`
`Filing date:
`
`ESTTA1384574
`09/18/2024
`
`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
`
`Blenders Eyewear, LLC
`
`Granted to date
`of previous ex-
`tension
`
`Address
`
`Attorney informa-
`tion
`
`09/18/2024
`
`4683 CASS STREET
`SAN DIEGO, CA 92109
`UNITED STATES
`
`GREGORY M. KRAKAU
`KRAKAU LAW, P.C.
`100 PINE STREET, SUITE 1250
`SAN FRANCISCO, CA 94111
`UNITED STATES
`Primary email: greg@krakaulaw.com
`Secondary email(s): valerie@krakaulaw.com, office.rc.att.law@gmail.com,
`hf36@cox.net
`415-936-2400
`
`Docket no.
`
`BL.ADV.013
`
`Applicant information
`
`Application no.
`
`97802512
`
`Opposition filing
`date
`
`Applicant
`
`09/18/2024
`
`NEVEN EYEWEAR LLC
`822 SILVER PALM AVE
`INDIALANTIC, FL 32901
`UNITED STATES
`
`Publication date
`
`05/21/2024
`
`Opposition period
`ends
`
`09/18/2024
`
`Goods/services affected by opposition
`
`Class 009. First Use: Aug 31, 2020 First Use In Commerce: Aug 31, 2020
`All goods and services in the class are opposed, namely: Eyewear
`
`Grounds for opposition
`
`Priority and likelihood of confusion
`
`Trademark Act Section 2(d)
`
`Applicant not rightful owner of mark for identified
`goods or services
`
`Trademark Act Section 1
`
`Mark cited by opposer as basis for opposition
`
`U.S. registration
`no.
`
`7402514
`
`Application date
`
`09/10/2021
`
`
`
`Register
`
`Principal
`
`Registration date
`
`05/28/2024
`
`Word mark
`
`Design mark
`
`BLENDERS EYEWEAR
`
`Foreign priority
`date
`
`NONE
`
`Description of
`mark
`
`Goods/services
`
`The mark consists of 2 diagonal stripes within a circle centered above the word-
`ing "BLENDERS" and "EYEWEAR" in a stylized font.
`
`Class 009. First use: First Use: Dec 16, 2016 First Use In Commerce: Dec 16,
`2016
`Eyeglasses; Eyewear; Eyewear cases; Eyewear pouches; Eyewear retainers;
`Sunglass cords; Sunglasses; Cases for eyewear; Cases for eyeglasses and
`sunglasses; Ski glasses; Ski goggles; Snow goggles; Snowboard helmets;
`Sports helmets; Sun glasses
`
`Related proceed-
`ings
`
`Blenders Eyewear, LLC v. Neven Eyewear LLC, Opp. No. 91/289,671
`(suspended); Blenders Eyewear, LLC v. Le Ventures, LLC et al., Case No.
`2:24-cv-00906- ODW-AJR (C.D. Cal.)
`
`Attachments
`
`97022439#TMSN.png( bytes )
`Notice of Opposition - Three Tilde Design mark - 09 18 24.pdf(139428 bytes )
`Three Tilde Design Opposition - Exhibit A.pdf(107121 bytes )
`
`Signature
`
`/Gregory M. Krakau/
`
`Name
`
`Date
`
`GREGORY M. KRAKAU
`
`09/18/2024
`
`
`
` IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`
`____________________________________
`
`
`
`
`
`
`)
`Blenders Eyewear, LLC
`
`
`)
`
`
`
`
`
`)
`Opposer,
`)
`
`
`
`
`
`
`
`
`)
`
`
`v.
`
`
`
`)
`
`
`
`
`
`
`)
`
`)
`Neven Eyewear LLC
`
`
`
`
`
`
`
`
`)
`
`Applicant.
`
`
`
`)
`____________________________________)
`
`
`
`
`In re Ser. No. 97/802,512
`Mark:
`
`
`
`
`Filing Date: February 20, 2023
`Publ’n Date: May 21, 2024
`Opposition No.: ________________
`
`
`NOTICE OF OPPOSITION
`
`Blenders Eyewear, LLC., dba Blenders Eyewear, (“Blenders” or “Blenders Eyewear” or
`
`“Opposer”), a limited liability company organized and existing under the laws of the State of
`
`Delaware, with an address of 4683 Cass Street, San Diego, California 92109, believes it would
`
`be damaged by the registration of the U.S. trademark application set forth in Application Ser.
`
`No. 97/802,512 (the “Application”), and hereby opposes registration of same.
`
`The grounds for opposition are as follows:
`
`1.
`
`Blenders Eyewear is a well-known seller of sunglasses, eyeglasses, ski goggles,
`
`snow goggles, clothing, and accessories. Opposer was founded by Chase Fisher in San Diego,
`
`California. Mr. Fisher currently serves as CEO of Blenders Eyewear.
`
`2.
`
`Blenders Eyewear markets and sells its products using numerous trademarks,
`
`including but not limited to BLENDERS and BLENDERS EYEWEAR, and various design
`
`marks that signify Blenders as the source of Opposer’s products (collectively, the “BLENDERS
`
`Marks”).
`
`3.
