`
`Filing date:
`
`ESTTA1311217
`09/20/2023
`
`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`
`Notice of Opposition
`
`Notice is hereby given that the following party opposes registration of the indicated application.
`
`Opposer information
`
`Name
`
`Entity
`
`Address
`
`Correspondence
`information
`
`New Momentum Media, Inc.
`
`Corporation
`
`11331, 183RD ST #407
`CERRITOS, CA 90703
`UNITED STATES
`
`Incorporated or
`registered in
`
`California
`
`NORM J. RICH AND ROBERT S. WEISBEIN
`ATTORNEYS FOR OPPOSER
`FOLEY & LARDNER LLP
`3000 K STREET, N.W.
`SIXTH FLOOR
`WASHINTON, DC 20007
`UNITED STATES
`Primary email: IPDocketing@foley.com
`Secondary email(s): nrich@foley.com, rweisbein@foley.com, rlopes@foley.com
`202-672-5300
`
`Applicant information
`
`Application no.
`
`97611980
`
`09/20/2023
`
`Opposition filing
`date
`
`Applicant
`
`Publication date
`
`08/22/2023
`
`Opposition period
`ends
`
`09/21/2023
`
`CG SERVICES & SUPPLIES LLC
`3737 DOMESTIC AVE SUITE #10
`NAPLES, FL 34104
`UNITED STATES
`
`Goods/services affected by opposition
`
`Class 005. First Use: Mar 5, 2022 First Use In Commerce: Mar 5, 2022
`All goods and services in the class are opposed, namely: Dietary food supplements; Dietary supple-
`ments; Health food supplements; Nutraceuticals for use as a dietary supplement; Nutritional supple-
`ments; Dietary and nutritional supplements
`
`Grounds for opposition
`
`Priority and likelihood of confusion
`
`Trademark Act Section 2(d)
`
`Mark cited by opposer as basis for opposition
`
`U.S. application
`no.
`
`97696113
`
`Application date
`
`11/29/2022
`
`Registration date
`
`NONE
`
`Foreign priority
`date
`
`NONE
`
`
`
`Word mark
`
`Design mark
`
`Description of
`mark
`
`Goods/services
`
`CURCUWELL
`
`NONE
`
`Class 005. First use: First Use: Oct 17, 2018 First Use In Commerce: Oct 17,
`2018
`Nutritional supplements
`
`Attachments
`
`Notice of Opposition CURCUWELL - Final Sept 20 2023.pdf(5527072 bytes )
`
`Signature
`
`/Norm J. Rich/
`
`Name
`
`Date
`
`Norm J. Rich
`
`09/20/2023
`
`
`
`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`TRADEMARK TRIAL AND APPEAL BOARD
`
`
`__________________________________________
`NEW MOMENTUM MEDIA, INC.,
`
`)
`
`
`)
`Opposer,
`
`)
`
`)
`
`
`)
`v.
`
`)
`
`
`)
`
`
`)
`CG SERVICES & SUPPLIES LLC.,
`
`)
`
`
`
`
`
`
`
` )
`Applicant.
`__________________.________________________
`
`
`Opposition No.: _____
`
`Mark: CURCUWELL
`
`Serial No.: 97/611,980
`
`Notice of Opposition
`
`Pursuant to 15 U.S.C. § 1063(a), New Momentum Media, Inc., a California corporation
`
`(“New Momentum” or “Opposer”), will be damaged by the registration of the mark
`
`CURCUWELL for “Dietary food supplements; Dietary supplements; Health food supplements;
`
`Nutraceuticals for use as a dietary supplement; Nutritional supplements; Dietary and nutritional
`
`supplements” in International Class 5, as found in U.S. Application Serial No. 97/611,980, filed
`
`by CG Services & Supplies LLC (the “Application”). The Application was published for
`
`opposition in the Official Gazette on August 22, 2023. Thus, this Opposition is timely filed. As
`
`grounds for this Opposition, Opposer alleges as follows:
`
`OPPOSER’S PRIOR USE AND APPLICATION FOR THE CURCUWELL MARK
`
`1.
`
`Opposer is a California corporation having an address at 11331, 183rd St #407,
`
`Cerritos, California, United States, 90703.
`
`4857-9760-8061.1
`
`
`
`2.
