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ESTTA Tracking number:
`
`ESTTA1363062
`
`Filing date:
`
`06/05/2024
`
`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`
`Proceeding no.
`
`91291740
`
`Party
`
`Correspondence
`address
`
`Submission
`
`Filer's name
`
`Filer's email
`
`Signature
`
`Date
`
`Defendant
`CITTG, Inc
`
`OZELLE MARTIN
`LZ LEGAL SERVICES, LLC
`101 N. BRAND BLVD, 11TH FLOOR
`GLENDALE, CA 91203
`UNITED STATES
`Primary email: tm@lzlegalservices.com
`No phone number provided
`
`Request to Withdraw as Attorney
`
`Ozelle Martin
`
`tm@lzlegalservices.com
`
`/Ozelle Martin/
`
`06/05/2024
`
`Attachments
`
`MotionToWithdraw_K564922674.docx.pdf(76959 bytes )
`
`

`

`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE BEFORE THE
`TRADEMARK TRIAL AND APPEAL BOARD
`
`Fuente Marketing Ltd
`Petitioner,
`
`v.
`CITTG, Inc
`Applicant
`
`Opposition No. 91291740
`
`MOTION TO WITHDRAW AS COUNSEL
`LZ Legal Services, LLC, counsel for CITTG, Inc. (“Applicant”) and Application No.
`98077923 (for the mark “FOG X”), hereby requests permission to withdraw as counsel pursuant
`to 37 C.F.R. § 2.19(b), 37 C.F.R. § 11.116(b), and the Trademark Trial and Appeal Board Manual
`of Procedure (“TBMP”) § 513.01.
`As grounds for withdrawal, LZ Legal Services submits that (i) Applicant agreed and
`consented to LZ Legal Services’ withdrawal; and (ii) said withdrawal can be accomplished
`without material adverse effect on Applicant’s interests.
`Additionally, in accordance with C.F.R. §11.116(d), LZ Legal Services has taken
`reasonable steps to protect Applicant’s interests, which includes: (i) providing reasonable notice
`of withdrawal to Applicant; (ii) providing ample time for employment of other counsel; (iii)
`providing papers and property that relate to the proceeding and to which Applicant is entitled.
`LZ Legal Services further confirms that (i) there are no unearned fees that would need to
`be refunded to Applicant and (ii) this withdrawal request has been served upon Applicant and
`upon every other party to the proceeding.
`The email address for Applicant in this proceeding should be updated to
`jennynay88@gmail.com, and Applicant’s mailing address is: 14771 Carmenita Rd, Norwalk,
`CALIFORNIA UNITED STATES 90650.
`Wherefore, the undersigned law firm requests to be permitted to withdraw from
`representation in the above-captioned proceeding and the underlying Appl. No. 98077923.
`
`Dated: JUNE 05, 2024
`
`/OZELLE MARTIN/
`Ozelle Martin
`LZ Legal Services, LLC
`101 N. Brand Blvd, 11th Floor
`Glendale, CA 91203
`ph: 213-838-0450
`email: tm@lzlegalservices.com
`
`

`

`CERTIFICATE OF SERVICE
`
`I hereby certify that a true and complete copy of the foregoing MOTION TO
`WITHDRAW AS COUNSEL has been served on Applicant by forwarding said copy on JUNE
`05, 2024 via email to: JENNY NAY at the following e-mail address: jennynay88@gmail.com.
`
`I further certify that a true and complete copy of the foregoing MOTION TO
`WITHDRAW AS COUNSEL has been served on Opposer by forwarding said copy on MAY 28,
`2024 via email to: VIRGINIA L. CARRON at the following e-mail addresses:
`virginia.carron@finnegan.com, ttab-legal-assistants@finnegan.com,
`gordon.wright@finnegan.com, docketing@finnegan.com
`
`Dated: JUNE 0, 2024
`
`/OZELLE MARTIN/
`Ozelle Martin
`LZ Legal Services, LLC
`101 N. Brand Blvd, 11th Floor
`Glendale, CA 91203
`ph: 213-838-0450
`email: tm@lzlegalservices.com
`
`

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