`
`Blenders Eyewear has engaged in continuous use in commerce of the
`
`1
`
`
`
`BLENDERS Marks on or in connection with its goods and services since at least as early as
`
`March 1, 2012. The brand has been wildly successful, earning recognition in the online
`
`marketplace and on social media, as well as attracting national attention in the press. Although
`
`Opposer is privately held and sales figures are therefore confidential, Forbes reported in 2022
`
`that Opposer’s revenue was $85 million the previous year. Blenders has more than 500 partners
`
`and resellers.
`
`4.
`
`Blenders has long used a design mark consisting of three horizontal lines to
`
`signify the source of its products. Early versions of Blenders sunglasses, in use since at least as
`
`early as 2012, used the three horizontal line design mark in the corner of the sunglass lenses, as
`
`depicted below:
`
`5.
`
`Blenders’ three horizontal line design mark is also used to signify the letter “E” in
`
`BLENDERS. Opposer’s “shield” style sunglasses currently use the mark in this way, as depicted
`
`
`
`below:
`
`
`
`2
`
`
`
`6.
`
`Blenders owns U.S. Trademark Reg. No. 7,402,514 for the BLENDERS
`
`EYEWEAR & Design mark (as depicted below) for use on “Eyeglasses; Eyewear; Eyewear
`
`cases; Eyewear pouches; Eyewear retainers; Sunglass cords; Sunglasses; Bicycle helmets; Cases
`
`for eyewear; Cases for eyeglasses and sunglasses; Skateboard helmets; Ski glasses; Ski goggles;
`
`Snow goggles; Snowboard helmets; Sports helmets,” in International Class 9.
`
`
`
`
`
`Blenders’ three horizontal line design is incorporated into Reg. No. 7,402,514. A copy of
`
`Opposer’s certificate of registration and printouts from the United States Patent and Trademark
`
`Office (“PTO”) website showing the current status and title of Reg. No. 7,402,514 are attached
`
`hereto as Exhibit A.
`
`7.
`
`U.S. Trademark Registration No. 7,402,514 is referenced herein as the
`
`“BLENDERS Registration.” The BLENDERS Registration is valid, subsisting, and in full force
`
`and effect.
`
`8.
`
`The BLENDERS Registration is at least prima facie evidence of: (i) the validity
`
`of the registration; (ii) Blenders Eyewear’s ownership of the registration; and (iii) Blenders
`
`Eyewear’s exclusive right to use the registered mark on the goods set forth in the registration.
`
`9.
`
`Blenders’ products are available nationwide through Blenders’ website at
`
`blenderseyewear.com. Blenders Eyewear also promotes its products through social media,
`
`including Instagram, where Blenders has approximately 657,000 followers, and Facebook, where
`
`Blenders has more than one million followers.
`
`10.
`
`As a result of Opposer’s longstanding use and registration of the BLENDERS
`
`Marks, consumers have come to rely upon the BLENDERS Marks as indicators of source, and of
`
`3
`
`
`
`the quality of Opposer’s goods and services. Accordingly, Opposer has built up substantial
`
`goodwill in the BLENDERS Marks. Consumers associate the BLENDERS Marks with Opposer
`
`and its high-quality, affordable glasses, sunglasses, ski goggles, clothing, and accessories.
`
`11.
`
`On information and belief, Neven Eyewear LLC (“Neven” or “Applicant”) is a
`
`limited liability company organized and existing under the laws of the State of Florida, with an
`
`address of 822 Silver Palm Ave., Indialantic, Florida 32901.
`
`12.
`
`On information and belief, Applicant filed U.S. trademark application Ser.
`
`No. 97/802,512 (the “Application”) for a design mark consisting of three tildes (“Applicant’s
`
`Mark”), as depicted above in the case caption, on February 20, 2023.
`
`13.
`
`Applicant’s goods as identified in the Application are “Eyewear,” in International
`
`Class 9.
`
`14.
`
`The Application alleges use of the mark in commerce since August 31, 2020.
`
`15.
`
`The Application was published in the Official Gazette on May 21, 2024.
`
`16.
`
`Blenders Eyewear filed a timely extension of time to oppose and now timely files
`
`this Notice of Opposition.
`
`COUNT ONE
`PRIORITY AND LIKELIHOOD OF CONFUSION
`Lanham Act Section 2(d), 15 U.S.C. § 1052(d)
`
`On information and belief, Opposer’s use of the BLENDERS Marks in commerce
`
`17.
`
`precedes any date of priority that Applicant could claim in Applicant’s Mark.
`
`18.
`
`Applicant’s Mark is confusingly similar to Opposer’s BLENDERS Marks. In
`
`particular, the three tildes mark is nearly identical to Opposer’s three horizontal lines mark in
`
`sight, meaning, and overall commercial impression.
`
`19.
`
`Applicant’s goods identified in the Application are identical and/or closely related
`
`to Opposer’s goods and services provided under the BLENDERS Marks.
`
`4
`
`
`
`20.
`
`On information and belief, Applicant and Opposer sell their goods through the
`
`same channels of trade, further exacerbating the likelihood of confusion.
`
`21.
`
`Opposer’s BLENDERS Marks are well-known in the marketplace, as evidenced
`
`by Opposer’s sales figures and social media following. This increases the likelihood of
`
`confusion caused by Applicant’s Mark.
`
`22.
`
`On information and belief, Applicant has intentionally copied Opposer’s
`
`trademarks in an effort to confuse consumers and gain a foothold in the marketplace using
`
`improper and illegal methods.
`
`23.