`
` Opposer is a leading marketer, advertiser, developer, distributor, and seller of health
`
`and beauty products, including nutritional supplements. Opposer has expended considerable effort
`
`and expense to develop and maintain the goodwill associated with its intellectual property,
`
`including its rights in and to the trademark CURCUWELL.
`
`3.
`
`Since at least as early as October 17, 2018, Opposer has continuously used the
`
`trademark CURCUWELL in commerce in the United States in connection with nutritional
`
`supplements.
`
`4.
`
`Through Opposer’s extensive and exclusive use for almost five years, the
`
`CURCUWELL trademark enjoys considerable recognition and goodwill among the purchasing
`
`public.
`
`5.
`
`In addition to Opposer’s extensive common law rights and goodwill in the
`
`CURCUWELL trademark since 2018, Opposer is the owner of a U.S. Trademark Application for
`
`CURCUWELL in International Class 5 for “nutritional supplements,” Serial No. 97/696,113 (the
`
`“CURCUWELL Mark”), which application was filed on November 29, 2022 (a true and correct
`
`copy of the application from the Trademark Electronic Search System (TESS) database is attached
`
`as Exhibit A.
`
`6.
`
`Opposer has made significant expenditures to promote and advertise its goods that
`
`are identified and distinguished by the CURCUWELL Mark.
`
`7.
`
`Opposer has enjoyed substantial sales of goods offered for sale and sold in
`
`association with its CURCUWELL Mark.
`
`8.
`
`The CURCUWELL Mark is inherently distinctive and conceptually strong. The
`
`term CURCUWELL is an arbitrary and coined term that has no meaning in English or in any
`
`language of which the Opposer is aware.
`
`
`
`2
`
`
`
`9.
`
`Due to the inherently distinctive nature of the CURCUWELL mark, and because
`
`of Opposer’s exclusive and continuous use and extensive sales, promotion, and advertising
`
`associated with its CURCUWELL Mark, and the high quality of Opposer’s goods, consumers
`
`recognize the CURCUWELL Mark as identifying goods that originate with, are authorized by, or
`
`are otherwise associated with, Opposer.
`
`APPLICANT AND THE CURCUWELL APPLICATION
`
`10.
`
`Upon information and belief, and according to USPTO records, Applicant CG
`
`Services & Supplies LLC, (“Applicant”) is a Florida limited liability company with an address at
`
`3737 Domestic Ave Suite #10, Naples, Florida United States, 34104.
`
`11.
`
`The Application was filed September 29, 2022, by Applicant and was published for
`
`opposition in the Official Gazette on August 22, 2023.
`
`12.
`
`The Application claims a date of first use on March 5, 2022, nearly four years after
`
`Opposer’s first use date.
`
`CLAIM 1: LIKELIHOOD OF CONFUSION - 15 U.S.C. §1052(d)
`
`13.
`
`Opposer repeats and realleges each of the allegations set forth in paragraphs 1
`
`through 12 of this Notice of Opposition as though same are fully set forth herein.
`
`14.
`
`Opposer has priority of use. Opposer is using and has continuously used its
`
`CURCUWELL Mark for several years prior to the earliest date of first use claimed in the
`
`Application.
`
`15.
`
`The CURCUWELL Mark and Opposer’s common law rights therein, on the one
`
`hand, and the mark in the Application sought to be registered by Applicant, on the other hand, are
`
`identical in appearance, sound, and overall commercial impression. Indeed, there are no material
`
`differences at all between the marks. Thus, the mark in the Application so resembles Opposer’s
`
`
`
`3
`
`
`
`CURCUWELL Mark, as to be likely to cause confusion, or to cause mistake, or to deceive,
`
`particularly because Applicant’s goods under Class 5 are substantially similar, if not identical, to
`
`Opposer’s goods offered under its CURCUWELL Mark in Class 5.
`
`16.
`
`Opposer’s goods and the goods in the Application would be offered and sold to the
`
`same consumers, through the same channels of trade, and under essentially the same mark,
`
`resulting in a likelihood of confusion.
`
`17.
`
`Allowing the Application to mature to registration would damage Opposer’s ability
`
`to use its CURCUWELL Mark exclusively, and damage its ability to advertise, promote and sell
`
`products and conduct its business under the CURCUWELL Mark, resulting in irreparable harm to
`
`Opposer. Such registration would constitute prima facie evidence of Applicant’s exclusive right
`
`to use the word mark CURCUWELL for those goods covered in the Application, notwithstanding
`
`Opposer’s prior rights in the CURCUWELL Mark for the same goods. Applicant’s registration of
`
`the CURCUWELL Mark would enable it to occupy a position in the trade that would further
`
`compound confusion of the purchasing public, all to the damage of Opposer.
