`
`Filing date:
`
`ESTTA1368346
`07/01/2024
`
`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
`
`Nobel Biocare Services AG
`
`Corporation
`
`Incorporated or
`registered in
`
`Switzerland
`
`BALZ ZIMMERMANN-STRASSE 7
`KLOTEN, CH-8302
`SWITZERLAND
`
`CHARLENE AZEMA
`KNOBBE, MARTENS, OLSON & BEAR, LLP
`2040 MAIN STREET, 14TH FLOOR
`IRVINE, CA 92614
`UNITED STATES
`Primary email: efiling@knobbe.com
`949 760 0404
`
`Docket no.
`
`NOBELBT.222N
`
`Registration subject to cancellation
`
`Registration no.
`
`5792726
`
`Registration date
`
`07/02/2019
`
`Register
`
`Registrant
`
`Principal
`
`Krauser, Jack T
`3017 EMBASSY DRIVE
`WEST PALM BEACH, FL 33401
`UNITED STATES
`
`Goods/services subject to cancellation
`
`Class 044. First Use: Sep 15, 2018 First Use In Commerce: Sep 15, 2018
`All goods and services in the class are subject to cancellation, namely: Dental implant services,
`namely, performing restorative procedures by installing dental implants for patients utilizing immedi-
`ate, early and delayed loading protocols
`
`Grounds for cancellation
`
`Priority and likelihood of confusion
`
`Trademark Act Sections 14(1) and 2(d)
`
`Other
`
`Common law rights, prior registrations, and bad
`faith registration
`
`Marks cited by petitioner as basis for cancellation
`
`U.S. registration
`no.
`
`3916307
`
`Application date
`
`02/23/2010
`
`
`
`Register
`
`Principal
`
`Registration date
`
`02/08/2011
`
`Foreign priority
`date
`
`08/26/2009
`
`Word mark
`
`Design mark
`
`Description of
`mark
`
`Goods/services
`
`ALL-ON-4
`
`NONE
`
`Class 010. First use: First Use: None First Use In Commerce: None
`Dental instruments, namely, [ picks, burrs; ] medical instruments for use in cut-
`ting tissue; surgical instruments; dental and surgical devices consisting of plan-
`ning guides for determining, before surgery, target positions and intended
`depths of insertion of dental implants, and in models intended for use in the
`dental implant sector
`Class 044. First use: First Use: None First Use In Commerce: None
`Medical and dental surgery services; professional consulting and planning in the
`field of dental surgery
`
`U.S. registration
`no.
`
`5202545
`
`Register
`
`Principal
`
`Registration date
`
`05/16/2017
`
`Application date
`
`01/19/2015
`
`Foreign priority
`date
`
`NONE
`
`Word mark
`
`Design mark
`
`Description of
`mark
`
`Goods/services
`
`Attachments
`
`ALL-ON-4
`
`NONE
`
`Class 041. First use: First Use: 2004 First Use In Commerce: 2004
`Educational, instructional and training services, namely, arranging and conduct-
`ing seminars in the field of medical and/or dental implantation techniques; and
`surgical instruction in the field of prostheses and implantation of biological and
`non-biological materials
`
`79081733#TMSN.png( bytes )
`86507376#TMSN.png( bytes )
`Petition for Cancellation.pdf(445162 bytes )
`EX 1 NOBEL .pdf(936068 bytes )
`EX 2 NOBEL.pdf(5814465 bytes )
`EX 3 NOBEL.pdf(1103409 bytes )
`
`Signature
`
`/Charlene Azema/
`
`Name
`
`Date
`
`Charlene Azema
`
`07/01/2024
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
` TTAB
`
`
`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
`
`NOBELBT.222N
`
`
`
`
`
`
`
`
`Nobel Biocare Services AG,
`
`
`Petitioner,
`
`v.
`
`Jack T Krauser,
`
`
`Respondent.
`
`
`Cancellation No: __________
`
`Reg. No.: 5,792,726
`
`Mark: ALL-ON-MORE
`
`
`
`
`
`PETITION FOR CANCELLATION
`
`
`Commissioner for Trademarks
`P.O. Box 1451
`Alexandria, VA 22313-1451
`
`Dear Commissioner:
`Pursuant to Section 14 of the Trademark Act, 15 U.S.C. § 1064 and T.B.M.P. § 309.03(c),
`
`Petitioner, Nobel Biocare Services AG, a corporation of Switzerland with an address at Balz
`
`Zimmermann-Strasse 7, CH-8302 Kloten, Switzerland (“Petitioner” or “Nobel Biocare”), believes
`
`that it has been and will continue to be damaged by the continued registration of Registration No.
`
`5,792,726 (the “Subject Registration”) for the ALL-ON-MORE mark (“Respondent’s Mark”) in
`
`International Class 44, registered by Jack T Krauser, a United States citizen, with an address at
`
`3017 Embassy Drive, West Palm Beach, Florida 33401 (“Respondent”), and hereby petitions to
`
`cancel the same.
`
` A description of the Subject Registration is as follows:
`
`
`
`
`
`
`Mark: ALL-ON-MORE
`Reg. No. 5,792,726
`Filing Date: November 5, 2018
`Reg. Date: July 2, 2019
`
`- 1 -
`
`
`
`
`
`Services: Dental implant services, namely, performing restorative procedures by installing
`dental implants for patients utilizing immediate, early and delayed loading protocols in
`Class 44.
`
`As grounds for this Petition, it is alleged that:
`
`1.