`
`Applicant’s Mark so closely resembles Opposer’s BLENDERS Marks that
`
`Applicant’s use of its mark is likely to cause confusion, mistake or deception in the minds of
`
`consumers as to the origin or source of Applicant's goods, in violation of Section 2(d) of the
`
`Lanham Act, 15 U.S.C. § 1052(d), to the harm of Opposer and the public.
`
`24.
`
`If Applicant is permitted to register Applicant’s Mark as specified in the
`
`Application herein opposed, consumer confusion resulting in damage and injury to Opposer
`
`would be caused and would result by reason of the similarity between Applicant’s Mark and
`
`Opposer’s BLENDERS Marks. Persons familiar with Opposer’s BLENDERS Marks would be
`
`likely to purchase Applicant’s goods in the mistaken belief that Opposer is the source or origin of
`
`the goods, and/or that the goods are authorized, endorsed or sponsored by Opposer, and/or that
`
`Applicant is somehow affiliated with Opposer.
`
`25.
`
`Furthermore, any defect, objection or fault found with Applicant’s goods
`
`marketed or sold under Applicant’s Mark would reflect upon and seriously injure the reputation
`
`that Opposer has worked so hard to establish for its goods and services.
`
`26.
`
`If Applicant is granted the registration herein opposed, it would thereby obtain a
`
`prima facie exclusive right to use its mark, to which Applicant is not entitled. Therefore, such
`
`5
`
`
`
`registration would be a source of damage and injury to Opposer.
`
`COUNT TWO
`APPLICATION IS VOID AB INITIO BECAUSE
`APPLICANT IS NOT THE OWNER OF THE MARK
`Lanham Act §§ 1, 5, and 45, 15 U.S.C. §§ 1051, 1055, and 1127
`
`
`27.
`
`The Application was filed in the name of “Neven Eyewear LLC,” a Florida
`
`limited liability company.
`
`28.
`
`On information and belief, the true owner of Applicant’s Mark is and has been at
`
`all times relevant to this proceeding Le Ventures, LLC, a limited liability company organized
`
`and existing under the laws of the State of California (“Le Ventures”).
`
`29.
`
`On information and belief, Jonathan Strauss formed Neven Eyewear LLC while
`
`an independent contractor of Le Ventures, using Le Ventures resources, without authorization
`
`from Le Ventures.
`
`30.
`
`On information and belief, the three tilde design mark was conceived, created,
`
`designed, used, and owned by Le Ventures.
`
`31.
`
`Because the Applicant did not own the mark on the application filing date, the
`
`application is void. 37 C.F.R. § 2.71(d).
`
`32.
`
`Le Ventures has filed suit against Applicant and Jonathan Strauss, alleging
`
`ownership of intellectual property filed by Applicant, and seeking reassignment or cancellation
`
`of certain trademarks of Applicant on that basis, including the application here at issue, Ser.
`
`No. 97/802,512.
`
`33.
`
`In light of the foregoing, the Application is void ab initio pursuant to Lanham Act
`
`§§ 1, 5, and 45, 15 U.S.C. §§ 1051, 1055, and 1127.
`
`
`
`6
`
`
`
`WHEREFORE, Blenders Eyewear prays that this Notice of Opposition be sustained for
`
`the reasons set forth above, and that the Application be denied in accordance with the Lanham
`
`Act, the Trademark Rules of Practice, the Trademark Manual of Examining Procedure, and this
`
`Board’s precedent and practice.
`
`The $600 filing fee for this Notice of Opposition is being paid electronically at the time
`
`of filing. This paper is also being filed electronically through the U.S. Patent and Trademark
`
`Office’s Electronic System for Trademark Trials and Appeals (“ESTTA”).
`
`
`
`Date: September 18, 2024
`
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`Respectfully submitted,
`
`BLENDERS EYEWEAR, LLC
`
`By its attorney,
`
`KRAKAU LAW, P.C.
`
`By:
`
`
`
`
`
`
`
`
`/Gregory M. Krakau/
`Gregory M. Krakau
`KRAKAU LAW, P.C.
`100 Pine Street, Suite 1250
`San Francisco, CA 94111
`Tel:
`(415) 936-2400
`Fax:
`(415) 936-2401
`Email: greg@krakaulaw.com
`
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`7
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`EXHIBIT A
`EXHIBIT A
`
`
`
`Reg. No. 7,402,514
`
`Registered May 28, 2024
`
`Blenders Eyewear, LLC (DELAWARE LIMITED LIABILITY COMPANY)
`4683 Cass Street
`San Diego, CALIFORNIA 92109
`
`Int. Cl.: 9
`
`Trademark
`
`Principal Register
`
`CLASS 9: Eyeglasses; Eyewear; Eyewear cases; Eyewear pouches; Eyewear retainers;
`Sunglass cords; Sunglasses; Cases for eyewear; Cases for eyeglasses and sunglasses;
`Ski glasses; Ski goggles; Snow goggles; Snowboard helmets; Sports helmets; Sun
`glasses
`
`FIRST USE 12-16-2016; IN COMMERCE 12-16-2016
`
`The mark consists of 2 diagonal stripes within a circle centered above the wording
`"BLENDERS" and "EYEWEAR" in a stylized font.