`
`
`
`
`
`
`
`4
`
`
`
`WHEREFORE, Opposer respectfully requests that the Trademark Trial and Appeal
`
`Board sustain this opposition and refuse registration for United States Trademark Application
`
`Serial No. 97/611,980.
`
`
`
`Dated: September 20, 2023
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`FOLEY & LARDNER LLP
`
`By: /Norm J. Rich/
`Norm J. Rich
`Washington Harbour
`3000 K Street, N.W., 6th Flr.
`Washington, D.C. 20007
`202.672-5300
`NRich@foley.com
`
`
`By: /Robert S. Weisbein/
`Robert S. Weisbein
`90 Park Ave
`New York, New York 10016
`212.682.7474
`RWeisbein@foley.com
`
`
`
`
`Attorneys for Opposer
`
`
`
`
`
`
`
`5
`
`
`
`
`
`
`
`
`
`
`
`
`
`EXHIBIT A
`EXHIBIT A
`
`
`
`PTO- 1478
`Approvedfor use through 10/31/2024. OMB 0651-0009
`U.S. Patent and Trademark Office; U.S. DEPARTMENT OF COMMERCE
`Underthe Paperwork Reduction Act of 1995, no personsare required to respondto a collection of information unlessit contains a valid OMBcontrol number
`Trademark/Service Mark Application, Principal Register
`
`TEASPlus Application
`
`Serial Number: 97696113
`
`Filing Date: 11/29/2022
`
`NOTE:Data fields with the * are mandatory under TEAS Plus. The wording "(ifapplicable)" appears where thefield is only mandatory
`underthe facts ofthe particular application.
`
`
`The table below presents the data as entered.
`
`
`
`
`TEASPlus
`YES
`
`
`
` MARK INFORMATION
`
`*MARK
`CURCUWELL
`
`
`
`
` *STANDARD CHARACTERS YES
`
`
`
`
`USPTO-GENERATED IMAGE
`YES
`
`
`
` LITERAL ELEMENT CURCUWELL
`
`
`
`
`
`navticule fontsooaroneslen without claim to any
`
`*MARKSTATEMENT
`
`
`REGISTER
`Principal
`
`
`APPLICANT INFORMATION
`
`
`*OWNER OF MARK
`New Momentum Media,Inc.
`
`
`*MAILING ADDRESS
`11331 183rd St #407
`
`
`*CITY
`Cerritos
`
`SECTION1(a)
`
`
`
`(Required for U.S. applicants)
`
`SiS:
`
`
`
`
`*COUNTRY/REGION/JURISDICTION/U.S. TERRITORY
`United States
`
`90703
`*ZIP/POSTAL CODE
`(Required for U.S. and certain international addresses)
`
`
`
`*EMAIL ADDRESS XXXX
`
`
`LEGAL ENTITY INFORMATION
`
`
`
`*TYPE CORPORATION
`
`
`
`* STATE/COUNTRY/REGION/JURISDICTION/U.S. TERRITORY OF
`California
`INCORPORATION
`
`
`
`GOODS AND/OR SERVICES AND BASIS INFORMATION
`
`
`
`* INTERNATIONAL CLASS 005
`
`
`
`*IDENTIFICATION Nutritional supplements
`
`*FILING BASIS
`
`
`
`FIRST USE ANYWHEREDATE
`
`FIRST USE INCOMMERCEDATE
`
`SPECIMEN FILE NAME(S)
`
`ORIGINALPDF FILE
`
`CONVERTEDPDFFILE(S)
`(3 pages)
`
`SPECIMEN DESCRIPTION
`
`WEBPAGE URL
`
`Atleast as early as 10/17/2018
`
`Atleast as early as 10/17/2018
`
`
`SPE0-3814022590-202211221 54510101892 . Specimen -
`CURCUWELL.pdf
`
`
`\\TICRS\EXPORT18\IMAGEOUT
`18\976\961\97696113\xml1\ FTK0003.JPG
`
`
`\\TICRS\EXPORT18\IMAGEOUT
`18\976\961\97696113\xml1\ FTK0004.JPG
`
`\\TICRS\EXPORT18\IMAGEOUT
`18\976\961\97696113\xml1\ FTK0005.JPG
`
`screenshot showing Applicant's product
`
`https://www.walmart.com/ip/Live-Conscious-CurcuWell-
`Curcumin-Blend-Joint-Body-Cognitive-
`Support-1000mg-60ct/388851801
`
`WEBPAGE DATE OF ACCESS
`