`
`Petitioner Nobel Biocare is a global leader in providing innovative implant-based
`
`dental products and solutions including dental implant systems, prosthetics, and biomaterials, as
`
`well as treatment planning, dental restoration, guided surgery solutions, educational seminars and
`
`educational materials.
`
`2.
`
`Since at least as early as 2004, long before the filing date and alleged first use dates
`
`of use of the application that matured into Respondent’s Subject Registration, Nobel Biocare has
`
`been continuously engaged in the design, development, marketing, promotion, offer, manufacture
`
`and/or sale of dental implant goods and services in connection with the mark ALL-ON-4®
`
`(“Petitioner’s Mark”). Examples of Petitioner’s medical and dental implants, dental implant
`
`services, and educational services in the field of dental implantation and surgery and related
`
`consultation services are attached as Exhibit 1.
`
`3.
`
`By virtue of Petitioner’s continuous and substantial use, Petitioner’s Mark has
`
`become a well-known identifier of Petitioner since long before the filing date and alleged first use
`
`date of the Subject Registration.
`
`4.
`
`Petitioner has built up, at great expense and effort, valuable goodwill in Petitioner’s
`
`Mark and has developed strong common law rights in Petitioner’s Mark. Petitioner used
`
`Petitioner’s Mark in the field of medical and dental implantation since at least as early as 2004, for
`
`two decades. Petitioner’s common law rights in Petitioner’s Mark predate the filing date and
`
`alleged date of first use of Respondent’s Mark, and Petitioner relies on these common law
`
`trademark rights in this Petition.
`
`- 2 -
`
`
`
`
`
`5.
`
`In addition to its common law rights, Petitioner owns and relies on incontestable
`
`U.S. Trademark Registration No. 3,916,307 (“‘307 Registration”) for the ALL-ON-4 mark in
`
`connection with “Dental instruments, namely, medical instruments for use in cutting tissue;
`
`surgical instruments; dental and surgical devices consisting of planning guides for determining,
`
`before surgery, target positions and intended depths of insertion of dental implants, and in models
`
`intended for use in the dental implant sector” in Class 10; “Medical and dental surgery services;
`
`professional consulting and planning in the field of dental surgery” in Class 44, which registration
`
`issued February 8, 2011 and is based on an application filed in the United States Patent and
`
`Trademark Office (“USPTO”) on February 23, 2010. A true and correct copy of the specifics of
`
`the ‘307 Registration obtained from the USPTO’s database is attached hereto as Exhibit 2 and
`
`made of record.
`
`6.
`
`Petitioner also owns and relies on incontestable U.S. Trademark Registration No.
`
`5,202,545 (“‘545 Registration”) for the ALL-ON-4 mark in connection with “Educational,
`
`instructional and training services, namely, arranging and conducting seminars in the field of
`
`medical and/or dental implantation techniques; and surgical instruction in the field of prostheses
`
`and implantation of biological and non-biological materials” in Class 41, which registration issued
`
`May 16, 2017 and is based on an application filed in the United States Patent and Trademark Office
`
`(“USPTO”) on January 19, 2015. A true and correct copy of the specifics of the ‘545 Registration
`
`obtained from the USPTO’s database is attached hereto as Exhibit 3 and made of record.
`
`7.
`
`The ‘307 and ‘545 Registrations are valid, subsisting, unrevoked and uncancelled;
`
`as such they constitute prima facie evidence of (i) the validity of the registered Petitioner’s Mark
`
`and of the registrations thereof, (ii) Petitioner’s ownership of Petitioner’s Mark shown therein, and
`
`(iii) Petitioner’s exclusive right to use Petitioner’s Mark on the goods and services set forth in the
`
`- 3 -
`
`
`
`
`
`registrations. Petitioner’s registrations also constitute notice to Respondent of Petitioner’s claim
`
`of ownership to Petitioner’s Mark as provided in Sections 7(b), 22 and 33(a) of the Trademark Act.
`
`8.
`
`By reason of Petitioner’s widespread and continuous use of Petitioner’s Mark,
`
`Petitioner has extensive non-registered, statutory, and common law rights in Petitioner’s Mark.
`
`Petitioner’s common law rights in Petitioner’s Mark were established well before and predate the
`
`filing of the Subject Registration and the alleged first use date set forth in the Subject Registration.
`
`Therefore, Petitioner’s common law rights in Petitioner’s Mark are prior to and superior to the
`
`Subject Registration.
`
`9.
`
`Respondent is also well aware of Petitioner and Petitioner’s extensive rights in the
`
`ALL-ON-4® mark and adopted Respondent’s Mark in bad faith with the intent of trading off of
`
`the recognition and goodwill Petitioner has established in its ALL-ON-4® mark.
`
`10.
`
`Respondent alleges first use of the ALL-ON-MORE mark in the Subject
`
`Registration as of September 15, 2018. Petitioner’s first use of its ALL-ON-4® mark as well as
`
`its filing and registration dates in its ‘307 and ‘545 Registrations all predate Respondent’s filing
`
`date and alleged first use of the mark shown in the Subject Registration.
`
`11.
`
`Respondent’s ALL-ON-MORE mark is nearly identical to and conceptually similar
`
`to Petitioner’s ALL-ON-4® mark and is similar in appearance, meaning, sound and connotation
`
`to Petitioner’s Mark.
`
`12.