`
`No claim is made to the exclusive right to use the following apart from the mark as
`shown: "EYEWEAR"
`
`SER. NO. 97-022,439, FILED 09-10-2021
`
`
`
`Generated on: This page was generated by TSDR on 2024-09-18 20:11:28 EDT
`
`Mark: BLENDERS EYEWEAR
`
`US Serial Number: 97022439
`
`US Registration
`Number:
`
`7402514
`
`Filed as TEAS
`Plus:
`
`Yes
`
`Register: Principal
`
`Mark Type: Trademark
`
`TM5 Common Status
`Descriptor:
`
`Application Filing
`Date:
`
`Sep. 10, 2021
`
`Registration Date: May 28, 2024
`
`Currently TEAS
`Plus:
`
`Yes
`
`LIVE/REGISTRATION/Issued and Active
`
`The trademark application has been registered with the Office.
`
`Status: Registered. The registration date is used to determine when post-registration maintenance documents are due.
`
`Status Date: May 28, 2024
`
`Publication Date:Jul. 12, 2022Notice of Allowance Date:Sep. 06, 2022
`
`
`Mark Information
`
`Mark Literal
`Elements:
`
`BLENDERS EYEWEAR
`
`Standard Character
`Claim:
`
`No
`
`Mark Drawing
`Type:
`
`Description of
`Mark:
`
`3 - AN ILLUSTRATION DRAWING WHICH INCLUDES WORD(S)/ LETTER(S) /NUMBER(S)
`
`The mark consists of 2 diagonal stripes within a circle centered above the wording "BLENDERS" and "EYEWEAR" in a stylized font.
`
`Disclaimer: "EYEWEAR"
`
`Design Search
`Code(s):
`
`26.01.01 - Circles as carriers or as single line borders
`26.17.01 - Bands, straight; Bars, straight; Lines, straight; Straight line(s), band(s) or bar(s)
`26.17.06 - Bands, diagonal; Bars, diagonal; Diagonal line(s), band(s) or bar(s); Lines, diagonal
`
`Related Properties Information
`
`1626638
`
`International
`Registration
`Number:
`
`A0114378, A0114926/1626638
`
`International
`Application(s)
`/Registration(s)
`Based on this
`Property:
`
`Goods and Services
`
`Note:
`The following symbols indicate that the registrant/owner has amended the goods/services:
`Brackets [..] indicate deleted goods/services;
`Double parenthesis ((..)) identify any goods/services not claimed in a Section 15 affidavit of incontestability; and
`Asterisks *..* identify additional (new) wording in the goods/services.
`
`For: Eyeglasses; Eyewear; Eyewear cases; Eyewear pouches; Eyewear retainers; Sunglass cords; Sunglasses; Cases for eyewear; Cases
`for eyeglasses and sunglasses; Ski glasses; Ski goggles; Snow goggles; Snowboard helmets; Sports helmets; Sun glasses
`
`International
`Class(es):
`
`009 - Primary Class
`
`U.S Class(es): 021, 023, 026, 036, 038
`
`
`
`Class Status: ACTIVE
`
`Basis: 1(a)
`
`First Use: Dec. 16, 2016
`
`Use in Commerce: Dec. 16, 2016
`
`Basis Information (Case Level)
`
`Filed Use: No
`
`Filed ITU: Yes
`
`Filed 44D: No
`
`Filed 44E: No
`
`Filed 66A: No
`
`Currently Use: Yes
`
`Currently ITU: No
`
`Currently 44D: No
`
`Currently 44E: No
`
`Currently 66A: No
`
`Filed No Basis: No
`
`Currently No Basis: No
`
`Current Owner(s) Information
`
`Owner Name: Blenders Eyewear, LLC
`
`Owner Address: 4683 Cass Street
`San Diego, CALIFORNIA UNITED STATES 92109
`
`Legal Entity Type: LIMITED LIABILITY COMPANY
`
`State or Country
`Where Organized:
`
`DELAWARE
`
`Attorney/Correspondence Information
`
`Attorney Name: Robert Croteau, Esq.
`
`Attorney Primary
`Email Address:
`
`office.rc.att.law@gmail.com
`
`Attorney of Record
`
`Attorney Email
`Authorized:
`
`Yes
`
`Correspondent
`
`Correspondent
`Name/Address:
`
`Robert Croteau, Esq.
