throbber
Trademark Trial and Appeal Board Electronic Filing System. http://estta.uspto.gov
`ESTTA Tracking number:
`ESTTA1001631
`09/12/2019
`
`Filing date:
`
`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`
`Petition for Cancellation
`
`Notice is hereby given that the following party has filed a petition to cancel the registration indicated below.
`Petitioner Information
`
`Name
`Entity
`Address
`
`Attorney informa-
`tion
`
`Nir Ron
`Individual
`3950 Laurel Grove Ave
`Studio City, CA 91604
`UNITED STATES
`
`Citizenship
`
`UNITED STATES
`
`Adriano Pacifici
`Intellectual Property Consulting, LLC
`334 Carondelet Street, Suite B
`New Orleans, LA 70130
`UNITED STATES
`apacifici@iplawconsulting.com, trademarks@iplawconsulting.com
`5043236600
`
`Registrations Subject to Cancellation
`
`Registration No.
`Registrant
`
`Registration date
`5780133
`Luoyang Hangyuan E-commerce Co.,Ltd.Â
`301 West St.1,3F,E-business Park,Baolong
`Luolong Dist.,LUOYANG, 471000
`CHINA
`Email: 2851218765@qq.com
`
`06/18/2019
`
`Goods/Services Subject to Cancellation
`
`Class 003. First Use: 2018/09/01 First Use In Commerce: 2018/09/01
`All goods and services in the class are subject to cancellation, namely: Colognes, perfumes and cos-
`metics; Cosmetic hand creams; Cosmetic oils; Cosmeticpreparations for body care; Cosmetic suntan
`lotions; Cosmetics; Face creams forcosmetic use; Facial masks; Lip stains;Lipstick; Make-up remov-
`ing lotions; Nail paint; Nail polish remover pens; Pre-moistened cosmetic wipes; Cleansing creams;
`Cosmetic creams for skin care; Cosmetic preparations for protecting the skin from the sun's rays;
`Cosmetic preparations for removing gel nails, acrylic nails, and nail polish; Cosmetic products in the
`form of aerosols for skincare; Cosmetics for children
`
`Grounds for Cancellation
`
`Priority and likelihood of confusion
`Dilution by blurring
`False suggestion of a connection with persons,
`living or dead, institutions, beliefs, or national
`symbols, or bring them into contempt, or disrep-
`ute
`
`Trademark Act Sections 14(1) and 2(d)
`Trademark Act Sections 14(1) and 43(c)
`Trademark Act Sections 14(3) and 2(a)
`
`

`

`Registration No.
`Registrant
`
`Registration date
`5774901
`Luoyang Hangyuan E-commerce Co.,Ltd.
`301 West St.1,3F,E-business Park,Baolong
`Luolong Dist.,LUOYANG, 471000
`CHINA
`Email: 2851218765@qq.com
`
`06/11/2019
`
`Goods/Services Subject to Cancellation
`
`Class 005. First Use: 2018/09/01 First Use In Commerce: 2018/09/01
`All goods and services in the class are subject to cancellation, namely: Aerosol dispensers for medic-
`al use soldfilled with hair growth stimulants; Analgesics; Anti-inflammatories; Cytostatics for medical
`purposes; Hair growth stimulants; Human growth hormone; Medical plasters; Medicated hair care
`preparations; Medicated hair serums; Medicated skin soap; Medicinal herbs; Medicinal oils; Medicinal
`preparations for stimulating hair growth; Sterilizing preparations; Sticking plasters for medical use; Di-
`eteticfoods adapted for medical purposes; Medicated balms for treatment of hair; Medicated lotions
`for hair; Medicated serumsfor treatment of hair; Medicinal hair growth preparations
`
`Grounds for Cancellation
`
`Priority and likelihood of confusion
`Dilution by blurring
`False suggestion of a connection with persons,
`living or dead, institutions, beliefs, or national
`symbols, or bring them into contempt, or disrep-
`ute
`
`Trademark Act Sections 14(1) and 2(d)
`Trademark Act Sections 14(1) and 43(c)
`Trademark Act Sections 14(3) and 2(a)
`
`Mark Cited by Petitioner as Basis for Cancellation
`
`U.S. Application
`No.
`Registration Date
`
`88446156
`
`NONE
`
`Word Mark
`Design Mark
`
`H3 HAIR CUBED
`
`Application Date
`
`05/24/2019
`
`Foreign Priority
`Date
`
`NONE
`
`Description of
`Mark
`Goods/Services
`
`The mark consists of The mark consists of The mark consists of the letter H next
`to the superscripted number 3. Below asolid line is the wording HAIR CUBED.
`Class 003. First use: First Use: 2007/09/11 First Use In Commerce: 2008/03/00
`Cosmetic hair filling Hair thickener spray, hair fiber, Cosmetic hair dressing pre-
`parations, Cosmetic hair regrowth inhibiting preparations; Cosmetic preparations
`
`

