 3524 Silverside Rd, Ste 35B, Wilmington, DE
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`19810.
`
`4.
`
`Defendant USFL ENTERPRISES, LLC, is a Delaware Limited Liability Company
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`with a principal place of business at 10201 West Pico Boulevard Los Angeles, CA 90064
`
`5.
`
`Defendant FOX SPORTS, INC., is a Delaware corporation with a principal place
`
`of business at 10201 West Pico Boulevard Los Angeles, CA 90064. Upon information and belief,
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`Defendant USFL ENTERPRISE is a wholly owned subsidiary of Defendant FOX.
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`JURISDICTION AND VENUE
`
`6.
`
`This Court has jurisdiction over the subject matter of this suit because it arises under
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`federal law, namely the Trademark Act of 1946 (the Lanham Act), 28 U.S.C. § 1331 (federal
`
`question), and 28 U.S.C. § 1338 (designs, copyrights, trademarks and unfair competition).
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`7.
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`This Court has diversity jurisdiction over this matter in accordance with 28 U.S.C.
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`§ 1332. The parties are citizens of different states and the matter in controversy exceeds the value
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`of $75,000.00.
`
`8.
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`Each Defendant is subject to personal jurisdiction in this Court based on their
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`business dealings within this judicial district. In a January 26, 2023, official press release on
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`theusfl.com, Defendants announced that the Houston Gamblers, one of the United States Football
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`League’s teams, will play its home games during the 2023 United States Football League season
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`in Memphis, Tennessee.
`
`9.
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`Venue is proper in this judicial district under 28 U.S.C. § 1391 because the events
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`giving rise to this claim are expected to occur in Memphis, Tennessee, and the injunctive relief
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`Page 2 of 13
`THE LOMNITZER LAW FIRM, P.A.
`7999 N. Federal Hwy, Suite 202, Boca Raton, FL 33487 ● Telephone (561)953-9300● Fax (561)953-3455
`
`
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`Case 2:23-cv-02189-SHL-cgc Document 1 Filed 04/03/23 Page 3 of 13 PageID 3
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`sought in this action will be applied in Memphis, Tennessee.
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`FACTUAL BACKGROUND
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`10.
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`Plaintiff CIP FAMILY is the owner of U.S. Trademark Registration No. 6,381,024
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`for “GAMBLERS in connection with “Athletic apparel, namely, shirts, pants, jackets, footwear,
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`hats and caps, athletic uniforms; Belts; Leggings; Shoes; T-shirts; Tank tops” in International Class
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`25, registered on June 8, 2021, with a date of first use of January 10, 2014. See Attached Exhibit
`
`A.
`
`11.
`
`Plaintiff CIP FAMILY also owns U.S. Trademark Registration No. 6,110,946 for
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`“GAMBLERS JIU JITSU AND KICKBOXING” in connection with “Personal training provided
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`in connection with weight loss and exercise programs; Personal fitness training services; Personal
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`fitness training services and consultancy; Providing fitness training services in the field of
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`JIUJITSU; Providing fitness training services in the field of KICKBOXING; Providing fitness
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`training services in the field of SELF DEFENSE; Providing fitness training services in the field of
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`WRESTLING; Providing general fitness and mixed martial arts facilities that require memberships
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`and are focused in the fields of general fitness, exercise, and mixed martial arts; Sports training
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`services” in International Class 41, registered on July 28, 2020, with a date of first use of
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`September 3, 2017 (U.S. Trademark Registration Nos. 6,110,946 and 6,381,024 shall be
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`collectively referred to as the “CIP Marks” or “CIP’s Marks”). See Attached Exhibit B.
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`12.
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`The CIP Marks were assigned to CIP FAMILY by Michael Ciprianni, owner and
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`manager of CIP FAMILY, via an assignment dated April 21, 2022. See attached Exhibit C. This
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`assignment has been recorded with the United States Patent and Trademark Office.
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`13.
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`CIP FAMILY has made and continues to make extensive use of the CIP Marks in
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`commerce as a trademark for goods and services in International Classes 25 and 41 as described
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`Page 3 of 13
`THE LOMNITZER LAW FIRM, P.A.