`ROBERT CROTEAU ATTORNEY AT LAW
`205 E. ANAPAMU STREET
`SANTA BARBARA, CALIFORNIA UNITED STATES 93101
`
`Phone: 805-699-6646
`
`Correspondent e-
`mail:
`
`office.rc.att.law@gmail.com hf36@cox.net brian@
`blenderseyewear.com
`
`Correspondent e-
`mail Authorized:
`
`Yes
`
`Domestic Representative - Not Found
`Prosecution History
`
`Date
`
`Description
`
`May 28, 2024
`
`NOTICE OF REGISTRATION CONFIRMATION EMAILED
`
`May 28, 2024
`
`REGISTERED-PRINCIPAL REGISTER
`
`Apr. 23, 2024
`
`NOTICE OF ACCEPTANCE OF STATEMENT OF USE E-MAILED
`
`Apr. 23, 2024
`
`ALLOWED PRINCIPAL REGISTER - SOU ACCEPTED
`
`Mar. 26, 2024
`
`DATA MODIFICATION COMPLETED
`
`Mar. 26, 2024
`
`ASSIGNED TO LIE
`
`Mar. 23, 2024
`
`STATEMENT OF USE PROCESSING COMPLETE
`
`Mar. 05, 2024
`
`USE AMENDMENT FILED
`
`Mar. 23, 2024
`
`CASE ASSIGNED TO INTENT TO USE PARALEGAL
`
`Mar. 05, 2024
`
`TEAS STATEMENT OF USE RECEIVED
`
`Aug. 30, 2023
`
`NOTICE OF APPROVAL OF EXTENSION REQUEST E-MAILED
`
`Aug. 28, 2023
`
`SOU EXTENSION 2 GRANTED
`
`Aug. 28, 2023
`
`SOU EXTENSION 2 FILED
`
`Aug. 28, 2023
`
`SOU TEAS EXTENSION RECEIVED
`
`Feb. 22, 2023
`
`NOTICE OF APPROVAL OF EXTENSION REQUEST E-MAILED
`
`Feb. 20, 2023
`
`SOU EXTENSION 1 GRANTED
`
`Feb. 20, 2023
`
`SOU EXTENSION 1 FILED
`
`Proceeding
`Number
`
`
`
`Feb. 20, 2023
`
`SOU TEAS EXTENSION RECEIVED
`
`Sep. 06, 2022
`
`NOA E-MAILED - SOU REQUIRED FROM APPLICANT
`
`Jul. 12, 2022
`
`OFFICIAL GAZETTE PUBLICATION CONFIRMATION E-MAILED
`
`Jul. 12, 2022
`
`PUBLISHED FOR OPPOSITION
`
`Jun. 22, 2022
`
`NOTIFICATION OF NOTICE OF PUBLICATION E-MAILED
`
`Jun. 07, 2022
`
`APPROVED FOR PUB - PRINCIPAL REGISTER
`
`Jun. 01, 2022
`
`ASSIGNED TO EXAMINER
`
`Oct. 20, 2021
`
`NOTICE OF DESIGN SEARCH CODE E-MAILED
`
`Oct. 19, 2021
`
`NEW APPLICATION OFFICE SUPPLIED DATA ENTERED
`
`Sep. 14, 2021
`
`NEW APPLICATION ENTERED
`TM Staff and Location Information
`
`Current Location: PUBLICATION AND ISSUE SECTION
`
`Date in Location: Apr. 23, 2024
`
`Proceedings
`
`TM Staff Information - None
`
`File Location
`
`Summary
`
`Number of
`Proceedings:
`
`5
`
`Type of Proceeding: Opposition
`
`
`
`Proceeding
`Number:
`
`91289671
`
`Status: Suspended
`
`Interlocutory
`Attorney:
`
`REBECCA J STEMPIEN_COYLE
`
`Filing Date: Feb 07, 2024
`
`Status Date: Apr 16, 2024
`
`Name: Neven Eyewear LLC
`
`Correspondent
`Address:
`
`SCOTT W. JOHNSTON
`MERCHANT & GOULD P.C.
`150 SOUTH FIFTH STREET, SUITE 2200, P.O. BOX 2910
`MINNEAPOLIS MN UNITED STATES , 55402
`
`Defendant
`
`Correspondent e-
`mail:
`
`Associated marks
`
`Mark
`
`dockmpls@merchantgould.com , sshaw@merchantgould.com , sjohnston@merchantgould.com , slindemeier@merchantgould.com
`
`Application Status
`
`Serial Number
`
`Registration
`Number
`
`97865331
`
`Plaintiff(s)
`
`Name: Blenders Eyewear, LLC
`
`Correspondent
`Address:
`
`GREGORY M. KRAKAU
`KRAKAU LAW, P.C.
`100 PINE STREET, SUITE 1250
`SAN FRANCISCO CA UNITED STATES , 94111
`
`Correspondent e-
`mail:
`
`Associated marks
`
`Mark
`
`greg@krakaulaw.com , valerie@krakaulaw.com , office.rc.att.law@gmail.com , hf36@cox.net
`
`Application Status
`
`Serial Number
`
`Registration
`Number
`
`87402144
`
`88076801
`
`88762588
`
`88086646
`
`88762037
`
`97716437
`
`5478589
`
`5818015
`
`6296567
`
`6301777
`
`6296561
`
`7189644
`
`
`
`BLENDERS EYEWEAR
`
`Entry Number
`
`History Text
`
`Prosecution History
`
`9
`
`8
`
`7
`
`6
`
`5
`
`4
`
`3
`
`2
`
`1
`
`SUSP PEND DISP OF CIVIL ACTION
`
`D MOT TO SUSP PEND DISP CIV ACT W/ CONSENT
`
`EXTENSION OF TIME GRANTED
`
`D MOT FOR EXT W/ CONSENT
`
`D CHANGE OF CORRESP ADDRESS
`
`D APPEARANCE / POWER OF ATTORNEY
`
`INSTITUTED
`
`NOTICE AND TRIAL DATES SENT; ANSWER DUE:
`
`FILED AND FEE
`
`97022439
`
`Date
`
`Apr 16, 2024
`
`Apr 16, 2024
`
`Mar 19, 2024
`
`Mar 18, 2024
`
`Mar 18, 2024
`
`Mar 18, 2024
`
`Feb 07, 2024
`
`Feb 07, 2024
`
`Feb 07, 2024
`
`Due Date
`
`Mar 18, 2024
`
`Proceeding
`Number:
`
`91277858
`
`Status: Terminated
`
`Interlocutory
`Attorney:
`
`STEVEN W FERRELL
`
`Type of Proceeding: Opposition
`
`Filing Date: Aug 09, 2022
`
`Status Date: Feb 07, 2023
`
`Defendant
`
`Name: Blended Clothing, Inc.