`

`for the hair and scalp, Exfoliants for hair, Hair care creams, Hair care kits com-
`prising non-medicated hair care preparations, Hair care lotions; Hair care pre-
`parations, Hair cleaning preparations, Hair coloring preparations, Hair colouring
`preparations, Hair conditioner, Hair conditioners, Hair creams, Hair pomades,
`Hair products, namely, thickening control creams, Hair rinses, Hair shampoo,
`Hair shampoos and conditioners, Hair spray, Hair sprays, Hair sprays and hair
`gels, Hair styling preparations; Hair tonic, Hair tonics, Lotions for hair, Moussefor
`hair, Non-medicated hair restoration lotions, Non-medicated hair treatment pre-
`parations for cosmetic purposes, Non-medicated preparations all for the care of
`skin, hair and scalp for covering bald and thinning spots on the scalp
`
`Attachments
`
`88446156#TMSN.png( bytes )
`Consolidated Petition for Cancellation - Registration Nos. 5774901 and 5780133
`.pdf(275858 bytes )
`
`Signature
`Name
`Date
`
`/APacifici/
`Adriano Pacifici
`09/12/2019
`
`

`

`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`
`5780133 and 5774901
`HAIRCUBE
`
`
`In re: Registration Nos.
`For the Mark:
`
`
`
`
`
`
`
`
`
`
`
`
`NIR RON,
`
`
`Petitioner,
`
`
`
`
`
`
`
`
`
`
`
`
`
`v.
`
`
`
`
`
`
`
`LUOYANG HANGYUAN
`
`E-COMMERCE CO.,LTD.,
`
`
`
`Registrant.
`
`
`_______________________________________
`
`
`
`
`
`
`
`)
`)
`)
`)
`)
`)
`)
`)
`)
`)
`
`Cancellation No.
`
`CONSOLIDATED PETITION FOR
`CANCELLATION
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`Petitioner Nir Ron dba H3 Hair Cubed (cid:507)(cid:515)Petitioner(cid:516)(cid:508), believes that it is, and will
`
`continue to be, damaged by the existing registrations of the HAIRCUBE marks in standard
`
`character form (U.S. Registration Nos. 5780133 and 5774901), and hereby petitions for
`
`cancellation pursuant to 15 U.S.C. § 1064.
`
`As grounds for this Consolidated Petition for Cancellation, Petitioner respectfully
`
`submits:
`
`Petitioner
`
`
`I.
`
`BACKGROUND
`
`1.
`
`2.
`
`
`
`Petitioner Nir Ron dba H3 Hair Cubed is a United States individual domiciled at 950
`
`Laurel Grove Ave Studio City, CA 91604.
`
`Petitioner does business under the trademark H3 HAIR CUBED and under the
`
`corresponding logo
`
`.
`
`[1]
`
`