`7999 N. Federal Hwy, Suite 202, Boca Raton, FL 33487 ● Telephone (561)953-9300● Fax (561)953-3455
`
`
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`Case 2:23-cv-02189-SHL-cgc Document 1 Filed 04/03/23 Page 4 of 13 PageID 4
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`above and in its Registration Certificates. CIP FAMILY and its predecessor in interest have used
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`its marks exclusively, extensively, and continuously since at least 2014 through various channels
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`of trade. As a result, CIP FAMILY’s customers, potential customers, and the public have come to
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`know and recognize the CIP Marks and to associate them with CIP FAMILY’s high-quality goods
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`and services.
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`14.
`
`CIP FAMILY currently enjoys extensive and invaluable goodwill in the CIP Marks
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`and in connection with the sales of goods and services sold under the CIP Marks.
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`15.
`
`Notwithstanding CIP FAMILY’s exclusive and long-standing rights in and to the
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`CIP Marks, on January 17, 2021, Defendant Spring League filed an Intent-to-Use U.S. Trademark
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`Application (Serial No. 90470669) for “Houston Gamblers” in:
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`a. International Class 9 in connection with “Audio and video recordings featuring
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`football; Digital media, namely, pre-recorded video cassettes, digital video
`
`discs, digital versatile discs, downloadable audio and video recordings, DVDs,
`
`and high definition digital discs featuring football; Downloadable computer
`
`programs for pre-recording sports games; Downloadable computer programs
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`for video and computer games; Downloadable databases in the field of football
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`player, football team and football game statistics; Downloadable mobile
`
`applications for streaming football games and for providing information in the
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`field of football games; Downloadable software in the nature of a mobile
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`application for streaming football games and for providing information in the
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`field of football games”;
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`b. International Class 16 in connection with “Stickers; Bumper stickers;
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`Collectable printed trading cards; Decorative stickers for helmets; Printed
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`Page 4 of 13
`THE LOMNITZER LAW FIRM, P.A.
`7999 N. Federal Hwy, Suite 202, Boca Raton, FL 33487 ● Telephone (561)953-9300● Fax (561)953-3455
`
`
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`Case 2:23-cv-02189-SHL-cgc Document 1 Filed 04/03/23 Page 5 of 13 PageID 5
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`calendars; Printed magazines featuring football; Printed newsletters about
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`football; Printed notepads; Printed posters; Printed souvenir programs
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`concerning football; Printed greeting cards; Printed post cards; Printed sports
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`trading cards”;
`
`c. International Class 25 in connection with “Beanies; Footwear; Gloves; Hats;
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`Headwear; Jackets; Jerseys; Knitted caps; Pants; Scarves; Shirts and short-
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`sleeved shirts; Shorts; Sleeping garments; Socks; Sweaters; Sweatshirts; Ties
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`as clothing; Underwear; Warm up suits; Wrist bands as clothing; Athletic
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`apparel, namely, shirts, pants, jackets, footwear, hats and caps, athletic
`
`uniforms; Baseball caps and hats; Hooded sweat shirts; Long-sleeved shirts;
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`Polo shirts; Sports caps and hats; T-shirts”;
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`d. International Class 28 in connection with “Board games; Bobble head dolls;
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`Football gloves; Footballs; Golf bags; Golf balls; Golf gloves; Playing cards;
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`Stuffed and plush toys; Action figures; Bags adapted for holding or carrying
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`sport balls for football; Covers for golf clubs; Miniature toy helmets; Play
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`figures”;
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`e. International Class 38 in connection with “Internet broadcasting services;
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`Internet radio services, namely, transmission of audio material via the internet;
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`Mobile media services in the nature of electronic transmission of entertainment
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`media content; Television and radio broadcasting services; Broadcasting
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`programs via a global computer network; Cable television broadcasting
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`services; Electronic transmission and streaming of digital media content for
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`others via global and local computer networks; Internet protocol television
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`Page 5 of 13
`THE LOMNITZER LAW FIRM, P.A.