`11/22/2022
`
`ADDITIONAL STATEMENTS INFORMATION
`
`*TRANSLATION
`(if applicable)
`
`*TRANSLITERATION
`(if applicable)
`*CLAIMED PRIOR REGISTRATION
`(if applicable)
`
`*CONSENT (NAME/LIKENESS)
`(if applicable)
`*CONCURRENT USE CLAIM
`(if applicable)
`
`ATTORNEY INFORMATION
`
`NAME
`
`ATTORNEY DOCKET NUMBER
`
`ATTORNEY BAR MEMBERSHIP NUMBER
`
`YEAR OF ADMISSION
`
`U.S. STATE/ COMMONWEALTH/ TERRITORY
`
`FIRM NAME
`
`INTERNAL ADDRESS
`
`STREET
`
`CITY
`
`STATE
`
`COUNTRY/REGION/JURISDICTION/U.S. TERRITORY
`
`ZIP/POSTAL CODE
`
`PHONE
`
`FAX
`
`EMAIL ADDRESS
`
`Norm J. Rich
`
`124886-0143
`
`XXX
`
`XXXX
`
`XX
`
`Foley & Lardner LLP
`
`Suite 6000
`
`3000 K Street, N.W.
`
`Washington
`
`District of Columbia
`
`United States
`
`20007-5109
`
`202-672-5300
`
`202.672.5399
`
`ipdocketing@foley.com
`
`
`
`OTHER APPOINTED ATTORNEY
`
`CORRESPONDENCE INFORMATION
`
`NAME
`
`PRIMARY EMAIL ADDRESS FOR CORRESPONDENCE
`
`all other attorneys of Foley & Lardner LLP
`
`Norm J. Rich
`
`ipdocketing@foley.com
`
`SECONDARY EMAIL ADDRESS(ES) (COURTESY COPIES)
`
`nrich@foley.com; mfry@foley.com; jhopkins@foley.com
`
`TEASPlus
`
`1 2
`
`50
`
`250
`
`250
`
`/Ziv Haklili/
`
`Ziv Haklili
`
`President
`
`11/29/2022
`
`Sent to third party for signature
`
`FEE INFORMATION
`
`APPLICATION FILING OPTION
`
`NUMBEROF CLASSES
`
`APPLICATION FOR REGISTRATION PER CLASS
`
`*TOTAL FEES DUE
`
`*TOTAL FEES PAID
`
`SIGNATURE INFORMATION
`
`* SIGNATURE
`
`* SIGNATORY'S NAME
`
`* SIGNATORY'S POSITION
`
`* DATE SIGNED
`
`SIGNATURE METHOD
`
`
`
`Trademark/Service Mark Application, Principal Register
`
`TEASPlus Application
`
`Serial Number: 97696113
`
`Filing Date: 11/29/2022
`
`To the Commissioner for Trademarks:
`
`MARK: CURCUWELL(Standard Characters, see mark)
`Theliteral element of the mark consists of CURCUWELL. The markconsists of standard characters, without claim to any particular font style,
`size, or color.
`The applicant, New Momentum Media,Inc., a corporation of California, having an address of
`11331 183rd St #407
`Cerritos, California 90703
`United States
`XXXX
`
`requests registration of the trademark/service mark identified above in the United States Patent and Trademark Office on the Principal Register
`established by the Act of July 5, 1946 (15 U.S.C. Section 1051 et seq.), as amended, for the following:
`
`Forspecific filing basis information for each item, you must view the display within the Input Table.
`International Class 005: Nutritional supplements
`
`Use in Commerce: Theapplicant is using the mark in commerceon or in connection with the identified goods/services. The applicant attaches, or
`will later submit, one specimen as a JPG/PDF imagefile showing the mark as used in commerceonor in connection with any item in the class of
`listed goods/services, regardless of whether the markitself is in the standard character formator is a stylized or design mark. The specimen image
`file may be in color, and the image mustbe in colorif color is being claimed as a feature of the mark.