`
`The services covered in the Subject Registration are nearly identical to, are highly
`
`overlapping with, and/or are complementary to the goods and services protected in Petitioner’s
`
`Registrations and Petitioner’s common law rights.
`
`13.
`
`Petitioner has been and will continue to be damaged by the continued registration
`
`of the Subject Registration in that Respondent’s Mark so resembles Petitioner’s Mark, including
`
`as registered in the USPTO, and in which Petitioner owns common law trademark rights, as to be
`
`- 4 -
`
`
`
`
`
`likely, when used on or in connection with the services as they are identified in the Subject
`
`Registration, to cause confusion, or to cause mistake or to deceive within the meaning of Section
`
`2(d) of the Trademark Act, 15 U.S.C. § 1052(d).
`
`14.
`
`Potential purchasers, upon seeing Respondent’s Mark, are likely to mistakenly
`
`believe that such mark, and the associated services identified with the Subject Registration offered
`
`thereunder, originated with or are connected or associated with, or sponsored, licensed, or
`
`approved by Petitioner, when they are not.
`
`15.
`
`Furthermore, Respondent, having been very familiar with Petitioner’s Mark and
`
`aware of the brand recognition and goodwill Petitioner had developed in the ALL-ON-4® mark,
`
`adopted Respondent’s Mark in bad faith, with the intention of trading off Petitioner’s recognition
`
`and goodwill in Petitioner’s Mark.
`
`16.
`
`In view of Petitioner’s prior rights in Petitioner’s Mark, Respondent is not entitled
`
`to maintain its federal registration for the ALL-ON-MORE mark pursuant to Section 2(d) of the
`
`Trademark Act, 15 U.S.C. § 1052(d).
`
`17. WHEREFORE, Petitioner requests that the U.S. Trademark Registration No.
`
`5,792,726 be cancelled and that this Petition for Cancellation be sustained in favor of Petitioner.
`
`Please charge any additional fees or credit overpayment to Deposit Account No. 11-1410.
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`- 5 -
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`Dated: July 1, 2024
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
` Respectfully submitted,
`
` KNOBBE, MARTENS, OLSON & BEAR, LLP
`
`
`
` By: /Charlene Azema/
`
`
`Susan M. Natland
`
`
`Charlene Azema
`
`
`Julie Vo
`
`
`2040 Main Street, 14th Floor
`
`
`Irvine, CA 92614
`
`
`(949) 760-0404
`
`
`efiling@knobbe.com
`
`
`
`
`
`
`
`
`Attorneys for Petitioner,
`Nobel Biocare Services AG
`
`- 6 -
`
`
`
`EXHIBIT 1
`EXHIBIT 1
`
`
`
`https://store.nobelbiocare.com/us/en/show-model-all-on-4-with-nobelactive-implants, date
`accessed June 28, 2024.
`
`
`
`https://store.nobelbiocare.com/us/en/instruments/other-instruments/miscellaneous/all-on-4-guide,
`date accessed June 28, 2024.
`
`
`
`https://www.nobelbiocare.com/en-us/all-on-4-treatment-concept, date accessed June 28, 2024.
`
`
`
`https://info.nobelbiocare.com/en/all-on-4-online-course, date accessed June 28, 2024.
`
`
`
`EXHIBIT 2
`EXHIBIT 2
`
`
`
`Generated on: This page was generated by TSDR on 2024-06-18 12:49:36 EDT
`
`Mark: ALL-ON-4
`
`US Serial Number: 79081733
`
`US Registration
`Number:
`
`3916307
`
`Register: Principal
`
`Mark Type: Trademark, Service Mark
`
`TM5 Common Status
`Descriptor:
`
`Application Filing
`Date:
`
`Feb. 23, 2010
`
`Registration Date: Feb. 08, 2011
`
`LIVE/REGISTRATION/Issued and Active
`
`The trademark application has been registered with the Office.
`
`Status: A Section 71 declaration has been accepted.
`
`Status Date: Sep. 11, 2021
`
`Publication Date:Nov. 23, 2010
`
`
`Mark Literal
`Elements:
`
`ALL-ON-4
`
`Mark Information
`
`Standard Character
`Claim:
`
`Mark Drawing
`Type:
`
`Yes. The mark consists of standard characters without claim to any particular font style, size, or color.