`7999 N. Federal Hwy, Suite 202, Boca Raton, FL 33487 ● Telephone (561)953-9300● Fax (561)953-3455
`
`
`
`Case 2:23-cv-02189-SHL-cgc Document 1 Filed 04/03/23 Page 6 of 13 PageID 6
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`(IPTV) transmission services; Streaming of audio material on the Internet;
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`Streaming of video material on the Internet; Transmission of podcasts;
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`Transmission of radio and television programmes by satellite”; and
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`f. International Class 41 in connection with “Coaching in the field of football;
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`Educational services, namely, conducting programs in the field of football;
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`Entertainment services in the nature of fantasy football leagues; Entertainment
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`services in the nature of professional athletes competing in football;
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`Organisation of games; Production of television and radio programmes;
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`Providing a website featuring information relating to the sport of football;
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`Virtual reality game services provided on-line from a computer network;
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`Arranging and conducting e-sports competitions; Electronic games services
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`provided by means of the internet; Electronic publishing services, namely,
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`publication of text and graphic works of others on the internet featuring
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`football; Entertainment in the nature of competitions in the field of football;
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`Entertainment in the nature of competitions in the field of esports;
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`Entertainment in the nature of competitions in the field of video games;
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`Entertainment in the nature of e-sports competitions; Entertainment in the
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`nature of esports tournaments; Entertainment in the nature of football games;
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`Entertainment services, namely, an ongoing series featuring football provided
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`through cable television, satellite television, television, internet and radio
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`broadcasts; Entertainment services, namely, arranging and conducting of
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`competitions in the field of football; Entertainment services, namely, providing
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`ongoing television programs in the field of football via a global computer
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`Page 6 of 13
`THE LOMNITZER LAW FIRM, P.A.
`7999 N. Federal Hwy, Suite 202, Boca Raton, FL 33487 ● Telephone (561)953-9300● Fax (561)953-3455
`
`
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`Case 2:23-cv-02189-SHL-cgc Document 1 Filed 04/03/23 Page 7 of 13 PageID 7
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`network; Entertainment services, namely, providing ongoing webisodes
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`featuring football via a global computer network; Entertainment services,
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`namely, providing online video games; Entertainment services, namely,
`
`providing radio programs in the field of football via a global computer network;
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`Entertainment services, namely, providing temporary use of non-downloadable
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`video games; Organization of e-sports competitions; Organizing and
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`conducting athletic competitions and games in the field of football; Organizing,
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`conducting and operating esports tournaments; Providing sports information via
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`a website.”
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`16.
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`Additionally, on January 21, 2021, Defendant Spring League filed Intent-to-Use
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`U.S. Trademark Applications (Serial Nos. 90480940 and 90480906) for “Houston Gamblers” in:
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`a. International Class 25 in connection with “Headwear, Bottoms as clothing;
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`Tops as clothing”; and
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`b. International Class 41 in connection with “Entertainment in the nature of
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`football games; Organization of sports events in the field of football;
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`Organization of sports competitions; Organizing and arranging exhibitions for
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`entertainment purposes.”
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`17.
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`Following the submission of Spring League’s Intent-to-Use Applications, on June
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`3, 2021, Defendant FOX announced its plans to bring back the United States Football League
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`(“USFL”), a professional American football league that had previously operated between 1983-
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`1985.
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`18.
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`Defendant Spring League serves as a holding company for the USFL’s trademarks,
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`such as the Houston Gamblers trademarks, and licenses the trademarks to Defendants FOX and
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`Page 7 of 13
`THE LOMNITZER LAW FIRM, P.A.
`7999 N. Federal Hwy, Suite 202, Boca Raton, FL 33487 ● Telephone (561)953-9300● Fax (561)953-3455
`
`
`
`Case 2:23-cv-02189-SHL-cgc Document 1 Filed 04/03/23 Page 8 of 13 PageID 8
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`USFL ENTERPRISE for use in the United States Football League.
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`19.