`

`3.
`
`Petitioner has common law rights to the H3 HAIR CUBED composite mark for hair care
`
`and related cosmetic products.
`
`4.
`
`Petitioner previously registered the
`
` trademark (U.S. Registration no.
`
`(cid:346)(cid:342)(cid:344)6(cid:344)6(cid:346)(cid:508) with the United States Patent and Trademark Office (cid:507)(cid:515)USPTO(cid:516)(cid:508), which was
`
`cancelled on April 20, 2018 because Opposer mistakenly failed to timely file the
`
`applicable renewal documents.
`
`5.
`
`Upon realizing that its previous registration was cancelled, on May 24, 2019, Petitioner
`
`applied for the composite mark
`
` (Serial no. 88446156) at the USPTO in
`
`international class 003 with a first use in commerce as of May 2008 for the following
`
`goods(cid:497) (cid:515)Cosmetic hair filling Hair thickener spray, hair fiber, Cosmetic hair dressing
`
`preparations, Cosmetic hair regrowth inhibiting preparations; Cosmetic preparations
`
`for the hair and scalp, Exfoliants for hair, Hair care creams, Hair care kits comprising
`
`non-medicated hair care preparations, Hair care lotions; Hair care preparations, Hair
`
`cleaning preparations, Hair coloring preparations, Hair colouring preparations, Hair
`
`conditioner, Hair conditioners, Hair creams, Hair pomades, Hair products, namely,
`
`thickening control creams, Hair rinses, Hair shampoo, Hair shampoos and conditioners,
`
`Hair spray, Hair sprays, Hair sprays and hair gels, Hair styling preparations; Hair tonic,
`
`Hair tonics, Lotions for hair, Mousse for hair, Non-medicated hair restoration lotions,
`
`Non-medicated hair treatment preparations for cosmetic purposes, Non-medicated
`
`
`
`[2]
`
`

`

`6.
`
`7.
`
`preparations all for the care of skin, hair and scalp for covering bald and thinning spots
`
`on the scalp(cid:516) (cid:507)(cid:515)Petitioner’s Mark(cid:516)(cid:508). A true and correct copy of a printout from the
`
`USPTO Online Trademark Electronic Search System database showing the current
`
`status and title of Petitioner’s Mark is attached hereto as Exhibit A.
`
`Upon information and belief, Registrant Luoyang Hangyuan E-commerce Co.,Ltd. is a
`
`Chinese limited liability company with a principal business address of 301 West
`
`St.1,3F,E-business Park, Baolong Luolong Dist., LUOYANG CHINA 471000.
`
`On November 5, 2018, Registrant applied to register the mark HAIRCUBE in standard
`
`character form (Serial no. 88180982) in international class 003 with an alleged first use
`
`in commerce as of September 01, 2018 for (cid:515)Colognes, perfumes and cosmetics; Cosmetic
`
`hand creams; Cosmetic oils; Cosmetic preparations for body care; Cosmetic suntan
`
`lotions; Cosmetics; Face creams for cosmetic use; Facial masks; Lip stains; Lipstick;
`
`Make-up removing lotions; Nail paint; Nail polish remover pens; Pre-moistened
`
`cosmetic wipes; Cleansing creams; Cosmetic creams for skin care; Cosmetic
`
`preparations for protecting the skin from the sun's rays; Cosmetic preparations for
`
`removing gel nails, acrylic nails, and nail polish; Cosmetic products in the form of
`
`aerosols for skincare; Cosmetics for children(cid:516).
`
`8.
`
`Registrant’s application serial no. 88180982 was registered on June 18, 2019 (Reg. no.
`
`5780133).
`
`9.
`
`
`
`Also, On November 5, 2018, Registrant applied to register the mark HAIRCUBE in
`
`standard character form (Serial no. 88181048) in international class 005 with an alleged
`
`[3]
`
`

`

`first use in commerce as of September (cid:342)(cid:343), (cid:344)(cid:342)(cid:343)8 for (cid:515)“erosol dispensers for medical use
`
`sold filled with hair growth stimulants; Analgesics; Anti-inflammatories; Cytostatics for
`
`medical purposes; Hair growth stimulants; Human growth hormone; Medical plasters;
`
`Medicated hair care preparations; Medicated hair serums; Medicated skin soap;
`
`Medicinal herbs; Medicinal oils; Medicinal preparations for stimulating hair growth;
`
`Sterilizing preparations; Sticking plasters for medical use; Dietetic foods adapted for
`
`medical purposes; Medicated balms for treatment of hair; Medicated lotions for hair;
`
`Medicated serums for treatment of hair(cid:498) Medicinal hair growth preparations(cid:516).
`
`10.
`
`Registrant’s application serial no. 88181048 was registered on June 11, 2019 (Reg. no.
`
`5774901).
`
`11.
`
`Registrant’s Registrations 5774901 and 5780133 are hereinafter referred to as
`
`(cid:515)Registrant’s Marks(cid:516).
`
`12. On August 20, 2019, Petitioner’s Mark received a non-final office action initially refusing
`
`to register Petitioner’s Mark in view of U.S. Registration Nos. 5774901 and 5780133 for
`
`the HAIRCUBE mark.
`
`13.
`
`For the reasons set forth below, U.S. Registration Nos. 5774901 and 5780133 should both
`
`be cancelled.
`
`II.
`
`PRIORITY
`
`14.
`
`Paragraphs 1 – 13 above, are realleged and incorporated herein by reference as if set
`
`forth in full.
`
`
`
`[4]
`
`