`
`4 - STANDARD CHARACTER MARK
`
`Related Properties Information
`
`1036397
`
`International
`Registration
`Number:
`
`International
`Registration Date:
`
`Feb. 23, 2010
`
`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: Dental instruments, namely, [ picks, burrs; ] medical instruments for use in cutting tissue; surgical instruments; dental and surgical
`devices consisting of planning guides for determining, before surgery, target positions and intended depths of insertion of dental
`implants, and in models intended for use in the dental implant sector
`
`International
`Class(es):
`
`010 - Primary Class
`
`Class Status: ACTIVE
`
`Basis: 66(a)
`
`U.S Class(es): 026, 039, 044
`
`For: Medical and dental surgery services; professional consulting and planning in the field of dental surgery
`
`International
`Class(es):
`
`044 - Primary Class
`
`Class Status: ACTIVE
`
`Basis: 66(a)
`
`U.S Class(es): 100, 101
`
`Basis Information (Case Level)
`
`
`
`Filed Use: No
`
`Filed ITU: No
`
`Filed 44D: No
`
`Filed 44E: No
`
`Filed 66A: Yes
`
`Currently Use: No
`
`Currently ITU: No
`
`Currently 44D: No
`
`Currently 44E: No
`
`Currently 66A: Yes
`
`Filed No Basis: No
`
`Currently No Basis: No
`
`Current Owner(s) Information
`
`Owner Name: Nobel Biocare Services AG
`
`Owner Address: Balz Zimmermann-Strasse 7
`CH-8302 Kloten SWITZERLAND
`
`Legal Entity Type: CORPORATION
`
`State or Country
`Where Organized:
`
`SWITZERLAND
`
`Attorney/Correspondence Information
`
`Attorney Name: Victoria Friedman
`
`Docket Number: 10167271TR
`
`Attorney Primary
`Email Address:
`
`vfriedman@dennemeyer-law.com
`
`Attorney Email
`Authorized:
`
`Yes
`
`Attorney of Record
`
`Correspondent
`
`Correspondent
`Name/Address:
`
`Victoria Friedman
`Dennemeyer & Associates, LLC
`2 North Riverside Plaza, Suite 1500
`Chicago, ILLINOIS UNITED STATES 60606
`
`Phone: 312-628-5529
`
`Fax: 312-419-9440
`
`Correspondent e-
`mail:
`
`vfriedman@dennemeyer-law.com mmcgovern@d
`ennemeyer-law.com docket@dennemeyer-
`law.com filing.us@dennemeyer-law.com emeyers
`@dennemeyer-law.com
`
`Correspondent e-
`mail Authorized:
`
`Yes
`
` Domestic
`Representative
`Name:
`
`Victoria Friedman
`
`Fax: 312-419-9440
`
`Domestic Representative
`
`Phone: 312-628-5529
`
` Domestic
`Representative e-
`mail:
`
`vfriedman@dennemeyer-law.com
`
` Domestic
`Representative e-
`mail Authorized:
`
`Yes
`
`Prosecution History
`
`Date
`
`Description
`
`Sep. 19, 2022
`
`PARTIAL INVALIDATION PROCESSED BY THE IB
`
`Aug. 08, 2022
`
`PARTIAL INVALIDATION OF REG EXT PROTECTION SENT TO IB
`
`Aug. 08, 2022
`
`INVALIDATION PROCESSED
`
`May 11, 2022
`
`PARTIAL INVALIDATION OF REG EXT PROTECTION CREATED
`
`Dec. 08, 2021
`
`CASE ASSIGNED TO POST REGISTRATION PARALEGAL
`
`Dec. 08, 2021
`
`POST REGISTRATION ACTION MAILED NO RESPONSE REQUIRED
`
`Sep. 11, 2021
`
`NOTICE OF ACCEPTANCE OF SEC. 71 - E-MAILED
`
`Sep. 11, 2021
`
`REGISTERED-SEC.71 ACCEPTED
`
`Sep. 06, 2021
`
`TEAS RESPONSE TO OFFICE ACTION-POST REG RECEIVED
`
`Apr. 06, 2021
`
`POST REGISTRATION ACTION MAILED - SEC.71
`
`Feb. 22, 2021
`
`CASE ASSIGNED TO POST REGISTRATION PARALEGAL
`
`Jan. 28, 2021
`
`TEAS SECTION 71 RECEIVED
`
`Mar. 12, 2020
`
`INTERNATIONAL REGISTRATION RENEWED
`
`Feb. 08, 2020
`
`COURTESY REMINDER - SEC. 71 (10-YR) E-MAILED
`
`Jun. 13, 2017
`
`NOTICE OF ACCEPTANCE OF SEC. 71 & 15 - E-MAILED
`
`Proceeding
`Number
`
`
`
`Jun. 13, 2017
`
`REGISTERED - SEC. 71 ACCEPTED & SEC. 15 ACK.
`
`Jun. 05, 2017
`
`CASE ASSIGNED TO POST REGISTRATION PARALEGAL
`
`Jan. 28, 2017
`
`TEAS SECTION 71 & 15 RECEIVED
`
`Feb. 08, 2016
`
`COURTESY REMINDER - SEC. 71 (6-YR) E-MAILED
`
`Dec. 06, 2013
`
`ATTORNEY/DOM.REP.REVOKED AND/OR APPOINTED
`
`Dec. 06, 2013
`
`TEAS REVOKE/APP/CHANGE ADDR OF ATTY/DOM REP RECEIVED
`
`Apr. 15, 2013
`
`FINAL DECISION TRANSACTION PROCESSED BY IB
`
`Jun. 22, 2011
`
`FINAL DISPOSITION NOTICE SENT TO IB
`
`Jun. 22, 2011
`