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`The currently active USFL is operated by FOX and its subsidiary, Defendant USFL
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`ENTERPRISE. The 2022 USFL season consisted of forty-three (43) total games played by eight
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`teams. On January 26, 2023, the USFL issued a press release stating that for the upcoming 2023
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`USFL season, the Houston Gamblers team would be based out of Memphis, Tennessee and would
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`also play their games in Detroit, Michigan, Birmingham, Alabama, and Canton. Ohio. The 2023
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`USFL season is set to begin on or around April 15, 2023, and Defendants are actively selling
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`related merchandise and tickets.
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`20.
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`The Houston Gamblers trademarks are confusingly similar to Plaintiff’s CIP
`
`Marks. See attached Composite Exhibit D.
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`21.
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`Defendants are not licensees of Plaintiff’s CIP Marks therefore Defendants’ use
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`and promotion of the Houston Gamblers trademarks constitutes infringement and has caused, or
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`will cause, confusion in the marketplace as to Plaintiff’s affiliation with Defendants, for which
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`there is no adequate remedy at law.
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`22.
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`Defendants’ unauthorized use of the CIP Marks is intentional and willful, as
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`Defendants are well aware of the Trademark Oppositions that Plaintiff filed with the United States
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`Patent and Trademark Office’s Trademark Trial and Appeal Board on April 21, 2022, and May
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`12, 2022, pertaining to Defendants’ three “Houston Gamblers” trademarks.
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`23.
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`Unless Defendants are restrained by this Court, they will continue and/or expand
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`their illegal activities and otherwise continue to cause great and irreparable damage and injury to
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`Plaintiff by, among other things:
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`a. Depriving Plaintiff of its statutory rights to use and control use of its trademarks
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`and maintain its reputation with consumers and collaborators;
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`Page 8 of 13
`THE LOMNITZER LAW FIRM, P.A.
`7999 N. Federal Hwy, Suite 202, Boca Raton, FL 33487 ● Telephone (561)953-9300● Fax (561)953-3455
`
`
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`Case 2:23-cv-02189-SHL-cgc Document 1 Filed 04/03/23 Page 9 of 13 PageID 9
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`b. Creating a likelihood of confusion, mistake, and deception among consumers
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`and the trade as to the source of the infringing services and products;
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`c. Causing the public falsely to associate Plaintiff with Defendants and/or their
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`products, or services, or vice versa;
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`d. Causing incalculable and irreparable damage to Plaintiff’s goodwill, reputation,
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`standing, and relationships with consumers, and eroding the capacity of the CIP
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`Marks to differentiate Plaintiff’s products and services from others and to
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`control the quality thereof;
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`e. Causing Plaintiff to lose revenue; and
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`f. Causing Plaintiff to lose sales of its genuine products and services.
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`24.
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`As a direct and proximate result of Defendants’ trademark infringement, Plaintiff
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`is entitled an award of actual damages or statutory damages, in amounts to be determined at trial,
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`which will compensate Plaintiff for the injury caused by Defendants.
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`25.
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`Plaintiff is also entitled to recover its attorneys’ fees and full costs pursuant to 17
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`U.S.C. §505.
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`26.
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`In addition, Plaintiff is entitled to permanent injunctive relief against Defendants,
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`their affiliates, licensees, and subsidiaries, and all persons acting in concert with them.
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`27.
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`All conditions precedent to bringing this action, if any, have occurred or have been
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`performed, waived and/or excused.
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`COUNT I – FEDERAL TRADEMARK INRINGEMENT
`(15 U.S.C. §§ 1114-1117; Lanham Act § 32)
`(As to Defendants Spring League, LLC, USFL Enterprises, LLC, and FOX Sports, Inc.)
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`Plaintiff re-alleges each and every allegation set forth above in paragraphs 1 – 27
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`28.
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`as fully and completely as if set forth herein.
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`Page 9 of 13
`THE LOMNITZER LAW FIRM, P.A.
`7999 N. Federal Hwy, Suite 202, Boca Raton, FL 33487 ● Telephone (561)953-9300● Fax (561)953-3455
`
`
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`Case 2:23-cv-02189-SHL-cgc Document 1 Filed 04/03/23 Page 10 of 13 PageID 10
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`29.
