Trademark/Service Mark Application, Principal Register
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 1478 (Rev 09/2006)
OMB No. 0651-0009 (Exp 02/28/2021)
Trademark/Service Mark Application, Principal Register
At this time, the applicant intends to rely on Section 44(e) as a basis for registration and requests that the application be suspended to await the
submission of the foreign registration. If ultimately the applicant does not rely on §44(e) as a basis for registration, a valid claim of priority may be retained.
INTERNATIONAL CLASS
035
*IDENTIFICATION
Advertising, marketing and promotion services in the field of music; Advertising and promotion services and related consulting; Business
management of performing artists; Business consulting, business management and providing information in the music business field
At this time, the applicant intends to rely on Section 44(e) as a basis for registration and requests that the application be suspended to await the
submission of the foreign registration. If ultimately the applicant does not rely on §44(e) as a basis for registration, a valid claim of priority may be retained.
INTERNATIONAL CLASS
041
*IDENTIFICATION
Entertainment services, namely, live music concerts, music exhibitions, video exhibitions; production, editing, presentation and distribution
of sound recordings, video recordings and digital media
At this time, the applicant intends to rely on Section 44(e) as a basis for registration and requests that the application be suspended to await the
submission of the foreign registration. If ultimately the applicant does not rely on §44(e) as a basis for registration, a valid claim of priority may be retained.
ADDITIONAL STATEMENTS SECTION
ACTIVE PRIOR REGISTRATION(S)
The applicant claims ownership of active prior U.S. Registration Number(s) 4989433, 4052878, 3257493, and others.
ATTORNEY INFORMATION
NAME
Andrea E. Bates
ATTORNEY BAR MEMBERSHIP NUMBER
XXX
YEAR OF ADMISSION
XXXX
U.S. STATE/ COMMONWEALTH/ TERRITORY
XX
FIRM NAME
Bates & Bates, LLC
STREET
1890 Marietta Blvd NW
CITY
Atlanta
STATE
Georgia
COUNTRY/REGION/JURISDICTION/U.S. TERRITORY
United States
ZIP/POSTAL CODE
30318
EMAIL ADDRESS
abates@bates-bates.com
OTHER APPOINTED ATTORNEY
Johnathan Bates, Kathryn Cox, Jason Cox, Kevin Dawson, Laura Deines, Kurt Schuettinger
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 1478 (Rev 09/2006)
OMB No. 0651-0009 (Exp 02/28/2021)
Trademark/Service Mark Application, Principal Register
Serial Number:90274861
Filing Date:10/23/2020
To the Commissioner for Trademarks:
MARK: GIBSON (Standard Characters, see mark)
The literal element of the mark consists of GIBSON. The mark consists of standard characters, without claim to any particular font style, size, or color.
The applicant, Gibson Brands, Inc., a corporation of Delaware, having an address of
209 10th Ave S, Suite 460
Nashville, Tennessee 37203
United States
XXXX
requests registration of the trademark/service mark identified above in the United States Patent and Trademark Office on the Principal Register established by the Act of July 5, 1946 (15 U.S.C.
Section 1051 et seq.), as amended, for the following:
International Class 009: Compact discs, DVDs, and downloadable digital media
Priority based on foreign filing: The applicant has a bona fide intention, and is entitled, to use the mark in commerce on or in connection with the identified goods/services and asserts a claim of
priority based on India application number 4714947, filed 10/23/2020.
INTENT TO PERFECT 44(d) : At this time, the applicant intends to rely on Section 44(e) as a basis for registration and requests that the application be suspended to await the submission of the
foreign registration. If ultimately the applicant does not rely on §44(e) as a basis for registration, a valid claim of priority may be retained.
International Class 035: Advertising, marketing and promotion services in the field of music; Advertising and promotion services and related consulting; Business management of performing
artists; Business consulting, business management and providing information in the music business field
Priority based on foreign filing: The applicant has a bona fide intention, and is entitled, to use the mark in commerce on or in connection with the identified goods/services and asserts a claim of
priority based on India application number 4714947, filed 10/23/2020.
INTENT TO PERFECT 44(d) : At this time, the applicant intends to rely on Section 44(e) as a basis for registration and requests that the application be suspended to await the submission of the
foreign registration. If ultimately the applicant does not rely on §44(e) as a basis for registration, a valid claim of priority may be retained.
International Class 041: Entertainment services, namely, live music concerts, music exhibitions, video exhibitions; production, editing, presentation and distribution of sound recordings, video
recordings and digital media
Priority based on foreign filing: The applicant has a bona fide intention, and is entitled, to use the mark in commerce on or in connection with the identified goods/services and asserts a claim of
priority based on India application number 4714947, filed 10/23/2020.
INTENT TO PERFECT 44(d) : At this time, the applicant intends to rely on Section 44(e) as a basis for registration and requests that the application be suspended to await the submission of the
foreign registration. If ultimately the applicant does not rely on §44(e) as a basis for registration, a valid claim of priority may be retained.
Claim of Active Prior Registration(s)
The applicant claims ownership of active prior U.S. Registration Number(s) 4989433, 4052878, 3257493, and others.
The owner's/holder's proposed attorney information: Andrea E. Bates. Other appointed attorneys are Johnathan Bates, Kathryn Cox, Jason Cox, Kevin Dawson, Laura Deines, Kurt Schuettinger. Andrea
E. Bates of Bates & Bates, LLC, is a member of the XX bar, admitted to the bar in XXXX, bar membership no. XXX, and the attorney(s) is located at
1890 Marietta Blvd NW
Atlanta, Georgia 30318
United States
abates@bates-bates.com
Andrea E. Bates submitted the following statement: The attorney of record is an active member in good standing of the bar of the highest court of a U.S. state, the District of Columbia, or any U.S.
Commonwealth or territory.
The applicant's current Correspondence Information:
Requirement for Email and Electronic Filing: I understand that a valid email address must be maintained by the applicant owner/holder and the applicant owner's/holder's attorney, if appointed,
and that all official trademark correspondence must be submitted via the Trademark Electronic Application System (TEAS).
A fee payment in the amount of $825 has been submitted with the application, representing payment for 3 class(es).
Declaration
Declaration Signature
Signature: /Kevin J. Dawson/ Date: 10/23/2020
Signatory's Name: Kevin J. Dawson
Signatory's Position: Other Appointed Attorney, Georgia bar member
Payment Sale Number: 90274861
Payment Accounting Date: 10/23/2020
Serial Number: 90274861
Internet Transmission Date: Fri Oct 23 15:43:07 ET 2020
TEAS Stamp: USPTO/BAS-XXXX:XXXX:XXXX:XXXX:XXXX:XXXX:
XXXX:XXXX-20201023154307705044-90274861-
7508e698bebee3b2621aeaf41c328821de60c5aa
38fc717b9753d443ba0504c2a-DA-43076966-20
201023150911783490