`
`Correspondent
`Address:
`
`GINAM LEE
`LPL LAWYERS
`3600 WILSHIRE BLVD, SUITE 1510
`LOS ANGELES CA UNITED STATES , 90010
`
`glee@lawlpl.com , ip@lawlpl.com , ichen@lawlpl.com
`
`Correspondent e-
`mail:
`
`Associated marks
`
`Mark
`
`Application Status
`
`Serial Number
`
`Registration
`Number
`
`BLENDED CLOTHING INC
`
`90741441
`
`Plaintiff(s)
`
`Name: Blenders Eyewear, LLC
`
`Correspondent
`Address:
`
`GREGORY M. KRAKAU
`KRAKAU LAW, P.C.
`100 PINE STREET, SUITE 1250
`SAN FRANCISCO CA UNITED STATES , 94111
`
`greg@krakaulaw.com , valerie@krakaulaw.com , office.rc.att.law@gmail.com , hf36@cox.net
`
`Application Status
`
`Serial Number
`
`Registration
`Number
`
`4234826
`
`4234864
`
`5255736
`
`5680266
`
`5983327
`
`6296560
`
`6296566
`
`Due Date
`
`85348651
`
`85363030
`
`87292379
`
`88024300
`
`88540948
`
`88762029
`
`88762585
`
`88762578
`
`90907467
`
`97022439
`
`Date
`
`Feb 07, 2023
`
`Feb 07, 2023
`
`Feb 03, 2023
`
`Correspondent e-
`mail:
`
`Associated marks
`
`Mark
`
`BLENDERS
`
`BLENDERS EYEWEAR
`
`BLENDERS
`
`BLENDERS EYEWEAR
`
`BLENDERS
`
`BLENDERS
`
`BLENDERS EYEWEAR
`
`BLENDERS
`
`BLENDERS
`
`BLENDERS EYEWEAR
`
`Entry Number
`
`History Text
`
`16
`
`15
`
`14
`
`TERMINATED
`
`BD DECISION: OPP SUSTAINED
`
`W/DRAW OF APPLICATION
`
`Prosecution History
`
`
`
`13
`
`12
`
`11
`
`10
`
`9
`
`8
`
`7
`
`6
`
`5
`
`4
`
`3
`
`2
`
`1
`
`EXTENSION OF TIME GRANTED
`
`P MOT FOR EXT W/ CONSENT
`
`EXTENSION OF TIME GRANTED
`
`P MOT FOR EXT W/ CONSENT
`
`SUSPENDED
`
`P MOT TO SUSP W/ CONSENT PEND SETTL NEGOTIATIONS
`
`SUSPENDED
`
`P MOT TO SUSP W/ CONSENT PEND SETTL NEGOTIATIONS
`
`SUSPENDED
`
`P MOT TO SUSP W/ CONSENT PEND SETTL NEGOTIATIONS
`
`INSTITUTED
`
`NOTICE AND TRIAL DATES SENT; ANSWER DUE:
`
`FILED AND FEE
`
`Jan 20, 2023
`
`Jan 20, 2023
`
`Dec 19, 2022
`
`Dec 18, 2022
`
`Nov 17, 2022
`
`Nov 17, 2022
`
`Oct 17, 2022
`
`Oct 17, 2022
`
`Sep 09, 2022
`
`Sep 09, 2022
`
`Aug 10, 2022
`
`Aug 10, 2022
`
`Aug 09, 2022
`
`Sep 19, 2022
`
`Proceeding
`Number:
`
`91275399
`
`Status: Terminated
`
`Interlocutory
`Attorney:
`
`ELIZABETH WINTER
`
`Type of Proceeding: Opposition
`
`Filing Date: Apr 01, 2022
`
`Status Date: Dec 28, 2022
`
`Defendant
`
`Name: The Hagerty Group, LLC
`
`Correspondent
`Address:
`
`JOHN DI GIACOMO
`REVISION LEGAL, PLLC
`444 CASS STREET, SUITE D
`TRAVERSE CITY MI UNITED STATES , 49684
`
`Correspondent e-
`mail:
`
`Associated marks
`
`Mark
`
`john@revisionlegal.com , trademarks@revisionlegal.com
`
`Application Status
`
`Serial Number
`
`Registration
`Number
`
`90505065
`
`Plaintiff(s)
`
`Name: Blenders Eyewear, LLC
`
`Correspondent
`Address:
`
`GREGORY M. KRAKAU
`KRAKAU LAW, P.C.