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`Defendants have used and continue to use Plaintiff’s CIP Marks, or confusingly
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`similar marks, in connection with the advertisement and operation of the United States Football
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`League and its Houston Gamblers team. Defendants’ use is without Plaintiff’s consent and
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`therefore constitutes infringement.
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`30.
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` Defendants’ use of the Houston Gamblers trademarks, is likely to create
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`confusion, cause mistake, or deceive consumers in relation to the CIP Marks.
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`31.
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`Defendants have acted intentionally and with actual knowledge that their conduct
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`infringes upon Plaintiff’s rights.
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`32.
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`Defendants’ acts of infringement have and will cause actual damage and irreparable
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`harm to Plaintiff, for which legal remedies are inadequate. Therefore, in addition to monetary
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`remedies, Plaintiff seeks injunctive relief to permanently bar Defendants from use of the CIP
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`Marks, or confusingly similar marks, in commerce.
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`33.
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`Defendants’ intentional actions render this an exceptional case, further entitling
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`Plaintiff to recovery of its attorneys’ fees and costs of suit as detailed in 15 U.S.C. § 1117.
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`COUNT II – FEDERAL UNFAR COMPETITON AND FALSE DESIGNATION OF
`ORIGIN
`(15 U.S.C. §§ 1125; Lanham Act § 43)
`(As to Defendants Spring League, LLC, USFL Enterprises, LLC, and FOX Sports, Inc.)
`.
`Plaintiff re-alleges each and every allegation set forth above in paragraphs 1 – 27
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`34.
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`as fully and completely as if set forth herein.
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`35.
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`Defendants’ unauthorized use in commerce of words, terms, names, symbols, or
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`products, or any combination thereof, consisting of or including the word “Gamblers” and/or
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`derivatives thereof is likely to cause confusion, or to cause mistake, or to deceive as to the
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`affiliation, connection, or association of each Defendant with Plaintiff.
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`36.
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`Defendants’ unauthorized use of the CIP Marks is likely to cause confusion, or to
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`Page 10 of 13
`THE LOMNITZER LAW FIRM, P.A.
`7999 N. Federal Hwy, Suite 202, Boca Raton, FL 33487 ● Telephone (561)953-9300● Fax (561)953-3455
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`
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`Case 2:23-cv-02189-SHL-cgc Document 1 Filed 04/03/23 Page 11 of 13 PageID 11
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`cause mistake, or to deceive as to the affiliation, connection, or association of each Defendant with
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`Plaintiff, or as to the origin, sponsorship, or approval of Defendants’ products, or commercial
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`activities, by Plaintiff.
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`37.
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`Defendants’ unauthorized use of the CIP Marks in commercial advertising or
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`promotion, misrepresents the nature, characteristics, qualities, and/or geographic origin of
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`Defendants’ products and is merely an attempt to capitalize on the goodwill established by
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`Plaintiff.
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`38.
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`Defendants’ infringing actions are intentional and willful, as Defendants adopted
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`the Houston Gamblers trademarks with notice and actual knowledge of Plaintiff’s rights, and
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`Defendants’ refusal to cease their infringing activity notwithstanding Plaintiff’s assertion and
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`notice of its rights.
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`39.
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`Defendants’ acts of infringement have and will cause actual damage and irreparable
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`harm to Plaintiff, for which legal remedies are inadequate. Therefore, in addition to monetary
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`remedies, Plaintiff seeks injunctive relief to permanently bar Defendants from use of the CIP
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`Marks in commerce.
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`40.
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`Defendants’ intentional actions render this an exceptional case, further entitling
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`Plaintiff to recovery of its attorneys’ fees and costs of suit as detailed in 15 U.S.C. § 1117.
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`PRAYER FOR RELIEF
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`WHEREFORE, Plaintiff prays the Court enter judgment against Defendants as follows:
`
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`a. For an award of actual damages in an amount to be determined at trial;
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`b. For an accounting of Defendants’ profits pertaining to use of the Houston
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`Gamblers trademarks;
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`c. For a judgment that each Defendant’s infringement and unfair competition has
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`Page 11 of 13
`THE LOMNITZER LAW FIRM, P.A.