`FINAL DISPOSITION PROCESSED
`
`May 08, 2011
`
`FINAL DISPOSITION NOTICE CREATED, TO BE SENT TO IB
`
`Feb. 08, 2011
`
`REGISTERED-PRINCIPAL REGISTER
`
`Nov. 23, 2010
`
`PUBLISHED FOR OPPOSITION
`
`Nov. 03, 2010
`
`NOTICE OF PUBLICATION
`
`Oct. 19, 2010
`
`LAW OFFICE PUBLICATION REVIEW COMPLETED
`
`Oct. 15, 2010
`
`APPROVED FOR PUB - PRINCIPAL REGISTER
`
`Oct. 14, 2010
`
`TEAS/EMAIL CORRESPONDENCE ENTERED
`
`Oct. 14, 2010
`
`CORRESPONDENCE RECEIVED IN LAW OFFICE
`
`Oct. 14, 2010
`
`ASSIGNED TO LIE
`
`Oct. 05, 2010
`
`ATTORNEY/DOM.REP.REVOKED AND/OR APPOINTED
`
`Oct. 05, 2010
`
`TEAS REVOKE/APP/CHANGE ADDR OF ATTY/DOM REP RECEIVED
`
`Oct. 05, 2010
`
`TEAS RESPONSE TO OFFICE ACTION RECEIVED
`
`Aug. 19, 2010
`
`NEW REPRESENTATIVE AT IB RECEIVED
`
`Jul. 02, 2010
`
`REFUSAL PROCESSED BY IB
`
`Jun. 01, 2010
`
`NON-FINAL ACTION MAILED - REFUSAL SENT TO IB
`
`Jun. 01, 2010
`
`REFUSAL PROCESSED BY MPU
`
`May 29, 2010
`
`NON-FINAL ACTION (IB REFUSAL) PREPARED FOR REVIEW
`
`May 28, 2010
`
`NON-FINAL ACTION WRITTEN
`
`May 27, 2010
`
`ASSIGNED TO EXAMINER
`
`May 18, 2010
`
`APPLICATION FILING RECEIPT MAILED
`
`May 14, 2010
`
`NEW APPLICATION OFFICE SUPPLIED DATA ENTERED
`
`May 13, 2010
`
`SN ASSIGNED FOR SECT 66A APPL FROM IB
`International Registration Information (Section 66a)
`
`1036397
`
`International
`Registration
`Number:
`
`Priority Claimed
`Flag:
`
`Yes
`
`Intl. Registration
`Status:
`
`REQUEST FOR EXTENSION OF PROTECTION
`PROCESSED
`
`Notification of
`Designation Date:
`
`May 13, 2010
`
`International
`Registration
`Renewal Date:
`
`Feb. 23, 2030
`
`First Refusal Flag: Yes
`
`International
`Registration Date:
`
`Feb. 23, 2010
`
`Date of Section 67
`Priority Claim:
`
`Aug. 26, 2009
`
`May 13, 2010
`
`Date of
`International
`Registration
`Status:
`
`Date of Automatic
`Protection:
`
`Nov. 13, 2011
`
`TM Staff and Location Information
`
`TM Staff Information - None
`
`File Location
`
`Current Location: TMO LAW OFFICE 113
`
`Date in Location: Dec. 08, 2021
`
`Proceedings
`
`Summary
`
`
`
`Number of
`Proceedings:
`
`2
`
`Proceeding
`Number:
`
`91223277
`
`Status: Terminated
`
`Interlocutory
`Attorney:
`
`MIKE WEBSTER
`
`Type of Proceeding: Opposition
`
`
`
`Filing Date: Aug 12, 2015
`
`Status Date: Nov 18, 2015
`
`Defendant
`
`Name: DOHH Management, LLC
`
`Correspondent
`Address:
`
`SOUMIT ROY
`FERGUSON BRASWELL & FRASER PC
`2500 DALLAS PKWY , STE 501
`PLANO TX UNITED STATES , 75093-4891
`
`sroy@dallasbusinesslaw.com
`
`Correspondent e-
`mail:
`
`Associated marks
`
`Mark
`
`AO4
`
`Name: Nobel Biocare Services AG
`
`Correspondent
`Address:
`
`SUSAN M NATLAND
`KNOBBE MARTENS OLSON & BEAR LLP
`2040 MAIN STREET, 14TH FLOOR
`IRVINE CA UNITED STATES , 92614
`
`Correspondent e-
`mail:
`
`efiling@knobbe.com
`
`Associated marks
`
`Mark
`
`ALL-ON-4
`
`Application Status
`
`Serial Number
`
`Registration
`Number
`
`86451850
`
`Plaintiff(s)
`
`Application Status
`
`Serial Number
`
`Registration
`Number
`
`79081733
`
`3916307
`
`Entry Number
`
`History Text
`
`Prosecution History
`
`6
`
`5
`
`4
`
`3
`
`2
`
`1
`
`TERMINATED
`
`BD DECISION: SUSTAINED
`
`NOTICE OF DEFAULT
`
`PENDING, INSTITUTED
`
`NOTICE AND TRIAL DATES SENT; ANSWER DUE:
`
`FILED AND FEE
`
`Date
`
`Nov 18, 2015
`
`Nov 18, 2015
`
`Oct 09, 2015
`
`Aug 12, 2015
`
`Aug 12, 2015
`
`Aug 12, 2015
`
`Due Date
`
`Sep 21, 2015
`
`Proceeding
`Number:
`
`91206395
`
`Status: Terminated
`
`Interlocutory
`Attorney:
`
`ELIZABETH WINTER
`
`Type of Proceeding: Opposition
`
`Filing Date: Aug 03, 2012
`
`Status Date: Oct 09, 2012
`
`Defendant
`
`Name: Mauro Marincola
`
`Correspondent
`Address:
`
`CHARLES HIEKEN
`FISH & RICHARDSON PC
`ONE MARINA PARK DRIVE
`BOSTON CA UNITED STATES , 02210-1878
`
`info@trademarks411.com
`
`Correspondent e-
`mail:
`
`Associated marks
`
`Mark
`
`Application Status
`
`Serial Number
`
`Registration
`Number
`
`
`
`FOUR FOR ALL
`
`85484770
`
`Plaintiff(s)
`
