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`ESTTA Tracking number:
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`ESTTA1221199
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`Filing date:
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`07/12/2022
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`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
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`Petition for Cancellation
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`Notice is hereby given that the following party has filed a petition to cancel the registration indicated below.
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`Petitioner information
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`Name
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`Entity
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`Address
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`Attorney informa-
`tion
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`Ahaoho Studio, Inc.
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`Corporation
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`Citizenship
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`KOREA, REPUBLIC OF
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`115, BULDANG-RO, DAEGOT-MYEON
`GIMPO SI, 10037
`KOREA, REPUBLIC OF
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`SANG HO LEE
`NOVICK, KIM & LEE, PLLC
`3251 OLD LEE HIGHWAY
`SUITE 500
`FAIRFAX, VA 22030
`UNITED STATES
`Primary email: docket@nkllaw.com
`Secondary email(s): slee@nkllaw.com, djung@nkllaw.com
`703-745-5495
`
`Docket no.
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`LLK6820112
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`Registration subject to cancellation
`
`Registration no.
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`5212360
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`Registration date
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`05/30/2017
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`Register
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`Registrant
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`Principal
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`Barcelo Relax, Inc
`8307 S 192ND ST
`KENT, WA 98032
`UNITED STATES
`
`Goods/services subject to cancellation
`
`Class 020. First Use: Jul 12, 2016 First Use In Commerce: Jul 12, 2016
`All goods and services in the class are subject to cancellation, namely: Camping furniture; Sleeping
`bags for camping; Playpens; Furniture primarily of metal, namely, mirrors, bed frames, dining tables,
`coffee tables, end tables, desks, display cases, shelving, dog gates,and baby gates; Dog beds; Dog
`kennels; Dog transport boxes; Patio furniture; Indoor window blinds; Window shades; Flagpoles and
`plastic flags and accessories for flags and flagpoles sold together as a unit, namely, rods, rod sup-
`ports and couplers, connectors, pins, brackets, clamps, fasteners, nuts and bolts, and polesupports;
`Non-metal identification tags, tag sticks, tag flags, and tag cards for the purpose of the analysis and
`studying of fish migration, growth rates, andother data, often applied to fish by amateur anglers;
`Plastic flags; Room dividers; Office chairs; Combination funeraryurns and plant pots; Beds for house-
`holdpets; Kennels for household pets; Cratecovers for pets; Non-metal safety gatesfor babies, chil-
`dren, and pets; Pet cushions; Pet furniture; Pet ramp; Pillows for household pets; Play yards for
`pets;Playhouses for pets; Portable beds for pets; Cat scratching pads; Cat scratching posts; Plastic
`vinyl sheets for attachment to furniture to prevent damage caused by cat scratching; Scratching posts
`for cats
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`
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`Grounds for cancellation
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`Abandonment
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`Trademark Act Section 14(3)
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`Attachments
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`LLK6820112-PetitionForCancellation.pdf(155461 bytes )
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`Signature
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`/David Youngjoon Jung/
`
`Name
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`Date
`
`David Youngjoon Jung
`
`07/12/2022
`
`
`
`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`BEFORE THE TRADMARK TRIAL AND APPEAL BOARD
`
`
`
`
`Cancellation No. t/b/a
`
`Registration No. 5,212,360
`Mark: Ireko
`Registered: May 30, 2017
`
`
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`Ahaoho Studio, Inc.
`
` Petitioner,
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` v.
`
`Barcelo Relax, Inc,
`
` Respondent .
`
`
`Trademark Trial and Appeal Board
`United States Patent and Trademark Office
`P.O. Box 1451
`Alexandria, VA 22313-1451
`
`For online submission via ESTTA
`
`PETITION FOR CANCELLATION
`
`
`
`Ahaoho Studio, Inc. (“Petitioner”), a corporation organized under the laws of Republic of
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`Korea, with a current business address of 115, Buldang-ro, Daegot-myeon, Gimpo si 10037,
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`Republic of Korea, believes that it is damaged by the continued registration of Class 20 in U.S.
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`Trademark Registration No. 5,212,360, owned by Barcelo Relax, Inc (“Respondent”), and hereby
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`petitions to cancel Class 20 in U.S. Trademark Registration No. 5,212,360 (“Respondent’s
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`Registration”) pursuant to Section 14 of the Lanham Trademark Act, 15 U.S.C. §1064.
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`Petitioner, in support of its petition, alleges as follows:
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`1.
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`Petitioner is a South Korea based company that sells various types of furniture.
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`Page 1 of 6
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`2.