`
`In International Class 005, the mark wasfirst used by the applicantor the applicant's related companyorlicensee predecessorin interest at least
`as early as 10/17/2018, andfirst used in commerceatleast as early as 10/17/2018, and is now in use in such commerce. Theapplicantis
`submitting one(or more) specimen(s) showing the mark as used in commerceon or in connection with any item in the classoflisted
`goods/services, consisting of a(n) screenshot showing Applicant's product.
`
`Original PDFfile:
`SPE0-3814022590-202211221 54510101892 . Specimen _- CURCUWELL.pdf
`Converted PDFfile(s) (3 pages)
`Specimen File1
`Specimen File2
`Specimen File3
`
`Webpage URL: https://www.walmart.com/ip/Live-Conscious-CurcuWell-Curcumin-Blend-Joint-Body-Cognitive-
`Support-1000mg-60ct/388851801
`Webpage Date of Access: 11/22/2022
`
`The owner's/holder's proposed attorney information: Norm J. Rich. Other appointed attorneysare all other attorneys of Foley & Lardner
`LLP. Norm J. Rich of Foley & Lardner LLP,is a memberof the XX bar, admitted to the bar in XXXX, bar membership no. XXX,and the
`attorney(s) is located at
`Suite 6000
`
`3000 K Street, N.W.
`Washington,District of Columbia 20007-5109
`United States
`202-672-5300(phone)
`202.672.5399(fax)
`
`
`
`ipdocketing@foley.com
`The docket/reference numberis 124886-0143.
`
`Norm J. Rich submitted the following statement: The attorney of record is an active memberin good standing ofthe bar of the highest court of a
`U.S. state, the District of Columbia, or any U.S. Commonwealthorterritory.
`The applicant's current Correspondence Information:
`Norm J. Rich
`
`
`
`PRIMARY EMAIL FOR CORRESPONDENCE: ipdocketing@foley.com
`SECONDARY EMAIL ADDRESS(ES) (COURTESY COPIES): nrich@foley.com; mfry@foley.com; jhopkins@foley.com
`
`Requirement for Email and Electronic Filing: I understand that a valid email address must be maintained by the applicant owner/holder and
`the applicant owner's/holder's attorney, if appointed, andthat all official trademark correspondence must be submitted via the Trademark
`Electronic Application System (TEAS).
`A fee paymentin the amount of $250 has been submitted with the application, representing payment for1 class(es).
`
`Basis:
`
`If the applicantis filing the application based on use in commerce under 15 U.S.C. § 1051(a):
`
`Declaration
`
`e The signatory believes that the applicant is the ownerof the trademark/service mark soughtto be registered;
`e The markis in use in commerce and wasin use in commerceasofthefiling date of the application on or in connection with the
`goods/services in the application;
`e The specimen(s) showsthe mark as used on or in connection with the goods/services in the application and was used on or in
`connection with the goods/servicesin the application as of the application filing date; and
`e Tothe bestof the signatory's knowledge andbelief, the facts recited in the application are accurate.
`
`And/Or
`
`If the applicantis filing the application based on an intent to use the mark in commerce under 15 U.S.C. § 1051(b), § 1126(d),
`and/or § 1126(e):
`
`e The signatory believes that the applicantis entitled to use the mark in commerce;
`e The applicant has a bonafide intention to use the mark in commerce and hada bonafide intention to use the mark in commerceas
`of the application filing date on or in connection with the goods/services in the application; and
`e To the best of the signatory's knowledgeandbelief, the facts recited in the application are accurate.
`
`Tothe best of the signatory's knowledge andbelief, no other persons, except, if applicable, concurrent users, have the right to use the
`mark in commerce,either in the identical form or in such near resemblanceasto be likely, when used on or in connection with the
`goods/services of such other persons, to cause confusion or mistake, or to deceive.
`
`To the best of the signatory's knowledge, information, and belief, formed after an inquiry reasonable underthe circumstances,the
`allegations and other factual contentions made abovehave evidentiary support.
`
`The signatory being warned that willful false statements andthe like are punishable by fine or imprisonment, or both, under 18 U.S.C. §
`1001, and that such willful false statements and the like may jeopardize the validity of the application or submissionorany registration
`resulting therefrom, declares that all statements made of his/her own knowledgeare true and all statements made on information and
`belief are believed to be true.