`

`15.
`
`Since at least as early as March 2008, more than ten (10) years before Registrant’s alleged
`
`first use in commerce of Registrant’s Marks, Petitioner has used Petitioner’s Mark in
`
`commerce for a variety of hair care and related cosmetic products.
`
`16. On information and belief, Registrant may only assert a first use in commerce of
`
`Registrant’s Marks as of September 01, 2018.
`
`17.
`
`Registrant is not entitled to use or register the marks that are subject to this Cancellation.
`
`18.
`
`Petitioner has priority over Registrant’s Marks. Accordingly, registration of Registrant’s
`
`Marks are improper under Section 2(d) of the Trademark Act, 15 U.S.C. § 1052(d).
`
`III.
`
`LIKELIHOOD OF CONFUSION
`
`19.
`
`Paragraphs 1 – 18, above, are realleged and incorporated herein by reference as if set
`
`forth in full.
`
`20.
`
`Persons familiar with the goods provided under Petitioner’s Mark, upon seeing the
`
`goods provided under Registrant’s Marks, would likely believe, and would be justified
`
`in so believing, that such goods originated from Petitioner or were provided in
`
`association, connection, or affiliation with, or under sponsorship, approval, or
`
`authorization by Petitioner.
`
`21.
`
`Registrant’s Marks are nearly identical in sound, meaning, and commercial impression
`
`to Petitioner’s Mark.
`
`22.
`
`Specifically, both Registrant’s Marks and Petitioner’s Mark include the term (cid:515)Hair
`
`Cube[d](cid:516).
`
`
`
`[5]
`
`

`

`23.
`
`The only difference between Petitioner’s Mark and Registrant’s Marks is the inclusion
`
`of the term (cid:515)H(cid:345)(cid:516) in Petitioner’s Mark. This additional term does not sufficiently
`
`differentiate the parties’ respective marks and does not obviate likelihood of confusion
`
`between Petitioner’s Mark and Registrant’s Marks.
`
`24.
`
`The goods identified in Registrant’s registrations and the goods provided under
`
`Petitioner’s Mark are nearly identical. It is common for the same entity to provide hair
`
`care products and cosmetic products.
`
`25.
`
`Furthermore, it is standard to find a direct relationship between hair care products in
`
`class 003 and other body products in class 005.
`
`26. On information and belief, the channels of trade for Registrant’s goods and the channels
`
`of trade for Petitioner’s products are at worst substantially similar and at best identical.
`
`27. When viewed by consumers, the trademarks that are subject of this Cancellation are
`
`likely to be confused with Petitioner’s Mark.
`
`28.
`
`Registrant’s adoption and use of Registrant’s Marks are without the license or
`
`permission of Petitioner.
`
`29.
`
`For the reasons set forth above and because Registrant’s Marks will likely cause
`
`confusion or mistake, or to deceive the public as to the source of goods, continued
`
`registration of Registrant’s Marks violates Section 2(d) of the Lanham Act, 15 U.S.C. §
`
`1052(d).
`
`30. As the known source of goods sold under Petitioner’s Mark, consumers would likely
`
`believe that the goods identified in Registrant’s Marks emanate from Petitioner due to
`
`
`
`[6]
`
`