`100 PINE STREET, SUITE 1250
`SAN FRANCISCO CA UNITED STATES , 94111
`
`Correspondent e-
`mail:
`
`Associated marks
`
`Mark
`
`BLENDERS EYEWEAR
`
`greg@krakaulaw.com , valerie@krakaulaw.com , office.rc.att.law@gmail.com , hf36@cox.net
`
`Application Status
`
`Serial Number
`
`Registration
`Number
`
`5478589
`
`5479042
`
`5818015
`
`6296561
`
`6296567
`
`87402144
`
`87472228
`
`88076801
`
`88762037
`
`88762588
`
`88762040
`
`97022439
`
`97135946
`
`97135949
`
`97193962
`
`97194023
`
`Entry Number
`
`History Text
`
`16
`
`CORRECTION TO BD ORDER
`
`Date
`
`Dec 13, 2022
`
`Due Date
`
`Prosecution History
`
`
`
`15
`
`14
`
`13
`
`12
`
`11
`
`10
`
`9
`
`8
`
`7
`
`6
`
`5
`
`4
`
`3
`
`2
`
`1
`
`TERMINATED
`
`BD DECISION: OPP DISMISSED W/O PREJ
`
`W/DRAW OF OPPOSITION
`
`P MOT TO SUSP W/ CONSENT PEND SETTL NEGOTIATIONS
`
`PAPER RECEIVED AT TTAB
`
`P REPLY IN SUPPORT OF MOTION
`
`D MOT TO STRIKE PLEADING/AFFIRMATIVE DEFENSE
`
`P MOT TO STRIKE PLEADING/AFFIRMATIVE DEFENSE
`
`MOT TO AMEND APPLICATION
`
`ANSWER AND COUNTERCLAIM ( FEE)
`
`EXTENSION OF TIME GRANTED
`
`STIP FOR EXT
`
`INSTITUTED
`
`NOTICE AND TRIAL DATES SENT; ANSWER DUE:
`
`FILED AND FEE
`
`Oct 28, 2022
`
`Oct 28, 2022
`
`Oct 13, 2022
`
`Aug 16, 2022
`
`Aug 10, 2022
`
`Aug 08, 2022
`
`Jul 19, 2022
`
`Jun 30, 2022
`
`Jun 09, 2022
`
`Jun 09, 2022
`
`May 12, 2022
`
`May 10, 2022
`
`Apr 01, 2022
`
`Apr 01, 2022
`
`Apr 01, 2022
`
`May 11, 2022
`
`Proceeding
`Number:
`
`91275401
`
`Status: Terminated
`
`Interlocutory
`Attorney:
`
`ELIZABETH WINTER
`
`Type of Proceeding: Opposition
`
`Filing Date: Apr 01, 2022
`
`Status Date: Sep 05, 2023
`
`Defendant
`
`Name: The Hagerty Group, LLC
`
`Correspondent
`Address:
`
`JOHN DI GIACOMO
`REVISION LEGAL, PLLC
`444 CASS STREET, SUITE D
`TRAVERSE CITY MI UNITED STATES , 49684
`
`Correspondent e-
`mail:
`
`Associated marks
`
`Mark
`
`john@revisionlegal.com , trademarks@revisionlegal.com
`
`Application Status
`
`Serial Number
`
`Registration
`Number
`
`90504439
`
`Plaintiff(s)
`
`Name: Blenders Eyewear, LLC
`
`Correspondent
`Address:
`
`GREGORY M. KRAKAU
`KRAKAU LAW, P.C.
`100 PINE STREET, SUITE 1250
`SAN FRANCISCO CA UNITED STATES , 94111
`
`Correspondent e-
`mail:
`
`Associated marks
`
`Mark
`
`BLENDERS EYEWEAR
`
`greg@krakaulaw.com , valerie@krakaulaw.com , office.rc.att.law@gmail.com , hf36@cox.net
`
`Application Status
`
`Serial Number
`
`Registration
`Number
`
`5478589
`
`5479042
`
`5818015
`
`6296561
`
`6296567
`
`87402144
`
`87472228
`
`88076801
`
`88762037
`
`88762588
`
`88762040
`
`97022439
`
`97135946
`
`97135949
`
`97193962
`
`97194023
`
`Prosecution History
`
`
`
`Entry Number
`
`History Text
`
`17
`
`16
`
`15
`
`14
`
`13
`
`12
`
`11
`
`10
`
`9
`
`8
`
`7
`
`6
`
`5
`
`4
`
`3
`
`2
`
`1
`
`SUBMISSION NOT CONSIDERED
`
`ANSWER
`
`TERMINATED
`
`BD DECISION: OPP DISMISSED W/O PREJ
`
`W/DRAW OF OPPOSITION
`
`P MOT TO SUSP W/ CONSENT PEND SETTL NEGOTIATIONS
`
`PAPER RECEIVED AT TTAB
`
`P REPLY IN SUPPORT OF MOTION
`
`D MOT TO STRIKE PLEADING/AFFIRMATIVE DEFENSE
`
`P MOT TO STRIKE PLEADING/AFFIRMATIVE DEFENSE
`
`MOT TO AMEND APPLICATION
`
`ANSWER AND COUNTERCLAIM ( FEE)
`
`EXTENSION OF TIME GRANTED
`
`STIP FOR EXT
`
`INSTITUTED
`
`NOTICE AND TRIAL DATES SENT; ANSWER DUE:
`
`FILED AND FEE
`
`Type of Proceeding: Opposition
`
`Date
`
`Sep 05, 2023
`
`Aug 28, 2023
`
`Nov 04, 2022
`
`Nov 04, 2022
`
`Oct 13, 2022
`
`Aug 16, 2022
`
`Aug 10, 2022
`
`Aug 08, 2022
`
`Jul 19, 2022
`
`Jun 30, 2022
`
`Jun 09, 2022
`
`Jun 09, 2022
`
`May 16, 2022
`
`May 10, 2022
`
`Apr 01, 2022
`
`Apr 01, 2022
`
`Apr 01, 2022
`
`Due Date
`
`May 11, 2022
`
`Proceeding
`Number:
`
`91274488
`
`Status: Pending
`
`Interlocutory
`Attorney:
`
`TASHIA A BUNCH
`
`Name: Bricks, LLC.
