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`ESTTA Tracking number:
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`ESTTA1038021
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`Filing date:
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`02/24/2020
`
`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
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`Proceeding
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`92067777
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`Party
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`Correspondence
`Address
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`Defendant
`Akaso Tech LLC
`
`ALLEN XUE
`NOVICK KIM & LEE PLLC
`3251 OLD LEE HIGHWAY, SUITE 404
`FAIRFAX, VA 22030
`UNITED STATES
`docket@nkllaw.com, allen.xue@nkllaw.com, adai@nkllaw.com,
`tlongo@nkllaw.com
`703-745-5495
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`Submission
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`Filer's Name
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`Filer's email
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`Motion to Suspend for Settlement Discussions
`
`Trina A. Longo
`
`tlongo@nkllaw.com, docket@nkllaw.com, allen.xue@nkllaw.com,
`adai@nkllaw.com
`
`Signature
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`Date
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`/Trina A. Longo/
`
`02/24/2020
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`Attachments
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`Consent Motion for Suspension for Settlement.2.24.2020.pdf(74282 bytes )
`
`
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`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`
`
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`Petitioner,
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`v.
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`AKASA (EUROPE) LIMITED,
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`
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`AKASO TECH LLC,
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`Respondent.
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`Cancellation No. 92067777
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`Petitioned Registration No. 4389656
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`Registration Date: August 20, 2013
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`Mark: AKASO
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`CONSENT MOTION FOR SUSPENSION FOR SETTLEMENT
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`The parties are actively engaged in negotiations for the settlement of this matter.
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`Respondent, Akaso Tech LLC, requests that this proceeding be suspended for 60 days to allow the
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`parties to continue their settlement efforts.
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`
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`Respondent’s Motion for Judgment for Petitioner’s Failure to Prosecute and Petitioner’s
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`Cross-Motion to Reopen are currently pending before the Trademark Trial and Appeal Board
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`(“TTAB”). Although the proceedings are suspended pending disposition of these outstanding
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`motions, the parties, by and through this Consent Motion, request a suspension of all dates,
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`including the times to file opposition and reply briefs related to the outstanding motions. During
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`a telephone conference between the parties and the Interlocutory Attorney on Thursday, February
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`20, 2020, it was determined that a Consented Motion for Suspension for Settlement would have
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`the effect of suspending the deadlines for the parties to file their opposition and reply briefs related
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`to the outstanding motions. Thus, in the event that this cancellation proceeding has not been
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`dismissed within 60 days of this Consent Motion due to a settlement between the parties, or another
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`1
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`motion for suspension of the proceedings for settlement has not been filed, the parties request that
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`the deadlines for filing opposition and reply briefs related to the outstanding motions be
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`rescheduled. The parties further request that upon a Board decision on those outstanding motions,
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`that all remaining proceeding dates, starting with Respondent’s Pretrial Disclosure deadline be re-
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`set.
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`Akaso Tech LLC has secured the express consent of all other parties to this proceeding for
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`the suspension and resetting of the dates requested herein.
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`Dated: February 24, 2020
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`Respectfully submitted,
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`NOVICK, KIM & LEE, PLLC
`
`
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`/Trina A. Longo/
`
`Allen (Zhi Yang) Xue
`Angela Y. Dai
`Trina A. Longo
`3251 Old Lee Highway, Suite 404
`Fairfax, VA 22030
`Telephone: (703)745-5495
`Facsimile: (703)563-9748
`allen.xue@nkllaw.com
`adai@nkllaw.com
`tlongo@nkllaw.com
`
`Attorneys for Respondent Akaso Tech LLC
`
`2
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`
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`CERTIFICATE OF SERVICE
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`I hereby certify that on February 24, 2020, a true and complete copy of the foregoing
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`Consent Motion for Suspension for Settlement, is being served on counsel for Petitioner Akasa
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`(Europe) Limited via electronic mail to the following:
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`Steven M. Rabin
`RABIN & BERDO, P.C.
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`M. Scott Alprin
`RABIN & BERDO, P.C.
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`Hui Zhang
`RABIN & BERDO, P.C.
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`firm@rabinberdo.com
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`salprin@rabinberdo.com
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`hzhang@rabinberdo.com
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`Signed: /Trina A Longo/
` Trina A. Longo
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