`

`the nearly identical marks, substantially similar products/services, and substantially
`
`similar channels of trade. This likelihood of confusion will damage Petitioner within the
`
`mean of 15 U.S.C. § 1063.
`
`IV.
`
`FALSE DESIGNATION OF A CONNECTION
`
`31.
`
`Paragraphs 1 – 30, above, are realleged and incorporated herein by reference as if set
`
`forth in full.
`
`32.
`
`Registrant’s Marks incorporate and appropriate the distinctive element and formation
`
`of Petitioner’s Mark.
`
`33. As such, the consuming public will (mistakenly) identify and recognize Registrant’s
`
`goods and Petitioner’s goods as originating from the same source.
`
`34. However, Petitioner has no connection to Registrant or its activities.
`
`35.
`
`Registrant’s use of Registrant’s Marks in connection with cosmetic products creates a
`
`false suggestion of affiliation with, or sponsorship by, Petitioner.
`
`36.
`
`By creating a false and misleading suggestion of affiliation, Registrant’s Marks are in
`
`violation of Section 43(a) of the Lanham Act, 15 U.S.C. § 1125(a).
`
`V.
`
`DILUTION
`
`37.
`
`Paragraphs 1 – 36, above, are realleged and incorporated herein by reference as if set
`
`forth in full.
`
`38.
`
`Petitioner’s Mark is distinctive and famous having been in continues use for more than
`
`ten (10) years and was famous within the meaning of 15 U.S.C. § 1125(c) prior to
`
`Registrant’s alleged first use in commerce of Registrant’s Marks. Registration of
`
`
`
`[7]
`
`

`

`Registrant’s Marks will cause, further, or support dilution of the distinctive quality of
`
`Petitioner’s Mark and otherwise violate and infringe upon Petitioner’s rights under
`
`Section 43(c) of the Lanham Act, 15 U.S.C. § 1125(c)
`
`VI. CONCLUSION
`
`39.
`
`The continued registration of Registrant’s Marks is inconsistent with Petitioner’s rights
`
`in its H3 HAIR CUBED composite mark and will cause damage to Petitioner trademark
`
`and business.
`
`40. U.S. Registration Nos. 5774901 and 5780133 should be cancelled because Petitioner has
`
`priority to Petitioner’s Mark and because Registrant’s Marks are likely to cause
`
`confusion with Petitioner’s Mark. Continued registration of Registrant’s Marks will
`
`cause damage to Petitioner’s business.
`
`WHEREFORE, Petitioner respectfully prays that its Consolidated Petition be sustained
`
`and that the Board cancel U.S. Registration Nos. 5774901 and 5780133.
`
`Dated this 12th day of September 2019.
`
`Petitioner submits herewith the requisite filing fee of $800.00 for this cancellation.
`
`
`Respectfully submitted,
`
`
`
`
`
`
`[8]
`
`
`
`
`
`
`
`
`s/APacifici/
`Adriano Pacifici
`Intellectual Property Consulting, L.L.C.
`334 Carondelet Street, Suite B
`New Orleans, LA 70130
`T: (504) 323-6600
`E-mail: apacifici@iplawconsulting.com
`Attorney for Petitioner, Nir Ron dba H3 Hair Cubed
`
`

`

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`
`EXHIBIT A
`EXHIBIT A
`
`

`

`Generated on: This page was generated by TSDR on 2019-09-12 10:02:29 EDT
`
`Mark: H3 HAIR CUBED
`
`US Serial Number: 88446156
`
`Filed as TEAS RF: Yes
`
`Register: Principal
`
`Mark Type: Trademark
`
`TM5 Common Status
`Descriptor:
`
`Application Filing
`Date:
`
`May 24, 2019
`
`Currently TEAS RF: Yes
`
`LIVE/APPLICATION/Under Examination
`
`The trademark application has been accepted by the Office (has met the
`minimum filing requirements) and that this application has been assigned to
`an examiner.
`
`Status: A non-final Office action has been sent (issued) to the applicant. This is a letter from the examining attorney requiring additional
`information and/or making an initial refusal. The applicant must respond to this Office action. To view all documents in this file, click on
`the Trademark Document Retrieval link at the top of this page.
`
`Status Date: Aug. 20, 2019
`