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`Petitioner has applied for registration of mark IREKA (“Petitioner’s Mark”) on
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`June 29, 2021, which has been assigned application serial no. 90/801,162 (“Petitioner’s
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`Application”).
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`3.
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`Applicant seeks registration of Petitioner’s Mark in the Principal Register of the
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`United States Patent and Trademark Office (“USPTO”) for “Furniture; Baby walkers; Brackets,
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`not of metal, for furniture; Bumper guards for cribs, other than bed linen; Chairs; Cots for
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`babies; Desks; Foot stools; Furniture fittings, not of metal; High chairs; High chairs for babies;
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`Playpens for babies; Portable baby bath seats for use in bath tubs; Step stools, not of metal;
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`Furniture parts, namely, chair leg; Non-metal safety gates for babies, children, and pets” in
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`International Class 20.
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`
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`4.
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`On April 1, 2022, the examining attorney at the USPTO who has been assigned to
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`review Petitioner’s Application issued a non-final office action refusing registration of
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`Petitioner’s Mark under Section 2(d) of the Lanham Act based on a likelihood of confusion with
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`Class 20 of the mark “Ireko” (“Respondent’s Mark”) in Respondent’s Registration.
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`5.
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`Based on the USPTO records, Respondent is listed as a Washington corporation.
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`6.
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`Upon information and belief, Respondent no longer exists because it has been
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`dissolved voluntarily (see Exhibit A).
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`
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`7.
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`Upon information and belief, Respondent no longer uses Respondent’s Mark in
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`commerce in connection with the goods listed in Class 20 of Respondent’s Registration.
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`8.
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`Upon information and belief, for at least the last three consecutive years,
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`Respondent has not used Respondent’s Mark in the U.S. commerce in connection with the goods
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`listed in Class 20 of Respondent’s Registration.
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`Page 2 of 6
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`9.
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`Upon information and belief, Respondent does not have the requisite intent to
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`resume use of Respondent’s Mark in the U.S. commerce in connection with the goods listed in
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`Class 20 of Respondent’s Registration.
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`10. Within the meaning of Section 14(3) of the Trademark Act, 15 U.S.C. § 1064(3),
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`Respondent has abandoned Class 20 of Respondent’s Registration.
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`
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`11.
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`In view of Respondent’s non-use and abandonment of Respondent’s Mark in
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`connection with the goods listed in Class 20 of Respondent’s Registration, Respondent is not
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`entitled to continued registration of Respondent’s Mark pursuant to Section 14(3) of the
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`Trademark Act, 15 U.S.C. § 1064(3). Therefore, Class 20 of Respondent’s Registration should
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`be cancelled.
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`
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`12.
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`As Petitioner’s attempt to register Petitioner’s Mark will be impaired by the
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`continued registration of Respondent’s Mark in connection with the goods listed in Class 20 of
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`Respondent’s Registration, which is believed to have been abandoned, Class 20 in Respondent’s
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`Registration should be cancelled.
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`Page 3 of 6
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`Petitioner reserves the right to amend this Petition for Cancellation to allege other claims
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`in the event discovery of other information indicates they are appropriate.
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`
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`WHEREFORE, Petitioner prays that Class 20 in the U.S. Registration No. 5,212,360 be
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`cancelled and this Petition for Cancellation be sustained in favor of Petitioner.
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`
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`Dated: July 12, 2022
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`Respectfully submitted,
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`NOVICK, KIM & LEE, PLLC
`
`By: /Sang Ho Lee/
`Sang Ho Lee
`David Youngjoon Jung
`
`3251 Old Lee Highway.
`Suite 500
`Fairfax, Virginia 22030
`Telephone: (703) 745-5495
`Facsimile: (703) 563-9748
`slee@nkllaw.com
`djung@nkllaw.com
`Attorneys for Petitioner
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`Page 4 of 6
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`EXHIBIT A
`EXHIBIT A
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`Page 5 of 6
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`G) Company Info
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`UB! #:
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`Business Name
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`604012227
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`BARCELO RELAX, INC
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`Date of Incorpration
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`6/28/2016
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`Expiration Date:
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`6/30/2022
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`Dissolution Date
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`2/17/2022
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`State of Incorpration
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`WASHINGTON
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`Company Status
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`Entity Type:
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`WAPROFIT CORPORATION
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`Period of Duration
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`PERPETUAL
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`Category
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`Type
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`REG
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`PROFIT
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`Mailing Address
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`8307 S 192ND ST, KENT, WA98032 1139, USA
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`Agent Name
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`ALEKSEY MALYUGIN
`
`Agent Address
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`8307 S 192ND ST, KENT, WA 980321139
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`Page 6 of 6
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`

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