`
`Correspondent
`Address:
`
`REXFORD BRABSON
`T-REX LAW PC
`7040 AVENIDA ENCINAS, #104-333
`CARLSBAD CA UNITED STATES , 92011
`
`Filing Date: Feb 11, 2022
`
`Status Date: Sep 14, 2023
`
`Defendant
`
`Correspondent e-
`mail:
`
`Associated marks
`
`Mark
`
`BLINDERS
`
`rex@t-rexlaw.com , sasha@t-rexlaw.com , jfranco@t-rexlaw.com
`
`Application Status
`
`Serial Number
`
`Registration
`Number
`
`90610456
`
`Plaintiff(s)
`
`Name: Blenders Eyewear, LLC
`
`Correspondent
`Address:
`
`GREGORY M KRAKAU
`KRAKAU LAW PC
`100 PINE STREET, SUITE 1250
`SAN FRANCISCO CA UNITED STATES , 94111
`
`Correspondent e-
`mail:
`
`Associated marks
`
`Mark
`
`BLENDERS
`
`BLENDERS EYEWEAR
`
`BLENDERS
`
`BLENDERS EYEWEAR
`
`BLENDERS
`
`BLENDERS
`
`BLENDERS EYEWEAR
`
`BLENDERS
`
`BLENDERS
`
`greg@krakaulaw.com , valerie@krakaulaw.com , office.rc.att.law@gmail.com
`
`Application Status
`
`Serial Number
`
`Registration
`Number
`
`85348651
`
`85363030
`
`87292379
`
`88024300
`
`88540948
`
`88762029
`
`88762585
`
`88762578
`
`90907467
`
`4234826
`
`4234864
`
`5255736
`
`5680266
`
`5983327
`
`6296560
`
`6296566
`
`
`
`Due Date
`
`BLENDERS EYEWEAR
`
`Entry Number
`
`History Text
`
`Prosecution History
`
`35
`
`34
`
`33
`
`32
`
`31
`
`30
`
`29
`
`28
`
`27
`
`26
`
`25
`
`24
`
`23
`
`22
`
`21
`
`20
`
`EXTENSION OF TIME GRANTED
`
`P MOT FOR EXT W/ CONSENT
`
`EXTENSION OF TIME GRANTED
`
`P MOT FOR EXT W/ CONSENT
`
`EXTENSION OF TIME GRANTED
`
`P MOT FOR EXT W/ CONSENT
`
`D CHANGE OF CORRESP ADDRESS
`
`EXTENSION OF TIME GRANTED
`
`P MOT FOR EXT W/ CONSENT
`
`P MOT FOR SUMMARY JGT DENIED
`
`P OPP/RESP TO MOTION
`
`EXTENSION OF TIME GRANTED
`
`P MOT FOR EXT W/ CONSENT
`
`P REPLY IN SUPPORT OF MOTION
`
`D OPP/RESP TO MOTION
`
`SUSP PEND DISP OF OUTSTNDNG MOT
`
`P MOT FOR SUMMARY JUDGMENT
`
`97022439
`
`Date
`
`Jul 11, 2024
`
`Jul 09, 2024
`
`May 17, 2024
`
`May 15, 2024
`
`Mar 21, 2024
`
`Mar 19, 2024
`
`Mar 06, 2024
`
`Jan 29, 2024
`
`Jan 26, 2024
`
`Jan 23, 2024
`
`Sep 20, 2023
`
`Sep 14, 2023
`
`Sep 08, 2023
`
`Sep 05, 2023
`
`Aug 14, 2023
`
`Jul 26, 2023
`
`Jul 13, 2023
`
`19
`
`18
`
`17
`
`16
`
`15
`
`14
`
`13
`
`12
`
`11
`
`10
`
`9
`
`8
`
`7
`
`6
`
`5
`
`4
`
`3
`
`2
`
`1
`
`AMENDED ANSWER
`
`TRIAL DATES RESET
`
`P REPLY IN SUPPORT OF MOTION
`
`SUSP PEND DISP OF OUTSTNDNG MOT
`
`D OPP/RESP TO MOTION
`
`P MOT TO AMEND PLEADING/AMENDED PLEADING
`
`D CHANGE OF CORRESP ADDRESS
`
`TRIAL DATES RESET
`
`P OPP/RESP TO MOTION
`
`ANSWER
`
`D RESP TO BD ORDER/INQUIRY
`
`D CHANGE OF CORRESP ADDRESS
`
`NOTICE OF DEFAULT
`
`EXTENSION OF TIME GRANTED
`
`P MOT FOR EXT W/ CONSENT
`
`INSTITUTED
`
`NOTICE AND TRIAL DATES SENT; ANSWER DUE:
`
`FILED AND FEE
`
`May 31, 2023
`
`May 09, 2023
`
`Mar 20, 2023
`
`Mar 01, 2023
`
`Feb 27, 2023
`
`Feb 07, 2023
`
`Sep 21, 2022
`
`Aug 02, 2022
`
`May 18, 2022
`
`May 05, 2022
`
`May 05, 2022
`
`May 05, 2022
`
`May 03, 2022
`
`Mar 23, 2022
`
`Mar 23, 2022
`
`Feb 11, 2022
`
`Feb 11, 2022
`
`Feb 11, 2022
`
`Mar 23, 2022
`
`

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