`
`Mark Literal
`Elements:
`
`H3 HAIR CUBED
`
`Standard Character
`Claim:
`
`No
`
`Mark Information
`
`Mark Drawing
`Type:
`
`3 - AN ILLUSTRATION DRAWING WHICH INCLUDES WORD(S)/ LETTER(S)/NUMBER(S)
`
`Description of
`Mark:
`
`The mark consists of The mark consists of The mark consists of the letter H next to the superscripted number 3. Below a solid line is
`the wording HAIR CUBED.
`
`Color Drawing: Yes
`
`Color(s) Claimed: The color(s) Red, Black, White and Grey is/are claimed as a feature of the mark.
`
`Design Search
`Code(s):
`
`26.17.01 - Bands, straight; Bars, straight; Lines, straight; Straight line(s), band(s) or bar(s)
`26.17.05 - Bands, horizontal; Bars, horizontal; Horizontal line(s), band(s) or bar(s); Lines, horizontal
`
`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: Cosmetic hair filling Hair thickener spray, hair fiber, Cosmetic hair dressing preparations, Cosmetic hair regrowth inhibiting
`preparations; Cosmetic preparations for the hair and scalp, Exfoliants for hair, Hair care creams, Hair care kits comprising non-
`medicated hair care preparations, Hair care lotions; Hair care preparations, Hair cleaning preparations, Hair coloring preparations, Hair
`colouring preparations, Hair conditioner, Hair conditioners, Hair creams, Hair pomades, Hair products, namely, thickening control
`creams, Hair rinses, Hair shampoo, Hair shampoos and conditioners, Hair spray, Hair sprays, Hair sprays and hair gels, Hair styling
`preparations; Hair tonic, Hair tonics, Lotions for hair, Mousse for hair, Non-medicated hair restoration lotions, Non-medicated hair
`treatment preparations for cosmetic purposes, Non-medicated preparations all for the care of skin, hair and scalp for covering bald and
`thinning spots on the scalp
`
`International
`Class(es):
`
`003 - Primary Class
`
`Class Status: ACTIVE
`
`Basis: 1(a)
`
`First Use: Sep. 11, 2007
`
`U.S Class(es): 001, 004, 006, 050, 051, 052
`
`Use in Commerce: Mar. 2008
`
`Used Anywhere in
`Another Form:
`
`The mark was first used anywhere in a different
`form other than that sought to be registered at
`least as early as 09/11/2007
`
`Used in Commerce
`in Another Form:
`
`The mark was first used in commerce in a
`different form other than that sought to be
`registered at least as early as 03/00/2008
`
`

`

`Filed Use: Yes
`
`Filed ITU: No
`
`Filed 44D: No
`
`Filed 44E: No
`
`Filed 66A: No
`
`Filed No Basis: No
`
`Basis Information (Case Level)
`
`Currently Use: Yes
`
`Currently ITU: No
`
`Currently 44E: No
`
`Currently 66A: No
`
`Currently No Basis: No
`
`Current Owner(s) Information
`
`Owner Name: Ron Nir
`
`DBA, AKA,
`Formerly:
`
`DBA H3 Hair Cubed
`
`Owner Address: 3950 Laurel Grove Ave
`3950 Laurel Grove Ave
`Studio City, CALIFORNIA UNITED STATES 91604
`
`Legal Entity Type: INDIVIDUAL
`
`Citizenship: UNITED STATES
`
`Attorney/Correspondence Information
`
`Attorney of Record - None
`
`Correspondent
`
`Correspondent
`Name/Address:
`
`RON NIR
`HAIR CUBED
`3950 LAUREL GROVE AVE
`3950 LAUREL GROVE AVE
`STUDIO CITY, CALIFORNIA UNITED STATES 91604
`
`Phone: 818-288-4700
`
`Domestic Representative - Not Found
`Prosecution History
`
`Date
`
`Description
`
`Aug. 20, 2019
`Aug. 20, 2019
`Aug. 20, 2019
`Aug. 13, 2019
`Jun. 11, 2019
`Jun. 10, 2019
`May 28, 2019
`
`NOTIFICATION OF NON-FINAL ACTION E-MAILED
`NON-FINAL ACTION E-MAILED
`NON-FINAL ACTION WRITTEN
`ASSIGNED TO EXAMINER
`NOTICE OF DESIGN SEARCH CODE E-MAILED
`NEW APPLICATION OFFICE SUPPLIED DATA ENTERED IN TRAM
`NEW APPLICATION ENTERED IN TRAM
`TM Staff and Location Information
`
`TM Attorney: RIOS, SASHA BOSHART
`
`Current Location: TMO LAW OFFICE 125 - EXAMINING
`ATTORNEY ASSIGNED
`
`TM Staff Information
`
`Law Office
`Assigned:
`
`LAW OFFICE 125
`
`File Location
`
`Date in Location: Aug. 20, 2019
`
`Proceeding
`Number
`
`6325
`6325
`94643
`94643
`
`

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