`Name: Nobel Biocare Services AG
`
`Correspondent
`Address:
`
`SUSAN M NATLAND
`KNOBBE MARTENS OLSON & BEAR LLP
`2040 MAIN STRTEET, 14TH FLOOR
`IRVINE CA UNITED STATES , 92614
`
`Correspondent e-
`mail:
`
`efiling@knobbe.com
`
`Associated marks
`
`Mark
`
`ALL-ON-4
`
`Application Status
`
`Serial Number
`
`Registration
`Number
`
`79081733
`
`3916307
`
`Entry Number
`
`History Text
`
`Prosecution History
`
`7
`
`6
`
`5
`
`4
`
`3
`
`2
`
`1
`
`TERMINATED
`
`BOARD'S DECISION: SUSTAINED
`
`WITHDRAWAL OF APPLICATION
`
`NOTICE OF DEFAULT
`
`PENDING, INSTITUTED
`
`NOTICE AND TRIAL DATES SENT; ANSWER DUE:
`
`FILED AND FEE
`
`Date
`
`Oct 09, 2012
`
`Oct 09, 2012
`
`Sep 17, 2012
`
`Oct 02, 2012
`
`Aug 03, 2012
`
`Aug 03, 2012
`
`Aug 03, 2012
`
`Due Date
`
`Sep 12, 2012
`
`
`
`qanited States of Amery,
`Antted States Patent and Trademark Office
`lly
`ALL-ON-4
`
`
`
`
`
`NOBEL BIOCARE SERVICES AG (SWITZERLAND CORPORATION)
`
`BALZ ZIMMERMANN-STRASSE 7
`CH-8302 KLOTEN
`
`SWITZERLAND
`
`Reg. No. 3,916,307
`Registered Feb. 8, 2011
`
`Int. Cls.: 10 and 44
`
`TRADEMARK
`
`SERVICE MARK
`
`PRINCIPAL REGISTER
`
`
`
`Director ofthe United States Patent and ‘l'sademarkOffice
`
` oH
`
`FOR: DENTAL INSTRUMENTS, NAMELY, PICKS, BURRS; MEDICAL INSTRUMENTS FOR
`
`
`
`USEIN CUTTING TISSUE; SURGICAL INSTRUMENTS; DENTAL AND SURGICAL DEVICES
`
`
`
`CONSISTING OF PLANNING GUIDES FOR DETERMINING, BEFORE SURGERY, TARGET
`
`
`POSITIONS AND INTENDED DEPTHSOF INSERTION OF DENTAL IMPLANTS, AND IN
`MODELS INTENDED FOR USE IN ‘THE DENTAL IMPLANT SECTOR, IN CLASS 10 (U.S.
`CLS. 26, 39 AND 44).
`
`
`FOR: MEDICAL AND DENTAL SURGERY SERVICES; PROFESSIONAL CONSULTING
`
`
`
`
`
`
`AND PLANNINGIN THE FIELD OF DENTAL SURGERY, IN CLASS 44 (U.S. CLS. 100 AND
`101).
`
`
`
`
`
`
`THE MARK CONSISTS OF STANDARD CHARACTERS WITHOUT CLAIM TO ANY PAR-
`TICULAR FONT, STYLE, SIZE, OR COLOR.
`
`PRIORITY DATE OF8-26-2009 IS CLAUMED.
`
`
`OWNER OF INTERNATIONAL REGISTRATION 1036397 DATED 2-23-2010, EXPIRES 2-23-
`2020.
`
` SER. NO. 79-081,733, FILED 2-23-2010.
`
`DAVID MURRAY, EXAMINING ATTORNEY
`
`
`
`From:
`Sent:
`To:
`Cc:
`Subject:
`
`TMOfficialNotices@USPTO.GOV
`Tuesday, June 13, 2017 11:01 PM
`XXXX
`XXXX
`Official USPTO Notice of Acceptance/Acknowledgement Sections 71 and 15: U.S. Trademark RN 3916307: ALL-ON-4: Docket/Reference No.
`30115-102845
`
`U.S. Registration Number: 3916307
`U.S. Registration Date: Feb 8, 2011
`Mark: ALL-ON-4
`U.S. Registration Holder/Owner: Nobel Biocare Services AG
`
`
`
`U.S. Serial Number: 79081733
`International Reg. No.: 1036397
`
` Jun 13, 2017
`
`NOTICE OF ACCEPTANCE UNDER SECTION 71
`
`The declaration of use or excusable nonuse filed for the above-identified registration meets the requirements of Section 71 of the Trademark Act, 15 U.S.C. §1141k. The
`Section 71 declaration is accepted.
`
`
`NOTICE OF ACKNOWLEDGEMENT UNDER SECTION 15
`
`The declaration of incontestability filed for the above-identified registration meets the requirements of Section 15 of the Trademark Act, 15 U.S.C. §1065. The Section 15
`declaration is acknowledged.
`
`The U.S. registration will remain in force for the term of the international registration upon which it is based for the following class(es), as long as the requirements
`for maintaining the registration are fulfilled as they become due.
`
`Class(es):
`010, 044
`
`
`
`TRADEMARK SPECIALIST
`POST-REGISTRATION DIVISION
`571-272-9500
`
`
`ADDITIONAL REQUIREMENTS FOR MAINTAINING A U.S. TRADEMARK REGISTRATION
`EXTENDING PROTECTION OF AN INTERNATIONAL REGISTRATION
`
`
`WARNING: In addition to filing renewals of your international registration with the International Bureau of the World Intellectual Property Organization (WIPO) as
`required under the Madrid Protocol, your registered extension of protection will be canceled if you do not file the documents below during the specified statutory
`time periods.