`
`Declaration Signature
`
`Signature: /Ziv Haklili/ Date: 11/29/2022
`Signatory's Name: Ziv Haklili
`Signatory's Position: President
`Signature method: Sentto third party for signature
`Payment Sale Number: 97696113
`Payment Accounting Date: 11/29/2022
`
`Serial Number: 97696113
`Internet Transmission Date: Tue Nov 29 15:40:10 ET 2022
`TEAS Stamp: USPTO/FTK-XX.XXX.XXX.XX-2022112915401193
`7201-97696 1 13-820d05d467c2f9ff3f7826b5e6
`38d376585 1 fce4b3e42e93cel cb91a4087635f-C
`C-40101946-20221 123081548444680
`
`
`
`
`
`
`
`CURCUWELL
`
`
`
`11/22/22, 3:42 PM
`
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`Nutrition information
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`Nutrition facts
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`Refer to the productlabel for full dietary information, which may be available as an alternative product image.
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`Serving Size
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`11/22/22, 3:42 PM
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`Live Conscious CurcuWell Curcumin Blend Joint Body & Cognitive Support,1000mg, 60ct - Walmart.com
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`* The % Daily Value (DV) tells you how much a nutrient in a serving of food contributes to a daily diet.
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`Calories per gram:
`Fat 9 « Carbohydrate 4 + Protein 4
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`Product details
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`Curcuwell” combines 95% Curcuminoid Turmeric Curcumin extract and Boswellia serrata with patented BioPerine”
`black pepper extract.*
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`This powerful, bioavailable formula works to relieve joint discomfort, promote brain & heart function, and support
`full-body health.*
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`Turmeric curcumin is simply bursting with antioxidant benefits.”
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`Turmeric curcumin with Boswellia serrata and Bioperine was designed to increase the beneficial effects of these
`ancient herbs to encourage improved well-being and more.*
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`© THE BEST QUALITY TURMERIC CURCUMIN SUPPLEMENT:Our high absorption turmeric curcumin vitamins
`deliver a pure, concentrated dose of turmeric curcumin and boswellia serrata. Each serving contains 1000 mg
`Turmeric standardized to 95% curcuminoids and 300 mg Boswellia Serrata with 60 easy to swallow capsules in
`each bottle.
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`° HIGH QUALITY INGREDIENTS DELIVER REAL RESULTS:CurcuWell combines 1000 mg of 95% Curcuminoid
`Turmeric Curcumin and 300 mg of Boswellia Serrata with BioPerine black pepper extract, clinically proven to
`increase absorption by up to 2000%, making it more effective than any other generic turmeric on the market
`today. This powerful turmeric curcumin supplementhelps relieve joint discomfort, boost brain and heart
`function, and support whole body health.
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`® NATURAL BRAIN HEALTH SUPPLEMENT:Brain-protecting Curcumin, long recognized for its ability to fight
`both oxidative stress and inflammation, promotes new connections between brain cells and prevents age-
`related brain conditions. Taking 1000 mg a dayof a bioavailable curcumin has been found to improve mood, help
`reduce symptoms of anxiety and depression, lift brain fog, and improve memory and focus.
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`¢ POWERFUL ANTI-INFLAMMATORY& JOINT RELIEF CAPSULES:Our potent Turmeric Curcumin helps relieve
`joint & back pain. The addition of boswellia serrata helps reduce inflammation, which increases its efficacy. Our
`turmeric curcuimin also helps with skin dryness, boosts brain function & memory, improvesdigestion and blood
`circulation, enhances immune and nervous system. It supports healthy joints, eyes, skin, hair, heart and mood.
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`© THE HIGHEST STANDARD GUARANTEED - WHY WE'RE THE BEST!:Our Turmeric Curcumin supplements are
`tested rigorously by a 3rd party to ensure maximum freshness, safety and quality. Our vegan, non-GMO
`supplement is completely free of gluten, soy, and dairy, and delivers only the purest form of turmeric curcumin.
`In the unlikely event that you’re not satisfied with our turmeric vitamins, we offer a money-back guarantee.
`Simply return them for your money back, no questions asked.
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`© Weaim to show you accurate product information. Manufacturers, suppliers and others provide what you see
`here, and we havenotverified it. See our disclaimer
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`Specifications
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`Gender
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`Unisex
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`https://www.walmart.com/ip/Live-Conscious-CurcuWell-Curcumin-Blend-Joint-Body-Cognitive-Support-1000mg-60ct/388851801
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