`7999 N. Federal Hwy, Suite 202, Boca Raton, FL 33487 ● Telephone (561)953-9300● Fax (561)953-3455
`
`
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`Case 2:23-cv-02189-SHL-cgc Document 1 Filed 04/03/23 Page 12 of 13 PageID 12
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`been willful;
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`d. For reasonable attorney’s fees and costs of suit, including under 15 U.S.C. §
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`1117;
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`e. For pre-judgment interest on all amounts claimed as permitted by law;
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`f. For an order enjoining Defendants from using in commerce the CIP Marks in
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`connection with international classes 25 and 41;
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`g. For an order impounding for destruction all marketing materials, and other
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`articles bearing the Houston Gamblers trademarks;
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`h. For an order requiring Defendants to transfer the Houston Gamblers trademarks
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`to Plaintiff;
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`i. For an order requiring Defendants to engage in corrective advertising to restore,
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`to the fullest extent possible, the value of Plaintiff’s CIP Marks;
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`j. For such other, further, and different relief as the Court may deem proper under
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`the circumstances.
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`Page 12 of 13
`THE LOMNITZER LAW FIRM, P.A.
`7999 N. Federal Hwy, Suite 202, Boca Raton, FL 33487 ● Telephone (561)953-9300● Fax (561)953-3455
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`
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`Case 2:23-cv-02189-SHL-cgc Document 1 Filed 04/03/23 Page 13 of 13 PageID 13
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`DEMAND FOR JURY TRIAL
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`Plaintiff hereby Demands a jury trial on issues raised in the Complaint.
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`Dated: April 3, 2023
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`
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`Respectfully submitted,
`
`s/ Lorri Lomnitzer
`Lorri Lomnitzer, Esq.
`Florida Bar No. 37632
`Lorri@Lomnitzerlaw.com
`Viktor Lyusi, Esq.
`Florida Bar No. 1021454
`Viktor@Lomnitzerlaw.com
`THE LOMNITZER LAW FIRM, P.A.
`7999 N. Federal Highway, Ste. 202
`Boca Raton, FL 33487
`Telephone: (561) 953-9300
`Fax: (561) 953-3455
`Attorney for the Defendants
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`
`
`Page 13 of 13
`THE LOMNITZER LAW FIRM, P.A.
`7999 N. Federal Hwy, Suite 202, Boca Raton, FL 33487 ● Telephone (561)953-9300● Fax (561)953-3455
`
`
`
`Case 2:23-cv-02189-SHL-cgc Document 1-7 Filed 04/03/23 Page 1 of 2 PageID 28
`
`AO 440 (Rev. 06/12) Summons in a Civil Action
`
`UNITED STATES DISTRICT COURT
`
`for the
`
` Southern District of Florida
`__________ District of __________
`
`Civil Action No.
`
`) ) ) ) ) ) ) ) ) ) ) )
`
`CIP FAMILY, LLC, a Florida Limited Liability
`Company
`
`Plaintiff(s)
`
`v.
`
`THE SPRING LEAGUE, LLC, a Delaware Limited
`Liability Company, USFL ENTERPRISES, LLC,
`a Delaware Limited Liability Company , and
`Fox Sports, Inc., a Delaware Corporation.
`
`Defendant(s)
`
`To: (Defendant’s name and address)
`
`SUMMONS IN A CIVIL ACTION
`
`THE SPRING LEAGE LLC
`REGISTERED AGENT: ADVANTAGE DELAWARE LLC
`3524 SILVERSIDE RD STE 35B
`WILMINGTON, DE 19810
`
`A lawsuit has been filed against you.
`
`Within 21 days after service of this summons on you (not counting the day you received it) — or 60 days if you
`are the United States or a United States agency, or an officer or employee of the United States described in Fed. R. Civ.
`P. 12 (a)(2) or (3) — you must serve on the plaintiff an answer to the attached complaint or a motion under Rule 12 of
`the Federal Rules of Civil Procedure. The answer or motion must be served on the plaintiff or plaintiff’s attorney,
`whose name and address are:
`Lorri Lomnitzer, Esq.