`
`I) SECTION 71 DECLARATION OF USE
`
`Requirements in the First Ten Years
`
`What and When to File: You must file a declaration of use (or excusable nonuse) between the 9th and 10th years after the date of issuance of the U.S. registration extending
`protection. 15 U.S.C. §1141k(a)(2).
`
`Requirements in Successive Ten-Year Periods
`
`What and When to File: You must file a declaration of use (or excusable nonuse) between every 9th and 10th-year period, calculated from the date of issuance of the U.S.
`registration extending protection. 15 U.S.C. §1141k(a)(2).
`
`Grace Period Filings
`
`The above documents will be considered as timely if filed within six months after the deadlines listed above with the payment of an additional fee. 15 U.S.C. §1141k(a)(3).
`
`Failure to file the Section 71 declaration will result in the cancellation of the U.S. registration and invalidation of the protection of the international registration in the
`United States.
`
`II) RENEWAL OF INTERNATIONAL REGISTRATION
`
`The international registration remains in force for 10 years, with the possibility of renewal. Madrid Protocol, Article 6(1). Failure to renew the international registration with
`the International Bureau of WIPO will result in the expiration of the U.S. registration even if the Section 71 declaration of use has been accepted.
`
`Any international registration may be renewed for a period of ten years from the expiry of the preceding period, by the mere payment of the required fee to the International
`Bureau. Madrid Protocol, Article 7(1). The deadlines for renewing the international registration are calculated from the international registration date. If the international
`registration is not renewed, the corresponding U.S. registration will cease to be valid as of the date of the expiration of the international registration. 15 U.S.C. §1141j(b).
`
`
`
` Renewal applications must be filed with the International Bureau in accordance with Article 7 of the Madrid Protocol, 37 C.F.R. §7.41(a). The USPTO will not process or
`forward any requests to renew an international registration or extension of protection to the United States if mistakenly submitted to the USPTO. 37 C.F.R. §7.41(b).
`
`*** THE USPTO IS NOT REQUIRED TO SEND ANY FURTHER NOTICE OR REMINDER OF THESE REQUIREMENTS. THE HOLDER/OWNER SHOULD CONTACT THE
`USPTO ONE YEAR BEFORE THE EXPIRATION OF THE TIME PERIODS SHOWN ABOVE TO DETERMINE APPROPRIATE REQUIREMENTS AND FEES.***
`
`To check the status of this registration, go to
`https://tsdr.uspto.gov/#caseNumber=79081733&caseSearchType=US_APPLICATION&caseType=DEFAULT&searchType=statusSearch or contact the Trademark Assistance
`Center at 1-800-786-9199.
`
`To view this notice and other documents for this registration on-line, go to
`https://tsdr.uspto.gov/#caseNumber=79081733&caseSearchType=US_APPLICATION&caseType=DEFAULT&searchType=documentSearch NOTE: This notice will only be
`available on-line the next business day after receipt of this e-mail.
`
` *
`
`For further information, including information on filing and maintenance requirements for U.S. trademark applications and registrations and required fees,
`please consult the USPTO website at https://www.uspto.gov/trademark/ or contact the Trademark Assistance Center at 1-800-786-9199.
`
`
`
`Under the Paperwork Reduction Act of 1995 no persons are required to respond to a collection of information unless it displays a valid OMB control number.
`PTO Form 1683 (Rev 11/2012)
`
`OMB No. 0651-0055 (Exp 12/31/2018)
`
`Combined Declaration of Continued Use/Excusable Nonuse and Incontestability Under
`Sections 71 and 15
`
`The table below presents the data as entered.
`
`Input Field
`
`REGISTRATION
`NUMBER
`
`3916307
`
`REGISTRATION DATE
`
`02/08/2011
`
`SERIAL NUMBER
`
`79081733
`
`MARK SECTION
`
`Entered
`
`MARK
`
`ALL-ON-4 (see, https://tmng-al.uspto.gov/resting2/api/img/79081733/large)
`
`ATTORNEY SECTION (current)
`
`NAME
`
`FIRM NAME
`
`STREET
`
`CITY
`
`STATE
`
`POSTAL CODE
`
`COUNTRY
`
`PHONE
`
`FAX
`
`
`Susan M. Natland
`
`Knobbe, Martens, Olson & Bear, LLP
`
`2040 Main Street, 14th Floor
