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`ESTTA1383043
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`Filing date:
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`09/11/2024
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`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
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`Proceeding no.
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`91287300
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`Party
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`Correspondence
`address
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`Submission
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`Filer's name
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`Filer's email
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`Signature
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`Date
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`Defendant
`Panasonic Avionics Corporation
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`GRACE HAN STANTON
`PERKINS COIE LLP
`1201 THIRD AVENUE SUITE 4900
`SEATTLE, WA 98101-3099
`UNITED STATES
`Primary email: pctrademarks@perkinscoie.com
`206-359-6483
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`Other Motions/Submissions
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`Grace Han Stanton
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`pctrademarks@perkinscoie.com, amatusheski@perkinscoie.com
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`/Grace Han Stanton/
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`09/11/2024
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`Attachments
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`2024.08.23 Panasonic-AstroNova Agreement Exhibit A.pdf(76302 bytes )
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`EXECUTION VERSION
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`Exhibit B
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`IN THE UNITED STATES PATENT AND TRADEMARK OFFICE
`BEFORE THE TRADEMARK TRIAL AND APPEAL BOARD
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`AstroNova, Inc.
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`Opposer,
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`v.
`Panasonic Avionics
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`Corporation
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`Applicant.
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`Opposition No. 91287300
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`Mark: ASTROVA
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`Serial No.: 97451321
`Filing Date: June 9, 2022
`Published: March 28, 2023
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`MOTION ON CONSENT TO AMEND APPLICATION AND CONDITIONALLY
`WITHDRAW OPPOSITION WITH PREJUDICE
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`Pursuant to 37 C.F.R. 2.133, Applicant, Panasonic Avionics Corporation hereby requests
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`
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`to amend the goods covered in U.S. App. Ser. No. 97451321 (“Application”) as follows (changes
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`in bold and underlined):
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`Class 9: Organic light emitting diodes (OLED) monitors; liquid-crystal display (LCD)
`monitors; video and multi-media monitors; touchscreen monitors; computer monitors;
`monitors with integrated camera, audio speakers and audio output, and wireless
`communication technology; computer cameras; peripheral bars for monitors; peripheral
`bars for monitors with integrated lighting features, charging outlets and audio outputs;
`mounting racks and accessories for mounting monitors; connection cables; power cables;
`central processing units (CPU); data processors; computer hardware and computer
`peripherals; apparatus and instruments for transmitting, storing, reproducing or
`processing sound, images or data; digital media streaming devices; power distributing
`boxes; computer storage and memory device, namely, embedded MultiMediaCard
`(eMMc) embedded with NAND flash memory containing media content, operating
`software for computing file, memory and process management and for handling input and
`output to networked devices, and other software applications for delivering digital
`content and services to airline passengers; computer storage and memory device, namely,
`solid-state drive (SSD); all of the foregoing exclusively for inflight entertainment, and
`not including printers
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`
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`Following these amendments, the final description of services for the Application should
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`read as follows:
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`- 7 -
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`
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`EXECUTION VERSION
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`Class 9: Organic light emitting diodes (OLED) monitors; liquid-crystal display (LCD)
`monitors; video and multi-media monitors; touchscreen monitors; computer monitors;
`monitors with integrated camera, audio speakers and audio output, and wireless
`communication technology; computer cameras; peripheral bars for monitors; peripheral
`bars for monitors with integrated lighting features, charging outlets and audio outputs;
`mounting racks and accessories for mounting monitors; connection cables; power cables;
`central processing units (CPU); data processors; computer hardware and computer
`peripherals; apparatus and instruments for transmitting, storing, reproducing or
`processing sound, images or data; digital media streaming devices; power distributing
`boxes; computer storage and memory device, namely, embedded MultiMediaCard
`(eMMc) embedded with NAND flash memory containing media content, operating
`software for computing file, memory and process management and for handling input and
`output to networked devices, and other software applications for delivering digital
`content and services to airline passengers; computer storage and memory device, namely,
`solid-state drive (SSD); all of the foregoing exclusively for inflight entertainment, and
`not including printers
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`
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`As reflected by the signature of Opposer’s counsel below, Opposer consents to
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`these amendments.
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`Applicant submits that the foregoing amendments do not add services to or
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`broaden the scope of services listed in the Application, but instead narrow them. As
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`such, neither republication of the Application nor further examination of the Application
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`is required as a result of these amendments. Accordingly, Applicant respectfully requests
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`that the Board approve these amendments.
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`Pursuant to 37 C.F.R. 2.106(c), as reflected by the signature of Opposer’s counsel,
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`Opposer hereby withdraws its Notice of Opposition with prejudice, conditioned,
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`however, upon the acceptance and entry of the requested amendments to Applicant’s U.S.
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`App. Ser. No. 97451321, as set forth herein.
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`//
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`//
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`//
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`- 8 -
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`EXECUTION VERSION
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`WHEREFORE, Opposer and Applicant move that the subject Application be
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`amended as set forth above and, conditioned on that amendment, that the Notice of
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`Opposition be dismissed with prejudice.
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`Respectfully submitted.
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`PERKINS COIE LLP
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`FOLEY HOAG LLP
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` /Grace Han Stanton/
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`Grace Han Stanton
`1201 Third Ave, Suite
`4900 Seattle, Washington
`98101 Attorneys for
`Applicant
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`__________________________
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`Nicole Kinsley
`155 Seaport Blvd., Seaport West
` Boston, MA 02210
`Attorneys for Opposer
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`- 9 -
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