`The Lomnitzer Law Firm, P.A.
`7999 N. Federal Highway Suite 202
`Boca Raton, FL 33487
`Phone: 561-953-9300
`Fax: 561-953-3455
`
`If you fail to respond, judgment by default will be entered against you for the relief demanded in the complaint.
`You also must file your answer or motion with the court.
`
`Date:
`
`CLERK OF COURT
`
`Signature of Clerk or Deputy Clerk
`
`
`
`Case 2:23-cv-02189-SHL-cgc Document 1-7 Filed 04/03/23 Page 2 of 2 PageID 29
`
`AO 440 (Rev. 06/12) Summons in a Civil Action (Page 2)
`
`Civil Action No.
`
`(This section should not be filed with the court unless required by Fed. R. Civ. P. 4 (l))
`
`PROOF OF SERVICE
`
`This summons for (name of individual and title, if any)
`
`was received by me on (date)
`
`.
`
`’ I personally served the summons on the individual at (place)
`
`’ I left the summons at the individual’s residence or usual place of abode with (name)
`
`on (date)
`
`, and mailed a copy to the individual’s last known address; or
`
`, a person of suitable age and discretion who resides there,
`
`on (date)
`
`; or
`
`’ I served the summons on (name of individual)
`
` designated by law to accept service of process on behalf of (name of organization)
`
`on (date)
`
`; or
`
`’ I returned the summons unexecuted because
`
`’ Other (specify):
`
`, who is
`
`; or
`
`My fees are $
`
`for travel and $
`
`for services, for a total of $
`
`0.00
`
`I declare under penalty of perjury that this information is true.
`
`.
`
`.
`
`Date:
`
`Server’s signature
`
`Printed name and title
`
`Server’s address
`
`Additional information regarding attempted service, etc:
`
`
`
`Case 2:23-cv-02189-SHL-cgc Document 1-8 Filed 04/03/23 Page 1 of 2 PageID 30
`
`AO 440 (Rev. 06/12) Summons in a Civil Action
`
`UNITED STATES DISTRICT COURT
`
`for the
`
` Southern District of Florida
`__________ District of __________
`
`Civil Action No.
`
`) ) ) ) ) ) ) ) ) ) ) )
`
`CIP FAMILY, LLC, a Florida Limited Liability
`Company
`
`Plaintiff(s)
`v.
`
`THE SPRING LEAGUE, LLC, a Delaware Limited
`Liability Company, USFL ENTERPRISES, LLC,
`a Delaware Limited Liability Company , and
`Fox Sports, Inc., a Delaware Corporation.
`
`Defendant(s)
`
`SUMMONS IN A CIVIL ACTION
`
`To: (Defendant’s name and address)
`
`USFL ENTERPRISES, LLC
`REGISTERED AGENT: THE CORPORATION TRUST COMPANY
`CORPORATION TRUST CENTER 1209 ORANGE ST
`WILMINGTON, DE 19801
`
`A lawsuit has been filed against you.
`
`Within 21 days after service of this summons on you (not counting the day you received it) — or 60 days if you
`are the United States or a United States agency, or an officer or employee of the United States described in Fed. R. Civ.
`P. 12 (a)(2) or (3) — you must serve on the plaintiff an answer to the attached complaint or a motion under Rule 12 of
`the Federal Rules of Civil Procedure. The answer or motion must be served on the plaintiff or plaintiff’s attorney,
`whose name and address are:
`Lorri Lomnitzer, Esq.
`The Lomnitzer Law Firm, P.A.
`7999 N. Federal Highway Suite 202
`Boca Raton, FL 33487
`Phone: 561-953-9300
`Fax: 561-953-3455
`
`If you fail to respond, judgment by default will be entered against you for the relief demanded in the complaint.
`You also must file your answer or motion with the court.
`
`Date:
`
`CLERK OF COURT
`
`Signature of Clerk or Deputy Clerk
`
`
`
`Case 2:23-cv-02189-SHL-cgc Document 1-8 Filed 04/03/23 Page 2 of 2 PageID 31
`
`AO 440 (Rev. 06/12) Summons in a Civil Action (Page 2)
`
`Civil Action No.