`
`Irvine
`
`California
`
`92614
`
`United States
`
`(949) 760-0404
`
`(949) 760-9502
`
`efiling@knobbe.com
`
`AUTHORIZED TO
`COMMUNICATE VIA E-MAIL
`
`Yes
`
`DOCKET/REFERENCE
`NUMBER
`
`NOBELTZ.026I
`
`ATTORNEY SECTION (proposed)
`
`NAME
`
`FIRM NAME
`
`STREET
`
`CITY
`
`STATE
`
`POSTAL CODE
`
`COUNTRY
`
`PHONE
`
`FAX
`
`Roxana Sullivan
`
`Dennemeyer & Associates, LLC
`
`181 W Madison Street, Suite 4500
`
`Chicago
`
`Illinois
`
`60602
`
`United States
`
`312 380 6500
`
`312 419 9440
`
`
`
`
`rsullivan@dennemeyer-law.com
`
`AUTHORIZED TO
`COMMUNICATE VIA E-MAIL
`
`Yes
`
`DOCKET/REFERENCE
`NUMBER
`
`30115-102845
`
`CORRESPONDENCE SECTION (current)
`
`NAME
`
`FIRM NAME
`
`STREET
`
`CITY
`
`STATE
`
`POSTAL CODE
`
`COUNTRY
`
`PHONE
`
`FAX
`
`
`Susan M. Natland
`
`Knobbe, Martens, Olson & Bear, LLP
`
`2040 Main Street, 14th Floor
`
`Irvine
`
`California
`
`92614
`
`United States
`
`(949) 760-0404
`
`(949) 760-9502
`
`efiling@knobbe.com
`
`AUTHORIZED TO
`COMMUNICATE VIA E-MAIL
`
`Yes
`
`DOCKET/REFERENCE
`NUMBER
`
`NOBELTZ.026I
`
`CORRESPONDENCE SECTION (proposed)
`
`NAME
`
`FIRM NAME
`
`STREET
`
`CITY
`
`STATE
`
`POSTAL CODE
`
`COUNTRY
`
`PHONE
`
`FAX
`
`
`Roxana Sullivan
`
`Dennemeyer & Associates, LLC
`
`181 W Madison Street, Suite 4500
`
`Chicago
`
`Illinois
`
`60602
`
`United States
`
`312 380 6500
`
`312 419 9440
`
`rsullivan@dennemeyer-law.com; filing.us@dennemeyer-law.com
`
`AUTHORIZED TO
`COMMUNICATE VIA E-MAIL
`
`Yes
`
`DOCKET/REFERENCE
`NUMBER
`
`30115-102845
`
`GOODS AND/OR SERVICES SECTION
`
`INTERNATIONAL CLASS
`
`010
`
`GOODS OR SERVICES TO BE
`DELETED
`
`picks, burrs
`
`GOODS OR SERVICES IN USE
`IN COMMERCE
`
`Dental instruments, namely, medical instruments for use in cutting tissue; surgical instruments;
`dental and surgical devices consisting of planning guides for determining, before surgery, target
`positions and intended depths of insertion of dental implants, and in models intended for use in
`
`
`
` SPECIMEN FILE NAME(S)
`
`the dental implant sector
`
` ORIGINAL PDF FILE
`
`SPN0-194154217174-20170120085419893654_._2016-11-15_Class_10_Specimens_ALL-
`ON-4.pdf
`
` CONVERTED PDF FILE(S)
` (2 pages)
`
`\\TICRS\EXPORT17\IMAGEOUT17\790\817\79081733\xml1\S750002.JPG
`
`
`
`\\TICRS\EXPORT17\IMAGEOUT17\790\817\79081733\xml1\S750003.JPG
`
`SPECIMEN DESCRIPTION
`
`images of web pages showing mark thereon in association with goods and the ability to buy the
`products therefrom
`
`INTERNATIONAL CLASS
`
`044
`
`GOODS OR SERVICES
`
`Medical and dental surgery services; professional consulting and planning in the field of dental
`surgery
`
` SPECIMEN FILE NAME(S)
`
` ORIGINAL PDF FILE
`
`SPN1-194154217174-20170120085419893654_._2017-1-16_Class_44_ALL_ON_4_Specimen_-
`_NOBELBT.004T.pdf
`
` CONVERTED PDF FILE(S)
` (2 pages)
`
`\\TICRS\EXPORT17\IMAGEOUT17\790\817\79081733\xml1\S750004.JPG
`
`
`
`\\TICRS\EXPORT17\IMAGEOUT17\790\817\79081733\xml1\S750005.JPG
`
`SPECIMEN DESCRIPTION
`
`images of web pages showing mark thereon in association with services
`
`OWNER/HOLDER SECTION (current)
`
`NAME
`
`Nobel Biocare Services AG
`
`INTERNAL ADDRESS
`
`Balz Zimmermann-Strasse 7
`
`STREET
`
`COUNTRY
`
`CH-8302 Kloten
`
`Switzerland
`
`OWNER SECTION (proposed)
`
`NAME
`
`STREET
`
`CITY
`
`COUNTRY
`
`Nobel Biocare Services AG
`
`Balz Zimmermann-Strasse 7
`
`CH-8302 Kloten
`
`Switzerland
`
`LEGAL ENTITY SECTION (current)
`
`TYPE
`
`STATE/COUNTRY OF
`INCORPORATION
`
`PAYMENT SECTION
`
`NUMBER OF CLASSES
`
`NUMBER OF CLASSES PAID
`
`COMBINED §§ 71 & 15 FILING
`FEE
`
`TOTAL FEE PAID
`
`SIGNATURE SECTION
`
`corporation
`
`Switzerland
`
`2
`
`2
`
`650
`
`650
`
` ORIGINAL PDF FILE
`
`hw_194154217174-085419893_._ALL-ON-4_Declarations_of_use.pdf
`
` CONVERTED PDF FILE(S)
`
`
`
` (3 pages)
`
`
`
`
`
`\\TICRS\EXPORT17\IMAGEOUT17\790\817\79081733\xml1\S750006.JPG
`
`\\TICRS\EXPORT17\IMAGEOUT17\790\817\79081733\xml1\S750007.JPG
`
`\\TICRS\EXPORT17\IMAGEOUT17\790\817\79081733\xml1\S750008.JPG
`
`SIGNATORY'S NAME
`
`Olaf Jensen
`
`SIGNATORY'S POSITION
`
`Senior Intellectual Property

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