`
`(This section should not be filed with the court unless required by Fed. R. Civ. P. 4 (l))
`
`PROOF OF SERVICE
`
`This summons for (name of individual and title, if any)
`
`was received by me on (date)
`
`.
`
`’ I personally served the summons on the individual at (place)
`
`’ I left the summons at the individual’s residence or usual place of abode with (name)
`
`on (date)
`
`, and mailed a copy to the individual’s last known address; or
`
`, a person of suitable age and discretion who resides there,
`
`on (date)
`
`; or
`
`’ I served the summons on (name of individual)
`
` designated by law to accept service of process on behalf of (name of organization)
`
`on (date)
`
`; or
`
`’ I returned the summons unexecuted because
`
`’ Other (specify):
`
`, who is
`
`; or
`
`My fees are $
`
`for travel and $
`
`for services, for a total of $
`
`0.00
`
`I declare under penalty of perjury that this information is true.
`
`.
`
`.
`
`Date:
`
`Server’s signature
`
`Printed name and title
`
`Server’s address
`
`Additional information regarding attempted service, etc:
`
`
`
`Case 2:23-cv-02189-SHL-cgc Document 1-6 Filed 04/03/23 Page 1 of 2 PageID 26
`
`AO 440 (Rev. 06/12) Summons in a Civil Action
`
`UNITED STATES DISTRICT COURT
`
`for the
`
` Southern District of Florida
`__________ District of __________
`
`Civil Action No.
`
`) ) ) ) ) ) ) ) ) ) ) )
`
`CIP FAMILY, LLC, a Florida Limited Liability
`Company
`
`Plaintiff(s)
`v.
`
`THE SPRING LEAGUE, LLC, a Delaware Limited
`Liability Company, USFL ENTERPRISES, LLC,
`a Delaware Limited Liability Company , and
`Fox Sports, Inc., a Delaware Corporation.
`
`Defendant(s)
`
`SUMMONS IN A CIVIL ACTION
`
`To: (Defendant’s name and address)
`
`FOX SPORTS, INC.
`REGISTERED AGENT: THE PRENTICE-HALL CORPORATION SYSTEM, INC.
`251 LITTLE FALLS DRIVE
`WILMINGTON, DE 19808
`
`A lawsuit has been filed against you.
`
`Within 21 days after service of this summons on you (not counting the day you received it) — or 60 days if you
`are the United States or a United States agency, or an officer or employee of the United States described in Fed. R. Civ.
`P. 12 (a)(2) or (3) — you must serve on the plaintiff an answer to the attached complaint or a motion under Rule 12 of
`the Federal Rules of Civil Procedure. The answer or motion must be served on the plaintiff or plaintiff’s attorney,
`whose name and address are:
`Lorri Lomnitzer, Esq.
`The Lomnitzer Law Firm, P.A.
`7999 N. Federal Highway Suite 202
`Boca Raton, FL 33487
`Phone: 561-953-9300
`Fax: 561-953-3455
`
`If you fail to respond, judgment by default will be entered against you for the relief demanded in the complaint.
`You also must file your answer or motion with the court.
`
`Date:
`
`CLERK OF COURT
`
`Signature of Clerk or Deputy Clerk
`
`
`
`Case 2:23-cv-02189-SHL-cgc Document 1-6 Filed 04/03/23 Page 2 of 2 PageID 27
`
`AO 440 (Rev. 06/12) Summons in a Civil Action (Page 2)
`
`Civil Action No.
`
`(This section should not be filed with the court unless required by Fed. R. Civ. P. 4 (l))
`
`PROOF OF SERVICE
`
`This summons for (name of individual and title, if any)
`
`was received by me on (date)
`
`.
`
`’ I personally served the summons on the individual at (place)
`
`’ I left the summons at the individual’s residence or usual place of abode with (name)
`
`on (date)
`
`, and mailed a copy to the individual’s last known address; or
`
`, a person of suitable age and discretion who resides there,
`
`on (date)
`
`; or
`
`’ I served the